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If you have any comments or questions regarding current or future topics, or if you would like to learn more about Aprio's SALT Practice, please email me at jeff.glickman@aprio.com.
Jeff Glickman, J.D., LL.M.
Partner-in-Charge, State & Local Tax Practice
Mobile Workforce Protection Reintroduced in Congress, Enacted in West Virginia and Louisiana
By Jeff Glickman, J.D., LL.M, SALT Partner-in-Charge
As business activity returns to normal, companies whose employees travel for work need to analyze potential state wage withholding obligations against a backdrop of harsh and nonuniform state rules.
California: Taxpayer's Out-of-State Activity Did Not Change Residency Prior to Sale of Stock
By Tina M. Chunn, SALT Senior Manager
When establishing residency in a new state, the actions — or inactions — that you take in your former state are at least as important as the actions you take in your new state, since you will need to prove that you have abandoned the former state as your domicile.
New Indiana Ruling Puts a Spotlight on the Sourcing of Products Sales vs. Services
By Aspen Fairchild, SALT Associate
Determining, whether a business generates revenue from selling tangible property or services, can have a significant impact on the methodology used for sales factor apportionment sourcing.
Allocable vs. Apportionable Income: A New Virginia Tax Ruling Tackles the Topic
By Betsy Goldstein, SALT Manager
When a corporation owns an interest in a partnership, the characterization of income flowing from the partnership, or from the sale of a partnership interest as apportionment business income or allocable nonbusiness income, can have a significant impact on the corporation’s income tax liability.
Aprio's SALT Practice advises clients on the state and local tax implications of their business operations, allowing clients to strategically minimize their liabilities and risks. Our team has over 50 years of combined SALT experience working in industry, state departments of revenue, public accounting and private law practice. We specialize in all areas of SALT, including matters related to state tax nexus, corporate and personal income taxes, sales/use tax, franchise/net worth taxes, credits and incentives, and mergers and acquisitions. In addition, we represent clients in administrative matters before state revenue departments around the country, including audit defense and settlement negotiations, pursuing voluntary disclosure agreements and obtaining letter rulings.
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