Document Number
89-75
Tax Type
Corporation Income Tax
Description
Protective claim for refund related to DISC adjustments
Topic
Computation of Income
Payment and Refund
Date Issued
01-03-1989
January 3, 1989



Re: §58.1-1821 Application for Correction of Erroneous Assessment
§58.1-446 Adjustment for DISC

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

Our records indicate that you filed an application under §58.1-1821 which involved adjustments to taxable income related to a Domestic International Sales Corporation (DISC).

On September 23, 1988, the Supreme Court of Virginia announced its decision in the case styled Commonwealth of Virginia v. General Electric Company. The decision upheld the authority of the department to require adjustments under §58.1-446 of the Code of Virginia (§58-151.083 before recodification) for DISC income. A copy of the decision is enclosed.

The court remanded the case because of unresolved issues in stipulation 19, one of which was interest income received by the DISC which had been included in apportionable income but which should have been included in the taxpayer's allocable income pursuant to Commonwealth v. Champion Int. Corp., 220 Va. 981 (1980). This issue does not affect taxable years beginning on or after January 1, 1981.

Your application challenged the department's authority to make any adjustment for DISC income and did not address the issue of whether any of the DISC's interest income should be included in the taxpayer's allocable or apportionable income for taxable years 1972 through 1980. Accordingly, your application for correction is denied as filed.

However, the department will reconsider your application under the following circumstances: the application is for a taxable year beginning before January 1, 1981; an amended application is filed within 60 days from the date of this letter; the amended application is limited to the refund attributable to including in the taxpayer's allocable income only the amount of interest income received by the DISC from sources other than the parent, and the amended application includes, at a minimum, an amended Schedule A (Multistate Corporation), a copy of the DISC return showing the receipt of allocable interest income, and a reconciliation of this income to the taxpayer's DISC adjustment. This information should be sent to *************** Supervisor, Technical Services Section, Department of Taxation, P. O. Box 6-L, Richmond, VA 23282.


Sincerely,



W. H. Forst
Tax Commissioner

Rulings of the Tax Commissioner

Last Updated 08/25/2014 16:46