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Federico already gave up his Philippine citizenship. He sold his shares of stock in PLDT through the New York Stock Exchange. Is the income derived from this sale from the Philippines or obtained abroad?See: Sec. 42 of the National Internal Revenue Code https://www.chanrobles.com/legal6title8.htm#42Links to an external site.Group of answer choicesThe income is derived from the PhilippinesThe income is derived from outside the Philippines

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Federico already gave up his Philippine citizenship. He sold his shares of stock in PLDT through the New York Stock Exchange. Is the income derived from this sale from the Philippines or obtained abroad?See: Sec. 42 of the National Internal Revenue Code https://www.chanrobles.com/legal6title8.htm#42Links to an external site.Group of answer choicesThe income is derived from the PhilippinesThe income is derived from outside the Philippines

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Solution 1

The income is derived from the Philippines. According to Section 42 of the National Internal Revenue Code, income from the sale of shares of stock of a Philippine corporation is treated as derived from the Philippines, regardless of where the sale took place. Even though Federico sold his shares through the New York Stock Exchange, the income is still considered as derived from the Philippines because PLDT is a Philippine corporation.

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Solution 2

The income is derived from the Philippines. According to Section 42 of the National Internal Revenue Code, income from the sale of shares of stock of a Philippine corporation is treated as derived from the Philippines, regardless of where the sale took place. Even though Federico sold his shares through the New York Stock Exchange, the income is still considered as derived from the Philippines because PLDT is a Philippine corporation.

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