The Indonesian Government recently passed Law No. 11 of 2020 regarding Job Creation (the “Omnibus Law”). The stated aim of the Omnibus Law is to bolster investment and create jobs by streamlining regulations and simplifying the licensing process to improve the ease of doing business in Indonesia.
The Omnibus Law, among other things, introduces and amends a number of provisions on taxation matters in Indonesia. Specifically, it amends provisions of:
We highlight some of the key changes as follows:
Income Tax Law
Under the Omnibus Law, Indonesian citizens who are outside of Indonesia for more than 183 days within a period of 12 months and meet certain other requirements will be determined as foreign tax subjects.
Foreign nationals who are in Indonesia for more than 183 days within a period of 12 months will automatically become Indonesian domestic tax subjects. To this existing provision, the Omnibus Law further stipulates that foreigners who become Indonesian domestic tax subjects will only be taxed for the income they receive or obtain in Indonesia. These provisions are intended for foreign nationals who have certain expertise, and such treatment will be valid for four years after they are determined as domestic tax subjects. This treatment, however, does not apply to foreigners who take advantage of a Double Taxation Avoidance Agreement.
Under the Omnibus Law, if dividends are to be re-invested in Indonesia the tax provisions on dividends will be amended as follows: (i) for Individual Taxpayers the final income tax of 10% becomes 0%; (ii) for Domestic Corporate Taxpayers the final income tax of 15% becomes 0%; and (iii) for Foreign Taxpayers the final income tax remains 20%, subject to the prevailing Tax Treaty.
Similar to dividends from domestic companies, under the Omnibus Law if dividends from overseas companies are to be re-invested in Indonesia and meet stipulated conditions and requirements, they will be subject to 0% tax or not subject to tax. If the dividend remains abroad it will be taxed according to the applicable regulations.
Under the Omnibus Law the imposition of a 20% tariff from gross amount as referred to in Article 26(1)(b) of the Income Tax Law on the payment of interest, including premium, discount, and honorarium in relation to a debt repayment guarantee, may be lowered by a Government Regulation.
VAT Law
KUP Law
The administrative sanction had been set at 2% interest rate. The Omnibus Law now says the amount will be further regulated by the Minister of Finance (“MOF”).
The interest rate stipulated by the MOF in the event Taxpayers correct the tax returns themselves, resulting in a bigger tax debt, shall be calculated based on the reference interest rate plus 5% and divided by 12, which is in effect from the date the calculation of the sanction begins. However, if the Director General of Tax (“DGT”) conducts an audit, on the condition that the DGT has not issued a tax assessment, based on a separate report by the Taxpayer regarding the incorrect filling of the Tax Return resulting in a bigger tax debt, the interest rate stipulated by the MOF shall be based on their preferred interest rate added by 10% and divided by 12.
The Omnibus Law provides that the interest rate shall be determined by the MOF and is calculated on the preferred interest rate divided by 12, applicable on the date that calculating the interest compensation commences.
Under the Omnibus Law, at the request of the MOF, the Attorney General’s Office may stop an investigation into a criminal offense in the field of taxation within six months from the date of the request letter. Termination is only possible after the taxpayer has paid off the tax debt. The Omnibus Law notes that this will be further regulated by the MOF.
Conclusion
The above amendments to Indonesian tax laws and regulations under the Omnibus Law have a special focus on the rights and obligations of business actors, both domestic and foreign taxpayers. They also increase the attractiveness of Indonesia as an investment destination by decreasing corporate income tax and providing incentives as discussed above.Although technical regulations must still be issued to implement these changes, the amendments proposed by the Omnibus Law would have a significant impact on Indonesian taxation law, especially for business actors.
SSEK - 2020
Capital: Jakarta
Population: 259 million (2016)
Currency: Indonesian Rupiah
Nominal GDP: $936 billion USD (IMF, 2016)
GDP Per Capita: $3,620 USD at Current Prices (IMF, 2016)
GDP Growth: 5.0% (2016)
External Debt: 36.80% of GDP (BI, Q2 2016)
Ease of Doing Business: 91/190 (WB, 2017)
Corruption Index: 90/176 (TI, 2016)