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

IRS PLR: Extension of Time Granted to Elect to Certify as a Qualified Opportunity Fund (IRC §1400Z)

April 26, 2024

The IRS has published a private letter ruling on section 1400Z and Treasury Regulation Section 301.9100 regarding extensions of time to make an election to be certified as a qualified opportunity fund for federal tax purposes. [PLR 202417001]

IRS PLR: Extension of Time Granted to Elect to Certify as a Qualified Opportunity Fund (IRC §1400Z)

April 26, 2024

The IRS has published a private letter ruling on section 1400Z and Treasury Regulation Section 301.9100 regarding extensions of time to make an election to be certified as a qualified opportunity fund for federal tax purposes. [PLR 202417011]

State of Tax: Disney, IBM Fallout; California Digital Ad Tax

April 26, 2024

The week in state tax news: Companies with business in New York and California have their eyes on legal stories with millions in tax-dollar implications—one, the loss that Disney and IBM just experienced in New York, the other a slew of pleadings to a California tax agency about its Microsoft decision. Meanwhile, a tax on digital advertising revenue advanced in California's Assembly, and Tennessee lawmakers agreed to give companies $1.55 billion in franchise tax refunds.

IRS PLR: Proposed Transactions Excludable From Gross Income (IRC §101)

April 26, 2024

The IRS has published a private letter ruling on Section 101, regarding certain transactions being excluded from gross income. [PLR 202417006]

IRS PLR: Implementation of Final Rate Order Violate Consistency Rules (IRC §168)

April 26, 2024

The IRS has published a private letter ruling on Section 168 regarding the violations of the consistency rules through the implementation of a final rate order. [PLR 202417002]

Ex-Moody’s Counsel Admits to Not Filing Taxes on $54 Million (1)

April 26, 2024

The former general counsel for Moody's Corp. pleaded guilty to willfully failing to file federal income tax returns over four years, during which he earned more than $54 million, federal prosecutors said Friday.

IRS PLR: Professional Corporation to Become Member of Parent Group Filing Consolidated Return (IRC §1504)

April 26, 2024

The IRS has published a private letter ruling on Section 1504, holding that the Taxpayer, a Professional Corporation (PC), will become a member of the Parent Group required to file a consolidated federal income tax return with the Parent Group upon its execution of the Stock Transfer Restriction and Support Services Agreements. [PLR 202417008]

IRS PLR: Portability Election Extension Granted to Allow Surviving Spouse to Use Decedent’s Spousal Unused Exclusion (IRC §2010)

April 26, 2024

The IRS has published a private letter ruling on Section 2010 and Treasury Regulations Section 301.9100 regarding the unified credit against the estate tax, granting the decedent's surviving spouse a 120-day extension to make a portability election to use the decedent’s spousal unused exclusion. [PLR 202417007]

IRS PLR: Transfer of Group Trust Retiree Benefit Plan Interest Not Impermissible Assignment (IRC §401)

April 26, 2024

The IRS has published a private letter ruling on Section 401 regarding distribution of qualified pension, profit-sharing, and stock bonus plans. The IRS ruled that the transfer of a group trust retiree benefit plan's interest in one group trust to another group trust, both of which are participating trusts in Taxpayer, is not an impermissible assignment under the relevant section. [PLR 202417010]

Michigan Justices Will Review Class Action Over ’Unlawful Tax’

April 26, 2024

The Michigan Supreme Court will hear mini arguments to decide whether to grant a proposed class's petition challenging East Lansing's utility fee as an unlawful tax.

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 (Assembly Revenue & Taxation Committee)

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.