23 Va. Admin. Code § 10-120-89
B. Computation of minimum tax and credit. A noncorporate telecommunications company must calculate its minimum tax liability as provided in 23VAC10-120-83. If the income of the noncorporate telecommunications company is deemed to be subject to Virginia income tax under subsection A, the minimum tax liability shall be compared to the income tax liability of the entity computed as if it were a corporation. The minimum tax, income tax, and credit provisions shall be applied as follows:
C. Return preparation. If the income of a telecommunications company is deemed to be subject to Virginia income tax under the provisions of subsection A, it must file a return, marked "RETURN BY NONCORPORATE TELECOMMUNICATIONS COMPANY," each taxable year which contains the following information:
5. A schedule which includes the name, address, tax identification number and proportionate share of the telecommunications company's income and credit taxable to each entity, partner or other person under Virginia law.
Example 1. Telecommunications Company (TC) operates as a partnership with two corporate partners. TC is a calendar year filer for federal income tax purposes. For calendar year 1990, TC has $200,000 in gross receipts. Computing its taxable income as if a corporation, TC has a Virginia taxable income equal to $35,000. TC's minimum tax liability is $2,400 ($200,000 X 1.2%) and its Virginia income tax is $2,100 ($35,000 X 6.0%). Since TC's minimum tax liability exceeds its income tax liability, it is subject to the minimum tax and must pay $300 ($2,400 - 2,100). Because TC is a partnership, its income tax liability is deemed to be paid by its partners.
Example 2. Telecommunications Company (TC) operates as a partnership with two corporate partners. Corp A owns 60% of TC and Corp B owns 40% of TC. TC is a calendar year filer for federal income tax purposes. For calendar year 1990, TC has $200,000 in gross receipts. Computing its taxable income as if a corporation, TC has a Virginia taxable income equal to $50,000. TC's minimum tax liability is $2,400 ($200,000 X 1.2%) and its Virginia income tax is $3,000 ($50,000 X 6.0%). Since TC's income tax liability exceeds its minimum tax liability, it must determine the amount of income tax credit that would be allowable against the tax, if it paid the tax.
The credit is computed as follows:
| Corporate Income Tax (deemed paid by partners) | $3,000 |
| 1.3% of Gross Receipts | 2,600 |
| Credit Base | 400 |
| Credit Percentage for 1990 | x 70% |
| Corporate Income Tax Credit | $280 |
TC would pay no tax and Corp A would be allowed a credit of $168 ($280 X 60%) against its separate tax liability and Corp B would be allowed a credit of $112 ($280 X 40%) against its separate tax liability.
§§ 58.1-203 and 58.1-400.1 of the Code of Virginia.
Derived from VR630-3-400.1 § 10, eff. January 3, 1990.