ITAD Ruling No. 050-03
ITAD Ruling No. 050-03 • Bureau of Internal Revenue (BIR) Issuances • International Tax Affairs Division (ITAD) Rulings • Apr 8, 2003
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April 8, 2003 ITAD RULING NO. 050-03 Art. 10, RP-Netherlands Tax treaty BIR Ruling No. ITAD-106-00 Montilla Law Office 2nd Floor, Casa Maritima 651 Gen. Luna Street, Intramuros, Manila Attention: Mr. Noel L. Montilla Gentlemen : This refers to your letter dated January 7, 2003, on behalf of your client, APL Logistics Philippines, Inc. (APL-Philippines), requesting confirmation that its dividend payments to APL Logistics Europe B. V. (APL-Netherlands) are subject to the 10% preferential tax rate pursuant to the RP-Netherlands tax treaty. It is represented that APL-Netherlands is a corporation organized and existing under the laws of The Netherlands with principal office address at 3161GH Rhoon, The Netherlands, Stationsstraat 57; that it is not registered either as a corporation or as a partnership and has not been licensed to do business in the Philippines per certification dated November 14, 2002 issued by the Securities and Exchange Commission; that APL-Philippines is a corporation organized and existing under the laws of the Philippines with principal office address at Ground Floor, VELCO Centre, Robert S. Oca corner Antonio C. Delgado Streets, Port Area, Manila; that APL-Netherlands is the registered owner of 4,995 shares out of the outstanding issued shares of 5,000 or equivalent to almost 99% of the authorized capital stock of APL-Philippines; that on September 2, 2002, The Board of Directors declared a cash dividend in the amount of P90,000,000.00 to the stockholders of record as of September 15, 2002 payable on December 2, 2002. In reply, please be informed that Article 10 of the RP-Netherlands tax treaty provides: "Article 10 "DIVIDEND "1. Dividends paid by a company which is a resident of one of the States to a resident of the other State may be taxed in that other State. "2. However, such dividends may also be taxed in the State of which the company paying the dividends is a resident and according to the laws of that State, but if the recipient is the beneficial owner of the dividends the tax so charged shall not exceed: "(a) 10 per cent of the gross amount of the dividends if the recipient is a company the capital of which is wholly or partly divided into shares and which holds directly at least 10 per cent of the capital of the company paying the dividends; "(b) 15 per cent of the gross amount of the dividends in all other cases. "3. . . . "4. . . . "5. The term "dividends" as used in this Article means income from shares, "jouissance" shares or "jouissance" rights, mining shares, founders' shares or other rights participating in profits, as well as income from debt-claims participating in profits and income from other corporate rights which is subjected to the same taxation treatment as income from shares by the taxation law of the State of which the company making the distribution is a resident. "xxx xxx xxx" Based on the aforequoted provisions, the dividends paid by a Philippine company to a resident of The Netherlands may be taxed at a rate not exceeding ten percent (10%) of the gross amount of the dividends if the recipient is the beneficial owner of such dividends and a company which holds directly at least ten percent (10%) of the capital of the Philippine corporation. Accordingly, inasmuch as APL-Netherlands holds 99% of the authorized capital stock of APL-Philippines, this Office is of the opinion and so holds that the dividends remitted by APL-Philippines to APL-Netherlands are subject to the preferential rate of ten percent (10%), pursuant to Article 10(2)(a) of the Philippines-Netherlands tax treaty. ( BIR Ruling No. ITAD 106-00 dated August 9, 2000 ) This ruling is issued based on facts as represented. However, if upon investigation it shall be disclosed that the facts are different, then this ruling shall be without force and effect insofar as the herein parties are concerned. HAECID Very truly yours, Commissioner of Internal Revenue By: (SGD.) MILAGROS V. REGALADO Assistant Commissioner Legal Service
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