bir_ruling BIR Ruling No. 422-2021BIR Ruling No. 422-2021

BIR Ruling No. 422-2021

BUREAU OF INTERNAL REVENUE REPUBLIC OF THE PHILIPPINES DEPARTMENT OF FINANCE

Quezon City

Secs.24(A),27(A),108 of the NIRC of 1997, as amended BIR Ruling No. 209-99 OT-422 - 2021 NOV 0 8 zuzi

Salcedo Village, 1227, Makati City 20th Floor, Chatham House, Rufino Cor. Valero Sts. DU-BALADAD and ASSOCIATES

Attention: Atty. Benedicta Du-Baladad Managing Partner Gentlemen:

Operating Fee due to PSPC from its Retailers as weil as the Net Operating Fee (NOF) payable by PSPC to its Retailers. ("PSPC" for brevity), for confirmation of your opinion regarding the tax treatment of the Net This refers to request on behalf of your client, Pilipinas Shell Petroleum Corporation

Background:

fot the purpose of producing marketable products and the subsequent sale thereof to the public. with principal office address at 156 Valero Street, Salcedo Village, Makati City. It is primarily engaged in the business of importation, processing, treating and refining petroleum products PSPC is a corporation duly organized and existing under the laws of the Philippines,

of duties as set out in the RBA and the Site Policy and Procedure Manual of Shell. in business at the Sites, and being responsible for the performance of tasks and the discharge RBA, PSPC wishes the Retailer to arrange for the provision of a range of the Services at the Sites, including delivering Shell's Customer Value Proposition to the high standards, engaging leases "Sites" which are part of a large network of petrol filling stations in the Philippines operating under the "Shell" brand. However, PSPC does not operate the Sites on its own. For the operation of petrol filling stations and the sale of petroleum products, PSPC has entered into Retail Business Agreements ("RBA" or "Agreement") with various Retailers. Under the Pursuant to its business of selling petroleum products to the public, PSPC owns or

Shell from the Retailer will ensure that customers may use Shell petrol filling, stations with confidence, knowing that the range, presentation and quality of products and services provided Principal. The quality of customer service and the high standards of performance required by will be of consistently high standard. who may engage in the business and provide the services personally and/or via a Nominated The Retailer is either a seif-employed business person or independent business entity

Pilipinas Shell Petroleum Corporation Net Operating Fee OT- 4 2 2 - 20 2 NOV 0 8 2021

addition, PSPC is entitied to royalty determined as a percentage of all sales of CR goods, the for the price for motor fuel, calculated in accordance with the criteria prescribed under the RBA. filling stations would be located. Under the RBA, the Retailer undertakes to purchase motor fuel from PSPC to be sold at the Site, as well as to purchase and sell CR goods (core range and local range goods sold through the shop at each Site, excluding motor fuel). In consideration for the non-exclusive right to sublease from PSPC, the Retailer pays a fixed monthly rental. In percentage figure varying between different product groups/types. PSPC is likewise entitled PSPC leases (or sublease, as the case may be) to the Retailer the Site on which the petrol

according to the applicable business plan, and the retailer's target earnings. business plan for the purpose of making up the difference between the Retailer's earnings The NOF, either due to the Retailer or due to PSPC, is computed annually in the applicabie also payable under the RBA. The NOF which is also referred to as the Fair Share Adjustment ("FSA"), is the consideration in addition to any and other amounts payable under the RBA. Aside from the payment for the rentals, royalties and the price of motor fuels, a NOF is

Based on this plan, PSPC will determine the retailer's target earnings for the relevant ensuing year or part year. Either party will pay NOF depending on the Retailer's achievement of its to serve as the net consideration by which Retailer agrees to engage in business and provide the services. target earnings. PSPC will receive NOF from the Retailer in case the latter exceeds its target earnings or PSPC will pay the Retailer if the income is less than the target earnings. The NOF is not intended to provide the Retailer with any guarantee of achieving his target earnings, but projections as to the volume of motor fuel and the CR goods likely to be sold at each Site. PSPC and the Retailer will devise an annual business plan which will inciude

Based on the foregoing, you now request for confirmation that:

tax of 25%' pursuant to Section 27(A) of the National Internal Revenue Code (NIRC) of 1997. as amended, and 12% value added tax (VAT) pursuant to Section 108 of the same Code. The remittance of FSA by the Retailer to PSPC is not generally subject to creditable withholding tax ("CWT"), however, if the Retailer belongs to the top twenty thousand (20,00) private corporations, the FSA shall be subject to 2% CWT, pursuant to section 2.57.2(M) of Revenue Regulations (RR) No. 2-98, as amended; and 1. The NOF due to PSPC constitutes income subject to the regular corporate income

subject to 2% CWT since PSPC belongs to the top twenty thousand (20,000) private corporations pursuant to Section 27(A), or the graduated tax in Section 24(A) for individuals, and the 12% VAT pursuant to Section 108, all of the NIRC of 1997, as amended. The NOF is corporations. 2. The NOF due to the Retailer constitutes income subject to 25%2 income tax for

In reply, pleased be informed as fotlows: 1.Net Operating Fee Due to PSPC

' Effective July 1, 2020 pursuant to Republic Act No. 1 1534, otherwise known as the Corporate Recovery and Tax Incentives for Enterprises (CREATE) Act 2 Ibid

Net Operating Fee Pilipinas Shell Petroleum Corporation Ci-422- 202 NOV 0 8 2021

As defined under the RBA, the NOF is the consideration, in addition to any and other amounts payable under this agreement, by which Shell and Retailer entered into the Agreement Under the RBA, there are various services required of the Company for which no fee is provided. The services include providing a training program for the Retailer of his Nominated Principal; supply, installation, and inspection of equipment; conduct of audit to ensure compliance with health, safety, security and environmental standards, among others.

shall therefore be treated as service fees. Effectively, the RBA includes a contingent service various services performed by the Company. Any payment required to be made by the retailer Therefore, if the Retailer exceeds its target earnings, such success is partly due to the

remuneration arrangement.

Being a service fee, the NOF due to PSPC constitutes an income on the part of PSPC subject to the regular corporate income tax of-25% pursuant to Section 27(A) of the NIRC of the 1997, as amended, which provides:

"SEC. 27. Rates of Income Tax on Domestic Corporations.

income tax rate of twenty-five percent (25%) effective July 1 2020. (A) In General. Except as otherwise provided in this Code, an

is hereby imposed upon the taxable income derived during each taxable year from all sources within and without the Philippines by every corporation, as defined in Section 22(B) of this Code and taxable under this Title as a corporation, organized in, or existing under the laws of the Philippines.

Provided, That corporations with net taxable inconie not exceeding Five miliion pesos (P5,000,000.00) and with total assets not exceeding One hundred million pesos (P100.000,000.00). excluding land on which the particular business entity's office, plant. and equipment are situated during the taxable year for which the tax is imposed. shall be taxed at twenty percent (20%).

period. the taxable income shall be computed without regard to the In the case of corporations adopting the fiscal-year accounting

specific date when specific sales, purchases and other transactions occur. Their income and expenses for the fiscal year shall be deemed to have been earned and spent equally for each month of the period.

computed by multiplying the number of months covered by the new The corporate income tax rate shall be applied on the amount

for the period, divided by twelve." rate within the fiscal year by the taxable income of the corporation

The receipts of the service fees shall also be subject to VAT, pursuant to Section 105 of the NIRC of 1997, as amended, which provides:

"SEC. 105. Persons Liable - Any person who, in the course of trade or business, sells barters, exchanges, leases goods or properties, renders

Ofl:422 -202t

Net Operating Fee Pilipinas Shell Petroleun Corporation NOV 0 9 2tzt1

services, and any person who imports goods shall be subject to the value-added tax (VAT) imposed in Sections 106 to 108 of this Code."

XXX XXX XXX

conduct or pursuit of a commercial or economic activity, including transactions incidental thereto, by any person regardless of whether or The phrase "in the course of trade or business " means the regular

not the person engaged therein is a nonstock, nonprofit private organization (irrespective of the disposition of its net income and whether or not its sells exclusively to members or their guests), or government entity.

"The rule of regularity, to the contrary notwithstanding services as defined in this Code rendered -$n the Philippines by nonresident persons shall be considered as being. fendered in the course of trade or business.

In relation thereto, Section 108 of the NIRC of 1997, as amended, provides as follows:

"SECTION 108. Value-added Tax on Sale of Services and Use or Lease of Properties.

"(A) Rate and Base of Tax. -- xxx

"The phrase "sale or exchange of services' means the performance of all kinds of services in the Philippines for others for a fee, remuneration or consideration, including those performed or rendered by construction and service contractors; stock, real estate, commercial and immigration

in milling, processing, manufacturing or repacking goods for others; proprietors, operators or keepers of hotels, motels, rest houses, pension brokers; lessors of property, whether personal or real; warehousing services; lessors or distributors of cinematographic films; persons engaged

to their transport passengers, goods or cargoes from one place in the of franchise grantees of electric utilities, telephone and telegraph, radio performance thereof calls for the exercise or use of the physical or mental their transport of goods or cargoes; common carriers by air and sea relative Philippines to another place in the Philippines, sales of electricity by generation companies, transmissions, an distribution companies; services and television broadcasting and all other franchise grantees except those under Section 119 of this Code and non-life insurance companies (Except their crop insurances) including surety, fidelity, indemnity and bonding companies; and similar services regardless of whether or not the facilities. in securities; lending investors; transportation contractors on their transport of goods or cargoes, including persons who transport goods or cargoes for hire and other domestic common carriers by land relative to houses, inns, resorts; proprietors of operators of restaurants, refreshment parlors, cafes and other eating places, including clubs and caterers; dealers

XXX XXX XXX

Pilipinas Shell Petroleum Corporation Net Operat ing Fee N8v 0 8 zUZ1 0 14 2 2 - 2 0 2

by the retailer to PSPC is not generally sHbject to creditable withholding tax ("CWT") Regulations No. 2-98 as subject to specific rate of withholding tax. However, if the Retailer belongs to the top twenty thousand (20,000) private corporations, the FSA shall be subject to 2% expanded withholding tax, pursuant to Section 2.57.2(M) of RR No. 02-98, as amended, rule that merchant fees paid by Shell dealers to PSPC for brokering and helping generate higher prescribed under Section 108 of the NIRC of 1997, as amended. is subject to 12% VAT, pursuant to the above-quoted provisions of the NIRC of 1997. considering that this type of income payment jo not one of those enumerated in the Revenue which provides: sale shall be considered as payments for services rendered and are thus subject to VAT Hence, unless specifically exempted by law, it is undeniably that the receipts derived from the performance of services shall be subject to VAT. for which a consideration is expected to be paid from the provision of any kind of service. As to whether the transaction is subject to withholding tax, the remittance of NOF/FSA In BIR Ruling No. 209-99, dated December 28, 1999, this Office had the occasion to The NOF received by PSPC constitutes a consideration for services. Accordingly, this The phrase "sale or exchunge of services " is so broad to cover all kinds of transactions

corporations, as determined by the Commissioner, to their local/resident supplier of goods and local/resident supplier, including non-resident aliens local/resident supplier of services other than those covered by other rates of engaged in trade or business in the Philippines. private corporations to their local/resident supplier of goods and withholding tax. --- Income payments made by any of the top 20,000 private "(M) Income payments made by the top twenty thousand (20,000)

XXX XXX XXX Supplier of goods -- One percent (1%) Supplier of services -- two percent (2%)

XXX XXX XXX 2. Net Operating Fee Due to the Retailers

consideration by which the Retailer agrees to engage in business and to provide the services. headed "Background", services which PSPC wishes the Retailer to provide include delivering Shell's Customer Value Proposition to the high standards, engaging in business at the Sites, RBA and the Company's Manual. the Sites. On the other hand, and as defined in the RBA, services means the services to be provided by the Retailer (and/or Nominated Principal), as referred to in the section of the RBA and being responsible for the performance of tasks and the discharge of duties as set out in the Business, as defined in the RBA means the purchase and sale of motor fuels and CR goods at In so far as the payment to the Retailer is concerned, the NOF shall serve as

requirements including fostering good relations with customers, embracing and delivering any new or revised customer service initiatives, achieving customer service targets, training and coaching his staff to the require standards, and ensuring that the business, the Retailer and those Further, under Section 6.2 of the RBA, the Retailer is required to comply with PSPC's

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Ne: Operating Fee Pilipinas Shell Petroleum Corporation Nbv "g"8 2021 -422-2021

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employed or engaged by him meet the standards of presentation, cleanliness and customer service.

would be treated as service fees for undertaking the above services. From the point of view of the Retailer, therefore, any payment received by it from PSPC

active pursuit of business, the NOF due to the Retailer shall constitute income subject to 25% income tax for corporations pursuant to Section 27(A) of the NIRC of 1997, as amended, or the graduated tax rates for individuals pursuant to section 24(A) of the same Code. Being a service fee and considering that this is an additional income arising from the

of VAT includes all kinds of sales for services, except those specifically exempted under the NIRC or special laws, the NOF is subject to the 12% VAT pursuant to Section 108 of the NIRC of 1997, as amended. consideration for the services rendered by the latter as Retailer. Considering that the coverage The RBA clearly provides that the NOF or FSA due to the Retailer is paid in

corporations, its payment of NOF to the Retailers will be subject to the 2% expanded No. 2-98, as amended. Since PSPC is classified as one of the top twenty thousand private withholding tax. corporations is subject to 2% creditable withholding tax pursuant to Section 2.57.2(M) of RR Income payments made by taxpayers classified as one of the top twenty thousand

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

Very truly yours.

Commissioner of Internal Revenue CAESAR R. DULAY 047114

gps(PSPC) K

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