The transfer pricing dispute at PT KIC centered on a fundamental disagreement over the selection of the most appropriate Arm's Length Principle (ALP) method between the tax authority and the taxpayer. The Respondent applied the Cost Plus Method (CPM), arguing the exported products were semi-finished goods, while PT KIC maintained that the Transactional Net Margin Method (TNMM) was superior as the products were finished surfactants for industrial consumers.
The conflict intensified regarding the reliability of comparable data, as the Respondent's use of CPM was deemed unreliable due to insufficient information on the cost structures of external comparables. The Board of Judges ultimately resolved that TNMM on an aggregate basis was the most appropriate method because it accommodates "closely linked" transactions and is more tolerant of functional and asset differences.
This ruling emphasizes that transfer pricing method selection must be rooted in deep functional analysis and valid comparable data rather than mere product category assumptions.
A Comprehensive Analysis and the Tax Court Decision on This Dispute Are Available Here