‘Cookie nexus’ does not constitute physical presence for Commerce Clause purposes in pre-Wayfair periods, the Massachusetts Appellate Tax Board (ATB) stated in its finding of facts and report released on December 7. The ATB also rejected the Department of Revenue’s alternative argument that the Wayfair decision should be applied retroactively.
Source PwC
Latest Posts in "United States"
- Unseen Costs: Managing Sales & Use Tax Risks in Renewable Energy Project Development
- Colorado Updates Sales Tax Return Filing Thresholds and Schedules Effective April 2026
- South Carolina Rules Amazon Liable for Pre-Wayfair Sales Tax on Third-Party Marketplace Transactions
- Indiana Launches Tax Amnesty Program for Unpaid Liabilities, Filing Open July–September 2026
- Arizona – New Law Addresses Penny Shortage and Required Rounding in Cash Transactions














