The tax authority imposed a positive correction of IDR 11.87 billion on PT PVS's business turnover using the inventory flow test method, assuming every unit discrepancy represented unreported sales. Pursuant to the KUP Law and auditing standards, the Respondent asserted that the Taxpayer's failure to provide stock cards synchronized with entry-exit vouchers justified an official tax assessment. This conflict originated from discrepancies found between opening balances, purchases, and sales compared to ending balances for the 2018 Tax Year.
PT PVS strongly refuted this assumption by presenting technical operational arguments, stating that physical discrepancies were not caused by shadow sales but by the assembly of components (CKD) into finished goods, spare parts used for service maintenance, and the existence of rejected items. The Petitioner emphasized that the Respondent ignored the correlation between goods flow, cash flow, and accounts receivable, which showed no additional economic capacity. Conversely, the Respondent maintained that the Petitioner's internal documents were unreliable as they lacked sufficient external supporting evidence during the initial audit.
The Board of Judges, in their legal considerations, stated that while the goods flow test is a legitimate audit technique, its results are indicative and can be refuted by stronger counter-evidence. The Judges ruled that the Petitioner successfully proved the economic substance of the inventory discrepancies by presenting Stock Cards, Production Reports, and Damaged Goods Certificates that were materially consistent. The Court emphasized that the use of goods for internal purposes and production processes is a factual reality that cannot be ignored when determining actual taxable turnover.
The implications of this decision provide legal certainty that indirect methods such as goods flow tests must not override business realities and the Taxpayer's bookkeeping when supported by competent evidence. This ruling serves as a vital reminder for Taxpayers to document every stock movement, including internal use and disposal of damaged goods, to mitigate future turnover equivalence corrections. PT PVS's absolute victory demonstrates that the Indonesian tax justice system prioritizes material truth over mere calculative assumptions.
A Comprehensive Analysis and the Tax Court Decision on This Dispute Are Available Here