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Estimated reading time: 6 minutes, 33 seconds

Sales and Use Tax Explained: A Few Minutes With Brian Weaver

Recently, Avalara interviewed tax and technology consultant Brian Weaver, managing partner of Brian Weaver Consulting LLC, a firm serving client needs in transaction taxes, tax technology and taxation systems, and Sarbanes-Oxley (SOX) compliance. Here is what Brian had to say about sales tax compliance, implementing a new tax system, which system is best for an organization, and how to defend tax audits.

Avalara: What type of system/functionality do I need to collect transaction taxes?
Brian Weaver: The right tax system can bring about greater efficiency, a substantial return on investment and reduce potential liabilities. The wrong system can create havoc and a never-ending, fire-fighting environment that no one wants to be a part of.
When it comes to selecting a system to implement, where you are doing business, how you are doing business, the mix of products and services that you currently sell, and taking a look at where the business may be going in the future all need to be considered. Your needs may be very basic, such as rates and some exemption functionality. You don’t need to spend $100,000+ on a system if you do not need all the bells and whistles. Therefore, an objective viewpoint from a knowledgeable source without any bias to any particular system to help make that determination is a great starting point.
 
Avalara: How does an organization know if there are problems in its current transaction tax compliance process and systems?
BW: Customer tax complaints and frequent tax audits may provide an indicator of potential problems, but as the old expression goes, “You don’t know what you don’t know,” and that is how organizations get into serious trouble with transaction taxes.
As a starting point, a diagnostic review is recommended to identify areas of potential transaction tax non-compliance. By reviewing the company’s information sources and systems, conducting interviews, reviewing documentation, data, workflow, and pain points, a good indication of the current state can be obtained. At the conclusion of the diagnostic phase, a diagnostic report will be provided that summarizes the results of the evaluation of the organization’s existing transaction tax policies and procedures, problem areas, and recommendations for enhancing the transaction tax compliance process, including an estimate of the required work effort and the path forward.  
 
Avalara: How can a company streamline and automate the tax compliance process?
BW: Key to this is understanding the current process, data, systems, personnel and workflow to develop a base understanding and identify pain points. Due to the large amount of data that is often in various formats and manually performed steps, the compliance process is typically a great area for internal process improvement. The focus is gathering the right data and using the right tools to streamline the filing of returns, forms and data to the taxing authorities.
 
Avalara: How does a business determine what tax determination system is best for its organization?
BW: Before selecting a software system, you must understand the types of systems available on the market and their capabilities. The selection depends on the organization's tax and business requirements, capabilities of the system, level of automation, and the ability of the users to work with the system. You may need the latest and greatest solution with all the bells and whistles, but the solution has to make sense given the requirements, costs and available resources. Industries such as telecom, and oil and gas have specific requirements that only some tax software solutions can address.
 
Avalara: When implementing a new tax system, what areas should a business look at and what tasks need to be performed?
BW: Before implementing a new tax system, companies must formulate a plan to address how the change will affect the company as a whole, who will be involved in the change, who will be affected by the change and how long the changeover will take. The impact that a transaction tax system has on the company as a whole is often underestimated. Since sales and use taxes affect virtually all financial and business operations, a decision should not be entered into without a thorough plan.
 
Avalara: How does an organization stay compliant with sales and use taxes?
BW: With more than 10,000 taxing jurisdictions in the United States and 200+ countries that impose transaction taxes in a typical year, there are over 1,000 tax rate changes, along with numerous tax law and rule changes. Staying current is a difficult proposition – the right processes, systems and people need to be in place and working, as intended, for the organization to stay compliant. The right tools need to be in place to give the tax department the information it needs to effectively do their jobs. As a starting point, a diagnostic review is recommended to identify areas of potential transaction tax non-compliance. A good indication of the current state can be obtained by reviewing the company’s information sources and systems; conducting interviews; and looking at documentation, data, workflow and pain points.
 
Avalara: In what ways does a company assess how its goods and services are taxed?
BW: Because sales tax can apply to goods and services, you really need to know the basics: what you’re selling, where you’re selling it, how they are sold and in what format. Taxation also varies from state to state; for example, Hawaii, New Mexico and South Dakota impose sales tax on all services, and taxation of digital goods and “bundled” items add complexity to the issue. Therefore, you need to develop a tax matrix that captures every item that can be billed to a customer.
 
Avalara: With all of the remote collection, click-through nexus, affiliate nexus and economic nexus changes, how does a company know if I it’s compliant?
BW: This question is increasingly difficult to answer, as the tax authorities are greatly expanding what they consider nexus to be, and are aggressively pursuing new avenues to compel companies to register and collect their sales taxes. Therefore, you really need to know the same basics as I talked about above.
 
Avalara: How can an entity better manage exemptions and documentation for purchasers and sellers?
BW: Resale/exemption documentation is the number one issue on almost every audit. More states are putting expiration dates on these documents, which requires more frequent review and updating of the files. However, we all know that these types of activities are very far down on everyone’s to-do list, if they ever get attended to at all. This activity requires coordination across several different process areas, including tax, master data and customer set up. Therefore, an organization needs processes in place to collect, enter, and catalog exemption information and documentation, including images of exemption documentation. Yes, there is recurring work in this area, but being proactive now can save a lot of time and frustration later.
 
Avalara: What about defending tax audits?
BW: Tax audits are all about being prepared before you receive the audit notice. A company must have the right systems, processes, people and documentation in place for the period under review before the audit starts, because you can’t go back in time to put these items in place. Tax departments are thinly staffed and can’t invest their time in tracking down documentation when they should be focusing on more value-added tasks. Employing the perspective of an ex-state auditor is a wise investment that can save a lot of time, effort and frustration further down the road.
Ray Bigley
Ray Bigley is the VP Business & Corporate Development at Avalara, responsible for the company's strategic relationships with the accounting community. He has over twenty-five years of management and organizational experience in technology and software organizations. His experience and expertise include positions in senior management, strategy, sales, and compliance with content and mid-market technology companies. Ray spent fifteen years at CCH and CT Corporate, subsidiaries of Wolters Kluwer.
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