Cta Eb CV 01697 D 2019jan31 Ass
Cta Eb CV 01697 D 2019jan31 Ass
Cta Eb CV 01697 D 2019jan31 Ass
EN BANC
TRUSTMARK HOLDINGS
CORPORATION,
Respondent.
){-----------------------------
JAIII 3:;~·:'~~ ·
Promulgated:
DECISION
SO ORDERED.
SO ORDERED.
4 Exhibit P-1.
5 Exhibit P-2.
6 Exhibit P-4; Exhibit R-1.
7 Exhibit R-5.
8 Exhibit P-5; Exhibit R-7.
9 Exhibit P-7.
10 Exhibits P-6 and P-6-a; Exhibit R-9.
DECISION
CTA EB NO. 1697
Page 4 of 13
11
Exhibits P-8 to P-8-a.
12 Exhibit P-9.
13 Exhibit P-10.
14
Exhibits P-3 to P-3-c; Exhibits R-11 and R-11-a.
15 Exhibit P-11.
DECISION
CTA EB NO. 1697
Page 5 of 13
2007, DA-016-08 dated January 17, 2008, and DA-(C-035) 127-08 dated August 8, 2008;
APC Group, Inc. vs. CIR, CTA Case No. 6155, March 11, 2002; CIR vs. APC Group, Inc., CA-
G.R. SP No. 69869 dated November 29, 2002; Filinvest Development Corporation and
Filinvest Alabang, Inc. vs. CIR, CTA Case No. 6182, September 10, 2002; CIR vs. Filinvest
Development Corporation and Filinvest Alabang, Inc., CA-G.R. No. SP No. 74510, January 26,
2005.
J
21 G.R. No. 166786, September 11, 2006.
DECISION
CTA EB NO. 1697
Page 6 of 13
In BIR Ruling No. 116-98 dated July 30, 1998, the BIR
held that "inter-office memo evidencing /endings/borrowings
which is neither a form of promissory note nor a certificate
of indebtedness issued by the corporation-affiliate," is not
subject to DST. For the BIR, inter-office memo is "being
prepared for accounting purposes only in order to avoid the
co-mingling of funds of the corporate affiliates."
26APC Group, Inc. vs. CIR, CTA Case No. 6155, March 11, 2002, CIR vs. APC Group, Inc., CA-
G.R. SP No. 69869 dated November 29, 2002 and Filinvest Development Corporation and
Filinvest Alabang, Inc. vs. CIR, CTA Case No. 6182, September 10, 2002, CIR vs. Filinvest /
Development Corporation and Filinvest Alabang, Inc., CA-G.R. No. SP No. 74510, January 26, .,./
2005.
DECISION
CTA EB NO. 1697
Page 10 of 13
Payables - Others
Total- 2008 136 000 000.00 0.005 680,000.00
27Michel J. Lhuillier Pawnshop, Inc. vs. Commissioner of Internal Revenue, G. R. No. 166786,
September 11, 2006; Antam Pawnshop Corporation vs. Commissioner of Internal Revenue,
G.R. No.167962, September 19, 2008; and Tambunting Pawnshop, Inc. vs. Commissioner of /
Internal Revenue, G. R. No. 179085, January 21, 2010. ../
DECISION
CTA EB NO. 1697
Page 11 of 13
Notes Payable
Total- 2008 20,936,804.00 0.005 104 685.00
171,545,463.00
2
B G.R. No. 178697, November 17, 2010.
DECISION
CTA EB NO. 1697
Page 12 of 13
SO ORDERED.
We Concur:
.
~·" c. ~~JJ.
JlfANITO c .. CASTANEDA';' JR.
Associate Justice
ER~P.UY
Associate Justice
t'~'7p~
CATHERINE T. MANAHAN
Associate Justice
DECISION
CTA EB NO. 1697
Page 13 of 13
CERTIFICATION
Presiding Justice
REPUBLIC OF THE PHILIPPINES
Court of Tax Appeals
QUEZON CITY
ENBANC
the space for the due date in the FAN dated October 28, 2014
was conspicuously left blank.
In other words, a FAN must not only indicate the legal and
factual bases of the assessment but must also state a clear and
categorical demand for payment of the computed tax liabilities~
All told, I vote to: (i) DENY the Petition for Review filed by the
Commissioner of Internal Revenue; and, (ii) CANCEL the Final
Assessment Notice dated October 28, 2014 assessing respondent for
deficiency DST for the period January-December 2009 for being void.
Presiding Justice