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1 | AN ACT concerning taxes.
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2 | Be it enacted by the People of the State of Illinois,
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3 | represented in the General Assembly:
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4 | Section 5. The Illinois Procurement Code is amended by | ||||||||||||||||||||||||||||||
5 | changing Section 45-10 and adding Sections 1-15.120 and 50-17 | ||||||||||||||||||||||||||||||
6 | as follows: | ||||||||||||||||||||||||||||||
7 | (30 ILCS 500/1-15.120 new)
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8 | Sec. 1-15.120. Expatriate corporation. "Expatriate | ||||||||||||||||||||||||||||||
9 | corporation" means a foreign incorporated entity to which all | ||||||||||||||||||||||||||||||
10 | the following apply: | ||||||||||||||||||||||||||||||
11 | (1) It is publicly traded in the United States;
| ||||||||||||||||||||||||||||||
12 | (2) Is incorporated in a tax haven, including Andorra, | ||||||||||||||||||||||||||||||
13 | Anguilla, Antigua and Barbuda, Aruba, the Bahamas, | ||||||||||||||||||||||||||||||
14 | Bahrain, Barbados, Belize, Bermuda, British Virgin | ||||||||||||||||||||||||||||||
15 | Islands, Cayman Islands, Cook Islands, Turks and Caicos | ||||||||||||||||||||||||||||||
16 | Islands, Dominica, Gibraltar, Grenada, | ||||||||||||||||||||||||||||||
17 | Guernsey-Sark-Alderney, Isle of Man, Jersey, Liberia, | ||||||||||||||||||||||||||||||
18 | Liechtenstein, Luxemburg, Maldives, Marshall Islands, | ||||||||||||||||||||||||||||||
19 | Monaco, Montserrat, Nauru, Netherlands Antilles, Niue, | ||||||||||||||||||||||||||||||
20 | Panama, Samoa, Seychelles, St. Kitts and Nevis, St. Lucia, | ||||||||||||||||||||||||||||||
21 | St. Vincent and the Grenadines, Tonga, U.S. Virgin Islands, | ||||||||||||||||||||||||||||||
22 | and Vanuatu;
| ||||||||||||||||||||||||||||||
23 | (3) Less than 10% of the gross income of the foreign | ||||||||||||||||||||||||||||||
24 | entity is derived from activities in the tax haven;
| ||||||||||||||||||||||||||||||
25 | (4) Less than 10% of the employees of the foreign | ||||||||||||||||||||||||||||||
26 | entity are permanently located in the tax haven;
| ||||||||||||||||||||||||||||||
27 | (5) Either clause (A) or clause (B) applies:
| ||||||||||||||||||||||||||||||
28 | (A) The foreign entity was established in | ||||||||||||||||||||||||||||||
29 | connection with a transaction or series of related | ||||||||||||||||||||||||||||||
30 | transactions pursuant to which (I) the foreign entity | ||||||||||||||||||||||||||||||
31 | directly or indirectly acquired substantially all of | ||||||||||||||||||||||||||||||
32 | the properties held by a domestic corporation or all of |
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1 | the properties constituting a trade or business of a | ||||||
2 | domestic partnership or related foreign partnership | ||||||
3 | and (II) immediately after the acquisition, more than | ||||||
4 | 50% of the publicly traded stock, by vote or value, of | ||||||
5 | the foreign entity is held by former shareholders of | ||||||
6 | the domestic corporation or by former partners of the | ||||||
7 | domestic partnership or related foreign partnership. | ||||||
8 | For purposes of subclause (II), any stock sold in a | ||||||
9 | public offering related to the transaction or a series | ||||||
10 | of transactions is disregarded.
| ||||||
11 | (B) The foreign entity was established in | ||||||
12 | connection with a transaction or series of related | ||||||
13 | transactions pursuant to which (I) the foreign entity | ||||||
14 | directly or indirectly acquired substantially all of | ||||||
15 | the properties held by a domestic corporation or all of | ||||||
16 | the properties constituting a trade or business of a | ||||||
17 | domestic partnership or related foreign partnership | ||||||
18 | and (II) the acquiring foreign entity is more than 50% | ||||||
19 | owned, by vote or value, by domestic shareholders or | ||||||
20 | partners.
| ||||||
21 | (30 ILCS 500/45-10)
| ||||||
22 | Sec. 45-10. Resident bidders.
| ||||||
23 | (a) Amount of preference. When a contract is to be awarded
| ||||||
24 | to the lowest responsible
bidder, a resident bidder shall be | ||||||
25 | allowed a preference as against
a non-resident bidder from any
| ||||||
26 | state that gives or requires a preference to bidders from that
| ||||||
27 | state. The preference shall be equal
to the preference given or | ||||||
28 | required by the state of the
non-resident bidder. Further, if | ||||||
29 | only non-resident bidders are
bidding, the purchasing agency is | ||||||
30 | within its right to specify that
Illinois
labor and | ||||||
31 | manufacturing locations be used as a part of the
manufacturing | ||||||
32 | process, if applicable.
This specification may be negotiated as | ||||||
33 | part of the solicitation
process.
| ||||||
34 | (b) Residency. A resident bidder is a person authorized to
| ||||||
35 | transact business in this State
and having a bona fide |
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1 | establishment for transacting business
within this State where | ||||||
2 | it was
actually transacting business on the date when any bid | ||||||
3 | for a
public contract is first advertised
or announced. A | ||||||
4 | resident bidder includes a foreign corporation
duly authorized | ||||||
5 | to transact
business in this State that has a bona fide | ||||||
6 | establishment for
transacting business within this State
where | ||||||
7 | it was actually transacting business on the date when any
bid | ||||||
8 | for a public contract is first
advertised or announced ; | ||||||
9 | however, an expatriate corporation shall be considered a | ||||||
10 | non-resident bidder .
| ||||||
11 | (c) Federal funds. This Section does not apply to any
| ||||||
12 | contract for any project as to
which federal funds are | ||||||
13 | available for expenditure when its
provisions may be in | ||||||
14 | conflict with
federal law or federal regulation.
| ||||||
15 | (Source: P.A. 90-572, eff. date - See Sec. 99-5.)
| ||||||
16 | (30 ILCS 500/50-17 new)
| ||||||
17 | Sec. 50-17. Expatriate corporations. No business or member | ||||||
18 | of a unitary business group, as defined in the Illinois Income | ||||||
19 | Tax Act, shall submit a bid for or enter into a contract with a | ||||||
20 | State agency under this Code if that business or any member of | ||||||
21 | the unitary business group is an expatriate corporation as | ||||||
22 | defined in this Code.
| ||||||
23 | Section 10. The Illinois Income Tax Act is amended by | ||||||
24 | changing Section 1501 as follows:
| ||||||
25 | (35 ILCS 5/1501) (from Ch. 120, par. 15-1501)
| ||||||
26 | Sec. 1501. Definitions.
| ||||||
27 | (a) In general. When used in this Act, where not
otherwise | ||||||
28 | distinctly expressed or manifestly incompatible with the | ||||||
29 | intent
thereof:
| ||||||
30 | (1) Business income. The term "business income" means | ||||||
31 | income arising from
transactions and activity in the | ||||||
32 | regular course of the taxpayer's trade
or business, net of | ||||||
33 | the deductions allocable thereto, and includes income
from |
| |||||||
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1 | tangible and intangible property if the acquisition, | ||||||
2 | management, and
disposition of the property constitute | ||||||
3 | integral parts of the taxpayer's
regular trade or business | ||||||
4 | operations. Such term does not include compensation
or the | ||||||
5 | deductions allocable thereto.
For each taxable year | ||||||
6 | beginning on or after January 1, 2003, a taxpayer may
elect | ||||||
7 | to treat all income other than compensation as business | ||||||
8 | income. This
election shall be made in accordance with | ||||||
9 | rules adopted by the Department and,
once made, shall be | ||||||
10 | irrevocable.
| ||||||
11 | (2) Commercial domicile. The term "commercial | ||||||
12 | domicile" means the
principal
place from which the trade or | ||||||
13 | business of the taxpayer is directed or managed.
| ||||||
14 | (3) Compensation. The term "compensation" means wages, | ||||||
15 | salaries,
commissions
and any other form of remuneration | ||||||
16 | paid to employees for personal services.
| ||||||
17 | (4) Corporation. The term "corporation" includes | ||||||
18 | associations, joint-stock
companies, insurance companies | ||||||
19 | and cooperatives. Any entity, including a
limited | ||||||
20 | liability company formed under the Illinois Limited | ||||||
21 | Liability Company
Act, shall be treated as a corporation if | ||||||
22 | it is so classified for federal
income tax purposes.
| ||||||
23 | (5) Department. The term "Department" means the | ||||||
24 | Department of Revenue of
this State.
| ||||||
25 | (6) Director. The term "Director" means the Director of | ||||||
26 | Revenue of this
State.
| ||||||
27 | (7) Fiduciary. The term "fiduciary" means a guardian, | ||||||
28 | trustee, executor,
administrator, receiver, or any person | ||||||
29 | acting in any fiduciary capacity for any
person.
| ||||||
30 | (8) Financial organization.
| ||||||
31 | (A) The term "financial organization" means
any
| ||||||
32 | bank, bank holding company, trust company, savings | ||||||
33 | bank, industrial bank,
land bank, safe deposit | ||||||
34 | company, private banker, savings and loan association,
| ||||||
35 | building and loan association, credit union, currency | ||||||
36 | exchange, cooperative
bank, small loan company, sales |
| |||||||
|
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1 | finance company, investment company, or any
person | ||||||
2 | which is owned by a bank or bank holding company. For | ||||||
3 | the purpose of
this Section a "person" will include | ||||||
4 | only those persons which a bank holding
company may | ||||||
5 | acquire and hold an interest in, directly or | ||||||
6 | indirectly, under the
provisions of the Bank Holding | ||||||
7 | Company Act of 1956 (12 U.S.C. 1841, et seq.),
except | ||||||
8 | where interests in any person must be disposed of | ||||||
9 | within certain
required time limits under the Bank | ||||||
10 | Holding Company Act of 1956.
| ||||||
11 | (B) For purposes of subparagraph (A) of this | ||||||
12 | paragraph, the term
"bank" includes (i) any entity that | ||||||
13 | is regulated by the Comptroller of the
Currency under | ||||||
14 | the National Bank Act, or by the Federal Reserve Board, | ||||||
15 | or by
the
Federal Deposit Insurance Corporation and | ||||||
16 | (ii) any federally or State chartered
bank
operating as | ||||||
17 | a credit card bank.
| ||||||
18 | (C) For purposes of subparagraph (A) of this | ||||||
19 | paragraph, the term
"sales finance company" has the | ||||||
20 | meaning provided in the following item (i) or
(ii):
| ||||||
21 | (i) A person primarily engaged in one or more | ||||||
22 | of the following
businesses: the business of | ||||||
23 | purchasing customer receivables, the business
of | ||||||
24 | making loans upon the security of customer | ||||||
25 | receivables, the
business of making loans for the | ||||||
26 | express purpose of funding purchases of
tangible | ||||||
27 | personal property or services by the borrower, or | ||||||
28 | the business of
finance leasing. For purposes of | ||||||
29 | this item (i), "customer receivable"
means:
| ||||||
30 | (a) a retail installment contract or | ||||||
31 | retail charge agreement within
the
meaning
of | ||||||
32 | the Sales Finance Agency Act, the Retail | ||||||
33 | Installment Sales Act, or the
Motor Vehicle | ||||||
34 | Retail Installment Sales Act;
| ||||||
35 | (b) an installment, charge, credit, or | ||||||
36 | similar contract or agreement
arising from
the |
| |||||||
|
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1 | sale of tangible personal property or services | ||||||
2 | in a transaction involving
a deferred payment | ||||||
3 | price payable in one or more installments | ||||||
4 | subsequent
to the sale; or
| ||||||
5 | (c) the outstanding balance of a contract | ||||||
6 | or agreement described in
provisions
(a) or (b) | ||||||
7 | of this item (i).
| ||||||
8 | A customer receivable need not provide for | ||||||
9 | payment of interest on
deferred
payments. A sales | ||||||
10 | finance company may purchase a customer receivable | ||||||
11 | from, or
make a loan secured by a customer | ||||||
12 | receivable to, the seller in the original
| ||||||
13 | transaction or to a person who purchased the | ||||||
14 | customer receivable directly or
indirectly from | ||||||
15 | that seller.
| ||||||
16 | (ii) A corporation meeting each of the | ||||||
17 | following criteria:
| ||||||
18 | (a) the corporation must be a member of an | ||||||
19 | "affiliated group" within
the
meaning of | ||||||
20 | Section 1504(a) of the Internal Revenue Code, | ||||||
21 | determined
without regard to Section 1504(b) | ||||||
22 | of the Internal Revenue Code;
| ||||||
23 | (b) more than 50% of the gross income of | ||||||
24 | the corporation for the
taxable
year
must be | ||||||
25 | interest income derived from qualifying loans. | ||||||
26 | A "qualifying
loan" is a loan made to a member | ||||||
27 | of the corporation's affiliated group that
| ||||||
28 | originates customer receivables (within the | ||||||
29 | meaning of item (i)) or to whom
customer | ||||||
30 | receivables originated by a member of the | ||||||
31 | affiliated group have been
transferred, to
the | ||||||
32 | extent the average outstanding balance of | ||||||
33 | loans from that corporation
to members of its | ||||||
34 | affiliated group during the taxable year do not | ||||||
35 | exceed
the limitation amount for that | ||||||
36 | corporation. The "limitation amount" for a
|
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|
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1 | corporation is the average outstanding | ||||||
2 | balances during the taxable year of
customer | ||||||
3 | receivables (within the meaning of item (i)) | ||||||
4 | originated by
all members of the affiliated | ||||||
5 | group.
If the average outstanding balances of | ||||||
6 | the
loans made by a corporation to members of | ||||||
7 | its affiliated group exceed the
limitation | ||||||
8 | amount, the interest income of that | ||||||
9 | corporation from qualifying
loans shall be | ||||||
10 | equal to its interest income from loans to | ||||||
11 | members of its
affiliated groups times a | ||||||
12 | fraction equal to the limitation amount | ||||||
13 | divided by
the average outstanding balances of | ||||||
14 | the loans made by that corporation to
members | ||||||
15 | of its affiliated group;
| ||||||
16 | (c) the total of all shareholder's equity | ||||||
17 | (including, without
limitation,
paid-in
| ||||||
18 | capital on common and preferred stock and | ||||||
19 | retained earnings) of the
corporation plus the | ||||||
20 | total of all of its loans, advances, and other
| ||||||
21 | obligations payable or owed to members of its | ||||||
22 | affiliated group may not
exceed 20% of the | ||||||
23 | total assets of the corporation at any time | ||||||
24 | during the tax
year; and
| ||||||
25 | (d) more than 50% of all interest-bearing | ||||||
26 | obligations of the
affiliated group payable to | ||||||
27 | persons outside the group determined in | ||||||
28 | accordance
with generally accepted accounting | ||||||
29 | principles must be obligations of the
| ||||||
30 | corporation.
| ||||||
31 | This amendatory Act of the 91st General Assembly is | ||||||
32 | declaratory of
existing
law.
| ||||||
33 | (D) Subparagraphs
(B) and (C) of this paragraph are | ||||||
34 | declaratory of
existing law and apply retroactively, | ||||||
35 | for all tax years beginning on or before
December 31, | ||||||
36 | 1996,
to all original returns, to all amended returns |
| |||||||
|
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1 | filed no later than 30
days after the effective date of | ||||||
2 | this amendatory Act of 1996, and to all
notices issued | ||||||
3 | on or before the effective date of this amendatory Act | ||||||
4 | of 1996
under subsection (a) of Section 903, subsection | ||||||
5 | (a) of Section 904,
subsection (e) of Section 909, or | ||||||
6 | Section 912.
A taxpayer that is a "financial | ||||||
7 | organization" that engages in any transaction
with an | ||||||
8 | affiliate shall be a "financial organization" for all | ||||||
9 | purposes of this
Act.
| ||||||
10 | (E) For all tax years beginning on or
before | ||||||
11 | December 31, 1996, a taxpayer that falls within the | ||||||
12 | definition
of a
"financial organization" under | ||||||
13 | subparagraphs (B) or (C) of this paragraph, but
who | ||||||
14 | does
not fall within the definition of a "financial | ||||||
15 | organization" under the Proposed
Regulations issued by | ||||||
16 | the Department of Revenue on July 19, 1996, may
| ||||||
17 | irrevocably elect to apply the Proposed Regulations | ||||||
18 | for all of those years as
though the Proposed | ||||||
19 | Regulations had been lawfully promulgated, adopted, | ||||||
20 | and in
effect for all of those years. For purposes of | ||||||
21 | applying subparagraphs (B) or
(C) of
this
paragraph to | ||||||
22 | all of those years, the election allowed by this | ||||||
23 | subparagraph
applies only to the taxpayer making the | ||||||
24 | election and to those members of the
taxpayer's unitary | ||||||
25 | business group who are ordinarily required to | ||||||
26 | apportion
business income under the same subsection of | ||||||
27 | Section 304 of this Act as the
taxpayer making the | ||||||
28 | election. No election allowed by this subparagraph | ||||||
29 | shall
be made under a claim
filed under subsection (d) | ||||||
30 | of Section 909 more than 30 days after the
effective | ||||||
31 | date of this amendatory Act of 1996.
| ||||||
32 | (F) Finance Leases. For purposes of this | ||||||
33 | subsection, a finance lease
shall be treated as a loan | ||||||
34 | or other extension of credit, rather than as a
lease,
| ||||||
35 | regardless of how the transaction is characterized for | ||||||
36 | any other purpose,
including the purposes of any |
| |||||||
|
|||||||
1 | regulatory agency to which the lessor is subject.
A | ||||||
2 | finance lease is any transaction in the form of a lease | ||||||
3 | in which the lessee
is treated as the owner of the | ||||||
4 | leased asset entitled to any deduction for
| ||||||
5 | depreciation allowed under Section 167 of the Internal | ||||||
6 | Revenue Code.
| ||||||
7 | (9) Fiscal year. The term "fiscal year" means an | ||||||
8 | accounting period of
12 months ending on the last day of | ||||||
9 | any month other than December.
| ||||||
10 | (10) Includes and including. The terms "includes" and | ||||||
11 | "including" when
used in a definition contained in this Act | ||||||
12 | shall not be deemed to exclude
other things otherwise | ||||||
13 | within the meaning of the term defined.
| ||||||
14 | (11) Internal Revenue Code. The term "Internal Revenue | ||||||
15 | Code" means the
United States Internal Revenue Code of 1954 | ||||||
16 | or any successor law or laws
relating to federal income | ||||||
17 | taxes in effect for the taxable year.
| ||||||
18 | (12) Mathematical error. The term "mathematical error" | ||||||
19 | includes the
following types of errors, omissions, or | ||||||
20 | defects in a return filed by a
taxpayer which prevents | ||||||
21 | acceptance of the return as filed for processing:
| ||||||
22 | (A) arithmetic errors or incorrect computations on | ||||||
23 | the return or
supporting schedules;
| ||||||
24 | (B) entries on the wrong lines;
| ||||||
25 | (C) omission of required supporting forms or | ||||||
26 | schedules or the omission
of the information in whole | ||||||
27 | or in part called for thereon; and
| ||||||
28 | (D) an attempt to claim, exclude, deduct, or | ||||||
29 | improperly report, in a
manner
directly contrary to the | ||||||
30 | provisions of the Act and regulations thereunder
any | ||||||
31 | item of income, exemption, deduction, or credit.
| ||||||
32 | (13) Nonbusiness income. The term "nonbusiness income" | ||||||
33 | means all income
other than business income or | ||||||
34 | compensation.
| ||||||
35 | (14) Nonresident. The term "nonresident" means a | ||||||
36 | person who is not a
resident.
|
| |||||||
|
|||||||
1 | (15) Paid, incurred and accrued. The terms "paid", | ||||||
2 | "incurred" and
"accrued"
shall be construed according to | ||||||
3 | the method of accounting upon the basis
of which the | ||||||
4 | person's base income is computed under this Act.
| ||||||
5 | (16) Partnership and partner. The term "partnership" | ||||||
6 | includes a syndicate,
group, pool, joint venture or other | ||||||
7 | unincorporated organization, through
or by means of which | ||||||
8 | any business, financial operation, or venture is carried
| ||||||
9 | on, and which is not, within the meaning of this Act, a | ||||||
10 | trust or estate
or a corporation; and the term "partner" | ||||||
11 | includes a member in such syndicate,
group, pool, joint | ||||||
12 | venture or organization.
| ||||||
13 | The term "partnership" includes any entity, including | ||||||
14 | a limited
liability company formed under the Illinois
| ||||||
15 | Limited Liability Company Act, classified as a partnership | ||||||
16 | for federal income tax purposes.
| ||||||
17 | The term "partnership" does not include a syndicate, | ||||||
18 | group, pool,
joint venture, or other unincorporated | ||||||
19 | organization established for the
sole purpose of playing | ||||||
20 | the Illinois State Lottery.
| ||||||
21 | (17) Part-year resident. The term "part-year resident" | ||||||
22 | means an individual
who became a resident during the | ||||||
23 | taxable year or ceased to be a resident
during the taxable | ||||||
24 | year. Under Section 1501(a)(20)(A)(i) residence
commences | ||||||
25 | with presence in this State for other than a temporary or | ||||||
26 | transitory
purpose and ceases with absence from this State | ||||||
27 | for other than a temporary or
transitory purpose. Under | ||||||
28 | Section 1501(a)(20)(A)(ii) residence commences
with the | ||||||
29 | establishment of domicile in this State and ceases with the
| ||||||
30 | establishment of domicile in another State.
| ||||||
31 | (18) Person. The term "person" shall be construed to | ||||||
32 | mean and include
an individual, a trust, estate, | ||||||
33 | partnership, association, firm, company,
corporation, | ||||||
34 | limited liability company, or fiduciary. For purposes of | ||||||
35 | Section
1301 and 1302 of this Act, a "person" means (i) an | ||||||
36 | individual, (ii) a
corporation, (iii) an officer, agent, or |
| |||||||
|
|||||||
1 | employee of a
corporation, (iv) a member, agent or employee | ||||||
2 | of a partnership, or (v)
a member,
manager, employee, | ||||||
3 | officer, director, or agent of a limited liability company
| ||||||
4 | who in such capacity commits an offense specified in | ||||||
5 | Section 1301 and 1302.
| ||||||
6 | (18A) Records. The term "records" includes all data | ||||||
7 | maintained by the
taxpayer, whether on paper, microfilm, | ||||||
8 | microfiche, or any type of
machine-sensible data | ||||||
9 | compilation.
| ||||||
10 | (19) Regulations. The term "regulations" includes | ||||||
11 | rules promulgated and
forms prescribed by the Department.
| ||||||
12 | (20) Resident. The term "resident" means:
| ||||||
13 | (A) an individual (i) who is
in this State for | ||||||
14 | other than a temporary or transitory purpose during the
| ||||||
15 | taxable year; or (ii) who is domiciled in this State | ||||||
16 | but is absent from
the State for a temporary or | ||||||
17 | transitory purpose during the taxable year;
| ||||||
18 | (B) The estate of a decedent who at his or her | ||||||
19 | death was domiciled in
this
State;
| ||||||
20 | (C) A trust created by a will of a decedent who at | ||||||
21 | his death was
domiciled
in this State; and
| ||||||
22 | (D) An irrevocable trust, the grantor of which was | ||||||
23 | domiciled in this
State
at the time such trust became | ||||||
24 | irrevocable. For purpose of this subparagraph,
a trust | ||||||
25 | shall be considered irrevocable to the extent that the | ||||||
26 | grantor is
not treated as the owner thereof under | ||||||
27 | Sections 671 through 678 of the Internal
Revenue Code.
| ||||||
28 | (21) Sales. The term "sales" means all gross receipts | ||||||
29 | of the taxpayer
not allocated under Sections 301, 302 and | ||||||
30 | 303.
| ||||||
31 | (22) State. The term "state" when applied to a | ||||||
32 | jurisdiction other than
this State means any state of the | ||||||
33 | United States, the District of Columbia,
the Commonwealth | ||||||
34 | of Puerto Rico, any Territory or Possession of the United
| ||||||
35 | States, and any foreign country, or any political | ||||||
36 | subdivision of any of the
foregoing. For purposes of the |
| |||||||
|
|||||||
1 | foreign tax credit under Section 601, the
term "state" | ||||||
2 | means any state of the United States, the District of | ||||||
3 | Columbia,
the Commonwealth of Puerto Rico, and any | ||||||
4 | territory or possession of the
United States, or any | ||||||
5 | political subdivision of any of the foregoing,
effective | ||||||
6 | for tax years ending on or after December 31, 1989.
| ||||||
7 | (23) Taxable year. The term "taxable year" means the | ||||||
8 | calendar year, or
the fiscal year ending during such | ||||||
9 | calendar year, upon the basis of which
the base income is | ||||||
10 | computed under this Act. "Taxable year" means, in the
case | ||||||
11 | of a return made for a fractional part of a year under the | ||||||
12 | provisions
of this Act, the period for which such return is | ||||||
13 | made.
| ||||||
14 | (24) Taxpayer. The term "taxpayer" means any person | ||||||
15 | subject to the tax
imposed by this Act.
| ||||||
16 | (25) International banking facility. The term | ||||||
17 | international banking
facility shall have the same meaning | ||||||
18 | as is set forth in the Illinois Banking
Act or as is set | ||||||
19 | forth in the laws of the United States or regulations of
| ||||||
20 | the Board of Governors of the Federal Reserve System.
| ||||||
21 | (26) Income Tax Return Preparer.
| ||||||
22 | (A) The term "income tax return preparer"
means any | ||||||
23 | person who prepares for compensation, or who employs | ||||||
24 | one or more
persons to prepare for compensation, any | ||||||
25 | return of tax imposed by this Act
or any claim for | ||||||
26 | refund of tax imposed by this Act. The preparation of a
| ||||||
27 | substantial portion of a return or claim for refund | ||||||
28 | shall be treated as
the preparation of that return or | ||||||
29 | claim for refund.
| ||||||
30 | (B) A person is not an income tax return preparer | ||||||
31 | if all he or she does
is
| ||||||
32 | (i) furnish typing, reproducing, or other | ||||||
33 | mechanical assistance;
| ||||||
34 | (ii) prepare returns or claims for refunds for | ||||||
35 | the employer by whom he
or she is regularly and | ||||||
36 | continuously employed;
|
| |||||||
|
|||||||
1 | (iii) prepare as a fiduciary returns or claims | ||||||
2 | for refunds for any
person; or
| ||||||
3 | (iv) prepare claims for refunds for a taxpayer | ||||||
4 | in response to any
notice
of deficiency issued to | ||||||
5 | that taxpayer or in response to any waiver of
| ||||||
6 | restriction after the commencement of an audit of | ||||||
7 | that taxpayer or of another
taxpayer if a | ||||||
8 | determination in the audit of the other taxpayer | ||||||
9 | directly or
indirectly affects the tax liability | ||||||
10 | of the taxpayer whose claims he or she is
| ||||||
11 | preparing.
| ||||||
12 | (27) Unitary business group. The term "unitary | ||||||
13 | business group" means
a group of persons related through | ||||||
14 | common ownership whose business activities
are integrated | ||||||
15 | with, dependent upon and contribute to each other. The | ||||||
16 | group
will not include those members whose business | ||||||
17 | activity outside the United
States is 80% or more of any | ||||||
18 | such member's total business activity; for
purposes of this | ||||||
19 | paragraph and clause (a)(3)(B)(ii) of Section 304,
| ||||||
20 | business
activity within the United States shall be | ||||||
21 | measured by means of the factors
ordinarily applicable | ||||||
22 | under subsections (a), (b), (c), (d), or (h)
of Section
304 | ||||||
23 | except that, in the case of members ordinarily required to | ||||||
24 | apportion
business income by means of the 3 factor formula | ||||||
25 | of property, payroll and sales
specified in subsection (a) | ||||||
26 | of Section 304, including the
formula as weighted in | ||||||
27 | subsection (h) of Section 304, such members shall
not use | ||||||
28 | the sales factor in the computation and the results of the | ||||||
29 | property
and payroll factor computations of subsection (a) | ||||||
30 | of Section 304 shall be
divided by 2 (by one if either
the | ||||||
31 | property or payroll factor has a denominator of zero). The | ||||||
32 | computation
required by the preceding sentence shall, in | ||||||
33 | each case, involve the division of
the member's property, | ||||||
34 | payroll, or revenue miles in the United States,
insurance | ||||||
35 | premiums on property or risk in the United States, or | ||||||
36 | financial
organization business income from sources within |
| |||||||
|
|||||||
1 | the United States, as the
case may be, by the respective | ||||||
2 | worldwide figures for such items. Common
ownership in the | ||||||
3 | case of corporations is the direct or indirect control or
| ||||||
4 | ownership of more than 50% of the outstanding voting stock | ||||||
5 | of the persons
carrying on unitary business activity. | ||||||
6 | Unitary business activity can
ordinarily be illustrated | ||||||
7 | where the activities of the members are: (1) in the
same | ||||||
8 | general line (such as manufacturing, wholesaling, | ||||||
9 | retailing of tangible
personal property, insurance, | ||||||
10 | transportation or finance); or (2) are steps in a
| ||||||
11 | vertically structured enterprise or process (such as the | ||||||
12 | steps involved in the
production of natural resources, | ||||||
13 | which might include exploration, mining,
refining, and | ||||||
14 | marketing); and, in either instance, the members are | ||||||
15 | functionally
integrated through the exercise of strong | ||||||
16 | centralized management (where, for
example, authority over | ||||||
17 | such matters as purchasing, financing, tax compliance,
| ||||||
18 | product line, personnel, marketing and capital investment | ||||||
19 | is not left to each
member). In no event, however, will any | ||||||
20 | unitary business group include members
which are | ||||||
21 | ordinarily required to apportion business income under | ||||||
22 | different
subsections of Section 304 except that for tax | ||||||
23 | years ending on or after
December 31, 1987 this prohibition | ||||||
24 | shall not apply to a unitary business group
composed of one | ||||||
25 | or more taxpayers all of which apportion business income
| ||||||
26 | pursuant to subsection (b) of Section 304, or all of which | ||||||
27 | apportion business
income pursuant to subsection (d) of | ||||||
28 | Section 304, and a holding company of such
single-factor | ||||||
29 | taxpayers (see definition of "financial organization" for | ||||||
30 | rule
regarding holding companies of financial | ||||||
31 | organizations). If a unitary business
group would, but for | ||||||
32 | the preceding sentence, include members that are
| ||||||
33 | ordinarily required to apportion business income under | ||||||
34 | different subsections of
Section 304, then for each | ||||||
35 | subsection of Section 304 for which there are two or
more | ||||||
36 | members, there shall be a separate unitary business group |
| |||||||
|
|||||||
1 | composed of such
members. For purposes of the preceding two | ||||||
2 | sentences, a member is "ordinarily
required to apportion | ||||||
3 | business income" under a particular subsection of Section
| ||||||
4 | 304 if it would be required to use the apportionment method | ||||||
5 | prescribed by such
subsection except for the fact that it | ||||||
6 | derives business income solely from
Illinois. If the | ||||||
7 | unitary business group members' accounting periods differ,
| ||||||
8 | the common parent's accounting period or, if there is no | ||||||
9 | common parent, the
accounting period of the member that is | ||||||
10 | expected to have, on a recurring basis,
the greatest | ||||||
11 | Illinois income tax liability must be used to determine | ||||||
12 | whether to
use the apportionment method provided in | ||||||
13 | subsection (a) or subsection (h) of
Section 304. The
| ||||||
14 | prohibition against membership in a unitary business group | ||||||
15 | for taxpayers
ordinarily required to apportion income | ||||||
16 | under different subsections of Section
304 does not apply | ||||||
17 | to taxpayers required to apportion income under subsection
| ||||||
18 | (a) and subsection (h) of Section
304. The provisions of | ||||||
19 | this amendatory Act of 1998 apply to tax
years ending on or | ||||||
20 | after December 31, 1998.
| ||||||
21 | (28) Subchapter S corporation. The term "Subchapter S | ||||||
22 | corporation"
means a corporation for which there is in | ||||||
23 | effect an election under Section
1362 of the Internal | ||||||
24 | Revenue Code, or for which there is a federal election
to | ||||||
25 | opt out of the provisions of the Subchapter S Revision Act | ||||||
26 | of 1982 and
have applied instead the prior federal | ||||||
27 | Subchapter S rules as in effect on July
1, 1982.
| ||||||
28 | (29) Foreign tax haven. | ||||||
29 | (A) Notwithstanding any provision of item (27), | ||||||
30 | any person formed or incorporated in a foreign tax | ||||||
31 | haven may be a member of a unitary business group | ||||||
32 | without regard to where its business activities are | ||||||
33 | conducted. | ||||||
34 | (B) The term "foreign tax haven" includes Andorra, | ||||||
35 | Anguilla, Antigua and Barbuda, Aruba, the Bahamas, | ||||||
36 | Bahrain, Barbados, Belize, Bermuda, British Virgin |
| |||||||
|
|||||||
1 | Islands, Cayman Islands, Cook Islands, Turks and | ||||||
2 | Caicos Islands, Dominica, Gibraltar, Grenada, | ||||||
3 | Guernsey-Sark-Alderney, Isle of Man, Jersey, Liberia, | ||||||
4 | Liechtenstein, Luxemburg, Maldives, Marshall Islands, | ||||||
5 | Monaco, Montserrat, Nauru, Netherlands Antilles, Niue, | ||||||
6 | Panama, Samoa, Seychelles, St. Kitts and Nevis, St. | ||||||
7 | Lucia, St. Vincent and the Grenadines, Tonga, U.S. | ||||||
8 | Virgin Islands, and Vanuatu. | ||||||
9 | (C) The term "foreign tax haven" also includes any | ||||||
10 | foreign country that does not impose a substantial | ||||||
11 | business income tax or other substantial business | ||||||
12 | activity tax, as determined by the Department by rule. | ||||||
13 | (D) The provisions of this item (29) apply to tax | ||||||
14 | years ending on or after December 31, 2004.
| ||||||
15 | (b) Other definitions.
| ||||||
16 | (1) Words denoting number, gender, and so forth,
when | ||||||
17 | used in this Act, where not otherwise distinctly expressed | ||||||
18 | or manifestly
incompatible with the intent thereof:
| ||||||
19 | (A) Words importing the singular include and apply | ||||||
20 | to several persons,
parties or things;
| ||||||
21 | (B) Words importing the plural include the | ||||||
22 | singular; and
| ||||||
23 | (C) Words importing the masculine gender include | ||||||
24 | the feminine as well.
| ||||||
25 | (2) "Company" or "association" as including successors | ||||||
26 | and assigns. The
word "company" or "association", when used | ||||||
27 | in reference to a corporation,
shall be deemed to embrace | ||||||
28 | the words "successors and assigns of such company
or | ||||||
29 | association", and in like manner as if these last-named | ||||||
30 | words, or words
of similar import, were expressed.
| ||||||
31 | (3) Other terms. Any term used in any Section of this | ||||||
32 | Act with respect
to the application of, or in connection | ||||||
33 | with, the provisions of any other
Section of this Act shall | ||||||
34 | have the same meaning as in such other Section.
| ||||||
35 | (Source: P.A. 91-535, eff. 1-1-00; 91-913, eff.
1-1-01; 92-846, |
| |||||||
|
|||||||
1 | eff. 8-23-02.)
| ||||||
2 | Section 99. Effective date. This Act takes effect July 1, | ||||||
3 | 2004.
|