Virginia Administrative Code
Title 23 - TAXATION
Agency 10 - DEPARTMENT OF TAXATION
Chapter 500 - BUSINESS, PROFESSIONAL AND OCCUPATIONAL LICENSE TAX REGULATIONS
Section 23VAC10-500-50 - Exemption for affiliated groups
Current through Register Vol. 41, No. 3, September 23, 2024
A. An affiliated group is composed of two or more corporations or chains of corporations. An affiliated group may be composed of two or more other types of entities if such entities satisfy the requirements to be an affiliated group as if they were corporations and the ownership interests therein were stock. The terms "entity" and "affiliated group" are defined in 23VAC10-500-10. The filing of a consolidated income tax return is presumptive of an affiliated group, but not conclusive.
B. No locality shall impose a license fee or levy a license tax on gross receipts or purchases derived from transactions that occur between members of the affiliated group. Affiliated corporations are not exempt from the license tax or fee from gross receipts or purchases conducted with nonaffiliated entities. Localities may also levy a wholesale license tax on an affiliated corporation for sales to nonaffiliated entities, even if the tax would be based on purchases from an affiliated corporation. Sales by the affiliated corporation to a nonaffiliated entity means sales by the affiliated corporation to the nonaffiliated entity where goods sold by the affiliated corporation or its agent are manufactured or stored in the Commonwealth prior to their delivery to the nonaffiliated entity.
C. Affiliated groups are one of two types, either parent-subsidiary or brother-sister.
Corp. A | --> | 80% | --> | Corp. B |
[DOWNWARD ARROW] | ||||
80% | ||||
[DOWNWARD ARROW] | ||||
Corp C |
Corp. A is the common parent of a parent-subsidiary affiliated group of A, B and C corporations.
Corp. B | --> | 80% | --> | Corp. C |
[DOWNWARD ARROW] | [DOWNWARD ARROW] | |||
80% | 50% | |||
[DOWNWARD ARROW] | [DOWNWARD ARROW] | |||
Corp D | --> | 30% | --> | Corp. F |
Corp. B is the common parent of the B, C, D, and F affiliated group.
Example 1:
Individual shareholder A owns 30% of Corp. E, 40% of Corp. F, and 20% of Corp. G
Individual shareholder B owns 50% of Corp. E, 20% of Corp. F, and 30% of Corp. G
Individual shareholder C owns 10% of Corp. E, 20% of Corp. F, and 10% of Corp. G
Individual shareholder D owns 10% of Corp. E, 20% of Corp. F, and 30% of Corp. G
Corporations | ||||
Shareholders | E Corp. | F Corp. | G Corp. | Extent of Shareholder's Identical Ownership |
A | 30% | 40% | 20% | 20% |
B | 50% | 20% | 30% | 20% |
C | 10% | 20% | 10% | 10% |
D | 10% | 20% | 30% | 10% |
Totals | 100% | 100% | 90% | 60% |
The vertical columns are totaled to determine the 80% test. The horizontal columns are totaled to determine the 50% test. Since all three test are met, E, F & G are an affiliated group.
Example 2:
Same facts as in the first example except that Shareholder A owns 40% of Corp. E, Shareholder B owns 10% of Corp. F, Shareholder C owns 30% of Corp. G and Shareholder D owns 0% of Corp. E and 0% of Corp. G.
Corporations | ||||
Shareholders | E Corp. | F Corp. | G Corp. | Extent of Shareholder's Identical Ownership |
A | 40% | 40% | 20% | 20% |
B | 50% | 10% | 30% | 10% |
C | 10% | 20% | 30% | 10% |
D | 0% | 20% | 0% | 0% |
Totals | 100% | 90% | 80% | 40% |
Corporations E, F, and G are not an affiliated group because the 50% test is not met. Owner D is not considered in the calculation since D does not own stock in each corporation.
However, as shown in the following chart, Corporations E & F are an affiliated group in the previous example:
Corporations | ||||
Shareholders | E Corp. | F Corp. | G Corp. | Extent of Shareholder's Identical Ownership |
A | 40% | 40% | 40% | |
B | 50% | 10% | 10% | |
C | 10% | 20% | 10% | |
D | 0% | 20% | 0% | |
Totals | 100% | 90% | 60% |
Statutory Authority
§ 58.1-3701 of the Code of Virginia.