Document Number
89-234
Tax Type
Retail Sales and Use Tax
Description
Nonprofit organization providing employment and training services
Topic
Taxability of Persons and Transactions
Date Issued
08-31-1989
August 31, 1989


Re: Request for Ruling: Sales and Use Tax


Dear***************

This is in reply to your letter of July 24, 1989, in which you request a ruling whether your organization qualifies for exemption from the sales and use tax.
FACTS

*********("The Taxpayer"), a nonprofit organization exempt from income taxation under §501(c)(3) of the Internal Revenue Code, provides services, employment, training, referrals and rehabilitation to mentally ill people. You seek an exemption to allow the Taxpayer to purchase items exempt from the Virginia retail sales and use tax.
RULING

There is no general exemption from the Virginia retail sales and use tax for nonprofit organizations (see §630-10-74 of Virginia Retail Sales and Use Tax Regulations). The only exemptions from the tax are set out in Virginia Code §58.1-608 (copy enclosed).

Certain organizations that provide education, training and services to retarded individuals are exempt from the tax under subdivision (4)(c) of Virginia Code §58.l-608: however, this exemption is limited only to organizations that receive more than 50% of their funding from government sources. The fact that the Taxpayer does not receive any government funding would disqualify the Taxpayer from this exemption.

While I am mindful of the worthwhile purpose that the Taxpayer serves. absent a statutory exemption that would allow the Taxpayer to make purchases exempt from the tax, the department has no authority to grant such an exemption. Therefore. the Taxpayer is required to pay the tax to the retailer on all purchases of tangible personal property if the retailer is registered to collect the tax. If the retailer is not registered to collect the tax, the Taxpayer must report and pay the use tax on a Consumer Use Tax Return, Form ST-7.

If I can be of further assistance, please contact the department.

Sincerely,



W. H. Forst
Tax Commissioner

Rulings of the Tax Commissioner

Last Updated 08/25/2014 16:46