61 Pa. Code § 52.4 - Sellers and repairers of eyeglasses
(a)
General. The
promulgation of this revised ruling reflects a change in the policy of the
Department. Formerly, the production of optical lenses was not considered to be
manufacturing. It has been determined, however, that, for sales and use tax
purposes, the production of optical lenses is manufacturing. The effective date
of this ruling is the date of its adoption. Its effect is, therefore,
prospective only.
(b)
Definitions. The following words and terms, when used in this
section, have the following meanings, unless the context clearly indicates
otherwise:
Eyeglasses-The term includes optical lenses, eyeglass frames, eyeglass temples and other components necessary to make optical lenses suitable for human wear.
Optical Lenses-The term includes prescriptive and nonprescriptive lenses, contact lenses, tinted lenses for sunglasses, lenses for items as ski goggles and diving masks, and other similar optical lenses, whether the lenses are glass, plastic or other material.
(c)
Manufacture of optical
lenses. The cutting, molding, shaping, grinding and polishing of
optical lenses is manufacturing as that term is defined in section 201(c) of
the TRC (72 P. S. §
7201) and
§
32.32 (relating to manufacturing;
processing). Therefore, a manufacturer of optical lenses is entitled to claim
the manufacturing exemption upon the purchase or use of tangible personal
property which is directly used in the manufacture of optical lenses.
(d)
Assembly of eyeglasses.
Assembly of eyeglasses shall conform with the following:
(1) The assembly of eyeglasses by a person
who also manufactures one or more eyeglass components is manufacturing as that
term is defined in section 201(c) of the TRC and §
32.32. Therefore, the
manufacturing exemption is available upon the purchase or use of tangible
personal property which is directly used in the assembly of eyeglasses if the
person performing the assembly also manufactures one or more of the components
which are incorporated as part of the eyeglasses.
(2) The assembly alone of eyeglasses from
previously manufactured components is not manufacturing, even if the person
performing the assembly is required to fit lenses into particular frames or
make other adjustments in order to fulfill the requirements of a prescription.
Therefore, a person who only assembles eyeglasses is not entitled to claim the
manufacturing exemption upon the purchase price of tangible personal property
which is used in the assembly.
(e)
Sale and repair. Sale
and repair shall conform with the following:
(1)
Sale or repair of prescriptive
eyeglasses. The sale or repair of eyeglasses or eyeglass components
prescribed for a particular individual by an ophthalmologist, oculist or
optometrist is exempt from tax. This rule is applicable also to the sale or
repair of eyeglasses or eyeglass components which replace those originally
prescribed. A person who sells or repairs these eyeglasses or eyeglass
components should not collect tax upon their sale price or repair
charge.
(2)
Sale or repair
of nonprescriptive eyeglasses. The sale or repair of eyeglasses or
eyeglass components not prescribed for a particular individual by an
ophthalmologist, oculist or optometrist is subject to tax. A person who sells
or repairs these eyeglasses or eyeglass components is required to register with
the Department and to collect and remit tax. The repair of nonprescriptive
eyeglasses or eyeglass components is more specifically governed by §
31.5 (relating to persons
rendering taxable services).
(3)
Tax liability of vendors and repairers. A person who sells or
repairs eyeglasses shall pay tax upon his purchase or use of property which he
utilizes in his business, except upon property which he purchases to resell or
transfers to a customer in the course of a repair. The resale exemption is
applicable to the purchase of eyeglasses or eyeglass components which are to be
sold or transferred. To obtain the exemption, the vendor or repairer shall
present to his supplier a properly completed exemption certificate indicating
"resale" as the basis for the exemption.
Notes
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