BIR Ruling
BIR Ruling • Bureau of Internal Revenue (BIR) Issuances • Rulings (Unnumbered) • Oct 21, 1976
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October 21, 1976 Sycip, Gorres, Velayo & Co. P.O. Box 589, Manila Attention: Mr . M . Gutierrez Tax Division Gentlemen : This refers to your letter dated October 6, 1975 requesting a certification from this Office that the dividends which your client, B.F. Goodrich Philippines, Inc. will remit to B.F. Goodrich Co. U.S., is subject to withholding tax at the rate of 15%, instead of 35%. aisa dc It appears that your client is a domestic corporation; that 53.89% of the stockholding of your client is owned by the aforenamed recipient corporation; and that said corporation is a non-resident foreign corporation domiciled in U.S. In view thereof, and considering that under the present provisions of the U.S. Federal Code, the amount of tax deemed paid on such dividends, and accordingly, to be credited against U.S. tax on said dividends, exceeds the 20% requirement of Presidential Decree No. 369, this Office hereby certifies that the dividends which your client will remit to B.F. Goodrich Co. U.S. domiciled in U.S., are subject to withholding tax at the rate of 15% only. (B.I.R. Ruling No. 76-004 dated July 19, 1976) cdt Very truly yours, EFREN I. PLANA Acting Commissioner of Internal Revenue TAN-1456-040-3 "TAXPAYERS SHOULD INDICATE THEIR TAN IN ALL COMMUNICATIONS TO THE BIR."
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