Senator Pia Cayetano

Sponsorship of the bill clarifying the tax rate for all private schools

By Senator Pia S. Cayetano
Chairperson, Committee on Ways and Means

Mr. President, distinguished colleagues, today, I rise to sponsor and seek your support for the passage of Senate Bill No. 2407, under Committee Report No. 311, which amends Section 27(B) of the National Internal Revenue Code.

Not long ago, this chamber passed the CREATE Act, a measure that serves as our fulfillment to the overdue reforms in the country’s corporate income tax and fiscal incentives system.

In particular, CREATE provided reprieve to proprietary educational institutions in the country by lowering their 10% preferential tax rate to 1% for a period of 3 years, specifically from July 1, 2020 until June 30, 2023.

This was made in keeping with our desire to provide support for our education sector, which has been severely burdened by the disruptions caused by the pandemic. This sector continues to need as much assistance and resources as it can get in order to continue delivering quality education to Filipino learners.

Meanwhile, on 8 April 2021,  the Bureau of Internal Revenue (BIR) issued Revenue Regulation No. 5-2021, which specifically stated that only non-profit proprietary educational institutions can avail of the preferential tax rate under CREATE, basing this on  Supreme Court decisions.

This then prompted the filing of Senate Bill No. 2272 by Senator Sonny Angara, which sought to clarify the issue. During our hearing held on June 30, 2021,  my fellow legislators and I asked the DOF to suspend the implementation of the BIR Revenue Regulation in order to avoid its impending ill effects on the “for profit” private schools.

In response, the DOF, through its letter to the Senate dated 21 July 2021, gave its commitment that in order to ease the burden of taxation among proprietary educational institutions, they shall issue the appropriate revenue regulations suspending the relevant provisions of BIR’s Revenue Regulation No. 5-2021.

As a result, the Bureau issued Revenue Regulation No. 14-2021, which suspended the inclusion of “for-profit” private schools in the regime of regular income tax.

So this Committee Report effectively clarifies that the preferential tax rate of 10% under the NIRC, which was lowered by the CREATE Act to 1% from July 1, 2020 until June 30, 2023, applies to all private schools – putting an end to the debates as to whether  “for-profit” private schools were covered or not.

Private schools are the government’s partners in education. This partnership is even more crucial today, as our nation deals with the COVID-19 pandemic, which has disrupted our educational systems and the formal learning of our current generation of students.

Thank you Mr. President. #

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