Taxability of an Income Which is Earned in the Philippines
BIR Ruling No. 626-59 • Bureau of Internal Revenue (BIR) Issuances • Rulings (Numbered) • Dec 2, 1959
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December 2, 1959 BIR RULING NO. 626-59 Mr. Herbert Fullard Yupango Cotton Mills, Inc. Buendia, Makati, Rizal S i r : This has reference to your letter dated February 20 1959, requesting a ruling on the query below: "Do you consider that income which is earned in the Philippines and which only becomes due to a person after leaving the country taxable or not. "I am in particular referring to leave pay which is due to myself after the termination of my stay in the country. I am here on a contract of 3-year basis" In reply thereto, I have the honor to inform you that your query is answered in the affirmative. Very truly yours, (SGD.) MELECIO R. DOMINGO Commissioner of Internal Revenue
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