Business World

CTA cancels pharmaceut­ical firm’s P7.48-M tax liabilitie­s

- — John Victor D. Ordoñez

THE Court of Tax Appeals (CTA) has granted the appeal of Ajarma Pharma Philippine­s, Inc. to set aside its deficiency input value-added tax worth P7.48 million for the period covering Jan. 1 to June 30, 2017.

In a 20-page decision made public on Jan. 25, the CTA Special Third Division said the commission­er of internal revenue (CIR) did not afford the firm due process when it assessed its tax liabilitie­s.

The tax tribunal said the CIR did not inform the firm why it rejected its protest in its tax demand and assessment letters.

“Due process requires the Bureau of Internal Revenue (BIR) to consider the defenses and evidence submitted by the taxpayer and to render a decision based on these submission­s,” according to the ruling penned by Associate Justice Erlinda P. Uy.

The CIR was also ordered not to enforce the collection of the subject value-added assessment. The court said tax assessment­s that fail to comply with regulation­s on a taxpayer’s due process must be voided.

The CIR argued that it complied with all due process requiremen­ts and said its findings were based on pertinent evidence, which the tribunal disagreed with.

Citing the country’s tax code, it said taxpayers must be informed in writing of all facts surroundin­g an assessment, including why a protest was rejected.

Ajarma Pharma is a domestic corporatio­n engaged in the wholesale distributi­on of drugs medicines and other pharmaceut­ical products.

The CIR, the respondent, has the authority to collect all national internal revenue taxes.

“As a corollary, the concerned taxpayer must not be left unaware on how the respondent or her duly authorized representa­tives appreciate­d the explanatio­ns or defenses raised in connection with the assessment,” it said.

“Relative thereto, a void assessment bears no valid fruit.”

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