The Country-by-Country Report (CbCR) is one of the most complex transfer pricing documents because it demands global transparency. Unlike the Master File and Local File, which are narrative and transactional in nature, the CbCR is aggregate and quantitative.
Pursuant to Article 31 of PMK 172/2023, the CbCR must be prepared based on data and information available up to the end of the Tax Year. Before finalizing the CbCR in XML format, Taxpayers are required to first prepare a Working Paper.
Below is a detailed breakdown of the structure and content of the CbCR, consisting of three main parts as regulated in the Annexes of PMK 172/2023.
Before filling out the primary forms, Taxpayers must compile a Working Paper. This document serves as the "kitchen" of the CbCR.
Function: To compile raw data from each constituent entity before it is aggregated by country in Form CBC-1.
Contents: Detailed information per entity including:
This is the primary form that presents aggregate (combined) data of all constituent entities within a specific country or jurisdiction. Data is displayed per country, not per company.
Based on instructions in Annex Letter F, currency values must not use decimals.
| Category | Incorrect Example | Correct Example |
|---|---|---|
| Large Value | 10,000,000.00 | 10,000,000 |
| Small/Decimal Value | 125.50 | 126 (rounded) |
This form provides the "who does what" context for each country.
Activity Codes:
A. R&D | B. IP Owner | C. Procurement | D. Manufacturing | E. Sales/Marketing | F. Management Services | G. Third-party Services | H. Internal Group Finance | I. Regulated Finance | J. Insurance | K. Holding Shares | L. Dormant | M. Other.
A free-text narrative form for essential explanations not captured in CBC-1 or CBC-2.
Mandatory Information:
Digital Format: The CbCR must be submitted electronically in XML (Extensible Markup Language) format via the Coretax account.
Language: Must be prepared in Indonesian. If books are in a foreign language (with permission), a translation must be provided.
Reference:
Ministry of Finance of the Republic of Indonesia. (2023). Minister of Finance Regulation Number 172 of 2023 regarding the Application of the Arm's Length Principle in Transactions Influenced by Special Relationships.
Is My Company Required to Create a Transfer Pricing Document?