R865. Tax Commission, Auditing.
R865-16R. Severance Tax.
R865-16R-1. Valuation of Metalliferous Minerals for
Severance Tax Purposes Pursuant to Utah Code Ann. Section 59-5-203.
A. Gross proceeds under Section 59-5-203 means
the total consideration received by the taxpayer for the sale of metals or
metalliferous minerals, including premiums, bonuses, subsidies, or non-cash
consideration, with no deductions.
B. The authority for market prices under
Subsection 59-5-203(1)(b) shall be an average daily price in U.S. markets, as
listed in Metals Week or other market listing, for the quarter in which the
products are consumed or shipped out of state.
The taxpayer is responsible for calculating average daily price for each
tax quarter from the market listing.
C. Valuation of metals or metalliferous
minerals under Section 59-5-203(1)(c) and (1)(d) shall be determined as
follows:
1. The gross value of ore shall equal the unit
value of the first marketable product multiplied by the ratio of direct mining
costs and divided by the total direct costs of mining, processing, and
manufacturing to produce the first marketable product. This value is then multiplied by the
recoverable units of the first marketable product contained in ores or
concentrates. This gross value of ore
is then reduced by the exemption provided for in 59-5-202(3) and in turn
multiplied by the statutory rate of 80 percent to find the taxable value of
ore.
2. Direct mining costs shall be those costs,
including royalty payments, attributable to the extraction of minerals from
their naturally occurring environment and transportation to the point of
processing, use, or sale.
3. First marketable product means the first
product or group of products produced by the taxpayer in the form or condition
in which the product or products are first sold in significant quantities by
the taxpayer or by others in the taxpayer's marketing area, provided that the
metals or metalliferous mineral products are sold under a bona fide contract of
sale between unaffiliated parties.
D. If the first marketable product is an ore or
concentrate, an alternative method of valuation under this subsection may be
used upon the mutual consent of the Tax Commission and the taxpayer. Under the alternative method, the gross
value of metals or concentrates shall equal the unit value of the first
marketable product multiplied by the recoverable units of metal or
metalliferous minerals in ore or concentrates produced by the taxpayer during
the tax period. The gross value of
metals or concentrates is then reduced by the exemption provided for in
59-5-202(3) and in turn multiplied by the statutory rate for the applicable
metal to find the taxable value of ore.
E. If a sale of metals or metalliferous
minerals between affiliated companies is not a bona fide sale because the value
received is not proportionate to the fair market value of the metals or
metalliferous minerals, the minerals shall be valued using the methods
described in B., C., and D. above, in that order.
Effective: 4/23/96