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Multistate Tax  |  November 5, 2021
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Sales/Use/Indirect:
Pennsylvania DOR Explains Taxability of and Compliance Requirements for Equipment Rentals and Services

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Sales and Use Tax Bulletin 2021-05, Penn. Dept. of Rev. (11/2/21). The Pennsylvania Department of Revenue issued guidance on the Pennsylvania sales and use taxability of equipment rental transactions, including underlying compliance requirements for those taxpayers engaged in the rental of equipment, both with and without equipment operators (for example, those renting cranes or performing concrete pumping and excavating). The guidance lists several underlying Pennsylvania sales and use tax compliance requirements that are effective immediately, including potential taxes due on equipment used in the performance of some services. Please contact us with any questions.

 

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Louisa Matthews (Pittsburgh)

Managing Director

Deloitte Tax LLP

Steven Thompson (Philadelphia)

Managing Director

Deloitte Tax LLP



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In this issue

Amnesty
Connecticut: Amnesty Program Offering Potential Penalty Waiver and Reduced Interest Began November 1

Income/Franchise
Georgia DOR Proposes Rule Implementing New Elective Pass-through Entity-Level Taxation

Illinois DOR Considers Bitcoin Treatment as Intangible Property for Apportionment Purposes

South Carolina DOR Issues Guidance on State Conformity and Nonconformity to Internal Revenue Code

Gross Receipts
Virginia BPOL Rulings Address Sourcing Gross Receipts from Services and Payroll Apportionment

Sales/Use
Colorado Letter Ruling Addresses Taxability of Online Learning Products and Internet Ad Services

Illinois DOR Addresses Whether Out-of-State Retailer Qualifies as a Marketplace Facilitator

Iowa DOR Addresses Taxability of Web Hosting Services in Relation to Certain Digital Products

Kansas DOR Explains New Economic Nexus Provisions for Some Remote Sellers and Marketplace Facilitators

Pennsylvania DOR Explains Taxability of and Compliance Requirements for Equipment Rentals and Services

Texas Comptroller Says Social Media Management Services May Constitute Taxable Data Processing

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