16-32 |
16-32 |
Rulings of the Tax Commissioner |
03/18/2016 |
The clerk of the county is thoroughly familiar with the property and local market conditions. Placing a value on real estate is entirely his responsibility when the value must be determined for recordation tax purposes. |
16-30 |
16-30 |
Rulings of the Tax Commissioner |
03/18/2016 |
California law allows a Virginia resident to claim the credit on the California nonresident return. |
16-28 |
16-28 |
Rulings of the Tax Commissioner |
03/17/2016 |
Consolidated filing status |
16-29 |
16-29 |
Rulings of the Tax Commissioner |
03/17/2016 |
The Taxpayer's claim that she is not required to pay income tax has no basis in fact or Virginia law. |
16-27 |
16-27 |
Rulings of the Tax Commissioner |
03/16/2016 |
2016 Second Quarter Interest Rates |
16-23 |
16-23 |
Rulings of the Tax Commissioner |
03/16/2016 |
UBFT does not qualify for the credit under Va. Code § 58.1¬-332. |
16-2 |
16-27 |
Tax Bulletins |
03/16/2016 |
2016 Second Quarter Interest Rates |
16-26 |
16-26 |
Rulings of the Tax Commissioner |
03/10/2016 |
The Taxpayer has failed to provide any documentation to show the Department's assessment is incorrect. |
16-21 |
16-21 |
Rulings of the Tax Commissioner |
03/08/2016 |
The burden of proving that the domicile has been changed lies with the person alleging the change. |
16-25 |
16-25 |
Rulings of the Tax Commissioner |
03/08/2016 |
The Code of Virginia does not permit taxpayers to file appeals involving local real property tax assessments with the Department |
16-18 |
16-18 |
Rulings of the Tax Commissioner |
03/08/2016 |
A taxpayer has the burden of proving that he or she has abandoned his or her Virginia domicile. |
16-22 |
16-22 |
Rulings of the Tax Commissioner |
03/08/2016 |
Fixed date conformity additions and subtractions . |
16-19 |
16-19 |
Rulings of the Tax Commissioner |
03/08/2016 |
The burden of proof is on the Taxpayers to show they were not subject to income tax in Virginia. |
16-20 |
16-20 |
Rulings of the Tax Commissioner |
03/08/2016 |
The burden of proof is on the Taxpayers to show they were not subject to income tax in Virginia. |
16-24 |
16-24 |
Rulings of the Tax Commissioner |
03/08/2016 |
The Department adjusted the Taxpayer's FAGI to match the amount of income reported on the Taxpayer's federal Wage and Tax Statement (Form W-2). |
16-16 |
16-16 |
Rulings of the Tax Commissioner |
03/08/2016 |
The true object of the transactions is the provision of nontaxable services. Medical records. |
16-15 |
16-15 |
Rulings of the Tax Commissioner |
03/03/2016 |
Accounting support services are sufficient to create nexus for corporate income tax purposes. Withholding |
16-14 |
16-14 |
Rulings of the Tax Commissioner |
03/02/2016 |
Taxpayer maintained a place of abode for more than 183 days in Virginia during 2012 and was subject to tax as a resident. |
16-13 |
16-13 |
Rulings of the Tax Commissioner |
03/01/2016 |
The Code of Virginia does not permit taxpayers to file appeals of local real property tax assessments with the Department |
16-11 |
16-11 |
Rulings of the Tax Commissioner |
02/29/2016 |
Taxpayer was neither an actual or domiciliary resident under Virginia law during the tax year in question. |
16-10 |
16-10 |
Rulings of the Tax Commissioner |
02/29/2016 |
The Taxpayer's orders indicate the husband was called to National Guard duty and not active duty. Thus, the Taxpayers were not eligible for the active duty subtraction. |
16-12 |
16-12 |
Rulings of the Tax Commissioner |
02/29/2016 |
The Department was not a party to the divorce agreement, and is not bound by its provisions. |
16-8 |
16-8 |
Rulings of the Tax Commissioner |
02/25/2016 |
Court Case |
16-9 |
16-9 |
Rulings of the Tax Commissioner |
02/25/2016 |
Court Case |
16-7 |
16-7 |
Rulings of the Tax Commissioner |
02/23/2016 |
Court Case |