In the framework of three-tiered Transfer Pricing documentation (three-tiered approach), the Country-by-Country Report (CbCR) is a document that provides a global overview regarding the allocation of income, taxes paid, and economic activities of a business group.
Unlike the Master File and Local File which are transactional and narrative, CbCR is aggregate and quantitative. Here are the details of obligations, technical filling, and reporting case studies.
The obligation to submit CbCR is divided into two main categories based on Article 16 of PMK 172/2023:
A domestic Taxpayer having the status of Parent Entity (Entitas Induk) of a Business Group is required to submit CbCR if it has a Consolidated Gross Turnover in the Tax Year preceding the reported Tax Year of at least Rp11,000,000,000,000.00 (eleven trillion rupiah).
A domestic Taxpayer who is not a Parent Entity (only a group member/constituent entity) is required to submit CbCR if its Parent Entity is located abroad and meets one of the following conditions:
All domestic corporate Taxpayers who are members of a Business Group (whether Parent or Subsidiary) are MANDATORY to submit a Notification to the DGT online through the coretax account. This notification serves to notify the DGT regarding who the entity within the group is responsible for submitting the CbCR (whether the local PT, or the parent abroad).
The CbCR schedule differs from the Master File and Local File:
Here is an official illustration of the CbCR threshold application based on Attachment Letter A Number 3 of PMK 172/2023:
PT GHI is an Indonesian company which is the Parent Entity of a Business Group. Book year Jan 1 - Dec 31.
Consolidated Gross Turnover Data:
| CbCR Tax Year | Determination Basis (Preceding Year) | Turnover Value | Decision | Reporting Deadline |
|---|---|---|---|---|
| 2019 | Year 2018 Turnover | Rp12 Trillion | MANDATORY (> Rp11 T) | Dec 31, 2020 |
| 2020 | Year 2019 Turnover | Rp10 Trillion | NOT MANDATORY (< Rp11 T) | - |
| 2021 | Year 2020 Turnover | Rp13 Trillion | MANDATORY (> Rp11 T) | Dec 31, 2022 |
Conclusion: Determination of CbCR obligations always looks at the consolidated turnover of the previous year (preceding year), not the current year.
Based on Article 31 and Attachment of PMK 172/2023, CbCR consists of Working Papers and three main forms which must be filled without decimals for currency values:
Taxpayers must compile a working paper first containing details per constituent entity before aggregation.
Presents aggregate (combined) data of all entities per country/jurisdiction:
Contains a list of names of all business group members grouped per tax domicile country, and checking the type of their main business activities (e.g., R&D, Manufacturing, Sales, Services, Holding, etc.).
Narrative entries to provide important explanations, such as data sources used (consolidated/statutory), exchange rate assumptions, or explanations of "Other" business activities.
CbCR reporting is not done by uploading a PDF, but using a specific XML (eXtensible Markup Language) scheme. Taxpayers must form an XML file based on the working papers and forms above, then upload it in the CbCR feature on DGT Online.
Ministry of Finance of the Republic of Indonesia. (2023). Regulation of the Minister of Finance Number 172 of 2023 concerning the Application of the Principle of Fairness and Business Prevalence in Transactions Influenced by a Special Relationship.
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