Strategic Withdrawal: Why Did BUT HP Opt to Drop its Multi-Billion Rupiah Tax Penalty Lawsuit?

Supreme Court Decision KUP | Revocation

PUT-008121.99/2018/PP/M.XIIIB for 2019

Taxindo Prime Consulting
Monday, July 27, 2026 | 10:54 WIB
00:00
Optimized with Google Chrome
Strategic Withdrawal: Why Did BUT HP Opt to Drop its Multi-Billion Rupiah Tax Penalty Lawsuit?

Tax Lawsuit Analysis: Lawsuit Withdrawal of Article 26 Income Tax Interest Sanctions by BUT HPE Co. Ltd Under Article 42 Tax Court Law

Tax administrative disputes often reach a deadlock when applications for the waiver of sanctions based on Article 36 paragraph (1) letter b of the KUP Law are rejected by tax authorities through administrative discretion. The case of BUT HPE Co. Ltd serves as a crucial representation of the use of a Taxpayer's formal right to terminate proceedings midway through the lawsuit withdrawal mechanism as regulated in Article 42 of Law Number 14 of 2002 concerning the Tax Court. This case focuses on the Defendant's rejection of the application for the waiver of Article 26 Income Tax collection interest sanctions amounting to Rp 3,633,709,212, which was deemed not to meet the formal requirements of PMK Number 8/PMK.03/2013.

The Core Conflict: Decision Letter Objections and the Prerogative Right of Withdrawal

The core of the conflict began when the Plaintiff objected to Decision Letter Number S-4822/WPJ.07/2018, which returned their sanction waiver application file without an in-depth material examination. On one hand, the Directorate General of Taxes (Defendant) insisted that the application could not be processed further due to formal defects. However, in the dynamics of the trial, the Plaintiff unexpectedly submitted a lawsuit withdrawal letter dated January 18, 2019. This step is a prerogative right of the Taxpayer that must be validated by the Board of Judges to ensure there is no coercion and that the Defendant grants consent for the termination of the dispute.

Judicial Consideration: Article 42 Procedural Compliance and Defendant Consent

In its legal considerations, the Board of Judges rigidly referred to Article 42 paragraphs (1) and (2) of the Tax Court Law. Since the withdrawal letter was submitted while the trial was already underway, consent from the Defendant was required. In an open session on February 12, 2019, the Defendant explicitly stated no objection to the withdrawal. Therefore, the Board of Judges opined that procedurally, the requirements for terminating the dispute had been met, and thus the case did not need to proceed to an examination of the merits of the dispute.

Permanent Legal Implications: Formal Compliance and Litigation Cost Efficiency

The implication of this decision confirms that the withdrawal of a lawsuit has permanent legal force, resulting in the dispute being removed from the case list and preventing it from being refiled by the same party for the same object. For Taxpayers, the decision to withdraw a lawsuit is often based on considerations of litigation cost efficiency or the existence of other administrative settlement efforts outside the courtroom. This BUT HP case provides a lesson that compliance with formal procedures in the Tax Court Law is the primary key, even in the process of terminating a dispute.

Case Resolution: Granted Verdict and Remaining Administrative Liability

In conclusion, although this dispute ended with a "Granted" verdict for the withdrawal, the substance regarding the Rp 3.6 billion interest sanction remains the Taxpayer's burden unless there is an independent settlement outside the court channel. Transparency and coordination between the Plaintiff and the Defendant in the withdrawal process proved capable of accelerating case resolution without having to wait for a lengthy evidentiary process.

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


July 27, 2026 • Taxindo Prime Consulting

Tax Court Lawsuit Decision | KUP | Fully Granted

PUT-006792.99/2018/PP/M.IIIA for 2019

July 27, 2026 • Taxindo Prime Consulting

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

PUT-007028.99/2018/PP/M.XA for 2019

July 27, 2026 • Taxindo Prime Consulting

Tax Court Lawsuit Decision | KUP | Fully Granted

PUT-007776.99/2018/PP/M.XB for 2019

July 27, 2026 • Taxindo Prime Consulting

Tax Court Appeal Decision | Income Tax Articles 23/26 (Final) | Fully Granted

PUT-003598.13/2024/PP/M.IIIA Years 2025

July 27, 2026 • Taxindo Prime Consulting

Tax Court Lawsuit Decision | KUP | Partially Granted

PUT-008115.99/2018/PP/M.XIVB for 2019

July 27, 2026 • Taxindo Prime Consulting

Tax Court Lawsuit Decision | KUP | Inadmissible

PUT-009467.99/2018/PP/M.VA for 2019

July 27, 2026 • Taxindo Prime Consulting

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

PUT-003597.15/2024/PP/M.IIIA Years 2025

July 27, 2026 • Taxindo Prime Consulting

Tax Court Appeal Decision | PPN | Fully Granted

PUT-085004.16/2012/PP/M.XB for 2019

July 27, 2026 • Taxindo Prime Consulting

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

PUT-087400.99/2008/PP/M.XVB Tahun 2019

July 27, 2026 • Taxindo Prime Consulting

Tax Court Appeal Decision | PPN | Partially Granted

PUT-093070.16/2010/PP/M.XIVA for 2019

June 18, 2026 • Taxindo Prime Consulting | Lilik F Pracaya, Ak., CA., ME., BKP (C)
June 11, 2026 • Taxindo Prime Consulting - Mohamad Fuad | Lilik F Pracaya, Ak., CA., ME., BKP (C)
Article More Details
July 06, 2026 • Taxindo Prime Consulting

Global Minimum Tax (GloBE) | SPT PPh | PMK 136 Tahun 2024 | PER-6/PJ/2026

July 04, 2026 • Taxindo Prime Consulting

Global Minimum Tax (GloBE) | SPT PPh | PMK 136 Tahun 2024 | PER-6/PJ/2026

July 04, 2026 • Taxindo Prime Consulting

Global Minimum Tax (GloBE) | SPT PPh | PMK 136 Tahun 2024 | PER-6/PJ/2026

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