Classification of Taxes
Classification of Taxes
Classification of Taxes
1.
2.
2.
Property tax
As to gradation or rate
Excise tax
1.
General/fiscal/revenue tax
Special/regulatory tax
3.
Regressive tax
Tax the rate of which decreases as the tax base or
bracket increases. There is no such tax in the
Philippines.
Proportional tax
Tax based on a fixed percentage of the amount of
the property receipts or other basis to be taxed.
Example: real estate tax.
As to purpose
1.
Ad valorem tax
An ad valorem tax is a tax of a fixed
proportion of the value of the property with respect to
which the tax is assessed. It requires the intervention
of assessors or appraisers to estimate the value of such
property before the amount due from each taxpayer can
be determined.
Specific tax
Aspects of Taxation
Direct tax
Processes that are included or embodied in the term taxation
A direct tax is demanded from the person
who also shoulders the burden of the tax. It is a tax
which the taxpayer is directly or primarily liable and
which he or she cannot shift to another.
2.
1.
Levying or imposition of the tax which is a
legislative act.
2.
Collection of the tax levied which is essentially
administrative in character.
Indirect tax
An indirect tax is demanded from a person
in the expectation and intention that he or she shall
indemnify himself or herself at the expense of another,
falling finally upon the ultimate purchaser or consumer.
A tax which the taxpayer can shift to another.
National tax
A national tax is imposed by the national government.
2.
Constitutional mandate
Local tax
TAXATION
DEFINITION
PURPOSE
Enforced
contribution
is
demanded for the support of the
government
Use of property i
the purpose of p
general welfare
Persons Affected
Operates upon a
class of individua
No transfer of
there is restraint
use of the propert
Person affected
direct and imm
but only such as m
the maintenance
economic standar
Amount imposed
more than that
cover the cost o
and the necessar
regulation
Relatively
f
Constitutional lim
superior to the
provisions
EFFECT
BENEFITS RECEIVED
AMOUNT OF IMPOSITION
Subject
to
certain
Constitutional limitations
Fiscal adequacy
It means that the sources of revenue should
be sufficient to meet the demands of public
expenditures. [Chavez v. Ongpin, 186 SCRA 331]
2.
Administrative feasibility
It means that tax laws should be capable of
convenient, just and effective administration.
2.
It is legislative in character; hence, only the
legislature can impose taxes (although the power may
be delegated).
3.
It is subject to Constitutional and inherent
limitations; hence, it is not an absolute power that can
be exercised by the legislature anyway it pleases.
POLICE POWER
Power of the S
such laws in relat
and property as
public health, s
and the general
public
2.
The purpose of the tax so long as it is a public
purpose.
3.
4.
The manner, means, and agencies of collection of
the tax.
Commissioner v. Santos, 277 SCRA 617 (1997)
Inherent Limitations
Inherent limitations
1.
2.
Prohibition against delegation of the taxing
power
4.
International comity
5.
2.
3.
Taxpayers Suit
Taxpayers suit
a)
b)
some of the recognized objects of
government; or
c)
to promote the welfare of the
community.
Effect of incidental benefit to private interest
2.
3.
tariff rates;
2.
3.
4.
other duties or imposts within the
national development program of the
government.
1.
To increase, reduce, or remove
existing protective rates of import duty,
provided that the increase should not be
higher than 100% ad valorem;
2.
To establish import quota or to ban
imports of any commodity; and
1.
2.
3.
4.
5.
Philippine Amusement and Gaming Corporation
(PAGCOR)
3.
To impose additional duty on all
imports not exceeding 10% ad valorem.
International comity
Courteous, friendly
interaction between nations.
agreement
and
2.
When one State enters the territory of another
State, there is an implied understanding that the former
Constitutional Limitations
Constitutional limitations
2.
3.
1.
It must be based on substantial distinctions which
make real differences.
2.
The classification must be germane to the
purpose of the law.
4.
Prohibition against imprisonment for nonpayment of poll tax
3.
The classification must not be limited to existing
conditions only but must also apply to future conditions
substantially identical to those of the present.
5.
Prohibition against impairment of obligation of
contracts
4.
The classification must apply equally to all
members of the same class. [Tiu v. Court of Appeals,
301 SCRA 278 (1999)]
6.
Prohibition against infringement of religious
freedom
7.
Prohibition against appropriation of proceeds of
taxation for the use, benefit, or support of any church
8.
Prohibition against taxation
charitable and educational entities
of
religious,
9.
Prohibition against taxation of non-stock, nonprofit educational institutions
10.
Others
a.
b.
Veto of appropriation, revenue, tariff
bills by the President
c.
d.
Revenue bills shall originate
exclusively
from
the
House
of
Representatives
f.
Grant of franchise
Tax
measure
should
not
be
unconscionable and unjust as to amount to confiscation
of property.
2.
No public money or property shall be
appropriated, applied, paid, or employed directly or
indirectly, for the use, benefit, or support of any church,
denomination, sectarian institution or system of
religion, or of any priest, preacher, minister or other
religious teacher, or dignitary as such except when such
priest, preacher, minister or dignitary is assigned to the
armed forces, or to any penal institution, or government
orphanage or leprosarium.
3.
All money collected on any tax levied for a
special purpose shall be treated as a special fund and
paid out for such purpose only. If the purpose for which
a special fund was created has been fulfilled or
abandoned, the balance, if any, shall be transferred to
the general funds of the government.
tax only.
Prohibition against taxation of the revenues and assets of nonstock, non-profit educational institutions
All revenues and assets of non-stock, nonprofit educational institutions used actually, directly,
and exclusively for educational purposes shall be
exempt from taxes and duties. Upon the dissolution or
cessation of the corporate existence of such institutions,
their assets shall be disposed of in the manner provided
by law. [Section 4, Article XIV, Constitution]
1.
No money shall be paid out of the Treasury
except in pursuance of an appropriation made by law.
Non-stock,
non-profit
educational
institutions are exempt from taxes on all their revenues
Proprietary
educational
institutions,
including those cooperatively owned, may likewise be
entitled to such exemptions subject to the limitations
provided by law including restrictions on dividends and
provisions for investment. [Section 4 (3), Article XIV,
Constitution]
2.
Veto of appropriation, revenue, or tariff bills by
the President
The President shall have the power to veto
any particular item or items in an appropriation,
revenue, or tariff bill, but the veto shall not affect the
item or items to which he does not object. [Section 27
(2) Article VI, Constitution]
First, the constitutional tax exemption granted to nonstock, non-profit educational institutions does not find application
because YMCA is not an educational institution. The term
educational institution or institution of learning has acquired a
well known technical meaning. Under the Education Act of 1982,
such term refers to schools. The school system is synonymous with
formal education, which refers to the hierarchically structured and
chronologically graded learnings organized and provided by the
formal school system and for which certification is required in
order for the learner to progress through the grades or move to the
higher levels. A perusal of the articles of incorporation of YMCA
does not show that it established such a system.
4.
Revenue bills shall originate exclusively from the
House of Representatives
5.
5.
Grant of franchise
Tax exemptions included in the grant of a
franchise may be revoked by another law as it is
specifically provided in the Constitution that the grant
of any franchise is always subject to amendment,
alteration, or repeal by the Congress when the common
good so requires.
Situs in Taxation
Situs of taxation
2.
Subject matter thereof (i.e. person,
property, act or activity;
Exceptions:
1.
When it is inconsistent with the express
provisions of the statute
3.
Possible protection and benefit that
may accrue both to the government and the
taxpayer;
2.
When the property has
business situs in another jurisdiction
4.
Residence or citizenship of the
taxpayer; and
acquired
This Latin maxim literally means that the
property follows the person. Thus, the place where the
owner is found is the situs of taxation under the rule
that movables follow the person. This is generally
where the owner resides.
Domicilliary theory
The location where the income earner
resides is the situs of taxation. This is where he is given
protection, hence, he must support it.
2.
Nationality theory
The country of citizenship is the situs of
taxation. This is so because a citizen is given protection
by his country no matter where he is found or no matter
where he earns his income.
3.
Source law
The country which is the source of the
income or where the activity that produced the income
is the situs of taxation.
1.
Upon the recognition of the inherent
power of each government to tax persons,
properties and rights within its jurisdiction
and enjoying the protection of its laws; or
2.
Upon the principle that as to
intangibles, a single location in space is
hardly possible, considering the multiple,
distinct relationships which may be entered
into with respect thereto.
The actual situs of the shares of stock is in the
Philippines, the corporation being domiciled therein. And besides,
the certificates of stock have remained in this country up to the
time when the deceased died in California, and they were in the
possession of the secretary of the Benguet Corporation. The
secretary had the right to vote, collect dividends, among others. For
all practical purposes, the secretary had legal title to the certificates
of stock held in trust for Eye. Eye extended in the Philippines her
activities re: her intangible personal property so as to avail herself
of the protection and benefits of the Philippine laws.
Multiplicity of situs
1.
the same property must be taxed twice
when it should be taxed once;
taxing twice;
2.
2.
both taxes must be imposed on the
same property or subject matter;
3.
4.
by the same State, Government, or
taxing authority;
3.
within the same jurisdiction or taxing
district;
4.
5.
within the same jurisdiction or taxing
district;
5.
6.
6.
7.
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Shifting
2.
Capitalization
3.
Evasion
4.
Exemption
5.
Transformation
6.
Avoidance
Note: With the exception of evasion, all are legal means of escape.
Shifting
Shifting
Forward shifting
Tax evasion
Tax evasion
2.
Backward shifting
Onward shifting
1.
The end to be achieved. Example: the
payment of less than that known by the
taxpayer to be legally due, or in paying no
tax when such is due.
2.
An accompanying state of mind
described
as
being evil, in
bad
faith, willful or deliberate and not
accidental.
3.
A course of action (or failure of
action) which is unlawful.
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1.
May be based on contract. In such a case, the
public which is represented by the government is
supposed to receive a full equivalent therefor, i.e.
charter of a corporation.
2.
May be based on some ground of public policy,
i.e., to encourage new industries or to foster charitable
institutions. Here, the government need not receive any
consideration in return for the tax exemption.
3.
May be based on grounds of reciprocity or to
lessen the rigors of international double or multiple
taxation
Tax avoidance
Tax avoidance
2.
It is generally revocable by the government
unless the exemption is founded on a contract which is
protected from impairment.
In Delphers
Traders
Corp.
v.
Intermediate Appellate Court [157 SCRA 349], the
Supreme Court upheld the estate planning scheme
resorted to by the Pacheco family in converting their
property to shares of stock in a corporation which they
themselves owned and controlled. By virtue of the deed
of exchange, the Pachecho co-owners saved on
inheritance taxes. The Supreme Court said the records
do not point to anything wrong and objectionable about
this estate planning scheme resorted to. The legal right
of the taxpayer to decreased the amount of what
otherwise could be his taxes or altogether avoid them
by means which the law permits cannot be doubted.
3.
It implies a waiver on the part of the government
of its right to collect what otherwise would be due to it,
and so is prejudicial thereto.
4.
It is not necessarily discriminatory so long as the
exemption has a reasonable foundation or rational basis.
Kinds of tax exemption according to manner of creation
1.
Tax Exemption
Tax exemption
2.
1.
Total
When certain persons, property or transactions
are exempted, expressly or implied, from all taxes.
2.
Partial
When certain persons, property or transactions
are exempted, expressly or implied, from certain taxes,
either entirely or in part.
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1.
National government
He who claims exemption must be able to
justify his claim or right thereto by a grant express in
terms too plain to be mistaken and too categorical to
be misinterpreted. If not expressly mentioned in the
law, it must be at least within its purview by clear
legislative intent.
1.
When the law itself expressly provides
for a liberal construction thereof.
2.
In cases of exemptions granted to
religious, charitable and educational
institutions or to the government or its
agencies or to public property because the
general rule is that they are exempt from tax.
Local governments
Municipal corporations are clothed with no
inherent power to tax or to grant tax exemptions. But
the moment the power to impose a particular tax is
granted, they also have the power to grant exemption
therefrom unless forbidden by some provision of the
Constitution or the law.
Exceptions
General rule
13
1.
Constitution
2.
3.
4.
5.
6.
7.
Special laws
Tax amnesty
8.
Decisions of the Supreme Court and the Court of
Tax Appeals
9.
Revenue rules and regulations and administrative
rulings and opinions
Tax treaty
1.
2.
3.
To carry into effect the laws general provisions
by providing details of administration and procedure
2.
They must be published in the Official Gazette or
a newspaper of general circulation.
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3.
The Bureau of Internal Revenue shall
issue a press release covering the highlights
and features of the new tax issuance in any
newspaper of general circulation.
4.
Effectivity date for enforcement of the
new issuance shall take place thirty (30)
days from the date the issuance has been
sent to the above-enumerated organizations.
BIR rulings
Revenue Regulations;
2.
and
3.
Revenue Memorandum Circulars and
Revenue Memorandum Orders.
a.
Philippine Institute of Certified Public
Accountants;
b.
1.
2.
c.
Philippine Chamber of Commerce and
Industry;
d.
e.
Federation of Filipino-Chinese
Chamber of Commerce; and
f.
Japanese Chamber of Commerce and
Industry in the Philippines.
2.
However, other persons or entities
may request a copy of the said issuances.
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3.
16