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BIR Ruling [DA-714-06]

BIR Ruling [DA-714-06] • Bureau of Internal Revenue (BIR) Issuances • Rulings (Unnumbered) • Dec 14, 2006

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December 14, 2006 BIR RULING [DA-714-06] 46, 47; DA-370-99 Oriental and Motolite Corporation 80-82 Roces Avenue Diliman, Quezon City Attention: Ms. Josephine P. Magno Tax Manager Gentlemen : This refers to your letter dated November 9, 2006 requesting for an authority to change your accounting period from fiscal year ending March 31 to calendar year ending December 31. The change in accounting period is aimed at aligning your accounting period with that of your sister companies. In reply, please be informed that your request is hereby granted, provided, you comply with the provisions of Sections 46 and 47 of the Tax Code of 1997, which state: "SEC. 46. Change of Accounting Period. If a taxpayer, other than an individual, changes his accounting period from fiscal year to calendar year, from calendar year to fiscal year, or from one fiscal year to another, the net income shall, with the approval of the Commissioner, be computed on the basis of such new accounting period, subject to the provisions of Section 47. "SEC. 47. Final or Adjustment Returns for a Period of less than Twelve (12) Months. "(A) Returns for Short Period Resulting from Change of Accounting Period. If a taxpayer, other than an individual, with the approval of the Commissioner, changes the basis of computing net income from fiscal year to calendar year, a separate final or adjustment return shall be made for the period between the close of the last fiscal year for which return was made and the following December 31. If the change is from calendar year to fiscal year, a separate final or adjustment return shall be made for the period between the close of the last calendar year for which return was made and the date designated as the close of the fiscal year. If the change is from one fiscal year to another fiscal year, a separate final or adjustment return shall be made for the period between the close of the former fiscal year and the date designated as the close of the new fiscal year. ECcDAH "(B) Income Computed on Basis of Short Period. Where a separate final or adjustment return is made under Subsection (A) on account of a change in the accounting period, and in all other cases where a separate final or adjustment return is required or permitted by rules and regulations prescribed by the Secretary of Finance, upon recommendation of the Commissioner, to be made for a fractional part of a year, then the income shall be computed on the basis of the period for which separate final or adjustment return is made." Accordingly, Oriental and Motolite Corporation should file a separate final or adjustment return for the period corresponding to April 1 to December 31, 2006, which is the period between the close of the fiscal year for which a return was made and the date designated as the close of the calendar year. This ruling is being issued on the basis of the foregoing facts as represented. However, if upon investigation, it will be ascertained that the facts are different, then this ruling shall be considered as null and void. Very truly yours, Commissioner of Internal Revenue By: (SGD.) JAMES H. ROLDAN Assistant Commissioner Legal Service

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