Current through Register Vol. 49, No. 18, September 16, 2024
PURPOSE: This rule explains the application of sales
and use tax law to the publication and sale of newspapers and other
publications. Additionally, section
144.030, RSMo, exempts from
taxation newsprint, ink, computers, photosensitive paper and film, toner,
printing plates, and other machinery, equipment, replacement parts, and
supplies used in producing newspapers published for dissemination of news to
the general public. This rule explains what elements must be met in order to
qualify for this exemption. The sale of publications that are not in tangible
form is not subject to tax and is not addressed in this rule.
(1) In general, newspapers, magazines,
newsletters, periodicals, trade journals, books and other publications are
tangible personal property and their sale is subject to tax to the same extent
as any other personal property. Sellers of printed materials are subject to all
rules applicable to other sellers of tangible personal property, except as
otherwise specifically provided in this rule. Machinery, equipment, replacement
parts, and supplies used to produce newspapers for dissemination of news to the
general public are exempt from tax. Publishers of other printed materials are
not included within the same exemption as newspapers that disseminate news to
the general public but may qualify for exemptions applicable to manufacturers
to the same extent as any other manufacturer.
(2) Definition of Terms.
(A) Equipment-devices that have a degree of
permanence to the business, contribute to multiple processing cycles over time
and generally constitute fixed assets, other than land and buildings, that are
capitalized and depreciated for purposes of business and accounting
practices.
(B)
Machinery-combinations of parts that work together as a functioning unit, even
if they are subordinate elements of more complex machinery. Machinery may be
simple or complex, but does not include the replacement of an individual part,
even if that part becomes an element of a functioning machine.
(C) Newspapers published for the
dissemination of news to the general public-publications that are published at
stated short intervals, usually daily or weekly, and contain news of current
events available for distribution to anyone; that do not, when successive
issues are put together, constitute a book; and that are generally in sheet
form.
(D) Parts-articles of
tangible personal property that are components of machinery or equipment, which
can be separated from the machinery or equipment and replaced. Like machinery
and equipment, parts must have a degree of permanence and durability. Items
that are consumed in a single processing and benefit only one (1) production
cycle are materials and supplies, not parts. Items such as: nuts, bolts, hoses,
hose clamps, chains, belts, gears, drill bits, grinding heads, blades, and
bearings, would ordinarily be considered parts. Substances such as fuels and
coolants that are added to machinery and equipment for operation are not parts.
Substances such as lubricants, paint and adhesives that adhere to the surface
of machinery and equipment but are not distinct articles of tangible personal
property, are not parts; these items would be considered materials or supplies
within the meaning of the exemptions.
(E) Producing-for purposes of this rule only,
the process of creating a newspaper.
(F) Publisher-a person who prepares and
issues a publication for public distribution.
(G) Publication-any written material, such as
newspapers, magazines, newsletters, periodicals, trade journals, and books,
offered for sale or distribution.
(H) Supplies-for purposes of this rule only,
tangible personal property consumed in the production of a newspaper. The term
supplies does not include fuel.
(3) Basic Application of Exemption.
(A) If the retail purchaser buys a
publication directly from the publisher or the publisher bears the risk of loss
for noncollection, the publisher is the seller and must collect and remit the
tax. If the retail purchaser buys the publication from someone other than the
publisher and that person bears the risk of loss for noncollection, then that
person is the seller and must collect and remit the tax.
(B) If the purchaser receives the publication
in Missouri, the seller must collect and remit sales tax, unless the order for
the publication is approved outside Missouri and delivered to the purchaser
from outside Missouri by common or contract carrier, in which case the seller
must collect and remit use tax.
(C)
The sale of a publication subject to state sales tax is subject to the local
sales tax at the rate in effect at the seller's place of business in Missouri.
A sale of a publication subject to state use tax is subject to the local use
tax in effect where the publication is first delivered in Missouri.
(D) The sale by the publisher of a
publication through a vending machine is subject to tax based on one hundred
thirty-five percent (135%) of the average price at which the publisher sells
the publication to vendors or on actual gross receipts. The sale of a
publication through a vending machine is subject to local sales tax at the rate
in effect where the vending machine is located.
(E) If delivery or if the charge for delivery
or similar service is not separately stated, the entire sale price is subject
to tax.
(F) A publisher may set the
individual copy price to a round amount including tax, provided that the
publication states somewhere that the amount of the price includes tax. Any
other seller must collect and remit tax on the sale price of the
publication.
(G) A publisher may
purchase an insert to its publication exempt from tax as an ingredient or
component part. See 12 CSR 10110.200.
(4) Examples.
(A) An individual in Missouri subscribes to
the local newspaper by contracting with the publisher. The publisher contracts
with a third party to deliver the newspaper and collect the entire cost of the
newspaper, including delivery charges, which are not separately stated. The
publisher bears the risk that the individual will not pay for the subscription.
The publisher is the seller and must collect and remit sales tax, including
local sales tax at the rate in effect at the publisher's place of business. Tax
is imposed on the entire sale price, including delivery charges, because the
delivery charges are not separately stated. The publisher may set the price at
a round amount, including tax, as long as the publication states somewhere that
the price includes tax.
(B) An
individual in Missouri subscribes to an out-of-state newspaper by contracting
with a Missouri newspaper carrier, which is the only way to obtain this
newspaper in Missouri. The carrier bears the risk that the individual will not
pay for the subscription. The carrier is the seller and must collect and remit
sales tax, including local sales tax at the rate in effect at the carrier's
place of business. Tax is imposed on the entire price of only the newspaper,
excluding delivery charges, because delivery charges are not subject to
tax.
(C) An individual in Missouri
subscribes to an out-of-state newspaper by contracting with the out-of-state
publisher that has nexus with Missouri. The publisher delivers the newspaper by
mail, which is the only way to obtain the newspaper in Missouri. The publisher
does not have a place of business in Missouri. The publisher is the seller and
must collect and remit use tax, including local use tax at the rate in effect
where the newspaper is delivered. Tax is imposed on the sale price of only the
newspaper, excluding separately stated postage and handling charges.
(D) A retailer sells local and national
publications. The retailer is the seller of the publications and must collect
and remit sales tax, including local sales tax at the rate in effect at the
retailer's place of business. The retailer may claim a resale exemption when
purchasing the publications from the publishers.
(E) A publisher prints a daily newspaper and
occasionally prints extra copies for free distribution to nonsubscribers. The
publisher should not remit tax on the copies distributed for free and the
supplies used to produce the newspaper are exempt.
(F) Publisher A prints and sells a newspaper
to publisher B. Publisher B distributes the newspaper for free. Publisher A
should collect and remit tax on its sales to publisher B.
(G) Same facts as (4)(F), except publisher B
sells the newspaper. Publisher B must collect and remit tax on its sale of the
newspaper, but may issue a resale exemption certificate and purchase the
newspaper from publisher A exempt from tax.
(H) A publisher produces an advertising
circular that it distributes for free. The publisher should pay tax on the
machinery, equipment and supplies used to produce the circular.
(I) Same facts as (4)(H), except the
publisher sells the circular. The publisher must collect and remit tax on its
sales of the circular. The machinery and equipment used to produce, and the
ingredients or component parts incorporated in, the circular are exempt from
tax when purchased because the publisher is manufacturing a product sold at
retail.
*Original authority: 144.270, RSMo 1939, amended 1941,
1943, 1945, 1947, 1955, 1961 and 144.705, RSMo 1959.