The correction of Input Tax amounting to IDR 1.4 billion against PT SIS by the tax authorities triggered a legal debate regarding the boundary between formal compliance and material truth in VAT. This dispute focused on Tax Invoices issued before the National Tax Invoice Serial Number (NSFP) date and "non-existent" confirmation responses.
The core conflict lies in the Respondent's interpretation of PER-24/PJ/2012 and SE-26/PJ/2015, where invoices issued outside the allotment or preceding the NSFP date are considered incomplete invoices that are absolutely non-creditable. The Respondent also emphasized that a negative confirmation response from the counterparty nullifies the right to credit. On the other hand, PT SIS argued that administrative errors on the issuer's side should not eliminate the buyer's right who has actually paid the VAT (economic substance), supported by valid evidence of money and goods flow.
The Board of Judges, in its legal consideration, asserted that the validity of Input Tax crediting must refer to Article 13 paragraph (5) of the VAT Law and Article 16F regarding joint liability. The judges opined that as long as the transaction is real and VAT has been paid, technical NSFP errors by the seller and confirmation system failures cannot cancel the buyer's right to credit. This resolution provides legal protection for bona fide buyers. This analysis shows that the Tax Court tends to prioritize the substance over form principle in tax invoice formality disputes, providing positive implications for legal certainty in the business world.
A Comprehensive Analysis and the Tax Court Decision on This Dispute Are Available Here