By: Tax and Accounting Center Philippines
If you are issued a deficiency tax assessment by the BIR, you do not lose hope for their could still be some remedies. Under Section 204 of the Tax Code, the Commissioner of Internal Revenue (CIR) is authorized to compromise taxes in the Philippines or to allow payment of taxes at minimal amounts in certain instances. Revenue Regulations No. 30-2002 dated December 16, 2002 (RR 30-2002) has been issued to supersede the provisions of Revenue Regulations Nos. 6-20001 and 7-2001. RR 30-2002 has been further amended by the following:
Instances of compromise
RR No. 30-2002, as amended, provided for specific instances where tax liability in the Philippines could be compromised based on certain conditions and requirements, to wit:
Further, the following instances could not be compromised under RR No. 30-2002, to wit:
Basis of compromise of tax liability in Philippines
For the above instances where RR 30-2002 allows a compromise of tax liabilities in the Philippines, if further provides the basis upon which the same could compromise as follows:
1. Compromise based on doubtful validity of delinquent or disputed assessment
Doubtful validity or when reasonable doubt as to the validity of the assessment against the taxpayer exists requiring a compromise payment of at least 40% of basic tax assessed may be allowed under the following:.
2. Compromise based on financial incapacity
Financial incapacity or when the financial position of the taxpayer demonstrates a clear inability to pay the assessed tax requiring a compromise payment of at least 10% of basic tax assessed.
No offer of compromise shall be entertained unless and until the taxpayer waives in writing his privilege of the secrecy of bank deposits under Republic Act No. 1405 or under other general or special laws, and such waiver shall constitute as the authority of the Commissioner to inquire into the bank deposits of the taxpayer.
BIR approval on compromise of tax liabilities
Compromise of tax liabilities is discretionary upon the BIR and approval is based on existing facts and circumstances. A formal application is necessary and the BIR would require supporting documentation it would deem necessary to establish the basis of the compromise – doubtful validity or financial incapacity.
Under Section 204 of the Tax Code, as amended, where the basic tax involved exceeds One million pesos (P1,000,000) or where the settlement offered is less than the prescribed minimum rates – 40% on doubtful validity and 10% for financial incapacity, the compromise shall be subject to the approval of the Evaluation Board which shall be composed of the Commissioner and the four (4) Deputy Commissioners.
Mandatory payment on compromise application
Finally, under Revenue Regulations No. 9-2013 dated May 10, 2013 an application for compromise mandates payment of the minimum amount as a pre-requisite of compromise settlement. This is a new regulation and prior to this rule, payment was required during or upon approval of the application. In case your application is disapproved, the amount paid shall be deducted from your tax liability.
References:
Disclaimer: This article is for general conceptual guidance only and is not a substitute for an expert opinion. Please consult your preferred tax and/or legal consultant for the specific details applicable to your circumstances.
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