Ever since the U.S. Supreme Court overturned the physical presence nexus requirement for state sales and use taxes in South Dakota v. Wayfair, 138 S. Ct. 2080 (2018), taxpayers and practitioners have questioned the extent to which the Courtâs holding applies to locally administered sales and use taxes. This question is often rooted in the Courtâs statement in Wayfair that âStates may not impose undue burdens on interstate commerceâ and its reference to Pike v.…
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