BIR Ruling No. 001-2017
REPUBLIC OF THE PHILIPPINES
DEPARTMENT OF FINANCE BUREAU OF INTERNAL REVENUE
Quezon City
Section 30(H) of the Tax Code of 1997 BIR Ruling No. 165-2011 BIR Ruling No. 327-2011 BIR Ruling No. 146-2011 BIR Ruling No. 058-2011
#001-2017 1-5-2017
CANADIAN AMERICAN EDUCATION FOUNDATION, INC 6/F The City Club Alphaland Ayala corner Malugay Street. Makati City
Attention: CARMELA FAROLAN-FERREIRA
President and School Administrator
Gentlemen:
This refers to your letter dated August 8, 2014 requesting on behalf of CANADIAN AMERICAN EDUCATION FOUNDATION,INC.for the issuance of
a certificate of tax exemption enjoyed by non-stock and non-profit educational institution under Section 30(H) of the Tax Code of 1997, as amended.
ItisrepresentedthatCANADIANAMERICAN EDUCATION
FOUNDATION, INC. with Taxpayer's Identification No. (TIN) a non-stock, non-profit corporation duly organized and existing under the laws of the Philippines; that it is registered with the Securities and Exchange Commission (SEC) under Company Registration No. dated February 7, 2014; and that the
purposes for which the corporation was organized are the following:
1. To establish and operate under its institutional structure, the Canadian
American School, a pre-school + K-12 international school, and to promote its programs, projects, and activities that will enhance its
To fund student scholarships and other academic pursuits of the ideals and goals;
Canadian American School; 3 To establish linkages with other foundations, educational institutions.
and other entities in pursuit of the purposes herein set forth; A To generate funds and resources to support its activities, programs,
5 To receive and accept donations, fees, endowments, grants, legacies and instruments/devices conformably with existing applicable and projects:
statutes:
CANADIAN AMERICAN EDUCATION FOUNDATION, INC Page 2 of 5 #001-2017 1-5-2017
6. To purchase, receive, take, lease, or otherwise acquire for and in the name of the association, any and all properties, rights, or privileges
7. To undertake such other activities and programs as may be in line for the association; and
with, or ancillary to, its purposes.
ruling/certificate oftaxexemption because CANADIAN AMERICAN In reply, please be informed that this Office cannot as yet issue the requested
three (3) years that it is really a corporation/association exempt from income tax under Section 30 (H) of the Tax Code of 1997, as amended. (BIR Ruling No. 165-2012 dated March 9,2012) EDUCATION FOUNDATION, INC. has to prove by actual operation for at least
FOUNDATION, INC. can file the necessary annual information return instead of an income tax return on or before the 15th day of the fourth month following the end of its In the meantime, CANADIAN AMERICAN EDUCATION
taxable year as required under Section 24 of Revenue Regulations No. 2-40 dated February 10, 1940 (Collector vs. Sinco, G.R. L-9276 dated October 23, 1956). Based on such information return, we shall conduct the necessary investigation on the activities undertaken during the period. The letter of exemption shall thereafter be issued depending upon the result of our investigation.
Hence, CANADIAN AMERICAN EDUCATION FOUNDATION, INC. is subject to the corresponding internal revenue taxes imposed under the National Internal
activity conducted for profit regardless of the disposition thereof, which income should be returned for taxation. Likewise, interest income from currency bank deposits and Revenue Code on its income derived from any of its properties, real or personal, or any
yield or any other monetary benefits from deposit substitute instruments and from trust funds and similar arrangements, and royalties derived from sources within the Philippines are subject to the 20% final withholding tax: provided, however, that interest income derived by it from a depository bank under the expanded foreign currency deposit system shall be subject to 7-1/2% final withholding tax pursuant to Section 27 (D) (1), in relation to Section 57 (A), both of the Tax Code of 1997. Moreover, it is required to file on or before the 15th day of the fourth month following the end of the accounting period a Profit and Loss Statement and Balance Sheet with
incurred during the preceding period and a certificate showing that there has not been the Annual Information Return under oath, stating its gross income and expenses
any change in its By-laws, Articles of Incorporation, manner of operation and activities as well as sources and disposition of income. (BIR Ruling No. 327-201I dated September 1, 20l
It should be understood that CANADIAN AMERICAN EDUCATION FOUNDATION, INC. shall be constituted as withholding agent of the goVernment if it acts as an employer and its employee receives compensation income subject to the withholding tax under Section 79(A), Chapter XIII, Title II of the Tax Code of 1997. as implemented by Revenue Regulations No. 2-98, as amended, or if it makes income payments to individuals or corporations subject to the expanded withholding tax provided for in Section 57 (B) of the Tax Code of 1997, also as implemented by V
#001m2017 152017 CANADIAN AMERICAN EDUCATION FOUNDATION, INC. Page 3 of 5
Revenue Regulations No. 2-98, as amended. (BIR Ruling No. 146-2011 dated May 12, 201
Under Section 235 of the Tax Code of 1997, any provision of existing general and special law to the contrary notwithstanding, the books of accounts and other pertinent records of tax-exempt organization or grantees of tax incentives shall be subject to examination by the BIR for purposes of ascertaining compliance with the conditions under which it has been granted tax exemptions or tax incentives, and its tax Iiabilities, if any.
It is subject to the payment of the annual registration fee of PhP500.00 as prescribed in Section 236 (B) of the Tax Code of 1997, as amended. It is also required under Section 6 (C) in relation to Section 237 of the same Code to issue duly registered receipts or sales or commercial invoices for each sale or transfer of merchandise or for services rendered which are not directly related to the activities for which the Association is registered [Revenue Memorandum Circular (RMC) No. 76-2003].
Value-Added Tax
of trade or business, sells, barters, exchanges, leases goods or properties, renders Section 105 of the Tax Code of 1997 provides that any person who, in the course
services, and any person who imports goods shall be subject to the value-added tax (VAT) imposed in Sections 106 to 108 of the same Code.
pursuit of a commercial or an economic activity, including transactions incidental stock, non-profit private organization (irrespective of the disposition of its net income and whether or not it sells exclusively to members or their guests), or government entity. thereto, by any person regardless of whether or not the person engaged therein is a non- The phrase "in the course of trade or business" means the regular conduct or
Accordingly, if CANADIAN AMERICAN EDUCATION FOUNDATION, INC. is engaged in the sale of goods or services in the course of a business pursuit, including transactions incidental thereto, in general, it shall be liable for VAT. (BIR Ruling No. 058-2011 dated February 25, 2011)
Notwithstanding that it is incorporated as a non-stock,non-profit organization, its purchase of goods or properties or services and importation of goods shall nevertheless be subject to the 12% VAT pursuant to Section 107 of the said Code.
It should be noted that VAT is an indirect tax payable by the seller and not by the purchaser of goods. However, being an indirect tax, it can be shifted or passed on to the buyer/purchaser, transferee or lessee of the goods, properties or services. Once shifted to the buyer/customer as an addition to the cost of goods or services sold, it is no longer a tax but an additional cost which the buyer/customer has to pay in order to obtain the goods or services.
Finally, for purposes of securing a certificate of exemption after the three (3)- year period, CANADIAN AMERICAN EDUCATION FOUNDATION, INC. is W
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Revenue Memorandum Order (RMO) 44-2016: required to submit the following documentary requirements pursuant to Section 2 of
1 Original copy of the application letter for issuance of Tax
3. A Certified true copies of the Financial Statements of the corporation Original copy of the Certification under Oath by the Treasurer of the corporation or association as to the amount of income. Exemption Ruling. Certified true copy of the Certificate of Good Standing issued by the Securities and Exchange Commission; compensation, salaries or any emoluments paid by the corporation or association to its trustees, officers and other executive officers.
S or association for the last three (3) years; Certified true copy of government recognition/permit/accreditation
6 For TESDA-Accredited Institutions offering Technical and to operate as an educational institution issued by the Commission on Higher Education (CHED) and/or the Department of Education (DepEd):
7. If the government recognition/permit/accreditation to operate as an certified true copies of the TESDA Registrations of the TVET education institution was issued more than five (5) years prior to the Programs/Courses offered; document, issued by the appropriate government agency (i.e., application for tax exemption/revalidation, an original copy of a current Certificate of Operation/Good Standing, or other equivalent Vocational Educational Training (TVET) Programs/Courses.
CHED.DepEd,or TESDA)shall be submitted as proof that the non
8. Original copy of Certificate of Annual revenues and assets by the in Section 1.3 of Department of Finance (DOF) Order No.137-87, the Certificate shall provide a breakdown of the following: such; Treasurer or his equivalent of the non-stock and non-profit educational institution. In accordance with the guidelines set forth stock and non-profit educational institution is currently operating as a. Any amount in cash or in kind (including b. administrative expenses) paid or utilized to any amount paid to acquire an asset used (or held accomplish one or more purposes for which the educational institution was created or organized. including grant of scholarship to deserving studentsand professorial chairs for the enhancement of professorial course.
for use) directly in carrying out one or more
support the conduct of the above activities. purposes for which it was created or organized, including the upgrading of existing facilities to
C Any amount in cash or in kind invested in an
activity related to the educational purposes for which it was created or organized.
Page 5 of 5 CANADIAN AMERICAN EDUCATION FOUNDATION, INC. #0117 1a01?
d. Any amount set aside for a specific project, which
must be supported by a Board Resolution issued by the school administration on proposed projects books and the like) to be funded out of the money (i.e., construction and/or improvement of school deposited in banks or placed in money markets, on or before the 15th day of the fourth month buildings and facilities, acquisition of equipment.
following the end of its taxable year.
However, if upon investigation, it will be disclosed that the facts are different, then this This ruling is being issued on the basis of the foregoing facts as represented.
ruling shall be considered null and void.
Very truly yours,
1aean&a
Commissioner of Internal Revenue CAESAR R.DULAY 002787
K-1-VDPM14 Canadian American Education Foundation, Inc.
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