WORK SESSION ON COMPENSATION WHAT’S IN AM9003 AND THE FEDERAL BILL?

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Presentation transcript:

WORK SESSION ON COMPENSATION WHAT’S IN AM9003 AND THE FEDERAL BILL?

Purpose of AM9003 Amendment Define standards for reasonable compensation Conform to the expected language of the federal bill, the Mainstreet Fairness Act

REQUIREMENT FOR COLLECTION AUTHORITY PROVIDE VENDOR COMPENSATION TO ALL SELLERS STATES THAT DON’T COMPENSATE CAN STILL BE MEMBERS MUST HAVE 10 STATES, 20% OF POPULATION TO KEEP COLLECTION AUTHORITY

Why all sellers? Why not just remote sellers?

How Collection Authority Granted after Congress Acts Six month waiting period for all Create Compensation Review Board –11 members from SLAC, BAC, Gov. Bd. –CRIC chair ex officio –Review each state’s compensation petition; recommend certification –Perform annual reviews of state plans Governing Board Certifies Annually

If Compensation is Challenged Any person may petition the Governing Board for a review of a state’s compliance Handled under Section 1002 of the Agreement Use rules and procedures in Section 1001 for Issue Resolution After a final determination, the petitioner has 60 days to appeal to Court of Claims

… the penalty for non-compliance with compensation mandates Loss of Collection Authority!

Part I Compensation All sellers receive compensation for the credit and debit card fees paid to unrelated entities on the sales tax portion of the sale. –Can be a credit on the monthly return –Can be a formula that approximates the amount due –Cannot be capped –JCCS said its about 0.64% of tax remitted

Should this language be broadened in the SSUTA to include other forms of electronic payment charges or fees? Paypal, e-checks, etc.

How would formulas work? State AState BState CTotal Total Sales$100,000 $300,000 Total Tax$7,9420$2,000$9,942 Total$107,942$100,000$102,000$309,942 Apportion34.83%32.26%33.91%100% Total card Fees/state $697$645$658$2,000 compensation $510$13$64

Part II Compensation Reasonable compensation for other related costs of collecting taxes. –Can vary by state, size of seller, complexity of state laws –Can be capped –Can be adjusted in relation to size of small business exemption

Some issues for States to discuss… Should compensation be uniform for all states? How difficult is it for CSP’s & Retailers if there are differences between states?

Some issues for States to discuss Should smaller sellers be paid more if their costs are higher? –How much extra? How defined? Should remote sellers be paid more than instate sellers? Should remote sellers receive 100% of their costs?

Some issues for States to discuss What is a reasonable cap? How do you avoid “winners and losers” if the state’s compensation is changed? What is a reasonable amount of the new money to spend on compensation?

Some issues for States to discuss How do you structure compensation to reflect the complexities of states? –Local jurisdictions (few or many?) –2 nd rate on groceries/drugs? –Origin sourcing? –Caps/threshholds? Do you provide additional compensation only to sellers that are affected?

Some issues for states to discuss…. States must accept a SER to get collection authority (not all do this now) Should we compensate a late-filed return? Should sellers using CSP’s also get compensation?

Some issues for states to discuss… Compensation for remote sellers begins immediately; but until collections grow to equal the amount due in compensation, in-state compensation may be delayed. (This is the “trigger”—will it work?) States will have to track collections.

Small Seller Exemption Total gross annual dollar volume of remote sales nationwide of the remote seller and its affiliates Calculate for Oct. 1 to Sept. 30; start collecting on Jan. 1

Small Seller Exemption Any seller utilizing a 3 rd party for hosting its sales and processing payments shall not be entitled to the small seller exemption if the dollar volume of sales for all sellers using the host exceeds the threshhold.

How Big or Small? ExemptionRevenueForegone AverageEconomyFox $25,000n/a20.1%n/a $100, %31.9%3.1% $250, %39.7%12.3% $500, %45.6%20.6% $1 million40.8%51.6%30.0% $5 million51.1%65.3%36.9%

What is Cost of Compliance for small retailers? One estimate placed the breakeven sales level (at 6.5% sales taxes) at about $53,077 for a state. This means it is not cost effective to collect their taxes if they remit less than this “breakeven” amount. Can you estimate for your state?

And the Small Seller Exemption is… $xxx, 000

Thinking ahead… What if we paid remote sellers who volunteer the same as CSP’s if they would collect for us? And, we gave them amnesty for the first year when they joined? What if we developed a single point of collection for the SER’s so small retailers file returns in one place?

Thinking ahead… What if states could pay voluntary remote sellers now at state option What if we develop technology to include our rates and boundaries data bases in online shoping carts and make it FREE to retailers? What if we adopt a single rate/state for volunteer remote sellers to use?

Future Directions? More, cheaper technologyMore, cheaper technology More focused compensationMore focused compensation Work on federal legislation while paying volunteer sellers to collectWork on federal legislation while paying volunteer sellers to collect