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A judgment of the Supreme Court of the Philippines was published on 2 August 2023 concerning the prior administrative requirements to claim/confirm tax treaty relief with the Bureau of Internal Revenue (BIR) before applying a reduced tax treaty withholding rate on dividends. The case involved a French company, Egis Road Operations S.A. (Egis Road France), which received dividends from its 99% owned subsidiary in the Philippines in 2010. At the time the dividends were paid, the subsidiary applied the reduced withholding tax rate under the treaty (10%) but did not submit the required Tax Treaty Relief Application (TTRA) to the...