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north carolina film incentives

Used with permission from The Biltmore Company, Asheville, North Carolina north carolina film incentives

Receive a 25% tax credit in North Carolina on a minimum $250,000 in-state spend. 2 North Carolina s film incentive is a refundable tax credit; Eligible productions receive a The cost of production-related insurance qualifies. check for the full value of their refund. Compensation and wages paid to employees for services performed in NC on Eligible productions are required to file Intent to Film with the North Carolina Film Office which withholding payments are remitted to the NC Department of Revenue are prior to production. eligible for the tax credit regardless of whether paid to residents or non-residents. Credit may not exceed $7.5M (~$30M in-state spend) Wages up to $1,000,000 will qualify Eligible productions include film, television, direct-to-video/dvd features, episodic Loan-outs are required to pay 4% withholding on compensation. television series, television mini-series, theatrical, animation productions, and commercials. Payments for per diem and fringe benefits are eligible to the extent they are For purposes of this tax credit, an episodic TV series is considered one (1) production. included in the recipient s taxable wages subject to withholding. Spending for goods (fuel, food, airline tickets, etc) purchased or leased from an NC Incentive is extended to January 1, 2014. business is eligible for the tax credit if purchased in NC for an NC production. On goods North Carolina must receive on-screen credit. purchased for $25k or more, the amount included as a qualifying expense is the purchase North Carolina does not charge filmmakers for use of price less the fair market value of the goods at the time of production is completed. state-owned property. For an electronic version of this booklet visit the NC Film Office online: http://www.ncfilm.com/incentives-benefits.html 3

Frequently Asked Questions about Tax Credits for Qualifying Expenses of a Production Company Unless specifically noted, all references to the Department mean the North Carolina Department of Revenue. d. Detailed list of all people employed in NC with respect to the production including social security numbers for each employee. This includes all individuals who received a W-2 or 1099. e. Detailed list of all qualifying expenses for goods leased or purchased in North Carolina, services 4 What is the duration of a typical audit? The duration of the audit depends on the volume of the documents to review (usually four or five days at the taxpayer s office). The Department will send the preliminary audit papers to the taxpayer to review within a couple of weeks of the office visit. (This is assuming all documentation is provided timely.) 1 2 What is the audit process? What can the production company expect? After receiving the completed Form NC-415, Tax Credit for Qualifying Expenses of a Production Company, the Department will contact the taxpayer to set up an audit appointment to review the taxpayer s information. An appointment letter is sent to the taxpayer confirming the date of the audit along with an Information Document Request (IDR) outlining the information needed to conduct the audit upon arrival. Approximately when will the audit begin in relation to submitting the Form NC-415? The Department will set up an audit appointment within three to four weeks after receiving the request for refund (Form NC- 3 415). The audit will begin based on an agreed upon time by the taxpayer and the Department. What are typical questions during the audit? Typical questions and document requests include but are not limited to the following: a. Power of Attorney (Form NC Gen. 58, Power of Attorney and Declaration of Representative) b. A detailed explanation of the corporation s business activity in North Carolina, which includes all locations and business functions of each location. c. Copies of W-2s and 1099s for all activities in North Carolina. leased or provided in North Carolina, productionrelated insurance purchased in North Carolina from an unrelated entity and qualifying expenses spent for compensation and wages paid in North Carolina. Total wages and compensation for the entire production of the film are also requested. Taxpayer must provide a copy of all receipts. f. Copy of the North Carolina and federal income tax returns for the periods covering the expenses. g. Detailed description of the film and copy of the production (rough-cut or finished copy DVD ). *All the above information is requested in an electronic format (excel) in order to expedite the audit. 5 Knowing that production companies contract with payroll service companies, is the payroll service company required to withhold taxes on loan-out corporations? Or is it the responsibility of the loan-out corporation to take care of its own taxes? Withholding law requires the payroll company to withhold taxes on compensation paid to an out-of-state loan-out corporation unless the out-of-state loan-out corporation registers to do business in North Carolina. However, to be eligible for the film credit, tax must be withheld on the payment to the loan-out for the compensation to be considered a qualified expense. The production company or the payroll company can do the withholding. (Also see #8) 4 5

6 Money paid to payroll companies includes wages and 8 Please explain the law changes from Session Law 2006- fringes. Wages on which North Carolina income tax has 162 (House Bill 1963). been withheld count as qualifying expenses. What about Prior to this law change, compensation and wages were fringes paid by the production company? (fringes include qualifying expenses for purposes of the film production credit FUI, SUI, FICA, SS, health insurance, retirement, union only if the production company remitted withholding. Pursuant membership fees) to Article 4A, companies were required to withhold tax of 4% Fringes do not count as qualified expenses because tax has not from payments in excess of $1500 to any nonresident entity been withheld and remitted on the fringes. unless that entity had obtained a North Carolina Certificate of Authority from the Secretary of State. If a loan out company 7 Is the production company s ability to claim payments to had obtained a North Carolina Certificate loan-out corporations as qualifying expenses tied to the filing of Authority, the production company of the loan-out s tax forms? Or are the loan-out s taxes an did not withhold tax from the issue between the State and the loan-out? payment. As a result, the Taxes must be withheld on the payments to a loan-out for a production company could production company to claim them as qualifying expenses. not claim this as a qualifying The production company s eligibility to claim the compensation expense. To remedy this in calculating the film credit is not contingent on the loan-out situation, Session Law 2006-162 corporation filing a North Carolina Income tax return. (Also (House Bill 1963) was enacted see #8) so compensation and wages are qualifying expenses for purposes 6 7

9 of the film production credit if withholding payments are Effective for tax years beginning on or after January 1, 2010, million to the loan-out corporation qualify the loan-out as remitted, whether withheld on the payments by the production a taxpayer may elect to take a credit against taxes equal a highly compensated individual and therefore exclude company to the loan-out company or withheld from the to twenty-five percent (25%) of the production company s the $300,000 payment from being considered as part of payments by the loan-out company to the actor. qualifying expenses less the difference between the amount the qualifying expenses for the tax credit? Remember, of tax paid on purchases subject to the tax imposed on mill only $300,000 was earned in NC for services rendered Please explain the law changes from Session Law 2008- machinery under G.S. 105-187.51 and the amount of sales or during the filming in NC. The other $1.2 million was earned 107 (House Bill 2436). use tax that would have been due had the purchases been previously in CA for services rendered in CA. Effective for tax years beginning on or after January 1, 2008, subject to the sales or use tax at the combined general rate. For tax years beginning prior to January 1, 2008, the payment the cost of insurance coverage purchased in this State by the The taxpayer can elect to either claim the 15% credit without of $1.5 million to the loan-out qualifies the loan-out as a highly production company for production-related activities would the sales or use tax reduction or the 25% with the sales or use compensated individual and therefore excludes the $300,000 be considered a qualifying expense. The insurance must be tax reduction. The election is binding and is made at the time payment from being considered as part of the qualifying purchased from an unrelated entity to qualify. In addition, the return is filed to claim the credit. expenses for the tax credit. For tax years beginning on or after for productions that have production credits, the taxpayer must acknowledges in the production credits both the North January 1, 2008, only the amount of compensation in excess of 11 A fee of $1.5 million is paid to a loan-out corporation (in this one million dollars paid to a highly compensated individual does Carolina Film Office and the regional film office responsible case, the loan-out corporation is owned by someone working not qualify. Since the amount earned in North Carolina is less for the geographic area in which the filming for the production as a producer and an actor). Of that amount, $1.2 million is than one million, the entire amount qualifies. occurred. for acquiring the script and producing, something that takes place in CA years prior to shooting the film). The 10 8 Please explain the law changes from Session Law 2009- balance of the fee, $300,000 is for acting in the film in NC 529 (Senate Bill 943). during the course of production. Does the payment of $1.5 12 To what kind of companies must payments be made to classify payments as qualifying expenses? (1) NC 9

corporations, (2) Companies that pay corporate taxes in tax is not enough. The production company must rent the No. This equates to a phony transaction by a business formed Yes, to the extent that the service is obtained from a North NC, (3) Companies that have a physical presence in NC. vehicle from a North Carolina store. Payments to persons for a with no purpose but to circumvent the tax laws. Conversely, if Carolina location. If goods are delivered into North Carolina (Examples: Vehicle Rental Company based in Georgia that service can be paid to an out-of-state person if the production the affiliated production services company performs a service, from an out-of-state location, the shipping charge does not rents vehicles in NC. If this company charges NC sales tax company substantiates that the service was performed in North charges fair compensation for the service, files a tax return and qualify. on rentals, does it qualify? What if this company opens a satellite office in NC?) Payments for goods must be made to persons with a physical location in North Carolina. In the example, charging sales 13 Carolina. Do payments to a NC Production Services Company qualify? (Example: A production company needs a widget. Widgets 15 pays the income tax due, then the expense would qualify for the credit. An out-of-state production company wishes to make a movie 17 An out-of-state caterer is brought to North Carolina to serve meals at a production site for twelve weeks. The caterer s employees are placed on the production company s payroll. are not available in NC. A NC Production Services Company for $2.5 million dollars. It contracts with a NC production The production company rents the caterer s mobile kitchen. is contracted to locate and purchase the widget in another company to make the movie. The out-of-state company The caterer then charges a per person /per meal price state and then sell the widget at a mark-up to the production pays the NC Company $2.5 million for the movie. Since which covers the cost of supplies (food, dry goods, fuel, ice, company.) the full $2.5 million was spent with a NC company, can the etc.) and includes profit. The caterer then spends money The payment to the NC Production Services Company qualifies. out-of-state company file for an incentive using the full $2.5 locally to purchase these supplies. Do the meal prices paid 14 Similar to question #12, can a production company form million payment as a qualifying expense? No. The North Carolina company makes the movie. Therefore, to the out-of-state caterer count as qualifying expenses? Does the truck rental paid to the out-of-state caterer count its own NC Production Services Company and utilize it to the North Carolina company qualifies for the credit. as qualifying expenses? source and purchase goods that can not be found in NC? This avoids doing business with another entity and avoids a mark-up. 16 Do payments to shipping companies count as qualifying expenses? (FedEx, DHL, UPS?) These companies obviously The meal price paid to the out-of-state caterer for service performed in North Carolina qualifies if the production company substantiates that the services were performed in North have facilities and employees in NC. 10 11

Carolina. The truck rental from the out-of-state caterer does give a credit against expenses in NC from an out-of-state 23 If a company produces multiple productions in North not qualify. production? Carolina in one year, does it file one corporate tax return and 18 Is NC Sales Tax a qualified expense? No. It is not considered a good or service eligible for the tax credit. 21 No. The credit is allowed only for an in-state production. Do items purchased on the internet (clothing LL Bean, Gap, American Eagle, etc.) count as qualifying expenses? 24 a separate form NC 415 for each production? Yes. Do the amounts spent in North Carolina by a production 19 A production company films for six weeks in NC and then moves to SC and continues filming an additional four weeks. The filming equipment (lights, cable, generators, cameras, 22 Yes, to the extent the production company can substantiate that the items were acquired from a North Carolina location. Some production companies are part of larger companies company during the phases referred to within the film industry as pre-production and post-production count as qualified expenses? Pre-production encompasses expenses incurred in connection with a production before grip equip, etc.) is being rented from a company based in that have their own in-house travel departments that actual filming begins. Post-production encompasses NC. Can the production company receive a credit in NC for purchase airline tickets with their corporate discounts. If expenses incurred in connection with a production after the equipment rental fees paid while working in SC? travel is booked on US Airways (for example, which has a actual filming is concluded but does not include expenses No. The credit is allowed only for the equipment rental fees huge North Carolina presence) by a larger company s travel related to distribution and marketing. paid while working in NC. department located out of state for a film shooting in North Yes. 20 Related to #19 above, a production company is filming Carolina, do those costs count as qualifying expenses? No. The travel has to be acquired from a North Carolina vendor completely in SC. However, it has rented all of its filming to be considered a qualified expense. equipment (lights, cable, generators, cameras, grip equip, etc.) from NC since there are no vendors in SC. Will NC 12 13

105-130.47. Credit for qualifying expenses of a production company. (a) Definitions. The following definitions apply in this section: (1) Highly compensated individual. An individual who directly or indirectly receives compensation in excess of one million dollars ($1,000,000) for personal services with respect to a single production. An individual receives compensation indirectly when a production company pays a personal service company or an employee leasing company that pays the individual. (2) Live sporting event. A scheduled sporting competition, game, or race that is not originated by a production company, but originated solely by an amateur, collegiate, or professional organization, institution, or association for live or tape-delayed television or satellite broadcast. A live sporting event does not include commercial advertising, an episodic television series, a television pilot, a music video, a motion picture, or a documentary production in which sporting events are presented through archived historical footage or similar footage taken at least 30 days before it is used. (3) Production company. Defined in G.S. 105-164.3. (4) Qualifying expenses. The sum of the following amounts spent in this State by a production company in connection with a production, less the amount in excess of one million dollars ($1,000,000) paid to a highly compensated individual: a. Goods and services leased or purchased. For goods with a purchase price of twentyfive thousand dollars ($25,000) or more, the amount included in qualifying expenses is the purchase price less the fair market value of the good at the time the production is completed. b. Compensation and wages on which withholding payments are remitted to the Department of Revenue under Article 4A of this Chapter. c. The cost of production-related insurance coverage obtained on the production. Expenses for insurance coverage purchased from a related member are not qualifying expenses. (5) Related member. Defined in G.S. 105-130.7A. (b) Credit. A taxpayer that is a production company and has qualifying expenses of at least two hundred fifty thousand dollars ($250,000) with respect to a production is allowed a credit against the taxes imposed by this Part equal to fifteen percent (15%) of the production company s qualifying expenses. For the purposes of this section, in the case of an episodic television series, an entire season of episodes is one production. The credit is computed based on all of the taxpayer s qualifying expenses incurred with respect to the the production, not just the qualifying expenses incurred during the taxable year. Session Law 2009-529 SECTION 1. G.S. 105-130.47 reads as rewritten: (b1) Alternative Credit. In lieu of the credit allowed under subsection (b) of this section, a taxpayer that is a production company and has qualifying expenses of at least two hundred fifty thousand dollars ($250,000) with respect to a production may elect to take a credit against the taxes imposed by this Part equal to twenty-five percent (25%) of the production company s qualifying expenses less the difference between the amount of tax paid on purchases subject to the tax under G.S. 105-187.51 and the amount of sales or use tax that would have been due had the purchases been subject to the sales or use tax at the combined general rate, as defined in G.S. 105-164.3. The credit is computed based on all of the taxpayer s qualifying expenses incurred with respect to the production, not just the qualifying expenses incurred during the taxable year. The taxpayer shall elect whether to claim the credit allowed under this subsection or the one allowed under subsection (b) of this section at the time the taxpayer files the return on which the credit is claimed. This election is binding. 14 15

(c) Pass-Through Entity. Notwithstanding the provisions of G.S. 105-131.8 and G.S. 105-269.15, a pass-through entity that qualifies for a credit provided in this section does not distribute the credit among any of its owners. The passthrough entity is considered the taxpayer for purposes of claiming a credit allowed by this section. If a return filed by a pass-through entity indicates that the entity is paying tax on behalf of the owners of the entity, a credit allowed under this section does not affect the entity s payment of tax on behalf of its owners. (d) Return. A taxpayer may claim a credit allowed by this section on a return filed for the taxable year in which the production activities are completed. The return must state the name of the production, a description of the production, and a detailed accounting of the qualifying expenses with respect to which a credit is claimed. (e) Credit Refundable. If a credit allowed by this section exceeds the amount of tax imposed by this Part for the taxable year reduced by the sum of all credits allowable, the Secretary must refund the excess to the taxpayer. The refundable excess is governed by the provisions governing a refund of an overpayment by the taxpayer of the tax imposed in this Part. In computing the amount of tax against which multiple credits are allowed, nonrefundable credits are subtracted before refundable credits. SECTION 3. This act is effective for taxable years beginning on or after January 1, 2010, and applies to qualifying expenses occurring on or after that date. (f) Limitations. The amount of credit allowed under this section with respect to a production that is a feature film may not exceed seven million five hundred thousand dollars ($7,500,000). No credit is allowed under this section for any production that satisfies one of the following conditions: (1) It is political advertising. (2) It is a television production of a news program or live sporting event. (3) It contains material that is obscene, as defined in G.S. 14-190.1. (4) It is a radio production. (g) Substantiation. A taxpayer allowed a credit under this section must maintain and make available for inspection any information or records required by the Secretary of Revenue. The taxpayer has the burden of proving eligibility for a credit and the amount of the credit. The Secretary may consult with the North Carolina Film Office of the Department of Commerce and the regional film commissions in order to determine the amount of qualifying expenses. (h) Report. The Department of Revenue must publish by May 1 of each year the following information, itemized by taxpayer for the 12-month period ending the preceding December 31: (1) The location of sites used in a production for which a credit was claimed. (2) The qualifying expenses for which a credit was claimed, classified by whether the expenses were for goods, services, or compensation paid by the production company. (3) The number of people employed in the State with respect to credits claimed. (4) The total cost to the General Fund of the credits claimed. (i) Repealed by Session Laws 2006-220, s. 2, effective for taxable years beginning on or after January 1, 2007. (j) NC Film Office. To claim a credit under this section, a taxpayer must notify the Division of Tourism, Film, and Sports Development in the Department of Commerce of the taxpayer s intent to claim the production tax credit. The notification must include the title of the production, the name of the production company, a financial contact for the production company, the proposed dates on which the production company plans to begin filming the production, and any other information required by the Division. For productions that have production credits, a taxpayer claiming a credit under this section must acknowledge in the production credits both the North Carolina Film Office and the regional film office responsible for the geographic area in which the filming of the production occurred. (k) Sunset. This section is repealed for qualifying expenses occurring on or after January 1, 2014. 16 17

Aaron Syrett, Director 919.733.9900 aaron@ncfilm.com ncfilm.com North Carolina Film Office 301 N. Wilmington Street Raleigh, NC 27601 USA 5,000 copies of this public document were printed at a total cost of $2,638 or $0.52 each.