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Home Publication & Consultation Decision Non-Imposition of VAT on Inbreng (Capital Contribution in Kind): Literal vs. Substantial Interpretation at the Tax Court

Non-Imposition of VAT on Inbreng (Capital Contribution in Kind): Literal vs. Substantial Interpretation at the Tax Court

Putusan Nomor PUT-001968.16/2023/PP/M.XIIIA Tahun 2025
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Non-Imposition of VAT on Inbreng (Capital Contribution in Kind): Literal vs. Substantial Interpretation at the Tax Court

Tax disputes often reflect the complexity of regulations and the clash of interpretations between Taxpayers and tax authorities. A highly relevant case study emerges from the dispute involving MM, where the Tax Court was challenged to interpret the limits of the Value Added Tax (VAT) non-imposition facility on capital contributions in kind (inbreng). This case is significant because it fundamentally pits a literal (textual) interpretation against a substantial (purposive) interpretation of a legal norm.

Taxpayer MM restructured his business by transferring assets—land and buildings—valued at Rp2,950,000,000.00 as a capital contribution into PT MBM, a limited liability company he had just established. The Directorate General of Taxes (DGT) issued a tax assessment on this transaction, believing it to be a taxable supply of Taxable Goods (BKP) subject to VAT. Disagreeing with this stance, the Taxpayer brought the dispute to the appeal level at the Tax Court.

 

The Core Conflict: Textual Simplicity vs. Substantial Intent

The heart of the conflict lay in the differing ways of reading Article 1A paragraph (2) letter d of the VAT Law. The DGT built its argument on a substantial interpretation, stating that the VAT non-imposition facility should only apply if what is transferred is an "entire business" or a "part of a business" that can operate independently. According to the DGT, the transfer of individual assets like land and buildings did not meet this criterion and should be treated as an ordinary asset transfer subject to VAT.

Conversely, the Taxpayer based his defense on a literal interpretation. He argued that the law clearly states that "the transfer of Taxable Goods for the purpose of capital contribution in exchange for shares" is not included as a taxable supply, provided two explicit conditions are met: the purpose of the transfer is a capital contribution, and both parties are VAT-Registered Persons (PKP). The Taxpayer asserted he had met both conditions, proven by the notarial deed and the PKP status of the parties, and accused the DGT of adding a new requirement that was never present in the text of the law.

 

The Court's Ruling: Upholding Literal Interpretation

Facing this interpretative collision, the Panel of Judges of the Tax Court provided a firm resolution by fully supporting the Taxpayer's argument. In its legal consideration, the Panel affirmed the principle of supremacy of law that interpretation must adhere to what is written in the statute (lex scripta). The Panel stated that Article 1A paragraph (2) letter d of the VAT Law does not contain a single phrase requiring the BKP contributed inbreng to be an integrated business unit.

Since the Taxpayer had successfully proven compliance with the two explicitly written conditions, the transaction was validly deemed an inbreng not subject to VAT. The DGT's action of adding a new condition was considered an act of exceeding its legal authority. Based on this, the Panel of Judges granted the entire appeal petition and legally annulled the VAT assessment issued by the DGT.

 

Conclusion: Legal Certainty in Inbreng Transactions

This ruling is a significant victory for the principle of legal certainty in taxation and simultaneously sets clear boundaries on the tax authority's power to interpret the law. The implications for the business world are significant, as it provides assurance that as long as the literal conditions in the VAT Law are met, the transfer of individual assets under an inbreng scheme will not be subject to VAT. This ruling also serves as a valuable jurisprudence that other Taxpayers can use in similar disputes and acts as a reminder to the tax authority not to apply interpretations that go beyond the text of the regulation.

In summary, the MM case affirms that in the inbreng facility, compliance with the requirements explicitly written in Article 1A paragraph (2) letter d of the VAT Law is key. The valuable lesson from this case for Taxpayers is the importance of preparing strong legal documentation to prove the transaction's purpose as a capital contribution and ensuring the fulfillment of administrative requirements like PKP status. This ruling is expected to reduce the potential for future disputes and provide a better climate of legal certainty for Taxpayers intending to restructure their businesses.

Comprehensive and Complete Analysis of This Dispute is Available Here


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