The New York State Department of Taxation and Finance (Department) provided another example of its longstanding eagerness to force taxpayer combination—at least in cases where it results in increased tax revenue. In the Matter of Kellwood Co., No. 820915 (N.Y. Tax App. Trib. Sept. 22, 2011).
The Department (or taxpayer) must prove three elements to require a combined report:
- Sufficient ownership
- Existence of a unitary business
- Distortion
Continue Reading New York Attempts to Take Taxpayer Out Behind the (Kell)Woodshed



