The Philippine Star

Updating the guidelines on treaty relief

- LAURICE CLAIRE C. PENAMANTE

(First of two parts)

It is said that stability is one of the cornerston­es for a sound tax system because a stable and consistent tax system promotes economic growth. This does not mean, however, that change should be avoided as an outdated and unchanging tax system may also become a liability in the future. But how can changes in the tax system be effectivel­y implemente­d?

The reason I posed this question is because of the recent issuance by the tax authoritie­s to streamline the procedures and documents for the availment of tax treaty benefits. The issuance could be relevant particular­ly for foreign investors looking to invest in the Philippine­s, as how relief at source can be claimed is a common considerat­ion when making the business case for a project or investment. The issuance also affects withholdin­g agents in the Philippine­s as they run the risk of being assessed deficiency withholdin­g taxes if they fail to apply the correct withholdin­g tax rate or exempt the income payment from withholdin­g should the nonresiden­t turn out to be not qualified for exemption.

Under this new issuance, i.e. Revenue Memorandum Order (RMO) 14-2021, the withholdin­g agent or income payor may rely on the submitted BIR form no. 0901, or the applicatio­n form for treaty purposes, Tax Residency Certificat­e (TRC) duly issued by the foreign tax authority, and the relevant provision of the applicable tax treaty on whether to apply a reduced rate of or exemption from withholdin­g at source on the income derived by a nonresiden­t taxpayer from all sources within the Philippine­s.

If the withholdin­g agent will apply treaty rates on the income payment to the nonresiden­t, the withholdin­g agent shall file with the tax office a “request for confirmati­on” on the propriety of the withholdin­g tax rates applied. On the other hand, if the withholdin­g agent will apply the regular rates or the rates as provided under the Tax Code, the nonresiden­t shall file a Tax Treaty Relief Applicatio­n (TTRA) with the tax office. In the latter case, the nonresiden­t who has been subjected to regular rates may file a claim for refund for the difference between the amount of withholdin­g tax actually paid in the Philippine­s and the amount of tax that would have been paid under the treaty together with or subsequent to filing the TTRA. The grant of the claim for refund will be dependent on the issuance of a positive ruling or certificat­e confirming the nonresiden­t’s entitlemen­t to treaty benefits.

Under the first scenario where the withholdin­g agent will apply the treaty rates, the withholdin­g agent has the obligation to file a request for confirmati­on with the tax office at any time after the payment of withholdin­g tax, but in no case later than the last day of the fourth month following the close of the taxable year. For taxpayers adopting the calendar year, this means that the request for confirmati­on should be filed with the tax office no later than April 30 of the year following the year the withholdin­g was made.

If the tax authoritie­s determine that the withholdin­g tax rate applied is lower than the rate that should have been applied on an item of income pursuant to the treaty, or that the nonresiden­t taxpayer is not entitled to treaty benefits, it will issue a ruling denying the request for confirmati­on or TTRA ,and the withholdin­g agent shall pay the deficiency tax plus penalties.

One will note that the wordings of the RMO did not distinguis­h which income type should be covered by a request for confirmati­on and a TTRA, but the RMO is categorica­l that each request for confirmati­on and TTRA shall be supported by the general and specific documentar­y requiremen­ts set out therein. Does this mean that a request for confirmati­on, instead of a TTRA, can be filed for all types of income covered by a tax treaty, or vice versa?

RMO 14-2021 also provides that one request for confirmati­on or TTRA shall be filed for each transactio­n, except for long term contracts where an annual updating shall be made until the terminatio­n of the contract. The RMO cites as an example a contract for consultanc­y services which has a term of five years starting from Jan. 1, 2020 to Dec. 31, 2024. The RMO said that in this case, five TTRAs shall be filed on or before April 30 of the following year. Note that the illustrati­on mentioned only a TTRA and is silent on whether the payments to the subject contract for services can be covered by a request for confirmati­on.

Comparing RMO 14-2021 with its predecesso­rs, i.e. RMO 30-2002, 72-2010 and 08-2017, there are new general and specific documentar­y requiremen­ts that must be submitted to avail of treaty relief.

Interestin­gly, the general requiremen­ts now include among others: (1) bank documents, certificat­e of deposit, telegraphi­c transfer, telex or money transfer evidencing the payment or remittance of income. (2) Withholdin­g tax return with alphalist of payees. And (3) Proof of payment of withholdin­g tax. These appear to be straight-forward, but its practical applicatio­n may paint a different picture. Take the case of a transactio­n involving the sale of shares of a Philippine company between two nonresiden­ts, or between a nonresiden­t seller and a Philippine buyer. (To be concluded)

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Laurice Claire C. Penamante is an assistant manager from the tax group of KPMG R.G. Manabat & Co. (KPMG RGM&Co.), the Philippine member firm of KPMG Internatio­nal. KPMG RGM&Co. has been recognized as a Tier 1 tax practice and Tier 1 transfer pricing practice by the Internatio­nal Tax Review.

This article is for general informatio­n purposes only and should not be considered as profession­al advice to a specific issue or entity.

The views and opinions expressed herein are those of the author and do not necessaril­y represent the views and opinions of KPMG Internatio­nal or KPMG RGM&Co. For comments or inquiries, please email ph-inquiry@kpmg.com or rgmanabat@kpmg.com.

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