Tag
#Tax Dispute
Showing 1-11 of 11 items
articleTime to Re-Organize the Rules on Tax Decision Deadlines
This opinion underscores the urgency of amending the Tax Court Law to close regulatory gaps in decision deadlines. Such a reform is essential to strengthen legal certainty, judicial discipline, and trust in the tax system.
Apr 10, 2026
articleTax Court Sets Recess Period for March 16–27, 2026
The Indonesian Tax Court has designated a court recess period from March 16 to 27, 2026, in observance of Eid al-Fitr 1447 H. During this period, tax dispute hearings will be temporarily suspended, while administrative activities such as the filing of tax lawsuits will continue. Court hearings will resume on March 30, 2026.
Mar 12, 2026
articleInternal Memo and the Distortion of Tax Legal Framework
This article discusses the use of an internal memo as a basis for tax adjustments, the distortion of the principle of legality, and the implications for legal certainty at the Tax Court.
Jan 5, 2026
articleWhen The Last Legal Remedies are Hindered by the Tax Court’s Archival System
This article discusses the challenges in filing a Judicial Review (PK) with the Supreme Court due to the inefficient archival system of the Tax Court and the urgency of digital reforms to enhance transparency and accountability in tax administration.
Mar 3, 2025
articleGetting to Know Tax Lawsuit, a Legal Remedy for Tax Administration Disputes
Taxpayers can file a tax lawsuit through the tax court, when they disagree with the decision or determination of the tax office on their tax obligations.
Apr 17, 2023
articleJudicial Review, the Last Legal Remedy for Tax Cases
Judicial Review is the last legal remedy in the process of resolving tax disputes between the Taxpayer and the Tax Office.
Apr 12, 2023
articleDisagreeing with Underpayment Tax Assessment, Taxpayers May File Objections
An objection request can indeed be a way out when the taxpayer is not satisfied with the tax office's decision. However, taxpayers must also ensure that their dissatisfaction is supported by valid data and reasons.
Aug 31, 2022
articleMUC-UOB Indonesia Webinar: Don't Hesitate to File a Tax Objection
Until now there are still many taxpayers who think that filing objections and other legal efforts in tax matters are risky and should be avoided as much as possible.
Sep 6, 2021
articleMUC-UOB Webinar: No Need to be Afraid of Tax Audits!
The webinar entitled "No Need to be Afraid of Tax Audit" received special attention from more than 70 company representatives from various industries, who attended the event.
Jul 28, 2021
articleThe Mutual Agreement Procedure Breaks the Deadlock of Double Taxation Disputes
Domestic taxpayers can apply for MAP to the Directorate General of Taxes (DGT) or the tax authorities of the DTA partner countries if they feel getting improper tax treatment from each authority or even both.
Oct 13, 2020
articleNew Normal Period Revised, Tax Court Held Starting 8 June
The determination of the time for the commencement of administrative activities within the Tax Court is also in accordance with Circular Letter of the Head of Tax Court number SE-09 / PP / 2020 which stipulates an extended period of preventing the spread of Covid-19 in the tax court environment which was previously stipulated until 1 June, 2002, becoming longer which is until 7 June, 2020.
May 28, 2020
