ANALYSIS ON THE IMPOSITION OF ONLINE REKLAME TAX ACCORDING TO LAW NUMBER 28 OF 2009

Rizky Pratama Jawahir, Catur Wido Haruni, F. Esfandiari
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引用次数: 2

Abstract

This research about the imposition of online billboard tax as reviewed from article 49 of law number 28 of 2009 concerning regional taxes and regional retribution. The research discusses tax imposition arrangements tax-based advertisements online on the Internet and social media as well as the legal implications of not being regulated as the basis for tax-based advertisements online the internet and social media. Because there are differences in tax treatment between the implementation of conventional advertisements with the based advertisements online. Conventional advertisements are taxed in accordance with the Regional Tax and Retribution Law. However, unlike the case with the advertisement on the internet and social media. This research uses normative juridical research. The approaches that are using are statute approach and conceptual approach. By using this approach can find online advertisements tax imposition arrangements tax based advertisements online on the Internet and social media as well as the legal implications of not being regulated the basis for tax based advertisements online the internet and social media. Based on this research of results, there are several provisions such as the Law on General Provisions and Tax Procedures, Act Income Tax and also the act of Value Added tax. However, conceptually, it is still unable to reach in detail the implementation of the tax based advertisements online. So that a legal vacuum, legal uncertainty in tax imposition and the gap in the value of justice in tax imposition. Based on this, it should be the Government strengthening the Laws and Regulations relating to Taxation. Then, collaborate with other government agencies in the field of communication and information technology. There is a need for a special provision that can accommodate the imposition of this online-based advertisement tax which is carried out through social media and the internet.
根据2009年第28号法律征收网络域名税的分析
本研究是根据2009年第28号法律第49条关于地区税收和地区报复的规定来研究网络广告牌税的征收。该研究讨论了互联网和社交媒体上的在线税收广告的税收征收安排,以及作为互联网和社交媒体在线税收广告的基础而不受监管的法律影响。因为传统广告的实施与网络广告的实施在税收待遇上存在差异。传统广告按照《地方税收与报偿法》征税。然而,与互联网和社交媒体上的广告不同的是。本研究采用规范的法学研究方法。使用的方法是法规方法和概念方法。通过使用这种方法可以找到网络广告的税收征收安排,网络和社交媒体上的基于税收的在线广告以及不受监管的法律影响,这是互联网和社交媒体上基于税收的广告的基础。在此研究成果的基础上,我国出台了《税收总则与程序法》、《所得税法》和《增值税法》等相关规定。然而,从概念上讲,目前还无法对网络税基广告的实施进行详细的阐述。从而导致税收征收中的法律真空、法律不确定性和税收征收中正义价值的缺失。在此基础上,政府应加强与税收有关的法律法规。然后,在通信和信息技术领域与其他政府机构合作。有必要制定一项特别规定,以适应通过社交媒体和互联网征收这种基于网络的广告税。
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