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dc.contributor.authorPERMANA, Bayu Indra-
dc.contributor.authorPRAKOSO, Bhim-
dc.contributor.authorHARIYANI, Iswi-
dc.date.accessioned2023-08-02T06:38:56Z-
dc.date.available2023-08-02T06:38:56Z-
dc.date.issued2022-11-07-
dc.identifier.urihttps://repository.unej.ac.id/xmlui/handle/123456789/117432-
dc.description.abstractThe transfer of property to certain heirs for the joint ownership of the object of inheritance must be transferred by way of the distribution of joint rights, which is based on the APHB. Article 4 paragraph (3) letter b of the Income Tax Law explains that the transfer due to inheritance is exempt from collecting PPh, but in its implementation it must be accompanied by a PPh SKB issued by KPP Pratama. So that in order to get the income tax exemption on the transition, the heirs must apply for the issuance of the SKB PPh to the KPP Pratama. However, the KPP Pratama often refuses the issuance of the SKB PPh, this results in the heirs having to pay PPh on the transition. This study uses a normative juridical method with a statutory approach and a conceptual approach, and legal materials are analyzed using a deductive method. The results of this study indicate that the transfer of land rights by the distribution of joint rights of inheritance should be exempted from income tax, because the distribution of joint rights is still included in the series of inheritance processes, so the transfer of income tax collection must be exempted. So that legal reform is needed to provide legal certainty in the exemption of PPh on the transitionen_US
dc.language.isoenen_US
dc.publisherInternational Journal of Social Science and Education Research Studiesen_US
dc.subjectInheritanceen_US
dc.subjectLanden_US
dc.subjectTaxen_US
dc.subjectIncomeen_US
dc.subjectCertaintyen_US
dc.titleLegal Certainty of Income Tax Exemption on the Transfer of Rights to Land in the Sharing of Collective Integration Rightsen_US
dc.typeArticleen_US
Appears in Collections:LSP-Jurnal Ilmiah Dosen

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