97-023

Response August 4, 1997

 

 

 

REQUEST LETTER

 

March 10, 1997

 

Dear Val:

 

Enclosed please find the following:

 

Letter dated August 22, 1994, from COMPANY B

Letter dated January 9, 1995, from the State of Utah

Copy of Unit Certificate of Exemption & Uniform Sales and Use Tax

Certificate Multi jurisdiction

 

Since August 22, 1994, we have refund the exemption certificate and are using the certificates in the third item listed above. If you would reconsider the state’s response and allow us to use the Unit Certificate for all exempt sales in Utah it would enhance our customer service to both our retail customers and the state’s auditors.

 

If I can be of any assistance please contact me at #####.

 

Sincerely:

 

NAME

 

 

January 9, 1995

 

 

NAME

ADDRESS

CITY STATE ZIP

 

Dear NAME:

 

In response to your letter of August 22, 1994 (copy attached), I am providing you with the following information.

 

Utah Code Annotated Section 59-12-lC6 (copy attached), requires exemption certificates to evidence exemption from the sales or use tax and indicates that the exemption certificates "shall contain information as prescribed by the commission." The commission has prescribed that information on its Form TC-721 (copy attached).

 

Administrative Rule R865-19S-23 (copy attached), further describes documentation required to verify the exempt nature of various types of transactions and allows for use of "a valid exemption certificate or other similar acceptable evidence." [Emphasis added.]

 

Because of the significant number of different exemptions (some of which are customer specific, and some of which are linked to the type of item or its use), the approved form has become somewhat lengthy. However, past experience has shown that most attempts to reduce the language and format for any particular exemptions have resulted in confusion and its accompanying costs to the seller, the customer, and the commission.

 

1. Consequently, a single, multi-purpose exemption statement on the sales check would generally not be approved.

 

2. Exemption-specific exemption forms are generally the only types of forms considered to constitute "other similar acceptable evidence" of exemption.

 

3. The language on the TC-721 describing and clarifying each exemption for which the form is designed is critical to avoiding misunderstandings on the part of purchasers and sellers alike. For this reason, forms not incorporating the same or similar language are generally not approved.

 

4. While the multijurisdictional exemption certificate adopted by the Multistate Tax Commission is acceptable for audit purposes when properly completed and taken in good faith by the seller, the form is not without problems; and its use is certainly not the preferred method of evidencing exemptions.

 

5. The short-comings of the information you have listed and incorporated in your proposed format have to do with the explanatory language of specific exemptions. If the language of the TC-721 (or very similar language) can be incorporated into the format of the sales check, the approval you seek would be granted. Since most of the exemptions your retail stores are probably concerned with are the resale exemption and the limited exemption for religious and charitable institutions, perhaps the TC-721 language for these two types of transactions could be incorporated into the sales check, substantially reducing paper exemption verification.

 

6. Assuming that receipts and statements produced and stored electronically otherwise meet the criteria as outlined in Rule R865-19S-22 (copy attached) for recordkeeping, such documentation will be accepted in lieu of "hard copy" documents if our concerns over language of the specific exemptions can be resolved.

 

If I may be of further assistance to you, please feel free to contact me.

 

Respectfully,

 

W. Val Oveson

Chairman

 

Enclosures

 

August 22, 1994

 

Mr. W. Val Oveson

Chairman - Office of the Commission

Utah State Tax Commission

210 North l950 West

Salt Lake City, Utah 84134

 

Dear Mr. Oveson:

 

COMPANY A is developing computer applications that will simplify its "point of sale" information storage and retrieval procedures Specifically, COMPANY A would like to electronically produce statements of exemption on sales receipts and store the transaction to be retrieved at a later date to document sales that are exempt from tax Utilizing these procedures, exemption statements will appear on a computer screen at the "Point of sale" Customers will sign computer generated statements using a computerized signature pad This process will produce a customer signature on the computer generated receipt Exemption statements; including customer signatures, obtained in this manner will be stored in a COMPANY A mainframe computer

 

To facilitate implementation of the above-described procedures, COMPANY A would like to develop a single exemption statement for use in lieu of separate exemption specific exemption forms to document exempt sales and use tax transactions as required by your state's law The principal use of this statement would be to document exempt purchases for resale and exempt purchases by charitable and religious organizations, etc However, this statement would be used whenever an exemption provision under your state's laws required COMPANY A to obtain an exemption certificate showing that the purchaser is exempt from tax

 

To determine the feasibility of using a single, all purpose exemption statement in place of recommended or prescribed exemption certificates in your state, we would appreciate responses to each of the following inquiries.

 

1. Would a single, multi-purpose exemption statement on the salescheck be legally sufficient in your state to document exempt transactions requiring documentation in accordance with state law. YES

 

2. Assuming it met all statutory prerequisites could a single, multi-purpose exemption statement on the salescheck be used in lieu of all state prescribed exemption specific exemption forms? YES

 

3. If a single, multi-purpose exemption statement could not be used in lieu of all exemption specific exemption forms, could such a document nevertheless be used in place of some these forms? Which prescribed exemption statement forms could a single, multi-purpose exemption statement be used in lieu of? YES

 

4. Is the uniform sales and use tax exemption certificate adopted by the Multistate Tax Commission accepted in your state? YES

 

5. Would an exemption statement modeled after the Multistate Tax Commission exemption certificate containing the following information meet statutory requirements in your state governing the content of exemption certificates?

 

- Signature of the purchaser or an agent or employee of the purchaser; OK

 

- The name and address of the purchaser, OK

 

- The number of the seller's permit held by the purchaser;?

 

- A certification that tax will be paid by the purchaser if tax is found to be due and owing on the purchase; OK

 

- A statement indicating the nature of the exemption relied upon; and OK

 

- The date of execution of the document. OK

 

(An example of a single, multi-purpose exemption statement proposed for use in your state is attached - assuming the information indicated above is sufficient to meet statutory requirements would this form be acceptable ?) If a single multi-purpose exemption statement containing the foregoing information would not meet statutory requirements what additional information would this form need to include to be in compliance with state law? (Please indicate which exemptions would require exemption documentation containing information in addition to the foregoing, and what additional information such exemption certificates would require)

 

6. As noted previously, COMPANY A will electronically record and store receipts and exemption statements on them In lieu of "hard copy" exemption certificates, customer signatures will be electronically captured on computer and will be stored in electronic form in a mainframe computer Consequently, only computer generated copies of receipts with exemption statements, including electronically produced signatures of purchasers. will be available for inspection and review on audit. Assuming receipts and statements produced and stored in this manner met all statutory perquisites as to content and format, would the state accept such documentation in lieu of "hard copy" certificates as legally sufficient documentation of exempt transactions as required by statute?

 

Please include blank copies of all state prescribed or recommended exemption certificate formats (including resale certificates), and related instructions with your responses to the foregoing inquiries This information should be forwarded to the undersigned at the following address:

 

 

COMPANY A

ADDRESS

CITY STATE ZIP

 

 

Given the potential exposure that would arise should COMPANY A improperly document exempt transactions COMPANY A respectfully requests that your agency issue a ruling or other formal response to the foregoing inquiries if, in the absence of such formal action, its response to this correspondence would not constitute a legally binding interpretation of law or for any other reason (other than a change in applicable law) would not be applicable in future audits of COMPANY A exempt transactions by your state Please let me know if any additional facts or other information, or any additional submissions would be necessary to obtain a binding determination with respect to this matter.

 

If you have any questions or comments regarding the foregoing, or need any additional information please contact the undersigned at #####. Thank you for your assistance regarding this matter.

 

Sincerely,

 

NAME

 

Other information in file

 

 

RESPONSE LETTER

 

 

August 4, 1997

 

NAME

ADDRESS

CITY STATE ZIP

 

Advisory Opinion - Electronic multistate exemption certificate.

 

Dear NAME,

 

We have received your request for reconsideration of our advisory opinion issued in 1995 concerning the multijurisdictional exemption certificate developed by your company. As we understand your current proposal, the certificate would be used only for the following transactions:

1. Sales to foreign diplomats

2. Sales to government entities

3. Sales to Native Americans and delivered directly to Indian lands.

4. Sales of farm equipment

5. Sales of more than $1,000 to religious or charitable organizations.

6. Sales to public or religious educational entities.

7. Sales for resale.

 

Your system requires the COMPANY A sales associate to proceed through a number of steps to process an exempt sale. First, the associate pulls up an input screen and types in purchaser information. Second, the associate pulls up a second input screen and selects the appropriate exemption. This screen is specific to our state and includes only the exemptions listed above. Finally, the third input screen requires the associate to enter the purchaser’s Utah sales tax number and other information, such as purchase order number.

 

Once the required information is entered into the computer, a printed form is placed before the purchaser for signature. You have presented two model forms for consideration. One

is a certificate which has been endorsed by the Multistate Tax Commission. Our agency has already approved that form for use. The other form is a is a “generic” certificate developed by your company which shows the basis for the exemption and the following statement:

 

Under penalty of perjury and the rules and regulations of the below listed taxing jurisdiction I declare that the property described herein, represented by the attached sales document, and purchases from COMPANY A, is for a qualified use for which a tax exemption has been granted under the laws of below listed taxing jurisdiction and I assume liability for all taxes and penalties if I use or consume the property in such a way as to render the sale subject to tax.

 

We are happy to approve any form that meets your needs so long as it also meets our recordkeeping requirements. We assume from your description that the generic exemption certificate is sufficiently tied to the sales transaction to establish an audit trail. If so, that answers our major concern.

 

Another concern that we have with multijurisdictional forms in general is that they overlook the opportunity to alert the vendor and the purchaser to the conditions imposed on a purchaser who claims a sales tax exemption. Our exemption certificate is designed to provide the vendor and the purchaser with a general summary of the legal parameters of each of Utah’s sales tax exemptions. By signing our form, the purchaser verifies that he or she understands the exemption and verifies that the transaction qualifies for the exemption under the limitations imposed by law. Multijurisdictional forms do not contain that kind of detail, and we are concerned that purchasers may subject themselves to penalty situations by claiming exemptions in error. However, we concede that it is equally important to be flexible with retailers who are moving toward a paperless accounting environment. For that reason, we encourage you to consider this issue as you develop your electronic exemption certificate system, but we do not require that you adapt your system to our “hardcopy” exemption certificate system. Therefore, we approve your generic form as outlined.

 

We appreciate your willingness to work with our staff in the development of an improved electronic exemption certificate that we believe will meet the needs of retailers and taxing authorities alike.

 

Please contact us if you have further questions or comments.

 

For the Commission,

 

Joe B. Pacheco

Commissioner