CTA Procedure
CTA Procedure
Jurisdiction of the
Court of Tax Appeals
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Laws Governing the CTA
Provided also that appeals from the decision the CTA en banc shall
be made before the SC
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Composition and Structure of
The CTA
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Court of Tax Appeals
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Meaning of CTA being a
Specialized Court
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CTA
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CTA
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Jurisdiction of the CTA
Criminal Cases
*CIR v. Leal, GR No. 113459, 18 November 2002 Where does jurisdiction to review revenue issuances,
e.g., BIR Rulings, RRs, RMOs and RMCs, lie? CIR v. Leal
says jurisdiction over this matter pertains to the CTA,
and not to the RTC. In this case, in dispute were RMO
No. 15-91 and RMC No. 43-91 issued by the CIR
implementing the 1977 Tax Code on the taxability of
pawnshops. The Supreme Court ruled that the CTA had
jurisdiction to review by appeal decisions of the CIR on
other matters arising under the National Internal
Revenue or other laws administered by the Bureau of
Internal Revenue, and revenue issuances belong to
such category of other matters.
In case the CIR fails to act on a disputed assessment within 180 days from
date of submission of documents, a taxpayer can either: (1) file a petition
for review with the CTA within 30 days after the expiration of 180 days; or
(2) await the final decision of the CIR on the disputed assessment and
appeal such final decision to the CTA within 30 days after receipt of a copy
of such decision. These options are mutually exclusive, and resort to one
bars the application of the other.
Decisions of the DTI Secretary in the case of nonagricultural product, commodity or article and the DA
Secretary in case of agricultural product, commodity or
article, involving dumping and countervailing duties and
safeguard measures
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Judicial Procedures
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Who may appeal
CIR
COC
DOF Sec
DTI SEC
DA Sec
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Mode and Effect of Appeal
COC
DOF Sec
DTI Sec
DA Sec
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Mode and Effect of Appeal
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Mode and effect of Appeal
CBAA
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Mode and Effect of Appeal
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Mode and Effect of Appeal
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Mode and Effect of Appeal
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Mode and Effect of Appeal
Rule on Suspension of
Collection
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Taking of Evidence
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Taking of Evidence
Any court official for the sole purpose of marking comparison with
the original and identification by witnesses of the received
documentary evidence
15 days
No second MR or MNT
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Grounds for Filing an MR/ MNT
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Appeal to the CTA en banc
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Criminal cases
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Criminal cases
Modes of appeal
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Criminal cases
Taxpayers Suit
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Distinguised from Citizens suit
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Requisites
Doctrine of Transcendental
Importance
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Ripeness