Document Number
10-109
Tax Type
Retail Sales and Use Tax
Description
The Taxpayer is registered to report and remit consumer use tax but did not file.
Topic
Persons Subject to Tax
Property Subject to Tax
Records/Returns/Payments
Date Issued
06-22-2010

June 22, 2010



Re: § 58.1-1821 Application: Retail Sales and Use Tax

Dear *****:

This reply is in response to your letter submitted on behalf of the ***** (the "Taxpayer"), in which you seek correction of the use tax assessment issued for the period November 2005 through October 2008. I apologize for the delay in responding to your letter.

FACTS


An estimated assessment was issued by the auditor because the Taxpayer presented no record of its business activities during the audit. The Taxpayer protests the estimated assessment as incorrect, contending it does not correctly reflect the Taxpayer's business activities. The Taxpayer also contends that the assessment is invalid because it was issued after the Department's waiver had expired. The Taxpayer seeks abatement of the entire assessment.

DETERMINATION


Estimated Assessment

The Taxpayer is registered to report and remit consumer use tax but did not file any returns for the audit period. When the audit was initiated in October 2008, the Taxpayer was given a schedule of records needed to conduct the review. At the initial audit meeting, the auditor was informed by the Taxpayer that the requested records were not available for examination. The Taxpayer was granted additional time to gather the needed documentation. Subsequently, the auditor attempted to contact the Taxpayer on five separate occasions between December 2008 and February 2009 to secure the requested records. As no documentation was presented by the Taxpayer, an estimated use tax assessment was issued on June 29, 2009, pursuant to Va. Code § 58.1-618.

Administrative Appeal

Virginia Code § 58.1-1821 states, "Any person assessed with any tax administered by the Department of Taxation may, within ninety days from the date of the assessment, apply for relief to the Tax Commissioner." Public Document (P.D. 06­140 (11/29/06) section 4.2 D states, "An incomplete appeal or notice of intent to appeal does not satisfy or extend the 90-day limitation period."

Pursuant to both Va. Code § 58.1-1821 and P.D. 06-140, the Taxpayer was required to file a complete administrative appeal no later than September 28, 2009. Although the Taxpayer's protest letter was received on July 9, 2009, it did not satisfy the requirement that a complete administrative appeal be filed with the Department within the 90-day period. The Taxpayer's appeal letter did not provide any documentation or authorities to support the grounds for protesting the assessment. The Taxpayer was provided additional time to present a full and complete administrative appeal; however, a complete appeal has not been filed to date. Therefore, the Taxpayer's application for correction is barred by the statute of limitations.

Waiver of Limitations Period for Assessment

Although the assessment date of June 29, 2009, was after the waiver expiration date of June 20, 2009, Virginia Code § 58.1-634 authorizes the Tax Commissioner to assess taxes up to six years from the date they become due if the Taxpayer has failed to file a return. In this case, the Taxpayer has filed no use tax returns and failed to present any documentation of its business activities during the audit period. Therefore, the use tax assessment for the period November 2005 through October 2008 was timely issued pursuant to Va. Code § 58.1-634.

CONCLUSION


Based on the above discussion, the Taxpayer's request for appeal is denied and the assessment is upheld as issued. An updated bill with interest accrued to date will be sent to the Taxpayer. The outstanding balance must be paid within 30 days from the date of the bill to avoid the accrual of additional interest and an additional 20% penalty on the tax due under the terms of Virginia's recent Amnesty.

The Code of Virginia sections and public document cited are available on-line at www.tax.virginia.gov in the Tax Policy Library section of the Department's website. If you have any questions about this response, you may contact ***** in the Department's Office of Tax Policy, Appeals and Rulings, at *****.
                • Sincerely,


                • Linda D. Foster
                  Deputy Tax Commissioner



AR/1-3873281033.M


Rulings of the Tax Commissioner

Last Updated 08/25/2014 16:46