Or. Admin. R. 150-314-0455
(3) Definitions. The following definitions are applicable to the terms contained in this rule.
(4) Apportionment of Apportionable Income.
(a) The Property Factor.
(B) Property Factor Numerator.
(iii) Outer-jurisdictional property will be considered to have been used by the taxpayer in its business activities within this state when such property, wherever located, has been employed by the taxpayer in any manner in the publishing, sale, licensing or other distribution of books, newspapers, magazines, or other printed material and any data, voice, image, or other information is transmitted to or from this state either through an earth station or terrestrial facility located in this state.
Example: One example of the use of outer-jurisdictional property is where the taxpayer either owns its own communications satellite or leases the use of uplinks, downlinks or circuits, or time on a communications satellite for the purpose of sending messages to its newspaper printing facilities or employees in a state. The state or states in which any printing facility that receives the satellite communications is located and the state from which the communications were sent would, under this rule, apportion the cost of the owned or rented satellite to their respective property factors based upon the ratio of the in-state use of said satellite to its total usage everywhere.
Assume that ABC Newspaper Co. owns a total of $400,000,000 of property everywhere and that, in addition, it owns and operates a communication satellite for the purpose of sending news articles to its printing plant in this state, as well as for communicating with its printing plants and facilities or news bureaus, employees, and agents located in other states and throughout the world. Also assume that the total value of its real and tangible personal property that was permanently located in this state for the entire income year was valued at $3,000,000. Assume also that the total original cost of the satellite is $100,000,000 for the tax period and that of the 10,000 uplinks and downlinks of satellite transmissions used by the taxpayer during the tax period, 200 or two percent are attributable to its satellite communications received in and sent from this state.
Assume further that the company's mobile property that was used partially within this state, consisting of 40 delivery trucks, was determined to have an original cost of $4,000,000 and such mobile property was used in this state for 95 days.
The total value of property to be attributed to this state would be determined as follows:
Value of property permanently in state: $3,000,000
Value of mobile property:
95/365 (or .260274) x $4,000,000= $1,041,096
Value of leased satellite property used in-state:
.02 x $100,000,000= $2,000,000
Total value of property attributable to state= $6,041,096
Total property factor %: $6,041,096/$500,000,000= 1.2082%
(c) The Sales Factor:
(B) Sales Factor Numerator. The numerator of the sales factor will include all gross receipts of the taxpayer from sources within this state, including, but not limited to, the following:
ORS 305.100 & 314.667
ORS 314.667
REV 68-2017, amend filed 12/22/2017, effective 01/01/2018
Renumbered from 150-314.667-(A), REV 34-2016, f. 8-12-16, cert. ef. 9-1-16
Renumbered from 150-314.670-(A), REV 5-2016, f. & cert. ef. 7-1-16
REV 11-2004, f. 12-29-04, cert. ef. 12-31-04