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TAXATION LAW
REVIEW
MSU College
of Law (Iligan
Extension)
INCOME TAXATION
 A tax on all yearly profits arising from property, professions,
trades or offices, or as a tax on a person’s income,
emoluments, profits and the like.
WHAT IS INCOME TAX?
An amount of money coming to a person or
corporation within a specified time,
whether as payment for services, interest
or profit from investment
Income is NOT capital
Income = cash received?
Is income only in the form of cash?
WHAT IS INCOME?
 CAPITAL is wealth, while INCOME is the service of
wealth.
 CAPITAL is the TREE, while income is the FRUIT.
 Return or recovery of capital is not subject to
income tax, while income is subject to income tax.
 Mr. A borrowed P 1 Million from Mr. B, with a
condition to pay back 10% interest. At the end of
the period, Mr. B paid Mr. A P 1.1Million. Is the
P1.1Million subject to income tax?
CAPITAL VS. INCOME
 ALL EVENTS TEST
All events fixing an accrual-method taxpayer’s right to receive income or
incur expense must occur before the taxpayer can report an item of
income or expense
 REALIZATION TEST
 No taxable income until there is a separation from capital of something
of exchangeable value, thereby supplying the realization or
transmutation which would result in the receipt of income
 CLAIM OF RIGHT DOCTRINE
 Presence of a claim of right to the alleged gain and the absence of a
definite unconditional obligation to return or repay the gain
 INCOME FROM WHATEVER SOURCE
 ECONOMIC BENEFIT TEST
TESTS IN DETERMINING INCOME
 INCOME FROM WHATEVER SOURCE
All income not expressly excluded or exempted
from the class of taxable income, regardless of the
source of the income, is taxable
 ECONOMIC BENEFIT TEST
Any economic benefit to the employee that
increases his networth (total assets less total
liabilities), whatever may have been the mode
effected, Is taxable
NETWORTH METHOD of investigation
TESTS IN DETERMINING INCOME
 The money or property received is income, gain or
profit (and not return of capital)
 The income, gain or profit is received (actually or
constructively), accrued, or realized during the
taxable year, and
 The income, gain or profit is not exempt from
income tax under the Constitution, treaty or
statute.
WHEN IS INCOME TAXABLE?
 COMPENSATION INCOME
 BUSINESS AND PROFESSIONAL INCOME
 CAPITAL GAINS
 PASSIVE INCOME
 MISCELLANEOUS INCOME
 Each type of income may be exempt, subject to a
schedular rate, or to a global rate.
 A taxable transaction shall be subject to only one
kind of income tax.
TYPES OF INCOME
 GLOBAL TAX SYSTEM
 Taxpayer is required to report all income earned during
a taxable period in one income tax return, which
income shall be taxed under the same rule of income
taxation
 SCHEDULAR TAX SYSTEM
 A separate return for each type of income and the tax is
computed on per return or per schedule basis
 SEMI-SCHEDULAR OR SEMI-GLOBAL
INCOME TAX SYSTEMS
 DIRECT TAX
 PROGRESSIVE TAX (FOR INDIVIDUALS)
 COMPREHENSIVE SYSTEM
 Citizenship Principle
 Residence Principle
 Source Principle
FEATURES OF THE INCOME TAX LAW
GROSS INCOME P XX,XXX
LESS:
ALLOWABLE DEDUCTIONS (XX,XXX)
PERSONAL EXEMPTIONS (INDIVIDUALS) (XX,XXX)
ADDITIONAL EXEMPTIONS (XX,XXX)
NET TAXABLE INCOME P XX,XXX
X INCOME TAX RATE %
INCOME TAX PAYABLE P XX,XXX
GENERAL FORMULA TO COMPUTE
INCOME TAX
TAX SCHEDULE BEFORE TRAIN
TAX SCHEDULE AFTER TRAIN
 CITIZENS
 RESIDENT CITIZENS (RC)
 NONRESIDENT CITIZENS (NRC)
 ALIENS
 RESIDENT ALIENS (RA)
 NONRESIDENT ALIENS
 ENGAGED IN TRADE OR BUSINESS IN THE PHILIPPINES (NRA-ETB)
 NOT ENGAGED IN TRADE OR BUSINESS IN THE PHILIPPINES (NRA-NETB)
 ESTATES AND TRUSTS
 REVOCABLE TRUST
 IRREVOCABLE TRUST
KINDS OF TAXPAYERS - INDIVIDUALS
 DOMESTIC CORPORATIONS (DC)
 FOREIGN CORPORATIONS
 RESIDENT FOREIGN CORPORATION (RFC)
 NONRESIDENT FOREIGN CORPORATIONS (NRFC)
 PARTNERSHIPS
 TAXABLE PARTNERSHIP
 GENERAL PROFESSIONAL PARTNERSHIP (?)
KINDS OF TAXPAYERS - CORPORATIONS
 RESIDENT CITIZEN
 Taxed on worldwide income
 If purely compensation income, only allowed personal and additional
personal exemptions
 NONRESIDENT CITIZEN
 Taxed on income within the Philippines
 Immigrants
 Employees of a foreign entity on a permanent basis
 Permanent residents abroad
 OFWs
 At least 183 days outside, non-continuous
DUAL CITIZENS??
CITIZENS
1. Juan, a Filipino citizen, emigrated to the US in January 1,
2015, where he is now a permanent resident. He owns
certain income-earning property both in the Philippines and
in the US from which he derives substantial income. He also
receives income from his employment in the US on which
the US income tax is paid. Is his income taxable by the
Philippine government?
2. If Juan emigrated to the US only on June 30, 2015, will this
change your answer?
3. Cherie is a flight attendant of Cathay Pacific plying the
international route. Her salaries are paid locally. Is Cherie a
resident citizen or a non-resident citizen?
QUESTIONS:
 RESIDENT ALIEN (RA)
 Not a mere transient or sojourner
 TRANSIENT – one who comes to the Philippines for a definite
purpose, which in its nature may be promptly accomplished
 Mere floating intention indefinite to return to another country?
 PE, APE, other deductions, 5-32%
 NON-RESIDENT ALIEN
 ENGAGED IN TRADE OR BUSINESS (NRA-ETB)
 Stay is more than 180 days during any calendar year
 Allowed PE, Other Deductions
 Subject to Reciprocity, 5-32%
 NOT ENGAGED IN TRADE OR BUSINESS (NRA-NETB)
 stay is 180 days or less during any calendar year
 Taxed at gross (no deductions) at 25%
ALIENS
 Mr. A, B, and C are all in Boracay.
 Mr. A is here for work. He rendered architectural consultancy
services to DEF Corporation for a hotel. He was finished
within a week.
 Mr. B is here on vacation. He likes Boracay so much, he has
no intention of going back. He does not yet know where he
will reside permanently. Mr. B is supported by his parents who
lives abroad. Sometimes Mr. B plays the guitar on bars in
Boracay. He earns a token amount from this.
 Mr. C is also here on an extended vacation for ten (10)
months. On the 8th month, he bought the new IphoneX and
sold his old Iphone 7.
CLASSIFY THE FOLLOWING ALIENS,THE
ALLOWED EXEMPTIONS OR DEDUCTIONS,
AND THE APPLICABLE TAX RATE
1. Mr. Cortez is a nonresident alien based in Hong Kong. During
the calendar year 1999, he came to the Philippines several
times and stayed in the country for an aggregated period of
more than 180 days. How will Mr. Cortez be taxed on his
income derived from sources within the Philippines and from
abroad?
1. For income tax purposes, the source of the service income is
important for the taxpayer, who is a:
a) Filipino citizen residing in Makati City;
b) Non-resident Filipino citizen working residing in London, United
Kingdom;
c) Japanese citizen who is married to a Filipino citizen and residing
in their family home located Fort Bonifacio, Taguig City;
d) Domestic corporation.
BAR QUESTION
 ALIENS EMPLOYED BY
 RAHQ and ROHQ OF MNCs in the Phils
 OBUs in the Philippines
 Foreign service contractors or sub-contractors engaged in petroleu
operations
 FILIPINOS, in the same position as aliens, in a managerial or
technical position
 ALTERNATIVE TAX RATES, EITHER 15% OR 32%
 (RR 11-2010)
EMPLOYEES WITH PREFERENTIAL TAX
RATES (15% ON GROSS COMPENSATION
INCOME) – OBSOLETE
 One layer taxation regime in taxable trust and estates.
(meaning to say, the income is taxed either to the trust/estate
or to the beneficiary)
 ESTATE
 Not to be confused with Estate Tax
 Income earned by the estate during settlement proceedings
 Income distributed to the beneficiaries are considered deductions.
But, this will be considered the income of the beneficiaries.
 REVOCABLE TRUST – taxable to the trustor
 IRREVOCABLE TRUST – taxable to the trustee
ESTATES AND TRUSTS
 Mr. C leaves behind a building which earns rent at
P100,000/month. Before the settlement of C’s estate, the
total income earned by the building amounted to P600,000.
Mr. C has heirs, D and E. Will the income be taxed? If so, who
is liable for the tax?
 Johnny transferred a 10-door commercial apartment to a
trustee, Miriam, naming in the trust instrument Santino,
Johnny’s 10-year old son, as the sole beneficiary. The trustee
is instructed to distribute the yearly rentals amounting to
P720,000.
 Is the trustee liable to pay the annual income tax on the property?
 If the trustee is directed to accumulate the rental income and
distribute the same only when the beneficiary reaches the age of
majority. Will your answer be the same?
QUESTIONS
 The individual co-owners report their share of the
income in their individual tax returns
 Pascual doctrine – Where the transactions are
isolated, in the absence of other circumstances
showing a contrary intention, the case can only
give rise to CO-OWNERSHIP.
CO-OWNERSHIP
Noel Langit and his brother, Jovy, bought a parcel of land which
they registered in their names as pro indiviso owners (Parcel A.)
Subsequently, they formed a partnership, duly registered with
the SEC, which bought another parcel of land. Both parcels of
land were sold, realizing net profits for both.
1. Should the sale of parcel A be taxed as a sale by a
corporation?
2. Should the sale of parcel B be taxed as a sale by a
corporation?
BAR QUESTION
 TAXABLE PARTNERSHIPS
Engaged in trade or business
 NON-TAXABLE PARTNERSHIPS, BUT THE PARTNERS
ARE TAXABLE ON THEIR DISTRIBUTIVE SHARE
General professional partnerships
Joint venture for undertaking construction projects,
or petroleum, coal, geothermal and other energy
operations, pursuant to an operating or consortium
agreement under a service contract with the
government
PARTNERSHIPS
 DOMESTIC CORPORATION (DC)
 Incorporated or organized in the Philippines or under its
laws
 worldwide income, 30%, net
 (NOTE: Educational institutions, 10%)
FOREIGN CORPORATIONS – not domesitc
 RESIDENT FOREIGN CORPORATION (RFC)
 Foreign corporation engaged in trade or business in the
Phils.
 Philippine income, 30%, net
 NONRESIDENT FOREIGN CORPORATIONS (NRFC)
 Philippine income, 30%, gross, withheld at source
CORPORATIONS
 MINIMUM CORPORATE INCOME TAX (2% OF GROSS
INCOME)
 INTERCORPORATE DIVIDENDS ARE EXEMPT FOR DC
AND RFC
 IMPROPERLY ACCUMULATED EARNINGS TAX (IAET)
– for closely held corporations; 10% of improperly
accumulated earnings
 RFC – BRANCH PROFIT REMITTANCE TAX (15% of
remittance)
SPECIAL RULES ON CORPORATE TAXES
 RESIDENT FOREIGN CORPORATION
Doing business in the Phils – continuity of conduct
and intention to establish a continuous business
Foreign corporation has a branch in the Phils.
QUERY: WHAT IF THE FOREIGN HEAD OFFICE ALSO
TRANSACTS BUSINESS IN THE PHILIPPINES?
Treat the foreign head office as a nonresident foreign
corporation (NRFC), except if the income is properly
attributable to the branch
RESIDENT FOREIGN CORPORATIONS
 HK Co is a Hong Kong company, which has a duly
licensed Philippine branch engaged in trading
activities in the Philippines. HK Co. is also
invested directly in 40% of the shares of stock of A
Co., a Philippine corporation. These shares are
not reflected in the assets of the Philippine branch.
A Co. declared and paid dividends to its
stockholders. Are the dividends received by HK Co.
taxable?
BAR QUESTION
REGIONAL OPERATING HEADQUARTERS
– 10% ON PHIL NET INCOME
OFFSHORE BANKING UNITS
– 10% GROSS INTEREST INCOME
INTERNATIONAL AIR CARRIERS, INTERNATIONAL SHIPPING LINES
– 2.5% OF GROSS PHILIPPINE BILLINGS
-- IF NO LANDING RIGHTS? Normal corporate tax rate (30%)
GROSS PHILIPPINE BILLINGS – amount of gross revenue derived
from carriage of persons, excess of luggage, cargo and mail
originating from the Phils. In a continuous and uninterrupted
flight, irrespective of the place of sale or issue and the place of
payment of the ticket or passage document
ONLINE AIR CARRIER -- doing business in the Phils having been
granted landing rights in any Philippine port
SPECIAL RESIDENT FOREIGN
CORPORATIONS
Caledonia Aircargo is an off-line international carrier
without any flight operations in the Philippines. It
has, however, a liaison office in the Phils which is
duly licensed with the SEC, established for the
purpose of providing passenger and flight
information, reservation and ticketing services.
Are the revenues of Caledonia Aircargo from tickets
reserved by its Philippine office subject to tax?
BAR QUESTION
 CINEMATOGRAPHIC FILM OWNER, LESSOR OR
DISTRIBUTOR (25% OF GROSS INCOME)
 OWNER OR LESSOR OF VESSELS CHARTERED BY
PHIL NATIONALS (4.5% OF GROSS RENTALS)
 OWNER OR LESSOR OF AIRCRAFT, MACHINERIES
AND OTHER EQUIPMENT (7.5% OF GROSS RENTALS)
SPECIAL NONRESIDENT FOREIGN
CORPORATIONS
Triple Star, a domestic corporation, entered into a Management
Service Contract with Single Star, a non-resident foreign
corporation with no property in the Philippines. Under the
contract, Single Star shall provide managerial services for Triple
Star’s Hongkong branch. All said services shall be performed in
Hongkong.
Is the compensation for the services of Single Star taxable as
income from sources within the Philippines? Explain.
BAR QUESTIONS
Anchor Banking Corporation, which was organized in 2000 and existing
under the laws of the Philippines and owned by the Sy Family of Makati
City, set up in 2010 a branch office in Shanghai City, China, to take
advantage of the presence of many Filipino workers in that area and its
booming economy. During the year, the bank ,management decided not to
include the P20 Million net income of the Shanghai Branch in the annual
Philippine income tax return filed with the BIR, which showed a net
taxable income of P30 Million , because the Shanghai Branch is treated
as a foreign corporation and is taxed only on income from sources within
the Philippines, and since the loan and other business transactions were
done in Shanghai, these incomes are not taxable in the Philippines.
a) Is the bank correct in excluding the net income of its Shanghai Branch
in the computation of its annual corporate income tax for 2010? Explain
your answer. (5%)
b) Should the Shanghai Branch of Anchor Bank remit profit to its Head
Office in the Philippines in 2011, is the branch liable to the 15% branch
profit remittance tax imposed under Section 28 (A)(5) of the 1997 Tax
Code? Explain your answer (5%)
BAR QUESTIONS

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INCOME-TAX.pptx

  • 1. TAXATION LAW REVIEW MSU College of Law (Iligan Extension) INCOME TAXATION
  • 2.  A tax on all yearly profits arising from property, professions, trades or offices, or as a tax on a person’s income, emoluments, profits and the like. WHAT IS INCOME TAX?
  • 3. An amount of money coming to a person or corporation within a specified time, whether as payment for services, interest or profit from investment Income is NOT capital Income = cash received? Is income only in the form of cash? WHAT IS INCOME?
  • 4.  CAPITAL is wealth, while INCOME is the service of wealth.  CAPITAL is the TREE, while income is the FRUIT.  Return or recovery of capital is not subject to income tax, while income is subject to income tax.  Mr. A borrowed P 1 Million from Mr. B, with a condition to pay back 10% interest. At the end of the period, Mr. B paid Mr. A P 1.1Million. Is the P1.1Million subject to income tax? CAPITAL VS. INCOME
  • 5.  ALL EVENTS TEST All events fixing an accrual-method taxpayer’s right to receive income or incur expense must occur before the taxpayer can report an item of income or expense  REALIZATION TEST  No taxable income until there is a separation from capital of something of exchangeable value, thereby supplying the realization or transmutation which would result in the receipt of income  CLAIM OF RIGHT DOCTRINE  Presence of a claim of right to the alleged gain and the absence of a definite unconditional obligation to return or repay the gain  INCOME FROM WHATEVER SOURCE  ECONOMIC BENEFIT TEST TESTS IN DETERMINING INCOME
  • 6.  INCOME FROM WHATEVER SOURCE All income not expressly excluded or exempted from the class of taxable income, regardless of the source of the income, is taxable  ECONOMIC BENEFIT TEST Any economic benefit to the employee that increases his networth (total assets less total liabilities), whatever may have been the mode effected, Is taxable NETWORTH METHOD of investigation TESTS IN DETERMINING INCOME
  • 7.  The money or property received is income, gain or profit (and not return of capital)  The income, gain or profit is received (actually or constructively), accrued, or realized during the taxable year, and  The income, gain or profit is not exempt from income tax under the Constitution, treaty or statute. WHEN IS INCOME TAXABLE?
  • 8.  COMPENSATION INCOME  BUSINESS AND PROFESSIONAL INCOME  CAPITAL GAINS  PASSIVE INCOME  MISCELLANEOUS INCOME  Each type of income may be exempt, subject to a schedular rate, or to a global rate.  A taxable transaction shall be subject to only one kind of income tax. TYPES OF INCOME
  • 9.  GLOBAL TAX SYSTEM  Taxpayer is required to report all income earned during a taxable period in one income tax return, which income shall be taxed under the same rule of income taxation  SCHEDULAR TAX SYSTEM  A separate return for each type of income and the tax is computed on per return or per schedule basis  SEMI-SCHEDULAR OR SEMI-GLOBAL INCOME TAX SYSTEMS
  • 10.  DIRECT TAX  PROGRESSIVE TAX (FOR INDIVIDUALS)  COMPREHENSIVE SYSTEM  Citizenship Principle  Residence Principle  Source Principle FEATURES OF THE INCOME TAX LAW
  • 11. GROSS INCOME P XX,XXX LESS: ALLOWABLE DEDUCTIONS (XX,XXX) PERSONAL EXEMPTIONS (INDIVIDUALS) (XX,XXX) ADDITIONAL EXEMPTIONS (XX,XXX) NET TAXABLE INCOME P XX,XXX X INCOME TAX RATE % INCOME TAX PAYABLE P XX,XXX GENERAL FORMULA TO COMPUTE INCOME TAX
  • 14.  CITIZENS  RESIDENT CITIZENS (RC)  NONRESIDENT CITIZENS (NRC)  ALIENS  RESIDENT ALIENS (RA)  NONRESIDENT ALIENS  ENGAGED IN TRADE OR BUSINESS IN THE PHILIPPINES (NRA-ETB)  NOT ENGAGED IN TRADE OR BUSINESS IN THE PHILIPPINES (NRA-NETB)  ESTATES AND TRUSTS  REVOCABLE TRUST  IRREVOCABLE TRUST KINDS OF TAXPAYERS - INDIVIDUALS
  • 15.  DOMESTIC CORPORATIONS (DC)  FOREIGN CORPORATIONS  RESIDENT FOREIGN CORPORATION (RFC)  NONRESIDENT FOREIGN CORPORATIONS (NRFC)  PARTNERSHIPS  TAXABLE PARTNERSHIP  GENERAL PROFESSIONAL PARTNERSHIP (?) KINDS OF TAXPAYERS - CORPORATIONS
  • 16.  RESIDENT CITIZEN  Taxed on worldwide income  If purely compensation income, only allowed personal and additional personal exemptions  NONRESIDENT CITIZEN  Taxed on income within the Philippines  Immigrants  Employees of a foreign entity on a permanent basis  Permanent residents abroad  OFWs  At least 183 days outside, non-continuous DUAL CITIZENS?? CITIZENS
  • 17. 1. Juan, a Filipino citizen, emigrated to the US in January 1, 2015, where he is now a permanent resident. He owns certain income-earning property both in the Philippines and in the US from which he derives substantial income. He also receives income from his employment in the US on which the US income tax is paid. Is his income taxable by the Philippine government? 2. If Juan emigrated to the US only on June 30, 2015, will this change your answer? 3. Cherie is a flight attendant of Cathay Pacific plying the international route. Her salaries are paid locally. Is Cherie a resident citizen or a non-resident citizen? QUESTIONS:
  • 18.  RESIDENT ALIEN (RA)  Not a mere transient or sojourner  TRANSIENT – one who comes to the Philippines for a definite purpose, which in its nature may be promptly accomplished  Mere floating intention indefinite to return to another country?  PE, APE, other deductions, 5-32%  NON-RESIDENT ALIEN  ENGAGED IN TRADE OR BUSINESS (NRA-ETB)  Stay is more than 180 days during any calendar year  Allowed PE, Other Deductions  Subject to Reciprocity, 5-32%  NOT ENGAGED IN TRADE OR BUSINESS (NRA-NETB)  stay is 180 days or less during any calendar year  Taxed at gross (no deductions) at 25% ALIENS
  • 19.  Mr. A, B, and C are all in Boracay.  Mr. A is here for work. He rendered architectural consultancy services to DEF Corporation for a hotel. He was finished within a week.  Mr. B is here on vacation. He likes Boracay so much, he has no intention of going back. He does not yet know where he will reside permanently. Mr. B is supported by his parents who lives abroad. Sometimes Mr. B plays the guitar on bars in Boracay. He earns a token amount from this.  Mr. C is also here on an extended vacation for ten (10) months. On the 8th month, he bought the new IphoneX and sold his old Iphone 7. CLASSIFY THE FOLLOWING ALIENS,THE ALLOWED EXEMPTIONS OR DEDUCTIONS, AND THE APPLICABLE TAX RATE
  • 20. 1. Mr. Cortez is a nonresident alien based in Hong Kong. During the calendar year 1999, he came to the Philippines several times and stayed in the country for an aggregated period of more than 180 days. How will Mr. Cortez be taxed on his income derived from sources within the Philippines and from abroad? 1. For income tax purposes, the source of the service income is important for the taxpayer, who is a: a) Filipino citizen residing in Makati City; b) Non-resident Filipino citizen working residing in London, United Kingdom; c) Japanese citizen who is married to a Filipino citizen and residing in their family home located Fort Bonifacio, Taguig City; d) Domestic corporation. BAR QUESTION
  • 21.  ALIENS EMPLOYED BY  RAHQ and ROHQ OF MNCs in the Phils  OBUs in the Philippines  Foreign service contractors or sub-contractors engaged in petroleu operations  FILIPINOS, in the same position as aliens, in a managerial or technical position  ALTERNATIVE TAX RATES, EITHER 15% OR 32%  (RR 11-2010) EMPLOYEES WITH PREFERENTIAL TAX RATES (15% ON GROSS COMPENSATION INCOME) – OBSOLETE
  • 22.  One layer taxation regime in taxable trust and estates. (meaning to say, the income is taxed either to the trust/estate or to the beneficiary)  ESTATE  Not to be confused with Estate Tax  Income earned by the estate during settlement proceedings  Income distributed to the beneficiaries are considered deductions. But, this will be considered the income of the beneficiaries.  REVOCABLE TRUST – taxable to the trustor  IRREVOCABLE TRUST – taxable to the trustee ESTATES AND TRUSTS
  • 23.  Mr. C leaves behind a building which earns rent at P100,000/month. Before the settlement of C’s estate, the total income earned by the building amounted to P600,000. Mr. C has heirs, D and E. Will the income be taxed? If so, who is liable for the tax?  Johnny transferred a 10-door commercial apartment to a trustee, Miriam, naming in the trust instrument Santino, Johnny’s 10-year old son, as the sole beneficiary. The trustee is instructed to distribute the yearly rentals amounting to P720,000.  Is the trustee liable to pay the annual income tax on the property?  If the trustee is directed to accumulate the rental income and distribute the same only when the beneficiary reaches the age of majority. Will your answer be the same? QUESTIONS
  • 24.  The individual co-owners report their share of the income in their individual tax returns  Pascual doctrine – Where the transactions are isolated, in the absence of other circumstances showing a contrary intention, the case can only give rise to CO-OWNERSHIP. CO-OWNERSHIP
  • 25. Noel Langit and his brother, Jovy, bought a parcel of land which they registered in their names as pro indiviso owners (Parcel A.) Subsequently, they formed a partnership, duly registered with the SEC, which bought another parcel of land. Both parcels of land were sold, realizing net profits for both. 1. Should the sale of parcel A be taxed as a sale by a corporation? 2. Should the sale of parcel B be taxed as a sale by a corporation? BAR QUESTION
  • 26.  TAXABLE PARTNERSHIPS Engaged in trade or business  NON-TAXABLE PARTNERSHIPS, BUT THE PARTNERS ARE TAXABLE ON THEIR DISTRIBUTIVE SHARE General professional partnerships Joint venture for undertaking construction projects, or petroleum, coal, geothermal and other energy operations, pursuant to an operating or consortium agreement under a service contract with the government PARTNERSHIPS
  • 27.  DOMESTIC CORPORATION (DC)  Incorporated or organized in the Philippines or under its laws  worldwide income, 30%, net  (NOTE: Educational institutions, 10%) FOREIGN CORPORATIONS – not domesitc  RESIDENT FOREIGN CORPORATION (RFC)  Foreign corporation engaged in trade or business in the Phils.  Philippine income, 30%, net  NONRESIDENT FOREIGN CORPORATIONS (NRFC)  Philippine income, 30%, gross, withheld at source CORPORATIONS
  • 28.  MINIMUM CORPORATE INCOME TAX (2% OF GROSS INCOME)  INTERCORPORATE DIVIDENDS ARE EXEMPT FOR DC AND RFC  IMPROPERLY ACCUMULATED EARNINGS TAX (IAET) – for closely held corporations; 10% of improperly accumulated earnings  RFC – BRANCH PROFIT REMITTANCE TAX (15% of remittance) SPECIAL RULES ON CORPORATE TAXES
  • 29.  RESIDENT FOREIGN CORPORATION Doing business in the Phils – continuity of conduct and intention to establish a continuous business Foreign corporation has a branch in the Phils. QUERY: WHAT IF THE FOREIGN HEAD OFFICE ALSO TRANSACTS BUSINESS IN THE PHILIPPINES? Treat the foreign head office as a nonresident foreign corporation (NRFC), except if the income is properly attributable to the branch RESIDENT FOREIGN CORPORATIONS
  • 30.  HK Co is a Hong Kong company, which has a duly licensed Philippine branch engaged in trading activities in the Philippines. HK Co. is also invested directly in 40% of the shares of stock of A Co., a Philippine corporation. These shares are not reflected in the assets of the Philippine branch. A Co. declared and paid dividends to its stockholders. Are the dividends received by HK Co. taxable? BAR QUESTION
  • 31. REGIONAL OPERATING HEADQUARTERS – 10% ON PHIL NET INCOME OFFSHORE BANKING UNITS – 10% GROSS INTEREST INCOME INTERNATIONAL AIR CARRIERS, INTERNATIONAL SHIPPING LINES – 2.5% OF GROSS PHILIPPINE BILLINGS -- IF NO LANDING RIGHTS? Normal corporate tax rate (30%) GROSS PHILIPPINE BILLINGS – amount of gross revenue derived from carriage of persons, excess of luggage, cargo and mail originating from the Phils. In a continuous and uninterrupted flight, irrespective of the place of sale or issue and the place of payment of the ticket or passage document ONLINE AIR CARRIER -- doing business in the Phils having been granted landing rights in any Philippine port SPECIAL RESIDENT FOREIGN CORPORATIONS
  • 32. Caledonia Aircargo is an off-line international carrier without any flight operations in the Philippines. It has, however, a liaison office in the Phils which is duly licensed with the SEC, established for the purpose of providing passenger and flight information, reservation and ticketing services. Are the revenues of Caledonia Aircargo from tickets reserved by its Philippine office subject to tax? BAR QUESTION
  • 33.  CINEMATOGRAPHIC FILM OWNER, LESSOR OR DISTRIBUTOR (25% OF GROSS INCOME)  OWNER OR LESSOR OF VESSELS CHARTERED BY PHIL NATIONALS (4.5% OF GROSS RENTALS)  OWNER OR LESSOR OF AIRCRAFT, MACHINERIES AND OTHER EQUIPMENT (7.5% OF GROSS RENTALS) SPECIAL NONRESIDENT FOREIGN CORPORATIONS
  • 34. Triple Star, a domestic corporation, entered into a Management Service Contract with Single Star, a non-resident foreign corporation with no property in the Philippines. Under the contract, Single Star shall provide managerial services for Triple Star’s Hongkong branch. All said services shall be performed in Hongkong. Is the compensation for the services of Single Star taxable as income from sources within the Philippines? Explain. BAR QUESTIONS
  • 35. Anchor Banking Corporation, which was organized in 2000 and existing under the laws of the Philippines and owned by the Sy Family of Makati City, set up in 2010 a branch office in Shanghai City, China, to take advantage of the presence of many Filipino workers in that area and its booming economy. During the year, the bank ,management decided not to include the P20 Million net income of the Shanghai Branch in the annual Philippine income tax return filed with the BIR, which showed a net taxable income of P30 Million , because the Shanghai Branch is treated as a foreign corporation and is taxed only on income from sources within the Philippines, and since the loan and other business transactions were done in Shanghai, these incomes are not taxable in the Philippines. a) Is the bank correct in excluding the net income of its Shanghai Branch in the computation of its annual corporate income tax for 2010? Explain your answer. (5%) b) Should the Shanghai Branch of Anchor Bank remit profit to its Head Office in the Philippines in 2011, is the branch liable to the 15% branch profit remittance tax imposed under Section 28 (A)(5) of the 1997 Tax Code? Explain your answer (5%) BAR QUESTIONS