Representatives to the Negotiations of the Double Taxation Agreement Between the Republic of the Philippines and the United Mexican States
DOF Department Order No. 102-14 • Department of Finance • DOF Orders • Dec 9, 2014
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December 9, 2014 DOF DEPARTMENT ORDER NO. 102-14 SUBJECT : Representatives to the Negotiations of the Double Taxation Agreement Between the Republic of the Philippines and the United Mexican States In the exigency of the service, the following officials shall represent their respective offices in the negotiation of the Double Taxation Agreement Between the Republic of the Philippines and the United Mexican States to be held on December 15-18, 2014 in Manila, Philippines: Atty. Marissa O. Cabreros Chairperson Assistant Commissioner, Legal Service Bureau of Internal Revenue Atty. Danielle Marie S. Rieza Member Director, Revenue Operations and Legal Affairs Group Department of Finance Atty. Charadine S. Bandon Member OIC Chief, International Tax Affairs Division Bureau of Internal Revenue Atty. Liza Lorelei S. Levardo-Cruz Member OIC Assistant Chief, International Tax Affairs Division Bureau of Internal Revenue Atty. Jason C. Torres Member Tax Treaty Officer, International Tax Affairs Division Bureau of Internal Revenue The following persons shall serve as observers and support staff: Atty. Joseph Christopher Y. Fernandez DOF-ROLAG Atty. Chester Prince R. Abellera DOF-IFG Mr. Ryan L. Tanbengco DOF-IFG Ms. Patricia Irene C. Patdu DOF-IFG Ms. Elsa P. Agustin DOF-DFG Ms. Juvy C. Danofrata DOF-DFG Ms. Anna Paula A. Borgoos BIR-ITAD Ms. Patria Rochelle B. Sayson BIR-ITAD Mr. John Edison O. De Jesus BIR-ITAD The above named persons shall: 1. Review and assess all proposals and issues brought up by the bilateral partner, as well as domestic organizations and agencies (both public and private); 2. Review, evaluate, and provide analysis on issues relating to the Philippines' compliance to international standards on tax treaties; 3. Communicate, coordinate and convene meetings with both public and private institutions (such as, but not limited to, other government agencies, the banking and financial institutions) matters in relation to the above-named Agreement; 4. Review and recommend to the Secretary of Finance and the Commissioner of Internal Revenue, the position that the Philippines should take and the corresponding courses of action to requests by the bilateral treaty partner; and 5. Convey such position to the bilateral partner for negotiation. This Order shall take effect immediately. (SGD.) CESAR V. PURISIMA Secretary Department of Finance
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