State-by-state implications of ‘pure-e-commerce’ sales and service transactions have been added to Thomson Reuters Checkpoint Catalyst, further expanding its detailed information and multi-jurisdictional analysis on a wide variety of tax topics. This corporate income tax overview of e-commerce sales is a companion to the sales and use tax overview released in Checkpoint Catalyst last year.
Most state corporate income taxes were enacted for a brick-and-mortar world, but companies are increasingly engaging in a new breed of e-commerce transactions that are entirely electronic. These include downloads of music, videos and software; sales of remote access to software and apps; streaming entertainment; cloud computing services; digital storage; online education; and online research.
Checkpoint Catalyst is a collection of multi-jurisdictional analysis of specific tax issues and business transactions from a practical, workflow perspective, covering implications at the federal, state and US international levels. Other topics recently added to the international category in the Checkpoint Catalyst library include:
- subpart F, controlled foreign corporations and U.S. shareholders: basic principles
- foreign base company income
- foreign personal holding company income.
Through its ongoing review of states’ laws, regulations, and rulings, Checkpoint Catalyst provides unparalleled insights from expert tax professionals. Checkpoint’s contributing authors develop practical, actionable interpretations of complex tax topics based on a wide range of professional tax experience. For more information about Checkpoint Catalyst, visit checkpointcatalyst.com.
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