Romig vs. CIR
Romig vs. CIR
Romig vs. CIR
SECOND DIVISION
COMMISSIONER OF INTERNAL
REVENUE, Promulgated:
Respondent.
SEP 0 2 2019
L..
x-------------------------------------------------------------------------~-----------x
t f.'rVt" ·
DECISION
MINDARO-GRULLA, J.:
1
Docket, Joint Stipulation of Facts and Issues, Admitted Facts, Item 1, p. 191.
c
CfA CASE NO. 9626 Page 2 of 19
DECISION
Internal Revenue Code of 1997 ("Tax Code''), and other tax laws,
rules and regulations. He may be served with summons, pleadings
and other processes at his office at the BIR National Office Building,
BIR Road, Diliman, Quezon City.
2
Docket, Joint Stipulation of Facts and Issues, Admitted Facts, Item 1, p. 191.
3 Docket, Joint Stipulation of Facts and Issues, Admitted Facts, Item 1, p. 191.
4 Docket, Exhibit "P-5", p. 263.
5 Docket, Joint Stipulation of Facts and Issues, Admitted Facts, Item 3, p. 192.
6 Docket, Exhibit "P-11", pp. 275-277.
7
Docket, Exhibit "P-11", pp. 275-277.
8 Docket, Exhibit "P-6", pp. 264-265.
9 Docket, Exhibit "P-6-1", p. 266.
10 Docket, Exhibit "P-15", pp. 281-284.
11
An Act Instituting a Foreign Currency Deposit System in the Philippines, and for Other
Purposes.
12 Authorizing the Establishment of an Offshore Banking System in the Philippines.
13 Expanding the Authority of Certain Depository Banks under R.A. No. 6426 and for Other
Purposes.
c
CTA CASE NO. 9626 Page 3 of 19
DECISION
14
Docket, Exhibit "P-7", p. 267.
15 Docket, Exhibit "P-7-1", p. 268.
16
Docket, Joint Stipulation of Facts and Issues, Admitted Facts, Item 4, p. 192.
17 Docket, pp. 12-60.
18
Docket, p. 63.
19 Docket, pp. 64-67.
20 Docket, n 68.
21 Docket, pp. 70-73.
22 Docket, Resolution dated September 14, 2017, pp. 77.
23 Docket, pp. 78-82.
24 Docket, p. 35.
25
Docket, pp. 86-94.
L
CfA CASE NO. 9626 Page 4 of 19
DECISION
AFFIRMATIVE DEFENSES
xxxx
t,
CTA CASE NO. 9626 Page 5 of 19
DECISION
RULE 16
Motion to Dismiss
t.
CTA CASE NO. 9626 Page 6 of 19
DECISION
XXX
XXX
(j) That a condition precedent for filing the claim has not
been complied with.
L
CTA CASE NO. 9626 Page 7 of 19
DECISION
Exhibit: Description:
P-1 Certification of Birth File No. 1877460-49 issued
by the Department of Health Vital Records of the
Commonwealth of Pennsylvania
P-2 Certificate of Death with Registry No. 2011-19
issued by the National Statistics Office
P-3 Certificate of Marriage with Registry No. 2009-
132 issued by the National Statistics Office
P-4 Petitioner's Bureau of Internal Revenue (BIR)
Registration Form (BIR Form No. 1904) with
Taxpayer Identification No. 422-197-856-000
P-5 Certificate of Residency issued by Barangay
Aguada, Poblacion, Puerto Gal era, Oriental
Mindoro on January 31, 2018
P-6 Petitioner's Original Estate Tax Return (BIR Form
No. 1801) filed on May 18, 2012
P-6-1 BIR Tax Payment Deposit Slip issued by the
Development Bank of the Philippines Calapan
Branch on May 18, 2012
P-7 Petitioner's Amended Estate Tax Return (BIR
--··
Form No. 1801) filed on June 30, 2015
P-7-1 BTR-BIT Payment Slip issued by the Philippine
National Bank Calapan Branch on June 30 2015
P-8 Condominium Certificate of Title No. 0-84 issued
on November 27, 1998 for the Condominium Unit
at "The Moorings", Balatero, Puerto Galera,
Oriental Mindoro
P-9 Certification dated February 8, 2012 issued by the
Hongkong and Shanghai Banking Corporation
L
CTA CASE NO. 9626 Page 8 of 19
DECISION
41
Docket, Order dated January 21, 2019, p. 322.
42 Docket, Resolution dated April 8, 2019, p. 354.
43 Docket, pp. 327-335.
44 Docket, pp. 336-352.
L
CTA CASE NO. 9626 Page 9 of 19
DECISION
Petitioner's Arguments45
Petitioner avers that the Court has jurisdiction over the Petition
for Review considering that petitioner timely filed its administrative
and judicial claims for refund. Petitioner also maintains that on the
basis of Section 6 of R.A. No. 6426, as amended, and BIR rulings, it is
exempt from estate tax. Consequently, there was no basis for
respondent to assess or collect estate tax on petitioner's HSBC USD
Savings Account, and petitioner is entitled to the refund of the
amount of P4,565,349.07, representing erroneously paid estate tax,
interest, and penalties on the HSBC USD Savings Account.
Respondent's Counter-Arguments46
t..
CTA CASE NO. 9626 Page 10 of 19
DECISION
ISSUE
47
Docket, Joint Stipulation of Facts and Issues, Issue, Item 5, p. 192.
l.
CrA CASE NO. 9626 Page 11 of 19
DECISION
Thus, the settled rule is that both the claim for refund with the
BIR and the subsequent appeal to the Court of Tax Appeals must be
4
B G.R. No. 216130, August 3, 2016.
t
CTA CASE NO. 9626 Page 12 of 19
DECISION
filed within the two-year period from the date of payment of the
tax. 49
49
Commissioner of Internal Revenue vs. Victorias Milling Co., Inc. and The Court of Tax Appeals,
G.R. No. L-24108, January 3, 1968.
so Docket, Exhibit "P-16", pp. 285-293.
51
Docket (Vol. I), Petition for Review, pp. 10-85.
52
Commissioner of Internal Revenue vs. Goodyear Philippines, Inc., G.R. No. 216130, August 3,
2016.
53
Commissioner of Internal Revenue vs. Goodyear Philippines, Inc., G.R. No. 216130, August 3,
2016.
t-
CTA CASE NO. 9626 Page 13 of 19
DECISION
54RepubliC.Qf the Philippines, rep. by the Commissioner of Customs vs. Philippine Airlines, Inc.
(PAL}, G.R. Nos. 209353-54 and 211733-34, July 6, 2015.
t
CfA CASE NO. 9626 Page 14 of 19
DECISION
Indeed, as things stand, R.A. No. 6426 has not been revoked
by the NIRC of 1997. Or to be more precise, the tax exemption of
t
CTA CASE NO. 9626 Page 15 of 19
DECISION
The rule is that where there are two acts, one of which is
special and particular and the other general which, if standing alone,
would include the same matter and thus conflict with the special act,
the special law must prevail since it evinces the legislative intent
more clearly than that of a general statute and must not be taken as
intended to affect the more particular and specific provisions of the
earlier act, unless it is absolutely necessary so to construe it in order
to give its words any meaning at all. 56
55
Commissioner of Internal Revenue, et a!. vs. Phtlippine Airlines, Inc., G.R. No. 215705,
February 22, 2017.
56
Liwayway Vinzons-Chato vs. Fortune Tobaco Corporation, G.R. No. 141309, June 19, 2007.
57
Liwayway Vinzons-Chato vs. Fortune Tobaco Corporation, G.R. No. 141309, June 19, 2007.
58
Sec. 6, R.A. No. 6426.
?
erA CASE NO. 9626 Page 16 of 19
DECISION
Taking judicial notice of acts of the BSP is well within the ambit
of the law. Section 1 of Rule 129 of the Revised Rules on Evidence
provides:
t
CTA CASE NO. 9626 Page 17 of 19
DECISION
60 Spouses Omar and Moshiera Latip vs. Rosalie Palafia Chua/ G.R. No. 177809/ October 16/
2009.
61 G.R. No. 139565, July 21, 2006.
62 Armita B. Rufino/ eta!. vs. Baltazar N. Endriga/ eta!., G.R. No. 139565, July 21, 2006.
t
CTA CASE NO. 9626 Page 18 of 19
DECISION
SO ORDERED.
~~.M~~-G~
CIELITO N. MINDARO-GRULLA
Associate Justice
WE CONCUR:
~~~c.~~ <l.
fOANITO C. CASTANEDA, iR.
Associate Justice
'
JEAN MA~
~~iate
BACORRO-VILLENA
Justice
ATTESTATION
~~rc;:-c.Ca...i:t-~~, Sl
fUANITO C. CASTANEDA, Jlt' .
Associate Justice
2nd Division Chairperson
CTA CASE NO. 9626 Page 19 of 19
DECISION
CERTIFICATION
Presiding Justice