Trillions in Tax Facilities Nearly Lost Over Immaterial Assets: PT USBE’s Victory Against Tax Allowance Revocation at the Tax Court

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

PUT-010551.99/2022/PP/M.IIB Year 2024

Taxindo Prime Consulting
Thursday, June 04, 2026 | 16:04 WIB
00:00
Optimized with Google Chrome
Trillions in Tax Facilities Nearly Lost Over Immaterial Assets: PT USBE’s Victory Against Tax Allowance Revocation at the Tax Court

Revocation of Tax Allowance Facilities

The revocation of tax allowance facilities by tax authorities is often triggered by administrative findings regarding the retention of fixed assets as stipulated in Article 4 paragraph (1) of Government Regulation No. 18/2015. The case of PT USBE originated when the Defendant issued Minister of Finance Decision No. 154/KM.3/2022, which cancelled the company’s Corporate Income Tax facilities. The primary basis was the discovery of the transfer of 12 land plots covering 2,500 m² to PT PLN (Persero). The Defendant viewed this transfer as a fatal violation because it occurred before the retention period ended and lacked the proper administrative procedures for asset replacement.

The Clash of Contractual Obligations and Administration

However, this dispute reveals a clash between strategic contractual obligations and rigid tax administration. PT USBE argued that transferring land for transmission networks and substations was an absolute requirement under the Power Purchase Agreement (PPA) to supply electricity from the Sidrap Wind Farm to the national grid. Substantively, the value of the transferred assets represented only 0.025% of the total trillion-rupiah investment. The Plaintiff emphasized that they possessed other non-facilitated assets with values far exceeding the transferred assets, which economically served as investment collateral substitutes.

Legal Considerations by the Board of Judges

In its legal considerations, the Board of Judges emphasized that the provisions for asset transfer and replacement in PMK 89/2015 must be viewed comprehensively rather than partially. The Judges found that the Defendant failed to prove the absence of replacement assets before proceeding with the revocation. Furthermore, the process of issuing the revocation decision was deemed procedurally flawed as it ignored the General Principles of Good Corporate Governance (AAUPB). The Defendant failed to provide the taxpayer the right to be heard or offer an explanation (audi alteram partem) before the facility was revoked, reflecting a lack of due diligence.

Legal Resolution and Restoration of Rights

The legal resolution of this dispute ended with the Board of Judges cancelling the Minister of Finance's Decision. The Tax Court ordered the Defendant to restore PT USBE's income tax facility rights while allowing the company to make administrative adjustments regarding the replacement asset collateral. This ruling affirms that severe sanctions, such as facility revocation, must not be carried out arbitrarily without considering economic substance and fair formal procedures.

The Implications and Lessons for Taxpayers

The implications of this ruling serve as a crucial lesson for taxpayers receiving facilities to always document every asset change, even if the value is immaterial. On the other hand, tax authorities are reminded to prioritize the principles of transparency and accuracy in "other purpose" audits. Compliance with government administrative procedures is not merely a formality but a pillar of legality in every tax law product.

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


August 05, 2026 • Taxindo Prime Consulting

Tax Court Appeal Decision | PPN | Partially Granted

PUT-007016.162024PPM.XVIIIB Year 2025

August 05, 2026 • Taxindo Prime Consulting

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

PUT-007041.122024PPM.XVIIIB Year 2025

August 05, 2026 • Taxindo Prime Consulting

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

PUT-007042.122024PPM.XVIIIB Year 2025

August 05, 2026 • Taxindo Prime Consulting

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

PUT-007239.15/2023/PP/M.XIVA Year 2024

August 05, 2026 • Taxindo Prime Consulting

Tax Court Appeal Decision | PPN | Fully Granted

PUT-007248.162023PPM.XIVA Year 2024

August 05, 2026 • Taxindo Prime Consulting

Tax Court Appeal Decision | Income Tax Articles 23/26 (Final) | To Reject the Appeal/ Lawsuit

PUT-009965.132022PPM.IIB Year 2025

August 04, 2026 • Taxindo Prime Consulting

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

PUT-010300.252023PPM.XIIIB Year 2025

August 04, 2026 • Taxindo Prime Consulting

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

PUT-010310.15/2021/PP/M.VIIIA Year 2025

August 04, 2026 • Taxindo Prime Consulting

Tax Court Appeal Decision | PPN | Fully Granted

PUT-010314.16/2021/PP/M.VIIIA Year 2025

August 04, 2026 • Taxindo Prime Consulting

Tax Court Appeal Decision | PPN | Partially Granted

PUT-010315.162021PPM.VIIIA Year 2025

Article More Details
August 24, 2026 • Taxindo Prime Consulting | Adv Muhammad Faiz Nur Abshar, S.H. - Lilik F Pracaya, Ak., CA., ME., BKP (C)

August 24, 2026 • Taxindo Prime Consulting | Adv Muhammad Faiz Nur Abshar, S.H. - Lilik F Pracaya, Ak., CA., ME., BKP (C)

August 24, 2026 • Taxindo Prime Consulting | Adv Muhammad Faiz Nur Abshar, S.H. - Lilik F Pracaya, Ak., CA., ME., BKP (C)

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