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REVENUE REGULATIONS NO. 6 - 2001 Nos. 1-98, 2 …

July 31, 2001 REVENUE REGULATIONS NO. 6 - 2001 SUBJECT :Amending Pertinent Provisions of REVENUE RegulationsNos. 1-98, 2-98, as Amended, and 7-95, as Amended, andRevenue Memorandum Circular No. 1-98 Relative to theInclusion of Additional Taxpayers to be Subject to FinalWithholding Tax, Revision of the Withholding Tax Rateson Certain Income Payments Subject to CreditableWithholding Tax, Time for the Filing of Various TaxReturns and Payment of the Taxes Due Thereon AndOthersTO:All Internal REVENUE Officers and Others Concerned------------------------------- ---------------------------------------- --------------------------------------SE CTION 1.

July 31, 2001 REVENUE REGULATIONS NO. 6 - 2001 SUBJECT : Amending Pertinent Provisions of Revenue Regulations Nos. 1-98, 2-98, as Amended, and 7 …

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Transcription of REVENUE REGULATIONS NO. 6 - 2001 Nos. 1-98, 2 …

1 July 31, 2001 REVENUE REGULATIONS NO. 6 - 2001 SUBJECT :Amending Pertinent Provisions of REVENUE RegulationsNos. 1-98, 2-98, as Amended, and 7-95, as Amended, andRevenue Memorandum Circular No. 1-98 Relative to theInclusion of Additional Taxpayers to be Subject to FinalWithholding Tax, Revision of the Withholding Tax Rateson Certain Income Payments Subject to CreditableWithholding Tax, Time for the Filing of Various TaxReturns and Payment of the Taxes Due Thereon AndOthersTO:All Internal REVENUE Officers and Others Concerned------------------------------- ---------------------------------------- --------------------------------------SE CTION 1.

2 Scope. Pursuant to Section 244 of the Tax Code of 1997,in relation to Sections 25(C), 25(D), 25(E), 57, 58, 59, 81, 114(A), 128(A)(3) and200(B) of the same Code and Presidential Decree ( ) No. 1354, theseRegulations are hereby promulgated, in order to, among others, revise the ratesof withholding tax on certain income payments subject to creditable withholdingtax, and provide for the time for the filing of the various tax returns, and thepayment of the taxes due 2. Income Payments Subject to Final Withholding of REVENUE REGULATIONS No.

3 2-98, as amended, is hereby furtheramended to read as follows: Sec. Income Payments Subject to Final Withholding Tax. The following forms of income shall be subject to final withholding tax at the ratesherein specified:(A) Income payments to a citizen or to a resident alien individualxxxxxxxxx(7) Gross income derived from contracts by subcontractors fromservice contractors engaged in 'petroleum operations' as defined under 87(also known as the 'Oil Exploration and Development Act') in the Philippines 2 Eight percent (8%) of its gross income derived from such contracts in lieu of anyand all taxes, national and local, as imposed under 1354(B)Income Payment to Non-resident Aliens Engaged in Trade orBusiness in the Philippines.

4 - The following forms of income derived fromsources within the Philippines shall be subject to final withholding tax in the handsof a non-resident alien individual engaged in trade or business within thePhilippines, based on the gross amount thereof and at the rates prescribedtherefor:xxxxxxxxx(4)Gross income from all sources within the Philippines derived bynon-resident cinematographic film owners, lessors or distributors - Twenty Fivepercent (25%) For purposes of these REGULATIONS , the term cinematographic film includes motion picture films, films, tapes, discs and other such similar or relatedproducts.

5 (5) Gross income derived from contracts by subcontractors fromservice contractors engaged in 'petroleum operations' as defined under 87(also known as the 'Oil Exploration and Development Act') in the Philippines Eight percent (8%) of its gross income derived from such contracts in lieu of anyand all taxes, national and local, as imposed under 1354xxxxxxxxx(D)Income Derived by Alien Individuals Employed by Regionalor Area Headquarters and Regional Operating Headquarters ofMultinational Companies and Those Employed by Offshore Banking Unitsand Petroleum Service Contractors and Subcontractors.

6 A final withholdingtax equivalent to fifteen percent (15%) shall be withheld by the withholding agentfrom the gross income received by every alien individual occupying managerialand technical positions in regional or area headquarters and regional operatingheadquarters established in the Philippines by multinational companies assalaries, wages, annuities, compensation, remuneration, and other emoluments,such as honoraria and allowances, except income which is subject to the fringebenefits tax, from such regional or area headquarters and regional same tax treatment is applicable to Filipinos employed andoccupying the same positions as those aliens employed by multinationalcompanies, regardless of whether or not there is an alien executive occupying thesame position, provided, that such Filipinos shall have the option to be taxed ateither 15% of gross income or at the regular tax rate on their taxable income inaccordance with the Tax Code of 1997.

7 In case of the latter, the withholding taxrates under Sections and of REVENUE REGULATIONS No. 2-98 shall term multinational company means a foreign firm or entity engagedin international trade with affiliates or subsidiaries or branch offices in the AsiaPacific Region and other foreign markets.(E) Income Derived by Alien Individuals Employed by OffshoreBanking Units. A final withholding tax equivalent to fifteen percent (15%) shallbe withheld by the withholding agent from the gross income of alien individuals3occupying managerial and technical positions in offshore banking unitsestablished in the Philippines, as salaries, wages, annuities, compensation,remuneration, and other emoluments, such as honoraria and allowances receivedfrom such offshore banking same tax treatment is applicable to Filipinos employed andoccupying the same positions as those aliens employed by offshore bankingunits.

8 Regardless of whether or not there is an alien executive occupying the sameposition.(F) Income of Aliens Employed by Foreign Petroleum ServiceContractors and Subcontractors. A final withholding tax equivalent to fifteenpercent (15%) shall be withheld from the gross income of an alien individual whois a permanent resident of a foreign country but who is employed and assigned inthe Philippines by a foreign service contractor or by a foreign servicesubcontractor who is engaged in petroleum operations in the Phiippines.

9 Hisgross income includes salaries, wages, annuities, compensation, remuneration,and other emoluments, such as honoraria and allowances received from suchcontractor or same tax treatment is applicable to Filipinos employed andoccupying the same positions as those aliens employed by foreign petroleumservice contractors and subcontractors, regardless of whether or not there is analien executive occupying the same position.(G) Income Payment to a Domestic Corporation. - The followingitems of income shall be subject to a final withholding tax in the hands of adomestic corporation, based on the gross amount thereof and at the rate of taxprescribed therefor.

10 Xxxxxxxxx(6) Gross income derived from contracts by subcontractors fromservice contractors engaged in 'petroleum operations' as defined under 87(also known as the 'Oil Exploration and Development Act') in the Philippines Eight percent (8%) of its gross income derived from such contracts in lieu of anyand all taxes, national and local, as imposed under 1354(H)Income Payment to a Resident Foreign Corporation. Thefollowing forms of income shall be subject to a final withholding tax in the hands ofa resident foreign corporation, based on the gross amount thereof and at the rateof tax prescribed therefor.


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