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  • Franchise Tax Overview - Texas Comptroller of Public Accounts
    Apportionment Margin is apportioned to Texas using a single-factor apportionment formula based on gross receipts See Tax Code Section 171 106 and Rule 3 591 for more information about apportionment Available Credits The following franchise tax credits are available:
  • How to Compute the Texas Franchise Tax | Step 2 – Apportionment
    Texas Tax Code § 171 101 (a) (2) states that, following the determination of a taxable entity’s “taxable margin,” the taxable entity must apportion the taxable margin to the State of Texas as provided by Texas Tax Code § 171 106, which results in the entity’s “apportioned margin ”
  • Texas regs on apportionment for purposes of franchise tax | Crowe LLP
    For apportionment purposes, Texas Tax Code 171 103(a)(2) provides that a receipt from services is considered a Texas receipt if the service is performed in Texas The revised regulations define the location of performance as the place where the receipt-producing end-product act occurs
  • Texas Amends Franchise Tax Apportionment Rule With . . . - BDO USA
    On January 4, 2021, the Texas Comptroller of Public Accounts adopted revisions to the Texas franchise tax apportionment rules that were proposed on November 2, 2020 under 34 Tex Admin Code section 3 591
  • Texas Franchise Tax Update: - tx. cpa
    The Texas Comptroller has adopted broad amendments to his Rule 3 591 governing franchise tax apportionment In doing so, the agency rewrote numerous detailed rules for sourcing dozens of different types of receipts Notably, for receipts from services that don’t fall under one of the specific rules, the Comptroller’s rule codifies the
  • Texas Comptroller Issues Guidance for Apportioning Receipts . . . - Andersen
    Texas franchise tax is imposed on taxable entities that are conducting an active trade or business in Texas Taxable entities include limited liability companies (LLCs) even if they are disregarded entities for federal income tax purposes Texas uses a single receipts method to apportion taxable margin to the state
  • Texas Supreme Court: No Three-Factor Apportionment Method
    The Texas Supreme Court upheld the Third Court of Appeals's ruling that taxpayers may not choose to use the Multistate Tax Compact’s three-factor apportionment method to apportion their taxable margin under the Texas franchise tax
  • Franchise Tax Frequently Asked Questions - Texas Comptroller of Public . . .
    No Taxable entities must calculate the Texas franchise tax amount they owe using the Texas franchise tax single-factor apportionment formula See Texas Tax Code Sections 171 105 and 171 106 and Rule 3 591, Margin: Apportionment
  • Texas Comptroller Provides Rules on the Texas Franchise Tax
    The new tax now applies to corporations (both S and C), partnerships, limited liability partnerships, LLCs (including single-member LLCs), professional associations and professional corporations, business trusts, joint ventures, holding companies, and other legal entities (TX Tax Code §171 0002(a))
  • Texas Combined Reporting: What Businesses Need to Know
    Entities subject to the Texas franchise tax, including corporations, LLCs, and partnerships with sufficient nexus in the state, must determine whether they are part of a unitary group If so, they must file a combined report consolidating revenue and expenses across all affiliated entities





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