Le Lézard
Classified in: Business
Subjects: LAW, LEG

United States Supreme Court Overrules 'Quill'


DALLAS, June 21, 2018 /PRNewswire/ -- On June 21, 2018, the United States Supreme Court ("Court") issued its long-awaited decision in South Dakota v. Wayfair?a test case to invalidate the physical-presence standard established by National Bellas Hess v. Dep't of Revenue, 386 U.S. 753 (1967) and affirmed by Quill Corp. v. North Dakota, 504 U.S. 298 (1992). Under National Bellas Hess and Quill, sellers who do not have a physical presence in a state or other taxing jurisdiction could not be compelled to collect the jurisdiction's sales or use tax. In a 5-4 decision, the Court expressly overruled Quill and National Bellas Hess. Therefore, South Dakota's law imposing sales tax collection obligations on certain remote sellers with no physical presence in the state is constitutional and enforceable.

In Wayfair, the Court examined the history of Commerce Clause jurisprudence, as well as the stated justifications in both National Bellas Hess and Quill for exempting remote sellers from the obligation to collect state and local taxes. Writing for the majority, Justice Anthony Kennedy ruled that the physical presence requirement was an artificial and arbitrary rule. He said that the physical presence standard impermissibly encroached on state sovereignty and actually resulted in discrimination against intrastate commerce by incentivizing tax avoidance by remote sellers engaged in interstate commerce. He noted that the physical presence standard did not reflect the reality of the Internet age, in which the largest retailers in the United States are engaged in e-commerce rather than traditional, brick-and-mortar commerce. Finally, he observed that the Supreme Court should not keep "passing the buck" to Congress to resolve the disparate treatment between in-state and remote sellers; he held that the physical presence standard was constitutionally infirm and that it was the Court's responsibility to correct its own "mistake."

The Court remanded the case to the Supreme Court of South Dakota for further proceedings consistent with its decision. As a practical matter, we now know the following:

South Dakota requires remote sellers with sales of $100,000 of goods or services annually to South Dakota consumers, or 200 or more separate transactions of goods or services for delivery to South Dakota, to collect its tax. Further, the law is not retroactive; it expressly takes effect only if it is ultimately upheld in the courts. (The Court also noted that South Dakota is a Streamlined State, although this does not appear to be determinative of a state's authority to require remote sellers to collect tax.) It is possible that another state's law could still run afoul of Complete Auto Transit, depending on how aggressively the state pursued remote sellers. The Court essentially promised to evaluate such laws on a "case-by-case" basis in lieu of applying the blanket requirement of physical presence.

Visit ryan.com/wayfair for breaking news and analysis related to this decision.

South Dakota v. Wayfair, Inc., 585 U.S. __ (2018).

About Ryan
Ryan, an award-winning global tax services and software provider, is the largest Firm in the world dedicated exclusively to business taxes. With global headquarters in Dallas, Texas, the Firm provides an integrated suite of federal, state, local, and international tax services on a multi-jurisdictional basis, including tax recovery, consulting, advocacy, compliance, and technology services. Ryan is a six-time recipient of the International Service Excellence Award from the Customer Service Institute of America (CSIA) for its commitment to world-class client service. Empowered by the dynamic myRyan work environment, which is widely recognized as the most innovative in the tax services industry, Ryan's multi-disciplinary team of more than 2,200 professionals and associates serves over 14,000 clients in more than 50 countries, including many of the world's most prominent Global 5000 companies. More information about Ryan can be found at ryan.com. "Ryan" and "Firm" refer to the global organizational network and may refer to one or more of the member firms of Ryan International, each of which is a separate legal entity.

Ryan is an award-winning global tax services firm, with the largest indirect and property tax practices in North America and the sixth largest corporate tax practice in the United States. (PRNewsFoto/Ryan)

TECHNICAL INFORMATION CONTACTS:

Darcy Kooiker
Principal
Ryan
425.440.2335
[email protected]

Mark Nachbar
Principal
Ryan
213.627.1719
[email protected]

 

SOURCE Ryan


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