Ruling |
Date
|
Subject |
Synopsis |
IT 14-0018-GIL |
10/17/2014 |
Credits – Foreign Tax |
General Information Letter: The credit for taxes paid to other states may not exceed the amount of Illinois income tax attributable to income that would be sourced to other states if all other states used Illinois’ allocation and apportionment rules. Because nonbusiness gambling winnings are sourced to the state of residency under the Illinois Income Tax Act, this limitation does not include Illinois taxes attributable to gambling winnings. |
IT 14-0017-GIL |
10/06/2014 |
Net Income (Loss) and Net Loss Deductions |
General Information Letter: If no timely election was made under IITA Section 207(a-5) to carry a loss forward only, that loss must be carried back. |
IT 14-0016-GIL |
10/03/2014 |
Credits – Foreign Tax |
General Information Letter:The credit for taxes paid to other states may not exceed the amount of Illinois income tax attributable to income that would be sourced to other states if all other states used Illinois’ allocation and apportionment rules. Because nonbusiness gambling winnings are sourced to the state of residency under the Illinois Income Tax Act, this limitation does not include Illinois taxes attributable to gambling winnings. |
IT 14-0015-GIL |
09/24/2014 |
Withholding – Other Rulings |
General Information Letter: A taxpayer is allowed to claim personal and dependency exemptions in order to determine the withholding required from his nonqualified retirement plan income. |
IT 14-0014-GIL |
09/23/2014 |
Withholding – Other Rulings |
General Information Letter: If a nonresident individual partner’s Illinois income tax obligation is fully paid by withholding by the partnership, the partner is not required to file an Illinois income tax return. |
IT 14-0013-GIL |
09/22/2014 |
Subtraction Modifications – Other Rulings |
General Information Letter: Income from a trust established under the Illinois Funeral or Burial Fund Act may be subtracted from federal adjusted gross income as provided in 225 ILCS 45/4a(c). |
IT 14-0012-GIL |
09/19/2014 |
Definitions |
General Information Letter: An entity that is disregarded for federal income tax purposes and treated as part of its parent corporation is treated identically for Illinois income tax purposes. |
IT 14-0011-GIL |
09/19/2014 |
Withholding – Other Rulings |
General Information Letter: Withholding is not required from compensation paid to a nonresident who performs some services in Illinois, but whose base of operations is located in another state. |
IT 14-0010-GIL |
09/18/2014 |
Subtraction – Pensions |
General Information Letter: Pastor is entitled to a subtraction for the portion of payments received under an IRC Section 403(b) plan that is not excluded from his federal adjusted gross income as a housing allowance. |
IT 14-0009-GIL |
09/17/2014 |
Credits – Replacement Tax Investment |
General Information Letter: Taxpayer providing alarm monitoring services is not a retailer entitled to claim the replacement tax investment credit. |
IT 14-0008-GIL |
08/19/2014 |
Subtraction Modifications - Other Rulings |
General Information Letter: In computing base income, only passive losses deducted in computing the individual taxpayer’s federal adjusted gross income are allowable, and passive loss deductions of a nonresident must be sourced to Illinois according to the apportionment factors of the business that produces the losses. |
IT 14-0007-GIL |
08/14/2014 |
Alternative Apportionment |
General Information Letter: Request to use separate accounting cannot be granted without evidence that the statutory apportionment formula does not fairly reflect the market for the taxpayer’s services. |
IT 14-0006-GIL |
07/28/2014 |
Taxable Year |
General Information Letter: A corporation with two short federal taxable years within a calendar year must file two short-period Illinois income tax returns. |
IT 14-0005-GIL |
06/19/2014 |
Withholding – Other Rulings |
General Information Letter: Illinois income tax must be withheld from payments of wages or other items of income only if federal income tax is required to be withheld from those payments. |
IT 14-0004-GIL |
04/02/2014 |
Nexus |
General Information Letter: Nexus issues are not generally suitable for resolution by letter ruling. |
IT 14-0003-GIL |
04/02/2014 |
Apportionment – Sales Factor |
General Information Letter: General explanation of the sales factor sourcing rules for software and related services. |
IT 14-0002-GIL |
02/13/2014 |
Credits - Foreign Tax |
General Information Letter: Compensation paid in Illinois under IITA Section 304(a)(2)(B) does not qualify for the credit for taxes paid to other states. |
IT 14-0001-GIL |
01/24/2014 |
Withholding – Other Rulings |
General Information Letter: No Illinois withholding is required from wages paid to a nonresident employee who performs some of his multistate services in Illinois, if the employee’s base of operations is outside Illinois or if the employee’s wages are exempt from withholding except by his state of residence under 49 U.S.C. § 14503(a)(1). |