Upcoming National Meeting

2024 Spring Conference / Audit Session

This three and a half day conference will bring multistate tax professionals, with various levels of experience in state and local income/franchise taxes and sales/use taxes together in an environment that allows for extensive interaction and exchange of information as well as updates on key SALT issues and insights regarding state tax trends and opportunities. The program is targeted to all level

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Newsletters & Media

Cost Conscious

ISSUE 24-08; April 19, 2024

State Corporate Income Tax Filing Methods (Part 1) – In recent years, many states have either changed or considered changing their default corporate tax filing. New Jersey adopted water’s-edge combined reporting in 2019 only to come back in 2023 with a proposal to allow the Director of Tax to “decombine” taxpayers. Maine, New Hampshire, and Vermont have studied the implementation of mandatory worl

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Bloomberg TAX

Louisiana Companies’ Challenge to Water Charges Heads to Trial

April 19, 2024

Two water companies scored a partial win Friday in their challenge to a groundwater conservation district's emergency pumpage charges, but the Louisiana Board of Tax Appeals said a trial is still needed to determine if the charges are unlawful taxes.

State of Tax: NY Wraps Up Budget, California Eyes Tax Sharing

April 19, 2024

The week in state tax news: Eyes are on New York as state lawmakers reach the endgame of protracted negotiations to settle on a $237 billion budget. Meanwhile, a bill meant to outlaw California's tax-sharing deals between online retailers and certain cities passed its first vote in the state Senate, and high-tax states attempt to claw back millions from wealthy taxpayers who've moved elsewhere through stepped-up residency audits.

Alaska High Court Says Oil and Gas Tax Collection Is Time Barred

April 19, 2024

The city of Valdez proved that the state wrongfully deemed certain property exempt from oil and gas taxes, but the municipality can’t retroactively collect taxes past the three-year statute of limitations, the Alaska Supreme Court said Friday.

Florida Tax Preparation Business Owner Indicted Over Tax Fraud

April 19, 2024

The owner of a tax preparation business has been charged with 15 counts of aiding and assisting the preparation of false tax returns and one count of contempt of court, the Justice Department said Friday.

IRS PLR: Partnership Basis Election Extension Granted (IRC §754)

April 19, 2024

The IRS has published a private letter ruling on Section 754 and Treasury Regulations Section 301.9100, granting a 120-day extension of time to file an election for an optional adjustment to the basis of partnership property. [PLR 202416006]

IRS PLR: Extension of Time to File Entity Classification Election Granted (IRC §7701)

April 19, 2024

The IRS has published a private letter ruling on Section 7701, granting an extension of time to file Form 8832, Entity Classification Election, within 120 days with the appropriate service center and elect to be treated as a partnership for federal tax purposes. [PLR 202416008]

IRS PLR: S Corporation Termination Inadvertent (IRC §1362)

April 19, 2024

The IRS has published a private letter ruling on Section 1362 regarding S corporation election, revocation, or termination. [PLR 202416004]

IRS PLR: S Corporation Termination Inadvertent (IRC §1362)

April 19, 2024

The IRS has published a private letter ruling on Section 1362 regarding S corporation election, revocation, or termination. [PLR 202416005]

IRS PLR: Tax Treatment of Indexed Annuity Contracts Under Structured Settlement Transactions (IRC §130)

April 19, 2024

The IRS has published a private letter ruling on Section 130 regarding certain personal injury liability assignments. The case involved the federal income tax treatment of an indexed annuity contract issued under a structured settlement transaction involving a carrier and assignment company. The IRS ruled that the periodic payments to be received under the contract are fixed and determinable as to the amount and time of payment within the meaning of § 130(c)(2)(A) and that the contract will not fail to be a "qualified funding asset" within the meaning of § 130(d) solely because of the potential increase in the periodic payments. [PLR 202416002]

FedEx-Shipped Tax Court Petition Deemed Late Under Mailing Rules

April 19, 2024

The US Tax Court dismissed as untimely a lawsuit to redetermine a taxpayer's federal liabilities, holding that his shipping service didn't qualify for an exemption requiring the court to treat his petition's mailing date as its filing date.

Featured Resources

COST - Council on State Taxation

Amicus Briefs

Garcia, D. v. American Eagle Outfitters, Inc.

COST’s brief in the Supreme Court of Pennsylvania Western District addresses whether a class action filed under Pennsylvania’s consumer protection laws for alleged overcollections of sales tax should be dismissed.

COST - Council on State Taxation

COST Studies, Articles & Reports

Mandatory Worldwide Combined Reporting: Elegant in Theory but Harmful in Implementation

This paper documents the harmful and unnecessary implications surrounding state adoption of mandatory worldwide combined reporting (MWWCR), by Douglas L. Lindholm and Marilyn A. Wethekam of the Council On State Taxation (COST).

COST - Council on State Taxation

COST Comments & Testimony

Testimony : In Opposition to A.B. 2829 – Digital Advertising Services Tax

COST opposes California A.B. 2829, legislation based on Maryland’s digital ad tax, which will create a new, controversial, and untested gross receipts tax on revenues derived from digital advertising services in California, activities that are already sufficiently taxes under California’s income tax regime.