Businesses with multistate activities face considerable compliance challenges for state tax purposes -- especially with regard to sales tax and nexus. This webinar will cover nexus rules and nexus-triggering events along with protections under Public Law 86-272, which restricts a state from imposing a net income tax on interstate sales of tangible, physical goods. Our presenter will cover various approaches to compliance and other practical considerations when working with sales tax and nexus activities.
List nexus rules and identify common nexus-triggering activities
Outline protections under Public Law 86-272 and recent developments in interpretation
Evaluate sales and use tax considerations for interstate transactions and approaches to compliance and other practical considerations
Hodgson Russ LLP
Partner
[email protected]
(518) 433-2407
Ariele Doolittle is an attorney with Hodgson Russ LLP, based in the firm’s NYC and Albany offices. She focuses her practice on state and local tax matters, including civil and criminal tax controversies, emphasizing New York State tax litigation. Ariele has successfully represented clients before state agencies and in state and federal court actions and appeals. She also advises clients on tax planning, residency planning, and other administrative law matters. Before joining Hodgson Russ, Ariele was a law clerk at the New York State Division of Tax Appeals and Tax Appeals Tribunal.