Book contents
- Frontmatter
- Contents
- China — Measures Related to the Exportation of Various Raw Materials (WT/DS394, WT/DS395, WT/DS398)
- PHILIPPINES - TAXES ON DISTILLED SPIRITS
- TABLE OF CONTENTS
- CASES CITED IN THESE REPORTS
- LIST OF ABBREVIATIONS USED IN THESE REPORTS
- 1 INTRODUCTION
- II ARGUMENTS OF THE PARTICIPANTS AND THE THIRD PARTICIPANTS
- III ISSUES RAISED IN THIS APPEAL
- IV BACKGROUND
- V ARTICLE III:2, FIRST SENTENCE, OF THE GATT 1994
- VI ARTICLE III:2, SECOND SENTENCE, OF THE GATT 1994
- VII FINDINGS AND CONCLUSIONS IN THE APPELLATE BODY REPORT WT/DS396/AB/R
- VIII FINDINGS AND CONCLUSIONS IN THE APPELLATE BODY REPORT WT/DS403/AB/R
- ANNEX I NOTIFICATION OF AN APPEAL BY THE PHILIPPINES, WT/DS396/7, WT/DS403/7
- ANNEX II NOTIFICATION OF AN OTHER APPEAL BY THE EUROPEAN UNION, WT/DS396/8, WT/DS403/8
- PHILIPPINES - TAXES ON DISTILLED SPIRITS
- Cumulative List of Published Disputes
IV - BACKGROUND
from PHILIPPINES - TAXES ON DISTILLED SPIRITS
Published online by Cambridge University Press: 13 December 2017
- Frontmatter
- Contents
- China — Measures Related to the Exportation of Various Raw Materials (WT/DS394, WT/DS395, WT/DS398)
- PHILIPPINES - TAXES ON DISTILLED SPIRITS
- TABLE OF CONTENTS
- CASES CITED IN THESE REPORTS
- LIST OF ABBREVIATIONS USED IN THESE REPORTS
- 1 INTRODUCTION
- II ARGUMENTS OF THE PARTICIPANTS AND THE THIRD PARTICIPANTS
- III ISSUES RAISED IN THIS APPEAL
- IV BACKGROUND
- V ARTICLE III:2, FIRST SENTENCE, OF THE GATT 1994
- VI ARTICLE III:2, SECOND SENTENCE, OF THE GATT 1994
- VII FINDINGS AND CONCLUSIONS IN THE APPELLATE BODY REPORT WT/DS396/AB/R
- VIII FINDINGS AND CONCLUSIONS IN THE APPELLATE BODY REPORT WT/DS403/AB/R
- ANNEX I NOTIFICATION OF AN APPEAL BY THE PHILIPPINES, WT/DS396/7, WT/DS403/7
- ANNEX II NOTIFICATION OF AN OTHER APPEAL BY THE EUROPEAN UNION, WT/DS396/8, WT/DS403/8
- PHILIPPINES - TAXES ON DISTILLED SPIRITS
- Cumulative List of Published Disputes
Summary
The Measure at Issue
97. The measure at issue in this dispute is the excise tax regime in force in the Philippines as it applies to distilled spirits. The Panel referred to it as the “excise tax”. Under the measure at issue, taxes are collected on distilled spirits in accordance with the criteria set out in Section 141 ot the Philippines' National Internal Revenue Code of 1997 (the “NIRC”), as amended.
98. Under Section 141(a) of the NIRC, distilled spirits are subject to a specific flat tax rate if two requirements are met: (i) the distilled spirits are produced from one of the following raw materials—sap of the nipa, coconut, cassava, camote, buri palm, or from juice, syrup, or sugar of the cane (collectively referred to as “designated raw materials”); and (ii) the designated raw materials are produced commercially in the country where they are processed into distilled spirits. As from 1 January 2011, the flat rate set out in Section 141(a) is 14.68 Philippine pesos (“PHP”) per proof litre (“ppl”).
99. Under Section 141(b) of the NIRC, all distilled spirits that do not meet either of the requirements set forth above are subject to three different tax rates that apply depending on the net retail price (“NRP”) of a 750 millilitre (“ml”) bottle of the spirit.182 As from 1 January 2011, distilled spirits falling under Section 141(b) are subject to a tax of: (i) PHP 158.73 ppl, if their NRP is less than PHP 250; (ii) PHP 317.44 ppl, if their NRP is between PHP 250 and PHP 675; or (iii) PHP 634.90 ppl, if their NRP is more than PHP 675.
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- Dispute Settlement Reports 2012 , pp. 4206 - 4211Publisher: Cambridge University PressPrint publication year: 2014
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