Partial Victory for PT TLI: PPh Article 21 as COGS in Manpower Service Businesses

PUT-000759.15/2020/PP/M.XA Year 2025 – 12 June 2025

Taxindo Prime Consulting
Thursday, December 25, 2025 | 22:52 WIB
00:00
Optimized with Google Chrome
Partial Victory for PT TLI: PPh Article 21 as COGS in Manpower Service Businesses

This Tax Court decision resulted in a mixed outcome for PT TLI in its Corporate Income Tax dispute for Fiscal Year 2016. Out of total positive tax corrections amounting to IDR 5,388,987,062, the Panel of Judges partially granted the Taxpayer’s appeal. The dispute focused on the deductibility of personnel-related expenses, particularly costs that were classified by the Directorate General of Taxes (DGT) as benefits in kind and/or fringe benefits.

PT TLI operates as a manpower service provider. Under this business model, labor constitutes the core service sold to clients. All costs directly attributable to manpower—including salaries, social security contributions, and Income Tax Article 21—are recharged to clients as part of the service price, with an additional management fee. From a labor law perspective, the workers are employees of PT TLI, as evidenced by the fact that PT TLI performs the withholding, payment, and reporting of Income Tax Article 21 on the employees’ income. Economically, however, the burden of labor costs is borne by the clients as users of the manpower services. This distinction between the legal employer and the economic bearer of costs forms the core context of the dispute.

The DGT argued that Income Tax Article 21 constitutes tax on employees’ income and therefore may not be deducted as an expense pursuant to Article 9 paragraph 1 letter h of the Income Tax Law. PT TLI countered by asserting that the Article 21 tax in dispute was not income tax payable by PT TLI, but rather tax on employees’ income that was initially paid by PT TLI and subsequently recharged to clients as part of the cost of manpower services. Accordingly, the Article 21 tax was recorded as part of the Cost of Goods Sold (COGS), rather than as a corporate tax expense.

The Panel of Judges agreed with the Taxpayer’s argument and concluded that the prohibition on expense deductibility under Article 9 paragraph 1 letter h of the Income Tax Law applies only to income tax payable by the Taxpayer itself. Since the disputed Article 21 tax did not constitute tax payable by PT TLI, but rather formed part of the direct costs of manpower services that generated income, the DGT’s correction on this item was annulled. In addition to the Article 21 issue, the dispute also covered corrections related to expenses classified as benefits in kind, namely Refreshment (Food and Beverages) costs of IDR 2.47 billion and Housing Rental Costs for Workers of IDR 832 million. For these items, the Panel upheld the DGT’s corrections on the grounds that PT TLI failed to prove compliance with the formal requirements for benefits-in-kind exemptions as stipulated in the implementing regulations.

Although PT TLI put forward business necessity arguments—claiming that food provision was intended for all employees at the workplace and that housing was provided due to the remote nature of the work location—the Panel found that the Taxpayer failed to demonstrate that the business location qualified as an officially designated special area, and that other formal requirements were not satisfied.

This partial victory for PT TLI offers two important lessons. First, in the context of manpower service providers, Income Tax Article 21 paid by the company may be classified as part of the cost of manpower services and treated as an expense incurred to generate income (3M), provided that it can be demonstrated that such costs are recharged to clients. Second, for expenses categorized as benefits in kind, strict compliance with the formal requirements under the relevant Minister of Finance Regulations is a decisive factor in determining whether such expenses are deductible.

This decision underscores the importance of distinguishing between legal employer status and the economic bearer of costs when assessing the deductibility of personnel expenses in Corporate Income Tax disputes.

Comprehensive and Complete Analysis of This Dispute is Available Here

Sonya Marthayori, S.E., BKP (B)., APCIT
Sonya Marthayori, S.E., BKP (B)., APCIT
Tax, Customs, & Transfer Pricing Consultant

April 04, 2026 • Taxindo Prime Consulting | Adv. Muhammad Faiz Nur Abshar, S.H. - Lilik F Pracaya, Ak., CA., ME., BKP (C)

Tax Court Decision | PPN | Appeal | Fully Granted

PUT-002998.16/2024/PP/M.XA Of 2025 – 24 September 2025

April 04, 2026 • Taxindo Prime Consulting | Adv. Muhammad Faiz Nur Abshar, S.H. - Lilik F Pracaya, Ak., CA., ME., BKP (C)

Tax Court Decision | Income Tax Article 26 (Non-Final) | Appeal | Partially Granted

PUT-003062.13/2024/PP/M.IA Of 2025 – 24 September 2025

April 04, 2026 • Taxindo Prime Consulting | Adv. Muhammad Faiz Nur Abshar, S.H. - Lilik F Pracaya, Ak., CA., ME., BKP (C)

Tax Court Decision | Annual Corporate Income Tax | Appeal | To Reject the Appeal/ Lawsuit

PUT-002448.15/2022/PP/M.IVB Of 2025 – 25 September 2025

April 02, 2026 • Taxindo Prime Consulting | Adv Muhammad Faiz Nur Abshar, S.H. - Lilik F Pracaya, Ak., CA., ME., BKP (C)

Tax Court Decision | PPN | Appeal | To Reject the Appeal/ Lawsuit

PUT-002117.16/2024/PP/M.XIVB Of 2025 – May 15 2025

April 02, 2026 • Taxindo Prime Consulting | Adv Muhammad Faiz Nur Abshar, S.H. - Lilik F Pracaya, Ak., CA., ME., BKP (C)

Tax Court Decision | Annual Corporate Income Tax | Appeal | Fully Granted

PUT-002152.15/2024/PP/M.XXA Of 2025 – 22 May 2025

April 02, 2026 • Taxindo Prime Consulting | Adv. Muhammad Faiz Nur Abshar, S.H. - Lilik F Pracaya, Ak., CA., ME., BKP (C)

Tax Court Decision | Annual Corporate Income Tax | Appeal | Fully Granted

PUT-015139.15/2020/PP/M.XB Of 2025 – 27 May 2025

April 02, 2026 • Taxindo Prime Consulting | Adv Muhammad Faiz Nur Abshar, S.H. - Lilik F Pracaya, Ak., CA., ME., BKP (C)

Tax Court Decision | PPN | Appeal | Fully Granted

PUT-002157.16/2024/PP/M.XXA Of 2025 – 22 May 2025

April 02, 2026 • Taxindo Prime Consulting | Adv Muhammad Faiz Nur Abshar, S.H. - Lilik F Pracaya, Ak., CA., ME., BKP (C)

Tax Court Decision | Annual Corporate Income Tax | Appeal | To Reject the Appeal/ Lawsuit

PUT-002294.15/2023/PP/M.XIIIB Of 2025 – 20 May 2025

April 02, 2026 • Taxindo Prime Consulting | Adv. Muhammad Faiz Nur Abshar, S.H. - Lilik F Pracaya, Ak., CA., ME., BKP (C)

Tax Court Decision | Tax Lawsuit | Lawsuit | To Reject the Appeal/ Lawsuit

PUT-011578.99/2023/PP/M.XIVA Of 2025 – 11 June 2025

April 02, 2026 • Taxindo Prime Consulting | Adv. Muhammad Faiz Nur Abshar, S.H. - Lilik F Pracaya, Ak., CA., ME., BKP (C)

Tax Court Decision | Annual Corporate Income Tax | Appeal | To Reject the Appeal/ Lawsuit

PUT-012651.15/2022/PP/M.XVIIIA Of 2025 – 10 June 2025

Taxindo Prime Consulting (TPC) is a firm specializing in tax, accounting, business, and business law consulting.
Taxindo Prime Consulting (TPC) is established as a trusted strategic partner, providing comprehensive solutions in tax consulting, accounting, business development, and business law. Driven by a commitment to integrity and professionalism, TPC is dedicated to delivering more than just standard consultation; we provide education, tactical advice, and concrete solutions. Our services are meticulously designed to analyze and resolve clients' tax and business challenges with objectivity, in-depth insight, and full independence, ensuring both regulatory compliance and long-term business sustainability.
OFFICE
Mega Plaza Building 12th Floor
Jl. H.R. Rasuna Said Kav C-3 Jakarta 12940

Phone :
+62 21 521 2686
+62 817 001 3303

Email :
info@taxindo.co.id
Copyright © 2026 Taxindo Prime Consulting

All content on this website is provided solely for general informational and educational purposes. This information is not intended as a substitute for professional tax advice or consultation specific to your situation. We strongly encourage you to contact our team of consultants directly to receive appropriate guidance and advice.

Taxindo Prime Consulting
Tax and Transfer Pricing Calculator
Tax Calendar
×
Newsletter