In a 33-page resolution dated March 14, the court ruled that the formal demand letter of the commissioner of the Bureau of Internal Revenue was void. The appellate court also directed the BIR to refrain from further action related to the collection of the said taxes.
The court said the appeal filed by the company was timely submitted, giving it jurisdiction to decide over the case. The revenue officers initially in charge of assessing the accounting books of the company were authorized by a letter of authority by a BIR regional director.
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