mdr

Our Achievement

Top 30 Largest Law Firms: Litigation Practices
hukum online
Top 30 Rising Star Full-Service Law Firms 2022
hukum online
Top 100 Indonesian Law Firms 2023
hukum online
Midsize Full-Service Law Firms 2023
hukum online
Top 30 Rising Star Full-Service Law Firms 2023
hukum online
Previous
Next
  • Successfully assisted a UK-based upstream oil and gas company for peninjauan kembali at the Supreme Court in relation to three Tax Court Decisions on the Branch Profits Tax (“BPT”) disputes.
  • Successfully represented Bermuda, UK, Canada and Australia based upstream oil and gas companies for appeal at the Tax Court in relation to the Cost Recovery disputes.
  • Successfully assisted a metal working oils & fluids producer for peninjauan kembali at the Supreme Court in relation to two Tax Court Decisions on the transfer pricing disputes.
  • Successfully represented a regional technology product distributor for appeal at the Tax Court in relation to the classification of HS Codes of the imported products disputes.
  • Successfully represented a Japanese distribution company on a series of tax audit processes for consecutive 2014-2016 tax years.
  • Successfully represented a Japanese food & bakery company on tax objection and tax appeal at the Tax Court in relation to Value Added Taxes disputes.
  • Successfully represented a giant Japanese food company on tax objection processes in relation to transfer pricing disputes for consecutive 2012-2015 tax years.
  • Successfully represented a BVI geothermal company on various tax legal proceedings.
  • Successfully represented a Bermuda group upstream oil and gas companies on various tax legal proceedings.
  • Advised a large multinational telecommunications company on the preparation of an Indonesian tax manual and customs practice manual.
  • Advised a palm oil group on preparation of annual corporate income tax returns for IPO purposes
  • Advised a large holding company on preparing appeals against Article 26 Withholding Tax / Capital Gains Tax assessments arising from share sales.
  • Advised a large mining company on withholding tax requirements in relation to the past dividend payments to the founding shareholders.
  • Conducted diagnostic tax reviews for fiscal years 2010, 2011 and 2012 for a hospital operator in Jakarta.
  • Successfully assisted a U.S. shipping company in relation to the settlement of arrears of Article 26 Withholding Tax and VAT to its Indonesian partner.
  • Successfully represented a geothermal energy company in connection with tax audits for 2006, 2007 and 2008.
  • Successfully represented a geothermal energy company in connection with a 2010 tax audit.
  • Represented a large petrochemical company in its 2012 customs duties appeal to the Tax Court.
  • Successfully represented a large petrochemical company in connection with its VAT appeal to the Tax Court.
  • Successfully represented a large petrochemical company in relation to two appeals to the Tax Court over customs duties for 2012.
  • Successfully represented an Indonesian palm oil derivatives company in its 2014 customs dispute with the Indonesian Customs and Excise Office.
  • Represented the representative office in Indonesia of a Swedish company in relation to objections to the Indonesian Tax Office against Article 15 Income Tax assessments for 2004 – 2012 (9 years).
  • Advised a Singapore-based IT company in relation to the tax implications of cloud-based solutions services.
  • Advised a provider of academic and education services in relation to the tax implications of its proposed restructuring.
  • Advised a large palm oil company in relation to the VAT implications of purchasing palm fruit from smallholders and/or cooperatives.
  • Advised a mutual fund manager in relation to the Corporate Income Tax implications of its mutual fund products.
  • Advised a palm oil company on its 2014 customs review.
  • Successfully represented a palm oil company in its 2014 customs dispute with the Indonesian Customs and Excise Office.
  • Advised a Hong Kong luxury goods company on the tax implications of its distribution operations in Indonesia.
  • Advised a large Japanese consumer products company on the preparation and submission of a final review petition to the Supreme Court in connection with a transfer pricing dispute.
  • Advised a Malaysian Bank in relation to the tax implications of transactions conducted using ISDA documents.
  • Advised an Indonesian company on the deduction of Withholding Tax for transactions conducted under the ISDA 2002 Master Agreement.
  • Advised a large Indonesian cement manufacturer in relation to its objections against its 2010 Corporate Income Tax assessment, 2011 Article 26 Withholding Tax assessment, and 2012 Article 26 Withholding Tax assessment.
  • Advised oil and gas production sharing contractor in relation to its responses to queries from the revenue authorities concerning its Article 4 (2) Withholding Tax liabilities.
  • Advised an Indonesia Geothermal company in relation to its responses to queries from the revenue authorities concerning its Article 23/26 Withholding Tax liabilities for fiscal 2013.
  • Advised a Singapore-based company on its tax liabilities as the operator of a Bonded Logistics Center.
  • Advised an Italian company in relation to the possible tax liabilities of its representative office in Indonesia.
  • Advised the Indonesian representative office of a U.S.-based company on the tax implications of its business reorganization.
  • Advised the Indonesian subsidiary of a U.S.-based company on the tax implications of its proposed expansion.
  • Successfully represented a property company in its VAT dispute with the Indonesian Tax Office.
  • Represented a Japanese trading company in preparing and submitting objections to its 2013 Corporate Income Tax assessment.
  • Represented two UK oil and gas companies in a series of appeals to the Tax Court against Branch Profit Tax assessments stretching back a number of years.
  • Represented a Bermuda-based oil and gas company in the preparation and submission of its objections to Corporate Income Tax and Branch Profit Tax assessments.
  • Represented two UK-based oil and gas companies in the preparation and submission of their objections to Corporate Income Tax and Branch Profit Tax assessments for 2014.
  • Represented an Australia-based oil and gas company in the preparation and submission of its objections to Corporate Income Tax and Branch Profit Tax assessments for 2014.

visit office:

AD PREMIER OFFICE PARKLevel 8 Suite 1Jl. TB Simatupang No.5Jakarta 12550Indonesia

write an e-mail:

info@mdrlaw.id

make a call:

+62 21 2270 8973
subscribe to our legal updates
Always Get Our Latest News & Events Newsletter!