Ga. Comp. R. & Regs. R. 560-7-8-.03 - Alternate Method of Determining Income
(1)
Purpose. The purpose of this
regulation is to provide guidance concerning the administration of O.C.G.A.
§
48-7-35.
(2)
Application for Permission to use
Another Method.
(a) O.C.G.A. §
48-7-35 provides that if any
corporation or nonresident shows by any method of allocation other than the
processes or formulas prescribed by Chapter 7 of Title 48 that another method
reflects more clearly the income attributable to the trade or business within
Georgia, application for permission to base its return upon the other method
shall be considered by the Commissioner.
(b) The application shall be accompanied by a
statement setting forth in detail with full explanations the method the
corporation or nonresident believes will more clearly reflect its income from
trade or business within Georgia. If the commissioner concludes that the method
submitted by the corporation or nonresident is in fact inapplicable and
inequitable, he or she shall reject the application and shall so notify the
corporation or nonresident. Failure to receive the commissioner's notice shall
not operate to relieve the corporation or nonresident from liability for not
filing the return on its due date utilizing the method prescribed by Chapter 7
of Title 48.
(c) Corporations or
nonresidents that wish to request such permission from the Commissioner shall
file an application, petition, or request with the Commissioner at least ninety
(90) days prior to the due date of the Georgia return (including extensions) or
at least ninety (90) days prior to the filing of the return, whichever occurs
first, for the tax year for which such application is requested. Failure to
request permission by such time will result in the filing of an income tax
return subject to the regular method for the applicable tax year.
(d) The Commissioner will find that the
method is in fact inapplicable and inequitable unless:
1. Unusual fact patterns occur that are
unique and which will produce incongruous results based upon standard
allocation and apportionment provisions; and
2. The corporation or nonresident establishes
by clear and convincing evidence that the corporation's or nonresident's
proposed method would more clearly reflect the income from trade or business
within Georgia.
Notes
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