This dispute centers on a positive Corporate Income Tax correction of IDR 13,064,295,319.00 claimed as management service fees. The core issue is the Petitioner's failure to satisfy the Test of Existence and Test of Benefit under Article 6 of the Income Tax Law and PER-32/PJ/2011.
The conflict arises from the high evidentiary bar set by the Directorate General of Taxes (DGT) for affiliated transactions:
The Board of Judges aligned with the DGT, applying a strict Substance Over Form standard:
This ruling sets a high standard for how intra-group costs must be documented moving forward:
Conclusion: The Tax Court upheld the DGT's correction. The PT RJ case reaffirms that in affiliated transactions, non-financial documentation is the primary defense. Taxpayers must prove not just that they paid, but that the affiliate performed.