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TAX REVIEWER: LAW OF BASIC TAXATION IN THE PHILIPPINES BY: Benjamin B. Aban JUICY NOTES (PROF.

1
CABANEIRO) A2011

Chapter 1: GENERAL PRINCIPLES They are not arbitrary exactions but contributions levied by
authority of law, and by some rule of proportion which is
TAXATION DEFINED intended to ensure uniformity of contribution and a just
Taxation is the inherent power of the sovereign, exercised apportionment of the burdens of government.
through the legislature, to impose burdens upon the
subjects and objects within its jurisdiction, for the purpose
of raising revenues to carry out the legitimate objects of the Thus:
government. a. Taxes are enforced contributions
It is also defined as the act of levying a tax, i.e. the process It operates in invitum which means that it is in no way
or means by which the sovereign, through its law-making dependent on the will or contractual assent, express or
body, raises income to defray the necessary expenses of implied, of the person taxed. They are positive acts of
government. It is a method of apportioning the cost of the government (Rochester vs Bloss).
government among those who, in some measure, are b. Taxes are proportional in character, since taxes are
privileged to enjoy its benefits and must therefore bear its based on ones ability to pay.
burdens. c. Taxes are levied by authority of law.
It is a mode of raising revenue for public purposes, (Cooley) The power to impose taxes is a legislative power; it
cannot be imposed by the executive department nor by
Symbiotic relationship between the government and the
the courts.
citizens.
d. Taxes are for the support of the government and all its
RATIONALE OF TAXATION: DOCTRINE OF SYMBIOTIC public needs.
RELATIONSHIP e. Taxes are pecuniary burden payable in money, such that
a tax is not necessarily confined to those payable in
This doctrine is enunciated in CIR v. Algue, Inc. [158
money (e.g. a backpay cert may be used to pay real
SCRA 9], which states that Taxes are what we pay for
estate taxes).
civilized society. Without taxes, the government would
f. Taxes are imposed by the State on persons, property or
be paralyzed for lack of the motive power to activate
services within its jurisdiction.
and operate it. Hence, despite the natural reluctance to
surrender part of ones hard-earned income to the
IMPORTANCE OF TAXES
taxing authorities, every person who is able must
Taxes are importants because they the lifeblood of the
contribute his share in the burden of running the
government. The government for its part, is expected to government and so should be calculated without
respond in the form of tangible and intangible benefits unnecessary hindrance (CIR vs Algue).
intended to improve the lives of the people and enhance
their material and moral values. LIFEBLOOD DOCTRINE
The lifeblood theory constitutes the theory of taxation,
TAXES DEFINED which provides that the existence of government is a
Taxes are the enforced proportional contributions from necessity; that government cannot continue without means
persons and property levied by the law-making body of the to pay its expenses; and that for these means it has a right
State by virtue of its sovereignty for the support of the to compel its citizens and property within its limits to
government and all public needs, [Cooley] contribute.

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TAX REVIEWER: LAW OF BASIC TAXATION IN THE PHILIPPINES BY: Benjamin B. Aban JUICY NOTES (PROF. 2
CABANEIRO) A2011

Without revenue raised from taxation, the government will 4. Utilized to implement the police power of the State
not survive, resulting in detriment to society. Without taxes, (Promotion of General Welfare)
the government would be paralyzed for lack of motive 5. Used to protect our local industries against unfair
power to activate and operate it. (CIR vs. ALGUE) competition (Protectionism)
Taxes are the lifeblood of the government and there prompt 6. Utilized by the government to encourage the growth of local
and certain availability is an imperious need. (CIR vs industries (Encourage Economic Growth)
Goodrich International Rubber Co.)
THEORY AND BASIS OF TAXATION
1) NECESSITY THEORY
Taxation as stated in the case of Phil. Guaranty Co., Inc.
ILLUSTRATION OF LIFEBLOOD THEORY v. Commissioner [13 SCRA 775], is a power predicated
1. Collection of taxes cannot be enjoined by injunction. upon necessity. It is a necessary burden to preserve the
2. Taxes could not be the subject of compensation or set States sovereignty and a means to give the citizenry an
off. army to resist aggression, a navy to defend its shores
3. A valid tax may result in the destruction of the from invasion, a corps of civil servants to serve, public
taxpayers property. improvements for the enjoyment of the citizenry, and
4. Taxation is an unlimited and plenary power. those which come within the States territory and
facilities and protection which a government is supposed
TAXES,PERSONAL TO TAXPAYER to provide.
A corporations tax delinquency cannot be enforced against 2) BENEFITS PROTECTION THEORY
its stockholders except for unpaid taxes of a dissolved This theory bases the power of the State to demand and
corporation if it appears that the corporate assets have receive taxes on the reciprocal duties of support and
passed into their hands (Tan Tiong Bio vs CIR). protection. The citizen supports the State by paying the
Estate taxes accruing upon transmission of the decedents portion from his property that is demanded in order that
estate to his heirs are not liabilities which can be enforced he may, by means thereof, be secured in the enjoyment
against heirs. of the benefits of an organized society.
No one is allowed to object to or resist payment of taxes
NATURE OF THE TAXING POWER solely because no personal benefit to him can be
1) Inherent in sovereignty pointed out as arising from the tax, [Lorenzo v.
2) Legislative in character Posadas].

PURPOSES AND OBJECTIVES OF TAXATION SCOPE OF THE LEGISLATIVE TAXING POWER


PRIMARY 1) The persons, property and excises to be taxed, provided it
1. To raise revenue in order to support the government is within its jurisdiction
(Revenue) 2) Amount or rate of tax
SECONDARY 3) Purposes for its levy, provided it be for a public purpose
2. Used for regulatory purposes (Regulation) 4) Kind of tax to be collected
3. Used to reduce social inequality (Reduction of Social 5) Apportionment of the tax
Inequality) 6) Situs of taxation
7) Method of collection

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TAX REVIEWER: LAW OF BASIC TAXATION IN THE PHILIPPINES BY: Benjamin B. Aban JUICY NOTES (PROF. 3
CABANEIRO) A2011

the words in the mouth of the lawmaker. A verbo legis


IS THE POWER TO TAX THE POWER TO DESTROY? / non est recedendum (Commissioner of Customs vs
CONSTITUTIONAL RESTRAINTS RE: TAXATION IS THE POWER Manila Star Ferry inc.)
TO DESTROY
The power to tax "is an attribute of sovereignty". In fact, it is BASIC PRINCIPLE OF A SOUND TAX SYSTEM
the strongest of all the powers of government. But for all its 1) FISCAL ADEQUACY
plenitude, the power to tax is not unconfined as there are The sources of revenues must be adequate to meet
restrictions. Adversely effecting as it does property rights, govt expenditures. (Chavez v. Ongpin, 186 SCRA
both the due process and equal protection clauses of the 331).
Constitution may properly be invoked to invalidate in Even if a tax law violates the principle of Fiscal
appropriate cases of a revenue measure. If it were Adequacy and the proceeds may not be sufficient to
otherwise, there would be truth to the 1903 dictum of Chief satisfy the needs of the government, still the tax law
Justice Marshall that "the power to tax involves the power to is valid
destroy." The web or unreality spun from Marshall's famous 2) THEORETICAL JUSTICE
dictum was brushed away by one stroke of Mr. Justice The tax burden should be in proportion to the
Holmes' pen, thus: "The power to tax is not the power to taxpayers ability to pay (ABILITY TO PAY PRINCIPLE)
destroy while this Court sits." "So it is in the Philippines." It Equitable taxation has been mandated by our
is because of the constitutional restraints placed on a taxing constitution; as if taxes are unjust and unreasonable
power that violates fundamental rights. then they are not equitable, thus invalid.
The power to tax includes the power to destroy if it is used 3) ADMINISTRATIVE FEASIBILITY
as an implement of the police power (regulatory) of the The tax law must be capable of effective or efficient
State. However, it does not include the power to destroy if it enforcement.
is used solely for the purpose of raising revenue. (ROXAS vs. There is no law that requires compliance with this
CTA)
principle, so even if the tax law violates this
If the purpose of taxation is regulatory in character, taxation principle; such tax law is valid.
is used to implement the police power of the state TAXATION DISTINGUISHED FROM POLICE POWER AND
If the power of taxation is used to destroy things, EMINENT DOMAIN
businesses, or enterprises and the purpose is to raise TAXATION POLICE POWER EMINENT
revenue, the court will come in because there will be DOMAIN
violation of the inherent and constitutional limitations and it AS TO PURPOSE For the purpose To promote For public use
will be declared invalid. raising revenue general welfare
through
regulations
POWER OF JUDICIAL REVIEW IN TAXATION AS TO Protection and The Just
Courts cannot inquire into the wisdom of a taxing act. COMPENSATION benefits maintenance of compensation,
(CIR vs Lingayen Gulf Electric Power Co) received from a healthy not to exceed the
Courts power in taxation is limited only to the the government. economic market value by
standard of the owner or
application and interpretation of the law. society administrator or
It is not within the province of the court to inquire into (damnum anyone having
the wisdom of the law for indeed courts are bound by absque injuria) legal interest in

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TAX REVIEWER: LAW OF BASIC TAXATION IN THE PHILIPPINES BY: Benjamin B. Aban JUICY NOTES (PROF. 4
CABANEIRO) A2011

the property, or 1) toll amount charged for the cost and maintenance of
as determined by property used;
the assessor,
2) penalty punishment for the commission of a crime
whichever is
lower. 3) compromise penalty amount collected in lieu of criminal
AS TO PERSONS Operate upon community or a class Operates on the prosecution in cases of tax violations;
AFFECTED of individuals individual 4) special assessment levied only on land based wholly on
property owner the benefit accruing thereon as a result of improvements of
AS TO AUTHORITY Exercised only by the government May be exercised public works undertaken by government within the vicinity.
WHICH or its political subdivisions. by public 5) license fee regulatory imposition in the exercise of the
EXERCISES THE services corp or
POWER public utilities if police power of the State;
granted by law 6) margin fee exaction designed to stabilize the currency
AS TO AMOUNT Generally no Limited to the There is no 7) debt a tax is not a debt but is an obligation imposed by
OF IMPOSITION limit to the cost of imposition; law.
amount of tax regulation rather, it is the 8) regulatory fees exaction designed to regulate industries
that may be owner of the 9) subsidy legislative grant of money in aid of a private
imposed property taken
who is paid just enterprise deemed to promote the public welfare.
compensation. 10) custom duties and fees duties charged upon
AS TO THE Subject to Relatively free Subject to certain commodities on their being imported into or exported from
RELATIONSHIP TO certain from constitutional a country;
THE constitutional constitutional limitations, NOT 11) revenue broad term that includes not only taxes
CONSTITUTION limitations, limitations and including the but income from other sources as well.
including the superior to the prohibition
prohibition non-impairment against 12) Tribute synonymous with tax
against provisions impairment of 13) Impost signifies any tax, tribute or duty.
impairment of the obligation of
the obligation of contracts Toll v. Tax
contracts Toll is a sum of money for the use of something. It is the
AS TO TRANSFER Taxes paid No transfer, but
OF PROPERTY become part of only restraint on consideration which is paid for the use of a road, bridge, or
RIGHTS the public funds the exercise, of the like, of a public nature. Taxes, on the other hand, are
property right enforced proportional contributions from persons and
exists property levied by the State by virtue of its sovereignty for
ASPECTS OF TAXATION the support of the government and all public needs.
1) LEVY or IMPOSITION Toll is a demand of proprietorship; tax is a demand of
enactment of tax laws sovereignty.
legislative in character Toll is paid for the used of anothers property; tax is paid for
2) ASSESSMENT the support of government.
collection The amount paid as toll depends upon the cost of
administrative in character construction or maintenance of the public improvements
used; while there is no limit on the amount collected as tax
TAXES DISTINGUISHED FROM OTHER IMPOSITIONS as long as it is not excessive, unreasonable, or confiscatory.

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TAX REVIEWER: LAW OF BASIC TAXATION IN THE PHILIPPINES BY: Benjamin B. Aban JUICY NOTES (PROF. 5
CABANEIRO) A2011

Toll may be imposed by the government or by private PURPOSE: Tax imposed for revenue WHILE license fee for
individuals or entities; tax may be imposed only by the regulation. Tax for general purposes WHILE license fee for
government. regulatory purposes only.
BASIS: Tax imposed under power of taxation WHILE license
Penalty v. Tax fee under police power.
Penalty is any sanction imposed as a punishment for AMOUNT: In taxation, no limit as to amount WHILE license
violation of law or for acts deemed injurious; taxes are fee limited to cost of the license and expenses of police
enforced proportional contributions from persons and surveillance and regulation.
property levied by the State by virtue of its sovereignty for TIME OF PAYMENT: Taxes normally paid after
the support of the government and all public needs. commencement of business WHILE LF before.
Penalty is designed to regulate conduct; taxes are generally EFFECT OF PAYMENT: Failure to pay a tax does not make the
intended to generate revenue. business illegal WHILE failure to pay license fee makes
Penalty may be imposed by the government or by private business illegal.
individuals or entities; taxes only by the government. SURRENDER: Taxes, being lifeblood of the state, cannot be
surrendered except for lawful consideration WHILE a license
Special assessment v. Tax fee may be surrendered with or without consideration.
A special assessment tax is an enforced proportional IMPORTANCE OF DISTINCTION BETWEEN TAXES AND
contribution from owners of lands especially benefited by LICENSE FEES:
public improvements It is necessary to determine whether a particular
A special assessment is levied only on land; tax is imposed imposition is a tax or a license fee, because some
on persons, property and excises. limitations apply only to one and not to the other.
A special assessment is not a personal liability of the person Furthermore, exemption from taxes does not include
assessed; it is limited to the land. exemption from license fees
A special assessment is based wholly on benefits, not
necessity. Obligation to pay debt v. obligation to pay tax
A special assessment is exceptional both as to time and A debt is generally based on contract, express or implied,
place; a tax has general application. while a tax is based on laws.
Some rules: A debt is assignable, while a tax cannot generally be
An exemption from taxation does not include assigned.
exemption from a special assessment. A debt may be paid in kind, while a tax is generally paid in
The power to tax carries with it the power to levy a money.
special assessment. A debt may be the subject of set off or compensation, a tax
cannot.
A person cannot be imprisoned for non-payment of tax,
except poll tax.
A debt is governed by the ordinary periods of prescription,
while a tax is governed by the special prescriptive periods
License fee v. Tax
provided for in the NIRC.

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TAX REVIEWER: LAW OF BASIC TAXATION IN THE PHILIPPINES BY: Benjamin B. Aban JUICY NOTES (PROF. 6
CABANEIRO) A2011

A debt draws interest when it is so stipulated or where there AS TO THE SCOPE OF THE TAX
is default, while a tax does not draw interest except only 8. National tax
when delinquent. A national tax is imposed by the national government.
9. Local tax
TAXES CLASSIFIED A local tax is imposed by the municipal corporations or local
AS TO SUBJECT MATTER OR OBJECT government units (LGUs).
1. Personal, poll or capitation tax
Tax of a fixed amount imposed on persons residing within a AS TO THE DETERMINATION OF AMOUNT
specified territory, whether citizens or not, without regard to 10.Specific tax
their property or the occupation or business in which they A specific tax is a tax of a fixed amount imposed by the
may be engaged, i.e. community tax. head or number or by some other standard of weight or
2. Property tax measurement. It requires no assessment other than the
Tax imposed on property, real or personal, in proportion to listing or classification of the objects to be taxed.
its value or in accordance with some other reasonable 11.Ad valorem tax
method of apportionment. An ad valorem tax is a fixed proportion of the value of the
3. Excise tax property with respect to which the tax is assessed. It
A charge imposed upon the performance of an act, the requires the intervention of assessors or appraisers to
enjoyment of privilege, or the engaging in an occupation. estimate the value of such property before due from each
taxpayer can be determined.
AS TO PURPOSE 12.Customs Duties
4. General/fiscal revenue tax is that imposed for the Duties charged upon the commodities on theor being
purpose of raising public funds for the service of the imported into or exported from a country.
government.
5. Special or regulatory tax is imposed primarily for the AS TO GRADUATION OR RATE
regulation of useful or non-useful occupation or enterprises 13.Proportional tax
and secondarily only for the purpose of raising public funds. Tax based on a fixed percentage of the amount of the
property receipts or other basis to be taxed. Example: real
AS TO WHO BEARS THE BURDEN estate tax.
6. Direct tax 14.Progressive or graduated tax
A direct tax is demanded from the person who also Tax the rate of which increases as the tax base or bracket
shoul,ders the burden of the tax. It is a tax which the increases.
taxpayer is directly or primarily liable and which he or she Digressive tax rate: progressive rate stops at a certain
cannot shift to another. point. Progression halts at a particular stage.
7. Indirect tax 15.Regressive tax
An indirect tax is demanded from a person in the Tax the rate of which decreases as the tax base or bracket
expectation and intention that he or she shall indemnify increases. There is no such tax in the Philippines.
himself or herself at the expense of another, falling finally
upon the ultimate purchaser or consumer. A tax which the TAXPAYERS SUIT
taxpayer can shift to another.

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TAX REVIEWER: LAW OF BASIC TAXATION IN THE PHILIPPINES BY: Benjamin B. Aban JUICY NOTES (PROF. 7
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One where a taxpayer who feels aggrieved by the


implication of a tax law goes now via judicial review to the Commissioner vs. Algue
SC and asks for a nullification of the law. GRL-28890, 17 February 1988.First Division, Cruz (J); 4 concur
In availing judicial review as a taxpayer, the only option one
can look into are the inherent and constitutional limitations Facts: The Philippine Sugar Estate Development Company (PSEDC)
on taxation. appointed Algue Inc. as its agent, authorizing it to sell its land,
Taxpayers have sufficient interest of preventing the illegal factories, and oil manufacturing process. The Vegetable Oil
expenditures of money raised by taxation (NOT DONATIONS Investment Corporation (VOICP) purchased PSEDC properties. For
AND CONTRIBUTIONS) the sale, Algue received a commission of P125,000 and it was from
this commission that it paid Guevara, et. al. organizers of the
A taxpayer is not relieved from the obligation of paying a
VOICP, P75,000 in promotional fees. In 1965, Algue received an
tax because of his belief that it is being misappropriated by
assessment from the Commissioner of Internal Revenue in the
certain officials
amount of P83,183.85 as delinquency income tax for years 1958
A taxpayer has no legal standing to question executive acts
amd 1959. Algue filed a protest or request for reconsideration
that do not involve the use of public funds. (GONZALES vs. which was not acted upon by the Bureau of Internal Revenue (BIR).
MARCOS) The counsel for Algue had to accept the warrant of distrant and
It is only when an act complained of which may include a levy. Algue, however, filed a petition for review with the Coourt of
legislative enactment of a statute, involves the illegal Tax Appeals.
expenditure of public money that the so-called taxpayers
suit may be allowed. LOZADA vs. COMELEC Issue: Whether the assessment was reasonable.
Taxpayers may be levied with a regulatory purpose to Held: Taxes are the lifeblood of the government and so should be
provide means for the rehabilitation and stabilization of a collected without unnecessary hindrance. Every person who is able
threatened industry which is affected with the public to pay must contribute his share in the running of the government.
interest as to be within the police power of the State. The Government, for his part, is expected to respond in the form of
CALTEX vs. COA tangible and intangible benefits intended to improve the lives of
The Supreme Court has discretion whether or not to the people and enhance their moral and material values. This
entertain taxpayers suit and could brush aside lack of locus symbiotic relationship is the rationale of taxation and should dispel
standi. KILOS BAYAN vs. GUINGONA the erroneous notion that is an arbitrary method of exaction by
those in the seat of power. Tax collection, however, should be made
REQUISITES FOR A TAXPAYERS PETITION in accordance with law as any arbitrariness will negate the very
1) That money is being extracted and spent in violation of reason for government itself. For all the awesome power of the tax
specific constitutional protections against abuses of collector, he may still be stopped in his tracks if the taxpayer can
legislative power demonstrate that the law has not been observed. Herein, the
2) That public money is being deflected to any improper claimed deduction (pursuant to Section 30 [a] [1] of the Tax Code
purpose and Section 70 [1] of Revenue Regulation 2: as to compensation for
3) That the petitioner seeks to restrain respondents from personal services) had been legitimately by Algue Inc. It has further
wasting public funds through the enforcement of an invalid proven that the payment of fees was reasonable and necessary in
or unconstitutional law. light of the efforts exerted by the payees in inducing investors (in
VOICP) to involve themselves in an experimental enterprise or a
CASES:

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TAX REVIEWER: LAW OF BASIC TAXATION IN THE PHILIPPINES BY: Benjamin B. Aban JUICY NOTES (PROF. 8
CABANEIRO) A2011

business requiring millions of pesos. The assessment was not The next argument of the petitioners was that S. No. 1630 did not
reasonable. pass 3 readings on separate days as required by the Constitution
because the second and third readings were done on the same day.
Tolentino vs. Secetary of Finance But this was because the President had certified S. No. 1630 as
GR No. 115455. August 25, 1994 urgent. The presidential certification dispensed with the
requirement not only of printing but also that of reading the bill on
Facts: The value-added tax (VAT) is levied on the sale, barter or separate days. That upon the certification of a bill by the President
exchange of goods and properties as well as on the sale or the requirement of 3 readings on separate days and of printing and
exchange of services. RA 7716 seeks to widen the tax base of the distribution can be dispensed with is supported by the weight of
existing VAT system and enhance its administration by amending legislative practice.
the NationalInternal Revenue Code. There are various suits
challenging the constitutionality of RA 7716 on various grounds. EXERCISES:
One contention is that RA 7716 did not originate exclusively in the
House of Representatives as required by Art. VI, Sec. 24 of the Discuss the importance of taxes
Constitution, because it is in fact the result of the consolidation of SUGGESTED ANSWER:
2distinct bills, H. No. 11197 and S. No. 1630. There is also a Taxes are the lifeblood of the government, for without taxes, the
contention that S. No. 1630 did not pass 3 readings as required by government can neither exist nor endure. A principal attribute
the Constitution. of sovereignty, the exercise of taxing power derives its source
Issue: Whether or not RA 7716 violates Art. VI, Secs. 24 and 26(2) from the very existence of the state whose social contract with
of the Constitution its citizens obliges it to promote public interest and common
Held: The argument that RA 7716 did not originate exclusively in good. The theory behind the exercise of the power to tax
the House of Representatives as required by Art. VI, Sec. 24 of the emanates from necessity; without taxes, government cannot
Constitution will not bear analysis. To begin with, it is not the law fulfill its mandate of promoting the general welfare and well-
but the revenue bill which is required by the Constitution to being of the people. (NAPOCOR v. City of Cabanatuan, G.R. No.
originate exclusively in the House of Representatives. To insist that 149110, April 9, 2003).
a revenuestatute and not only the bill which initiated the legislative
process culminating in the enactment of the law must substantially
be the same as the House bill would be to deny the Senates power
not only to concur with amendments but also to propose Nature of the Power of Taxation (#1, 2000 Bar Exams)
amendments. Indeed, what the Constitution simply means is that Justice Holmes once said: The power to tax is not the power
the initiative for filingrevenue, tariff or tax bills, bills authorizing an to destroy while this Court (the SC) sits. Describe the power to
increase of the public debt, private bills and bills of local tax and its limitations.
application must come from the House of Representatives on the SUGGESTED ANSWER:
theory that, elected as they are from the districts, the members of The power to tax is an inherent power of the sovereignty which
the House can be expected to be more sensitive to the local needs is exercised through the legislature to impose burdens upon
and problems. Nor does the Constitution prohibit the filing in the subjects and objects within its jurisdiction for the purpose of
Senate of a substitute bill in anticipation of its receipt of the bill raising revenues to carry out the legitimate objects of govt.
from the House, so long as action by the Senate as a body is The underlying basis for its exercise is governmental necessity
withheld pending receipt of the House bill.
for without it, no govt can exist nor endure. Accordingly, it has

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TAX REVIEWER: LAW OF BASIC TAXATION IN THE PHILIPPINES BY: Benjamin B. Aban JUICY NOTES (PROF. 9
CABANEIRO) A2011

the broadest scope of all the powers of government sovereignty belonging as a matter of right to every
because in the absence of limitations, it is considered an independent government without being expressly granted by the
unlimited, plenary, comprehensive and supreme. The two people. (Pepsi-Cola Bottling Company of the Philippines, Inc. v.
limitations on the power of taxation are the inherent and Municipality of Tanauan, Leyte, G.R. No. L-31156)
constitutional limitations which are intended to prevent Taxation is the inherent power of a State to collect enforced
abuse on the exercise of the otherwise plenary and unlimited proportional contribution to support the expenses of government.
power. It is the Courts role to see to it that the exercise of the Taxation is the power vested in the legislature to impose
power does not transgress these limitations. burdens or charges upon persons and property in order to raise
revenue for public purposes.
Power of Taxation: Legislative in Nature (Bar 1994) The power to tax is so unlimited in force and so searching in
The Secretary of Finance, upon recommendation of the extent that courts scarcely venture to declare it is subject to any
Commissioner of Internal Revenue, issued a Revenue restrictions whatever, except such as rest in the discretion of the
Regulation using gross income as the tax base for authority which exercises it. (Tio v. Videogram Regulatory Board,
corporations doing business in the Philippines. Is the G.R. No. L-75697, June 18, 1987) So potent is the power to tax that
Rev.Reg.valid? it was once opined that "the power to tax involves the power to
SUGGESTED ANSWER: destroy."(C.J. Marshall in McCulloch v. Maryland)
The regulation establishing gross income as the tax base for
corporations doing business in the Philippines (domestic as Revocation of Exempting Statutes (Bar 1997)
well as resident foreign) is not valid. This is no longer "X" Corporation was the recipient in 1990 of two tax exemptions
implementation of the law but actually it constitutes both from Congress, one law exempting the company's bond
legislation because among the powers that are exclusively issues from taxes and the other exempting the company from
within the legislative authority to tax is the power to taxes in the operation of its public utilities. The two laws
determine -the amount of the tax. (See 1 Cooley 176-184). extending the tax exemptions were revoked by Congress before
Certainly, if the tax is limited to gross income without their expiry dates. Were the revocations constitutional?
deductions of these corporations, this is changing the amount SUGGESTED ANSWER:
of the tax as said amount ultimately depends on the taxable Yes. The exempting statutes are both granted unilaterally by
base. Congress in the exercise of taxing powers. Since taxation is the
rule and tax exemption, the exception, any tax exemption
Power of Taxation; Inherent in a Sovereign State unilaterally granted can be withdrawn at the pleasure of the
(2005)Describe the power of taxation. May a legislative body taxing authority without violating the Constitution (Mactan Cebu
enact laws to raise revenues in the absence of a International Airport Authority v, Marcos, G.R No. 120082,
constitutional provision granting said body the power to tax? September 11, 1996).
Explain. Neither of these were issued by the taxing authority in a contract
lawfully entered by it so that their revocation would not
SUGGESTED ANSWER: constitute an impairment of the obligations of contracts.
Yes, the legislative body may enact laws even in the absence ALTERNATIVE ANSWER:
of a constitutional provision because the power to tax is inherent No. The withdrawal of the tax exemption amounts to a
in the government and not merely a constitutional grant. The deprivation of property without due process of law, hence
power of taxation is an essential and inherent attribute of unconstitutional.

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