Sourcing Income of Electrical Industry



Similar documents
SOURCING OF SALES APPORTIONMENT FACTOR OF THE NH BUSINESS PROFITS TAX

OREGON Multistate Taxation and E-Commerce. John H. Gadon

Apportionment Formulas

State taxation in a global environment factor presence nexus considerations for foreign companies. by Charlie Fischer, Deloitte Tax LLP

TENNESSEE DEPARTMENT OF REVENUE LETTER RULING # 97-19

MTC APPORTIONMENT AND ALLOCATION RULES FOR FINANCIAL INSTITUTIONS

TENNESSEE DEPARTMENT OF REVENUE REVENUE RULING # WARNING

Income & Franchise Tax Audit Manual

State and local tax update for law firms. Baker Tilly refers to Baker Tilly Virchow Krause, LLP,

WithumSmith+Brown, PC

11,820. Doing Business or Nexus.

Co-Chairs, NCSL Executive Committee Task Force on State and Local Taxation

Instructions for 2013 Form 4A-1: Wisconsin Apportionment Data for Single Factor Formulas

TENNESSEE DEPARTMENT OF REVENUE LETTER RULING #95-39

Legislative Fiscal Bureau One East Main, Suite 301 Madison, WI (608) Fax: (608)

Single Sales Factor Apportionment

Michigan Business Tax Frequently Asked Questions

Demystifying the Sales Factor: Classifying Receipts. by Catherine A. Battin, Maria P. Eberle, and Lindsay M. LaCava

Tax. COST 37 th Annual Meeting

MTC THREE-FACTOR ELECTION IN CALIFORNIA, MICHIGAN, AND TEXAS

Tax Rates. For personal income tax purposes, for tax years beginning after 2014, the tax rates are as follows:

TENNESSEE DEPARTMENT OF REVENUE REVENUE RULING # WARNING

NEXUS. Navigating Through the Rising Oceans of Nexus- Economic Nexus and P.L , Protected and Unprotected Activity

NEW MEXICO TAXATION & REVENUE DEPARTMENT

Coordinating State and Federal Income Tax Audits

Bruce Fort Counsel, Multistate Tax Commission

How To Get A City Hall Tax Information From A County To A City Tax Account

Iowa s S Corporation Apportionment Tax Credit. Tax Credits Program Evaluation Study

Friends With Benefits Received? A Comparison of Market Sourcing Rules

Statement of Information Concerning Practices of Multistate Tax Commission and Signatory States Under Public Law

March 18, Dear XXXX:

FYI For Your Information

The State of State and Local Taxation and How it Impacts Your Law Firm

LEX HELIUS: THE LAW OF SOLAR ENERGY Tax Issues

MBT FAQ Index. Updated 9/19/2008 1

2 Business Income Tax

Articles: A Roadmap of How One Governor Used Economic Development to Create a New Virginia Economy: Part Two

COMBINED REPORTING WITH THE CORPORATE INCOME TAX

The State Board of Equalization Welcomes You to the Basic Sales and Use Tax Seminar

UNDERSTANDING NEXUS TO AVOID UNEXPECTED LIABILITY

Income/Franchise: New Jersey: General Guidelines Issued for Determining Whether Select Activities Create Corporation Business Tax Nexus

ARIZONA CORPORATE INCOME TAX OF MULTISTATE BUSINESSES

APPEARANCES: XXXXX, on behalf of XXXXX, et al.; Mr. Sean P. Cullinan, Special Assistant Attorney General, on behalf of the Department

Using the Experience in the U.S. States to Evaluate Issues in Implementing Formula Apportionment at the International Level

What s News in Tax Analysis That Matters from Washington National Tax

State, Local Tax Structure Base State, Local Tax Structure, the State of Ohio

State & Local Tax Alert Breaking state and local tax developments from Grant Thornton LLP

TO: OUR FRIENDS AND PROSPECTIVE CLIENTS FROM: THOMAS WILLIAMS, CPA RE: U.S. INCOME TAX ISSUES OF FOREIGN NATIONALS DATE: AS OF JANUARY 1, 2010

Chapter 6: Value Added Tax A Major Replacement Alternative

Nexus Reviews: Uncovering State Sales or Income Tax Obligations Designing an Effective Internal Process to Identify Potential Tax Exposures

This letter concerns tangible personal property transferred incident to sales of service. See 86 Ill. Adm. Code (This is a GIL.

State Tax Nexus General Concepts

TAX FACTS From the State of Hawaii, Department of Taxation CONTRACTORS AND. Revised July, 2007 THE GENERAL EXCISE AND USE TAXES

February 28, Are Y's services subject to the Illinois Telecommunications Excise Tax?

Specialized Industry Formulas

BEFORE THE HEARING OFFICER OF THE TAXATION AND REVENUE DEPARTMENT OF THE STATE OF NEW MEXICO DECISION AND ORDER

State Apportionment Update Market Based Sourcing John Iannotti. September 25, 2015

Transcription:

Sourcing Income of Electrical Industry To: Robynn Wilson, Income and Uniformity Committee Chair From: Bruce Fort, Counsel, and Ken Beier, Training Director, Multistate Tax Commission Date: July 17, 2014 Re: Summary of State Responses to Survey Regarding State Practices for Apportioning Income of Electrical Industry Participants The Income and Franchise Tax Subcommittee continues to consider whether to initiate a uniformity project to develop a model regulation for apportioning the income of electricity suppliers, including utilities, producers, traders and transmission companies. 1 In support of that evaluation, staff sent out a survey to members of the uniformity committee in late June seeking responses from their states to a series of questions addressed to current practices and procedures. Eight states responded to the survey. A copy of the survey is attached. The state responses will be maintained in the MTC s project files. The first questions asked whether the states imposed income-based taxes on regulated and unregulated utilities, including electrical wholesalers, and asked the states to describe their general apportionment systems, including variations from the standard UDITPA formula. The responding states all imposed income-based taxes on both regulated and unregulated utilities. The third question asked states to identify their written guidance regarding the apportionment of electrical industry profits and nexus rules. States responded that generally they had no written guidance on those topics. The fourth question addressed to the states was whether electricity was treated as tangible personal property for income and sales/use taxes. Most states had written guidance defining electricity as a tangible for sales/use purposes but little or no guidance as to whether electricity should be considered a tangible for income tax purposes. 1 There has also been some discussion of undertaking a similar project for natural gas suppliers and pipeline transportation companies (see below).

The fifth question was addressed to state compliance efforts. Most states reported they either did not have sufficient information to respond to the inquiry or had not encountered significant compliance issues with respect to regulated utilities. The states lacked information or did not respond regarding non-regulated utilities. The sixth question asked states whether they would impose income and sales/use tax nexus on an out of state electrical provider whose only contact with the state was the sale of electricity in the state, where that electricity might be used in the state or transported elsewhere. The states were not in agreement with nexus standards in those situations. The seventh question asked whether this project would be useful to state states or whether the Uniformity Committee should concentrate its efforts elsewhere. Four states responded positively, one state gave an ambiguous answer and three states felt the Committee should concentrate on other objectives. The last question asked states whether a similar model regulation project should be developed for the natural gas industry, e.g. pipelines. The states generally responded positively to this suggestion; one state was neutral but said it would not oppose such a project. We want to thank those states that took the time to respond to the survey. We hope the survey will help focus our discussions of whether to undertake this project. 2

Survey of State Practices for Sourcing Income of Electrical Industry To: Robynn Wilson, Income and Uniformity Committee Chair Uniformity Committee Members From: Bruce Fort, Counsel, and Ken Beier, Training Director, Multistate Tax Commission Date: June 25, 2014 Re: Survey of State Practices and Experiences in Taxing Income of Electrical Industry Dear Uniformity Committee Members: As you may be aware, the Income and Franchise Tax Subcommittee continues to consider whether to initiate a uniformity project to develop a model regulation for apportioning the income of electricity suppliers, including utilities, producers, traders and transmission companies. 1 In support of that evaluation, we are sending out this survey to our membership to solicit information on your state s experiences and current practices. We hope you can take some time to complete this survey and return it to us by July 11, 2014. Please note that we will treat your responses to Question 5 regarding audit experiences as confidential as allowed under Section One of the MTC s Public Participation Policy, http://www.mtc.gov/about.aspx?id=108, and applicable state laws since they could be used to identify information regarding particular taxpayers. Your answers to other questions about current state laws and policies may not be protected from disclosure under our Public Participation Policy. MTC staff will prepare a compilation of state responses. By way of background for this survey, CCH s State Tax Guide suggests that a majority of states treat electricity as a tangible product for purposes of sourcing income from its sale, with a smaller number of states treating electricity as a service and a few states treating electricity as intangible property. Some court decisions in recent years have suggested that the sale of electricity should be treated as the sale of a service. See Appeal of PacifiCorp, 2002-SBE-005, 9/12/2002; EUA Ocean State Corp., et al. v. Commissioner of Revenue, Dkt. No. C258405-406 1 There has also been some discussion of undertaking a similar project for natural gas suppliers and pipeline transportation companies (see survey question 8, below).

(04/24/2006). Other courts have reached the opposite conclusion, holding that electricity is a tangible. See Exelon Corporation v. Dept. of Revenue, 234 Ill. 2d 266, 917 N.E. 2d 899 (2009). Currently, only two states, Massachusetts and Oregon, have comprehensive rules for sourcing income from sales of electricity; at least one other state is considering adoption of a special apportionment rule for electrical generation and transmission providers. We hope your answers to this survey will assist our committee in determining whether to undertake this project, and if so, the scope of any proposed model regulation. Please feel free to contact us if you have any questions about the survey or the project generally. Survey answers should be directed to Ken Beier, address noted below. Sincerely, Bruce Fort bfort@mtc.gov (505) 982-8902 Ken Beier kbeier@mtc.gov 954-372-0381 2

SURVEY OF STATE PRACTICES AND PROCEDURESRELATED TO TAXATION OF ELECTRICAL INDUSTRY 1. Does your state impose a business activity tax (income, franchise or gross receipts tax) on any of the following entities operating in your state? a. Regulated utilities: Yes No b. Non-Regulated Utilities, including power generators, transmitters, wholesalers and energy traders: Yes No 2. Does your state have a generally-applicable UDITPA-based formulary apportionment system for apportioning business activity taxes of multistate entities? If so, please describe: a. Factor Apportionment, e.g., 3-factor equally-weighted; double-weighted sales; sales-only: b. Sourcing of sales factor for intangibles and services, e.g., cost of performance, market based on destination/delivery; market based on place of use: c. Other relevant variations from UDITPA: 3. Does your state have any relevant written guidance addressing (a) nexus; (b) apportionment of income; or (c) determination of tax base, for regulated or nonregulated utilities? If yes, please describe: a. Statute or Regulation addressing industry (please also provide citations): b. Public Revenue Rulings, Technical Advice Memoranda or Instructions: 3

c. Confidential Revenue Rulings or Filing Agreements (please protect confidentiality): 4. Does your state have any written guidance addressed to the nature of electricity as (a) tangible personal property; (b) a service; or (c) intangible property or other for purposes of business activity taxes, sales and use taxes, and credits and exemptions for manufacturers or other industries? If so, please describe the substance and nature of that guidance : a. Business Activity Taxes: ; b. Sales and Use Taxes: ; c. Exemptions, Deductions and Credits Applicable to Industry: 5. Does your state have experience in auditing: (a) regulated, or (b), unregulated utilities operating within your state for business activity tax liability? If so, please describe the nature and results of your audit experience, e.g., determining whether income was properly sourced; inconsistent reporting positions; non-filing or nexus issues; throwback of sales; and no-change audits (i.e., substantial compliance determinations): 6. To the extent not answered previously, would your state impose: (a) business activity taxes or (b) excise, sales or use taxes, on an out-of-state entity whose only contact with the state was the in-state sale of electricity: 4

i. to a wholesaler or end customer where the electricity was destined for ultimate use outside of the state; ii. to a wholesaler or end customer where the electricity was intended for use within the state? 7. Based on the current state of your written guidance to taxpayers and audit and compliance experiences generally, would you support the development of a model regulation establishing sourcing and nexus standards for sales of electricity for business activities taxes, or do you think the uniformity committee should focus its efforts elsewhere? Please elaborate if you can. 8. Would your state be interested in a similar model regulation project addressing taxation of interstate sales of natural gas, including regulated and unregulated utilities as described in question 1, above? 9. Additional Comments, Questions and Concerns: 10. Please provide your contact information for further follow-up. And Thank You! 5