96-067
Responses
March 29, 1996 and April 9, 1996
Request
XXXXX
Sales
Tax Auditing
Utah
Tax Commission
210
North 1950 West
Salt
Lake City, UT 84134
We
are submitting a letter of agreement between the State of Utah and XXXXX
outlining our sales tax collection procedures and the establishment of tax
exempt members at our Clubs.
In
addition to the practices we have described in our letter we are also
implementing an electronic imaging procedure in our home office Tax Department
to guarantee the accuracy of our tax exempt membership documents at the club
level. This procedure gives us the ability to review each of the tax exempt
documents as to its completeness so as to comply with Utah sales tax statutes.
These tax exempt procedures will be followed by all Utah XXXXX.
We
have listed you as the appropriate authority to sign our letter of agreement
with the State of Utah. If in your determination, this authority rests
elsewhere, please let us know and we will resubmit.
Sincerely,
XXXXX
XXXXX
Sales
Tax Auditing
Utah
Tax Commission
210
North 1950 West
Salt
Lake City, UT 84134
Dear
XXXXX,
This
letter is written to set forth the terms of an agreement between XXXXX and the
State of Utah, regarding the implementations of XXXXX sales tax collection
procedures, sufficient to fulfill its obligation under Utah Sales Tax law. It's
our understanding that XXXXX compliance with these procedures will be
sufficient to release it from further liability regarding its sales tax
collection obligations under Utah sales tax statutes. These sales tax
collection procedures, which are to be followed by all Utah XXXXXs, are set
forth in the following paragraphs:
Membership
Application:
1. The completion of membership applications
will include the requirement of production of documentation (including
Certificate of Registration where applicable) sufficient to verify business
operations.
2. If the applicant is applying for
wholesale membership and is in the business of resale (classified as “x”
member), a Multi-Jurisdiction Sales Tax Exemption Certificate (see attached
form) will be required to be completed by the applicant.
3. On each resale certificate, the Utah
taxpayer number will be required. If possible, a copy of the sales tax permit
will be obtained from the applicant and placed on file.
4. Upon the satisfactory completion of
Steps #1-3, new members will be issued a membership card including a photo I.D.
for the business member.
5. If applicant is applying for wholesale
membership and is an exempt organization or has exempt status (classified as
“x” member), a Multi-Jurisdiction Sales Tax Exemption Certificate (see attached
form) will be required to be completed by the applicant.
6. Each membership will contain special
coding which will denote the type of member. This coding, when input at the
cash register, will indicate the membership type, thus informing the checkout
personnel of those business members qualified for resale of merchandise and the
corresponding sales tax exemption.
Operations:
1.
When a member purchases
merchandise, he/she will be required to present his/her membership card. For
those members designated as “x-members,” the checkout person will ask the
following question: “Are any of your items for resale,” or “Are the items for
exempt use”. For each item designated by the member as an item for resale or
exempt use, the checker will depress the tax-exempt key on the cash register
which will not charge sales tax for that particular item. The system
automatically charges sales tax on all items purchased unless the tax exempt
key is depressed.
2.
The member will be asked to sign a
Non-Taxable Sales Log. (See attached.) Such log will contain a statement by
which the member will certify that all purchases are to be resold in the normal
course of its retail business or are for exempt use in a qualified, tax exempt
organization. The form will also record a register transaction number which
will allow the matching of the member's certification and signature with the
actual transaction on the cash register detail tape. During 1996, the system
may be enhanced allowing the resale or tax exempt member to actually sign a
duplicate cash register tape containing a statement by which the member will
certify that all purchases are to be resold or are for exempt use within the
organization.
3.
At the end of the day the sales
log (or duplicate cash register tape), which will be maintained at each
register in a legible manner, will be matched with the register detail tape and
stored locally at each club. These records will be available for review by the
Utah Department of Revenue; however, it is requested that such a review be
coordinated through XXXXX, Director of State and Local Taxes, XXXXX.
Administration:
1.
On a quarterly basis, each XXXXX
unit will provide the state with their list of “x-members” and their respective
tax-exempt numbers to be compared by the state with its master file of valid existing
numbers. The state in turn will supply to XXXXX a listing of invalid numbers
and those members no longer in business.
2.
Upon receipt of the listing of
invalid numbers and members no longer in business, XXXXX will correct the
classification of the member from “x-member” to a taxable member (W. or A.
member).
XXXXX
wishes to be in compliance with the Utah sales tax laws, which is evidenced by
its willingness to incorporate such an extensive set of “check and balances.”
At the same time, XXXXX would like assurance that if it adheres to these
procedures, that it would be deemed to have exercised ordinary care, thereby
being entitled to rely upon resale certificates presented by customers
attempting to qualify their purchases for the “sale for resale” exemption. If
this letter correctly sets forth your acceptance of these procedures, please so
acknowledge by signing this letter below and returning same to me.
Sincerely,
XXXXX
XXXXX
RE: Advisory Opinion - XXXXX Sales Tax
Records
Dear
XXXXX,
We
received your second request for an agreement between the Utah State Tax
Commission and XXXXX pertaining to sales tax record keeping requirements. We initially responded to this request in
January. We apologize if you did not
receive our letter.
The
Commission does not normally enter contractual arrangements of the nature
suggested in your request. However, we
offer the following guidance:
We
are satisfied, from the description provided in your letter, that XXXXX is
diligent in its efforts to identify members who are eligible to make tax-exempt
purchases. However, we caution you
regarding your use of the Multi-Jurisdiction Sales Tax Exemption Certificate as
follows:
Few
Utah sales tax exemptions are blanket exemptions. A manufacturer, for instance, must fit within a specified group
of industries, and the manufacturer’s purchases must fit within the legal
parameters of qualified manufacturing equipment. Likewise, private educational institutions are tax-exempt only if
they qualify as religious or charitable organizations. We have designed our exemption certificates,
TC-721 and TC-721G (copies enclosed), to identify the general conditions
imposed on a purchaser who claims a sales tax exemption. By signing our form, the purchaser verifies
that he or she qualifies for the exemption under the limitations imposed by
law. We do not require you to use our
particular form, but we require some form which contains the same information
and the purchaser's signature.
XXXXX
keeps each member’s exemption certificate on file with its tax records. Rather than completing an exemption
certificate for each sale, the customer signs the Non-Taxable Sales Log. The log provides a link between each
transaction and the customer’s exemption certificate. This process is satisfactory to us, but we again caution you that
the categories listed at the bottom of the form do not completely describe the
eligibility for the exemption. For this
reason, we prefer that the log be linked to our TC-721 or TC-721G because our
forms demonstrate the members’ understanding of the limitations of the
exemption claimed.
With
regard to your request that we verify each XXXXX unit’s exempt membership list
on a quarterly basis, let us make an alternative suggestion. We ask that you deliver the list to us on
disk. We will write a program to
quickly compare your file to our exempt file and we will notify you of any
discrepancies. We should mention that we
do not issue tax identification numbers to government entities, so the schools
or other government entities shown on your file will not match on our
file. They are nevertheless eligible to
continue to make tax-exempt purchases.
In
our experience, we withdraw very few businesses or individuals from our tax
exempt file over the course of each year.
Therefore, a semi-annual comparison should be sufficient. Please direct your first submission to our
Tax Policy Analyst, XXXXX. She will
direct the information to the appropriate unit within the Tax Commission to
write the program to compare the lists.
Thereafter, we will notify you of a contact person who will actually run
the comparisons for you.
Thank
you for your willingness to work with us on this issue. We look forward to hearing from you in the
future.
For the Commission,
Alice Shearer
Commissioner