New Jersey Administrative Code
Title 18 - TREASURY - TAXATION
Chapter 7 - CORPORATION BUSINESS TAX ACT
Subchapter 8 - BUSINESS ALLOCATION FACTOR
Section 18:7-8.3 - Right of Director to independently compute allocation factor
Current through Register Vol. 56, No. 18, September 16, 2024
(a) If it appears that the business allocation factor computed on the basis of all or any of the property-receipts-payroll fractions does not properly reflect the activity, business, receipts, capital, entire net worth, or entire net income of the taxpayer in New Jersey, the Director may adjust or the taxpayer may request an adjustment of the business allocation factor.
(b) Reduction in tax for income duplicated on a return filed with another State pursuant to N.J.S.A. 54:10A-8 and this rule--100 percent allocation factor:
Example: Corporation A does not maintain a regular place of business outside New Jersey, other than a statutory office. Corporation A was not a domestic corporation in State X, nor did Corporation A meet any of the other criteria described at N.J.A.C. 18:7-1.6 in State X which would have created a taxable status in New Jersey. Although it was not itself doing business in State X, Corporation A was a member of an affiliated group of corporations which conducted a unitary business in State X and as such is permitted or required to join in filing a combined or consolidated return in State X. In fact, Corporation A did so.
Any duplication of income being reported to New Jersey and to State X may not form the basis for a reduction in the tax.
Example 1: Corporation A does not maintain a regular place of business outside New Jersey other than a statutory office. As a consequence, Corporation A's business allocation factor is 100 percent. Corporation A sold land for $ 250,000 which had a tax basis and book value of $ 100,000 and was situated in State Y. Under the laws of State Y, the entire gain is directly allocable to State Y and is taxed at an eight percent rate. Corporation A may determine the portion of its tax which is measured by net income as follows:
New Jersey Tax Income Base | Duplicated in State Y | |
Gross income exclusive of gain on sale of land | $ 500,000 | |
Net gain on sale of land | +150,000 | $ 150,000 |
Total income | 650,000 | |
Deductions | -447,778 | |
Taxable income before net operating deductions and special deductions | 202,222 | |
Adjustments-- NJ Corporation Business Tax Deducted--add back | +20,000 | |
Entire net income | $ 222,222 | |
Tax at 9% -- before reduction | $ 20,000 | |
Formula apportionment not used in State Y | 100% | |
Duplication of income | 150,000 | |
Reduction--may not exceed 9% | .08 | |
Tax paid to State Y | $ 12,000 | |
Reduction | -12,000 | |
Paid with return | $ 8,000 |
Example 2: Corporation B does not maintain a regular place of business outside New Jersey other than a statutory office. Corporation B's business allocation factor is 100 percent. Corporation B did however start and complete a construction job in State Z and paid an income tax to State Z at a 10 1/2 percent rate. Corporation B may determine the portion of its corporation business tax measured by net income as follows:
For accounting periods beginning before July 1, 1996:
New Jersey Tax Income Base | Duplicated in State Z | ||
Taxable income before net operating loss deduction and special deductions | $227,500 | $227,500 | |
Add ACRS | $15,000 | ||
Less NJ depreciation | 12,000 | 3,000 | |
Add ACRS | 15,000 | ||
Less State Z Depreciation | 15,000 | -0- | |
+Add back of NJ CBT, other States, Political Subdivisions, etc. tax paid or accrued | 52,000 | 52,000 | |
Taxes imposed or measured by income from State Z return | 28,800 | 28,000 | |
Municipal bond interest add back--NJ | 7,000 | 7,000 | |
Municipal Bond Interest add back--State Z | -0- | -0- | |
Net Operating Loss--NJ | 4,500 | (4,500) | |
Net Operating Loss--State Z | 5,000 | (5,000) | |
Dividend Exclusion--NJ | 10,000 | (10,000) | (10,000) |
Dividend Exclusion--State Z | -0- | ||
Entire Net Income | $275,000 | ||
Portion of ENI duplicated | $241,300 | ||
Apportionment (computed below) | .250000 | ||
Apportioned duplicated ENI | $60,325 | ||
Tax at 9% on New Jersey Income Base | $24,750 | ||
Tax at State Z rate (10 1/2%) on | $6,334 | ||
Apportionated duplicated ENI | |||
Reduction--at 9% of Apportioned duplicated | $5,429 | ||
ENI ($ 60,325) | |||
New Jersey tax after credit | $19,321 |
+ For accounting periods beginning on or before July 7, 1993 only, New Jersey CBT was required to be added back in computing New Jersey ENI.
For accounting periods beginning on or after July 1, 1996:
New Jersey Tax Income Base | Duplicated in State Z | ||
Taxable income before net operating loss deduction and special deductions | $227,500 | $227,500 | |
Add ACRS | $15,000 | ||
Less NJ depreciation | 15,000 | 3,000 | |
Add ACRS | 15,000 | ||
Less State Z Depreciation | 15,000 | -0- | |
Add back of NJ CBT, other States, l Polotical Subdivisions, etc. tax paid or accrued | 52,000 | 52,000 | |
Taxes imposed or measured by income from State Z return | 28,800 | 28,000 | |
Municipal bond interest add back--NJ | 7,000 | 7,000 | |
Municipal Bond Interest add back--State Z | -0- | -0- | |
Net Operating Loss--NJ | 4,500 | (4,500) | |
Net Operating Loss--State Z | 5,000 | (5,000) | |
Dividend Exclusion--NJ | 10,000 | (10,000) | (10,000) |
Dividend Exclusion--State Z | -0- | ||
Entire Net Income | $275,000 | ||
Portion of ENI duplicated | $241,300 | ||
Apportionment (computed below) | .245000 | ||
Apportioned duplicated ENI | $59,118 | ||
Tax at 9% on New Jersey Income Base | $24,750 | ||
Tax at State Z rate (10 1/2%) on Apportioned duplicated ENI | $6,207 | ||
Reduction--at 9% of Apportioned duplicated ENI ($ 59,118) | $5,321 | ||
New Jersey tax after credit | $19,429 |
Corporation B computed the apportionment on its State Z return as follows:
State Z | Everywhere | Portion in State Z | |
Property Fraction | $140,000 | $500,000 | |
Owned (Valued under State Z law and regulation) | |||
Leased (at 8 times annual rentals) | $40,000 | $100,000 | |
Total Property Fraction | $180,000 | $600,000 | 0.300000 |
Receipts Fraction | $200,000 | $1,000,000 | 0.200000 |
Double Weighting of Receipts Fraction | 0.200000 | ||
Payroll Fraction | $90,000 | $300,000 | 0.300000 |
Total of Fractions | 1.000000 | ||
Allocation Factor using State Z Law and | 0.250000 |
Regulation (Total divided by four)
For accounting periods beginning before July 1, 1996, if the formula apportionment had been determined in State Z consistent with the NJ Corporation Business Tax Act, it would have been:
Property Fraction | |||
Owned (Valued under NJ CBT Act) | $100,000 | $400,000 | |
Leased (at 8 times rentals) | $40,000 | $100,000 | |
Total Property Fraction | $140,000 | $500,000 | 0.280000 |
Receipts Fraction | $200,000 | $1,000,000 | 0.200000 |
Payroll Fraction | $90,000 | $300,000 | 0.300000 |
Total of Fractions | 0.780000 | ||
Allocation Factor using NJ CBT Act (Total divided by three) | 0.260000 |
For accounting periods beginning on or after July 1, 1996, if the formula apportionment has been determined in State Z consistent with the N.J. Corporation Business Tax Act, it would have been:
Property Fraction | |||
Owned (Valued under NJ CBT Act) | $100,000 | $400,000 | |
Leased (at 8 times rentals) | $40,000 | $100,000 | |
Total Property Fraction | $140,000 | $500,000 | 0.280000 |
Receipts Fraction | $200,000 | $1,000,000 | 0.200000 |
Double Weighting of Receipts Fraction | 0.200000 | ||
Payroll Fraction | $90,000 | $300,000 | 0.300000 |
Total of Fractions | 0.980000 | ||
Allocation Factor using NJ CBT Act (Total divided by four) | 0.245000 |
For the period beginning prior to July 1, 1996, since the apportionment fraction (.250000) used in State Z does not exceed the business allocation factor as it would have been determined under the Act and this subchapter, it is used for purposes of determining the reduction.
For the period beginning on or after July 1, 1996, since the apportionment fraction (.250000) used in state Z exceeds the business allocation factor as it would have been determined under the Act and this subchapter, the New Jersey business allocation factor (.245000) would be used for purposes of determining the reduction.
(c) For privilege periods ending on and after July 31, 2019, if it appears that the allocation factor(s) computed on the basis of the receipts fraction does not properly reflect the activity, business, receipts, capital, entire net worth, or entire net income of the combined group (as a whole or the members thereof) in New Jersey, the Director may adjust or the managerial member of a combined group filing a New Jersey combined return may request an adjustment of the allocation factor(s), of either the managerial member or the other members of the combined group included on the same New Jersey combined return, in accordance with N.J.S.A. 54:10A-4.8 and 54:10A-4.10.