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A decision of the Philippine Court of Tax Appeals was published 23 February 2017 concerning whether failure to timely file a Tax Treaty Relief Application (TTRA) is grounds for denying treaty relief. The case involved Toyota Motor Philippines (Toyota P), which on 1 May 2009 entered into a technical assistance agreement granting license to manufacture certain series of motor vehicles and their spare parts in the Philippines. Under the agreement Toyota P paid a royalty of 6% of the net selling price of the motor vehicles and accessory parts it sells, and 3% of the net selling price of the...