The 2019 National Multistate Tax Symposium State tax reboot The age of Multistate. February 6-8, 2019

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The 2019 National Multistate Tax Symposium State tax reboot The age of Multistate February 6-8, 2019

Sales factor deep dive Defining today s Market Sheelagh Beaulieu, CVS Caremark Corporation Craig B. Fields, Morrison & Foerster LLP Elizabeth Jankowski, Deloitte Tax LLP February 6-8, 2019

Agenda Introduction Historical Perspective: Sales Other Than Sales of Tangible Personal Property Market-Based Sales Sourcing Overview Sales Factor: States Imposing Market-Based Sales Sourcing and Single Sales Factor Considerations Market-Based Sales Sourcing Rules: California, Massachusetts and New York State Taxpayer Perspective Potential Risks of Market-Based Sales Sourcing Market-Based Sales Sourcing Potential Considerations Questions 3

Introduction 4

Purpose of Apportionment Goal of apportionment is to compute percentage of total profits attributable to a particular state Historical concept is that business profits are function of productive capital (property factor), labor (payroll factor) and market (sales factor) In 21st century business environment, shortcomings of this historical three factor apportionment model include the following: Intangible assets are generally not included in property factor Sales factor has evolved into dominant factor Technology advancements have changed the nature and extent of how capital is used by businesses, meaning they can do more with less property and payroll More service related businesses 5

Increased Reliance on the Sales Factor Sales factor was traditionally single-weighted or double-weighted in the overall three factor apportionment formula along with payroll and property factors Sales factor is intended to give recognition to importance of customer and benefits afforded to seller by customer s state Trend now is to increase the weight of the sales factor, with many states moving to single sales factor formula Effectively shifts tax burden to out-of-state companies Attracts businesses to relocate to the state Replacing cost of performance ( COP ) rules for sales other than sales of tangible personal property ( TPP ) with various market-based sourcing rules Finnigan vs. Joyce 6

Historical Perspective: Sales Other Than TPP 7

Historical Perspective: Sales Other Than Sales of TPP Determining sourcing of receipts other than from sales of TPP can be complicated and time-consuming for taxpayers Per the pre-2014 Multistate Tax Compact (MTC) Article IV apportionment provisions of the Uniform Division of Income for Tax Purposes Act (UDITPA), sales, other than TPP, were sourced based on the COP method COP method, adopted by UDITPA and later MTC, states that sales other than sales of TPP, are in this State if: Income-producing activity is performed in this State; or Income-producing activity is performed both in and outside this State and greater proportion of incomeproducing activity is performed in this State than in any other State, based on costs of performance 8

Historical Perspective: Sales Other Than Sales of TPP (cont d) Many states have abandoned use of COP rules, either through legislative action or administrative practice, in favor of market-based sourcing rules Proponents of market-based sourcing contend traditional COP rules are difficult Unclear what constitutes income-producing activity Unclear where activity occurred Unclear what costs are includable in applying rule All or nothing approach Premise behind market-based sourcing rules better align sales to state reflecting taxpayer s market 9

Historical Perspective: Sales Other Than Sales of TPP (cont d) On July 30, 2014, MTC revised the Compact s rules for sourcing sales other than sales of TPP On February 24, 2017, MTC formally adopted revisions to reflect market-based sourcing approach of receipts from sales of services and intangibles rather than previous COP methodology Compact s market-based sourcing rules provide that [s]ales, other than sales of tangible personal property are in this State if the taxpayer s market for the sale is in this state Expected trend of states enacting market-based sourcing rules will continue for sales of other than TPP Diversity among states with respect to sales sourcing methodologies may increase risk of apportioning more than 100% of taxpayer s income Market-based sourcing rules vary considerably among states Depth of market-based sourcing examples varies by state Services taxpayers provide nowadays are so unique and diverse it is virtually impossible to address every fact pattern 10

Market-Based Sales Sourcing Overview 11

Sales Factor: Mandatory Market-Based Sales Sourcing States for General Taxpayers WA** MT* ND ME OR* ID WY SD MN WI MI NY VT NH MA CT RI CA NV** UT CO* NE KS IA MO* IL IN OH** KY* WV PA MD DC VA NJ* DE AZ NM OK AR TN SC NC MS AL GA TX LA AK FL HI * States that have adopted market-based sourcing for tax years 2018 or later ** States that impose a gross receipts tax based on sales 12

Sales Factor: Mandatory Market-Based Sales Sourcing States for General Taxpayers Alabama Arizona (elective 2014-2017) California Colorado (2019 for corps) Connecticut (2016 for corps and 2017 for partnerships) District of Columbia (2015) Georgia Illinois Iowa Kentucky (2018) Louisiana (2016 for corps) Maine Maryland Massachusetts (2014) Michigan (CIT) Minnesota Missouri (2020) Montana (2018) Nebraska (2014) Nevada (Commerce Tax 7/1/2015) New Jersey (2019 for corps) New York State (2015 for corps) New York City (2015 for corps) Ohio (CAT and Individual Income Tax) Oklahoma Oregon (2018) Pennsylvania (2014) Rhode Island (2015) Tennessee (effective for tax years beginning on or after 7/1/16) Utah Washington Business & Occupation Tax Wisconsin 13

Sales Factor: Mandatory Single Sales Factor States for General Taxpayers WA MT ND ME OR ID WY SD MN WI MI NY VT NH MA CT RI CA NV UT* CO NE KS IA MO* IL IN KY* OH WV PA MD* DC VA NJ DE* AZ NM OK AR TN SC NC* MS AL GA TX LA AK FL HI * States that have adopted single sales factor for tax years 2018 or later. 14

Sales Factor: Mandatory Single Sales Factor States for General Taxpayers California Colorado Connecticut Delaware (2020) District of Columbia Georgia Illinois Indiana Iowa Kentucky (2018) Louisiana Maine Maryland (2022) Michigan (CIT) Minnesota Mississippi Missouri (2020) Nebraska New Jersey New York State New York City (2018) North Carolina (2018) Oregon Pennsylvania Rhode Island South Carolina Texas Utah (2021) Wisconsin 15

Sales Factor: Mandatory Single Sales Factor and Market-Based Sales Sourcing States for General Taxpayers WA MT ND ME OR ID WY SD MN WI MI NY VT NH MA CT RI CA NV UT CO NE KS IA MO IL IN KY OH WV PA MD DC VA NJ DE AZ NM OK AR TN SC NC MS AL GA TX LA AK FL HI 16

Market-Based Sales Sourcing Rules Twenty-three states require taxpayers to use a single sales factor and apply market-based sourcing rules to sales other than sales of TPP Market-based sourcing rules for sales of services are generally considered: Where the service was received; Where the benefit of the service was received; Where the service was delivered; or Where the customer is located Application of different market-based sourcing rules to taxpayer s facts is often not a straightforward exercise under varying rules 17

Market-Based Sales Sourcing Rules: California For tax years beginning on or after Jan. 1, 2013, receipts from the provision of services must be sourced to California ( CA ) to the extent the purchaser of the service received the benefit of the service in the state. Cal. Rev. & Tax Code 25136; Cal. Code Regs. tit. 18, 25136-2(c). The term benefit of a service is received means the location where the taxpayer s customer has either directly or indirectly received value from delivery of that service. Cal. Code Regs. tit. 18, 25136-2(b)(1). In a business to business context, the location of the receipt of the benefit of the service shall be determined under the following cascading rules: The contract with the taxpayer s customer, or the taxpayer s books and records kept in the normal course of business. Cal. Code Regs. tit. 18, 25136-2(c)(2)(A) Reasonable approximation. Cal. Code Regs. tit. 18, 25136-2(c)(2)(B) Location where customer placed the order. Cal. Code Regs. tit. 18, 25136-2(c)(2)(C) Customer s billing address. Cal. Code Regs. tit. 18, 25136-2(c)(2)(D) 18

Market-Based Sales Sourcing Rules: Massachusetts For tax years beginning on or after January 1, 2014, sales, other than sales of tangible personal property, are delivered to Massachusetts ( MA ) if and to the extent that the taxpayer s market for the services is in MA. G.L. c. 63, 38(f). The sale of a service is sourced to MA if the service is delivered at a location in the state. 830 CMR 63.38.1(9)(d)(4)(d)(a). The MA apportionment regulation, CMR 63.38.1, provides distinct rules of assignment for sourcing receipts from several specific types of services, including: (1) in-person services; (2) professional services; (3) services delivered to the customer, through or for the customer; and (4) services delivered electronically. When a service provided by the taxpayer is delivered to or on behalf of the customer, or delivered electronically through the customer, the rule of assignment varies based upon the method of delivery of the service and the nature of the customer. Services delivered to a customer by electronic transmission are assigned to MA to the extent that the taxpayer s customer receives the service in MA. 830 CMR 63.38.1(9)(d)(4)(c)(ii)(B)(1)(a). Services delivered by electronic transmission include, without limitation, services that are transmitted through the means of wire, lines, cable, fiber optics, electronic signals, satellite transmission, audio or radio waves, or other similar means 830 CMR 63.38.1(9)(d)(4)(c)(ii)(B). Services delivered electronically through or on behalf of a customer, where the service is delivered electronically to a third-party recipient, are assigned to Massachusetts if and to the extent that the end users or other third-party recipients are in MA. 830 CMR 63.38.1(9)(d)(4)(c)(ii)(C)(1). 19

Market-Based Sales Sourcing Rules: New York State New York State ( NYS ) adopted market-based sourcing for general corporation tax purposes for tax years beginning on or after January 1, 2015. Under NY Tax Law Sec. 210-A(10), receipts from services and other business receipts are sourced to NYS based on a hierarchy of methods. The first method in the hierarchy requires such receipts to be sourced to the location where the customer receives the benefit of the service NYS has released draft regulations that apply a look-through approach in the case of intermediary transactions (i.e., source to the location of the customer s customer). This is not specifically contemplated in the statute. Moreover, many fact patterns exist under which a benefit arguably is received by the intermediary, the end consumer or both Identifying the party who receives the benefit requires a fact-intensive analysis An alternative apportionment method may be available under NY Tax Law Sec. 210-A(11) if the statutory apportionment method prescribed in NY Tax Law Sec. 210-A(1)-(10) does not result in the proper reflection of the taxpayer s business income or capital within the state. The party seeking the adjustment bears the burden of proof 20

Taxpayer Perspective: Market-Based Sales Sourcing Potential Risks and Considerations 21

Taxpayer Perspective: Potential Risks of Market-Based Sales Sourcing Differing approaches may apply for determining where benefit of service received In general, benefit received at location of customer If benefit received in more than one state, different rules may apply depending on following variables: Individual customers vs. business customers Your customer vs. your customer s customer (i.e., look-through) Order location vs. billing location Benefit location is indeterminable No nexus or fixed place of business in business location 22

Taxpayer Perspective: Potential Risks of Market-Based Sales Sourcing (cont d) Market-based sourcing rules raise several issues taxpayers should be prepared to recognize and address Limited guidance Many states with market-based sourcing rules do not define key terms such as received or delivered Some states have not issued regulations to interpret and clarify Since most of these rules have recently been enacted, may be several years before well-developed body of case law addresses market-based sourcing issues Proportionate or All-Or-Nothing Sourcing Market-based sourcing states are divided on whether receipts from sales of services to a multistate customer should be sourced exclusively to one state (all-or-nothing) or proportionately among all states customer receives portion of benefits of the service Requiring taxpayers to use alternative sales factor apportionment methodology 23

Taxpayer Perspective: Potential Risks of Market-Based Sales Sourcing (cont d) Taxpayer Burden Navigating and tracking various states application of market-based sourcing rules Spending time and resources formulating arguments around what is the market Defending taxpayer s position on audit Financial reporting for income taxes ASC 740 24

Taxpayer Perspective: Market-Based Sales Sourcing Considerations During transition between methods, taxpayers may wish to consider the following steps: Evaluate prior sourcing methodology for more favorable sourcing treatment in prior tax years still open under statute of limitations Analyze what constitutes taxpayer s market when determining how to source receipts under new marketbased methodology Notwithstanding general intent of market-based sourcing rules to make state s sales factor more reflective of taxpayer s market, there is little uniformity among the states with respect to rules themselves and application Taxpayers may also wish to request: Alternative sales factor apportionment methodology Rulings for guidance Potential state specific opportunities 25

Questions 26

Contact information Sheelagh Beaulieu CVS Health Corporation Sheelagh.Beaulieu@CVSHealth.com Craig B. Fields Morrison & Foerster LLP CFields@mofo.com Elizabeth Jankowski Deloitte Tax LLP ejankowski@deloitte.com 27

This presentation contains general information only and the respective speakers and their firms are not, by means of this presentation, rendering accounting, business, financial, investment, legal, tax, or other professional advice or services. This presentation is not a substitute for such professional advice or services, nor should it be used as a basis for any decision or action that may affect your business. Before making any decision or taking any action that may affect your business, you should consult a qualified professional advisor. The respective speakers and their firms shall not be responsible for any loss sustained by any person who relies on this presentation. 28

As used in this document, Deloitte means Deloitte Tax LLP a subsidiary of Deloitte LLP. Please see www.deloitte.com/us/about for a detailed description of the legal structure of Deloitte USA LLP, Deloitte LLP and their respective subsidiaries. Certain services may not be available to attest clients under the rules and regulations of public accounting.