🌏 东南亚合规中心
🇮🇩 Indonesia税务

印尼反资本弱化新规:EBITDA法与债务权益比(DER)双轨并行

来源:DJP · DJP Indonesia生效日期:2025-05-22

作者:东南亚合规中心编辑团队

TL;DR · 核心要点

本文解析印尼税务局(DJP)2025年发布的PER-11/PJ/2025新规,引入EBITDA法作为未来替代DER法的反资本弱化工具,但目前仅DER法具强制执行力。关键合规信息包括:现行DER上限为4:1,超限利息支出须纳税调整;L11-B附件已启用但EBITDA实施细则尚未发布;MOFR 169/PMK.010/2015仍为唯一生效定量规则。企业须立即按4:1 DER复核关联方贷款结构,准备L11-B填报,并升级会计系统以应对未来EBITDA合规要求。对中资及跨国企业在印尼融资架构、税务筹划和转让定价文档管理构成实质性影响,需提前开展资本结构健康度诊断。

✅ 合规行动清单 · Compliance Checklist

  • 立即核查2025年度关联方贷款结构,确保债务权益比(DER)不高于4:1,依据MOFR 169/PMK.010/2015进行纳税调整
  • 在2026年3月31日前完成FY2025企业所得税申报,准确填报新版L11-B附件(含DER计算表)
  • 启动会计系统升级与财务团队EBITDA培训,为DJP后续发布的EBITDA实施细则(预计2025年内)做好准备
  • Review all related-party debt structures by Q1 2026 to ensure DER ≤ 4:1 per MOFR 169/PMK.010/2015 and make fiscal adjustments if exceeded
  • File FY2025 corporate income tax return by March 31, 2026, including completed L11-B attachment with validated DER calculation
  • Begin EBITDA reconciliation capability assessment and staff training ahead of DJP’s forthcoming EBITDA implementation guidelines (expected late 2025)

English Summary

Indonesia’s DJP introduced PER-11/PJ/2025 on May 22, 2025, embedding a new EBITDA-based interest deduction limit alongside the existing debt-to-equity ratio (DER) rule. However, only the DER method—capped at 4:1 per MOFR 169/PMK.010/2015—is currently enforceable; EBITDA implementation guidelines remain unpublished. Foreign-invested enterprises, especially those with related-party financing in energy, mining, or financial sectors, must comply immediately. The L11-B attachment is mandatory for annual corporate tax returns starting FY2025, but EBITDA calculations are not yet operational. Companies must review intercompany debt structures, reconcile equity and interest expense data from audited financials, and prepare for future EBITDA reconciliation requirements requiring advanced accounting systems and BEPS-aligned documentation. Non-compliance triggers fiscal adjustments and potential transfer pricing scrutiny.

⚡ 这篇文章的要点太复杂?让 AI 帮你 30 秒解读

立即咨询 →

常见问题解答

目前印尼企业是否必须使用EBITDA法计算可扣利息?+
否。根据PER-11/PJ/2025,EBITDA法虽已写入L11-B附件,但DJP尚未发布任何实施细则、阈值或过渡安排。截至2025年12月,唯一具法律效力的定量标准仍是MOFR 169/PMK.010/2015规定的DER 4:1上限。企业仅需按DER合规,EBITDA暂不执行。
哪些行业可豁免DER 4:1限制?+
MOFR 169/PMK.010/2015第4条明确列举了豁免行业,包括银行、保险、证券公司、伊斯兰金融机构及受OJK监管的特定金融实体。非金融类企业(如制造业、贸易、基建)一律适用4:1上限,无例外。
L11-B附件现在就必须填写吗?+
是。自2025年5月22日PER-11/PJ/2025生效起,所有2025纳税年度(FY2025)的企业所得税申报均须附L11-B,其中包含DER计算表。未填报或填报错误将导致税务稽查风险及滞纳金。
DER计算中的‘债务’和‘权益’如何定义?+
依据MOFR 169/PMK.010/2015第3条,‘债务’指向关联方借入的、产生利息的全部负债(含应付票据),‘权益’指经审计财报中的实收资本+资本公积+留存收益(不含评估增值)。外币债务须按年末汇率折算。
如果DER超标,被纳税调整的利息能否递延或结转?+
不能。根据MOFR 169/PMK.010/2015第7条,超标部分利息支出永久不可税前扣除,亦不得向以后年度结转。企业须在当期所得税申报中全额调增应纳税所得额,并补缴税款及利息。

相关关键词

Indonesia thin capitalizationDER 4:1 IndonesiaEBITDA tax rule IndonesiaPER-11/PJ/2025DJP Indonesia tax compliance
📄 官方原文参考(英文)点击展开
Fri, 05 Dec 2025 Oleh: (Calvin Valenzuela), Tax Educator, Directorate General of Taxes Have you ever heard of the “Thin Capitalization Phenomenon” in Canada? It was a notorious form of tax base erosion that occurred before 2012, significantly reducing the amount of corporate taxes. The base erosion arose from a related-party debt scheme involving groups of multinational companies operating across intersectoral business areas, mainly energy, mining, and financial services. Take what happened in Barbados for the example. The multinational companies established subsidiary companies as financing vehicles in Barbados or Luxembourg, which had lower tax rates compared to Canada. These subsidiary companies provided large loans to Canadian companies so that the Canadian companies could deduct the interest expenses to reduce corporate taxes. Meanwhile, the interest income received by the subsidiary companies was subject to a low tax rate. Despite the fact that the Canada Revenue Agency (CRA) never explicitly published the amount of tax losses for several reasons, the CRA issued new policies tightening the debt-to-equity ratio (DER) from 2:1 to 1.5:1. Similarly, the Thin Capitalization Phenomenon occurs not only in Canada but also in Indonesia. Before 2015, the Directorate General of Taxes (DGT) had found many cases of thin capitalization during tax auditing, supported by findings from the Audit Board of the Republic of Indonesia (BPK RI), tax dispute results from the tax court, and various other sources. The Ministry of Finance issued Ministry of Finance Regulation (MOFR) Number 169/PMK.010/2015, regulating how to determine the ratio of debt to equity for tax purposes. The regulation stated that the maximum DER allowed is 4:1. If a company’s DER is higher than 4:1, the excess interest expenses must be fiscally adjusted. MOFR Number 169/PMK.010/2015 was the only quantitative anti–thin capitalization method, along with other predecessor qualitative instruments such as the arm’s length principle and others. Building on the existing framework, on May 22nd, 2025, the Regulation of the Director General of Taxes Number PER-11/PJ/2025 was issued. The regulation was an “all-in-one package” comprising many tax business procedures, including how to calculate the amount of interest expense that can be deducted for tax purposes. Article 85 introduced a new model of the annual corporate tax return, consisting of various new forms of attachments, including the L11-B attachment. The L11-B not only introduces the new form of the DER, but also provides a new quantitative method called EBITDA (earnings before interest, taxes, depreciation, and amortization). The EBITDA method has raised fundamental questions: What are the differences between the EBITDA and DER methods? What are the pros and cons of each method? EBITDA Method vs. DER Method From a conceptual standpoint, both methods share a similarity in creating a buffer line for the amount of deductible interest expense for tax purposes. The major difference between the EBITDA and DER methods lies in their respective approaches. The DER method uses a comparison between debt and equity, resulting in a ratio that can be either fiscally accepted or adjusted. The EBITDA method uses a fixed percentage to limit the excess amount of non-deductible interest expense. The DER method focuses on a company’s capital structure, whereas the EBITDA method highlights a company’s ability to pay, reflected by its adjusted earnings. With these differences in mind, let’s talk about the pros of the EBITDA method: considering the fact that the EBITDA method is based on adjusted earnings, it may have a better ability to capture a company’s payment performance. Whatever changes appear in revenue will also impact EBITDA. The EBITDA method is supported by the Organization for Economic Co-operation and Development Base Erosion and Profit Shifting (OECD BEPS) Action Number 4. OECD BEPS Action 4 recommends the application of fixed ratio rules to reduce thin capitalization, which share similar characteristics with the EBITDA method. However, EBITDA has several cons. Since the basis of the method is adjusted earnings, it requires more advanced knowledge and techniques to obtain the adjusted earnings through reconciliation. The EBITDA method also demands more skillful human resources supported by a more advanced accounting system. The nature of the EBITDA method, which uses adjusted earnings as its basis, could increase the probability of accounting-engineered practices. This method also requires advanced tax supervision to ensure that the EBITDA method is implemented fairly and properly. In contrast, implementing the DER method requires only debt and equity data based on the regulations, which theoretically can be applied more easily either from the taxpayer’s or the tax authority’s supervision side. This method provides less room for manipulation since the data is derived from the balance sheet. The DER method is originally designed to prevent the capital structure from becoming too thin. The cons of the DER method are essentially the opposite of the EBITDA method. The DER method takes less consideration of a company’s profitability. Compared to EBITDA, the DER method appears more traditional, as many other countries have already moved to the EBITDA method. Another issue concerns the ratio, which cannot be applied equally to every sector, although there is a list of sectors exempted from using the 4:1 DER in MOFR Number 169/PMK.010/2015. At this stage, although other methods such as EBITDA have been clearly stated in the attachment of PER-11/PJ/2025, the technical stipulation that sets the implementation instructions for the EBITDA method or other methods besides DER has not yet been released. Therefore, the only viable option for now is the DER method. Now ask yourself, in the event that the stipulations of the EBITDA method are published, which method would you choose? *)This article represents the personal opinion of the author and does not reflect the official stance of the institution where the author works. The content on this page may be copied and reused for non-commercial purposes. However, we kindly ask users to credit the source by linking back to the original page. Hopefully this helps. 480 views