The Idaho Supreme Court recently affirmed a District Courtâs judgment that the gain from the sale of a 78.54% membership interest in a limited liability company did not constitute âbusiness incomeâ under Idaho Code section 63-3027. In Noell Indus. Inc. v. Idaho State Tax Commân, Docket No. 46941 (Idaho 2020), the court determined that âthis type of gain does not meet the definition of âbusiness incomeâ under either the transactional test or functional test (including the unitary business test),â and was therefore not apportionable income.
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