Taxation Law Syllabus
Taxation Law Syllabus
Taxation Law Syllabus
TAXATION LAW
Notes: All Bar candidates should be guided that only laws with their
respective amendments and canonical doctrines pertinent to these topics
as ofJune 30, 2019 will be covered in the 2020 Bar Examinations, except
when provided in this syllabus. Principles of law are not covered by the
cut-off period.
This syllabus is only a guide for the bar examinations. It should not be
mistaken for a course syllabus.
I. GENERAL PRINCIPLES
I. ODS OF TAXES
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J. GENERAL CONCEPTS IN TAXATION
1. Prospectivity of tax laws
2. Imprescriptibility
3. Situs of taxation
4. Double taxation
a. Strict sense
b. Broad sense
c. Tax treaties as relief from double taxation
5. Escape from taxation
a. Shifting of tax burden
b. Distinguish: tax avoidance and tax evasion
6. Exemption from taxation
7. Equitable recoupment
8. Prohibition on compensation and set-off
9. Compromise
10. Tax amnesty
A. TAXING AUTHORITY
1. Jurisdiction, power, and functions of the Commissioner of Internal
Revenue
2. Rule-making authority of the Secretary of Finance
B. INCOME TAX
1. Definition, nature, and general principles
a. Income tax systems
i. Global
ii. Schedular
iii. Others
b. Features of the Philippine income tax law
c. Criteria in imposing Philippine income tax
i. Citizenship
ii. Residence
iii. Source
d. General principles of income taxation
e. Types of Philippine income taxes
f. Kinds of taxpayers
g. Taxable period
2. Concept of income
a. Definition
b. When income is taxable
i. Existence of income
ii. Realization of income
iii. Recognition of income
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c. Tests in determining whether income is earned for tax
purposes
i. Realization test
ii. Claim of right doctrine or doctrine of ownership,
command or control
iii. Economic benefit test or doctrine of proprietary interest
iv. Severance test
d. Methods of accounting
i. Distinguish: cash and accrual method
ii. Special method: installment, deferred payment, percentage
of completion (in long-term contracts)
e. Situs of Income
3. Gross income
a. Definition
b. Distinguish: gross income, net income, and taxable income
c. Sources of income subject to tax
i. Compensation income
ii. Fringe benefits
iii. Professional income
iv. Income from business
v. Income from dealings in property
(a) Distinguish ordinary asset and capital asset
(b) Types of gains
(c) Special rules pertaining to income or loss from
dealings in property classified as capital asset
(loss limitation rule, loss carry-over rule, holding
period rule)
(d) Tax-free exchanges
vi. Passive investment income
(a) Interest
(b) Dividend
(c) Royalty income
(d) Rental income
vii. Annuities and proceeds from life insurance or other types
of insurance
viii. Prizes and awards
ix. Pension, retirement benefit, or separation pay
x. Income from any source
(a) Condonation of indebtedness
(b) Recovery of accounts previously written off
(c) Receipt of tax refunds or credit
d. Exclusions
i. Rationale
ii. Taxpayers who may avail
iii. Distinguish: exclusions, deductions, and tax credits
iv. Excluslons under the Constitution
4. Deductions
a. General rule
b. Concept of return of capital
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c. Distinguish: itemized deductions and optional standard
deduction
d. Requirements for deductible items
e. Items not deductible
5. Income tax on individuals
a. Resident citizens, non-resident citizens, and resident aliens
i. Coverage
ii. Taxation on compensation income
(a) Inclusions
(b) Exclusions
iii. Taxation of business income/income from practice of
profession
(a) Schedular
(b) 8% option
iv. Taxation of partners in a general professional partnership
v. Taxation of passive income
vi. Taxation of capital gains
(a) Income from sale of shares of stock of a
Philippine corporation
(b) Income from sale of real property situated in the
Philippines
(c) Income from sale, exchange, and other disposition of
other capital assets
b. Non-resident aliens engaged in trade or business
c. Non-resident aliens not engaged in trade or business
d. Aliens employed by regional headquarters, regional operating
headquarters, offshore banking units, and petroleum service
contractors
e. Individual taxpayers exempt from income tax
i. Minimum wage earner
ii. Exemptions granted under international agreements
6. Income tax on corporations
a. Domestic corporations
i. Taxation - in general
(a) Regular Corporate Income Tax (RCIT)
(b) Minimum Corporate Income Tax (MCIT)
(c) Taxation of passive income
(d) Taxation of capital gains
(e) Improperly accumulated earnings tax
ii. Proprietary educational institutions and non-profit
hospitals
iii. Government-owned or controlled corporations, agencies,
instrumentalities
iv. Foreign currency deposit units
b. Resident foreign corporations
i. Taxation - in general
(a) Regular Corporate Income Tax (RCIT)
(b) Minimum Corporate Income Tax (MCIT)
(c) Branch Profits Remittance Tax (BPRT)
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(d) Taxation of passive income
(e) Taxation of capital gains
ii. Resident foreign corporations subject to preferential
tax rates
(a) International carriers
(b) Foreign currency deposit units and offshore
banking units
(c) Regional or area headquarters and regional
operating headquarters
c. Non-resident foreign corporations (NRFC)
i. Taxation of NRFC in general
ii. NRFCs subject to preferential tax rates
d. Corporations exempt from income tax
e. Tax on other business entities: general partnerships,
general professional partnerships, co-ownerships, joint
ventures, and consortia
7. Filing of returns and payment
a. Individual return
i. Who are required to file; exceptions
ii. Substituted filing
iii. When and where to file
b. Corporate returns
i. Quarterly income tax
ii. Final adjustment return
iii. When and where to file
iv. Return of corporations contemplating dissolution
or reorganization
c. Return on capital gains realized from sale of shares of stock
and real estate
8. Withholding tax
a. Concept
b. Final withholding tax
c. Creditable withholding tax
i. Expanded withholding tax
ii. Withholding tax on compensation
d. Fringe benefits tax
e. Duties of a withholding agent
C. ESTATE TAX
1. Basic principles, concept, and definition
2. Classification of decedent
3. Composition of gross estate
a. Items to be included in determining gross estate
i. Decedent’s interest
ii. Transfers in contemplation of death
iii. Revocable transfers
iv. Property passing under a general power of appointment
v. Proceeds of life insurance
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vi. Prior interests
vii. Transfers for insufficient consideration
b. Allowable deductions from gross estate
c. Exclusions from gross estate and exemptions of certain
acquisitions and transmissions
d. Tax credit for estate taxes paid to a foreign country
e. Filing of estate tax returns and payment of estate tax
D. DONOR’S TAX
1. Basic principles, concept, and definition
2. Requisites of a valid donation
3. Transfers which may be considered as donation
a. Sale, exchange, or transfer of property for less than
adequate and full consideration; exception
b. Condonation or remission of debt
c. Renunciation of inheritance; exception
4. Classification of donor
5. Determination of gross gifl
a. Composition of gross gift
b. Valuation of gifts made in property
c. Exemption of certain gifts
6. Tax credit for donor’s taxes paid to a foreign country
7. Filing of return and payment
E. VALUE-ADDED TAX
1. Nature and characteristics of value-added tax
a. Tax on value added
b. Sales tax
c. Tax on consumption
d. Indirect tax: impact and incidence of tax
e. Tax credit method
f. Destination principle and cross-border doctrine
2. Persons liable to value-added tax
3. Imposition of value-added tax
a. On sale of goods or properties
i. Tax base: gross selling price
ii. Transactions deemed sale
iii. Change or cessation of status as value-added tax-registered
person
b. On importation of goods
c. On sale of services and use or lease of properties
4. Zero-rated and effectively zero-rated sales of goods or properties,
and services
5. Value-added tax-exempt transactions
6. Input and output tax
7. Refund or tax credit of excess input tax; procedure
8. Compliance requirements
a. Registration
b. Invoicing requirements
c. Filing of returns and payment
d. Withholding of final value-added tax on sales to government
e. Administrative and penal sanctions
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3. Government remedies for collection of delinquent taxes
a. Requisites
b. Prescriptive periods; suspension of running of statute of
limitations
c. Administrative remedies
i. Tax lien
ii. Distraint and levy
iii. Forfeiture of real property
iv. Suspension of business operation
v. Judicial remedies
d. No injunction rule; exceptions
4. Civil penalties
a. Delinquency interest and deficiency interest
b. Surcharge
c. Compromise penalty
d. Fraud penalty
B. PROCEDURE
1. Filing of an action for collection of taxes
a. Internal revenue taxes
b. Local taxes
2. Civil cases
a. Who may appeal, mode of appeal, and effect of appeal
b. Suspension of collection of taxes
c. Injunction not available to restrain collection
3. Criminal cases
a. Institution and prosecution of criminal action
b. Institution of civil action in criminal action
c. Period to appeal
4. Appeal to the Court of Tax Appeals en banc
5. Petition for review on certiorari to the Supreme Court
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LIST OF RELEVANT MATERIALS
I. 1987 CONSTITUTION
II. LAWS
including:
a. Revenue Regulations No.
6-2008, as amended
b. Revenue Regulations No.
12-99, as amended
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