94-025

Response November 18, 1994

 

 

Request

October 11, 1994

 

W. Val Oveson, Chairman

Utah State Tax Commission

210 North 1950 West

Salt Lake City, Utah 84134

 

Dear Val:

 

This letter is a request by our XXXXX, the XXXXX, for written clarification from the Tax Commission on taxable versus nontaxable status for goods consumed in our retail operations. The Utah State Tax Commission’s publication “Sales Tax Information for Retail Grocery Stores,” which came out in XXXXX cleared up a lot of the confusion in our industry. In the Commission’s publication starting on page 5, there was a distinct line drawn. If we consume a product in the maintenance or preparation of a consumer good--the product or ingredient is taxable. These include cleaning supplies, restroom supples, bakery slip sheets used in baking, etc. If the product is used to package the consumer good, such as plastic bags in the produce area, foam cups for salads or soups in the deli area, boxes for cakes in the bakery, grocery bags and sacks, then the packaging product is tax-free. Would you please review the section on “Goods Consumed” and see if the legislation passed this year changes anything in this section.

 

With the passage of House Bill 279, “Sales Tax-Container Exemption,” earlier this year, we have discovered some inconsistencies in the way our members are interpreting the changes in the law. According to the bill, “sales of nonreturnable containers, nonreturnable labels, nonreturnable bags, nonreturnable shipping cases and nonreturnable casings to a manufacturer, processor, wholesaler, or retailer for use in packaging tangible personal property to be sold by that manufacturer, processor, wholesaler, or retailer” is exempt form sales tax. Our members purchase and use items such as foam trays, soaker pads or plastic wrap in the meat department. According to some of our accounting people, with the passage of HB 279 these products are now exempt. What is your interpretation?

 

Please feel free to contact me if you need further clarification on this issue. Thank you for your help.

 

Sincerely,

 

XXXXX

 

 

November 18, 1994

 

Re: Advisory Opinion - Sales Tax Application to Purchases or Sales of Containers and Packaging Materials

 

Dear XXXXX:

 

Your request for an advisory opinion as to how the Utah sales or use tax applies to your members’ purchases of items such as foam trays, soaker pads, plastic wrap, etc. was referred to the Auditing Division for their analysis.

 

The division’s staff recommendations are as follows:

 

1. The change to Utah Code Annotated Section 59-12-104(24) by House Bill 279 was for clarification of the treatment of containers and packaging materials as administered for many years. The change in the statute does not change long-standing treatment of the types of items enumerated in your letter.

 

2. Of the items listed, all are exempt from the tax at time of purchase by your members if they are, in fact, nonreturnable containers and packing materials that “go out the door with the customer” with items sold. This treatment is not a change from past practice.

 

3. For clarification, items generally exempt under this treatment would include consumer good packaging materials and containers such as plastic bags in the produce area; twist ties for such bags; foam cups, bowls, plates etc. for salads or soup in the deli area; bodes and cellophane tape in the baker; grocery bags and sacks at the checkout area; foam trays, soaker pads, plastic wrap, butcher paper, etc. in the meat department; and plastic knives, forks, spoons and paper napkins at the salad bar. Rule R865-19S-48 provides further guidelines and is attached to this response for your review.

 

Based upon the facts presented in your letter, we are in agreement with the Auditing Division’s recommendations. Obviously, if there are deviations from these facts, this opinion may be negated.

 

Respectfully,

 

Alice Shearer

Commissioner