State Tax, Nexus & Transaction Exposure in Mergers & Acquisitions Webinar
Overview
Navigating the rapidly shifting landscape of state and local taxes requires a comprehensive understanding of evolving nexus standards, modern apportionment rules, and digital economy mandates. In this NASBA-approved CPE webinar, a state tax expert guides accountants through critical statutory changes, ongoing judicial challenges, and practical compliance strategies for multi-state operations. Designed to ground CPAs and tax professionals in modern multi-jurisdictional tax enforcement, this timely session covers key aspects of state tax strategy, including:
- Analyzing evolving income tax nexus rules and administrative pressures surrounding Public Law 86-272 protections
- Evaluate physical vs. economic sales tax nexus thresholds across pre- and post-Wayfair regulatory environments
- Manage state income and withholding tax exposure resulting from a distributed, remote workforce
- Examine market-based sourcing shifts and key litigation including In re: Microsoft Corporation and National Taxpayers Union v. Cal. Franchise Tax Board.
- Assess state tax provisions targeting the digital economy and artificial intelligence under the Internet Tax Freedom Act
This course qualifies for IRS Continuing Education Credit.
Objective
To provide CPAs, finance professionals, and tax accountants with practical knowledge, technical insights, and strategic frameworks needed to resolve state tax exposure, adapt to new apportionment rules, and maintain compliance across complex state jurisdictions.
Emphasis
- Nexus developments and remote workforce issues
– Income tax nexus – P.L. 86-272 under assault
– Sales tax nexus - pre-Wayfair
– Sales tax nexus - post-Wayfair
– Remote workforce issues - Market-based sourcing and apportionment trends
– In re: Microsoft Corporation
– National Taxpayers Union and California Taxpayers Association v. Cal. Franchise Tax Board
– Florida v. California
– Smithfield Packaged Meats Corp. v. Cal. Franchise Tax Board - State taxation of the digital economy
– Internet Tax Freedom Act
– No tax on internet access
– No multiple or discriminatory taxes on electronic commerce - State taxation of artificial intelligence (AI)
Speakers
Lauren Ferrante, Counsel, KTS Law
Lauren Ferrante focuses her practice on state and local taxation. She represents clients at all stages of state and local controversy disputes at the audit, administrative, and judicial levels. She also counsels clients on planning, transactional, and compliance matters with respect to various state and local tax issues. In particular, Lauren has extensive experience defending clients against qui tam (False Claims Act) claims filed in the state tax arena.
Lauren is a prolific author and speaker on state and local tax matters including apportionment, nexus, and tax procedure as well as other state tax issues.
Prior to joining the firm, Lauren was a partner at a national law firm in its Chicago, Illinois office where she concentrated her practice on state and local tax and represented taxpayers in state and local tax controversy disputes. as well as transactional, planning, and compliance matters related to state and local tax issues.
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