All field audit and other field operations of the Bureau of Internal Revenue relative to examinations and verifications of taxpayers’ books of accounts, records and other transactions are hereby ordered suspended for the period December 15,2O2O to January 7,2021. Thus, no field audit, field operations, or any form of business visitation in execution of eLettersContinue reading “Suspension of All Audit and other Field Operations of the Bureau of Internal Revenue Effective December 15, 2O2O (RMC 127-2020)”
Category Archives: Assessments
Modified Tax Assessments Procedures
Modified Tax Assessments Procedures (RMC 102-2020 and RR 22-2020) Highlights Notice of Discrepancy (NOD) – The NOD aims to fully afford the taxpayer with an opportunity to present and explain his side on the discrepancy found. Discussion of Discrepancy (DOD) – Should not extend beyond 30 days from the receipts of NOD. It is duringContinue reading “Modified Tax Assessments Procedures”
On Letter Notice (LN)
Letter Notice (LN) is considered notice of audit or investigation as far as amendments of Returns. Once taxpayer received an LN, taxpayer can no longer amend tax returns in relation to the years covered by the LN. The guidelines provided under RMC 40-2003 in the issuance of LN has been upheld in the CTA CaseContinue reading “On Letter Notice (LN)”
On Reinvestigation and Reconsideration
The request for reinvestigation and reconsideration was in effect considered denied by CIR when the latter filed a civil suit for collection of defiency income tax. – CIR vs Union Shipping, G.R. No. L-66160, May 21, 1990.
On PAN
Revenue Regulation No. 12-99, September 6, 1999. 3.1.2 Preliminary Assessment Notice (PAN). If after review and evaluation by the Assessment Division, or by the Commissioner or his duly authorized representative, as the case may be, it is determined that there exists sufficient basis to assess the taxpayer for any deficiency tax or taxes, the saidContinue reading “On PAN”
On LOA
GR#222743, April 5, 2017Medicard vs CIR Highlights The absence of a LOA violated Medicars’ right to due process.An LOA is the authority given to the appropriate revenue officer assigned to perform assessment functions. It empowers or enables said revenue officer to examine the books of account and other accounting records of a taxpayer for theContinue reading “On LOA”