bir_ruling BIR Ruling No. 381-2021BIR Ruling No. 381-2021

BIR Ruling No. 381-2021

REPUBLIL OF THE PHILIPPINES

DEPART'MENT OF FINANCE BUREAU OF INTERNAL REVENUE

Quezon City

Republic Act No.6657 BIR Ruling No. 205-18 C 361c2Q72 0c

JAYVEE L. VICTORIA

Str:

This refers to your letter dated March 30, 2021, requesting for a ruling exempting the sale of a parcel land, covered by Transfer Certificate of Title ("TCT") No. by the Land Bank of the Philippines ("LBP") to IGNACIO MANALASTAS, from payment of capital gains tax ("CGT") and documentary stamp tax ("DST") pursuant to Republic Act ("RA") No. 6657, otherwise known as the "Comprehensive Agrarian Reform Law of 1988 ".

Documents submitted disclosed that Ignacio Manalastas is a farmer-beneficiary of a parcel tand identified as Lot 58. pcs-1841 1 with an atea of 36,749 square meters, more or less,

of the LBP, covered by RA No. 3844 under Carlos Valerio Estate; that the subject property covered by TCT No. , Jocated'at Biciat, San Miguel, Bulacan, registered in the name

was transferred to Ignacio Manaiastas from the LBP through the execution of a Deed of Absolute Sale dated September 23, 2008: and that the Provincial Agrarian Reform Office ("PARO") of Bulacan certified that the said Deed of Absolute Sale executed by and between LBP and Ignacio Manalastas is covered by Section 66 of RA No. 6657, in relation to RA No. 3844.

In reply thereto, please be informed that the above transfer of land is exempt from the payment ofCGT and DST pursuant to Section 66 of RA No. 6657, which provides:

"Section 66. Exemption from taxes and fees of Land Transfers. -- Transactions under this Act involving .a transfer of ownership, whether from natural or juridical persons, shall be exempted from taxes arising from capital gains. These transactions shall also be exempted from the payment of registration fees and all other taxes and fees for the conveyance or transfer thereof. Provided. That all arrearages in real propert: taxes, without penalty or interest, shall be deductible from the compensation to which the owner may be entitled."

Taking into consideration the Certification dated January 28, 2021 from the PARO of Bulacan, it appears that the instant transfer of the subject property, as evidenced by the Deed of Absolute Sale dated September 23, 2008 executed by and between LBP and Ignaciol Manalastas, is indeed covered by Sectioii 66 of RA No. 6657, in relation to RA No. 3844. Consequently, the same is exempt fron: it: payment of CGT and DST.

A

CT-3SI-LUU OCT 1 1 Z62[]

Therefore, it is hereby ruled that the sale of the subject land covered by TCT No. T- , by the LBP to Ignacio Manalastas is exempt from the payment of CGT and DST pursuant to Section 66 of RA No. 6577.

This ruling is being issued on the basis of the foregoing facts as presented. However, if upon investigation, it will be ascertained that the facts are different, then this ruling shall be considered null and void.

Very truly yours,

wa

CAESAR R. DULAY Commissioner of Internal Revenue

048156

O

K/-FR-21-0378

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