Beware! Transfer Pricing Gaps Can Be Deemed Offshore Dividends: Lessons from the PT K Case

Tax Court Appeal Decision | Income Tax Articles 23/26 (Final) | To Reject the Appeal/ Lawsuit

PUT-012160.13/2022/PP/M.XB Year 2024

Taxindo Prime Consulting
Thursday, June 11, 2026 | 14:52 WIB
00:00
Optimized with Google Chrome
Beware! Transfer Pricing Gaps Can Be Deemed Offshore Dividends: Lessons from the PT K Case

Tax Sovereignty Disputes Regarding the Withholding of Income Tax Article 26

Tax sovereignty disputes regarding the withholding of Income Tax Article 26 on secondary adjustments have resurfaced in a recent ruling involving PT K, a heavy equipment distribution entity. The tax authority reclassified the transfer pricing difference in affiliated purchase items as constructive dividend payments to shareholders in Singapore, triggering significant additional tax withholding obligations.

The Core Conflict of Financial Statement Segmentation and TNMM Method

The core of the conflict stemmed from the Taxpayer's inability to present segmented financial statements separating the distribution and service divisions, as mandated by PMK-213/2016. The Respondent applied the Transactional Net Margin Method (TNMM) with the Return on Sales (RoS) indicator and found that the operating profit margin of the distribution division was below the median of comparables. This difference was corrected as an unfair purchase cost and automatically treated as a constructive dividend based on the substance over form principle in Article 18 paragraph (3) of the Income Tax Law.

The Board of Tax Judges Opinion on Segmented Transfer Pricing

The Board of Tax Judges in their legal opinion emphasized that the obligation for segmented transfer pricing documentation is absolute for companies with different business lines. The Taxpayer's failure to prove the fairness of transactions through relevant and segmented comparable data resulted in the Respondent's correction being upheld. The Board considered that the transfer of wealth to overseas affiliates through overpriced purchase schemes (positive COGS correction) met the criteria for dividends in a broad sense, which are objects of Income Tax Article 26.

Serious Implications and the Domino Effect Risk

This ruling has serious implications for multinational taxpayers in Indonesia, reinforcing that transfer pricing disputes at the Corporate Income Tax level carry a "domino effect" risk for Withholding Tax. Local File defense strategies must pay close attention to the accuracy of financial data segmentation and the selection of the Most Appropriate Method (MAM) from the onset of transactions.

A Comprehensive Analysis and the Tax Court Decision on This Dispute Are Available Here


June 11, 2026 • Taxindo Prime Consulting

Tax Court Appeal Decision | PPN | Fully Granted

PUT-011296.16/2022/PP/M.XVIIIA Year 2025

June 11, 2026 • Taxindo Prime Consulting

Tax Court Appeal Decision | Income Tax Article 26 (Non-Final) | To Reject the Appeal/ Lawsuit

PUT-014213.132022PPM.XIIA Y ear 2025

June 11, 2026 • Taxindo Prime Consulting

Tax Court Appeal Decision | Annual Corporate Income Tax | Partially Granted

PUT-012004.15/2019/PP/M.VIIIA Year 2024

June 11, 2026 • Taxindo Prime Consulting

Tax Court Appeal Decision | Annual Corporate Income Tax | Partially Granted

PUT-010296.152021PPM.IIB Year 2025

June 11, 2026 • Taxindo Prime Consulting

Tax Court Appeal Decision | PPN | Partially Granted

PUT-002303.16/2018/PP/M.IB for 2019

June 11, 2026 • Taxindo Prime Consulting

Tax Court Appeal Decision | PPN | Partially Granted

PUT-002281.16/2018/PP/M.VIIIA for 2019

June 11, 2026 • Taxindo Prime Consulting

Tax Court Lawsuit Decision | KUP | Inadmissible

PUT-002266.99/2019/PP/M.VIIIB for 2019

June 11, 2026 • Taxindo Prime Consulting

Tax Court Lawsuit Decision | KUP | To Reject the Appeal/ Lawsuit

PUT-002136.99/2018/PP/M.XVIIIA for 2019

June 11, 2026 • Taxindo Prime Consulting

Tax Court Appeal Decision | Annual Corporate Income Tax | Partially Granted

PUT-014208.152022PPM.XIIA Tahun 2025

June 11, 2026 • Taxindo Prime Consulting

Tax Court Appeal Decision | PPN | To Reject the Appeal/ Lawsuit

PUT-012083.16/2022/PP/M.XXB Year 2024

June 11, 2026 • Taxindo Prime Consulting - Mohamad Fuad | Lilik F Pracaya, Ak., CA., ME., BKP (C)
Article More Details
May 19, 2026 • Taxindo Prime Consulting | Adv Muhammad Faiz Nur Abshar, S.H. - Mohamad Fuad, BKP

May 16, 2026 • Taxindo Prime Consulting | Lilik F Pracaya, Ak., CA., ME., BKP (C)

May 04, 2026 • Taxindo Prime Consulting | Naufal Afif, M.Ak., BKP (B) | Lilik F Pracaya, Ak., CA., ME., BKP (C)

Coretax | Tax Payment and Refund | PYSTT

Taxindo Prime Consulting (TPC) is a firm specializing in tax, accounting, business, and business law consulting.
Taxindo Prime Consulting (TPC) is established as a trusted strategic partner, providing comprehensive solutions in tax consulting, accounting, business development, and business law. Driven by a commitment to integrity and professionalism, TPC is dedicated to delivering more than just standard consultation; we provide education, tactical advice, and concrete solutions. Our services are meticulously designed to analyze and resolve clients' tax and business challenges with objectivity, in-depth insight, and full independence, ensuring both regulatory compliance and long-term business sustainability.
OFFICE
Mega Plaza Building 12th Floor
Jl. H.R. Rasuna Said Kav C-3 Jakarta 12940

Phone :
+62 21 521 2686
+62 817 001 3303

Email :
info@taxindo.co.id
Copyright © 2026 Taxindo Prime Consulting

All content on this website is provided solely for general informational and educational purposes. This information is not intended as a substitute for professional tax advice or consultation specific to your situation. We strongly encourage you to contact our team of consultants directly to receive appropriate guidance and advice.

Taxindo Prime Consulting
Tax and Transfer Pricing Calculator
Tax Calendar
×
Newsletter