WEHRENBERG, INC. v. Director of RevenueWEHRENBERG, INC. v. Director of Revenue
Wehrenberg, Inc., seeks review of an Administrative Hearing Commission (“AHC”) decision determining that the sale of food at Wehrenberg’s movie theaters is not subject to the reduced sales tax rate for food established in
FACTS
Wehrenberg operates twelve movie theaters in Missouri. In each theater, Weh-renberg operates concession stands selling food and drinks. The concession items include popcorn, nachos, candy and soda. At four theaters, Wehrenberg operates a restaurant-style concession offering hotdogs, hamburgers, pizza, French fries, and similar items.
Wehrenberg charged its customers the four percent state sales tax imposed by section 144.020. Wehrenberg then filed a sales tax refund claim with the Director of Revenue asserting that the concession items should have been taxed at the one percent rate set forth in
This Court has jurisdiction to review the AHC’s decision pursuant to
Section 144.020 imposes a four percent state sales tax on the retail sale of tangible personal property, including food.
To avoid this conclusion, Wehren-berg argues that the relevant inquiry is not whether the items are intended for home consumption, but whether items such as popcorn or nachos are “types of food” for which food stamps may be redeemed. Wehrenberg’s argument is premised on the assertion that
CONCLUSION
The decision of the AHC is affirmed.