95-043

Responses August 1, 1995, August 15, 1995 and August 29, 1995

 

 

Request

July 14, 1995

 

Utah State Tax Commission

Audit Division

210 N. 1950 West

Salt Lake City, UT 84134

 

Re: Manufacturing Exemption

 

To whom it may concern:

 

My name is XXXXX, and I'm helping a company in the local area perform a review of their accounts payable records for possible overpayments. In the process of performing the review, we have come cross several items that we believe qualify under the state’s “new and expanding operation” manufacturing exemption. Most of the items are part of an automated material handling system that has been, and is continuing to be installed at their manufacturing facility. And a few of the items in question are purchases that we would classified as real property labor, performed by the provider of the material handling system.

 

Please find attached an item-by-item breakdown of each of the purchases in question along with a client provided description of their function and use.

 

It's our position that each of the items outlined would qualify under the exemption because they are an integrated part of the continuous production cycle, and because they are not replacement items that have wore out or are no longer in use.

 

Following the applicable regulation, we are seeking a declaratory judgment or opinion on the attached items in question.

 

Because the tax has already been paid to the vendor, we would like to receive direction prior to providing exemption certificates to the applicable vendors and requesting refunds from them. We desire to have this issue resolved as soon as possible. Thanks.

 

Best Regards,

 

XXXXX

XXXXX

 

 

August 1, 1995

 

XXXXX

 

RE: Advisory Opinion - Manufacturing Exemption

 

Dear XXXXX,

 

You requested an advisory opinion regarding application of the manufacturing equipment exemption to equipment used in conjunction with an XXXXX system. From the documentation that you provided, we are unable to determine whether the equipment described qualifies for the exemption. We suggest that you resubmit the request for an advisory opinion, including enough detail to help us determine the applicable SIC code, and to help us understand what part each piece of equipment plays in the manufacturing process. Please tell us why you think the equipment qualifies under the “new or expanding operations” provision in the law.

 

In telephone conversations with our staff, you stated that your original inquiry included items that obviously do not qualify for exemption, either because they are improvements to real property or because they are used in non-qualifying activities. Please focus your request on the items about which you have legitimate questions. If you have questions about what to include in your request, please contact our Tax Policy Analyst, XXXXX, at XXXXX.

 

If you feel that you can make a determination about application of this exemption to this equipment without an advisory opinion, you may request a refund for items that you believe qualify for the exemption. Because the manufacturing exemption is complicated, we suggest that you submit your written request for refund to:

 

XXXXX

 

We understand that you are reluctant to request a refund directly from the Tax Commission because you believe that will trigger an audit. However, XXXXX can be a valuable resource to help you identify exempt transactions. With his help, your client can avoid problems regarding this exemption in future audits.

 

For the Commission,

 

Alice Shearer

Commissioner

 

 

August 4, 1995

 

XXXXX

Utah Tax Commission

Legal Division

210 N. 1950 West

Salt Lake, UT 8134

 

RE: Rule R865-19-85S Machinery and Equipment Exemption

 

Dear XXXXX:

 

I’m having a difficult time fully understanding this regulation, and determining what items qualify, under this exemption, and which ones would not. Please address each of the items below and provide as much detail as possible, as well as examples.

 

1) “including final processing, finishing or packaging articles sold as tangible personal property”

 

Does this include electronically or mechanically sorting and shrink wrapping the products in preparation for loading on pallets ? Does the fact that the items are temporarily stored on racks that are an integrated component of an automated material handling system, prior to sorting and shrink wrapping disqualify the activity as part of the production cycle ?

 

2) “integrated continuous production cycle”

 

Please explain in detail what this means and what is included and what s not included.

 

3) “devices necessary to the control or operation of machinery and equipment”

 

Give some examples of such devices. Please define control as it relates to the intent of this regulation.

 

4) “de minims”

 

Please define. Give some examples.

 

5) “New”

 

Would new items that are not replacing existing items, but used in addition to existing items, that increase plant production or capacity, qualify?

 

6) “other storage of raw material, component parts, or finish products”; “shipment of the product”

 

These activities have been identified as non-qualifying activities, please define l) other storage, and 2) shipment of the product. If storage racks, which are an integrated part of an automated material handling system, housing semi-finished products on a temporary basis, qualify as exempt machinery or equipment, if they are part of the continuous production cycle, regardless of their storage function ?

 

7) “Material Handling System”

 

Would there be any component of a material handling system that wouldn't qualify under the exemption, that is an integrated part of the continuous production cycle? If necessary, further explain the term continuous production cycle”. Provide situations where identical items would both qualify and not qualify.

 

8) “new or expanding operation”

 

To qualify as “new or expanding” do all three of the written requirements

 

l. substantially different in nature, character, or purpose from activities;

2. begun in a new physical plant location in Utah; or

3. increase production or capacity

 

need to be met, or item 1 & 2 or 3, or any one of the three requirements listed? Please clarify.

 

9) “storage machinery”

 

What is storage machinery? Provide some examples.

 

Thanks,

 

XXXXX

 

 

August 8, 1995

 

Utah Tax Commission

XXXXX

210 North 1950 West

Salt Lake City, UT 84134

 

Dear XXXXX:

 

As indicated in my previous advisory opinion request, I’m assisting a Utah company in a review of their purchases for possible overpayment of sales tax.

 

My client is a manufacturer of vitamins and herbs. The products they manufacture originate from plants and trees, and other components, and are manufactured into capsules which can be utilized for human consumption.

 

Manufacturing Process

 

The raw material is transported by storage machinery to the production area where the raw material is dump and filtered prior to the milling process to remove foreign objects and other undesirable particles. After the material has been filtered it is transported to the milling area for milling. After milling, the material is further processed, treated, sorted and put into capsule form. The capsules flow through quality control and are prepared for bottling or other forms of packaging. The product is then labeled and shrink wrapped. Following the shrink wrapping process the product is transported by storage machinery and placed on racks for temporary storage. When orders come in, the product is removed from the racks and transported along a conveyor system in tote boxes where the computer system reads the bar codes on the containers, and assigns and sorts the product to the correct distribution bid. From there the product is further shrink wrapped and placed on pallets where they are prepared for shipment.

 

Expansion

 

My client has undergone tremendous expansion over the last few years due to the increase demand. The need to increase production has generated the need to purchase new machinery and equipment. All the items in question are new, and where not purchased to replace existing items but to accommodate the expansion and the increase in production. In fact, the expansion is so wide spread that a new building is under construction that will house additional manufacturing sectors.

 

Because the rule relating to the Manufacturing Exemption is not very clear, we are not sure what items qualify and which items would not. Based on our best judgment the integrated continuous production cycle, begins when the raw material is moved from the racks to the production area, and would end when the product undergoes its final shrink wrapping and is placed on the pallets.

 

There are several items of machinery and equipment that have been purchased for use during the process that we would believe would qualify under the manufacturing exemption. Please review and provide an opinion on each of the items listed below.

 

1 ) Free-standing racking - These racks are a component part of a new Automated Material Handling System purchased. These racks are used to store raw material, as well as finished product prior to sorting and final shrink wrapping. This new racking was purchased to accommodate the XXXXX System. It expands the company’s ability to store as well as to organize the tremendous increase flow of products by storing higher and adding many more idles.

 

2) XXXXX - Storage machinery used to pull raw material from the racks and transport to the production area for processing. Also used to transport the product from the processing area to the racks. The machinery can run along a guidance tracking line or can operate on its own like a forklift. The machinery is specifically designed to accommodate the new racking. The XXXXXs can lift to the top of the new racking and swing around the new narrow idles, where the old lifts cannot fit through the new racking configuration. This machinery was also purchased to accommodate the expansion in production.

 

3) XXXXX - Storage machinery used to move both raw material to the production area and to transport product to the racking, and to a conveyor system. The conveyor system transports product to a sorting and shrink wrap area. Needed to accommodate the new racking. Needed to accommodate the expansion in production.

 

 

4) Wire Guidance System - Tracking line for the XXXXX machinery that moves up down the isles of the racking, and to and from the production area. Needed to accommodate the expansion in production.

 

5) Computer System - The hardware that controls the XXXXX System. This would include the wire guidance system and the conveyer system that transport the product to the sorting and final shrink wrap area. Needed to control the XXXXX System which was incorporated to accommodate the expansion in production.

 

6) Computer Software - The Software used to operate the XXXXX System.

 

7) Dust Collection System - Equipment used to collect flying dust in the production area. It was needed to accommodate the increase dust generated by additional manufacturing machinery put into production.

 

8) Tote Boxes - Container boxes used to house product as it moves along the conveyor system. Component part of the new XXXXX System.

 

9) Conveyor System - A conveyor that runs from the mixing area to the milling area. This is a new piece of equipment incorporated into the process to eliminate manual loading of material in the milling area, which speeds up the process as well as allowing for much more volume, which facilitates expansion in production.

 

10) XXXXX Process - A filter process that extracts foreign objects and undesirable objects from raw material to milling. New equipment purchased to eliminated manual labor and to accommodate the expansion in production.

 

11) Storage Machinery (XXXXX) - Forklift and pallet jack machinery used to move raw material to the production area. Purchased to meet the needs of increase production.

 

If you have any additional questions, please contact me at your convenience. Thanks.

 

Best Regards,

 

XXXXX

XXXXX

 

**See file for hand-drawn blow chart (faxed) and, of course, the preceding cover sheet, dated August 8, 1995**

 

 

August 15, 1995

 

XXXXX

XXXXX

 

RE: Advisory Opinion - Manufacturing Exemption

 

Dear XXXXX,

 

We have received your revised request for an advisory opinion regarding application of the sales tax exemption for manufacturing equipment to a materials handling system purchased by your client. We appreciate your supplying us with additional information so we can make a reasonable determination of the status of the equipment involved. On the basis of the facts provided in your request, we find as follows:

 

To qualify for the manufacturing exemption, the machinery or equipment must be purchased or leased by a manufacturer for use in new or expanding operations. A qualifying manufacturing activity is one which falls within codes 2000 - 3999 of the Standard Industrial Classification Manual (1987). You client's manufacturing process appears to fit within qualifying code 2833.

 

To qualify as a new or expanding operation, the manufacturing, processing or assembling activities must be:

 

1. substantially different in nature, character or purpose from prior activities;

2. begun in a new physical location in Utah; or

3. increase production or capacity.

 

Normal operating replacement equipment does not qualify for the exemption, even if it increases capacity. New equipment or machinery will be considered normal operating replacement if:

 

1. it has the same or similar purpose as equipment or machinery which is retired from service within 12 months before or after the purchase date, or

 

2. if existing machinery or equipment which serves the same or similar purpose is kept for back-up or infrequent use.

 

The new equipment improves the manufacturing process and increases capacity. If it results in an actual increase in production, it qualifies as a “new or expanding operation.”

 

Machinery or equipment does not qualify for the exemption if it has a useful economic or accounting life of three or less, or if it is used for an activity which is not part of the manufacturing process.

 

With regard to the equipment described in your letter and diagram, we draw the following conclusions:

 

1. The XXXXX are used to store raw material and finished product. Storage of raw materials or finished products are non-qualifying activities. Therefore, the rack system does not qualify for the exemption.

 

2. Although described as storage machinery, the XXXXX appears to be a mechanical device which is used solely to move the raw material from storage to the beginning point of the manufacturing process or to move the finished product back to a storage area after final packaging. If it operates as described it is part of the integrated and continuous production cycle, and it qualifies for the exemption.

 

3. From the description provided, the XXXXX seems to operate in a similar fashion as the XXXXX. However, it appears that the XXXXX is used in nonqualifying activities. Activities associated with shipping or distribution do not qualify as manufacturing activities. From the diagram provided and from conversations with our staff, we understand that the finished product is packaged in a bottle at the end of the production line. The bottled product is moved to storage racks where it is stored until the XXXXX selects individual bottles to fill orders and to make up pallets for shipping. Under these circumstances, the “continuous production cycle” ends when the finished product is bottled and moved from the production line to storage. The XXXXX and other equipment which is used to store, sort and package the product for shipping is ineligible for the exemption.

 

4. The wire guidance system which moves the XXXXX qualifies for exemption unless it is has been converted to real property.

 

5 and 6. The Computer hardware and software appears to serve both qualifying and non-qualifying activities. Controlling the XXXXX or other manufacturing equipment is a qualifying activity. Tracking inventory and preparing or tracking invoices are non-qualifying activities. Equipment or machinery used in both qualifying and non-qualifying activities will not lose the exemption if the use in non-qualifying activities is determined to be de minimis.

 

“De minimis” is not a term that lends itself to easy definition, and whether a use is de minimis depends on the particular facts in a case. Basically, a use is de minimis if it is

inconsequential in relation to the equipment's total use for qualified manufacturing activities. We cannot tell from the information provided whether your client's computer hardware and software pass the de minimis test, but we caution you that inventory control and invoicing

processes sound like substantial business activities, and they probably disqualify the equipment.

 

7. The dust collection system qualifies for exemption if it is used to capture dust or particles that would otherwise contaminate the finished product.

 

8. The tote boxes may be disqualified on two counts. First, to the boxes must have at least a three year useful economic or accounting life to qualify for exemption. A discussion with your client's accountant may be useful to determining how the company is depreciating the boxes. Also, experience over time will show whether the boxes are typically replaced within three years.

 

Second, if the tote boxes are used solely in a shipping or distribution activity, they are disqualified. Referring to the discussion on the XXXXX in 3 above, if the finished product is bottled and moved to storage before it moves to the tote boxes, the tote boxes are not part of the qualified manufacturing activities.

 

9. The conveyor system which delivers material from the mixing area to the milling area appears to qualify as equipment used in the manufacturing process. The conveyor system which delivers bottles of finished product through a sorting process to be packaged for shipping does not qualify for reasons discussed in 3 above.

 

10. The stainless steel XXXXX process appears to qualify as equipment used in the manufacturing process.

 

11. The forklift and pallet jacks may qualify for exemption if they are used solely for the purpose of moving raw material to the stainless steel XXXXX process and moving finished product back to storage. However, since the XXXXX serves this purpose, the forklift probably serves some other purpose, such as delivering raw material to the storage area where it will await processing or moving pallets of product which have been prepared for shipping. Such activities are non-qualifying activities.

 

This opinion represents the best guidance that we can offer based on the facts presented. As you and your client discuss the application of these guidelines to your client's property, additional questions may arise. Please feel free to contact us if you need further clarification.

 

For the Commission,

 

Alice Shearer

Commissioner

 

 

August 29, 1995

 

RE: General Clarification of the Manufacturing Equipment Exemption

 

Dear XXXXX,

 

We have received your request for clarification of the language pertaining to the sales tax exemption for manufacturing equipment. We agree that the language can be confusing, and we generally consider questions regarding the manufacturing exemption to be very fact specific. That is, it is impossible to make blanket statements that cover all of the fact patterns that arise regarding this exemption. We offer the following general guidance, but we hope when specific questions arise you will let us help you determine whether the exemption applies. Additionally, parts of this rule are at issue in cases pending before the Commission and the Supreme Court. The outcome of those cases may impact application of rule R 865-19S-85 in the future.

 

Response to questions 1 and 2.

 

Rule R865-19S-85 states that automated material handling and storage machine qualify for exemption “when that machinery is part of the integrated continuous production cycle.” The rule also states that storage of raw materials or finished product and shipment of the finished product are non-qualifying activities. We frequently face the determination of when the “continuous production cycle” stops and the non-qualifying storage and shipment activities begin. That determination depends on the particular manufacturing setup in question.

 

For purpose of illustration, assume that a manufacturer makes cough syrup. The ingredients move through some continuous process from raw materials to finished product. The automated machinery immediately measures the finished product into bottles and slips each bottle into a box. (The product will be marketed in the bottle and the box.) That is the end of the production cycle. Activities involved in packaging individual boxes into shipping containers are non-qualifying activities, even though the packaging and shipping processes may be automated.

 

Using a different example, assume a manufacturer uses recyclable light plastic as the raw material for some end product. Assume also that the manufacturer receives its materials from a source which does not pre-sort the materials. That is, the raw material that is delivered to the manufacturer includes other materials as well as light plastics. The manufacturer may put the materials on a conveyor system so workers can discard non-usable items. The light plastic products are then stored for later use as raw material used in the manufacturing process. Although the sorting activity is essential to the manufacture of the end product, it is not part of a continuous production activity. The automated equipment used in this sorting process does not qualify for exemption.

 

Response to question 3.

 

The term “devices necessary to the control or operation” of qualifying machinery refers to devices that are essential to the operation of qualified equipment. Electrical connections and computer equipment may fit within this definition. However, such equipment is disqualified if it is converted to real property or if it serves some other non-qualifying purpose. For instance, if a company uses a computer system to control the qualifying manufacturing equipment, and also uses it to track inventory and accounts payable, the equipment will lose its exempt status

 

Response to question 4.

 

Qualifying equipment will not lose its exempt status if its use for non-qualifying equipment is de minimis. De minimis is not a term that lends itself to one definition that applies in all cases. In fact, a determination of whether the use of manufacturing equipment in a non-qualifying activity is de minimis requires that the non-qualifying use be compared to the total use. Therefore, the decision is very fact-specific.

 

Response to question 5.

 

With regard to your question as to whether new equipment qualifies for exemption, the equipment must meet all of the conditions set out in the rule and the statute. That is, it must be used in a new or expanding operation, it must be used in qualified manufacturing activities, it must have at least a three year economic or accounting life, and it must not replace old equipment. A business is a new or expanding operation if it meets any of the criteria set out in the rule. It need not meet all three conditions. New equipment purchased to supplement, rather than replace, existing machinery may be evidence of “expanding operations.”

 

Response to question 6.

 

Refer to our response to questions 1 and 2 above. In determining whether equipment qualifies for exemption, we look for evidence of a continuous process. If the product leaves the production line and it is stored for later additional processing or for packaging and shipping, the storage racks probably do not qualify for exemption.

 

Response to question 7.

 

As stated above, automated equipment used for non-qualifying activities is not eligible for exemption.

 

Response to question 8.

 

See response to question 5 above.

 

Response to question 9.

 

Storage equipment and machinery is any equipment, machinery or item used to store raw materials or finished product (such as racks or shelves) or used to move the product around in the storage or distribution area (such as forklifts).

 

For the Commission,

 

Alice Shearer

Commissioner