This dispute focuses on the legality of the Value Added Tax (VAT) base correction through extrapolation methods applied by the Respondent against PT EI for the October 2015 tax period. Pursuant to Article 29 of the KUP Law, tax audits must be based on objective and relevant evidence; however, the Respondent determined a correction worth IDR 6.02 billion based solely on mathematical assumptions.
The conflict began when tax auditors discovered internal documents interpreted as indicators of unreported sales and applied a projection technique:
The Board of Judges provided a strict boundary, stating that the authority to calculate taxes due must not be arbitrary:
This decision carries significant implications for tax litigation and audit defense strategies:
Conclusion: PT EI's victory underscores that "mathematical assumptions" cannot override the requirement for material evidence. Without a proven flow of goods or cash, an extrapolation formula is legally invalid for determining underpaid tax.