Land Bank of the Philippines
BIR Ruling [DA-(TSF-008) 582-09] • Bureau of Internal Revenue (BIR) Issuances • Rulings (Unnumbered) • Oct 6, 2009
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October 6, 2009 BIR RULING [DA-(TSF-008) 582-09] Land Bank of the Philippines Landbank Plaza, 1598 M.H. del Pilar cor. Dr. J. Quintos Sts. Malate, Manila Attention: Atty. Reynauld R. Villafuerte PF Legal Counsel Gentlemen : This refers to your letter dated July 27, 2009, requesting for an updated certification and/or Tax Exemption Clearance on the payment of interest income derived by the LBP Provident Fund from its bank deposits, deposit substitutes, trust funds and/or similar or like arrangements/investments. TAESDH In reply, please be informed that the LBP Provident Fund, being an employees' trust remains exempt from income tax under Section 32 (B) (6) (a) of the Tax Code of 1997, as amended, and that the income of the trust fund from its investments are exempt from income tax provided that in its investment activities, no part of the corpus or income of the fund shall be used for or diverted to purposes other than for the exclusive benefit of the member-employees or their beneficiaries. LBP Provident Fund is likewise not subject to the 20% final tax on interest and/or yield on deposit substitute instruments and interest on its Philippine Currency bank deposits. ( CIR vs. GCL Retirement Plan, G.R. 95022, March 20, 1993 ) 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.) JAMES H. ROLDAN Assistant Commissioner Legal Service
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