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. 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. : Commonwealth of Massachusetts Collection umass_amherst_libraries; blc; americana Digitizing sponsor : Commonwealth of Massachusetts Collection umass_amherst_libraries; blc; americana Digitizing sponsor Boston Library Consortium Member Libraries Contributor UMass Amherst Libraries Language English Volume . Step 5: On the right side of the page click I am making a Bill Payment under Payment Type (this only pertains to Individual Payment). In Letter Ruling 22-1 (4/26/2022), the Massachusetts Department of Revenue (Department) determined that durable medical supplies, namely a glucose monitoring device, do not treat or cure illness or do not qualify as equipment worn as a correction or substitute for any functioning portion of the body. A second part of the letter says to send in an original signed letter from the social security administration indicating my ID number. 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. 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The feedback will only be used for improving the website. c. 41, s. 111F, Letter Ruling 80-31: Lease and Conditional Sale, Distinguished, Letter Ruling 80-30: Employee and Independent Contractor, Distinguished; Withholding, Letter Ruling 80-29: Engaged in Business in the Commonwealth: Leasing Out Property for Use in Massachusetts; Drop Shipments, Letter Ruling 80-28: Municipal Deferred Compensation Plan, Letter Ruling 80-27: Conversion of Corporate to Nominee Trust, Letter Ruling 80-26: Liquidation of Corporate Trust, Letter Ruling 80-25: Engaged in Business in the Commonwealth: Leasing Out Property for Use in Massachusetts, Letter Ruling 80-24: Phototypesetting Machine, Letter Ruling 80-23: Meals Served by Hospital Cafeteria, Letter Ruling 80-22: Motor Vehicles Use in Interstate Commerce, Letter Ruling 80-21: Grantor Trust: Tax Liability and Filing Requirements, Letter Ruling 80-20: Fuel Tax; Microfilm Recordkeeping, Letter Ruling 80-19: Discounts for Early Payment, Letter Ruling 80-18: Television Adapters for Captioned Programs, Letter Ruling 80-17: Optional Maintenance and Consulting Contracts Name, Letter Ruling 80-16: Computer Hardware and Software: Sales, Leases and Related Services, Letter Ruling 80-15: Required Signatures on Returns, Letter Ruling 80-14: Out-of-State Deliveries, Letter Ruling 80-13: Reporting Requirements of Bank Making Periodic IRA Distributions, Letter Ruling 80-12: Wood-Fueled Heating Systems, Letter Ruling 80-11: Credit for Income Taxes Paid, Letter Ruling 80-9: Gross Income, Waiver of Salary Increase, Letter Ruling 80-8: Installment Sale; Basis Adjustment, Letter Ruling 80-6: U.S. Citizen Residing Abroad, Letter Ruling 80-5: Transfer of Assets by Debtor in Possession; Tax Lien, Letter Ruling 80-4: Reporting Requirements of Corporation in Bankruptcy, Letter Ruling 80-3: Common Carriers Providing Intracity Local Service, Letter Ruling 80-2: Reorganization of Corporate Trust as Corporation, Letter Ruling 80-1: Nexus: Foreign Corporation Acting as Broker of Massachusetts Real Estate, Letter Ruling 79-52: Leases and Assignment of Leases, Letter Ruling 79-51: Sales to Federal Government or Commonwealth, Letter Ruling 79-50: Shipping Containers Leased to Interstate or Foreign Carriers, Letter Ruling 79-49: Cookies and Beverages Sold on a Take-Out Basis, Letter Ruling 79-48: Tax-Sheltered Annuities under IRC s. 403(b), Letter Ruling 79-47: Gratuity Charges for Meals, Letter Ruling 79-46: Massachusetts Contractor with Out-of-State Customers, Letter Ruling 79-45: Installment Sale by Non-Resident; Treatment of Proceeds; Reporting Procedures, Letter Ruling 79-44: Advance Payments of the Earned Income Credit, Letter Ruling 79-41: Industrial Plant and Retail Doughnut Outlet, Distinguished, Letter Ruling 79-40: Reorganization of Corporate Trust as Corporation, Letter Ruling 79-39: Materials Purchased and Consumed by Contractor, Letter Ruling 79-38: Sales for Resale and Casual and Isolated Sales, Distinguished, Letter Ruling 79-37: Cookies Sold by Bakery Stores, Letter Ruling 79-36: Building Materials and Supplies Used in Public Works Projects, Letter Ruling 79-35: Withholding from Bereavement, Letter Ruling 79-34: Lump-Sum Payments to Veterans From a State Pension Plan, Letter Ruling 79-32: Unit Investment Trust, Letter Ruling 79-31: Unit Investment Trust, Letter Ruling 79-30: Rentals of Reusable Containers, Letter Ruling 79-29: Engaged in Business in the Commonwealth, Defined; Installation Charges, Letter Ruling 79-28: Unit Investment Trust, Letter Ruling 79-27: Homemade Beer and Wine, Letter Ruling 79-26: Room Rental Charges Includable in Sales Price of Meals, Letter Ruling 79-25: Limited Partnership and Corporate Trust, Distinguished, Letter Ruling 79-23: Limited Partnership; Non-Resident Individual Parter; Apportionment, Letter Ruling 79-22: Sales to Federal Government or Commonwealth; Medicare Fiscal Intermediaries, Letter Ruling 79-21: Sales to Federal Government or Commonwealth; Engaged in Business in the Commonwealth, Defined, Letter Ruling 79-19: Motor Vehicle Buyer Protection Plan, Letter Ruling 79-18: Wage and Benefit Plan; Deduction for FICA Taxes, Letter Ruling 79-17: Non-Contributory State Pension Paid to a Non-Resident, Letter Ruling 79-15: Medicine and Medical Devices: Blood Diagnostic Products, Letter Ruling 79-14: Limited Partnership and Corporate Trust, Distinguished, Letter Ruling 79-13: Limited Partnership Dealing in Securities; Partners, Individual and Corporate, Resident and Non-Resident, Letter Ruling 79-12: Rubbish Containers and Compaction Units, Letter Ruling 79-11: Employer Contributions to a Simplified Employee Pension Plan, Letter Ruling 79-10: Unit Investment Trust, Letter Ruling 79-9: Unit Investment Trust, Letter Ruling 79-8: Reorganization of Regulated Investment Company as Corporate Trust, Letter Ruling 79-7: Unit Investment Trust, Letter Ruling 79-6: Machinery Used to Furnish Electricity, Letter Ruling 79-5: Vessels of Fifty Ton Burden or Over, Letter Ruling 79-4: Unit Investment Trust, Letter Ruling 79-2: Service Charges on Meals, Letter Ruling 79-1: Liquidation of Trust: Redemption of Units, Offset of Capital Gains and Losses, Letter Ruling 78-16: Corporate Trust; Election to be a Regulated Investment Company, Letter Ruling 78-15: Liquidation of Corporate Trust into Corporate Parent, Letter Ruling 78-14: Regulated Investment Company, Letter Ruling 78-12: State Deferred Compensation Plans, Letter Ruling 78-11: Wages Paid During Calendar Year to Cash Basis Taxpayer, Letter Ruling 78-10: Unit Investment Trust, Letter Ruling 78-9: Unit Investment Trust, Letter Ruling 78-8: Unit Investment Trust, Letter Ruling 78-7: Religious Organizations; Filing Requirements, Letter Ruling 78-6: State, County and Municipal Deferred Compensation Plans, Letter Ruling 78-5: Regulated Investment Company, Letter Ruling 78-4: Security Corporations: Capital Loss Deduction; DISCS, Allocation of Sales, Letter Ruling 78-3: Unit Investment Trust, Letter Ruling 78-2: Bank Repurchase Agreements, Letter Ruling 78-1: Unit Investment Trust, Letter Ruling 77-19: Limited Partnership and Corporate Trust, Distinguished; Non-Resident Corporate Partners, Letter Ruling 77-18: Limited Partnership and Corporate Trust, Distinguished; Non-Resident Corporate Partners, Letter Ruling 77-16: Unit Investment Trust, Letter Ruling 77-15: Net Operating Loss Carryover in a Statutory Merger, Letter Ruling 77-14: Transfer of Installment Obligation to a Corporate Trust in a Reorganization, Letter Ruling 77-13: Automobile Purchased in Massachusetts by a Non-Resident, Letter Ruling 77-12: Withholding from Pay of National Guardsmen, Letter Ruling 77-11: Lump-sum Distribution from a Qualified Pension or Profit Sharing Plan, Letter Ruling 77-10: Credit against Income Tax: Insurance Payments Made Pursuant to Rhode Island Law, Letter Ruling 77-9: Taxation of IRAs; Clarification of T.I.R. Share sensitive information only on official, secure websites. Step 4: In the next two boxes below you will fill in your Tax ID or SSN # twice. Letter Rulings. If you agree with the information, there is no need to contact us. These examinations are known as field audits. You skipped the table of contents section. Your tax resource center for individuals. 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. . 2003, the Massachusetts estate tax is an amount computed using the credit for state death taxes allowed by section 2011 of the Internal Revenue Code in effect on December 31, 2000. c. 65C, 2A. Submit this form to your local assessor with a copy of the IRS exemption letter. Thank you for your website feedback! 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. Don't panic. When a taxpayer wants to use an electronic signature on a form, it must include a statement, either in the cover letter or in the email transmitting the document, that says, to the effect, as . Similarly, our mission includes rulings and regulations, tax policy analysis, communications, and legislative affairs. Once all estate tax due is paid, the Department will issue the Massachusetts Estate Tax Closing Letter and a Certificate Releasing Massachusetts Estate Lien for each piece of real estate. There are 2 main types of audits. 1 Massachusetts Dept. We will use this information to improve this page. The Massachusetts Department of Revenue ( DOR) issued emergency regulation 830 CMR 62C.16.2 (7), which grants extensions on remitting the room occupancy tax and the sales/meals tax and is aimed at assisting small businesses. Your resource for tax counsel, forms, and guidance. While the Department is required by law to send the Notice of Deficiency or Rejection of Refund Claim letter, the main purpose of this letter is to provide you with the following information: Any adjustment made to the return you filed and the detail of that adjustment. 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. 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