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Streamlined sales tax: accomplishments and outlook.


The vote by the streamlined-sales-tax-implementing states to ratify ratify v. to confirm and adopt the act of another even though it was not approved beforehand. Example: An employee for Holsinger's Hardware orders carpentry equipment from Phillips Screws and Nails although the employee was not authorized to buy anything.  model sales tax sales tax, levy on the sale of goods or services, generally calculated as a percentage of the selling price, and sometimes called a purchase tax. It is usually collected in the form of an extra charge by the retailer, who remits the tax to the government.  simplification rules in November 2002 was a historic threshold. This achievement could not have been foreseen at the time that the National Tax Association's Telecommunication and Electronic Commerce Project or the Federal Advisory Commission on Electronic Commerce failed to produce a cohesive approach to the dilemma of remote sales tax collections. The implementing states (35 states and the District of Columbia District of Columbia, federal district (2000 pop. 572,059, a 5.7% decrease in population since the 1990 census), 69 sq mi (179 sq km), on the east bank of the Potomac River, coextensive with the city of Washington, D.C. (the capital of the United States). ) succeeded in forging an agreement between state legislators and state revenue departments (DORs), with the business community's continual input. The agreement was the result of the hard work of representatives of the state DORs comprising the Streamlined Sales Tax Project Organized in March 2000, the Streamlined Sales Tax Project (SSTP) objective is to simplify and modernize sales and use tax collection and administration in the United States.  (SSTP SSTP Streamlined Sales Tax Project (multi-state project to collect sales taxes on Internet purchases)
SSTP Secure Socket Tunneling Protocol (Microsoft)
SSTP Shared Spanning-Tree Protocol
).

SSTP

Made up of overlapping membership with the implementing states (unlike the implementing states, legislation is not required for SSTP participation), the SSTP ground out the terms of the "Streamlined Sales and Use Tax Sales and use tax refers to:
  • Sales tax
  • Use tax
 Agreement" (Agreement) through numerous meetings stretching beyond two years. Its recommendations were generally accompanied by white papers detailing the policy reasons for proposals and a survey of how the member states treated the pertinent issues. The implementing states reviewed the recommendations and adopted them in whole or in part, after considering the political ramifications ramifications nplAuswirkungen pl  of each.

This two-tier vetting of sales tax simplification proposals may give the current agreement its greatest strength. At the close of 2000, the SSTP approved an agreement containing many of the current proposal's simplification provisions. However, the National Conference of State Legislatures
The abbreviation NCSL redirects here. For the British educational institution see National College for School Leadership.


The National Conference of State Legislatures
 declined to endorse the agreement, instead recommending its own stripped-down version. This dichotomy di·chot·o·my  
n. pl. di·chot·o·mies
1. Division into two usually contradictory parts or opinions: "the dichotomy of the one and the many" Louis Auchincloss.
 immediately sparked fears that the project was unravelling as soon as it began. However, the end of 2001 saw the creation of the implementing states, setting the stage for a compromise between the technical simplification provisions drafted by the state DORs and the state legislatures' pragmatism pragmatism (prăg`mətĭzəm), method of philosophy in which the truth of a proposition is measured by its correspondence with experimental results and by its practical outcome. .

Adding to the current proposal's strength is the business community's involvement. While businesses have not had a veto power, the SSTP workgroups are generally an open forum well attended by business interests. The state delegations to the implementing states included several business representatives, including the tax counsel of the Council on State Taxation (COST).

One of the Agreement's weaknesses (which, in fairness, would be inherent in any model legislation attempting to simplify state sales and use tax administration) is its lack of comprehensiveness. For example, direct marketers have been promoting a single rate per state for years. Although the Agreement requires a single rate at the state level, it allows each local jurisdiction to impose a single rate as well. Further, states with complex local tax structures (e.g., Colorado) have not been participating. In addition, the audit protection afforded to sellers for tax collection errors does not extend to purchasers who pay an incorrect amount of tax billed. Meanwhile, one of the Agreement's centerpieces is a "taxability matrix" intended to guide sellers and third-party "certified service providers" in deciding whether to charge tax.

This approach was selected by the states after they determined that it would be difficult (if not impossible) to certify each individual seller's system. The completeness of any model sales tax legislation will always remain a question, as it is unknown how the states will interpret the model provisions.

Below, in broad terms, are some of the Agreement's model sales tax simplification provisions, followed by some of the remaining issues and the overall outlook.

Agreement Structure

Under the Agreement, each state has to adopt specific requirements to participate.

State-level administration. The Agreement requires state-level administration of sales and use taxes, with sellers only obliged o·blige  
v. o·bliged, o·blig·ing, o·blig·es

v.tr.
1. To constrain by physical, legal, social, or moral means.

2.
 to register, file returns with, and remit To transmit or send. To relinquish or surrender, such as in the case of a fine, punishment, or sentence.

An individual, for example, might remit money to pay bills.


TO REMIT. To annul a fine or forfeiture.
     2.
 funds to, the state taxing authority. It also provides for state-level audits of registered sellers.

Uniform tax base. After 2005, the tax base for local jurisdictions has to be identical to the state tax base, with certain exceptions.

Seller registration. The Agreement requires each member state-to participate in an online sales and use tax registration system in cooperation with the other member states, under which a seller registered under the Agreement is registered in each member state.

Notice of tax changes. The Agreement requires states to make a reasonable effort to provide notice of rate and tax base changes, and imposes limits on the effective date of local rate and boundary changes.

Database of local jurisdictions. States with local jurisdictions that levy sales or use tax have to provide and maintain a database of all sales and use tax rates for all taxing jurisdictions. In addition, a database has to assign each five- and nine-digit zip code zip code

System of postal-zone codes (zip stands for “zone improvement plan”) introduced in the U.S. in 1963 to improve mail delivery and exploit electronic reading and sorting capabilities.
 to the proper tax rates and jurisdictions. Such databases, however, are not a prerequisite to participation. The Agreement also requires members to participate with other member states to develop an address-based system for assigning taxing jurisdictions that meet the requirements of the Mobile Telecommunications Sourcing Act.

Relief from liability. The Agreement provides sellers and third-party collection agents (i.e., certified service providers) relief from liability for collecting the incorrect amount of tax resulting from erroneous data provided by a member state on tax rates, boundaries or taxing jurisdiction assignment.

Uniform state rates. The Agreement bars the imposition of multiple state sales and use tax rates after 2005, with certain exceptions. Likewise, it allows only one local sales and/or use tax rate per local jurisdiction (with certain exceptions).

Sourcing rules. The Agreement contains general rules for sourcing retail sales (with certain exclusions) and specific rules for sourcing telecommunications services In telecommunication, the term telecommunications service has the following meanings:

1. Any service provided by a telecommunication provider.

2.
 and leases or rentals. It requires a tiered system of destination-based sourcing, applicable to both states and localities: if a product is not received by the purchaser at the seller's business location, the sale is sourced to the location of receipt, including the location indicated by delivery instructions delivery instructions

A customer's directions to a broker as to the disposition of funds and securities in the customer's account. For example, a customer must instruct the broker whether securities placed in the account should be sent to the customer or
. However, the Agreement provides default rules when information is unavailable to the seller, allowing, in descending descending /des·cend·ing/ (de-send´ing) extending inferiorly.  order, for the use of an address available from the seller's business records; the address obtained during consummation of the sale; or, if the above information is not available, the address from which (1) tangible personal property is shipped, (2) electronic transmission was made or (3) the service was provided.

Multiple points of use. The Agreement also provides for multiple points-of-use exemption forms, which relieve sellers of the obligation to remit applicable tax when the purchaser knows at the time of purchase that a digital good, software delivered electronically or a service will be concurrently available for use in more than one jurisdiction. Separate provisions apply to direct-mail sourcing.

Direct pay permits. The Agreement requires each member state to allow the holder of a direct pay permit to purchase otherwise taxable goods and services In economics, economic output is divided into physical goods and intangible services. Consumption of goods and services is assumed to produce utility (unless the "good" is a "bad"). It is often used when referring to a Goods and Services Tax.  without paying tax to the supplier at the time of purchase. While each state can set its own limits and requirements for the permit, a model regulation may be developed in this area.

Administration of exemptions. The Agreement provides for uniform standards for the administration of exemptions, including a standard electronic exemption form and a waiver of signature requirements for such form. Sellers following the Agreement's exemption requirements are relieved of liability when the purchaser improperly claims an exemption (thus, no good-faith standard is applied).

Uniform tax returns. Only one tax return is required for each taxing period for each seller in the member state and all taxing jurisdictions within the state. Additional information returns may be required no more frequently than every six months. In addition, returns must be allowed in a simplified format including only specified data fields, contingent on Adj. 1. contingent on - determined by conditions or circumstances that follow; "arms sales contingent on the approval of congress"
contingent upon, dependant on, dependant upon, dependent on, dependent upon, depending on, contingent
 the use of one of the Agreement's technology models for tax compliance.

Uniform remittance Money sent from one individual to another in the form of cash, check, or some other manner.

Financial statements sent by a creditor to a debtor frequently refer to the process of submitting a monthly remittance.


REMITTANCE, comm. law.
 rules. Only one remittance is required for each return, with the Option of additional remittances
Remittance can also refer to the accounting concept of a monetary payment transferred by a customer to a business


Remittances are transfers of money by foreign workers to their home countries.
 (more than one prepayment Prepayment

1. The payment of a debt obligation prior to its due date.

2. The excess payment over a scheduled debt repayment amount.

Notes:
1. Examples include deferred expenses such as rent and early loan repayments.

2.
 may be required).

Other uniformity. Other provisions contemplated in the Agreement include uniform rules for recovery of bad debts, a restriction on caps and thresholds beginning after 2005, a uniform rounding rule and protections against customer lawsuits for over-collection.

The Agreement contains a library with definitions of the tax base that a state has to adopt in its statutes and regulations if a particular definition appears in its sales and use tax statutes. This intends to preserve the existing tax base, while ensuring uniformity. Product-based exemptions have to conform to Verb 1. conform to - satisfy a condition or restriction; "Does this paper meet the requirements for the degree?"
fit, meet

coordinate - be co-ordinated; "These activities coordinate well"
 the uniform definitions, when applicable, while entity-based and use-based exemptions may apply to undefined subsets of a defined product.

Compliance. The Agreement envisions three methods of certified compliance: a certified service provider performs all the seller's sales and use tax functions (other than consumer's use tax); a certified automated system calculates the tax imposed by each jurisdiction on a transaction, determines the tax and maintains a record of the transaction; or a proprietary system, in which the seller has entered into a performance agreement with the member states and has total annual sales revenue of at least $500 million. Monetary allowances are anticipated for sellers voluntarily registering under the Agreement, for up to two years. In addition, the SSTP has committed to performing a joint study of vendor collection costs under the Agreement.

Amnesty. The Agreement provides amnesty to sellers that register under the Agreement for uncollected or unpaid sales or use tax (together with penalty or interest) for sales made during the period the seller was not registered in the state. Registration has to continue for at least 36 months. The amnesty, however, does not extend to sales or use tax due from a seller in its capacity as a buyer.

Some Outstanding Issues

The SSTP meets continuously to resolve outstanding simplification issues, including those involving registration and returns, bundling, certificates of state compliance with the Agreement, digital property, telecommunications, certifications, audit, exemptions and sourcing.

Compliance. Governance and the issuance of certificates of compliance continue to be a gray area. States currently considering legislation meant to conform to the Agreement have varying effective dates for these provisions. Because the Agreement cannot become effective until 10 states representing 20% of the population of the states with a sales tax have enacted it, some question remains as to whether states should begin to work on implementing Agreement provisions before the effective date provided in their laws.

Sanctions. Another question concerns sanctioning member states. The Agreement provides mechanisms for a wide range of administration issues, including amendments, interpretations and dispute resolution. However, the effect of these "Agreement-level" interpretations and rulings is not clear. First, the sanctions for states not in compliance are not defined. Second, "compliance" means a state is "substantially compliant with each of the requirements set forth in the Agreement"; the definition is silent on the practical effect of Agreement-level interpretations and rulings not incorporated into the Agreement.

Registration. As to registration, some questions remain as to when a seller will be deemed to be registered "under the Agreement." It appears that sellers will be asked to "volunteer to register" or state that they "need to register" based on their nexus position. In accordance with this interpretation, the Multistate mul·ti·state  
adj.
Of, relating to, or involving several states: a multistate environmental campaign. 
 Tax Commission is engaged in a "Combined Electronic Registration Project" that would provide a "longer path" for registration, based on data elements required by existing state registrations for sellers in a "need to register" position.

Definition of "services." The SSTP has declined to define services in general and has decided not to define the "digital equivalent of services," because services are subject to tax at a state's discretion, regardless of how delivered. However, the SSTP has proposed defining the "digital equivalent of tangible personal property" as a product (except for canned software) that (1) is expressed in binary digits See bit. ; (2) is capable of being processed by a computer; (3) is delivered, accessed or subscribed to, electronically; and (4) the sale of which would be treated as a sale of tangible personal property if transferred on tangible storage media. This last condition is meant to encapsulate en·cap·su·late
v.
1. To form a capsule or sheath around.

2. To become encapsulated.



en·cap
 the "true object" test.

Bundling. Another outstanding issue is bundling; the SSTP proposes to incorporate the true-object test, providing that a retail sale of tangible personal property and a service is not a bundled transaction in which the tangible personal property is essential to (or facilitates the use of) the service, and has no practical use apart from the service. Under the proposal, a bundled transaction is "the retail sale of otherwise distinct and identifiable products that are not optional and is sold for one non-itemized price." The SSTP may propose a de minimis An abbreviated form of the Latin Maxim de minimis non curat lex, "the law cares not for small things." A legal doctrine by which a court refuses to consider trifling matters.  threshold value of taxable products that will not result in a bundled, taxable transaction Taxable transaction

Any transaction that is not tax-free to the parties involved, such as a taxable acquisition.
 with nontaxable products.

The SSTP also intends to study how states would source various services under the existing Agreement's sourcing rules. This would help flesh out areas of disagreement in the interpretation of the rules and provide additional guidance to the states.

Business's concerns. The business community's concerns go beyond the Agreement and the technical aspects of simplification. Such concerns include states attempting to use sales tax simplification legislation to expand the tax base or attempts to move existing sales and use tax provisions that do not comply with the Agreement into other areas of the tax code (in essence, "shifting complexity" to other taxes).

Another big concern is the availability and cost of technological solutions proposed under the Agreement and the related concern of completing a cost-of-compliance study and adopting its results. Business interests are also concerned that (1) political pressure may result in some states being admitted to the effort without meeting the "substantial compliance" level or (2) compliance may be interpreted at a lower level than the business community expects.

Outlook

Legislation is rapidly moving forward in member states; at press time, Kentucky, North Dakota North Dakota, state in the N central United States. It is bordered by Minnesota, across the Red River of the North (E), South Dakota (S), Montana (W), and the Canadian provinces of Saskatchewan and Manitoba (N). , Utah and West Virginia West Virginia, E central state of the United States. It is bordered by Pennsylvania and Maryland (N), Virginia (E and S), and Kentucky and, across the Ohio R., Ohio (W). Facts and Figures


Area, 24,181 sq mi (62,629 sq km). Pop.
 have already enacted legislation conforming to the Agreement. Plainly, the sales tax simplification movement is picking up momentum.

Increasingly, states want to convince Congress to "override" Quill quill: see pen.  (Quill Corp. v. North Dakota Quill Corp. v. North Dakota is a Supreme Court of the United States case concerning sales tax. Quill Corporation sells office supplies. North Dakota claimed they owed sales tax since they sold their products in the state. , 504 US 298 (1992)) and allow them to require remote sellers to collect and remit sales and use taxes. While such efforts have rafted in the past, the states have made enormous strides toward creating a simplified sales and use tax system. The timing of Congressional action may depend in part on whether states can put the Agreement's conceptual framework For the concept in aesthetics and art criticism, see .

A conceptual framework is used in research to outline possible courses of action or to present a preferred approach to a system analysis project.
 into practice.

Further, the business community is concerned with how Federal legislation on Quill may affect the nexus determination by states for other types of taxes (i.e., business activity taxes, including income/franchise taxes) . Thus, Congressional legislation in the sales tax arena may become linked to an attempt to codify codify to arrange and label a system of laws.  a physical-presence nexus standard for business activity taxes.

Thus, with state action already well underway in 2003 and Federal action a possibility in the near future, sales tax simplification will continue to be one of the main focuses of state taxation for some time to come.

Editor's note Editor's Note (foaled in 1993 in Kentucky) is an American thoroughbred Stallion racehorse. He was sired by 1992 U.S. Champion 2 YO Colt Forty Niner, who in turn was a son of Champion sire Mr. Prospector and out of the mare, Beware Of The Cat.

Trained by D.
: Ms. Naghavi is the chair of the AICPA AICPA

See American Institute of Certified Public Accountants (AICPA).
 Tax Division's State and Local Tax Technical Resource Panel.

For more information about this column, contact Mr. Hogroian at ferdinand.hagroian@us. pwcglobal.com, or Ms. Haffield at susan.haffield@us.pwcgloval.com.

Editor:

Faranak Naghavi, CPA (Computer Press Association, Landing, NJ) An earlier membership organization founded in 1983 that promoted excellence in computer journalism. Its annual awards honored outstanding examples in print, broadcast and electronic media. The CPA disbanded in 2000.  

Principal

State and Local Tax Group

Ernst & Young LLP LLP - Lower Layer Protocol  

Washington, DC

Authors:

Susan Haffield, CPA

Partner

PricewaterhouseCoopers LLP

Chicago, IL

Ferdinand Hogroian, J.D.

Senior Associate

PricewaterhouseCoopers LLP

Washington, DC
COPYRIGHT 2003 American Institute of CPA's
No portion of this article can be reproduced without the express written permission from the copyright holder.
Copyright 2003, Gale Group. All rights reserved. Gale Group is a Thomson Corporation Company.

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Author:Hogroian, Ferdinand
Publication:The Tax Adviser
Date:Jun 1, 2003
Words:2527
Previous Article:Timely estimated tax payments can be based on late-filed returns.
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