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This document is an advisory opinion issued by the New York State Department of Taxation and Finance analyzing the application of sales and use tax laws as it pertains to artistic renderings and related
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Obtain a copy of Advisory Opinion TSB-A-98(43)S from the official website or relevant authority.
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Review the instructions included with the Advisory Opinion.
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Gather necessary information related to your specific inquiry or situation.
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Who needs Advisory Opinion TSB-A-98(43)S?

01
Individuals or businesses seeking clarification on tax regulations in New York.
02
Taxpayers who want an official interpretation regarding specific tax issues.
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Entities that require guidance on their tax obligations as per the Advisory Opinion.
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People Also Ask about

Generally, if an interior designer is providing a service that results in a tangible product, such as the sale of furniture or fixtures, those sales may be subject to sales tax. However, the actual design services, where no tangible personal property is transferred, are typically not taxable.
In NYS, sales tax applies to two main categories for contractors: repairs and maintenance, and installation services. Repairs and maintenance are subject to tax when they involve fixing or maintaining existing systems or structures, such as repairing damaged roof shingles or fixing a broken railing.
Advisory opinions are issued at the request of any person who is or may be subject to a tax or liability under the Tax Law or claiming exemption from such a tax or liability, and are binding upon the commissioner for that person only.
Diamond sales tax details The minimum combined 2025 sales tax rate for Diamond, New York is 8.0%. This is the total of state, county, and city sales tax rates. The New York sales tax rate is currently 4.0%. The Diamond sales tax rate is 0%.
Introduction. Sales of tangible personal property are subject to New York sales tax unless they are specifically exempt. Sales of services are generally exempt from New York sales tax unless they are specifically taxable.
Generally, if an interior designer is providing a service that results in a tangible product, such as the sale of furniture or fixtures, those sales may be subject to sales tax. However, the actual design services, where no tangible personal property is transferred, are typically not taxable.
A Letter Ruling is a written document that states the Department of Finance's position on how a law is applied to a specific set of facts submitted by the taxpayer. A Letter Ruling may be requested for any tax or charge that we administer. Our Legal Division issues Letter Rulings on behalf of the Finance Commissioner.
Your graphic design services would generally be considered non-taxable services under California law. The digital files you create and deliver electronically to your clients would generally not be subject to sales tax. However, there may be exceptions depending on the specific circumstances.

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Advisory Opinion TSB-A-98(43)S is a formal guidance document issued by the New York State Department of Taxation and Finance that provides interpretation of tax laws related to specific issues or transactions.
Taxpayers who seek clarification on the tax implications of specific transactions or situations related to the guidance provided in TSB-A-98(43)S are required to file for an advisory opinion.
To fill out Advisory Opinion TSB-A-98(43)S, taxpayers must provide detailed information about their specific transaction, including the relevant facts and the tax questions they have, and submit it to the New York State Department of Taxation and Finance.
The purpose of Advisory Opinion TSB-A-98(43)S is to provide clarity and legal interpretation regarding certain tax-related situations, helping taxpayers understand their obligations and rights under the law.
The information that must be reported includes a description of the specific transaction, the relevant tax statutes or regulations, any prior correspondence with the Department of Taxation and Finance, and the specific questions or issues the taxpayer wants guidance on.
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