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Multistate Tax  |  August 4, 2023
State Tax Matters
State Tax Matters
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Income/Franchise:
Michigan Supreme Court Says Standard Apportionment is Valid as Applied to Gain from Deemed Asset Sale

Case No. 163742, Mich. (7/31/23). In a case involving the gain on sale of an out-of-state business pursuant to an Internal Revenue Code (IRC) section 338(h)(10) election and application of the standard statutory apportionment formula under the Michigan business tax (MBT) for the prior short-year at issue, the Michigan Supreme Court (Court) reversed a Michigan Court of Appeals ruling [see State Tax Matters, Issue 2021-40, for some underlying case history] to hold that applying the standard formula to the circumstances in this case – which includes the income from the asset sale in the tax base apportionment formula under the MBT – did not run afoul of the US Constitution’s Due Process and Commerce Clauses as the MBT formula, as applied, does not impermissibly tax income outside the scope of Michigan’s taxing powers. In the underlying case, the Michigan Department of Treasury declined allowing calculation under the taxpayer’s proposed alternative apportionment formula and applied the standard statutory MBT formula, which resulted in Michigan taxing approximately 70% of the gain on the sale. Agreeing with the Michigan Department of Treasury, the Court:

  • Reversed the Michigan Court of Appeals ruling that the taxpayer had demonstrated by clear and cogent evidence that the statutory apportionment formula created a grossly disproportionate result when applied to the one-time asset sale given that, arguably, a majority of the activities making up the underlying business’s fair market value at the time of the sale occurred outside Michigan’s borders;
  • Vacated the remainder of Michigan Court of Appeals opinion; and
  • Remanded the case to the Michigan Court of Claims.

Dissenting opinions follow. Please contact us with any questions.

 

—

Pat Fitzgerald (Detroit)

Managing Director

Deloitte Tax LLP

Stephanie LaFave (Detroit)

Senior Manager

Deloitte Tax LLP



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In this issue

California: Taxpayers Reminded About Limited Time Resolution for Some Eligible Transactions Subject to NEST Penalty Florida DOR Publishes Annual Guidance on Updated State Conformity to Internal Revenue Code Illinois DOR Explains Elimination of Intercompany Transactions with Unitary Partnership Michigan Supreme Court Says Standard Apportionment is Valid as Applied to Gain from Deemed Asset Sale Minnesota: Updated Guidance Reflects Newly Revised Elective Pass-Through Entity Tax Provisions New Hampshire: New Law Decouples from Business Interest Expense Deduction Under IRC §163(j) New Jersey: Updated Memos Reflect New Law that Sunsets Related Member Expense Disallowance Provisions Oregon: New Law Extends Elective Pass-Through Entity Level Taxation Through to 2026 West Virginia Tax Division Finalizes Rules Implementing New Elective Pass-Through Entity Tax Wisconsin Bulletin Explains Apportionment for Interstate Brokers-Dealers, Investment Advisers, Investment Companies


California: San Francisco Postpones Gross Receipts Tax Rate Increases and Provides Relocation Credits


Colorado DOR to Hold Work Group Meeting on Law Imposing Added Penalties on Some Refund Claims Illinois: New Law Excludes Internet Streaming and Direct-to-Home Satellite Services from Certain Local Franchise Fees Michigan: New Bulletin Addresses Taxation of Computer Software and Digital Goods Ohio Supreme Court Holds that Some Fracking Equipment Qualifies for Oil and Gas Production Exemption


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