Indonesian Transfer Pricing
Basic Concepts of Transfer Pricing

Dissecting the Substance Behind the Numbers: Delineation and Recharacterization of Transactions and Transfer Pricing

Taxindo Prime Consulting | Naufal Afif, M.Ak., BKP (B)., CA., APCIT., APCTP., ASEAN CPA.- Lilik F Pracaya, Ak., CA., ME., BKP (C) • 22 Desember 2025
00:00
Optimized with Google Chrome
Dissecting the Substance Behind the Numbers: Delineation and Recharacterization of Transactions and Transfer Pricing

In the world of international taxation, transfer pricing is often misunderstood as merely an arithmetic exercise to find a "market price" number. However, the heart of transfer pricing analysis lies not in the numbers alone, but in a deep understanding of what actually happens in a transaction.

Two fundamental concepts governing this are Accurate Delineation of Transaction and Recharacterization (or non-recognition). These two concepts serve as a "filter" to ensure that tax liabilities are calculated based on economic reality (substance), not just what is written on paper (form).

Accurate Delineation of Transaction: Finding the "Real Deal"

Before a transaction can be priced, it must be defined precisely. Accurate delineation is the process of identifying the actual commercial and financial characteristics between affiliated parties. The main goal is to ensure that transfer pricing analysis is based on factual substance, not just on labels given by the taxpayer.

Five Economically Relevant Characteristic Factors

To accurately delineate a transaction, both OECD guidelines and MoF Regulation (PMK) 172/2023 in Indonesia require an analysis of five relevant economic characteristics (often referred to as comparability factors):

  1. Contractual Terms: Written agreements are the starting point of analysis explaining the division of responsibilities. However, contracts alone are not enough if they do not reflect reality.
  2. Functional Analysis (FAR): The core of delineation. Mapping the functions performed, assets used, and risks assumed (Functions, Assets, Risks).
  3. Product/Service Characteristics: Physical nature, quality, and availability of goods or services affecting price.
  4. Economic Circumstances: Market conditions, geographic location, and consumer purchasing power where the transaction occurs.
  5. Business Strategies: For example, market penetration with low prices or product innovation affecting profit expectations.

Contract vs. Conduct

The most critical aspect in delineation is testing the consistency between the written contract and the actual behavior (conduct) of the parties. If the provisions in the written contract differ from the actual behavior of the parties, then the actual behavior must be used to delineate the transaction.

Example: In the contract, PT A bears inventory risk. However, facts on the ground show that the overseas parent company decides when goods are sold and bears the cost of obsolete goods. Accurate delineation will allocate the risk to the parent company, not PT A.

In Indonesia, PMK 172/2023 Article 7 affirms that contractual terms include what is written as well as what is not written, which is carried out according to the actual situation.

Transaction Recharacterization: The Tax Authority's Extreme Step

If delineation is about "clarifying" the transaction, then recharacterization (or non-recognition) is about "ignoring" or "replacing" the transaction structure. This is an extraordinary step taken when a transaction lacks commercial rationality (commercial rationality).

When Does Recharacterization Occur?

Recharacterization generally is only permitted in two main conditions:

  • Economic Substance Differs from Formal Form: The transaction structure does not reflect economic reality.
  • Lack of Commercial Rationality: The transaction arrangement differs from what would have been agreed upon by independent parties acting rationally.

"Options Realistically Available" Test

Independent parties will only enter into a transaction if the transaction does not leave them worse off compared to other best options.

Example Case: PT X transfers future IP rights that have not yet been created to an affiliate in a tax haven (Co Y) via a lump-sum. Independent parties would not do this because the risk is too high. The tax authority can disregard this sale and replace it with a funding or service structure.

Implementation in Indonesia: PMK 172/2023

Indonesia has strictly adopted these principles through PMK 172 of 2023, granting strong authority to the DGT to test compliance with the Principle of Fairness and Business Prevalence (PKKU).

Preliminary Stage as a Gateway

Article 13 of PMK 172 introduces a "Preliminary Stage" for service and IP transactions. Taxpayers must prove existence, economic benefit, and business motive. If they fail, the transaction is considered not to meet PKKU and the cost is considered zero (non-deductible).

Re-determination of Income

Article 36 of PMK 172 grants authority to the Director General of Taxes to re-determine the amount of income or deductions if the taxpayer does not apply PKKU, based on the actual situation.

Delineation and recharacterization are two sides of the same coin in modern transfer pricing analysis. Delineation ensures prices are based on actual behavioral facts, while recharacterization is a safety mechanism to reject transaction structures that do not make business sense.

TP Doc documentation must not only focus on numbers. You must be able to prove WHY the transaction occurred and that its economic substance makes business SENSE.

References

  1. OECD. (2022). OECD Transfer Pricing Guidelines for Multinational Enterprises and Tax Administrations 2022. OECD Publishing, Paris.
  2. Ministry of Finance of the Republic of Indonesia. (2023). Regulation of the Minister of Finance of the Republic of Indonesia Number 172 of 2023 concerning the Application of the Principle of Fairness and Business Prevalence.
  3. Inland Revenue Board of Malaysia. (2024). Malaysia Transfer Pricing Guidelines 2024.

Is My Company Required to Create a Transfer Pricing Document?

Lilik F Pracaya, Ak., CA., ME., BKP (C) - Transfer Pricing Specialist UK-ADIT
Telah dikurasi oleh
Lilik F Pracaya, Ak., CA., ME., BKP (C) - Transfer Pricing Specialist UK-ADIT
Managing Director/ Managing Partner
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