Taxpayers have remedies available if they disagree with a tax assessment from the Bureau of Internal Revenue. They can file an administrative protest within 30 days to contest the assessment. If the protest is denied, taxpayers can appeal to the Court of Tax Appeals within 30 days to challenge the assessment judicially. Taxpayers must pay the tax under protest to pursue their administrative and judicial remedies against the contested assessment.
Taxpayers have remedies available if they disagree with a tax assessment from the Bureau of Internal Revenue. They can file an administrative protest within 30 days to contest the assessment. If the protest is denied, taxpayers can appeal to the Court of Tax Appeals within 30 days to challenge the assessment judicially. Taxpayers must pay the tax under protest to pursue their administrative and judicial remedies against the contested assessment.
Taxpayers have remedies available if they disagree with a tax assessment from the Bureau of Internal Revenue. They can file an administrative protest within 30 days to contest the assessment. If the protest is denied, taxpayers can appeal to the Court of Tax Appeals within 30 days to challenge the assessment judicially. Taxpayers must pay the tax under protest to pursue their administrative and judicial remedies against the contested assessment.