Philippine Supreme Court Jurisprudence


Philippine Supreme Court Jurisprudence > Year 1961 > April 1961 Decisions > G.R. No. L-16137 April 29, 1961 - VIRGINIA AMOR, ET AL. v. COMMISSIONER OF INTERNAL REVENUE:




PHILIPPINE SUPREME COURT DECISIONS

EN BANC

[G.R. No. L-16137. April 29, 1961.]

VIRGINIA AMOR, ROSABEL B. TIANGSON, GORGONIA GANARAN, CARMEN M. PADERNILIA, LYDIA A. MAGBANUA, SONIA C. DAYOT, GLORIA P. MALUNDO and NIMFA A. RIEGO, Petitioners, v. COMMISSIONER OF INTERNAL REVENUE, Respondent.

Ross, Selph & Carrascoso, for Petitioners.

Solicitor General for Respondent.


SYLLABUS


1. TAXATION; OCCUPATION TAXES; PHARMACIST AND REGISTERED NURSES IN A PRIVATE HOSPITAL. — The provision applicable to the occupation tax is No. (7) of Section 182 of the National Internal Revenue Code, which speaks of the exception "in respect to the tax imposed by par. (B) of this section." Petitioners, who are pharmacists and registered nurses, not being employed in any branch of the service of the Government or any religious, educational or charitable institution, or hospital, sanitarium, or any similar establishment not conducted for private gain, are not exempt from payment of the occupation tax.


D E C I S I O N


BARRERA, J.:


This is an appeal taken by petitioners Virginia Amor, Rosabel Tiangson, Gorgonia Ganaran, Carmen Padernilia, Lydia Magbanua, Sonia Dayot, Gloria Malundo, and Nimfa Riego, from the decision of the Court of Tax Appeals (in C.T.A. Case No. 629) affirming the denial by respondent Commissioner of Internal Revenue of their claim for refund; pursuant to Section 182(C) (1) of the Tax Code, of occupation taxes for 1958 paid by them.

It appears that since January 1, 1958, petitioners have been employed as pharmacists and registered nurses at the Insular Lumber Company Hospital, at Fabrica, Negros Occidental, with monthly salaries ranging from P120.00 to P190.00. Upon assessment by and demand from respondent Commissioner, pursuant to Section 182(b) (2) of the Tax Code, they paid to him the sum of P50.00 each, or a total of P400.00, as occupation taxes for 1958. Their claims for refund thereof, pursuant to Section 182(c) (1) of the Tax Code, having been denied by respondent Commissioner, they appealed to the Court of Tax Appeals on February 25, 1959, which court, on August 17, 1959, rendered a decision affirming said refusal by respondent Commissioner to refund the tax. Petitioners’ motion for reconsideration of said decision having been denied by the court, they appealed to us.

Petitioners contend that in view of their meager salaries, they are exempt from payment of the occupation tax pursuant to the provision of Section 182(c) (1) of the Tax Code which reads:jgc:chanrobles.com.ph

"SEC. 182. Fixed taxes. . . (c) Exceptions. — The following shall be exempt from the tax imposed in this section:jgc:chanrobles.com.ph

"(1) Persons whose gross monthly sales or receipts do not exceed two hundred pesos."cralaw virtua1aw library

In denying the refund, the trial court, Honorable Mariano Nable presiding, stated:jgc:chanrobles.com.ph

". . . It is suggested, on behalf of petitioners, that the term ‘receipts’ in the aforequoted codal provision includes salaries, and inasmuch as the gross monthly salaries of the petitioners did not exceed P200.00, they were exempt from the payment of fixed occupation tax in accordance with Section 182(C) (1) of the Tax Code. But, it is contrarily urged by the respondent that the exemption authorized by said section applies solely to persons engaged in business on which percentage tax is imposed, and those otherwise subject to the graduated annual fixed tax.

"It is to be observed that the terms ‘sales’ and ‘receipts’ found in Section 182 (C) (1) are conjoined by the word ‘or’. From the context of the statute, we gather that the word ‘or’ joins two different terms which signify one and the same idea. As used in the statute under consideration, these terms refer to receipts of persons who are engaged in business. Nowhere in the said context can we find a justification for the suggestion advanced by petitioners that the term ‘receipts’ in Section 182(C) (1) of the Tax Code includes salaries. Such suggestion is a strained and stretched interpretation.

"The conclusion that the term ‘receipts’ appearing in Section 182 (C) (1) does not embrace salaries is buttressed by the fact that the whole Section 182, as amended by Republic Acts Nos. 1612 and 1856, is merely a composite of what were formerly Sections 182, 193, 201 and 202 of the Tax Code. The modifications effected by these two statutes consist mainly of increase in tax rates and the enlargement of subjects of taxation. Except for the word ‘monthly’, which is different from ‘quarterly’; the phrase ‘or receipts’, a new addendum; and the amount ‘two hundred’, a reduction of the sum of four hundred- fifty, Section 182(C) (1) is an incorporated copy of what formerly was Section 182(A) of the Tax Code. It must be noted that under what was formerly Section 182(A) ‘Persons whose gross quarterly sales do not exceed four hundred fifty pesos’ were exempt from the tax imposed in this section. This section was captioned ‘Fixed tax upon business’. Obviously, the legislative intention to exempt from the fixed tax only persons engaged in business remained the same. The addition of the term ‘receipts’ to the word ‘sales’ does not make any difference. The resulting phraseology ‘sales or receipts’, as embodied in Section 182(C) (1), should not be deemed a change of law, unless there is an evident intention on the part of the legislature to make such a change (See Taylor, Et. Al. v. Bowker, 111 U.S. 110, 114). In the instant case, we find no congressional intention to effect such a change, for the added term ‘receipts’ conveys the same meaning as ‘sales’.

"Petitioners are not entitled to exemption from the payment of occupation tax on pharmacists and registered nurses, for the reason that their professional services were not devoted exclusively to a branch of the service of the Government of the Philippines or were applied under its direction, nor were same entirely devoted to a religious, educational, or charitable institution, or hospital, sanitarium or to a similar establishment, not conducted for private gain. (See Section 182 [C] [7] of the Tax Code.)

Finally, it is a well settled rule that exemptions from taxation are highly disfavored in law; and he, who claims an exemption must be able to justify his claim by the clearest grant of organic or statute law. An exemption from a common burden cannot be permitted to exist upon vague implication. (Asiatic Petroleum Co. v. Llanes, 49 Phil., 466; House v. Posadas, 53 Phil., 338; Philippine Telephone and Telegraph Co. v. Collector of Internal Revenue, 53 Phil., 639; Collector of Internal Revenue v. Manila Jockey Club, 99 Phil., 289.) In the case at bar, petitioners have failed to justify their claims for exemption by the clearest grant of law."cralaw virtua1aw library

Petitioners argue, on the other hand, that the addition of the term "or receipts" to the word "sales" when the law was amended clearly indicates that "salaries", included in the term "receipts", come within the exception which refers not only to the fixed tax on business under paragraph (A) of Section 182 of the Tax Code, but also to the occupation tax under paragraph (B) of the same section, especially taking into account that paragraph (C), Exception, reads "the following shall be exempt from the tax imposed in this section", which, it is argued, precisely contains both paragraphs (A) and (B).

The error in this argument is that it is predicated solely on paragraph (1) and disregards or overlooks the other paragraphs enumerating the exceptions under (C) of the Section in question which, in its entirety, reads:jgc:chanrobles.com.ph

"SEC. 182. . . .

"(C) Exceptions. — The following shall be exempt from the tax imposed in this section:jgc:chanrobles.com.ph

"(1) Persons whose gross monthly sales or receipts do not exceed two hundred pesos.

"(2) All persons in public market places, selling exclusively domestic meat, fruits, vegetables, game, poultry, fish and other similar domestic food products.

"(3) Peddlers and sellers at fixed stands and other similar selling-places engaged exclusively in the sale at retail of domestic meal fruits, vegetables, game, poultry, fish, and similar domestic food products, whose total stock in trade on any one day does not reach a retail value of one hundred pesos.

"(4) Producers of commodities of all classes working in their own homes, consisting of parents and children living as one family, when the value of each day’s production by each person capable of working is not in excess of five pesos.

"(5) Owners of animal drawn two wheeled vehicles.

"(6) Owners of bancas.

"(7) Persons employed in any branch of the service of the Government of the Philippines whose entire professional services are devoted exclusively thereto or are applied under its direction, or persons devoting their entire professional services to any religious, educational, or charitable institution, or hospital, sanitarium, or to any similar establishment, not conducted for private gain, in respect to the tax imposed by paragraph (B) of this section."cralaw virtua1aw library

As is evident from the language of the law, the exceptions detailed under Nos. (1) to (6) involve business of some kind or another, and, logically, are the ones applicable to fixed taxes on the different businesses described in paragraph (A). Note that not all the businesses described in paragraph (A) involve sales. In subparagraph (3) thereunder are described "Other fixed taxes" payable by manufacturers, producers, stockbrokers, real estate brokers, customs brokers, immigration brokers, owners of race tracks, film owners, lessors or distributors, business agents, among others, who do not engage in sale transactions. It is for this reason that the word "receipts" has been added to the term "monthly sales" in the exception, in order to include the income or earnings of those mentioned in the subdivision "other fixed taxes" under the general paragraph" (A) On business."

On the other hand, the provision applicable to the occupation tax is No. (7) of the above-quoted section which, in express language, speaks of the exception "in respect to the tax imposed by paragraph (B) of this section."

It appearing that petitioners are not employed in any branch of the service of the Government or of any religious, educational, or charitable institution, or hospital, sanitarium, or any similar establishment not conducted for private gain, they are not exempt from the occupation tax herein involved and are, therefore, not entitled to the refund of the tax paid by them.

In the light of the foregoing, the decision of the Court of Tax Appeals appealed from is affirmed, with costs against the petitioners- appellants. So ordered.

Bengzon, C.J., Bautista Angelo, Labrador, Concepcion, Reyes, J.B.L., Paredes and Dizon, JJ., concur.

Padilla, J., took no part.




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






April-1961 Jurisprudence                 

  • A.C. No. 439 April 12, 1961 - LEDESMA DE JESUS-PARAS v. QUINCIANO VAILOCES

  • G.R. No. L-14158 April 12, 1961 - REPUBLIC OF THE PHIL. v. PHILIPPINE NATIONAL BANK, ET AL.

  • G.R. No. L-14324 April 12, 1961 - IN RE: WILLIAM LI YAO v. NARCISA B. DE LEON, ET AL.

  • G.R. No. L-15705 April 15, 1961 - REPUBLIC OF THE PHIL. v. DY CHAY

  • G.R. No. L-15861 April 15, 1961 - LIM GIOK v. BATAAN CIGAR AND CIGARETTE FACTORY, INC.

  • G.R. No. L-13325 April 20, 1961 - SANTIAGO GANCAYCO v. COLLECTOR OF INTERNAL REVENUE

  • G.R. No. L-15102 April 20, 1961 - ALFREDO GARCHITORENA v. REPUBLIC OF THE PHIL.

  • G.R. No. L-15950 April 20, 1961 - GERVACIO DAUZ v. FELIPE ELEOSIDA, ET AL.

  • G.R. No. L-16235 April 20, 1961 - PEOPLE OF THE PHIL. v. CARLOS MAGDALUYO

  • G.R. No. L-16473 April 20, 1961 - FELISA QUIJANO v. JACINTO TAMETA

  • G.R. No. L-16739 April 20, 1961 - VICENTE PENUELA, ET AL. v. ERNESTO HORNADA

  • G.R. No. L-16777 April 20, 1961 - QUINTIN CHAN v. JUAN B. ESPE

  • G.R. No. L-14711 April 22, 1961 - SMITH, BELL & CO., LTD. v. MANILA PORT SERVICE & MANILA RAILROAD CO., INC.

  • G.R. No. L-10367 April 25, 1961 - MARY MCD. BACHRACH v. PHILIPPINE TRUST CO., ET AL.

  • G.R. No. L-12602 April 25, 1961 - LUIS PINEDA v. COURT OF FIRST INSTANCE OF DAVAO, ET AL.

  • G.R. No. L-12918 April 25, 1961 - SANTIAGO BALMONTE v. JULIAN MARCELO, ET AL.

  • G.R. No. L-15123 April 25, 1961 - GENERAL SHIPPING CO., INC. v. SATURNINO C. PINOON

  • G.R. No. L-15957 April 25, 1961 - PEOPLE OF THE PHIL. v. BENJAMIN ESPIRITU

  • G.R. No. L-16051 April 25, 1961 - FERNANDO GOCHOCO, ET AL. v. CHANG HIOK, ET AL.

  • G.R. No. L-16733 April 25, 1961 - MANUELA MENDOZA ET AL. v. KAPISANAN NG MGA MANGGAGAWA SA MANILA RAILROAD CO.

  • G.R. No. L-17046 April 25, 1961 - JUAN ADUAN, ET AL. v. PANTALEON ALBA, ET AL.

  • G.R. No. L-11406 April 26, 1961 - MARIANO J. SANTOS v. ALEJANDRO DE GUZMAN

  • G.R. No. L-12822 April 26, 1961 - LIM BUN v. REPUBLIC OF THE PHIL.

  • G.R. No. L-12836 April 26, 1961 - MANILA TRADING AND SUPPLY CO. v. EDUARDO D. ENRIQUEZ, ET AL.

  • G.R. No. L-13143 April 26, 1961 - DEMETRIO CARPENA, ET AL. v. LUCIANO MANALO, ET AL.

  • G.R. No. L-14756 April 26, 1961 - EMILIANO BALADJAY v. ZOILO CASTRILLO, ET AL.

  • G.R. No. L-15381 and 82 April 26, 1961 - PEOPLE OF THE PHIL. v. MARIA MAYDIN

  • G.R. No. L-15410 April 26, 1961 - MANUEL M. ANTONIO v. MAURO SAMONTE, ET AL.

  • G.R. No. L-15415 April 26, 1961 - REPUBLIC OF THE PHIL. v. PEDRO ABACITE, ET AL. .

  • G.R. No. L-15700 April 26, 1961 - CRESENCIA VDA. DE BAKIT v. VERONICO ASPERIN, ET AL.

  • G.R. No. L-15872 April 26, 1961 - CITY OF MANILA v. ANTONIA EBAY

  • G.R. No. L-16234 April 26, 1961 - PEOPLE OF THE PHIL. v. MARIANITO FETALVERO, ET AL.

  • G.R. No. L-16596 April 26, 1961 - MANILA RAILROAD COMPANY v. CITY OF DAGUPAN, ET AL.

  • G.R. No. L-16659 April 26, 1961 - ALFREDO REYES v. JOSE PASCUAL

  • G.R. No. L-16878 April 26, 1961 - JUAN SANCHEZ v. OSCAR DEL ROSARIO

  • G.R. No. L-16963 April 26, 1961 - ROXAS Y CIA v. JOSE R. CABATUANDO, ET AL.

  • G.R. No. L-12236 April 28, 1961 - PEOPLE OF THE PHIL. v. BRAULIO BERSALONA, ET AL.

  • G.R. No. L-14793 April 28, 1961 - PHILIPPINE INDEPENDENT CHURCH v. JUANA MATEO, ET AL.

  • G.R. No. L-15065 April 28, 1961 - CESAR D. MILITAR v. VENTURA TORCILLERO, ET AL.

  • G.R. No. L-15139 April 28, 1961 - FELIX DE CASTRO, JR., ET AL. v. EMITERIO M. CASTAÑEDA, ET AL.

  • G.R. No. L-15877 April 28, 1961 - JOVENAL R. FERNANDEZ v. TAN TIONG TICK, ET AL.

  • G.R. No. L-15952 April 28, 1961 - SYBIL SAMSON, ET AL. v. NICASIO YATCO, ET AL.

  • G.R. Nos. L-16355-56 April 28, 1961 - IGNACIO GONZALES v. JOSE M. SANTOS, ET. AL.

  • G.R. No. L-16560 April 28, 1961 - TOMAS BENAZA, ET AL. v. ZOILO BONILLA, ET AL.

  • G.R. No. L-10763 April 29, 1961 - DELFIN YAMBAO v. ANGELINA GONZALES, ET AL.

  • G.R. No. L-11084 April 29, 1961 - ALEJANDRO QUEMUEL, ET AL. v. ANGEL S. OLAES, ET AL.

  • G.R. No. L-11499 April 29, 1961 - IN RE: REPUBLIC OF THE PHIL. v. GO BON LEE

  • G.R. No. L-11639 April 29, 1961 - DANIEL DE LEON v. JOAQUIN HENSON, ET AL.

  • G.R. No. L-11765 April 29, 1961 - DAMASO DESCUTIDO, ET AL. v. JACINTO BALTAZAR, ET AL.

  • G.R. No. L-12888 April 29, 1961 - R. F. NAVARRO v. SUGAR PRODUCERS COOPERATIVE MARKETING ASSOCIATION, INC.

  • G.R. No. L-13252 April 29, 1961 - CONSUELO TAN VDA. DE ZALDARRIAGA v. EDUARDO D. ENRIQUEZ ETC., ET AL.

  • G.R. No. L-13515 April 29, 1961 - PAZ BACABAC v. VICENTE F. DELFIN, ETC., ET AL.

  • G.R. No. L-13976 April 29, 1961 - PEOPLE OF THE PHIL. v. BERNARDO Z. OBALDO

  • G.R. No. L-13994 April 29, 1961 - VALERIO P. TRIA v. WENCESLAO A. LIRAG

  • G.R. No. L-14146 April 29, 1961 - NG LIAM KENG v. REPUBLIC OF THE PHIL.

  • G.R. No. L-14220 April 29, 1961 - DOMINGO E. LEONOR v. FRANCISCO SYCIP

  • G.R. No. L-14421 April 29, 1961 - GUAGUA ELECTRIC LIGHT PLANT COMPANY, INC. v. COLLE CTOR OF INTERNAL REVENUE, ET AL.

  • G.R. No. L-14603 April 29, 1961 - RICARDO LACERNA, ET AL. v. AGATONA PAURILLO VDA. DE CORCINO

  • G.R. No. L-14712 April 29, 1961 - PEOPLE OF THE PHIL. v. FEDERICO CORTES

  • G.R. No. L-14783 April 29, 1961 - PEOPLE OF THE PHIL. v. MARCIAL P. AMA, ET AL.

  • G.R. No. L-14871 April 29, 1961 - FLORENCIA M. GUANCO v. SEGUNDO MONTEBLANCO, ET AL.

  • G.R. No. L-14969 April 29, 1961 - LAND TENURE ADMINISTRATION v. CEFERINO ASCUE, ET AL.

  • G.R. No. L-15014 April 29, 1961 - PEOPLE OF THE PHIL. v. VICTORIANO VILLANUEVA

  • G.R. No. L-15171 April 29, 1961 - LEPANTO CONSOLIDATED MINING COMPANY, ET AL. v. COURT OF APPEALS, ET AL.

  • G.R. No. L-15225 April 29, 1961 - C. G. NAZARIO & SONS, INC. v. CENTRAL BANK OF THE PHIL.

  • G.R. No. L-15347 April 29, 1961 - GENERAL BUS CORPORATION, ET AL. v. GREGORIO CUNANAN

  • G.R. No. L-15386 April 29, 1961 - JOSE L. UY v. PACITA UY, ET AL.

  • G.R. No. L-15394 April 29, 1961 - CESARIO DE LEON, ET AL. v. MACAPANTON ABBAS, ET AL.

  • G.R. No. L-15445 April 29, 1961 - IN RE: FLORANTE C. TIMBOL v. JOSE C. CANO

  • G.R. Nos. L-15490-93 April 29, 1961 - CAMARINES SUR INDUSTRY CORPORATION v. JAIME T. BUENAFLOR

  • G.R. No. L-15506 April 29, 1961 - GOVERNMENT SERVICE INSURANCE SYSTEM v. COURT OF INDUSTRIAL RELATIONS, ET AL.

  • G.R. No. L-15515 April 29, 1961 - PEOPLE OF THE PHIL. v. ROGER M. PERETE, ET AL.

  • G.R. No. L-15564 April 29, 1961 - PASCUAL STA. ANA v. EULALIO MENLA

  • G.R. No. L-15739 April 29, 1961 - EMILIANO LACSON, SR. v. JACINTO DELGADO

  • G.R. No. L-15768 April 29, 1961 - TALIM QUARRY COMPANY, INC., ET AL. v. GAVINO BARTOLA BERNARDO ABELLO, ET AL.

  • G.R. No. L-15775 April 29, 1961 - TAN YU CHIN v. REPUBLIC OF THE PHIL.

  • G.R. No. L-15960 April 29, 1961 - PEOPLE OF THE PHIL. v. JUAN REGINALDO, ET AL.

  • G.R. No. L-15973 April 29, 1961 - PERPETUA GARGOLLO v. ALFREDO DUERO, ET AL.

  • G.R. No. L-16071 April 29, 1961 - RUFINO O. ABUDA v. AUDITOR GENERAL

  • G.R. No. L-16137 April 29, 1961 - VIRGINIA AMOR, ET AL. v. COMMISSIONER OF INTERNAL REVENUE

  • G.R. No. L-16138 April 29, 1961 - DIOSDADO C. TY v. FIRST NATIONAL SURETY & ASSURANCE CO, INC.

  • G.R. No. L-16221 April 29, 1961 - RODOLFO GERONIMO v. MUNICIPALlTY OF CABA, LA UNION

  • G.R. No. L-16422 April 29, 1961 - JUSTINA C. SANTOS, ET AL. v. NATIVIDAD ALMEDA LOPEZ, ET AL.

  • G.R. No. L-16448 April 29, 1961 - REGISTER OF DEEDS OF QUEZON CITY v. HONESTO G. NICANDRO, ET AL.

  • G.R. No. L-16509 April 29, 1961 - PEOPLE OF THE PHIL. v. BIENVENIDO TAN, ET AL.

  • G.R. No. L-16535 April 29, 1961 - PEOPLE OF THE PHIL. v. PANTALEON ELPEDES

  • G.R. No. L-17015 April 29, 1961 - GEORGE H. EVANS, ETC. v. WORKMEN’S COMPENSATION COMMISSION, ET AL.

  • G.R. No. L-17114 April 29, 1961 - JULIA M. NEIBERT v. GREGORIO D. MONTEJO

  • G.R. No. L-17202 April 29, 1961 - BENGUET CONSOLIDATED, INC. v. COTO LABOR UNION (NLU), ET AL.

  • G.R. No. L-17377 April 29, 1961 - FRANCISCO LAGUNILLA v. JUAN O. REYES, ET AL.

  • G.R. No. L-18359 April 29, 1961 - CALIXTO DUQUE, ET AL. v. COURT OF FIRST INSTANCE OF MANILA, ET AL.