Philippine Supreme Court Jurisprudence


Philippine Supreme Court Jurisprudence > Year 1927 > December 1927 Decisions > G.R. No. 27491 December 31, 1927 - TEODORO R. YANGCO v. VICENTE ALDANESE

051 Phil 348:




PHILIPPINE SUPREME COURT DECISIONS

EN BANC

[G.R. No. 27491. December 31, 1927.]

TEODORO R. YANGCO, Petitioner-Appellee, v. VICENTE ALDANESE, Insular Collector of Customs, Respondent-Appellant.

Attorney-General Jaranilla, for Appellant.

Paredes, Buencamino & Yulo, for Appellee.

SYLLABUS


1. TARIFF LAW; COASTWISE TRADE; MEANING OF. — The phrase "coastwise trade" used in section 21 of the Act of Congress of 1909, known as the Philippine Tariff Act of 1909, applies to vessels engaged in the bay and river business, so that all vessels plying between Philippine ports are entitled to a drawback of duty paid on imported fuel used in their propulsion, as provided for in said law, paragraph 3 of the Customs Administrative Order No. 178 being null and void in so far as it excludes bay and river vessels from the benefits of the drawback established by said Act.


D E C I S I O N


AVANCEÑA, C.J. :


The petitioner prays that paragraph 3 of Customs Administrative Order No. 178 be declared null; that the respondent allow drawbacks on imported fuel used in the propulsion of said petitioner’s vessels plying between the port of Manila and various ports of Laguna, Pampanga, Bataan and Cavite; that he liquidate the drawback entries already filed by said petitioner and to certify to the amount of the imported fuel declared in said entries; that he issue the necessary warrants for refund to said petitioner of the amount of the import duties paid by him on the imported fuel for which the drawback entries above-mentioned have been filed, less 1 per cent of said duties; that he allow, liquidate and certify to all the drawback entries filed or to be filed by said petitioner claiming drawbacks on imported fuel used in his vessels engaged in trade between Manila and the various ports of Laguna, Pampanga, Bataan, and Cavite.

The judgment appealed from grants all of the prayer of this petition.

The petitioner is, and has for some time been, engaged in the maintenance and operation of the following motor boats: The Cavite which makes regular trips between Manila and Cavite, Province of Cavite; the Bataan which makes trips between Manila and Bataan with stops at Limay, Orion and Pilar of the Province of Bataan; the Kababayan plying between Manila and Guagua with stops at Batang, Sexmoan and Lubao of the Province of Pampanga, and the Laguna plying between Manila and Binan, Los Baños, Santa Rosa and Paete of the Province of Laguna. For the propulsion of these boats the petitioner has been purchasing large quantities of liquid fuel from the importer, the Asiatic Petroleum Co. (P. I.) , Ltd., a corporation duly registered and authorized to do business in the Philippine Islands, on which the regular import duties have been paid to the Respondent. The petitioner has filed the proper drawback entries in writing on said fuel for the purpose of obtaining a refund of the import duties collected, less 1 per cent thereof, in accordance with section 21 of the Tariff Law of 1909. The respondent admitted these entries at the beginning and for that purpose ordered that an inspector verify the amount loaded on the petitioner’s boats and certify on the back the amount actually loaded. Later, however, the respondent suspended the services of an inspector for the verification of the fuel loaded on said petitioner’s boats, disapproving the claim of refund under paragraph 3 of Customs Administrative Order No. 178.

Section 21 of the Act of Congress of 1909 known as the Philippine Tariff Act of 1909, provides:jgc:chanrobles.com.ph

"SEC. 21. That on all fuel imported into the Philippine Islands which is afterwards used for the propulsion of vessels engaged in trade with foreign countries, or between ports of the United States and the Philippine Islands or in the Philippine coastwise trade, a refund shall be allowed equal to the duty imposed by law upon such fuel, less one per centum thereof, which shall be paid under such rules and regulations as may be prescribed by the Insular Collector of Customs."cralaw virtua1aw library

Paragraph 3 of Customs Administrative Order No. 178, issued in connection with said Act of Congress, reads:jgc:chanrobles.com.ph

"PAR. III. Drawbacks will be allowed only on account of imported fuel, upon which the duty has been paid, used in the propulsion of vessels engaged in trade with foreign countries or between ports of the United States and the Philippine Islands or in the Philippine coastwise trade. Vessels engaged in the bay and river business, holding either a license of that class or a license to engage in the general coastwise trade of the Philippine Islands, will not be entitled to drawback on account of fuel used in their propulsion."cralaw virtua1aw library

The respondent alleges that the petitioner is not entitled to the refund claimed because the boats referred to herein are engaged in bay and river trade and not in coastwise trade as provided in the Act of Congress. The question, then, involved in these proceedings is whether or not the boats engaged in the coastwise trade referred to in said Act of Congress includes those known as bay and river boats in our laws.

"Coastwise trade" has a definite meaning in the Acts of Congress as construed by the courts of the United States. It is used in contradistinction to foreign trade and trade between ports of the United States and foreign ports, meaning domestic trade between ports of the United States. In that sense, it is general and comprehensive, and applied to vessels, it means all vessels engaged in domestic trade between ports of the United States, including those here known as bay and river boats. (Gibbons v. Ogden [9 Wheat. ], 1, 214; North River Steamboat Co. v. Livingston, 3 Cow., 713; City and County of San Francisco v. California Steam Navigation Company, 10 Cal., 504; Belden v. Chase, 150 U. S., 674; 37 Law. ed., 1218.)

In this sense, the words "vessels engaged in the coastwise trade in the Philippine Islands," used in said Act of Congress, must have the same general meaning and must include all vessels engaged in trade in the Philippine Islands. The subdivision of bay and river boats made in our laws, for certain purposes, does not justify any other construction. It must be understood that Congress has given the words used in its Act of 1909 the same meaning they have in its legislation as construed by the courts of the United States.

Therefore, paragraph 3 of Customs Administrative Order No. 178 so far as it excludes bay and river boats from the benefit of the refund provided by the Act of Congress of 1909, violates this law and must be declared null.

The respondent also alleges that, at all events, the petitioner is not entitled to the refund of the duty paid on all the imported fuel used in the propulsion of his vessels claimed by him, because he has not opportunity filed the proper drawback entries in accordance with the other provision of Customs Order No. 178. But, in regard to & portion of the fuel, it appears from the evidence that he has complied with these instructions. As to the amount to be definitely refunded to the petitioner, the same shall be determined in the liquidation to be ordered made by the court of what the petitioner is entitled to receive as such refund.

The judgment appealed from is affirmed with the costs. So ordered.

Johnson, Street, Malcolm, Villamor, Ostrand, Johns and Villa-Real, JJ., concur.




Back to Home | Back to Main




















chanrobles.com





ChanRobles On-Line Bar Review

ChanRobles Internet Bar Review : www.chanroblesbar.com

ChanRobles MCLE On-line

ChanRobles Lawnet Inc. - ChanRobles MCLE On-line : www.chanroblesmcleonline.com






December-1927 Jurisprudence                 

  • G.R. No. 27859 December 1, 1927 - PEOPLE OF THE PHIL. v. AMANDO DAYO

    051 Phil 102

  • G.R. No. 27633 December 2, 1927 - PEOPLE OF THE PHIL. v. JUAN DE GUZMAN

    051 Phil 105

  • G.R. No. 27897 December 2, 1927 - WESTERN EQUIPMENT AND SUPPLY COMPANY v. FIDEL A. REYES, ET AL.

    051 Phil 115

  • G.R. No. 27761 December 6, 1927 - PHILIPPINE SUGAR CENTRALS AGENCY v. INSULAR COLLECTOR OF CUSTOMS

    051 Phil 131

  • G.R. No. 27766 December 6, 1927 - LA COMPAÑIA GENERAL DE TABACOS DE FILIPINAS v. COLLECTOR OF INTERNAL REVENUE

    051 Phil 154

  • G.R. No. 27877 December 6, 1927 - W. F. STEVENSON & CO. v. COLLECTOR OF INTERNAL REVENUE

    051 Phil 178

  • G.R. No. 27045 December 7, 1927 - BANK OF THE PHILIPPINE ISLANDS v. OLUTANGA LUMBER COMPANY

    051 Phil 184

  • G.R. No. 28072 December 10, 1927 - PEOPLE OF THE PHIL. v. FRANCISCO DE OTERO, ET AL.

    051 Phil 201

  • G.R. No. 27874 December 12, 1927 - TAN IT v. SUN INSURANCE OFFICE

    051 Phil 212

  • G.R. No. 26545 December 16, 1927 - PERFECTO GABRIEL v. RITA R. MATEO, ET AL.

    051 Phil 216

  • G.R. No. 26640 December 16, 1927 - ELEUTERIO L. SANTOS v. MARIA MACAPINLAC

    051 Phil 224

  • G.R. No. 26689 December 16, 1927 - LEON TEMPORAL v. FERNANDO MATEO, ET AL.

    051 Phil 228

  • G.R. No. 27778 December 16, 1927 - UY HU & CO. v. PRUDENTIAL ASSURANCE CO., LTD.

    051 Phil 231

  • G.R. No. 27781 December 16, 1927 - ANTONIO MEDINA v. MADERERA DEL NORTE DE CATANDUANES

    051 Phil 240

  • G.R. No. 27300 December 17, 1927 - SERAFIN DE LA RIVA v. MARIA ESCOBAR VIUDA DE LIMJAP

    051 Phil 243

  • G.R. No. 28725 December 17, 1927 - JUAN SUMULONG v. CARLOS A. IMPERIAL

    051 Phil 251

  • G.R. No. 27404 December 24, 1927 - M. SINGH v. TAN CHAY

    051 Phil 259

  • G.R. No. 27531 December 24, 1927 - MACARIO MACROHON ONG HAM v. JUAN SAAVEDRA, ET AL.

    051 Phil 267

  • G.R. Nos. 27565-27566 December 24, 1927 - PETRONILO VALENZUELA, ET AL. v. VICENTE LOPEZ, ET AL.

    051 Phil 279

  • G.R. No. 27650 December 24, 1927 - SEGUNDO DIEZ v. TOMAS SERRA

    051 Phil 283

  • G.R. No. 27685 December 24, 1927 - SEBASTIANA MARTINEZ, ET AL. v. CLEMENCIA GRAÑO, ET AL.

    051 Phil 287

  • G.R. No. 27818 December 24, 1927 - ROALES BROTHERS AND COUSINS v. DIRECTOR OF LANDS

    051 Phil 302

  • G.R. No. 27822 December 24, 1927 - LUZON BROKERAGE CO., INC. v. JUAN POSADAS, JR.

    051 Phil 305

  • G.R. No. 27850 December 24, 1927 - NATIONAL EXCHANGE COMPANY, LTD. v. JOSE S. RAMOS

    051 Phil 310

  • G.R. No. 27991 December 24, 1927 - PHILIPPINE NATIONAL BANK v. TAN ONG ZSE

    051 Phil 317

  • G.R. No. 28151 December 24, 1927 - DIRECTOR OF LANDS, ET AL. v. EDUARDO GUTIERREZ

    051 Phil 324

  • G.R. No. 28205 December 24, 1927 - TIMOTEO UNSON, ET AL. v. URQUIJO, ET AL.

    051 Phil 329

  • G.R. No. 26786 December 31, 1927 - CATALINO SEVILLA, ET AL. v. GAUDENCIO TOLENTINO

    051 Phil 333

  • G.R. No. 27084 December 31, 1927 - AMBROSIO T. ALOJADO v. M. J. LIM SIONGCO, ET AL.

    051 Phil 339

  • G.R. No. 27245 December 31, 1927 - LEONA RAMOS, ET AL. v. FRANCISCO ICASIANO

    051 Phil 343

  • G.R. No. 27491 December 31, 1927 - TEODORO R. YANGCO v. VICENTE ALDANESE

    051 Phil 348

  • G.R. No. 27588 December 31, 1927 - ROMAN CATHOLIC BISHOP OF NUEVA SEGOVIA v. PROVINCIAL BOARD OF ILOCOS NORTE

    051 Phil 352

  • G.R. No. 27878 December 31, 1927 - CLARA GONZALEZ v. GIL CALIMBAS, ET AL.

    051 Phil 355

  • G.R. No. 27890 December 31, 1927 - PONCIANO MEDEL v. CARLOS N. FRANCISCO

    051 Phil 367

  • G.R. No. 28243 December 12, 1927 - PEOPLE OF THE PHIL. v. SAWAJAN ET AL.

    053 Phil 689

  • G.R. No. 27856 December 16, 1927 - PEOPLE OF THE PHIL. v. LAZARO RABADAN, ET AL.,

    053 Phil 594

  • G.R. No. 25951 December 24, 1927 - MODESTA BELTRAN v. JUAN VALBUENA ET AL.

    053 Phil 697

  • G.R. No. 27436 December 24, 1927 - JOSE DE LA VIÑA Y CRUZ v. SING JUCO

    053 Phil 701

  • G.R. No. 27440 December 24, 1927 - JOSE VILLAFLOR v. DEOGRACIAS TOBIAS ET AL.

    053 Phil 714

  • G.R. No. 27206 December 31, 1927 - RUFINA NAÑAGAS v. MUNICIPALITY OF SAN NARCISO

    053 Phil 719

  • G.R. No. 27207 December 31, 1927 - HEREDEROS DE FILOMENO ESQUIERES v. DIRECTOR OF LANDS ET AL.

    053 Phil 727

  • G.R. No. 27480 December 31, 1927 - MARTIN GONZALEZ v. PONCIANO MAURICIO

    053 Phil 729

  • G.R. No. 27764 December 31, 1927 - JOSE M. NAVA ET AL., v. PRESENTACION HOFILEÑA ET AL.

    053 Phil 738

  • G.R. No. 27770 December 31, 1927 - FRANK B. INGERSOLL v. MALABON SUGAR CO.

    053 Phil 745