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  1. Nov 11, 2010 · Two tax concepts that states may employ to increase their tax revenue and that trap unwary foreign entities are (1) unitary combined reporting and (2) economic nexus. Unitary Combined Reporting Unitary combined reporting is a methodology for apportioning the business income of a corporation that is a member of a unitary business group.

  2. filing a New Jersey Corporation Business Tax Unitary Return, Form CBT-100U, they must file a separate New Jersey Corpo-ration Business Tax Return, Form CBT-100. Note: A regular captive insurance company that does not meet the definition of a combinable captive insurance company in N.J.S.A. 54:10A-4(y) is still exempt from the

  3. Corporations, partnerships, S corporations, and fiduciaries can now electronically file their income taxes to the Arizona Department of Revenue (ADOR). Legislation signed into law initiated a multi-year phase-in period for businesses required to file income tax returns electronically. The e-file option was introduced in 2020 for tax year 2019 ...

  4. For additional information about these items, contact Mr. Fairbanks at (202) 521-1503 or greg.fairbanks@gt.com. The use of mandatory unitary combined reporting has become increasingly popular among states in recent years, driven by state budgetary shortfalls and the perceived distortion of taxable income by multistate corporations filing ...

  5. A Kansas corporate income tax return must be filed by all corporations doing business in or deriving income from sources within Kansas who are required to file a federal income tax return, whether or not a tax is due. Unitary Groups (for taxable years after December 31, 1990): If any member of a unitary group has activity in Kansas exceeding ...

  6. Dec 8, 2010 · The Unitary Business Principle, Broadly One of the fundamental constitutional limitations on state corporate income taxation is that a state may not tax a corporation's income unless there is "some definite link, some minimum connection, between a state and the person, property or transaction it seeks to tax."

  7. uncertainty in state combined and consolidated filings. • Respecting the Water’s Edge: States should limit the combined return to the water’s edge but allow a worldwide election. The water’s-edge return should exclude domestic “80/20” companies and all foreign domiciled entities except unitary foreign entities with in-state

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