of State, Letter Ruling 01-11: Sale of Transportable Dry Storage Systems, Letter Ruling 01-10: Composite Return for Family Partnership with Trust Partners, Letter Ruling 01-9: Financial Institution Excise; Corporate Trusts and QSUBs, Letter Ruling 01-8: Sales Tax Consequences of Aircraft Lease/Financing, Letter Ruling 01-7: Requests for Separate Classification as a Partnership and Security Corporation, Letter Ruling 01-6: Sales Tax Treatment of Certain Clean Room Equipment, Letter Ruling 01-5: Sales of Video Productions, Letter Ruling 01-4: Provision of Administrative Services By Massachusetts Service Provider to Offshore Investment Companies, Letter Ruling 01-3: Application of Sales/Use Tax to Proficiency Testing Materials, Letter Ruling 01-2: Sales and Use Tax Treatment of Magnetic Resonance Imaging Equipment and Services, Letter Ruling 01-1: Reorganization with a QSUB and a General Partnership Parent, Letter Ruling 00-17: Two-Tier RICs; Deduction for U.S. Thank you for your website feedback! Letter Rulings. Please remove any contact information or personal data from your feedback. c. 64H, s. 6(l), Letter Ruling 14-2: Qualification as Mutual Fund Services Corporation under G.L. The feedback will only be used for improving the website. This page is located more than 3 levels deep within a topic. Some page levels are currently hidden. These examinations are known as field audits. If you would like to continue helping us improve Mass.gov, join our user panel to test new features for the site. c. 63, s. 38(l), Letter Ruling 11-7: Sales Tax on Photovoltaic Solar Energy System, Letter Ruling 11-6: Security Corporation, Purchase of Tax Credits, Letter Ruling 11-5: Sales/Use Tax on Pharmaceutical Compounds used in Clinical Trials, Letter Ruling 11-4: MA Sales/Use Tax: Online Services for Prospective Employees, Letter Ruling 11-3: Authentication Services/Digital Certificates, Letter Ruling 11-2: MA Sales/Use Tax; Sales of On-line Services, Letter Ruling 11-1: Sales Tax; Installed Utility Poles, Letter Ruling 10-6: Application of 830 CMR 63.32B.2(8)(f), Limitation on Use of Pre-combination NOL, Letter Ruling 10-5: Applicability of Brownfields Tax Credit to Solid Waste Facility, Letter Ruling 10-4: Sales Tax Exemption for Anaerobic Digestion Systems, Letter Ruling 10-3: Sales Tax on Machinery Used to Construct a Wind Turbine, Letter Ruling 10-2: Application of the Container Exemption, Letter Ruling 10-1: Litigation Support Services, Letter Ruling 99-17: MA Tax Treatment of a Corporate Trust, Its Qualified Subchapter S Subsidiary, and a Non-Massachusetts Single-Member Limited Liability Company Whose Only Member is the Corp Trust, Letter Ruling 99-16: Metered Electricity Used in Manufacturing, Letter Ruling 99-15: Radioactive Seed Implant Procedure, Letter Ruling 99-14: Manufacturing Exemption; Wood Waste Reclamation Facility, Letter Ruling 99-13: Partnership: Classification and Flow-Through of Attributes, Letter Ruling 99-12: Tax Treatment of Digitized Architectural Models, Letter Ruling 99-11: Transcripts sold by Court Reporters, Letter Ruling 99-10: Sales Tax Record Keeping for Special Athletic Event, Letter Ruling 99-9: Sale Lease-Back Agreement, Letter Ruling 99-8: Sales Tax on Banana Ripening Agent and Generator Loans, Letter Ruling 99-7: Application of Economic Opportunity Area Credit under St. 1998, c. 286, Letter Ruling 99-6: Convention Center Financing Surcharges; Sales Price, Letter Ruling 99-5: Nexus Based on the Presence of Leaseholds in Massachusetts, Letter Ruling 99-3: Casual and Isolated Sale of Corporate Assets, Letter Ruling 99-2: Database Access Charges, Letter Ruling 98-20: Use Tax on Antique Purchased Out-of-State, Letter Ruling 98-19: Eligibility of an Electing Small Busness Trust for Inclusion in an S Corporation Composite Return, Letter Ruling 98-18: Sales Taxability of Surgically Implanted Orthopedic Devices, Letter Ruling 98-17: Photofinishing Equipment - Manufacturing Exemption, Letter Ruling 98-16: Application of G.L. Addeddate 2014-09-17 15:07:49.970029 Bookplateleaf 0006 Call number MASS. Turnpike Fuels Excise Refund Program, December Revenue Collections Total $3.839 Billion. Department of Revenue : Free Download, Borrow, and Streaming : Internet Archive Title from cover Skip to main content Internet Archive's 25th Anniversary Logo Internet Archive logo A line drawing of the Internet Archive headquarters building faade. If you would like to continue helping us improve Mass.gov, join our user panel to test new features for the site. Enforcement Division ( 800 ) 392-6089 ( toll-free in Massachusetts ) Child Enforcement. Massachusetts Department of Revenue offered by Massachusetts Department of Revenue Contact DOR Connect with the Massachusetts Department of Revenue (DOR) with MassTaxConnect, by email, phone or in person. c. 63, s. 38(l), Letter Ruling 06-6: Manufacturing Corporation Classification, Letter Ruling 06-5: Supplement to LR 05-2: Water Desalination Plant, Letter Ruling 06-4: Sales Tax Exemption Chapter 64H, Section 6(tt), Letter Ruling 06-3: Application of the Sales and Use Tax to the Construction and Installation of Storage Sheds, Letter Ruling 06-2: MHRTC & IRC 501(c)(3) Organizations, Letter Ruling 05-8: Corporate Nexus/Offshore Company Trading Commodities through Independent Contractor, Letter Ruling 05-7: Sales and Use Tax Nexus, Letter Ruling 05-6: Internet Intermediary, Letter Ruling 05-5: Qualification as a Manufacturing Corporation, Letter Ruling 05-4: Sales/Use Tax Liability of Commercial Real Estate Manager, Letter Ruling 05-3: Declining Balance Co-ownership Program, Letter Ruling 05-2: Water Desalination Plant, Letter Ruling 05-1: Sales Tax on Wound Closure Device, Letter Ruling 04-2: Massachusetts Income Tax Treatment of Nuclear Decommissioning Funds, Letter Ruling 04-1: Sales Tax Consequences of Multi-Product Discount Program, Letter Ruling 03-11: Sales Tax Consequences of Document Processing Services, Letter Ruling 03-10: Sales Tax Consequences of Two Part Printing Process, Letter Ruling 03-9: Machinery Exempt from Local Taxation included in the Non-Income Measure of Corporate Excise, Letter Ruling 03-8: Sales Tax Consequences of Certain Merchandise Exchanges, Letter Ruling 03-7: Sales Tax on Lease Settlements, Letter Ruling 03-6: Personal Tax Treatment of Certain Advanced Refunding Bonds, Letter Ruling 03-5: Composite Returns, QSUB Trust Beneficiaries, Letter Ruling 03-4: Classification of Massachusetts Common Law Trust, Letter Ruling 03-3: Group of Related Partnerships/Composite Filing, Letter Ruling 03-2: Financial Services for Offshore Investment Funds, Letter Ruling 03-1: Granting Permission to File a Composite Return, Letter Ruling 02-12: Qualification as Foreign Research and Development Corporation, Letter Ruling 02-11: Rotisserie Chicken Sold by Restaurant, Letter Ruling 02-10: Sales Use Tax to Deferred Like-Kind Exchange, Letter Ruling 02-9: Taxation and Withholding of MA Lottery, Letter Ruling 02-8: Application of Use Tax to Club Membership Fee, Letter Ruling 02-7: LR 02-7: Reorganization with a QSUB and a Parent LLP, Letter Ruling 02-6: Application of Sales Tax to Kidney Dialysis, Letter Ruling 02-5: Rooms Occupied by Employees of Corporations Exempt from Taxes Under Federal Law, Letter Ruling 02-4: Virtual Queuing Device, Letter Ruling 02-3: Tax Consequences to Shareholders in F Reorganization with Partnership as Parent Entity, Letter Ruling 02-2: "GM Card" Rebate Program, Letter Ruling 02-1: Taxation of the Transfer of a Decedent's MA Property, Letter Ruling 01-15: Electricity Exemption for Two Taxpayers at a Single Billed Meter, Letter Ruling 01-14: Equipment Manufactured "To be Sold", Letter Ruling 01-13: Nonprofit Constructing of Affordable Housing, Letter Ruling 01-12: Engaged in Business; Filing of Massachusetts Business Trust with Sec. 1) A completed copy of your 2007 Federal Income Tax Return including all schedules, attachments and all forms to substantiate any witholding amounts shown on your return. c. 63, s. 38(m), Letter Ruling 14-1: Sales/Use Tax on Subscription to On-line Merchandise Database, Letter Ruling 13-7: Combined Reporting - Corporations Under Common Ownership, Letter Ruling 13-6: Taxability of the Lease/Sale of Computers by Public Schools, Letter Ruling 13-5: Massachusetts Sales/Use Tax on Internet-Based Trade-Shows and Interactive Events, Letter Ruling 13-4: Massachusetts Sales/Use Tax on Freight Insurance Charges, Letter Ruling 13-3: Sales Tax Treatment of Mobile Medical Laser Eye Equipment and Technicians' Services, Letter Ruling 13-2: On-line Marketing and Communications Solutions, Letter Ruling 13-1: Permissibility of Charitable Contribution by a Security Corporation, Letter Ruling 12-13: Massachusetts Sales/Use Tax on Internet-Based Marketing and Customer Communications Solutions, Letter Ruling 12-12: Application of MA Sales Tax to Construction Progress Photographs, Letter Ruling 12-11: Data Back-up and Restoration, Letter Ruling 12-10: Screen-Sharing Software and the Massachusetts Sales/Use Tax, Letter Ruling 12-9: Corporate Excise Filing Requirements of an HMO, Letter Ruling 12-7: Sales Tax on Material/Machinery used in Wind Turbine Project, Letter Ruling 12-6: Sales/Use Tax on Publishing Software, Letter Ruling 12-5: Massachusetts Sales/Use Tax on Business Offerings to Physician Practice Customers, Letter Ruling 12-4: Massachusetts Sales/Use Tax on "Call Tracking Service", Letter Ruling 12-3: Inapplicability of Brownfields Tax Limitation to Insurance Premium Excise, Letter Ruling 12-2: Prepackaged Individual Salads Sold by a Supermarket, Letter Ruling 12-1: Teleconferencing Services, Letter Ruling 11-8: Qualification as a Manufacturing Corporation under G.L. Letter Ruling 17-3: Net Worth Calculation Where Subsidiaries Owned Indirectly Through a Pass-Through Entity, Letter Ruling 17-2: Taxability of an Extended Warranty Contract when purchased with a SmartPhone, Letter Ruling 17-1: Taxability of Charges Involving a Mobile Point of Sale Device Containing Pre-Loaded Software, Letter Ruling 16-3: Taxability of optional service contracts when purchased with taxable computer hardware, Letter Ruling 16-2: Sales of Pollution Control Equipment for use in the operation of an Electricity Generation and Distribution Plant, Letter Ruling 16-1: Application of the Massachusetts Sales Tax to Sales Associated with Employee Rewards Programs, Letter Ruling 15-1: Sales/Use Tax on Sale and Installation of a Ski Lift, Letter Ruling 09-8: "Liquor Store as Caterer", Letter Ruling 09-7: Sales Tax on Medical Devices and Delivery Components, Letter Ruling 09-6: Sales Tax Treatment of Bone Growth Stimulators, Letter Ruling 09-4: Refund of Sales Tax on Returned Merchandise, Letter Ruling 09-3: Impact of Check-the-Box Legislation on Manufacturing Corporation Classification, Letter Ruling 09-2: Sale of Wireless Communication Device in Bundled Transaction, Letter Ruling 09-1: Massachusetts Sales/Use Tax Exemption for Mixed Housing & Commercial Community Project, Letter Ruling 08-14: Machinery and Equipment Used in Quarry Operations, Letter Ruling 08-13: Senior Living Community Project, Letter Ruling 08-12: Exemption for Drugs on Prescription, Letter Ruling 08-11: Taxpayer Domiciled in New York, Resident in Massachusetts, Letter Ruling 08-10: Room Occupancy; Federally Sponsored Corporation, Letter Ruling 08-9: Business Trust/Hospital Construction Project, Letter Ruling 08-8: Taxation of Corporate Jet Employees, Letter Ruling 08-7: Taxation of Qualified Settlement Fund, Letter Ruling 08-6: Use of personal digital devices or Interest browsers for submitting patient prescriptions, Letter Ruling 08-5: Sales of Reports of Individualized Information - G.L. Updated: December 15, 2022 Table of Contents With MassTaxConnect By Email By Phone In Person Check Income Tax Refund Status Translation Help : Commonwealth of Massachusetts Collection umass_amherst_libraries; blc; americana Digitizing sponsor It is true, Massachusetts Department of Revenue wants copies of your W-2s, 1099s, etc. The mission of the Massachusetts Department of Revenue is to achieve maximum compliance. Your resource for tax counsel, forms, and guidance. Massachusetts Department of Revenue entered an unpaid taxes Massachusetts Department of Revenue entered an 'unpaid taxes' account in my credit report at all three credit bureaus. Thank you for your website feedback! We also help cities and towns manage their finances, and administer the Underground Storage Tank Program. Letter Ruling 22-1: Taxability of Continuous Glucose Monitors, Letter Ruling 20-2: Applicability of the Room Occupancy Excise to Complimentary Rooms Provided by a Gaming Establishment, Letter Ruling 20-1: Sales at Cash Registers Located in the Restaurant Areas of a Supermarket, Letter Ruling 18-3: Energy Storage System used at Photovoltaic Electricity Generation Facility, Letter Ruling 18-2: Corporate Excise Treatment of Motor Vehicle Inventory, Letter Ruling 18-1: Impact of Federal 338(h)(10) Election on Certain Corporate Excise Credits, Letter Ruling 14-4: On-Line Compliance and Ethics Training, Letter Ruling 14-3: Application of Massachusetts sales tax to portable medical device under G.L. Department of Revenue. 1975-1, Letter Ruling 77-8: Interest on a Growth Certificate, Letter Ruling 77-7: Abatement of Sales Tax Paid on Stolen Automobile, Letter Ruling 77-6: Rollover Contributions from an IRA to an HR-10 (Keogh) Plan, Letter Ruling 77-5: Meals Served by a Fraternity, Letter Ruling 77-4: Distributions from a Regulated Investment Company: Effect on Basis of Shares, Letter Ruling 77-3: Liquidation of Corporate Trust, Letter Ruling 77-2: Rollover Contributions From an IRA to an HR-10 (Keogh) Plan, Letter Ruling 77-1: Interest on an HR-10 (Keogh) Plan. ) or https:// means youve safely connected to the official website. c. 63, s. 38(f), Letter Ruling 00-3: Computer Sales Inventory Items used for Demonstration, Letter Ruling 00-2: Trade-in of Motor Vehicle, Letter Ruling 00-1: Withholding on Nonperiodic Payments made under a Nonqualified Plan, contact the Massachusetts Department of Revenue. 75 were here. 1 Massachusetts Dept. Massachusetts Tax Information: Massachusetts Department of Revenue PO Box 7010 Boston, MA 02204 Phone: 1-800-392-6089 c. 64H, Letter Ruling 95-1: Sale of Electricity for Warehouse Refrigeration, Letter Ruling 94-9: Sales Tax Exemption for a Product that Enhances Pesticides and Fertilizers, Letter Ruling 94-8: Credit for District of Columbia Unincorporated Franchise Tax, Letter Ruling 94-7: Tax on Sale of an Urban Redevelopment Project, Letter Ruling 94-6: Sales Tax on Sales of Custom Closets, Letter Ruling 94-5: Sales Tax on Various Sales of Floor Coverings, Letter Ruling 94-4: Veterans' Organization Sale of Alcoholic Beverages, Letter Ruling 94-3: Conversion from Mutual to Stock Savings Bank, Letter Ruling 94-2: Security Corporation Sale of a Control Subsidiary, Letter Ruling 94-1: Sales Tax on Electricity Charges Designated as Additional Rent to Commercial Shopping Mall Tenants, Letter Ruling 93-17: Application of Room Occupancy Excise to Rooms Provided by an Educational Institution, Letter Ruling 93-16: Payment of Sales and Use Taxes by Contractor and Subcontractors on Purchases of Tangible Personal Property used as Part of a Government Project, Letter Ruling 93-15: Security Corporation Classification; Products Liability Policy, Letter Ruling 93-14: Classification of a Mutual Fund, Organized Under a "Hub and Spokes" Arrangement, as a Partnership, Letter Ruling 93-13: Sales Tax Treatment of Sports Program Publications Under G.L. Use this button to show and access all levels. An LR is issued to an individual taxpayer with respect to a particular set of facts and represents the position of the Department on those facts only. Forms are available in other formats. During the time period covered by this entry, I had no income from which MA taxes c. 62, s. 7, Letter Ruling 80-62: Sale of Non-Massachusetts Residence, Purchase of Massachusetts Residence, Basis, Letter Ruling 80-61: Sales for Resale; Casual and Isolated Sales, Letter Ruling 80-60: Heat Exchangers: Eligibility for Credit and Exemption, Letter Ruling 80-58: Sales to 501(c)(3) Organizations; Recordkeeping Requirements, Letter Ruling 80-57: Travel Agency Discount Included in Rent, Letter Ruling 80-56: Payments by Partnership to Non-Resident Retiring Partner, Letter Ruling 80-55: Charitable Remainder Annuity Trust with Non-Resident Beneficiary, Letter Ruling 80-54: Losses on Section 1244 Stock, Letter Ruling 80-52: Situs of Sale; Machinery Used in Manufacturing Name, Letter Ruling 80-51: Cassette Tapes of the Bible, Letter Ruling 80-50: Losses on Section 1244 Stock; Deduction of Part B Losses against Part A Income, Letter Ruling 80-49: Sales Price: Payment of Local Property Taxes by Lessee, Letter Ruling 80-48: Casual and Isolated Sales by Charitable Organizations, Letter Ruling 80-47: Medicine and Medical Devices: Non-Prescription Prosthetic Supplies, Letter Ruling 80-46: Meals Provided by Hospital or Educational Institutions, Letter Ruling 80-45: Meal Items Sold By Convenience Stores, Letter Ruling 80-44: Materials Purchased by Construction Contractor, Letter Ruling 80-43: Frozen Pizzas Sold by Restaurant, Letter Ruling 80-42: Massachusetts Industrial Finance Agency Bonds, Letter Ruling 80-41: Nexus: Regulated Investment Company, Letter Ruling 80-40: Rollover from a Qualified Pension Plan to an IRA, Letter Ruling 80-39: Fellowship Payments to Japanese Citizen, Letter Ruling 80-38: Municipal Deferred Compensation Plan, Letter Ruling 80-37: Reporting Requirements for Part-Year Residents, Letter Ruling 80-36: Mooring Leases; Ingredient or Component Parts, Letter Ruling 80-35: Interest on Mini-Market Certificates, Letter Ruling 80-34: Regulated Investment Company, Letter Ruling 80-33: Rollover Between Qualified Pension Plans, Letter Ruling 80-32: Compensation Paid to Injured Personnel Pursuant to G.L. . 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Please do not include personal or contact information. c. 63, s. 1, Letter Ruling 96-6: Is a Sale Leaseback Financing Transaction Subject to Massachusetts Sales and Use Tax, Letter Ruling 96-5: Charges for Gas/Pipeline Transportation, Letter Ruling 96-4: Automobile Re-painting, Letter Ruling 96-3: Applicability of the Sales Tax to Flax Seed Oil, Letter Ruling 96-2: Sales of Malt Beverages by Restaurant Brewery, Letter Ruling 95-13: Liquidation of Corporate Trust into Corporate Parent, Letter Ruling 95-12: Rental of Rooms in a Former Seasonal Motel Converted to Condominiums, Letter Ruling 95-11: Stair Assist Power Bar, Letter Ruling 95-10:Taxation of Gain from Sale of Winning Massachusetts Lottery Ticket, Letter Ruling 95-9: Returnable Gas Containers, Letter Ruling 95-8: Foreign Limited Liability Partnership, Letter Ruling 95-7: Tax Classification of Joint Trading Account Established by a Group of Mutual Funds, Letter Ruling 95-6: MA Tax Consequences of Liquidation of a MA Corporate Trust, Letter Ruling 95-5: Sales and Use Tax Treatment of G.L. Desk audits Department of Revenue. Submit this form to your local assessor with a copy of the IRS exemption letter. A lock icon ( Monthly Reports of Collections and Refunds. In Massachusetts ( me ) a Status letter business with the Department of Revenue TPI. Your browser appears to have cookies disabled. Please let us know how we can improve this page. If you need assistance, please contact the Massachusetts Department of Revenue. Step 7: Four boxes will open up for . Please limit your input to 500 characters. 64H, s. 6(m), Letter Ruling 91-4: Income Tax Treatment of Interest Paid by a Massachusetts Branch of a Federally Chartered Out-of-State Credit Union, Letter Ruling 91-3: Security Corporation Holding Beneficial Interests of a Business Trust, Letter Ruling 91-2: Classification of a Delaware Business Trust as a Foreign Corporation for Massachusetts Tax Purposes, and Nexus, Letter Ruling 91-1: Filing Requirements of an Insurance Company that Redomesticates to Massachusetts During the Taxable Year, Letter Ruling 90-5: Manufacturing Classification of Cogeneration Plant, Letter Ruling 90-4: Sales Taxation of Wigs, Letter Ruling 90-3: Sales Tax Exemption - Magazine, Letter Ruling 90-2: Sales Tax on Television Commercial Encoding and Monitoring Activities, Letter Ruling 90-1: Deeds Excise Applied to Limited Equity Residential Cooperatives, Letter Ruling 89-11: Deliveries To Out-of-State Purchasers, Letter Ruling 89-10: Limited Partnership Interest, Letter Ruling 89-9: Authority Certificates of Participation, 1988 Series, Letter Ruling 89-8: Mutual Holding Companies, Letter Ruling 89-7: Chemicals Used In Photoprocessing, Letter Ruling 89-6: IRC s. 501 Corporation May Not Be Manufacturing or R&D Corporation, Letter Ruling 89-5: Liquidation of RIC Organized as a Corporate Trust, Letter Ruling 89-4: Bank Excise Requires Same Method of Accounting for Massachusetts as Federal, Letter Ruling 89-3: Sale of Videotaped Animation and Purchase of Production Equipment, Letter Ruling 89-2: Security Corporations and Installment Obligations, Letter Ruling 89-1: Military Retirement Benefits, Letter Ruling 88-14: Computer Software Sales, Letter Ruling 88-13: Bank Holding Company Qualifying for Security Corporation Status, Letter Ruling 88-12: Adoption Expenses Qualifying for Exemption Under G.L. Your tax resource center for individuals. DOR manages state taxes and child support. c. 64H, s. 6 (e) and (f), Letter Ruling 88-4: Blood Diagnostic Products, Letter Ruling 88-3: Sales Promotion Package, Letter Ruling 88-2: Limited Partnership, Composite Return, Letter Ruling 88-1: Filing Requirements on Merger of a Domestic Corporation Into a Foreign Corporation, Letter Ruling 87-19: Corporate Trust Qualifying as Regulated Investment Company, Letter Ruling 87-18: Basis of Property Acquired From Decedent, Letter Ruling 87-17: Decedent's interest in marital trust on which inheritance taxes on future interests have been paid, Letter Ruling 87-16: Sale of Building Materials and Supplies in a Turnkey Project for a Local Housing Authority, Letter Ruling 87-15: Merger of State and Out-of-State bank; Taxable Year Reporting Requirements, Letter Ruling 87-14: Corporate Trust Qualifying as Regulated Investment Company - Capital Gains Dividends Paid To Shareholders, Letter Ruling 87-13: Individualized Patient Medication Schedules, Letter Ruling 87-12: Data Processing Services, Letter Ruling 87-11: Stock Savings bank; Conversion to Wholly-Owned Subsidiary of Bank Holding Company, Letter Ruling 87-10: Partnership, Credit to Partners for Taxes Paid Another Jurisdiction, Letter Ruling 87-9: Corporate Trust Alternative Apportionment, Letter Ruling 87-8: Treatment of Pension Plan; Contributions and Benefits, where Governmental Employer "Picked Up" Contributions under Code s. 414(h)(2), Letter Ruling 87-6: Stripped Bonds and Stripped Coupons from Massachusetts Tax-Exempt Securities, Letter Ruling 87-5: Distributions from Share Insurance Fund; Estimated Tax; Changes in Accounting Methods; Cooperative Banks, Letter Ruling 87-4: Reporting Requirements for IRA Custodians and Trustees, Letter Ruling 87-3: Sales of Real Estate held By Corporate Trust, Letter Ruling 87-1: Real Estate Mortgage Investment Conduit (REMIC), Letter Ruling 86-10: Nexus and Public Law 86-272: Solicitation of Sales Non-Resident Salesperson; Automobile Leased by Corporation, Letter Ruling 86-9: Sale-Leaseback of Equipment, Letter Ruling 86-7: Lodge With Dormitories and Private Rooms, Letter Ruling 86-6: Trust Income where Grantor is Owner, Letter Ruling 86-5: Rooms Rented to the Department of Public Welfare, Letter Ruling 86-4: Construction Equipment; Direct Payment Permit, Letter Ruling 86-3: Photograph Retouching, Letter Ruling 86-2: Allocation of Charges for Room, Meals and Recreational Facilities, Letter Ruling 86-1: Security Corporation: Annuities Used to Fund Deterred Compensation Obligations, Letter Ruling 85-70: Property Purchased for Use Outside MA, Letter Ruling 85-69: Repair and remodeling of Fur Garments, Letter Ruling 85-68: Wireless Alarm Systems, Letter Ruling 85-67: Propane Gas sold to Roofers and Welders, Letter Ruling 85-66: Medicine and Medical Devices over the Counter Drugs, Letter Ruling 85-65: Medical History Identification Cards, Letter Ruling 85-63: Reorganization from Corporation to Corporate Trust, Letter Ruling 85-62: IRA Capital Loss Deduction, Letter Ruling 85-61: Computer Access Charges, Letter Ruling 85-60: Drop Shipments, Sales to State and Federally Chartered Credit Unions, Letter Ruling 85-59: Medicine and Medical Devices Infusion Pumps, Letter Ruling 85-58: Newsletters, Advertising Space, Letter Ruling 85-57: Medicine and Medical Devices, Letter Ruling 85-55: Prefabricated Buildings; Sales to Federal Government Or Commonwealth; Sales for Resale, Letter Ruling 85-53: Vessels and Supplies Sold for Commercial Clam Digging Use, Letter Ruling 85-52: Severance Pay Related Employment Outside Massachusetts, Letter Ruling 85-51: Food Preparation Equipment Purchased by Restaurant, Letter Ruling 85-50: Dividends from Corporation Holding MA Muni Bonds, Letter Ruling 85-49: Employee Educational Assistance, Letter Ruling 85-48: Requirement to Make Estimated Tax Payments; Exceptions, Letter Ruling 85-47: Withholding Requirements for Dependent Care Assistance, Sick Pay and Distributions from Qualified Plans, Letter Ruling 85-46: Motor Vehicles Rented by Government Employees, Letter Ruling 85-45: Waste Treatment Chemicals, Letter Ruling 85-44: Dietary Supplements: Brewer's Yeast, Letter Ruling 85-43: Industrial Equipment and Motor Vehicles Sold by Out-of-State Vendor, Letter Ruling 85-41: Telecommunications Equipment, Letter Ruling 85-40: Photoprocessing Equipment; Industrial Plant, Defined; Vendor Registration, Letter Ruling 85-39: Property Purchased for Use in the Commonwealth; Portable Crushing Plant, Letter Ruling 85-38: Alimony and Child Support, Distinguished, Letter Ruling 85-37: Motor Vehicles, Defined: Drill Riggers; Casual and Isolated Sales, Letter Ruling 85-36: Life Insurance Company Excise: Capital Resource Company Act, Letter Ruling 85-34: Sales to 501(c)(3) Organizations, Letter Ruling 85-33: Medicine and Medical Devices: Patient Lifts, Letter Ruling 85-31: Reports Consisting of Personal or Individual Information, Letter Ruling 85-30: Installment Sale: Income Reported in the Year of Sale, Losses on Default, Letter Ruling 85-29: Rental Deduction for Married Couples, Letter Ruling 85-28: U.S. Foreign Service Contributory Annuity, Letter Ruling 85-27: Lease and Installment Sale, Distinguished, Letter Ruling 85-26: Holding Period for Long-Term Capital Gain, Letter Ruling 85-24: Tanning Booths; Franchise Agreements, Letter Ruling 85-23: Security Corporation: Venture Capital Business; Apportionment, Letter Ruling 85-22: Trustee in Bankruptcy: Escrow Accounts, Letter Ruling 85-21: Medicine and Medical Devices: Nocturnal Enuresis Unit, Letter Ruling 85-20: Meals Sold to Government Agencies and 501(c)(3) Organizations, Letter Ruling 85-17: Food Products, Defined: Dietary Aids, Letter Ruling 85-15: Non-Resident Performing Artists and Theater Companies, Letter Ruling 85-14: Tax Sheltered Annuity; Salary Reduction Agreement, Letter Ruling 85-13: Sales Tax Treatment of Commercial Artwork, Letter Ruling 85-12: New York State Contributory Pension; Earned Income and Unemployment Compensation, Distinguished, Letter Ruling 85-11: Telecommunications Equipment, Letter Ruling 85-10: Parties to Leasing Arrangements; Fuel Tax Reporting Requirements, Letter Ruling 85-9: Late Charges; Video Rentals; Membership Fees, Letter Ruling 85-7: Paper Purchased by Law Firm, Letter Ruling 85-6: Recycled Waste Products, Letter Ruling 85-5: Filing Requirements of Limited Partnership, Letter Ruling 85-4: Transfer of Appreciated Securities to Pooled Income Fund, Letter Ruling 85-3: Reorganization of Corporation to Corporate Trust, Letter Ruling 85-2: Meals Purchased by 501(c)(3) Organization, Letter Ruling 84-109: Reporting Requirements for IRA Trustee and Custodians, Letter Ruling 84-107: Reciprocal Agreements for Resident Tax Withholding; Excessive Exemptions, Letter Ruling 84-106: Credit for Taxes Due Other States; City Income Taxes, Distinguished, Letter Ruling 84-105: Individual and Corporate Non-Resident Limited Partners, Letter Ruling 84-104: Sales of Computer Space and Computerized Real Estate Listings; Nexus and Public Law 86-272, Letter Ruling 84-103: Alcoholic Beverages Sold by Veterans' Organization, Letter Ruling 84-102: Sales of Corporate Assets, Letter Ruling 84-101: Homeowners Association, Letter Ruling 84-100: ACRS; Incentive Stock Options; Investment Tax Credit Carryforward; Withholding on Personal Service Contracts; Estimated Tax, Letter Ruling 84-99: Non-Massachusetts Testamentary Trust with Resident Beneficiary, Letter Ruling 84-98: Commercial Annuities, Withholding, Letter Ruling 84-97: Contributions to a Keogh Plan; Lump-Sum Distribution to a Non-Resident, Letter Ruling 84-96: License Reporting Requirements under G.L. 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