Future changes to the federal estate tax law will not affect the Massachusetts estate tax law, as the reference for Massachusetts estate tax pur- c. 63, s. 38(l), Letter Ruling 11-7: Sales Tax on Photovoltaic Solar Energy System, Letter Ruling 11-6: Security Corporation, Purchase of Tax Credits, Letter Ruling 11-5: Sales/Use Tax on Pharmaceutical Compounds used in Clinical Trials, Letter Ruling 11-4: MA Sales/Use Tax: Online Services for Prospective Employees, Letter Ruling 11-3: Authentication Services/Digital Certificates, Letter Ruling 11-2: MA Sales/Use Tax; Sales of On-line Services, Letter Ruling 11-1: Sales Tax; Installed Utility Poles, Letter Ruling 10-6: Application of 830 CMR 63.32B.2(8)(f), Limitation on Use of Pre-combination NOL, Letter Ruling 10-5: Applicability of Brownfields Tax Credit to Solid Waste Facility, Letter Ruling 10-4: Sales Tax Exemption for Anaerobic Digestion Systems, Letter Ruling 10-3: Sales Tax on Machinery Used to Construct a Wind Turbine, Letter Ruling 10-2: Application of the Container Exemption, Letter Ruling 10-1: Litigation Support Services, Letter Ruling 99-17: MA Tax Treatment of a Corporate Trust, Its Qualified Subchapter S Subsidiary, and a Non-Massachusetts Single-Member Limited Liability Company Whose Only Member is the Corp Trust, Letter Ruling 99-16: Metered Electricity Used in Manufacturing, Letter Ruling 99-15: Radioactive Seed Implant Procedure, Letter Ruling 99-14: Manufacturing Exemption; Wood Waste Reclamation Facility, Letter Ruling 99-13: Partnership: Classification and Flow-Through of Attributes, Letter Ruling 99-12: Tax Treatment of Digitized Architectural Models, Letter Ruling 99-11: Transcripts sold by Court Reporters, Letter Ruling 99-10: Sales Tax Record Keeping for Special Athletic Event, Letter Ruling 99-9: Sale Lease-Back Agreement, Letter Ruling 99-8: Sales Tax on Banana Ripening Agent and Generator Loans, Letter Ruling 99-7: Application of Economic Opportunity Area Credit under St. 1998, c. 286, Letter Ruling 99-6: Convention Center Financing Surcharges; Sales Price, Letter Ruling 99-5: Nexus Based on the Presence of Leaseholds in Massachusetts, Letter Ruling 99-3: Casual and Isolated Sale of Corporate Assets, Letter Ruling 99-2: Database Access Charges, Letter Ruling 98-20: Use Tax on Antique Purchased Out-of-State, Letter Ruling 98-19: Eligibility of an Electing Small Busness Trust for Inclusion in an S Corporation Composite Return, Letter Ruling 98-18: Sales Taxability of Surgically Implanted Orthopedic Devices, Letter Ruling 98-17: Photofinishing Equipment - Manufacturing Exemption, Letter Ruling 98-16: Application of G.L. An official website of the Commonwealth of Massachusetts, for the Massachusetts Department of Revenue > Organization Sections > Content. The outstanding balance for a specified tax year. c. 64H, s. 6(l), to Sales of Shopping Cart Walkers, Letter Ruling 92-4: Massachusetts Income Tax Treatment of Interest on Cash Balances in Investment Accounts, Letter Ruling 92-3: Sales of Miscellaneous Tangible Personal Property by the Commonwealth, Letter Ruling 92-2: Income Tax Treatment of Interest Paid by a Massachusetts Branch of a Federally-Chartered Out-of-State Savings Bank, Letter Ruling 92-1: Distributions of Interest Derived From Federal Obligations by Regulated Investment Company Organized as a Corporation, Letter Ruling 91-10: Security Corporation Holding Shares of Mutual Funds Managed By Its Affiliates, Letter Ruling 91-9: Nexus; Apportionment; Shipment or Delivery of Tangible Property, Letter Ruling 91-8: Security Corporation Classification; Acquisition of Bonds of Affiliated Corporation, Letter Ruling 91-7: Exemption for Electricity Used in Public Works Project, Letter Ruling 91-6: Nexus; Foreign Corporation Maintaining Accounts with Financial Institutions in Massachusetts, Letter Ruling 91-5: Sales of Resource Directories Under G.L. A .mass.gov website belongs to an official government organization in Massachusetts. Share sensitive information only on official, secure websites. c. 64H, s. 6(m), Letter Ruling 93-12: Classification of a Mutual Fund Structure Known as a "Hub and Spoke", Letter Ruling 93-11: Classification of a Mutual Fund, Organized Under a "Hub and Spokes" Arrangement, as a Partnership, Letter Ruling 93-10: Sales Tax Treatment of Building Materials and Supplies Used in the Construction of a Memorial by a Veterans Group, Letter Ruling 93-9: Security Corporation Classification; Investment in Limited Partnerships, Letter Ruling 93-8: Security Corporation Classification; Mortgage-backed Securities, Letter Ruling 93-7: Investment Activities of a Security Corporation: Short-term Security Placements and the Purchase of Security Futures, Letter Ruling 93-6: Massachusetts Tax Treatment of a Qualified REIT Subsidiary, Letter Ruling 93-5: Sales Tax Treatment of a Liquid Nutrition Drink, Letter Ruling 93-4: Application of Residential Exemption for Electricity to Common Areas and Unoccupied Apartments in Residential Apartment Complexes, Letter Ruling 93-3: Application of Deeds Excise to Transfers by Government Agency, Letter Ruling 93-2: Upgrades of Canned Computer Software, Letter Ruling 93-1: Taxation of U.S. The feedback will only be used for improving the website. Massachusetts Tax Credit Transparency Reports. How to register your business with the MassTaxConnect You can register the business online by visiting MassTaxConnect. Publication date 19uu Topics Taxation Publisher Boston, Mass. The IRS will give you a copy of the said letter if you don't have one. c. 64H, Letter Ruling 95-1: Sale of Electricity for Warehouse Refrigeration, Letter Ruling 94-9: Sales Tax Exemption for a Product that Enhances Pesticides and Fertilizers, Letter Ruling 94-8: Credit for District of Columbia Unincorporated Franchise Tax, Letter Ruling 94-7: Tax on Sale of an Urban Redevelopment Project, Letter Ruling 94-6: Sales Tax on Sales of Custom Closets, Letter Ruling 94-5: Sales Tax on Various Sales of Floor Coverings, Letter Ruling 94-4: Veterans' Organization Sale of Alcoholic Beverages, Letter Ruling 94-3: Conversion from Mutual to Stock Savings Bank, Letter Ruling 94-2: Security Corporation Sale of a Control Subsidiary, Letter Ruling 94-1: Sales Tax on Electricity Charges Designated as Additional Rent to Commercial Shopping Mall Tenants, Letter Ruling 93-17: Application of Room Occupancy Excise to Rooms Provided by an Educational Institution, Letter Ruling 93-16: Payment of Sales and Use Taxes by Contractor and Subcontractors on Purchases of Tangible Personal Property used as Part of a Government Project, Letter Ruling 93-15: Security Corporation Classification; Products Liability Policy, Letter Ruling 93-14: Classification of a Mutual Fund, Organized Under a "Hub and Spokes" Arrangement, as a Partnership, Letter Ruling 93-13: Sales Tax Treatment of Sports Program Publications Under G.L. c. 41, s. 111F, Letter Ruling 80-31: Lease and Conditional Sale, Distinguished, Letter Ruling 80-30: Employee and Independent Contractor, Distinguished; Withholding, Letter Ruling 80-29: Engaged in Business in the Commonwealth: Leasing Out Property for Use in Massachusetts; Drop Shipments, Letter Ruling 80-28: Municipal Deferred Compensation Plan, Letter Ruling 80-27: Conversion of Corporate to Nominee Trust, Letter Ruling 80-26: Liquidation of Corporate Trust, Letter Ruling 80-25: Engaged in Business in the Commonwealth: Leasing Out Property for Use in Massachusetts, Letter Ruling 80-24: Phototypesetting Machine, Letter Ruling 80-23: Meals Served by Hospital Cafeteria, Letter Ruling 80-22: Motor Vehicles Use in Interstate Commerce, Letter Ruling 80-21: Grantor Trust: Tax Liability and Filing Requirements, Letter Ruling 80-20: Fuel Tax; Microfilm Recordkeeping, Letter Ruling 80-19: Discounts for Early Payment, Letter Ruling 80-18: Television Adapters for Captioned Programs, Letter Ruling 80-17: Optional Maintenance and Consulting Contracts Name, Letter Ruling 80-16: Computer Hardware and Software: Sales, Leases and Related Services, Letter Ruling 80-15: Required Signatures on Returns, Letter Ruling 80-14: Out-of-State Deliveries, Letter Ruling 80-13: Reporting Requirements of Bank Making Periodic IRA Distributions, Letter Ruling 80-12: Wood-Fueled Heating Systems, Letter Ruling 80-11: Credit for Income Taxes Paid, Letter Ruling 80-9: Gross Income, Waiver of Salary Increase, Letter Ruling 80-8: Installment Sale; Basis Adjustment, Letter Ruling 80-6: U.S. Citizen Residing Abroad, Letter Ruling 80-5: Transfer of Assets by Debtor in Possession; Tax Lien, Letter Ruling 80-4: Reporting Requirements of Corporation in Bankruptcy, Letter Ruling 80-3: Common Carriers Providing Intracity Local Service, Letter Ruling 80-2: Reorganization of Corporate Trust as Corporation, Letter Ruling 80-1: Nexus: Foreign Corporation Acting as Broker of Massachusetts Real Estate, Letter Ruling 79-52: Leases and Assignment of Leases, Letter Ruling 79-51: Sales to Federal Government or Commonwealth, Letter Ruling 79-50: Shipping Containers Leased to Interstate or Foreign Carriers, Letter Ruling 79-49: Cookies and Beverages Sold on a Take-Out Basis, Letter Ruling 79-48: Tax-Sheltered Annuities under IRC s. 403(b), Letter Ruling 79-47: Gratuity Charges for Meals, Letter Ruling 79-46: Massachusetts Contractor with Out-of-State Customers, Letter Ruling 79-45: Installment Sale by Non-Resident; Treatment of Proceeds; Reporting Procedures, Letter Ruling 79-44: Advance Payments of the Earned Income Credit, Letter Ruling 79-41: Industrial Plant and Retail Doughnut Outlet, Distinguished, Letter Ruling 79-40: Reorganization of Corporate Trust as Corporation, Letter Ruling 79-39: Materials Purchased and Consumed by Contractor, Letter Ruling 79-38: Sales for Resale and Casual and Isolated Sales, Distinguished, Letter Ruling 79-37: Cookies Sold by Bakery Stores, Letter Ruling 79-36: Building Materials and Supplies Used in Public Works Projects, Letter Ruling 79-35: Withholding from Bereavement, Letter Ruling 79-34: Lump-Sum Payments to Veterans From a State Pension Plan, Letter Ruling 79-32: Unit Investment Trust, Letter Ruling 79-31: Unit Investment Trust, Letter Ruling 79-30: Rentals of Reusable Containers, Letter Ruling 79-29: Engaged in Business in the Commonwealth, Defined; Installation Charges, Letter Ruling 79-28: Unit Investment Trust, Letter Ruling 79-27: Homemade Beer and Wine, Letter Ruling 79-26: Room Rental Charges Includable in Sales Price of Meals, Letter Ruling 79-25: Limited Partnership and Corporate Trust, Distinguished, Letter Ruling 79-23: Limited Partnership; Non-Resident Individual Parter; Apportionment, Letter Ruling 79-22: Sales to Federal Government or Commonwealth; Medicare Fiscal Intermediaries, Letter Ruling 79-21: Sales to Federal Government or Commonwealth; Engaged in Business in the Commonwealth, Defined, Letter Ruling 79-19: Motor Vehicle Buyer Protection Plan, Letter Ruling 79-18: Wage and Benefit Plan; Deduction for FICA Taxes, Letter Ruling 79-17: Non-Contributory State Pension Paid to a Non-Resident, Letter Ruling 79-15: Medicine and Medical Devices: Blood Diagnostic Products, Letter Ruling 79-14: Limited Partnership and Corporate Trust, Distinguished, Letter Ruling 79-13: Limited Partnership Dealing in Securities; Partners, Individual and Corporate, Resident and Non-Resident, Letter Ruling 79-12: Rubbish Containers and Compaction Units, Letter Ruling 79-11: Employer Contributions to a Simplified Employee Pension Plan, Letter Ruling 79-10: Unit Investment Trust, Letter Ruling 79-9: Unit Investment Trust, Letter Ruling 79-8: Reorganization of Regulated Investment Company as Corporate Trust, Letter Ruling 79-7: Unit Investment Trust, Letter Ruling 79-6: Machinery Used to Furnish Electricity, Letter Ruling 79-5: Vessels of Fifty Ton Burden or Over, Letter Ruling 79-4: Unit Investment Trust, Letter Ruling 79-2: Service Charges on Meals, Letter Ruling 79-1: Liquidation of Trust: Redemption of Units, Offset of Capital Gains and Losses, Letter Ruling 78-16: Corporate Trust; Election to be a Regulated Investment Company, Letter Ruling 78-15: Liquidation of Corporate Trust into Corporate Parent, Letter Ruling 78-14: Regulated Investment Company, Letter Ruling 78-12: State Deferred Compensation Plans, Letter Ruling 78-11: Wages Paid During Calendar Year to Cash Basis Taxpayer, Letter Ruling 78-10: Unit Investment Trust, Letter Ruling 78-9: Unit Investment Trust, Letter Ruling 78-8: Unit Investment Trust, Letter Ruling 78-7: Religious Organizations; Filing Requirements, Letter Ruling 78-6: State, County and Municipal Deferred Compensation Plans, Letter Ruling 78-5: Regulated Investment Company, Letter Ruling 78-4: Security Corporations: Capital Loss Deduction; DISCS, Allocation of Sales, Letter Ruling 78-3: Unit Investment Trust, Letter Ruling 78-2: Bank Repurchase Agreements, Letter Ruling 78-1: Unit Investment Trust, Letter Ruling 77-19: Limited Partnership and Corporate Trust, Distinguished; Non-Resident Corporate Partners, Letter Ruling 77-18: Limited Partnership and Corporate Trust, Distinguished; Non-Resident Corporate Partners, Letter Ruling 77-16: Unit Investment Trust, Letter Ruling 77-15: Net Operating Loss Carryover in a Statutory Merger, Letter Ruling 77-14: Transfer of Installment Obligation to a Corporate Trust in a Reorganization, Letter Ruling 77-13: Automobile Purchased in Massachusetts by a Non-Resident, Letter Ruling 77-12: Withholding from Pay of National Guardsmen, Letter Ruling 77-11: Lump-sum Distribution from a Qualified Pension or Profit Sharing Plan, Letter Ruling 77-10: Credit against Income Tax: Insurance Payments Made Pursuant to Rhode Island Law, Letter Ruling 77-9: Taxation of IRAs; Clarification of T.I.R.
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