86 Ill. Adm. Code 131.110
Remote Retailers – General Provisions
Section 131.110 Remote
Retailers – General Provisions
a) On and after January 1, 2021, a remote
retailer that meets either of the thresholds in Section 131.115(a) is
considered a retailer engaged in the occupation of selling at retail in
Illinois for purposes of the ROTA and is liable for all applicable State and
local retailers' occupation taxes administered by the Department on all retail
sales shipped or delivered to Illinois purchasers.
b) Remote retailers are deemed to be engaged
in the business of selling at the Illinois location to which the tangible
personal property is shipped or delivered or at which possession is taken by
the purchaser. State and local retailers' occupation taxes are incurred at the
rate in effect at this location. (See Section 131.155.)
c) Provisions of this Part – when not
applicable. The provisions of this part do not apply to remote retailers who
exclusively make nontaxable sales (i.e., 100% of their sales to Illinois
purchasers are exempt). If a remote retailer makes any taxable sales, however,
the provisions of this Part apply, and it must determine whether it meets
either of the tax remittance thresholds in Section 131.115. The rules provided
in Section 131.120 must be applied when making this determination.
EXAMPLE:
If Remote Retailer A's only activities are sales of exempt manufacturing
machinery and equipment to Illinois manufacturers, the provisions of this Part
do not apply, and it is not required to register with the Department and file
returns. If Remote Retailer A makes any taxable sales, however, the provisions
of this Part apply, and it must determine whether it meets either of the tax
remittance thresholds in Section 131.115. The rules provided in Section
131.120 must be applied when making this determination. For example, for
purposes of determining if it has met either of the tax remittance thresholds,
it must include its exempt sales as provided in Section 131.120(b)(5).
d) Remote retailers are often multichannel
retailers. That is, they may also sell their products through a marketplace
and so are considered marketplace sellers. Marketplace facilitators required
to register with the Department, as provided in Section 131.135, incur State
and local retailers' occupation taxes on sales made to Illinois purchasers on
behalf of remote retailers making sales over the marketplace. Remote retailers
do not incur tax on these sales. (See Section 131.150.)
e) Beginning February 1, 2022, sales of
tangible personal property that is required to be titled or registered with an
agency of the State of Illinois, including motor vehicles, watercraft,
aircraft, and trailers, that are made by remote retailers to purchasers in
Illinois are subject to the provisions of this Part.
1) When a retailer located outside
of Illinois ships or delivers titled or registered items to purchasers in
Illinois using its own delivery vehicle the delivery vehicle establishes a
physical presence in Illinois and the retailer is a retailer maintaining a
place of business in this State. In this situation, until January 1, 2025, the
retailer incurs only a Use Tax collection obligation on the transaction. On and
after January 1, 2025, such retailer incurs State and local retailers'
occupation taxes at the rate in effect at the address to which the titled or
registered item is delivered ("destination sourcing").
2) In addition, for a transaction in which an
Illinois purchaser travels to an
out-of-State
location to take possession of an item that is required to be titled or
registered with an agency of the State of Illinois, the provisions of this Part
do not apply. In
this case
, only Use Tax is
incurred
by the Illinois purchaser
.
f) Examples.
EXAMPLE
1: On December 31, 2020, ABC Wines, an Illinois Liquor Control Commission
Winery Shipper's License holder located in New York that has no physical
presence in Illinois, determines that it has made sales to Illinois purchasers
for the preceding 12 months that exceed $100,000. Beginning January 1, 2021, ABC
Wines must collect and remit State and local retailers' occupation tax in
effect at the Illinois address to which its products are shipped or delivered
or at which possession is taken by the purchaser ("destination
sourcing") for sales to Illinois purchasers for one year.
EXAMPLE
2: Ponchos for Pooches.com is a retailer of rain gear for dogs. Its sales are
made exclusively from its manufacturing facility in Portland, Oregon. It has
no physical presence in Illinois. Its annual gross receipts from sales to
Illinois purchasers exceed $100,000. Ponchos for Pooches.com is a remote
retailer and is required to register with the Department and remit State and
local retailers' occupation taxes in effect at the address to which its
products are shipped or delivered or at which possession is taken by the
purchaser ("destination sourcing").
EXAMPLE
3: Rain gear sold to Illinois purchasers by Ponchos for Pooches.com has
skyrocketed. As a result, the company has begun sending sales representatives
to Illinois to market its products through local pet stores. As a result of
these activities, Ponchos for Pooches.com is no longer considered a remote
retailer because it has a physical presence in Illinois due to the presence of
its sales reps. At this point, through December 31, 2024
,
its tax liability changes. It no longer incurs
State and local retailers' occupation taxes on its sales. It instead incurs an
obligation to collect and remit only the Use Tax (6.25%) on its sales through
December 31, 2024.
On and after January 1, 2025,
Ponchos for Pooches.com incurs State and local retailers' occupation taxes at
the rate in effect at the address to which its products are shipped or delivered
or at which possession is taken by the purchaser ("destination
sourcing").
EXAMPLE
4: Ponchos for Pooches.com has become so popular with Illinois purchasers that
the company decides to open up a manufacturing facility in Illinois. Sales to
Illinois purchasers are sometimes fulfilled from this facility. For all sales
to Illinois purchasers that are fulfilled from its Illinois manufacturing
facility, Ponchos for Pooches.com incurs State and local retailers' occupation
taxes in effect at the location of the manufacturing facility ("origin
sourcing"). In addition, through December 31, 2024
,
Ponchos for Pooches.com incurs only a Use Tax collection obligation
(6.25%) on sales made from its Oregon manufacturing facility. As illustrated in
Example 3, Ponchos for Pooches.com is not considered a remote retailer because
it has a physical presence in Illinois (its manufacturing facility).
On and after January 1, 2025, for
sales made from its Oregon manufacturing facility, Ponchos for Pooches.com
incurs State and local retailers' occupation taxes at the address to which its
products are shipped or delivered or at which possession is taken by the
purchaser ("destination sourcing").
EXAMPLE
5: Ponchos for Pooches.com decides to sell its products over a marketplace.
The marketplace meets the tax remittance requirements of Section 131.135(a) and
so is required to remit State and local retailers' occupation taxes to the
Department on all sales made over its marketplace to Illinois purchasers by its
marketplace sellers. Ponchos for Pooches.com is not responsible for reporting
and remitting tax on sales made over the marketplace. As provided in Example 4,
Ponchos for Pooches.com maintains a physical presence in Illinois due to its
manufacturing facility. Ponchos for Pooches.com incurs State and local
retailers' occupation taxes for all sales it makes to Illinois purchasers
outside the marketplace that are fulfilled from its Illinois manufacturing
facility ("origin sourcing"). In addition, through December 31, 2024
,
Ponchos for Pooches.com incurs only a Use Tax
collection obligation (6.25%) on sales it makes outside the marketplace to
Illinois purchasers that are fulfilled from its Oregon manufacturing facility.
On and after January 1, 2025, for sales made from its
Oregon manufacturing facility, Ponchos for Pooches.com incurs State and local
retailers' occupation taxes at the address to which its products are shipped or
delivered or at which possession is taken by the purchaser ("destination
sourcing").