Monday, September 26, 2016

‘Issue-based’ VAT audits are coming

Assessment and collection of taxes -- these are the two chief functions of the Bureau of Internal Revenue (BIR), which is tasked to interpret and implement the provisions of the National Internal Revenue Code of 1997, as amended. To meet the objective, the Tax Code grants broad powers to the Commissioner of Internal Revenue which includes the power to authorize the examination of any taxpayer and the assessment of the correct amount of tax through the examination of any book, paper, record, or other data which may be relevant or material to such inquiry -- commonly known as tax audits.

Recently, the BIR lifted the suspension of tax audits pursuant to Revenue Memorandum Circular No. 91-2016. In the same direction, pursuant to Revenue Memorandum Order (RMO) No. 59-2016, the BIR introduced the “issue-based” approach of audit under the enhanced Value-Added Tax (VAT) Audit Program (VAP) which aims to focus on the analysis of specific identified risks, to increase collections, and to enhance voluntary compliance by focusing on quality audit of VAT returns.

As compared to its predecessor, the enhanced audit program revised the selection criteria (mandatory and priority) of taxpayers under the following cases:

Mandatory Case: 


1. Taxpayers with VAT returns reflecting erroneous input tax carry-over.

Priority Cases: 


1. Taxpayers whose VAT compliance is below the established industry benchmarks;

2. Taxpayers with zero-rated and/or exempt sales due to availment of tax incentives or exemptions; 

3. Taxpayers engaged in business where 80%, more or less, of their transactions are on a cash basis and whose purchases of goods and services do not generate substantial amount of input tax, such as restaurants, remittance/payment centers, etc.; 

4. Taxpayers with VATable transactions which were subjected to expanded withholding tax but with no VAT remittance;

5. Taxpayers who failed to remit/declare VAT due from purchase of services from non-resident aliens; 

6. Taxpayers who fail to declare gross sales/receipts subjected to VAT withholding on purchases of goods/services with waiver of privilege to claim input tax credit [creditable];

7. Taxpayers whose gross sales/receipts per income tax returns are greater than gross sales/receipts declared per VAT returns; and

8. Taxpayers filing percentage tax returns whose gross sales/receipts exceed the VAT threshold.

As noted above, the VAP prioritizes the taxpayers whose VAT compliance is below the established industry benchmarks. One may recall that the BIR has adopted the “benchmarking method” which establishes pre-determined standards or criteria to measure taxpayers’ level of compliance on a per industry basis. This audit method was introduced by the BIR as early as 2006 and was recently reiterated in the 2015 BIR Audit Program for the regular tax audits. While we recognize that this measure will assist the BIR in its objective of setting an industry standard for taxpayer performance, the BIR should exercise caution in light of unfavorable taxpayer experience relating to arbitrary classification through the application of a one-size fits all standard of audit for taxpayers’ in the same industry. The BIR should remember that classes of taxpayers within an industry group exist because of substantial distinctions (e.g., a large manufacturing company vs. a small-medium manufacturing company). Hence, a benchmark for a particular class of taxpayer is not necessarily applicable to a different class of taxpayer within the same industry.

In line with this, the RO assigned shall perform audit analysis and prepare an Audit Plan for each case to determine the scope of the audit and to ensure that the audit activity is properly planned to address the identified risks. The challenge now is how to apply the safeguards to ensure quality audit. 

As regards the revised procedures, another welcome development is the return of the Notice of Informal Conference (NIC) stage in the VAP. Under the reporting process, the taxpayer shall be given the opportunity to present its explanations and the related documents. Under the current rules in the conduct of regular audit, the issuance of Preliminary Assessment Notice (PAN) and Final Assessment Notice (FAN) will be in accordance with existing revenue issuances excluding the NIC stage. With the proper enforcement of this procedure, taxpayers are given more time to evaluate BIR’s findings. 

Also, in case there are deficiency VAT liabilities as result of the audit, any deficiency taxes agreed to be paid by the taxpayer, should have, at the very least, duly issued Preliminary Assessment Notice. Hence, taxpayers are encouraged to undergo the due process requirement in the issuance of a deficiency tax assessment and take advantage of all the remedies available to all taxpayers.

Moreover, it is interesting to note that Revenue Officers (RO) are given within sixty (60) and ninety (90) days covering one (1) and two (2) quarters, respectively, to finish their cases and submit reports of investigation from the date of issuance of electronic letters of authority. This is a welcome development since this will not somehow prolong the agony of the taxpayer under audit (at least a taxpayer is aware that its case will not take forever). But the question is whether or not the 60 or 90 day period will suffice to produce quality audits considering the existing workload of ROs. Or will it only bring additional burden to the already clogged case dockets of the BIR? 

It is clear that the objective of the VAP is to increase collections and enhance taxpayers’ voluntary compliance by focusing on specific and identified risks in the VAT returns. In this light, while we appreciate the BIR’s efforts to ensure more transparent rules on tax audits, we believe that the RMO can better serve its purpose by providing clearer information on how the pre-determined standards or criteria are formulated; consider taxpayers whose VAT compliance is below the established industry benchmarks compliant as long as the difference or decrease in VAT payments are justified; and to consider evaluating further the timeline within which the ROs can finish their cases and submit reports to the advantage of both stakeholders.

After all, the BIR’s operational procedures should be convenient, just and effective, to raise the level of voluntary compliance, thereby allowing the government to raise much-needed revenue for nation-building.

Daryl Matthew A. Sales is a tax manager of the Tax Advisory and Compliance Division of Punongbayan & Araullo.

Thursday, September 15, 2016

Gov't bats for lower flat tax rate for deposits, securities

MANILA, Philippines — More depositors and investors could be encouraged to park their money with the banks or let them grow in the financial system once a planned flat tax rate of 10 percent becomes a reality.
 
The proposal is part of the government's comprehensive tax reform program, composed of four packages which will be filed one by one beginning later this month.
 
"We propose to harmonize all capital income taxes regardless of currency, maturity and type towards 10 percent," Finance Secretary Carlos Dominguez was quoted in a statement.
 
"This way, the poor pay less on the interest income and the rich pay more," he told the House ways and means committee last Tuesday.
 
Capital income taxes pertain to final levies charged on bank deposit earnings as well as interest income from investments in bonds.
 
Under the present law, peso deposits are charged differently depending on their maturities, with those parked for less than three years being slapped a rate of 20 percent.
 
Money staying put for three to less than four years are taxed 12 percent, four to less than five years with 5 percent, while those for longer periods are tax-free.
 
Foreign currency deposits, meanwhile, have a fixed 7.5-percent rate, while interest from investing in bonds are levied 20 percent.
 
Dominguez said retail depositors with a small amount of money do not even feel the benefits of saving in the bank.
 
"Small depositors are burdened with high tax rates because they save less and cannot keep their money in banks for a long time, while rich depositors, who park their money in banks because they do not have an immediate need for it, are not taxed," he said.
 
"Is that fair?" he asked.
 
A total of 51.86 trillion accounts had deposits worth P9.41 trillion as of the first quarter, central bank data showed. Of that, more than 90 percent were savings accounts.
 
Of the 46.91 trillion savings accounts, 32.14 million contain P5,000 and below. 
 
Separate data showed the government earned P23.31 billion from taxes on deposits and state securities as of June. They accounted for just nearly 3 percent of the total.
 
"That is very positive to the ordinary citizen and encourage savings," central bank deputy governor Nestor Espenilla Jr. said in a text message.
 
"More savings expands the stable funding base of the banking system that supports more loans and investments," he added.

source: Philippine Star

Duterte tax plan ‘right way to go’ -- IMF

THE INTERNATIONAL Monetary Fund (IMF) backs the current tax reform proposal of the Finance department, noting the host of “well-structured” packages would help boost revenue collection even as income taxes are bound to go down.

IMF Country Representative Shanaka Jayanath Peiris said the set of changes drafted by the Department of Finance (DoF) is on the right track to a more progressive taxation system that will also raise additional funds to support a hike in public investments.

“We are very supportive of the tax reform. All aspects are very much in line with what we have thought of for a long time,” Mr. Peiris said in an interview on the sidelines of the AVCJ Private Equity & Venture Forum in Makati City yesterday.

Finance Secretary Carlos G. Dominguez III on Tuesday presented a rough outline of the administration’s proposed tax reforms before the House of Representatives, which if passed will cumulatively yield a net revenue gain of P368.1 billion by 2019.

The plan is split into five packages, the first of which covers the planned reduction in income tax rates to be offset by removing exemptions from value-added tax, higher fuel excise taxes and a similar levy on sweetened products.

The Cabinet official said the proposed measures are designed to make the rich pay more and to give the poor some relief.

Speaking to reporters on the sidelines of an oath-taking ceremony in Manila, Mr. Dominguez said the income tax rate for taxpayers earning P3-5 million will remain at 32%, the current tax rate for most income brackets. Those making more than P5 million annually will be levied a 35% rate. For employees earning below P3 million, the tax rate will decrease annually until it reaches the 25% threshold. All-in-all, the new personal income tax scheme will slash the number of tax brackets to five or six from the current seven to prevent “income creeping.”

Mr. Dominguez said higher taxes for the richer Filipinos should not be a big concern -- even if they move investments abroad -- as there are less than a thousand wage earners earning more than P5 million a year.

“And [the cost of raising tax rates] from 32% to 35%, it’s only P60,000,” Mr. Dominguez explained, adding that “if somebody would spend so much money to set up a company in Hong Kong to divert the money, he would have done it already.”

Income tax rates in the Philippines are deemed among the highest in Southeast Asia, making it less attractive for foreign firms to invest here.

The personal income tax reform package will be submitted to Congress before the end of the month, to be followed by the corporate income tax package, property tax package and capital income tax package, respectively.

“If Congress has the appetite, we can accelerate it,” Mr. Dominguez said of the timetable for submission of the tax reform packages.

The plan to trim the corporate income tax rate to 25% from 30% will be offset by streamlining tax incentives granted to companies.

Lower estate and donor’s taxes will be made up for by increased property valuation rates to raise more funds for local governments, Mr. Dominguez added.

A set of additional luxury taxes -- which include imposing higher duties on fancy cars and yachts, duties on fatty food, and income taxes from lotto and casino winnings -- may be considered in the future should there be a need to “augment” tax collections, Mr. Dominguez said, noting this package raise P129.4 billion more.

IMF’s Mr. Peiris said the DoF’s decision to present various tax adjustments by cluster is a good design that would ensure that changes would be balanced, as any revenue-eroding proposal would be matched by new or additional sources of taxes.

“The initial view is it seems like the tax reform packages have been well-structured and sequenced exactly to avoid some of those pitfalls,” the IMF official said.

“We think the tax reform packages have been structured and it’s the right way to go… These packages should be passed together to ensure you have a revenue-enhancing and inclusive growth package.”

Plans to reduce personal and corporate income taxes are positive for overall growth, the IMF said in its annual health check on the Philippine economy last July.

Mr. Peiris said the IMF is poised to revise upward its growth forecast for the Philippine economy -- currently at 6% -- following a faster-than-expected 6.9% expansion last semester. He noted that increased public spending would be required to sustain robust economic growth, hence the need for bigger revenues.

“The key thing for the Philippines is the revenue ratio is relatively low, and public investment -- although increasing -- is still low,” the IMF official added.

“Even if you raise the deficit from 2% to 3% [of GDP], it’s still not enough to achieve the investment targets. Very clearly, we need revenue reform to put money into public investment.”

Tax effort stood at 13.7% of GDP last year, far short of Southeast Asia’s 15% average.

Total collections hit P2.109 trillion in 2015, up by a tenth from the previous year but 7% short of target, according to Treasury data.

The government plans to raise as much as P2.257 trillion this year, with more than half -- some P1.271 trillion -- raised in the first seven months.

Economic managers of President Rodrigo R. Duterte have raised the deficit cap to about 2.7% of GDP for this year and to 3% annually from 2017 to 2022, as the government embarks on more “audacious” spending to plug the country’s infrastructure gap and infuse more funds for social services.

In particular, Budget Secretary Benjamin E. Diokno expects infrastructure spending to reach P7 trillion for the next five years. -- with Lucia Edna P. de Guzman


source:  Businessworld

Tuesday, September 13, 2016

Revenue officials assure reforms to make tax regime equitable, yield net collection

STATE revenue officials yesterday presented to lawmakers the general outline of a new tax regime that will ease the burden on wage earners and yet yield a net collection that will support plans for bigger government spending on infrastructure and social services.

In a briefing to the Ways and Means committee of the House of Representatives, which by law is where tax legislation emanates, Finance Secretary Carlos G. Dominguez III said: “We put the packages together so that there will be a balance between revenue-eroding measures and revenue-enhancing measures.”

Presentation materials showed the reforms will result in a total of P198.3-billion foregone revenues and overall gains of P566.4 billion to yield P368.1 billion in cumulative net collections.
The administration of President Rodrigo R. Duterte, who took office on June 30, last month submitted to Congress a P3.35-trillion national budget proposed for 2017 that is 11.6% more than the P3.002 trillion approved for this year. That plan will see public infrastructure spending increase 13.79% to P860.7 billion equivalent to 5.4% of gross domestic product (GDP) in 2017 from P756.4 billion, or 5.1% of GDP, this year. Tax revenues are targeted to grow 13.16% to P2.313 trillion in 2017 -- equivalent to 14.5% of GDP -- from this year’s programmed P2.044 trillion. Total state disbursements are programmed to increase 11.87% to P2.96 trillion in 2017 -- equivalent to 18.6% of GDP -- from P2.646 trillion this year. That will leave 2017 with a budget deficit of P478.1 billion, equivalent to 3% of GDP, from this year’s programmed P388.9 billion that is equivalent to 2.7% of GDP.

The summary presented to lawmakers yesterday bared five packages, namely:

A proposal to cut personal income tax rate “to 25% over time, except for the highest income earners” from 32% currently, and other related reforms, will result in P159 billion in foregone collections that will be offset by P359.7 billion in gains from removing certain value added tax exemptions (P163.4 billion), increasing the excise tax on oil products and then pegging the rate to inflation from then on (P178.2 billion) as well as imposing an excise tax on sweetened drinks and pegging the rate to inflation (P18.1 billion) besides measures aimed at improving tax administration, to yield P200.7 billion in net collections;

A reduction in corporate income tax (CIT) rate “to 25% over time” from 30% currently will result in P34.8-billion foregone revenues that will be partially offset by a projected P33.8-billion gain by streamlining tax incentives to make sure these benefit only deserving businesses and then phasing out these perks, as well as replacing the 5% gross income tax rate with a reduced CIT rate of 15%, to yield P1 billion in projected net foregone revenues;

A reduction in the rates for estate and donor taxes and transaction charges on land ownership transfers (documentary stamp tax, transfer tax and registration fees) that will cost P3.5-billion foregone revenues that will be offset by additional collections totaling P43.5 billion from rationalizing valuation of properties, increasing valuation closer to market prices and adjusting valuation every three years, to yield P40-billion net collections;

A reduction in the rate of tax on interest income earned on peso deposits and investments to 10% from 20% currently, as well as harmonizing capital income tax rates for dollar deposits and investments, dividends, equity and fixed income placements “towards 10%” and raising the tax rate for stocks traded on the Philippine Stock Exchange to 1% of gross selling price from 0.5% currently that will all result in a cumulative P1-billion foregone revenues;

New taxes on luxury items like cars, yachts and jewelry (P7.7 billion), fatty foods (P20 billion), lottery and casino (P20 billion) as well as a carbon tax (P20 billion), adjusted excise taxes on tobacco and alcohol products (P58.2 billion) and a new mining tax regime (P3.5 billion) are all expected to bring in a total of P129.4 billion. -- L. E. P. de Guzman


source:  Businessworld