Upcoming National Meeting

2024 SALT Basics School

Five day school providing a comprehensive basic SALT education forum via three basic tracks for the SALT professional: 1) a SALT concepts track, covering income tax and sales tax theory and concepts; 2) a sales tax track, covering sales tax concepts and compliance; and 3) an income tax track, covering income tax concepts and compliance. The ideal student should have 0-3 years of SALT experience i

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Newsletters & Media

Cost Conscious

ISSUE 24-09; May 3, 2024

State Corporate Income Tax Filing Methods (Part 2) – In recent years, many states have either changed or considered changing their default corporate tax filing methodology. Additionally, several states have studied the implementation of mandatory worldwide combined reporting and a handful of separate reporting states are discussing changing to mandatory unitary combined reporting. We realize that

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Bloomberg TAX

Colorado Supreme Court Told Water Rate Hikes Need Voter Approval

May 17, 2024

A Colorado water conservancy district improperly raised water rates without voter approval, violating the state constitution, taxpayers told the state's high court in its request to uphold a lower court's decision.

California High Court Should Uphold Cellphone Tax, State Says

May 17, 2024

A state regulation that taxes customers on the undiscounted price of cell phones bundled with service contracts should remain in place, California’s tax agency told the high court.

Maryland Looks to Tenth Amendment Clause to Save Digital Ad Tax

May 17, 2024

Maryland is betting the US Constitution's anti-commandeering clause will remove any impediments to states imposing digital advertising taxes, the same way New Jersey succeeded in removing a federal prohibition on state-sanctioned sports betting.

Paprika Purveyor Contests IRS Insurance Premium Deduction Denial

May 17, 2024

The Las Cruces, New Mexico, company behind a global brand of paprika products is contesting the IRS denial of its insurance premium deductions.

IRS PLR: Relief Granted for Failing to Timely Elect S Corporation Status (IRC §1362)

May 17, 2024

The IRS has published a private letter ruling on Section 1362 granting relief to a corporate taxpayer under Section 1362(b)(5) to treat as timely an S corporation election made on Form 2553 within 120 days of the private letter ruling. [PLR 202420012]

IRS PLR: Extension Granted to Self-Certify as Qualified Opportunity Fund (IRC §1400Z-2)

May 17, 2024

The IRS has published a private letter ruling on Section 1400Z-2 and Treasury Regulation Section 301.9100 granting an extension of time to a limited liability company to self-certify as a qualified opportunity fund. [PLR 202420015]

IRS PLR: Extension Granted for Decedent’s Estate to Make Portability Election (IRC §2010)

May 17, 2024

The IRS has published a private letter ruling on Section 2010 and Treasury Regulation Section 301.9100 granting a decedent’s estate an extension of time to make a portability election to allow a decedent’s surviving spouse to take into account decedent’s deceased spousal unused exclusion amount. [PLR 202420001]

IRS Sued for Denying $70 Million Conservation Easement Deduction

May 17, 2024

The IRS should allow a $70 million charitable contribution tax deduction for a partnership's donation of a conservation easement, the donor said in a US Tax Court petition.

IRS PLR: Request for Extension of Time to Change Accounting Period Denied (IRC §442)

May 17, 2024

The IRS has published a private letter ruling on Section 442 and Treasury Regulation Section 301.9100 denying a request for an extension of time to change accounting period. [PLR 202420021]

IRS PLR: Extension Granted for Spouse to Opt-Out of GST Exemption Automatic Allocation Rules (IRC §2632)

May 17, 2024

The IRS has published a private letter ruling on Section 2632 and Treasury Regulation Section 301.9100 granting an extension of time to the spouse of a taxpayer to make an election under Section 2632(c)(5) that the generation-skipping transfer (GST) exemption automatic allocation rules do not apply to a transfer to a trust. [PLR 202420008]

Featured Resources

COST - Council on State Taxation

Amicus Briefs

In the Matter of the Appeal of Microsoft Corporation and Subsidiaries, OTA Case No. 21037336

COST’s letter urges the OTA to change Microsoft’s designation to precedential. Microsoft held that Microsoft, a water’s-edge filer who received dividends from foreign subsidiaries that qualified for California’s DRD, properly included the deductible dividends in its sales factor denominator as “gross receipts.” The decision, released on April 2, was designated as nonprecedential. COST’s letter hig

COST - Council on State Taxation

COST Studies, Articles & Reports

COST - Council on State Taxation

COST Comments & Testimony