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Pennsylvania Releases Guidance Indicating Broad Taxability for Services to Canned Software
[February 14, 2017]

Pennsylvania Releases Guidance Indicating Broad Taxability for Services to Canned Software


DALLAS, Feb. 14, 2017 /PRNewswire/ -- Recently, the Pennsylvania Department of Revenue issued a letter ruling clarifying the broad application of sales and use tax to services provided for canned computer software.1 This clarification comes pursuant to Act 84 of 2016 [codified at 72 P.S. section 7201(m)(2) (effective August 1, 2016)], in which the Pennsylvania Legislature updated the statutory definition of tangible personal property to include certain specified items such as video, books, applications, games, music, audio, canned software, and other specified items.

L.R. No. SUT-17-001 emphasizes that tangible personal property now also expressly includes maintenance and support:

"Tangible personal property." [...] The term shall include the following, whether electronically or digitally delivered, streamed or accessed and whether purchased singly, by subscription or in any other manner, including maintenance, updates and support...2

Despite the unusual wording of the revised statute, the Department stops short of interpreting this to mean that maintenance is now considered tangible personal property, but specifies that any and all support services (for canned software) are subject to sales and use tax when sold at retail (charges for subsequent use of services are also taxable if their initial purchase was a taxable retail sale). This covers all types of technical support, including consulting, training, and even "support" provided via tangible media. The letter ruling does not go into detail, but presumably this would extend to charges for user manuals or instruction booklets taxed as support rather than simply as tangible personal roperty.



The taxation of computer software maintenance is not unusual, and computer consulting services were previously taxable in Pennsylvania,3 but the method of defining maintenance as tangible personal property makes this a unique application of sales and use tax.

1 L.R. No. SUT-17-001, Pennsylvania Dept. of Rev., Feb. 9, 2017.
2 72 Pa. Stat. section 7201(m)(2).
3 61 Pa. Code section 9.3(a)(11).


About Ryan
Ryan is an award-winning global tax services firm, with the largest indirect and property tax practices in North America and the seventh largest corporate tax practice in the United States. With global headquarters in Dallas, Texas, the Firm provides a comprehensive range of state, local, federal, and international tax advisory and consulting services on a multi-jurisdictional basis, including audit defense, tax recovery, credits and incentives, tax process improvement and automation, tax appeals, tax compliance, and strategic planning. Ryan is a five-time recipient of the International Service Excellence Award from the Customer Service Institute of America (CSIA) for its commitment to world-class client service. Empowered by the dynamic myRyan work environment, which is widely recognized as the most innovative in the tax services industry, Ryan's multi-disciplinary team of more than 2,100 professionals and associates serves over 12,000 clients in more than 40 countries, including many of the world's most prominent Global 5000 companies. More information about Ryan can be found at ryan.com.

TECHNICAL INFORMATION CONTACTS:

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Ryan
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Ryan
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Kelly Opferman
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Ryan
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To view the original version on PR Newswire, visit:http://www.prnewswire.com/news-releases/pennsylvania-releases-guidance-indicating-broad-taxability-for-services-to-canned-software-300407109.html

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