RMC No. 31-2016 — Announces the entry into force, effectivity and applicability of the Philippines-Turkey Double Taxation Agreement
BUREAU OF INTERNAL REVENUE REPUBLIC OF THE PHILIPPINES DEPARTMENT OF FINANCE
Date: Maroh 15, 2016
REVENUE MEMORANDUM CIRCULAR NO. 3I- l
SUBJECT Entry into Force, Effectivity and Applicability of the Philippines- Turkey Double Taxation Agreement
TO All Internal Revenue Officers, Employees and Others Concerned
concerned: For the information or guidance of all internal revenue officers, employees and others
the Agreement shall have effect in respect of tax withheld at source, on income paid to non- beginning on or after the first day of January in the calendar year next following that in which residents on or after the first day of January in the calendar year next following that in which the Agreement enters into force and in respect of other taxes, on income in any taxable year the Agreement enters into force. for the Avoidance of Double Taxation and the Prevention of Fiscal Evasion with Respect to Taxes on Income has entered into force on 11 January 2016. Pursuant to Article 28 (2) thereof. The Agreement between the Republic of the Philippines and the Republic of Turkey
Taxation Agreement should be filed with and addressed to the International Tax Affairs Division (ITAD) at Room No. 811, Bureau of Internal Revenue, National Office Building. Diliman, Quezon City, Philippines. For this purpose the concerned Turkish resident income earner or an authorized representative of the latter should file a duly accomplished BIR Form No. 0901 (Application for Relief from Double Taxation) together with the required documents specified at the back of the form, pursuant to Revenue Memorandum Order (RMO) No. 72- 2010 Tax Treaty Relief Applications (TTRA) invoking the Philippines-Turkey Double
This Circular should be given the widest publicity possible.
BUREAU OF INTERNAL REVENUE RECORDS MGT. DIVISION MAR 1 6 2U16 14 9:32AM a Commissioner of Internal Revenue KIM S.JACINTO-HENARES
RECEIVEH 039698
OKMP
Want an analysis of this document?
Ask ASG Legal AI to summarize it, compare it with other rulings, or explain how it applies to your situation — it researches from this same library.