8box Solutions Inc.

4_20230710_150500_0001

Contact Number: 09369340340
Email: sales@8box.solutions

REVENUE REGULATIONS NO. 6-2010 issued on July 12, 2010 prescribes the policies, guidelines and procedures in the implementation of the tax subsidy granted under Section 17 (c) of Republic Act (RA) No. 3591 (Philippine Deposit Insurance Corporation [PDIC] Charter), as amended by RA No. 9576. The privileges granted shall be limited to the following: a. All tax obligations of the PDIC for the period June 1, 2009 to May 31, 2014, except those tax obligations that are passed on to clients, (i.e. Capital Gains Tax and Documentary Stamp Tax) and all taxes withheld by PDIC that are considered trust fund (i.e. Expanded Withholding Tax, Final Withholding Tax [FWT] and Withholding Tax on Compensation); and, b. PDIC’s exemption from Income Tax, FWT from income payments to PDIC, and ValueAdded Tax on assessments collected from member banks for the period starting June 1, 2014 onwards. For the period June 1, 2009 to May 31, 2014, PDIC shall request from the Fiscal Incentives Review Board (FIRB) for issuance of the Certificate of Entitlement to Subsidy (CES) for the payment of the following taxes to which PDIC is directly liable on or before their due dates, unless a different period is specifically provided herein: a. Income Tax (IT) b. Value-Added Tax (VAT) c. Final Withholding Tax (FWT) d. Creditable Withholding Tax on interest on loans e. Capital Gains Tax (CGT, when borne by the PDIC) f. Documentary Stamp Tax (DST, when borne by the PDIC) g. All other taxes for which PDIC is directly liable. Within a reasonable period of time from receipt of the CES issued by the FIRB, the Department of Budget and Management (DBM) shall issue a Special Allotment Release Order (SARO) in favor of the Bureau of Treasury (BTr) to cover the payment of the aforesaid taxes payable to BIR. The DBM shall furnish PDIC and the Revenue District Office (RDO) having jurisdiction over the PDIC’s principal office and the BTr with a copy of the SARO. Upon receipt of the SARO, the RDO having jurisdiction over PDIC’s principal office shall furnish the Revenue Accounting Division (RAD) under the Collection Service with a copy of the said SARO. The RAD shall record the corresponding revenue collection upon receipt of the BTr’s Journal Entry Voucher (JEV). For the period June 1, 2009 to May 31, 2014, Income and Value-Added Taxes shall be filed on or before their due dates and paid through the Tax Expenditure Fund (TEF). Regarding the payment of Final Withholding Tax, Creditable Withholding Tax, Expanded Withholding Tax during the said period, the following guidelines are prescribed: a. Payor is BTr The BTr shall not withhold the FWT on its income payments to PDIC for treasury notes, treasury bonds, treasury bills and other discounted instruments of the PDIC with BTr. However, income payments to PDIC shall only be released by BTr in accordance with the following schedule: (i) 80% of all income payments to PDIC shall be released on coupon payment dates for treasury bonds/notes, or purchase value dates for treasury bills and other discounted instruments; (ii) the remaining 20% shall be released to PDIC upon the issuance by the DBM of the corresponding SARO in favor of BTr to cover the payment of the FWT due to BIR. For this purpose, PDIC shall secure from BTr within five (5) banking days from end of reference month a certification on the total amount of FWT withheld on interest earnings of the PDIC on its securities holdings with the BTr for the reference month. Within five (5) working days from receipt thereof, the PDIC shall furnish a copy of this BTr certification to the FIRB and the BIR and request from the FIRB for issuance of the CES for the payment of the subject taxes. The BTr certification shall become the documentary basis for determining the amount indicated in the CES and SARO to be issued by the FIRB and the DBM, respectively, for the payment of the subject taxes. All of the foregoing should take into account the due date for the payment of the withholding taxes which is on the 10th day of the following month. Otherwise, PDIC will be subjected to penalties for failure to comply with the deadline for filing and payment of taxes. b. Payor other than BTr Withholding agent/s other than BTr, such as BSP, LBP, DBP or private banks, mandated to withhold FWT, CWT and EWT on income payments to PDIC shall withhold and remit the corresponding FWT, CWT and EWT to the BIR for all income payments due to PDIC. The withholding agent/s shall furnish PDIC with a certified photocopy of the BIR Form No. 1601-F and the corresponding Monthly Alphalist of Payees (MAP) showing PDIC as one of the taxpayers subjected to the FWT, CWT and EWT. This shall become the documentary basis for determining the amount indicated in the CES and SARO to be issued by the FIRB and the DBM, respectively, for the payment of the subject taxes. The claim for Cash Refund of excess taxes withheld shall be processed by the BIR within 120-days from the issuance of a Letter of Authority for the examination of the books of account relative to such claim. All taxes withheld that are considered trust fund (i.e. WC, EWT and FWT) shall be remitted to the BIR in legal tender on their due dates. For the CGT and DST borne by the PDIC, it shall be filed and paid through the TEF in accordance with their due dates. CGT and DST passed on to buyer/s shall be remitted to the BIR by the buyer in legal tender on their due dates. PDIC shall file with the BIR the appropriate tax returns in accordance with the prescribed form and within the period provided by law. All tax obligations during the covered period, including deficiency tax assessments (together with penalties and interest, if any) shall be included in the tax returns for that period. Late payment penalties and charges shall not apply to tax obligations of PDIC on account of the delay on the part of the FIRB and DBM in the issuance of the CES and SARO, respectively. However, this presupposes the fact that PDIC has applied for the issuance of CES and SARO within the periods provided herein. If the delay is due to the neglect of PDIC, late payment penalties and charges will be applied to such tax obligations. Starting June 1, 2014, PDIC shall be exempt from IT, FWT on income, VAT on assessments collected from member banks. Thus, income payments to PDIC shall no longer be subject to the withholding tax system pursuant to Section 2.57.5 (B) of Revenue Regulations No. 2- 98, as amended, to wit: “SECTION 2.57.5. Exemption from Withholding. – The withholding of creditable withholding tax prescribed in these Regulations shall not apply to income payments made to the following: x x x x x x x x x (B) Persons enjoying exemption from payment of income taxes pursuant to the provisions of any law, general or special, xxx xxx xxx.” The BTr, other government corporations and institutions and private entities, including banks that have financial dealings with PDIC shall no longer be required to withhold the withholding tax on the income/receivables of the PDIC as specified above. Consequently, the BTr, other government corporations and institutions and private entities, including banks, shall remit to PDIC the gross or full amount of PDIC’s income/receivables. However, PDIC shall continue to comply with the provisions of Section 3 (C) and (D).