Rmo 17-16
Rmo 17-16
Rmo 17-16
I. Guidelines. —
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b. For purposes of computing gains or loss for subsequent
transfer of said property/asset, the substituted basis as
defined in Revenue Regulations No. 18-2001 shall be used
in computing the gain or loss resulting from said sale;
For the purpose of this Order, if the property/asset being exchanged involves
shares of the stocks, the value of the shares of stock shall be as follows:
a) In the case of listed shares, the closing price on the day when the
shares are transferred or exchanged. When no sale is made in the
Local Stock Exchange on the day when the listed shares are
transferred or exchanged, the closing price on the day nearest to
the date of transfer or exchange. cTDaEH
b) In the case of shares of stock not listed and traded in the local stock
exchange, the book value of the shares of stock as shown in the
annual financial statements duly certified by an independent
certified public accountant submitted or should have been
submitted to the Bureau of Internal Revenue nearest to the date of
sale, with the assets therein adjusted to its fair market value as of a
date not earlier than 90 days from the date of the transaction. If the
company assets include shares in other corporation, the said shares
shall be adjusted to its fair market value as of a date not earlier
than 90 days from the date of the transaction. The adjustment to be
made shall be made pursuant to Revenue Regulations No. 6-2013
.
Illustrations:
For tax purposes, the substituted basis as defined in Section 40 (C) (5) of the
Tax Code, as amended and implemented by Revenue Regulations (RR) No. 18-01
dated November 13, 2001 shall be the basis for determining gain or loss on the
subsequent transfer of the properties subject of the tax-free exchange.
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As such, if the stocks or securities (not listed and traded in the local stock
exchange) received by the transferor on the tax-free exchange are eventually sold,
disposed or transferred, the gain or loss shall be based on the selling price of the
shares or securities and the substituted basis as defined in Section 2 (A) 1(1) of RR
No. 18-01.
Illustration No. 1:
Land 40,000,000.00
To record the tax free exchange of Land with TCT No. 123456 for
2,800,000 common shares of Corporation ABC with par value of PhP100.00.
Cash 30,000,000.00
To record the payment of output VAT due from the exchange of Land
with fair market value of PhP250,000,000.00.
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Balance Sheet of Corporation XYZ (Transferror):
In addition, Corporation XYZ shall place a note in its balance sheet under
Investments, as follow:
Land** 250,000,000.00
To record the tax free exchange of Land with TCT No. 123456 from
Corporation XYZ for 2,800,000 common shares with par value of PhP100.00.
In addition, Corporation ABC shall place a note in its balance sheet under
Investments, as follow:
Assuming, further, that Corporation XYZ sold all of its Corporation ABC's
shares to DEF Holding Corporation for Php300,000,000. In this case, the net capital
gain of Corporation XYZ subject to tax is as follows:
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Selling Price 300,000,000.00
Less: Cost (Substituted Basis) 70,000,000.00
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Net Capital Gain 230,000,000.00
============
Assuming, however, that the property transfer by Corporation XYZ was sold
by Corporation ABC to UVW Development Corporation for Php350,000,000. Thus,
for tax purposes, the gain on the sale of the transferred property is Php310,000,000.
Further, the VAT on the transfer is Php42,000,000. cSaATC
Illustration No. 2:
Cash 30,000,000.00
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Land 40,000,000.00
To record the tax free exchange of Land with TCT No. 123456 for
2,500,000 common shares of Corporation ABC with par value of PhP100.00
and cash received from Corporation ABC for the VAT.
Cash 30,000,000.00
To record payment of output VAT for the tax free exchange of the Land
with TCT No. 123456.
In addition, Corporation XYZ shall place a note in its balance sheet under
Investments, as follow:
Land 250,000,000.00
Cash 30,000,000.00
To record the tax free exchange of Land with TCT No. 123456 from
Corporation XYZ for 2,500,000 common shares with par value of PhP100.00.
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Corporation XYZ to Corporation ABC is subject to twelve percent (12%) VAT
amounting to Php30,000,000 based on the Php250,000,000 fair market value of the
property. Consequently, Corporation ABC can use the Php30,000,000 as Input VAT.
In addition, Corporation ABC shall place a note in its balance sheet under
Investments, as follow:
Assuming, further, that Corporation XYZ sold all of its Corporation ABC's
shares to DEF Holding Corporation for Php300,000,000. In this case, the net capital
gain of Corporation XYZ subject to tax is as follows:
Assuming, however, that the property transfer by Corporation XYZ was sold
by Corporation ABC to UVW Development Corporation for Php350,000,000. Thus,
for tax purposes, the gain on the sale of the transferred property is Php310,000,000.
Further, the VAT on the transfer is Php42,000,000.
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II. Repealing Clause. —
III. Effectivity. —
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1. SECTION 2. Basis. — A. Substituted Basis of Stock or Securities Received by the
Transferor. — The substituted basis of the stock or securities received by the
transferor on a tax-free exchange shall be as follows:
1. The original basis of the property, stock or securities to be transferred;
2. Less: (a) money received, if any, and (b) the fair market value of the other property
received, if any;
3. Plus: (a) the amount treated as dividend of the shareholder, if any, and (b) the
amount of any gain that was recognized on the exchange, if any.
However, the property received as 'boot' shall have as basis its fair market value. The
term "boot" refers to the money received and other property received in excess of the
stock or securities received by the transferor on a tax-free exchange.
If the transferee of property assumes, as part of the consideration to the transferor, a
liability of the transferor or acquires from the latter property subject to a liability,
such assumption or acquisition (in the amount of the liability) shall, for purposes of
computing the substituted basis, be treated as money received by the transferor on the
exchange.
Finally, if the transferor receives several kinds of stock or securities, the
Commissioner is authorized to allocate the basis among the several classes of stocks
or securities.
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2. Section 40 (C) (5) (b) of the Tax Code as implemented by SECTION 2 (B) of RR No.
18-01. The latter provides as follows:
"B. Substituted Basis of the Transferred Property in the Hands of the Transferee. The
substituted basis of the property transferred in the hands of the transferee shall be as
follows:
(a) the original basis in the hands of the transferor;
(b) Plus: the amount of the gain recognized to the transferor on the transfer."
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