P-2 Metode Asinkronus: Yurisdiksi Pemajakan MK Perpajakan Internasional (6A & 6C)

Rydha Sangjuara
7 Mar 202120:03

Summary

TLDRIn this educational video, the lecturer discusses key concepts in international taxation, focusing on tax jurisdiction and the determination of taxation rights. Topics covered include the definition of tax jurisdiction, its relation to domestic and international laws, and the different theories of tax justification. The video explores both the subjective (domicile-based) and objective (source-based) principles of taxation, as well as the impact of tax treaties in preventing double taxation. The session provides an in-depth look at the legal foundations, emphasizing the importance of understanding jurisdictional rules for effective international tax compliance.

Takeaways

  • 😀 Tax jurisdiction refers to a country's authority to levy taxes within its legal boundaries, based on the concept of sovereignty.
  • 😀 Jurisdiction can be determined by the taxpayer's domicile or the source of income, with Indonesia adopting a source-based jurisdiction system.
  • 😀 The *yurisdiksi pemajakan* term originates from Latin, meaning law and authority to speak, referring to a country's tax authority.
  • 😀 The four theories of taxation jurisdiction include: Realistic/Empirical, Ethical/Retributive, Contractual, and Sovereign theories.
  • 😀 The Realistic/Empirical theory states that a country has the right to tax based on its physical authority, not just the residence of its citizens.
  • 😀 The Ethical/Retributive theory explains that taxes are contributions that indirectly benefit citizens through government services.
  • 😀 The Contractual theory suggests that taxation is based on agreements between the taxpayer and the taxing country, focusing on taxable goods and services.
  • 😀 The Sovereign theory views taxation as an inherent part of a nation's sovereignty, similar to other state powers like national defense.
  • 😀 Indonesia's taxation system is based on source jurisdiction, meaning income derived from Indonesia is subject to Indonesian taxes regardless of the taxpayer's domicile.
  • 😀 The lecture discusses the importance of Tax Treaties (P3B), which help prevent double taxation between countries, with categories of full taxation rights, limited taxation rights, and waiver of taxation rights.

Q & A

  • What is the concept of jurisdiction in taxation as discussed in the script?

    -Jurisdiction in taxation refers to the authority of a country to levy taxes within its territorial boundaries. It is derived from the Latin word 'jurisdictio', meaning the authority to speak the law, highlighting a country's power to regulate tax laws and enforce tax collection.

  • What are the four theories of tax jurisdiction according to the script?

    -The four theories are: 1) Realistic or Empirical, which emphasizes a country's physical power to levy taxes. 2) Ethical or Retributive, where taxes are seen as a contribution from society for the collective benefit. 3) Contractual, which views taxation as a contractual agreement between the state and its taxpayers. 4) Sovereign or Attribute of Sovereignty, where taxation is considered an inherent right of a state's sovereignty.

  • What does the Realistic or Empirical theory of taxation entail?

    -This theory suggests that a country has the authority to collect taxes not only within its physical borders but also from individuals or entities outside its borders if they have economic activities that contribute to the country’s economy.

  • What is the difference between Jurisdiction Based on Source of Income and Jurisdiction Based on Domicile?

    -Jurisdiction based on the source of income refers to taxation rights determined by where the income originates, while jurisdiction based on domicile focuses on where the taxpayer resides or is domiciled, determining the country that holds the taxation authority over them.

  • What is the role of a tax treaty (P3B) in international taxation?

    -A tax treaty, or P3B (Perjanjian Penghindaran Pajak Berganda), aims to prevent double taxation between countries by establishing guidelines on where taxes should be levied on income or assets, and it can define exclusive or limited taxation rights for each country.

  • How does Indonesia implement its tax jurisdiction?

    -Indonesia applies a source-based taxation system, meaning it taxes income that originates from within the country, regardless of the taxpayer’s domicile.

  • What are the three categories of tax rights under a tax treaty as explained in the script?

    -The three categories are: 1) Full tax rights, where a country can impose taxes without restrictions. 2) Limited tax rights, which set a cap or limit on the tax rate. 3) Waiver of tax rights, where one country relinquishes its right to tax and allows the other country to collect taxes on certain income or activities.

  • What does the concept of 'jurisdiction by domicile' mean in international taxation?

    -Jurisdiction by domicile means that the country where an individual resides or has their permanent home is granted the right to impose taxes on their worldwide income.

  • What is the significance of Article 23 in the 1945 Constitution of Indonesia regarding taxation?

    -Article 23 of the 1945 Constitution establishes the legal foundation for taxation in Indonesia, confirming the state's authority to collect taxes for the financing of government activities.

  • How does Indonesia’s taxation system address cross-border tax issues?

    -Indonesia addresses cross-border tax issues primarily through the principle of source-based taxation, relying on tax treaties to manage issues like double taxation and clarify which country has the right to tax specific income sources.

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相关标签
International TaxationTax JurisdictionP3B TreatyTax LawJurisdiction SourceTax TheoriesIncome TaxTax SystemTaxation EducationBusiness TaxationIndonesia Tax
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