Legal Matters
Behind the New York Nexus Saga
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Moreover, the burden of proof is on the retailer to overcome the tax presumption by presenting evidence of no added solicitation activity.
George S. Isaacson is a senior partner with Brann & Isaacson. He represents multichannel merchants on tax matters and is tax counsel to the DMA. Reach him at gisaacson@brannlaw.com.
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George S. Isaacson
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