NDAC 81-03-09-29
Sales factor - Sales of tangible personal property in this state
Cite as N.D. Admin. Code ยง 81-03-09-29
1.
Gross receipts from sales of tangible personal property, except sales to the United States
government, see section 81-03-09-30, are in this state:
a.
If the property is delivered or shipped to a purchaser within this state regardless of the
free on board point or other conditions of sale; or
b.
If the property is shipped from an office, store, warehouse, factory, or other place of
storage in this state and the taxpayer is not taxable in the state of the purchaser.
2.
Property shall be deemed to be delivered or shipped to a purchaser within this state if the
recipient is located in this state, even though the property is ordered from outside this state.
Example: The taxpayer, with inventory in state A, sold one hundred thousand dollars of
its products to a purchaser having branch stores in several states including this state. The
order for the purchase was placed by the purchaser's central purchasing department located
in state B. Twenty-five thousand dollars of the purchase order was shipped directly to
purchaser's branch store in this state. The branch store in this state is the "purchaser within
this state" with respect to twenty-five thousand dollars of the taxpayer's sales.
3.
Property is delivered or shipped to a purchaser within this state if the shipment terminates in
this state, even though the property is subsequently transferred by the purchaser to another
state.
Example: The taxpayer makes a sale to a purchaser who maintains a central warehouse
in this state at which all merchandise purchases are received. The purchaser reships the
goods to its branch stores in other states for sale. All of the taxpayer's products shipped to the
purchaser's warehouse in this state is property "delivered or shipped to a purchaser within this
state".
4.
The term "purchaser within this state" shall include the ultimate recipient of the property if the
taxpayer in this state, at the designation of the purchaser, delivers to or has the property
shipped to the ultimate recipient within this state.
Example: A taxpayer in this state sold merchandise to a purchaser in state A. Taxpayer
directed the manufacturer or supplier of the merchandise in state B to ship the merchandise to
the purchaser's customer in this state pursuant to purchaser's instructions. The sale by the
taxpayer is "in this state".
5.
When property being shipped by a seller from the state of origin to a consignee in another
state is diverted while en route to a purchaser in this state, the sales are in this state.
Example: The taxpayer, a produce grower in state A, begins shipment of perishable
produce to the purchaser's place of business in state B. While en route, the produce is
diverted to the purchaser's place of business in this state in which state the taxpayer is subject
to tax. The sale by the taxpayer is attributed to this state.
6.
If the taxpayer is not taxable in the state of the purchaser, the sale is attributed to this state if
the property is shipped from an office, store, warehouse, factory, or other place of storage in
this state.
Example: The taxpayer has its head office and factory in state A. It maintains a branch
office and inventory in this state. Taxpayer's only activity in state B is the solicitation of orders
by a resident salesman. All orders by the state B salesman are sent to the branch office in this
state for approval and are filled by shipment from the inventory in this state. Since taxpayer is
immune under Public Law 86-272 from tax in state B, all sales of merchandise to purchasers
in state B are attributed to this state, the state from which the merchandise was shipped.
7.
If a taxpayer whose salesman operates from an office located in this state makes a sale to a
purchaser in another state in which the taxpayer is not taxable and the property is shipped
directly by a third party to the purchaser, the following rules apply:
a.
If the taxpayer is taxable in the state from which the third party ships the property, then
the sale is in such state.
b.
If the taxpayer is not taxable in the state from which the property is shipped, then the sale
is in this state.
Example: The taxpayer in this state sold merchandise to a purchaser in state A. Taxpayer
is not taxable in state A. Upon direction of the taxpayer, the merchandise was shipped
directly to the purchaser by the manufacturer in state B. If the taxpayer is taxable in state
B, the sale is in state B. If the taxpayer is not taxable in state B, the sale is in this state.