Circularizing the Full Text of Unnumbered Memorandum Dated November 12, 2007
Revenue Memorandum Circular No. 74-07 • Bureau of Internal Revenue (BIR) Issuances • Revenue Memorandum Circulars • Nov 12, 2007
Full text
November 12, 2007 REVENUE MEMORANDUM CIRCULAR NO. 74-07 SUBJECT : Circularizing the Full Text of Unnumbered Memorandum Dated November 12, 2007 Regarding "Table Audit of Pre-need Companies" TO : All Internal Revenue Officials, Employees and Others Concerned For the information and guidance of all internal revenue officials, employees and others concerned, quoted hereunder is the full text of Unnumbered Memorandum dated November 12, 2007 regarding "Table Audit of Pre-need Companies", as follows: HDATSI "MEMORANDUM TO : Assistant Commissioner/Head Revenue Executive Assistants of the Large Taxpayers Service, Regional Directors, Revenue District Officers and Others Concerned (Signed) FROM : LILIAN B. HEFTI Commissioner SUBJECT : Table Audit of Pre-need Companies DATE : November 12, 2007 It has come to the attention of the undersigned that, for purposes of computing Value-Added Tax (VAT), most of the Pre-need Companies are using receipts/contract price net of contribution to the trust fund as their taxable base. aAcHCT It is hereby clarified that the taxable base of Pre-need Companies for VAT purposes shall be the gross receipts without any deduction. Such contribution is similar or equated to the recorded "Reserve" in the case of insurance companies, whether life or non-life. Reserve is not deductible, for purposes of determining the taxable gross direct premium/writing for non-life insurance companies as well as life insurance companies. The said tax treatments have already been clarified and reiterated under Revenue Regulations (RR) No. 16-2005, as amended. In view thereof, you are hereby directed to pre-audit the returns of Pre-need Companies to ensure that they are using the correct tax base/gross receipts for purposes of computing the VAT. Companies who will be found to have used incorrect tax base shall immediately be issued Assessment Notice. ADCTac Please be guided accordingly." All concerned are hereby enjoined to be guided accordingly and give this circular a wide publicity as possible. (SGD.) LILIAN B. HEFTI Commissioner of Internal Revenue MEMORANDUM TO : Assistant Commissioner/Head Revenue Executive Assistants of the Large Taxpayers Service, Regional Directors, Revenue District Officers and Others Concerned FROM : LILIAN B. HEFTI Commissioner SUBJECT : Table Audit of Pre-need Companies DATE : November 12, 2007 It has come to the attention of the undersigned that, for purposes of computing Value-Added Tax (VAT), most of the Pre-need Companies are using receipts/contract price net of contribution to the trust fund as their taxable base. TAcSaC It is hereby clarified that the taxable base of Pre-need Companies for VAT purposes shall be the gross receipts without any deduction. Such contribution is similar or equated to the recorded "Reserve" in the case of insurance companies, whether life or non-life. Reserve is not deductible, for purposes of determining the taxable gross direct premium/writing for non-life insurance companies as well as life insurance companies. The said tax treatments have already been clarified and reiterated under Revenue Regulations (RR) No. 16-2005, as amended. In view thereof, you are hereby directed to pre-audit the returns of Pre-need Companies to ensure that they are using the correct tax base/gross receipts for purposes of computing the VAT. Companies who will be found to have used incorrect tax base shall immediately be issued Assessment Notice. SDIaCT Please be guided accordingly.
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