By Danessa Rivera (The
Philippine Star) | Updated October 5, 2016 - 12:00am
MANILA, Philippines – Honoring the
contract of the Malampaya gas project in Northwest Palawan will bode well for
the upstream oil and gas industry as it signals predictability and consistency
in government policies, officials said yesterday.
In the EU-Philippines Business
Summit yesterday, Department of Energy (DOE) Secretary Alfonso Cusi said the
agency has strongly affirmed its position that the income tax of the Malampaya
contractor shall form part of the 60 percent of government share.
This is pursuit of the “DOE’s
commitment to maintain and strengthen the predictability, certainty and
consistency of investment rules of the country,” he said.
Last month, the DOE filed a motion
for reconsideration with the Commission on Audit (COA), reiterating the
previous DOE administration’s stand that Malampaya’s income tax was deductible
from the government’s 60 percent share of earnings.
Cusi said COA has yet to reply to
the agency’s motion for reconsideration. “ I’m sure they are also studying all
the documents we submitted,” he said.
The DOE’s move was a prudent
position since that arrangement is embedded in most service contracts issued by
government, Sen. Sherwin Gatchalian said in the same event.
“For continuity purposes as well as
respect to international contracting, I think that is a more prudent take,” he
said.
Gatchalian, chairman of the Senate
Committee on Energy, said changing rules in the middle of the game will just
turn off foreign investors, especially in the upstream oil and gas industry.
“If we change the rules, a lot of
investors will not come and invest in the country especially in exploration
which has a gestation of 10 years,” he said. “In exploration, we don’t have the
needed technology so we need foreign investors.”
COA found the tax deficiency in 2009
and was upheld in an April 6, 2015 decision after the Malampaya consortium
appealed the ruling.
Malampaya’s lead operator SPEX then
decided to sue the Philippine government by filing an arbitration case with the
Singapore International Arbitration Center in late 2015 and another with the
International Center for the Settlement of Investment Dispute in July 2016.
Since then, Malampaya’s tax dispute
has ballooned to around P151 billion, according to COA.
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