A Landmark Victory for PT CSC: Tax Court Overturns Domestic Transfer Pricing Adjustments Lacking Evidence of Tax Avoidance

Tax Court Appeal Decision | Income Tax Article 22 (Non-Final) | Fully Granted

PUT-007819.11/2023/PP/M.XIIB for 2025

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A Landmark Victory for PT CSC: Tax Court Overturns Domestic Transfer Pricing Adjustments Lacking Evidence of Tax Avoidance

Article 22 Income Tax Base Correction and Domestic Transfer Pricing Dispute of PT CSC

The correction of the Article 22 Income Tax Base (DPP) amounting to IDR 1.05 billion against PT CSC was fully overturned by the Tax Court Judges due to failure in meeting the material requirements for domestic Transfer Pricing testing. This dispute arose when the Respondent applied a secondary adjustment based on the TNMM method without considering the corresponding adjustment for the counterparty.

The Core Conflict: ROTC Analysis vs. Absence of Tax Benefit

The core of the conflict began when the Respondent attributed a correction to PT CSC's cement sales prices to domestic affiliates as an Article 22 Income Tax object. The Respondent argued that the selling prices were below the arm's length range based on a Return on Total Cost (ROTC) analysis. Conversely, the Taxpayer emphasized that the transactions were conducted between domestic entities subject to the same tax rate, thus yielding no tax benefit. The Taxpayer also contested the Respondent’s selection of comparables, which ignored the data provided in the company’s TP Documentation.

Judges' Legal Consideration: PER-32/PJ/2011 Requirements and Economic Double Taxation

In its legal consideration, the Panel of Judges emphasized that according to PER-32/PJ/2011, arm's length testing for domestic transactions must prove a tax avoidance motive, such as exploiting rate differences or loss compensation. In this case, the Respondent failed to provide such evidence. Furthermore, the Judges highlighted the absence of a corresponding negative adjustment for the buyer, leading to economic double taxation.

Decision Implications on Audit Consistency and TP Documentation

This decision reaffirms that tax authorities cannot arbitrarily impose Transfer Pricing adjustments on domestic transactions based solely on numerical differences without an in-depth economic substance analysis. For taxpayers, this victory serves as an important precedent regarding the necessity of audit consistency between affiliated entities and the strength of Transfer Pricing documentation in facing dependent secondary adjustments.

A Comprehensive Analysis and the Tax Court Decision on This Dispute Are Available Here


May 20, 2026 • Taxindo Prime Consulting

Tax Court Appeal Decision | Income Tax Article 22 (Non-Final) | Fully Granted

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Tax Court Appeal Decision | Income Tax Article 21 (Non-Final) | Fully Granted

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Tax Court Appeal Decision | Income Tax Article 21 (Non-Final) | Fully Granted

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Tax Court Appeal Decision | PPN | Partially Granted

PUT-002684.16/2024/PP/M.VA Year 2025

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Article More Details
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