Failure to Disprove Benefit to Overturn Feasibility Study Fee Correction: The Strength of PT. JHHP's Material Evidence in a Transfer Pricing Dispute
Failure to Disprove Benefit to Overturn Feasibility Study Fee Correction: The Strength of PT. JHHP's Material Evidence in a Transfer Pricing Dispute
Transfer pricing disputes often boil down to one crucial question: can the Taxpayer prove that the costs paid to an affiliate truly reflect an arm's length and economically beneficial transaction? The case involving PT. JHHP provides a clear case study on the importance of material substantiation. This ruling highlights how specific and relevant evidence can be the determining factor in a Taxpayer's victory, especially in defending the deduction of a feasibility study fee that was targeted for correction by the tax authorities.
During the Corporate Income Tax audit for the 2019 Tax Year, the Directorate General of Taxes (DJP) corrected the feasibility study fee amounting to Rp10,169,593,473.00 paid by PT. JHHP to an affiliated party. The DJP's main argument was rooted in the benefit test principle, where they assessed that PT. JHHP had failed to demonstrate a direct economic benefit from the service. The available evidence was deemed too general and could not directly link the study performed to the activities of obtaining, collecting, and maintaining income (3M activities).
In response, PT. JHHP built a solid rebuttal. They argued that the service was real and was crucial for innovation and new product development in the competitive Indonesian market. To support this claim, PT. JHHP did not merely refer to the Transfer Pricing Documentation but also presented a series of operational supporting evidence, such as detailed email correspondences, project progress reports, and study results presentation materials.
Comprehensive and Complete Analysis of This Dispute is Available Here
The Panel of Judges, after a careful analysis, stated that PT. JHHP had succeeded in materially proving that the feasibility study service truly existed and was received. The operational evidence presented was deemed concrete and adequate to demonstrate the service's relevance to the business activities. Consequently, the Panel of Judges opined that the DJP's contention was insufficiently strong and ruled that the correction on the feasibility study fee could not be upheld.
This ruling confirms that in a transfer pricing dispute, the tax authority's "no benefit" argument can be defeated with evidence that clearly demonstrates the process and results of a service. PT. JHHP's victory on this item of dispute serves as a reminder to other companies that investing in neat and detailed documentation for every affiliated service project is a highly effective risk mitigation strategy. The main lesson is the importance of going beyond formal compliance and proactively building a "defense file" that includes all the digital and physical traces of the service's execution.