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Tennessee: Letter Ruling Says Nontaxable Services Provided through Digital Platform Remain Nontaxable

A Tennessee Department of Revenue letter ruling concluded that an out-of-state technology company offering staff augmentation and payment processing services accessed through a digital platform is not subject to Tennessee sales and use tax on such transactions because these services, which are the true object of the transactions, are not enumerated taxable services under state law.

Source Deloitte

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