Taxpayer filing his appeal to the court of appeals


Problem: The tax payer seasonably filed his protest together with all the supporting documents. It is already July 31, 2019 or 180 days from the submission of the protest but the BIR commissioner has not yet decided his protest. Desirous of an early resolution of his protested assessment, the taxpayer should file his appeal to the Court of Appeals not later than?

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Taxation: Taxpayer filing his appeal to the court of appeals
Reference No:- TGS03223402

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