Nexus: A Four-Point Refresher
16 years after Quill, use-tax collection technicalities still can get you
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State revenue departments regularly conduct audits of unregistered retailers. Auditors closely scrutinize sellers’ business operations and marketing relationships to discover some basis — however remote — for asserting a nexus claim. In connection with these nexus witch hunts, state tax administrators often rely upon novel theories of tax liability, including so-called “agency nexus” and “affiliate nexus.”
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George S. Isaacson
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