Special Second Division: I ES T E S
Special Second Division: I ES T E S
Special Second Division: I ES T E S
COMMISSIONER OF Promulgated:
INTERNAL REVENUE, MAY J
1 1019
Respondent. /
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DECISION
THE FACTS
1
Section 1, Rule VIII of the Internal Rules of the Court of Tax Appeals: "Section 1. case assigned
to a justice for study and report --- Every Division Case, whether appealed or original, assigned to
a Justice for study and report shall be retained by him even if he is transferred to another Division .
The Justice, though transferred, shall write the report with the other members of the Division to
which the case was originally submitted for decision. Their Division shall be called Special (No.)
Division."
DECISION
CfA CASE NO. 9573
Page 2 of 15
On April 15, 2015, petitioner filed its Annual Income Tax Return
(BIR Form No. 1702-RT) for taxable year 2014 and paid the total
income tax payable of P25,904,788.00. 9 prc.--
2 Par. 1, Stipulation of Facts, Joint Stipulation of Facts and Issues (JSFI) docket (Vol. I), p. 323.
3 Par. 5, Stipulation of Facts, JSFI, docket (Vol. I), p. 324.
4 Par. 6, Stipulation of Facts, JSFI, docket (Vol. I), p. 324.
5 Consolidating and Amending Presidential Decree Nos. 1067-A, 1067-B, 1067-C, 1399 and 1632,
Relative to the Franchise and Powers of the Philippine Amusement and Gaming Corporation
(PAGCOR).
6 Par. 7, Stipulation of Facts, JSFI, docket (Vol. I), p. 324.
7 Par. 8, Stipulation of Facts, JSFI, docket (Vol. I), p. 324.
10
Par. 11, Stipulation of Facts, JSFI, docket (Vol. I), p. 324.
11
Par. 13, Stipulation of Facts, JSFI, docket (Vol. I), p. 325.
12 Par. 14, Stipulation of Facts, JSFI, docket (Vol. I), p. 325.
13 Petition for Review, docket (Vol. I), pp. 10-22.
14
Order dated June 16, 2017, docket (Vol. I), p. 170.
1s Docket (Vol. I), pp. 171-177.
DECISION
CTA CASE NO. 9573
Page 4 of 15
15. The decision of Bloom berry Resorts and Hotels, Inc. vs.
BIR was promulgated on August 10, 2016, on the other hand, the
petitioner is citing the aforementioned case relative to its application
for tax refund for prior Taxable Year 2014.
17. In the case Land Bank of the Phil vs. De Leon, the
Supreme Court en Bane declared that:
SO ORDERED.'"
Petitioner's Arguments29
Respondent's Counter-Arguments31
THE ISSUES
XXX XXX
It is settled that Sections 204 and 229 of the Tax Code pertain
to the refund of erroneously or illegally collected taxes. Section 204
applies to administrative claims for refund, while Section 229 applies
to judicial claims for refund. In both instances, the claim must be filed
within two (2) years from the date of payment of the tax or penalty.
Petition for Review with the Court. Both actions must be filed within
two years from the payment of the tax subject of the claim for refund.
the 5% franchise tax only; and, (iv) PAGCOR's income from other
related services is subject to corporate income tax only.
39
Philippine Amusement and Gaming Corporation (PAGCOR} vs. The Bureau of Internal Revenue,
eta!., G.R. No. 215427, December 10, 2014.
40
Income Tax and Franchise Tax Due from the Philippine Amusement and Gaming Corporation
(PAGCOR), Its Contractees and Licensees.
41
Philippine Amusement and Gaming Corporation (PAGCOR) vs. The Bureau of Internal Revenue,
eta!., G.R. No. 215427, December 10, 2014.
DECISION
CTA CASE NO. 9573
Page 12 of 15
42
Bloomberry Resorts and Hotels, Inc. vs. Bureau of Internal Revenue, represented by
Commissioner Kim S. Jacinto-Henares, G.R. No. 212530, August 10, 2016.
43
Philippine Amusement and Gaming Corporation (PAGCOR) vs. The Bureau of Internal Revenue,
eta!., G.R. No. 215427, December 10, 2014.
44
Id
45 Id
DECISION
CTA CASE NO. 9573
Page 13 of 15
Time and again, the Court has consistently held that a claim of
refund or exemption from tax payments must be clearly shown and be ~
46 /d.
47
Bloomberry Resorts and Hotels, Inc. vs. Bureau of Internal Revenue, represented by
Commissioner Kim S. Jacinto-Henares, G.R. No. 212530, August 10, 2016.
DECISION
CfA CASE NO. 9573
Page 14 of 15
SO ORDERED.
~t;W(~c.c;;:t.....&4.L 9.
1'UANITO C. CASTANE6A, JR.
Associate Justice
!CONCUR:
~ 7'-fo~:c.~. . . ~~----
CATHERINE T. MANAHAN
Associate Justice
48
Atlas Consolidated Mining and Development Corporation vs. Commissioner ofInternal Revenue,
G.R. No. 159471, January 26, 2011.
49
Commissioner of Internal Revenue vs. Eastern Telecommunications Philippines, Inc., G.R. No.
163835, July 7, 2010.
DECISION
CTA CASE NO. 9573
Page 15 of 15
ATTESTATION
9.-:a.-.~ c.~;l?.;.;~ ~
.KIANITO c. CASTANEDA, JR.
Associate Justice
Chairperson
CERTIFICATION
ROMAN G. DE ROSARIO
Presiding Justice