In the world of international taxation, transfer pricing is not an exact science. Often, there is no single absolute correct price for a complex affiliated transaction. Instead, what is often found is a series of figures reflecting various fair market possibilities. This concept is known as the Arm's Length Range.
For Taxpayers and tax authorities, understanding how this range is formed and which point is used to make fiscal corrections is crucial to mitigate tax disputes. In Indonesia, provisions regarding the arm's length range are specifically regulated in MoF Regulation (PMK) 172 of 2023 Article 12. This regulation affirms that the independent transaction price indicator value can be an arm's length point (arm’s length point) or a point within the arm's length range (arm’s length range).
By definition, the Arm's Length Range is a range of price indicator figures (can be unit price, gross profit margin, or net profit margin) acceptable to establish whether affiliated transaction terms are in accordance with the fairness principle.
Why is this range necessary? OECD Transfer Pricing Guidelines 2022 explains that the application of the arm's length principle generally only produces an approximation of conditions that would occur in the open market, not absolute certainty. Furthermore, minor differences between compared transactions that cannot be fully adjusted also cause price variations. Therefore, the use of a range is considered more reliable than a single figure.
Not all data sets can be immediately called an arm's length range. There are statistical and qualitative rules that must be met.
Based on Article 12 paragraphs (2) and (4) of PMK 172/2023, the formation of price or fair profit indicators ideally uses single year comparable data. What is meant by single year data is data that is available and closest to the time the transfer pricing determination is made (ex-ante or price-setting approach).
Correct Application: If a Taxpayer determines transfer prices for Tax Year 2024, the data available and closest at that time is usually 2022 or 2023 data. Thus, that 2022 or 2023 data is valid to be used as comparables to test 2024 transactions.
Implication: Taxpayers are not required to use "current year data" (ex-post) which uses hindsight not possessed by business people when setting prices.
Although single year is prioritized, multiple year data (multiple year) is allowed if proven to increase comparability, for example, to smooth the impact of business cycles or fluctuating product life cycles.
Based on Article 12 paragraph (6) of PMK 172/2023, the method of forming the range depends on the number of comparables:
The next step is to test the position of the Taxpayer's price indicator against the formed range:
If the Taxpayer's price is outside the range, to what figure must the price be pulled (corrected)? PMK 172/2023 Article 12 paragraph 7 regulates the hierarchy for determining the adjustment point:
In practice in Indonesia, corrections are almost always made to the Median. This aligns with the guidance of OECD TPG 2022 Paragraph 3.62 to minimize the risk of errors due to remaining comparability defects.
DGT will correct the Taxpayer's profit to 8% (Median), not to the lower bound. The difference between 3% and 8% is billed as tax underpayment plus sanctions.
This correction also impacts profit distribution indirectly (constructive dividend). The difference resulting from the correction will be considered a dividend paid to the affiliate, thus subject to Income Tax Article 26 (Dividend Tax) according to the applicable rate.
Proper understanding of the ex-ante principle in the use of comparable data is key to the validity of the transfer pricing document (TP Doc). Taxpayers must use data available at the time of price determination, not current year data that only appears after book closing. Errors in data selection can cause the TP Doc to be considered unreliable, giving tax authorities the authority to make corrections to the Median value which is often burdensome.
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