As used in ORS 317.705 to 317.715:
- (1) “Affiliated group” means an affiliated group of corporations as defined in section 1504 of the Internal Revenue Code.
- (2) “Unitary group” means a corporation or group of corporations engaged in business activities that constitute a unitary business.
(3)
(a) “Unitary business” means a business enterprise in which there exists directly or indirectly between the members or parts of the enterprise a sharing or exchange of value as demonstrated by:
- (A) Centralized management or a common executive force;
- (B) Centralized administrative services or functions resulting in economies of scale; or
- (C) Flow of goods, capital resources or services demonstrating functional integration.
(b) “Unitary business” may include, but is not limited to, a business enterprise the activities of which:
- (A) Are in the same general line of business (such as manufacturing, wholesaling or retailing); or
- (B) Constitute steps in a vertically integrated process (such as the steps involved in the production of natural resources, which might include exploration, mining, refining and marketing).
- (c) Whether two or more corporations that are included in the same consolidated federal return are engaged in a unitary business may be determined by making reference to any corporation that is owned or controlled directly or indirectly by the same interests.
[1984 c.1 §4; 1985 c.802 §30a; 1997 c.325 §45; 2007 c.323 §1; 2017 c.181 §1]