Focus on corporate taxes with multi-state reporting.
It is common for each state to define an allocation formula which measures activity in their state. This is often called a "Three-Factor Formula" or "Four-Factor Formula" with some weighted average amongst the various factors. Typically, three of the "factors" are 1)Property Investment
2)Sales and 3)Payroll.
With respect to the "Sales" factor, some states have reporting split between "Origin Sales" and "Destination Sales". Contract performance in a state constitutes "origin" sales. However, selling and delivery to a state constitutes "destination" sales.
Now the question. A customer in a state receiving delivered goods from my client creates a "destination" sale in that state. It is quite probable that my client does not even have a location or even nexus in that state. DOES THE EXISTENCE OF DESTINATION SALES IN A GIVEN STATE GIVE RISE TO A REQUIREMENT TO FILE A CORPORATE RETURN IN THAT STATE, even if the corporation has no other activity?
It is common for each state to define an allocation formula which measures activity in their state. This is often called a "Three-Factor Formula" or "Four-Factor Formula" with some weighted average amongst the various factors. Typically, three of the "factors" are 1)Property Investment
2)Sales and 3)Payroll.
With respect to the "Sales" factor, some states have reporting split between "Origin Sales" and "Destination Sales". Contract performance in a state constitutes "origin" sales. However, selling and delivery to a state constitutes "destination" sales.
Now the question. A customer in a state receiving delivered goods from my client creates a "destination" sale in that state. It is quite probable that my client does not even have a location or even nexus in that state. DOES THE EXISTENCE OF DESTINATION SALES IN A GIVEN STATE GIVE RISE TO A REQUIREMENT TO FILE A CORPORATE RETURN IN THAT STATE, even if the corporation has no other activity?
Comment