08/01/2011 11-15 The Taxpayer was engaged in business in New Mexico for the tax periods from January 2004 through October 2009. The Taxpayer filed gross receipts tax returns for the tax periods, but either reported and deducted the entire amount, or filed zero gross...
Tax Decisions & Orders
Jesus Hernandez
07/27/2011 11-16 The Taxpayer provided services in New Mexico in 2005 and 2006. The Taxpayer failed to file gross receipts tax for those years. The Department determined that the Taxpayer was a non-filer through the federal tape-match with the Schedule C of his...
Economics of Dignity, LLC
07/07/2011 11-14 The Taxpayer is a single-member limited liability company, organized in New Mexico, whose purpose is starting new companies. The Taxpayer created a second limited liability company, World Wide Art Sellers, LLC (WWAS), whose membership included the...
Crystal Gonzales
06/10/2011 11-13 The Taxpayer was a self-employed model during tax years 2005 and 2006. The Taxpayer consulted with H&R Block to prepare her personal income taxes for those years. The Taxpayer’s federal income tax returns included Schedule C forms showing...
Behr Trucking
06/03/2011 11-11 The Taxpayer was engaged in providing hauling services for a construction project in New Mexico in 2006. The Taxpayer did not report or pay gross receipts taxes for 2006. The Department determined that there was a mismatch between Taxpayer’s gross...
Barnesandnoble.com llc
04/11/2011 11-10 The Taxpayer is a limited liability company in good standing organized under the laws of Delaware, with all of its operations, facilities and personnel located outside of New Mexico. The Taxpayer is a leading internet-based retailer of books, music,...
Tindall Corporation
03/17/2011 11-09 The Taxpayer is an “S” corporation, incorporated in South Carolina and doing business in New Mexico. The Taxpayer does not have a retail office, representatives, dealers, or a sales office in New Mexico. The Department conducted an audit of Taxpayer...
Lynette Baldwin
03/15/2011 11-08 The Taxpayer was a state-licensed jockey agent in tax years 2005 and 2006. The Taxpayer believed that her income, a percentage of her jockey-client’s purse earnings, was exempt from gross receipts taxes because she was a “horsemen” for purposes of...
Loranger Construction
03/14/2011 11-07 The Taxpayer was engaged in business in New Mexico in 2005 and 2006, providing installations to other companies, who resold those services to its customers. The Taxpayer did not report the proceeds of those services as part of its gross receipts....
Promoco
03/08/2011 11-06 The Taxpayer, operated a sole proprietorship business, having leased advertising space at the Four Corners Regional Airport in Farmington and re-leased that space to others. The agreement with the City of Farmington included language notifying the...
