PROBLEMS WITH DIGITAL CURRENCY: CRYPTOCURRENCY IN INDONESIA
Postgraduate School, Perbanas Institute, Indonesia
Email: riadisetia04@gmail.com, maharanimaria@yahoo.com
Abstract
This
study aims to analyze the Indonesian government's policies regarding
cryptocurrency transactions and taxation and accounting practices in Indonesia.
In addition, this research also conducts literature studies abroad. Commodity
Futures Trading Regulatory Agency Regulation No. 13 of 2022 and No. 8 of 2021
concern guidelines for organizing crypto asset physical market trading on
futures exchanges to oversee cryptocurrency transactions. Cryptocurrency
transactions in Indonesia are considered VAT objects and are subject to income
tax. Accountants face a challenge because there is no accounting standard that
explains why cryptocurrency must be considered. It is hoped that the Indonesian
Accounting Standards Board can conduct discussions related to accounting standards
for cryptocurrency. Besides, the government's role is very important in making financial
technology policies and systems in order to mitigate the risks of
cryptocurrency transactions so that they can benefit investors and the tax
system in Indonesia.
Keywords: Cryptocurrency;
Digital Currency; Accounting for Cryptocurrency.
Introduction
Individual activity changes begin to
affect the transaction processes they carry out; each individual no longer
relies on traditional money but has used virtual money, and all will be
connected in this direction in due time. In all digital and electronic
activities with data as their main role, individuals are no longer limited by
space and time; they can make transactions electronically anywhere, with
anyone, and anytime (Danuri, 2019).
Digital currencies may have far-reaching
impacts on almost all aspects of social and economic activity (Ji & Shen, 2021).
Cryptocurrency is the first successful
application of blockchain technology and can be used as the primary fuel for a
global remittance network (Hashemi Joo et al., 2020). Blockchain is a revolutionary technology
that can change the world with its convenience, transparency, accuracy, and
efficiency in speed and cost. The growth of blockchain use in finance is
contingent on its further recognition and trust earned through increasing evidence
of successful use cases and testimonials and appropriate legislative changes.
Cryptocurrency is difficult to replace
the use of conventional currency as a means of payment in Indonesia because
there is no centralized authority that regulates it and the value of
cryptocurrency is relatively unstable compared to the conventional currency
already circulating in Indonesia, namely the rupiah, so it is difficult to use
cryptocurrency as a means of payment at the smallest level, namely daily use (Dwicaksana, 2020).
Policies to accelerate the rate of
adoption of digital technology in an economy must rely on increasing the
globalization index, which encourages knowledge overflow and competition (Skare & Soriano, 2021). The adoption
of crypto assets is increasing rapidly in all parts of the world
(cryptoization), which is also found in Indonesia. However, behind these
benefits are various risk factors that need to be watched out for (Bank Indonesia, 2022).
Therefore, this
study analyzes the Indonesian government's policies regarding cryptocurrency
transactions and taxation and accounting practices in Indonesia. In addition,
this research also conducts literature studies abroad.
Metod
This study uses the "triangulation method," which
refers to research that combines various data sources to develop a
comprehensive understanding (Patton,
2002). This research does not only analyze
government policies on cryptocurrency transactions and taxation and accounting
practices in Indonesia, but it also conducts literature studies abroad. The
qualitative data collection technique is a literature study. It is a technique
for collecting, summarizing, and processing library documents (Zed, 2008).
Results and Discussion
On
a different level, while cryptocurrency can be stated as a payment system solution,
the level of demand for this type of cryptocurrency is not comparable to the existing
supply. What will happen then is that cryptocurrency will not become a means of
everyday payment but will become a means of payment or a medium of exchange
that will be more specific at a certain level. For now, cryptocurrency can only
be an investment tool whose rounds are only bought and then sold; it is difficult
if cryptocurrency is directly juxtaposed with money for the use of everyday payment
instruments (Dwicaksana, 2020).
Below is a graph of the cryptocurrency market (Coin
Market Cap, 2023)
Figure 1. Source of marketcapcoin
In Indonesia, Bank Indonesia is the
sole monetary authority in the payment
system using money, so it can determine which payment instruments are valid in the country.
According to Article 11 of Law No. 7
of 2011 on Currency, the Bank Indonesia is the only institution authorized to issue, circulate, and/or
withdraw rupiah. It is clearly stated
in the article that only Bank Indonesia has the right to manage the rupiah, or the currency that applies
in Indonesia (Dwicaksana,
2020).
Under the G20 Indonesia Presidency in
2022, the G20 central banks, together
with international institutions, have responded to this dynamic by formulating regulation and supervision of crypto assets and stablecoins, emphasizing the
principle of "same activity, same
risk, same regulation" (Bank
Indonesia, 2022). Stablecoins are digital
tokens that are generally transacted using DLT and cryptographic validation techniques in order to achieve a stable value against fiat currency.
Crypto Assets are intangible commodities in the form of digital assets that use cryptography,
peer-to-peer networks, and distributed ledgers
to manage the creation of new units, verify transactions, and secure
transactions without the interference of other parties. The Commodity Futures Trading Regulatory Agency Regulation No. 13 of 2022 governs cryptocurrency trading in
the physical crypto asset market
(Crypto Asset) on the Futures Exchange (Sembiring,
2022). From the point of view of the anthroposociocultural approach, the need for proper legal regulation of cryptocurrencies has been determined to ensure the realization of the human right to tax. Eastern
European countries have more simple
and attractive tax rates
(Solodan,
2019).
(Panova
et al., 2019) found that
cryptocurrency transactions in Australia are subject to standard income
tax and corporate tax. At the same time, when using cryptocurrencies as an investment, it becomes necessary
to pay capital gains taxes. In Norway,
Finland, and Germany,
cryptocurrencies are subject to capital gains tax and wealth tax. In Bulgaria, digital currency is considered a
financial instrument and is subject
to the relevant income tax. In Austria, cryptocurrencies are considered by the tax authorities to be
intangible assets, and their receipt is treated as an operating
activity. Regarding cryptocurrencies, the United States,
through its tax regulations in the field
of cryptocurrency trading, forces all American cryptocurrency exchanges
to verify their clients. Current
Chinese law does not contain certain special tax rules and transactions.
At
the same time, cryptocurrencies are defined as virtual commodities, not currencies. Sales of digital
money are subject
to VAT, and income and profits denominated in cryptocurrencies are subject to income tax, corporate income
tax, and capital
gains tax. Every
year, the number of cryptocurrency businesses incorporated in China continues
to grow. At the same time, a unified
state approach to the legal regulation of cryptocurrency in China is still under developed. Hong Kong's tax laws do not contain specific rules regarding the taxation of cryptocurrencies and operations with them. There
was no explanation from the regulator about
this. In Brazil, the Central Bank was also the first
to warn about the risks
associated with using digital money. At the same time, for the tax on cryptocurrency transactions, the Federal Tax Service considers digital money as a financial
asset (Warren,
2019). Tax arrangements for cryptocurrency trading
activities in Indonesia are regulated by the Regulation of the Minister of Finance of the Republic
of Indonesia No. 68/PMK.03/2022 concerning (Menteri
Keuangan Republik Indonesia, 2022).
It should be noted that existing
models for the recognition and valuation
of crypto assets as a means of payment, financial assets, intangible assets, and inventories have many peculiarities in the formation of accounting policies. However,
there is no completely correct standard for the accounting and
presentation of financial statement
information (Grigoras-Ichim
& Morosan-Danila, 2016).
(Yan
et al., 2022) found that survey respondents on
investor attitudes towards cryptocurrencies
in Xiamen City, a special economic zone (SEZ) and pilot free trade zone (FTZ) in China, generally define cryptocurrencies as investments (45%), inventory (19%), and intangible assets (36%). As many as 84% of
respondents stated that the value of
a cryptocurrency must be represented by fair value.
(Ayedh
et al., 2021) conducted a survey with 10
accountants in Malaysia
to gain insight into cryptocurrency knowledge in financial reporting from a practitioner's
perspective and found that the
majority of them (8 out of 10) suggested that
Malaysia does not recognize cryptocurrency as legal tender and should be prohibited from using it in
the same way as fiat currency. Furthermore, all of them will not recommend the use of cryptocurrencies
to their clients.
Consideration
should also be given to the purposes for which
the entity holds cryptographic assets to determine the accounting model. Under accounting standards and
other considerations that may be
relevant to subsets of cryptographic assets. The chart below summarizes the different possible
classifications and related
measurement considerations:
Figure 2. PWC source
(PWC, 2019) IAS 2 does not require inventories to be in physical form, but inventories must consist of assets held for sale in the normal course of business. Inventory accounting
may be appropriate if an entity has
cryptocurrencies to sell in the ordinary course of business. Entities that actively trade cryptocurrencies, buy them with the intention of reselling them in the near
term, and make a profit from price fluctuations or trader margins
may consider whether
the guidance in IAS 2 for commodity
broker-traders should apply. However,
if an entity holds cryptocurrency for investment purposes (i.e., capital appreciation) over a long
period of time, it will likely not meet the definition of supply.
·
If a cryptocurrency does
not meet the definition of one of the categories above, it
is likely to meet the definition
of an intangible asset under IAS 38, "Intangible Assets," because: it is a resource controlled by the entity
(i.e., the entity has the power to
acquire the economic benefits that the asset will generate and to limit the access of others to those benefits) as a result of past events and from which future economic
benefits are expected to flow
to the entity;
·
identifiable, because
they can be sold, exchanged, or transferred individually;
·
not cash or non-monetary assets; and
·
no physical form.
IAS 38 applies to all intangible assets except those
specifically excluded from its scope (for example, inventories).
(France
et al., 2022) found that the accounting practice of cryptocurrencies in Indonesia (Case
Study: Indodax Company, Bitcoin Indonesia) uses IAS 2 inventories because
the company's core
business is brokerage, which measures cryptocurrency inventories recorded at fair value less costs to sell
and recognized in the income statement
and reported in the Report Available for Sales of Financial Asset
Accounts. At the same time,
entities applying IAS 38 intangible assets in the measurement, valuation, and presentation of
financial statements refer to computer
software and internet domains, not cryptocurrency
assets in the form of coins and tokens. In addition, entities that measure
and value cryptocurrency assets (cash and tokens) using financial instruments under IFRS 9 Financial Instruments: Recognition and Measurement are calculated and recorded as financial assets at fair value through
profit or loss (FVTPL).
Conclusion
Transactions on cryptocurrencies carry a high risk. This
made the government issue cryptocurrency trading regulations regulated by
Commodity Futures Trading Regulatory Agency Regulations No. 13 of 2022 and No.
8 of 2021 concerning guidelines for organizing crypto asset physical market trading
on the Futures Exchange. In line with Article 4 paragraph 1 of Law Number
8/1983, which was amended by Law Number 7/2021 concerning Harmonization of Tax
Regulations (UU HPP), where cryptocurrency is growing widely and becoming a
trading commodity, cryptocurrency in Indonesia is a VAT object and is subject
to Income Tax. The problem faced by accountants is that there is no accounting
standard to explain how cryptocurrency must be taken into account. So
accountants must refer to existing accounting standards. It is hoped that the
Indonesian Accounting Standards Board can conduct discussions related to
accounting standards for cryptocurrency. Besides, the government's role is very
important in making financial technology policies and systems in order to mitigate
the risks of cryptocurrency transactions so that they can benefit investors and
the tax system in Indonesia.
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