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Multistate Tax  |  September 22, 2023
State Tax Matters
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Income/Franchise:
New York ALJ Says Certain Deferred Compensation Must Be Allocated Based on “BAP Method” from Years Earned

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Determination DTA Nos. 830479, 830481, N.Y. Div. of Tax App., ALJ Div. (9/7/23). In a ruling involving two nonresident individual partners of a limited partnership that owned a limited liability company (LLC) operating in New York in prior years as a registered investment advisor and providing investment management services to private investment funds, an administrative law judge (ALJ) with the New York State Division of Tax Appeals held that the partners’ shares of certain deferred management and performance fees pursuant to Internal Revenue Code section 457A and the related appreciation must be allocated to New York for personal income tax purposes under state law based on the partnership’s business allocation percentage (BAP) for the years the underlying services were performed, rather than for the later year in which such amounts were recognized. Under the facts, both the taxpayers and the Division of Taxation of the New York State Department of Taxation and Finance (Department) used the “BAP method” to determine the amount of income that should be allocated to New York; however, the taxpayers asserted the deferred management and performance fees and the related appreciation should be included in the gross income percentage and ultimately averaged with the property and payroll percentages for 2017 to determine the 2017 BAP, and the Department asserted the New York State BAP from the time the services were performed/earned should be used (i.e., 100%). In ruling against the taxpayers, the ALJ explained that the taxpayers’ methodology “ignores the plain language of Tax Law § 631(b)(1)(F),” and the only reasonable interpretation of it is that “the BAP to be utilized is from the year the services generating the income were performed.” Please contact us with any questions.

 

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Jack Trachtenberg (New York)

Principal

Deloitte Tax LLP

 

Don Roveto (New York)

Partner

Deloitte Tax LLP

 

Mary Jo Brady (Jericho)

Senior Manager

Deloitte Tax LLP

Josh Ridiker (New York)

Senior Manager

Deloitte Tax LLP



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In this issue

Arkansas: New Law Provides Another Corporate Income Tax Rate Reduction Maine: New Law Updates State Conformity to Internal Revenue Code New Jersey: Retroactively Applying Rule Changes on CBT Royalty Expense Addback Exception Cures Violation New York ALJ Says Certain Deferred Compensation Must Be Allocated Based on BAP Method from Years Earned North Carolina: Ruling Addresses Market-Based Sourcing of Receipts from Contract Manufacturing Services Virginia: New Law Increases IRC §163(j) Deduction and Allows Intangible Expense Addback Statutes to Remain in Effect


Ohio: Proposed Draft CAT Rule Changes Reflect New Law on CAT Exclusion and Annual Minimum Tax Ohio: Lack of Sufficient Shipment Sourcing Data Barred Taxpayer Claimed CAT Refunds Ohio CAT Refunds Allowed on Receipts from Goods Ultimately Destined for Out-of-State Shipment


Illinois Tax Tribunal Addresses Commerce Clause Caselaw and Holds Aircraft Owner Had Substantial Nexus Missouri: Outline Platform Facilitating Food Delivery for Restaurants is Not Required to Collect and Remit Taxes


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