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BIR Ruling 19-01 May 10, 2001

The Bureau of Internal Revenue (BIR) issued Ruling No. 019-01 in response to a request from the Philippine Council for NGO Certification (PCNC) regarding the eligibility of international organizations based abroad to be granted donee institution status. The BIR ruling summarized the relevant provisions of the Tax Code and BIR regulations, which specify that to be accredited as a donee institution, a non-stock, non-profit organization must be created or organized under Philippine laws and that a non-government organization (NGO) must be a non-profit domestic corporation. Therefore, the BIR ruled that a foreign corporation like Conservation International, whether resident or non-resident, cannot be accredited as a donee

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0% found this document useful (0 votes)
235 views3 pages

BIR Ruling 19-01 May 10, 2001

The Bureau of Internal Revenue (BIR) issued Ruling No. 019-01 in response to a request from the Philippine Council for NGO Certification (PCNC) regarding the eligibility of international organizations based abroad to be granted donee institution status. The BIR ruling summarized the relevant provisions of the Tax Code and BIR regulations, which specify that to be accredited as a donee institution, a non-stock, non-profit organization must be created or organized under Philippine laws and that a non-government organization (NGO) must be a non-profit domestic corporation. Therefore, the BIR ruled that a foreign corporation like Conservation International, whether resident or non-resident, cannot be accredited as a donee

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Raiya Angela
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May 10, 2001

BIR RULING NO. 019-01


Sec. 34 (H) 000-00
Philippine Council for NGO Certification
4/F 4718 Eduque St.
Makati City
Attention: Ms. Fely I. Soledad
Executive Director
Gentlemen :
This refers to your letter dated October 3, 2000 requesting for opinion on
whether or not international organizations with home offices based abroad are
qualified to be granted donee institution status. Specifically, you are referring to
Conservation International which was applied for certification with PCNC but its
board members are based overseas, hence fundamental issues regarding
governance cannot be fully addressed by your evaluation process.
In reply, please be informed that Sec. 34 (H) of the Tax Code provides, viz.:
"(H) Charitable and Other Contributions.
"(l) In General. Contributions or gifts actually paid or made
within the taxable year to, or for the use of the Government of the
Philippines or any of its agencies or any political subdivision thereof
exclusively for public purposes, or to accredited domestic corporations or
associations organized and operated exclusively for religious, charitable,
scientific, youth and sports development, cultural or educational purposes
or for the rehabilitation of veterans, or to social welfare institutions or to
non-government organizations, in accordance with rules and regulations
promulgated by the Secretary of Finance, upon recommendation of the
Commissioner, no part of the net income of which inures to the benefit of
any private stockholder or individual in an amount not in excess of ten
percent (10%) in the case of an individual, and five percent (5%) in the case
of a corporation of the taxpayer's taxable income derived from trade,
business or profession as computed without the benefit of this and the
Copyright 2014

CD Technologies Asia, Inc. and Accesslaw, Inc.

Philippine Taxation Encyclopedia First Release 2014

following subparagraphs".
xxx

xxx

xxx

Sec. 34(H)(l) of the Tax Code of 1997 specifically mentions


"accredited domestic corporation or associations" and "non-government
organizations". On the other hand, subparagraph (2)(c) of the same Section
of the Tax Code defines a "non-government organization" to mean a
non-profit domestic corporation.
In implementing Sec. 34(H) of the Tax Code, Rev. Regs. No. 13-98
was issued and in relation to the type of entities that may be accredited,
provides as follows:
"SEC. 1.
Definition of Terms. For purposes
of these Regulations, the terms herein enumerated shall have
the following meanings:
a) "Non-stock, non-profit corporation or
organization" shall refer to a corporation or
association/organization referred to under Section 30 (E)
and (G) of the Tax Code created or organized under
Philippine laws exclusively for one or more of the following
purposes:
xxx

xxx

xxx

b) "Non-government Organization (NGO)"


shall refer to a non-stock, non-profit domestic corporation
or organization as defined under Section 34(H)(2)(c) of the
Tax Code organized and operated exclusively . . ."

Considering the requirements of the Tax Code of 1997 and Rev. Regs. No.
13-98 that a non-stock, non-profit corporation or organization must be created or
organized under Philippine Laws and that an NGO must be a non-profit domestic
corporation, this Office is of the opinion that a foreign corporation, like
Conservation International, whether resident or non-resident, cannot be accredited
as donee institution.
HITEaS

Very truly yours,


(SGD.) RENE G. BAEZ
Commissioner of Internal Revenue

Copyright 2014

CD Technologies Asia, Inc. and Accesslaw, Inc.

Philippine Taxation Encyclopedia First Release 2014

Copyright 2014

CD Technologies Asia, Inc. and Accesslaw, Inc.

Philippine Taxation Encyclopedia First Release 2014

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