In the architecture of tax law enforcement in Indonesia, the tax audit process is not designed as an authoritarian "one-way" process. The law guarantees space for dialogue and confirmation before the state officially establishes a tax debt. The primary legal instrument ensuring this right to transparency is the Notification of Tax Audit Results (Surat Pemberitahuan Hasil Pemeriksaan - SPHP).
For Taxpayers, receiving the SPHP is a critical moment. It signifies that the material testing process by the tax authority (fiskus) has been completed, and initial findings have been crystallized into correction figures. Entering 2025, with the enactment of Minister of Finance Regulation Number 15 of 2025 (PMK 15/2025), there are fundamental changes regarding the procedures, timelines, and implications of the SPHP that demand rapid adaptation from Taxpayers to avoid losing their rights.
This article will thoroughly explore everything related to SPHP, ranging from definitions and issuance procedures to response time management and its connection to Quality Assurance.
Based on Article 1 number 35 of PMK 15 of 2025, SPHP is defined as a letter containing the results of Audit testing which includes:
The philosophy of SPHP is the embodiment of the principle of transparency. Before a Tax Assessment Letter (SKP) is issued, the Tax Examiner is obliged to notify the Taxpayer of their findings [SDSN UU KUP 2023, Article 31 paragraph 1]. This provides an opportunity for the Taxpayer to study the basis of the correction and prepare counter-arguments (counter-memory) before a final decision is made in the Closing Conference (Pembahasan Akhir Hasil Pemeriksaan - PAHP).
One of the significant breakthroughs in PMK 15 of 2025 is the formalization of the stage prior to SPHP. Before the SPHP is issued, the Tax Examiner is obliged to conduct a Preliminary Findings Discussion (Pembahasan Temuan Sementara) with the Taxpayer [PMK 15 Year 2025, Article 17 paragraph 1].
In this stage:
This means that the subsequently issued SPHP should be more mature and have considered the Taxpayer's initial clarifications, minimizing unnecessary surprise elements. This provision is excluded only for Specific Audits (Pemeriksaan Spesifik) [PMK 15 Year 2025, Article 7 paragraph 3].
After the testing process is complete, the Tax Examiner must deliver the SPHP along with the List of Audit Findings to the Taxpayer.
In the Coretax System era, SPHP delivery becomes more flexible yet remains formal:
If the Taxpayer cannot be found, the Examiner may create Minutes of SPHP Delivery accompanied by a statement letter from local officials/building management, and the audit process continues [SE-15/PJ/2018, Attachment I Letter E Point 12d; PMK 15 Year 2025, Attachment CC].
This is the most crucial part that every Taxpayer and Tax Consultant must know. PMK 15 of 2025 tightens the response timeline significantly.
Obligation to Respond: Taxpayers are obliged to submit a written response to the SPHP, whether agreeing entirely, agreeing partially, or rejecting entirely [PMK 15 Year 2025, Article 18 paragraph 2].
Failure to respond within 5 working days has serious legal consequences: The Taxpayer is deemed to agree to all audit findings and considered absent from the closing conference, so the Tax Assessment Letter (SKP) will be issued immediately according to the examiner's findings [PMK 15 Year 2025, Attachment AA].
If the Taxpayer does not lend books/records so that the tax is calculated by office (ex-officio), the SPHP is still issued. However, the scope of discussion becomes limited.
Based on Article 18 paragraph 4 of PMK 15 of 2025, documents that can be considered in responding to an ex-officio SPHP are limited to:
Taxpayers can no longer proffer evidence of deductible expenses at this stage if they were not provided during the initial document request [PP 50 Year 2022, Article 15 paragraph 4].
If the Taxpayer responds to the SPHP with a rejection (disagreement), but the Examiner maintains their correction in the Closing Conference, the Taxpayer has the right to request a discussion with the Audit Quality Assurance (QA) Team.
Requirements to request QA regarding SPHP [PMK 15 Year 2025, Article 19]:
The SPHP in the PMK 15 of 2025 regime is a "double-edged sword." On one hand, it guarantees transparency through the mandatory Preliminary Findings Discussion. On the other hand, it demands high discipline due to the reduction of the response time to only 5 working days without extension.
Strategies for Taxpayers: