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BIR Ruling [DA-581-99]

BIR Ruling [DA-581-99] • Bureau of Internal Revenue (BIR) Issuances • Rulings (Unnumbered) • Oct 6, 1999

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October 6, 1999 BIR RULING [DA-581-99] Cruz-Feliciano Law Offices 3rd Floor, Feliciano Building 7426 Santillan Makati City Attention: Atty . Myrna Cruz-Feliciano Gentlemen : This refers to your letter dated May 6, 1999 requesting for a ruling that the donation by IUBI Insurance Intermediary Corporation (Donor) of two (2) parcels of land in favor of Salesian Society of St. John Bosco is exempt from the payment of donor's tax and documentary stamp tax. prcd It is represented that the Donor is the registered owner in fee simple of a parcel of land situated in the Barrio of Proper Bansud, Municipality of Bansud, Province of Oriental Mindoro containing an area of 42,003 square meters and covered by TCT No. 99678 issued by the Registry of Deeds for the Province of Oriental Mindoro; that Donor caused the subdivision of the above-mentioned parcel of land into six (6) lots, namely Lots 1, 2, 3, 4, 5 and 6; that Salesian Society of St. John Bosco, on the other hand, is a corporation sole duly organized and existing under the laws of the Philippines with principal office address at Pasong Tamo corner Arnaiz Avenue, Makati City; that for and in consideration of the love and affection which the Donor has for Salesian Society of St. John Bosco and the former's esteem for the latter's dedication to the total human and spiritual development of a person, with particular concern for the care, dedication and religious formation of the youth, the Donor by way of Deed of Donation transferred and conveyed to Salesian Society of St. John Bosco two (2) parcels of land, namely Lot 2 with an area of 8,898 square meters and Lot 5 with an area of 1,130 square meters; and that the Donor hereby states that the said Donation is not made with the object of defrauding creditors, having reserved for itself sufficient property to answer for any liability it may have in favor of third persons. In reply, please be informed that since the donee is a religious organization, the aforementioned donation is exempt from the payment of donor's tax pursuant to Section 101(A)(3) of the Tax Code of 1997, subject to the condition that not more than 30% of said gift shall be used by the donee for administration purpose. Moreover, the aforesaid Deed of Donation is not subject to documentary stamp tax prescribed under Section 196 of the Tax Code of 1997 but only to the documentary stamp tax of P15.00 imposed under Section 188 of the same Code. (BIR Ruling No. 032-94 dated February 3, 1994) LexLib This ruling is being issued on the basis of the foregoing facts as represented. However, if upon investigation, it will be disclosed that the facts are different, then this ruling shall be considered null and void. Very truly yours, Commissioner of Internal Revenue By: (SGD.) SIXTO S. ESQUIVIAS IV Deputy Commissioner (Legal & Enforcement Group)

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