Title
Rhombus Energy, Inc. vs. Commissioner of Internal Revenue
Case
G.R. No. 206362
Decision Date
Aug 1, 2018
Rhombus Energy claimed a refund for excess creditable withholding tax for 2005, initially granted by CTA First Division but reversed by CTA En Banc. Supreme Court ruled in favor, reinstating refund, citing proper exercise of refund option and compliance with requisites.
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