For the first time, an out-of-state tax software company has sent me a separate invoice for sales tax. Drake first went up 10% for the upcoming year, and didn't tell me there would be sales tax assessed on a separate invoice until they received my money for 2010. The tax is in addition to the 10% increase (and is overbilled on top of that).
I believe the law still states that in order to charge sales tax, a company must have a "physical presence" in the subject state. I wonder where Drake's Tennessee office is. Of course, there may be pressure coming from various revenue-starved states as to the definition of "physical presence."
What about providing telephone support to customers from another state? Is this "physical presence?" What if they have an employee who lives in the other state? I would categorically surmise that unless a company has enough activity to file a tax return as a foreign corporation, they do not have a physical presence.
Anyone have any comments on possible "elastic" physical presence interpretations? What about first-time-ever state sales tax billings from Drake or other software?
I believe the law still states that in order to charge sales tax, a company must have a "physical presence" in the subject state. I wonder where Drake's Tennessee office is. Of course, there may be pressure coming from various revenue-starved states as to the definition of "physical presence."
What about providing telephone support to customers from another state? Is this "physical presence?" What if they have an employee who lives in the other state? I would categorically surmise that unless a company has enough activity to file a tax return as a foreign corporation, they do not have a physical presence.
Anyone have any comments on possible "elastic" physical presence interpretations? What about first-time-ever state sales tax billings from Drake or other software?
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