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: Disregarded Entity Election Extension Granted (IRC §7701)

April 26, 2024

The IRS has published a private letter ruling on Section 7701, granting a 120-day extension of time to file Form 8832, Entity Classification Election, to elect to be classified as a disregarded entity for federal tax purposes, effective as of the date intended by its indirect owner. [PLR 202417004]

IRS PLR: Disregarded Entity Election Extension Granted (IRC §7701)

April 26, 2024

The IRS has published a private letter ruling on Section 7701, granting a 120-day extension of time to file Form 8832, Entity Classification Election, to elect to be classified as a disregarded entity for federal tax purposes, effective as of the date intended by its indirect owner. [PLR 202417003]

IRS PLR: Disregarded Entity Election Extension Granted (IRC §7701)

April 26, 2024

The IRS has published a private letter ruling on Section 7701, granting a 120-day extension of time to file Form 8832, Entity Classification Election, to elect to be classified as a disregarded entity for federal tax purposes, effective as of the date intended by its indirect owner. [PLR 202417005]

IRS PLR: Extension of Time to Make Portability Election Granted (IRC §9100)

April 26, 2024

The IRS has published a private letter ruling on Section 9100, granting a 120-day extension of time for the decedent's estate to make a portability election to allow a decedent's surviving spouse to take into account that decedent's deceased spousal unused exclusion (DSUE) amount. [PLR 202417012]

HMRC Projects Billions In Savings From Tax Digitalization Plan

April 26, 2024

The UK tax office predicted its digital tax roadmap would generate £6.38 billion ($7.97 billion) in tax revenue through 2034, a sizable increase from the £3.9 billion it estimated in June 2023.

Case: Taxpayer Was Liable for Additional Tax on Early Retirement Account Withdrawal; No Exception for Emergency Expenses Applied to Tax Year at Issue (T.C. Summ.) (IRC §72)

April 26, 2024

Taxpayer was liable for a 10% additional tax under I.R.C. §72(t) due to withdrawing from her retirement account before the age of 59.5, the Tax Court held in a non-precedential opinion. The taxpayer withdrew funds from her retirement account in 2018 to pay overdue rent and avoid being evicted from her home. The court rejected the taxpayer’s argument that she should be exempt from the tax because she withdrew the money due to economic hardship. The court explained that although §72(t)(2)(I) exempts certain withdrawals made for emergency expenses from the additional tax, that provision did not apply to distributions made in 2018. [Kohl v. Commissioner, T.C. Summ. Op. 2024-4 (Apr. 25, 2024)]

OECD Combined Global Minimum Tax Guide Cuts Down Document Trail

April 26, 2024

The OECD consolidated the global minimum tax's three tranches of administrative guidance and model rules to simplify the document trail and help countries implement the framework.

Poland Delays Mandatory Electronic Invoicing Until 2026

April 26, 2024

Poland will require electronic invoicing via a government-run clearinghouse starting Feb. 1, 2026, for businesses with sales in 2025 exceeding 200 million Polish zloty.

HSBC Wins £1.3 Billion Suit Over Disney Film Finance Scandal

April 26, 2024

HSBC Holdings Plc successfully fought off a London court claim brought by a group of investors in a £1.3 billion ($1.6 billion) lawsuit over tax breaks linked to Walt Disney Co. film financing.

Irish Tax Office to Prioritize Global Minimum Tax Work in 2024

April 26, 2024

The Irish tax office's 2024 priorities include working with companies to apply the global minimum tax and ensuring companies have solid plans to pay off debts.

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.