RMC No. 88-2021 — Circularizes the Lists of Withholding Agents required to deduct and remit the 1% or 2% Creditable Withholding Tax for the purchase of goods and services under Revenue Regulations No. 31-2020 Digest | Full Text
REPUBLIC OF THE PHILIPPINES EITREA-u oFm;ilT DEPARTMENT OF FINANCE JUL 16 BUREAU OF INTERNAL REVENUE Quezon City Ds MGr. olvrsrtril June 29,2021 REvEr{uE MEMoRANDUM cTRCULAR No. 99' ne.t SUBJECT Circularizing the Lists of Withholding Agents Required to Deduct and Remit the loh or 2o/o Creditable Withholding Tax for the Purchase of Goods and Services under Revenue Regulations No. 3l-2020. TO All Revenue Officials, Employees and Others Concemed In connection with the newly prescribed criteria set forth under Revenue Regulations (RR) No. 3l-2020 in identifying the Top Withholding Agents (TWAs) of each Revenue District Offices, this Circular is hereby issued to circularize the recently published lists of withholding agents for inclusion to and deletion from the existing list of TWAs who are required to deduct and remit either the one percent (1%) or two percent (2%) Creditable Withholding Tax (CWT) from the income payments to their suppliers of goods and services, respectively. Please visit the BIR's website at www.bir.gov.ph where the lists are posted and provided with search facility for the convenience of all concemed. Accordingly, the obligation to deduct and remit to this Bureau the 1o/o and 2oh CWT shall continue. commence or cease, as the case may be, effective Aueust 1. 2021. Any taxpayer not found in the published list of TWAs is deemed excluded and therefore not required to deduct and remit the lo/o or 2Yo CWT pursuant to the abovementioned RR. Moreover, for purposes of uniformity and in compliance with the policy of ease of doing business with this Bureau, any written request by the taxpayers as a separate documentary proof for being identified as TWAs, despite the publication in the newspaper of general circulation being deemed sufficient, shall be filed with the Revenue District Office and the corresponding Cerlification issued by its Revenue District Officer where the concerned withholding agent is duly registered. All revenue officers and employees are hereby enjoined to give this Circular as wide a publicity as possible. -/CfAfEiS\A^R4R.+DU1LAY Commissioner of Internal Revenue J-5 044 0 4 S 9,L3c^ &
同类文件 Revenue Memorandum Circulars
- RMC No. 18-2002 — Circularizes the interpretation by the Supreme Court of the Philippines of the pertinent provisions of Section 140 of the Tax Code of 1997 relative to exemption from specific tax of the sale of stemmed leaf tobacco Digest(RMC No. 18-2002)
- RMC No. 25-2004 — Specifies the activities for the BIR's Centennial Anniversary Celebration. Digest | Full Text(RMC No. 25-2004)
- RMC No. 6-2021 — Prescribes the revised BIR Form No. 2200-M [Excise Tax Return for Mineral Products] January 2018 (ENCS) Digest | Full Text | Annex A | Guidelines(RMC No. 6-2021)
- RMC No. 20-2013 — Publishes the full text of National Budget Circular No. 545 entitled “Guidelines on the Release of Funds for FY 2013” Digest | Full Text(RMC No. 20-2013)
- RMC No. 20-2018 — Circularizes the Consolidated Price of Sugar at Millsite for the month of February 2018(RMC No. 20-2018)
- RMC No. 24-2008 — Clarifies the scope of the term direct costs and expenses that should comprise the "cost of services" for purposes of computing the gross income subject to the 2% Minimum Corporate Income Tax Digest | Full Text(RMC No. 24-2008)
- RMC No. 129-2019 — Publishes the full text of Government Quality Management Committee Memorandum Circular No. 2019-1 by the Acting Secretary of DBM and Secretary of the DTI entitled “Guidelines in the Validation of the ISO 9001: 2015 Quality Management System Certification/Recertification as a Support to Operations Requirement for the Grant of the FY 2019 Performance-Based Bonus (PBB) Digest | Ful(RMC No. 129-2019)
- RMC No. 60-2019 — Clarifies the guidelines in determining the tax treatment of transfer of real property by an Economic Zone Developer/Operator duly registered under the Philippine Economic Zone Authority to another PEZA entity, and the documentary requirements for the processing of eCAR(RMC No. 60-2019)
想要这份文件的分析?
让 ASG 法律 AI 为你总结、与其他判例对比,或说明它如何适用于你的情形 — 它检索的正是同一个数据库。