Understanding Special Relationships in Transfer Pricing

Oct 30, 2023 09:40:05 am
Manhajul Islam, S. Ak - BATS Consulting

Taxation is a crucial aspect of a countrys economy, and in the effort to ensure fairness in tax imposition, there are specific rules related to transfer pricing. Transfer pricing is the practice in which two companies with special relationships engage in transactions with each other. These special relationships can arise due to ownership, control, or familial ties.

The rules governing special relationships in the context of taxation are regulated by Article 18 of the Income Tax Law. The Director General of Taxation has the authority to re-determine the amount of income and deductions, as well as to establish debt as capital for calculating the Taxable Income of a Taxpayer who has a special relationship with another taxpayer. Further regulations concerning these special relationships are outlined in the Minister of Finance Regulation Number 22/PMK.03/2020.

 

What is a Special Relationship?

A special relationship is a situation where one company is dependent on or tied to another company. This means that one party has the ability to control the other party, or they cannot operate independently. To better understand special relationships, lets look at the factors that can cause them:

1.    Special Relationships Due to Ownership

Special relationships can arise when one company holds a significant amount of shares or capital, at least 25% or more, directly or indirectly, in another company. For example, if Company A owns 50% of Company Bs shares, then Company A has a direct participation. Furthermore, if Company B owns 50% of Company Cs shares, then Company A indirectly holds a 25% stake in Company C. In this case, a special relationship exists between Company A, Company B, and Company C. This can also occur between individuals and companies.

2.    Special Relationships Due to Control

Special relationships can occur because one or more companies are under the same control, even if there is no significant share ownership. This means that one company or individual directly or indirectly controls another company. This relationship can also arise if the same person is involved in managerial or operational decision-making in multiple companies, or if these companies are commercially or financially recognized or declare themselves as part of the same business group.

3.    Special Relationships Due to Family Ties

Special relationships can also arise from family relationships, whether its blood relations in a direct line of descent (such as parent, child, and grandchild) or blood relations in a collateral line of one degree (such as siblings). Furthermore, stepfamily relations in a direct line of descent (such as step-parent and step-child) or in a collateral line of one degree (such as in-laws) are also considered special relationships.

 

The Importance of Understanding Special Relationships in Taxation

Recognizing special relationships in business transactions is essential because it can affect the calculation of taxes to be paid by companies. If special relationships are exploited to manipulate transfer pricing, the Director General of Taxation has the authority to make corrections to ensure that the transactions are fair and in line with normal business practices unaffected by special relationships. This is aimed at preventing potential unfair tax avoidance.

Therefore, an understanding of special relationships in the context of tax regulations is crucial for all parties involved in inter-company business transactions with special relationships. By adhering to these rules, we can ensure that the tax system operates fairly and efficiently, supporting sustainable economic growth.

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