Cta 3D CV 08363 D 2015aug24 Ass
Cta 3D CV 08363 D 2015aug24 Ass
Cta 3D CV 08363 D 2015aug24 Ass
Third Division
Members:
versus-
Bautista, Chairperson
Fabon-Victorino, and
Ringpis-Liban, JJ.
BAUTISTA, J:
The Case
1 Rule 8, Sec. 4. Wltere to Appeal; mode of appeal. - (a) An appeal from a decision or ruling or the
inaction of the Commission er of Internal Revenue on disputed assessments or claim for refund of
internal revenue taxes erroneously or illegally collected , the decis ion or ruling of the
Commissione r of Cus toms, the Secretary of Finance, the Secre tary of Trade & Indus try, the
Secre tary of Agriculture, and the Regional Trial Court in the exercise of their original jurisdiction,
shall be taken to the Court by filing before it a pe tition for review as provided in Ru le 42 of the
Rules of Court. The Court in Divisio n s hall act on the appeal.
2Sec. 7.jurisdiction. - The Court of Tax Appeals shall exercise:
(a) Exclus ive appellate jurisdiction to review by appeal, as herein provided.
(1) Decisions of the Commissioner of Internal Revenue in cases involving disputed assessments,
refunds of internal revenue taxes, fees or othe r charges, penalties in relation thereto, or o ther
matters aris ing unde r the National Internal Revenue Code or other laws administered by th~
Bureau of Inte rnal Revenue. /
DECISION
CTA CASE NO. 8363
Page 2 of30
The Parties
The Facts
Level of a Collegiate Court with Special Jurisdiction and Enlarging its Membership, Amending
for the Purpose Certain Sections of Republic Act No. 1125, as amended, Otherwise Known as the
Law Creating the Court of Tax Appeals, and for Other Purposes.
'An Act Enlarging the Organizational Structure of the Court of Tax Appeals, Amending for the
Purpose Certain Sections of the Law Creating the Court of Tax Appeals, and for Other Purposes.
'Records, pp. 6-194, with Annexes.
7 Id., Petition for Review, p. 10.
'Id., Joint Stipulation of Facts and Issues ("JSFI"), p. 262. /
' I d., Exhibit "E," p. 58.
1o Id., Exhibit "F," p.59.
DECISION
CTA CASE NO. 8363
Page 3 of 3D
internal revenue tax liabilities for the period June 1, 2004 to May 31,
2005, amounting to Seventeen Million Two Hundred One Thousand
One Hundred Three Pesos and 67 j100 (Php17,201,103.67), inclusive
of penalties. The same notice invited petitioner to submit, within
fifteen (15) days from receipt thereof, its reply or to arrange for a
conference where it may present its objections to the discrepancies.
were being referred back to RDO No. 59 for further evaluation, and
that it may submit the required documentary evidence to support its
claim thereon.
I. INCOME TAX
Contract with lessee (VINTAGE) p 14,660,000.00
Income from use of facilities 9,500,726.79
Rental 93,963.00
Total p 24,254,689.79
Multiplied by rate 32%
Basic deficiency tax due p 7,761,500.73
Add: Interest p 5,204,517.44
Compromise penalty 25,000.00 5,229,517.44
Total Amount Payable p 12,991,018.17
On mortgage
Real estate mortgage p 8,900,000.00
Basic tax due p 17,810.00
Add: Surcharge p 4,452.50
Interest 12,852.88
Compromise penalty 4,000.00 21,305.38 39,115.38
Total Amount Payable p 363,000.36
IV. EXPANDED
WITHHOLDING TAX
Building improvements p 14,835,611.00 2% p 296,712.22
Construction in progress 30,931,585.00 2% 618,631.70
Contractor (uniforms) 506,647.50 2% 10,132.95
Contractor (Vanessa Mie' s Garden) 102,900.00 2% 2,058.00
Basic tax due p 927,534.87
Add: Surcharge p 231,883.72
Interest 669,371.00
Compromise penalty 20,000.00 921,254.72
Total Amount Payable p 1,848,789.59
The Contract31 and the rental income32 from the use of its
facilities.
'VII. DONATION AS
CONSIDERATION FOR THE JOINT
OPERATION OF THE CANTEEN: the
SECOND PARTY has donated to the FIRST
PARTY in advance the amount of FOURTEEN
MILLION SIC [sic] HUNDRED SIXTY
THOUSAND PESOS (P14,660,000.00),
representing the yearly donations for the
entire period of this Contract, per attached
schedule (Appendix A). If this Contract is pre-
terminated, the FIRST PARTY shall return to
the SECOND PARTY the corresponding
advance donation on terms and conditions to
be agreed upon by the FIRST PARTY AND
SECOND PARTY.'
respectively.
46 Minutes of Hearing dated November 18, 2013, Docket (Vol. II), p. 484. ~
DECISION
CTA CASE NO. 8363
Page 12 of30
47
48
Minutes of Hearing dated January 13,2014, Docket (Vol. II), p. 504.
Id., pp. 394-416.
r----
Id., pp. 507-518.
5o Id., pp. 525-526.
51 I d., pp. 527-534.
52 Id., pp. 535-537.
The Issuesss
Petitioner's Arguments
She also alleges that the income derived from rental of its
buildings/premises is also subject to the corresponding taxes as
provided by RMC 76-2003, dated November 14, 2003.
6 Commissioner of Internal Revenue vs. Court of Appeals, et al., G.R. No. 124043, October 14, 1998, 298
SCRA83.
61 Batas Pambansa Bilang 68.
62 CIR vs. St. Luke's Medical Center Inc., G.R. No. 195909, September 26,2012/ St. Luke's Medical
President and Chief Operating Officer, who stated that all revenues of the school are pooled into
the General Fund.
.......-L---"
DECISION
CT A CASE NO. 8363
Page 19 of 30
~
76 ld., Exhibit "G-1," pp. 61-65.
77 First Party refers to petitioner DLSLI.
78 Second Party refers to VFSI.
DECISION
CT A CASE NO. 8363
Page 21 of 30
3) for a consideration.
Compromise Penalty
The case of CIR vs. Lianga Bay Logging Co. Inc., et a/.,79 is a case
in point where the Supreme Court held that the imposition of
compromise penalty without the conformity of the taxpayer is illegal
and unauthorized. It follows that a compromise penalty may be
imposed if the taxpayer has agreed to it, and there is nothing in the
records which would show that petitioner consented to the
compromise penalty. Therefore, the compromise penalty is
CANCELLED absent any proof that petitioner acceded to its
imposition.
~
DECISION
Cf A CASE NO. 8363
Page 24 of30
TOTAL
TAX BASIC TAX INTEREST COMPROMISE TAX
PENALTY PAYABLE
EWT
EWT I
Per
PerBIR
Name of Seller of Goods/Services Petitioner's Difference
Assessment
Schedule
In Philivvine Pesos
a) For Building and Improvements
Steel Asia Manufacturing Corp. 7,308,501.08
Conmix Aggregates Corp. 1,571,775.00
RD Samaniego Roofing Corp. 500,195.40
State Construction & Mill Supply 710,477.90
Elegancia Lumber &
Construction Supply 312,068.00
Construction workers 1,829,863.45
Emmanuelle Multipurpose
Cooperative 1,203,677.00
New Top Steel Builders, Inc. 1,142,395.90
Dwightsteel Building System, Inc. 163,251.82
Gwyn Enterprises and
Manpower Services 247,500.00
Arrow Electrical 485,646.50
Total 15,475,352.05 14,835,611.00 639,741.05
EWT
Particulars Amount Rate EWT
Building Improvements p 14,835,611.00 2% p 296,712.22
Construction in progress 30,931,585.00 2% 618,631.70
Contractor (uniforms) 506,647.50 2% 10,132.95
Contractor (Vanessa Mie's Garden) 102,900.00 2% 2,058.00
Basic Deficiency EWT p 927,534.87
25%
TYPE OF TAX BASIC TAX SURCHARGE TOTAL
Income Tax Php3,539,420.73 Php884,855.18 Php4,424,275.92
Value-Added Tax 1,106,068.98 276,517.24
1,382,586.22
Expanded Withholding Tax 927,534.87 231,883.72 1,159,418.59
Total
-
Php5,573,024.58 Php1,393,2~6.15 Php~,966,280.73
Deficiency Interest
Tax Type Basic Tax Computed from
Income Tax Php3,539,420.73 September15,2005
Value-Added Tax 1,106,068.98 June 27, 2005
Expanded Withholding Tax 927,534.87 June 15, 2005
SO ORDERED.
LOVELL R( BAUTISTA
Associate Justice
WE CONCUR:
ATTESTATION
LOV~AliTISTA
Associate Justice
Chairperson
CERTIFICATION
Presiding Justice