The dispute over a secondary adjustment on related party transactions worth IDR 10,071,661,538 became the focal point in this trial, where the tax authority sought to recharacterize transfer pricing differences as constructive dividends. The Respondent utilized Article 18 paragraph (3) of the Income Tax Law and PMK-22/PMK.03/2020 as an operational basis to levy taxes on fund flows considered economic benefits for the overseas group. The core conflict lies in the validity of the primary adjustment in Corporate Income Tax and the application of dividend rules to parties who are not direct shareholders.
The Petitioner consistently emphasized that there is no strong legal basis for the Respondent to perform a secondary adjustment as long as the primary adjustment remains in dispute and unproven. Furthermore, the Petitioner rejected the Respondent's interpretation that equates all transaction price differences to profit distribution, given that the counterparty is not an entity that directly owns shares in the company. The Respondent's use of PMK-22/PMK.03/2020 was also criticized as the regulation actually governs Advance Pricing Agreement (APA) mechanisms, rather than a general mandate for tax recharacterization in routine audits.
The Board of Judges, in its legal considerations, took a firm stance that the existence of a secondary adjustment is highly dependent on the legal status of the primary adjustment. Given that the correction of the 2021 Corporate Income Tax had been canceled through a previous decision, the allegation of constructive dividends lost its factual and juridical basis. The Board of Judges argued that without an inkrah primary correction, there is no difference that can be recharacterized as an object of Article 26 Income Tax.
The implications of this decision provide significant legal protection for Taxpayers against the potential for economic double taxation resulting from careless secondary adjustments. This ruling reaffirms the principle of "follow the money" and the logical interconnection between tax types, where a cancellation of the source tax (Corporate Income Tax) must be followed by a cancellation of the consequential tax (Article 26 Income Tax). In conclusion, tax authorities cannot maintain a secondary adjustment if the basis of the primary correction has been overturned in court.
A Comprehensive Analysis and the Tax Court Decision on This Dispute Are Available Here