In the Indonesian tax ecosystem, every compliance testing action conducted by the Directorate General of Taxes (DGT) must lead to legal certainty. The culmination of the long series of audit procedures—starting from the delivery of the Audit Warrant (SP2), document borrowing, cash flow testing, to the final discussion—is a vital document called the Tax Audit Report (Laporan Hasil Pemeriksaan - LHP).
For Taxpayers, the LHP is not merely an internal administrative document of the tax authority. The LHP is the "crown" of the audit process which serves as the legal basis for issuing a Tax Assessment Letter (SKP). Entering the Coretax System era with the enactment of Minister of Finance Regulation Number 15 of 2025 (PMK 15/2025), understanding the anatomy of the LHP, including its variant called LHP Sumir (Summary Audit Report), becomes crucial. This article will thoroughly explore everything related to the LHP, from definitions and functions to drafting and legal implications.
Based on Article 1 number 38 of PMK 15 of 2025, the Tax Audit Report (LHP) is defined as a report containing the execution and results of an Audit prepared by the Tax Examiner in a concise and clear manner and in accordance with the scope and objectives of the Audit [PMK 15 Year 2025, Article 1 number 38].
Vital Functions of LHP:
The LHP has strategic dual functions:
An LHP must not be compiled based on mere assumptions. Article 20 paragraph (4) of PMK 15 of 2025 asserts that the LHP must be compiled based on Audit Working Papers (Kertas Kerja Pemeriksaan - KKP).
KKP are detailed records regarding the procedures taken, evidence collected, tests performed, and conclusions drawn [PER-23/PJ/2013, Article 1 number 12]. KKP must be compiled completely, accurately, objectively, and systematically so they can serve as a reference in case of disputes (Objection/Appeal) [SE-08/PJ/2012].
Relationship between KKP and LHP: It can be analogized that the KKP is the patient's detailed "medical record," while the LHP is the doctor's "final diagnosis letter." Every correction figure appearing in the LHP must be traceable (audit trail) back into the KKP [SE-65/PJ/2013, Attachment II].
Referring to the Audit Reporting Standards and SE-28/PJ/2017, a standard LHP (for compliance testing) must be compiled concisely and clearly with a standardized structure, including:
Contains Taxpayer identity, audit assignment (SP2 number), and tax compliance fulfillment (payment and reporting profile). This section also covers business activity overview and special relationships (affiliations) if any [SE-28/PJ/2017, Section E].
Records the chronology of the audit, starting from:
This is the most important part containing:
To facilitate decision-making by the Head of Unit (Head of KPP/Regional Office), the LHP must be equipped with an Executive Summary containing a summary of the 5 (five) largest corrections [SE-28/PJ/2017, Letter A Number 5].
Not all audits end with the issuance of an SKP containing tax payable. In certain conditions, the audit is terminated by creating a Summary Audit Result Report (LHP Sumir).
Definition of LHP Sumir: It is a report containing the termination of an Audit without a proposal for the issuance of a tax assessment letter [PMK 15 Year 2025, Article 1 number 39].
When is LHP Sumir Created? Based on Article 20 paragraph (9) of PMK 15 of 2025, LHP Sumir is created in the following conditions:
PMK 15 of 2025 brings the spirit of digitalization. LHP compilation is now integrated with the DGT information system (Coretax). Supporting documents are managed electronically.
LHP is the first-degree "verdict." Taxpayers must be critical:
The Tax Audit Report (LHP) is the culminating document that transforms raw data and arguments into binding tax assessments. Both standard LHP and LHP Sumir have serious legal consequences strictly regulated in PMK 15 of 2025. Understanding their structure and issuance triggers gives Taxpayers an advantage in mitigating future tax dispute risks.
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