Double Transfer Pricing Dispute Overturned: When the Fiscal Authority's Power to Correct Rent Collides with the Limits of Final PPh (Income Tax) Object

PUT-005324.25/2024/PP/M.XIA Of 2025 - 21 July 2025

Taxindo Prime Consulting
Thursday, December 25, 2025 | 02:06 WIB
00:00
Optimized with Google Chrome
Double Transfer Pricing Dispute Overturned: When the Fiscal Authority's Power to Correct Rent Collides with the Limits of Final PPh (Income Tax) Object

The application of Article 18 paragraph (3) of the Income Tax Law (UU PPh), which grants the Director General of Taxes (DJP) the authority to redetermine the amount of income and deductions in transactions involving a special relationship, has once again been tested in the Tax Court. The case of PT SMS highlights the complexity of equalizing Transfer Pricing corrections from Corporate Income Tax (CIT) to Withholding Tax, specifically Final Income Tax Article 4 paragraph (2) on the lease of land and/or buildings. This matter arose after DJP carried out a negative correction on Lease Expense in the 2021 CIT audit, deeming the paid rent value to be below the arm’s length price, and consequently made a positive correction to the Final PPh Article 4 paragraph (2) Tax Base (DPP) for the November 2021 Tax Period.

The core conflict in this dispute lies in the validity and limits of Transfer Pricing correction within the context of Final PPh. The DJP argued that after establishing a special relationship and finding the paid rental value was lower than the arm's length market price (based on the Tax Assessor Functional Team's Report), the correction to the Lease Expense in CIT must be equalized to the Final PPh Article 4 paragraph (2) DPP correction. This assumption is based on the premise that the difference in the arm's length rental value constitutes income for the lessor, and thus the lessee should have withheld Final PPh on that amount.

PT SMS, on the other hand, countered with the fundamental argument that the corrected difference by the DJP is a fictitious calculated value (imputed value) which was never paid or recognized as a liability in the books. According to PT SMS, as per Article 4 paragraph (1) and (2) Government Regulation Number 34 of 2007, the object of Final PPh Article 4 paragraph (2) is the gross amount of the lease value that was genuinely paid or due. PT SMS bolstered their defense by proving the arm's length nature of the lease transaction (revenue sharing) through a Transfer Pricing analysis (TNMM) which showed PT SMS's Operating Margin (OM) was still within the comparable range and accounted for the specific conditions of the COVID-19 Pandemic.

The Panel of Judges, in its legal consideration, did not focus on re-testing the Transfer Pricing arm's length nature. Instead, the Panel adopted a related dispute approach by referring to the previous Tax Court Decision on the parent dispute, the negative correction of the 2021 CIT Lease Expense. Since that parent CIT dispute Decision had Granted the Appeal in Full (effectively nullifying the negative Lease Expense correction of IDR 42,781,612,448.00), the legal basis for carrying out the derivative correction on the Final PPh Article 4 paragraph (2) DPP disappeared.

The implication of this Decision is highly significant for tax practice, particularly in handling Transfer Pricing disputes that have a dual effect on other types of tax. The Decision confirms that the validity of a derivative correction (Final PPh) is highly dependent on the final outcome of the underlying parent dispute (CIT). For Taxpayers, this serves as a crucial lesson that strong evidence in a CIT dispute (via a solid TP Doc and non-financial supporting data such as the impact of a pandemic) can directly nullify related Withholding Tax corrections. This Decision reinforces the Taxpayer's position that a calculated Transfer Pricing correction cannot automatically be considered an object of Final PPh, as long as there is no actual payment or recognition of a liability.

The action taken by the Panel of Judges demonstrates that consistency in handling linked cases is a priority. With the appeal of PT SMS being granted in full, the Final PPh Article 4 paragraph (2) Underpayment Tax Assessment Letter (SKPKB) for the November 2021 Tax Period becomes zero, securing the Taxpayer's position in the Transfer Pricing equalization dispute.

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

Adv. Muhammad Faiz Nur Abshar, S.H.
Adv. Muhammad Faiz Nur Abshar, S.H.
Tax Business Consultant and Lawyer

April 04, 2026 • Taxindo Prime Consulting | Adv. Muhammad Faiz Nur Abshar, S.H. - Lilik F Pracaya, Ak., CA., ME., BKP (C)

Tax Court Decision | PPN | Appeal | Fully Granted

PUT-002998.16/2024/PP/M.XA Of 2025 – 24 September 2025

April 04, 2026 • Taxindo Prime Consulting | Adv. Muhammad Faiz Nur Abshar, S.H. - Lilik F Pracaya, Ak., CA., ME., BKP (C)

Tax Court Decision | Income Tax Article 26 (Non-Final) | Appeal | Partially Granted

PUT-003062.13/2024/PP/M.IA Of 2025 – 24 September 2025

April 04, 2026 • Taxindo Prime Consulting | Adv. Muhammad Faiz Nur Abshar, S.H. - Lilik F Pracaya, Ak., CA., ME., BKP (C)

Tax Court Decision | Annual Corporate Income Tax | Appeal | To Reject the Appeal/ Lawsuit

PUT-002448.15/2022/PP/M.IVB Of 2025 – 25 September 2025

April 02, 2026 • Taxindo Prime Consulting | Adv Muhammad Faiz Nur Abshar, S.H. - Lilik F Pracaya, Ak., CA., ME., BKP (C)

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

PUT-002117.16/2024/PP/M.XIVB Of 2025 – May 15 2025

April 02, 2026 • Taxindo Prime Consulting | Adv Muhammad Faiz Nur Abshar, S.H. - Lilik F Pracaya, Ak., CA., ME., BKP (C)

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

PUT-002152.15/2024/PP/M.XXA Of 2025 – 22 May 2025

April 02, 2026 • Taxindo Prime Consulting | Adv. Muhammad Faiz Nur Abshar, S.H. - Lilik F Pracaya, Ak., CA., ME., BKP (C)

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

PUT-015139.15/2020/PP/M.XB Of 2025 – 27 May 2025

April 02, 2026 • Taxindo Prime Consulting | Adv Muhammad Faiz Nur Abshar, S.H. - Lilik F Pracaya, Ak., CA., ME., BKP (C)

Tax Court Decision | PPN | Appeal | Fully Granted

PUT-002157.16/2024/PP/M.XXA Of 2025 – 22 May 2025

April 02, 2026 • Taxindo Prime Consulting | Adv Muhammad Faiz Nur Abshar, S.H. - Lilik F Pracaya, Ak., CA., ME., BKP (C)

Tax Court Decision | Annual Corporate Income Tax | Appeal | To Reject the Appeal/ Lawsuit

PUT-002294.15/2023/PP/M.XIIIB Of 2025 – 20 May 2025

April 02, 2026 • Taxindo Prime Consulting | Adv. Muhammad Faiz Nur Abshar, S.H. - Lilik F Pracaya, Ak., CA., ME., BKP (C)

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

PUT-011578.99/2023/PP/M.XIVA Of 2025 – 11 June 2025

April 02, 2026 • Taxindo Prime Consulting | Adv. Muhammad Faiz Nur Abshar, S.H. - Lilik F Pracaya, Ak., CA., ME., BKP (C)

Tax Court Decision | Annual Corporate Income Tax | Appeal | To Reject the Appeal/ Lawsuit

PUT-012651.15/2022/PP/M.XVIIIA Of 2025 – 10 June 2025

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