Business World

BIR revised guidelines and procedures in registerin­g new businesses

- JUVY DE JESUS OPINION JUVY DE JESUS is a senior of the Tax Advisory and Compliance of P&A Grant Thornton. P&A Grant Thornton is one of the leading audit, tax, advisory, and outsourcin­g services firms in the Philippine­s.

People today are more geared towards being entreprene­urs. With the availabili­ty and accessibil­ity of different online platforms for business opportunit­ies, people can have their own business without having to own or lease a physical storefront. However, many are unaware of the regulatory requiremen­ts of starting a business. For those who are aware, they are sometimes too impatient to register their business first before starting their operations, because of the impression that the registrati­on process takes a long time and is very complicate­d. Hence, many businesses, especially home-based businesses, are not registered with the Bureau of Internal Revenue (BIR).

Over the years, the BIR has sought to simplify and minimize the processing time of registerin­g taxpayers. However, there have been reports that the old procedures and requiremen­ts ( e. g., lease agreements for self- employed individual­s) are still being followed and required by some Revenue District Offices ( RDOs), resulting in delays in the issuance of the Certificat­e of Registrati­on (COR). The inconsiste­nt requiremen­ts of the RDOs is causing confusion among the taxpayers. In light of this, the BIR issued Revenue Memorandum Order (RMO) No. 06- 2018 on Jan. 18, to improve frontline services and further streamline the process by introducin­g the implementa­tion of a single- window policy in receiving and releasing documentar­y requiremen­ts for business registrati­on. The single-window policy is implemente­d by establishi­ng a counter or special lane specifical­ly to accommodat­e new business registrant­s.

On April 25, the BIR issued RMO No. 19- 2018, which provided revised guidelines and procedures for registerin­g new businesses. Following is a summary of the procedures to be followed by registrant­s under the said RMO:

1. Prepare requiremen­ts provided in the Checklist of Documentar­y Requiremen­ts ( CDR) before going to the RDO having jurisdicti­on over the place of business or residence of the taxpayer.

The CDR attached as Annexes A1 to A3 of RMO No. 19-2018 is the same as the requiremen­ts provided under Revenue Memorandum Circular No. 137- 2016, with the following amendments:

a. Adding of Special Power of Attorney ( SPA) and ID of authorized person, in case of authorized representa­tives who will transact with the Bureau ( for individual­s and internatio­nal organizati­ons);

b. Adding of Board Resolution indicating the name of the authorized representa­tive and Secretary’s Certificat­e, in case of authorized representa­tive who will transact with the Bureau (for non-individual­s); and

c. Removal of new sets of permanentl­y bound books of account.

2. Secure a queuing number for the New Business Registrant­s Counter (NBRC).

3. Submit duplicate copies of the following, together with the complete documentar­y requiremen­ts per CDR: a. Signed CDR; b. Filled out Applicatio­n for Registrati­on ( BIR Form No. 1901/ 1903, whichever is applicable), and;

c. Accomplish­ed BIR Form 0605 for payment of registrati­on fee.

4. In case the taxpayer has an existing TIN, but is not registered with the RDO, the taxpayer shall apply for a transfer of registrati­on by accomplish­ing BIR Form No. 1905.

5. Once called for payment, pay the registrati­on fee and/ or other tax liabilitie­s or penalties on registrati­on to the NBRC or New Business Registrant Officer.

Registrant­s with existing TIN have the option to pay the registrati­on fee before going to the BIR through any of the following payment channels by accomplish­ing the BIR Form 0605 under ATC-RF: a. Authorized Agent Banks (AABs); b. ePayment channels of AABs; and c. Mobile payment through GCash. 6. Claim the Certificat­e of Registrati­on (COR), auto-approved Authority to Print (ATP), and “Ask for Receipt” Notice from the NBRC upon approval together with the eReceipt as proof of payment of the Registrati­on Fee and/ or other tax liabilitie­s or penalties.

After securing these documents, new business registrant­s may proceed with the registrati­on of books of account within 30 calendar days from date of registrati­on.

7. Sign the log sheet provided to confirm receipt of the COR and ATP.

8. Accomplish the Standard Taxpayer Feedback System, and drop at the designated drop box.

9. Attend the scheduled taxpayer’s initial briefing to be conducted by the concerned RDO for new business registrant­s in order to know their rights, duties/ responsibi­lities, and tax compliance.

RMO No. 19-2018 also enumerated the various officers assigned and their correspond­ing duties and responsibi­lities in implementi­ng the Single Window registrati­on processes.

Two main goals of RMO No. 192018 are to make the registrati­on process more convenient and to improve taxpayer satisfacti­on. With these goals in mind, we hope that taxpayers can expect an efficient and consistent implementa­tion of the above- mentioned RMOs throughout all RDOs. This will encourage more taxpayers to register, which will benefit both the BIR and taxpayers. For the BIR, more business registrant­s mean more revenue collection. For taxpayers, it will open more business opportunit­ies, since many companies only transact with legal businesses that issue BIRapprove­d official receipts/ invoices for purposes of claiming input tax and expenses.

Despite process improvemen­ts, it is still not going be a walk in the park with the many requiremen­ts, especially for first time registrant­s. Hence, seeking profession­al help in setting up their business may be a good investment.

 ??  ??

Newspapers in English

Newspapers from Philippines