08 November 2019 Ohio restores eligibility for business income deduction to legal and lobbying businesses, adopts other tax changes On November 6, 2019, Ohio Governor Mike DeWine signed Substitute Senate Bill 26 (SB 26), which restores the business income deduction to individual owners of a law or lobbying firm. In 2015, Ohio, modifying legislation enacted in 2013, adopted what became known as the business income deduction (BID). The BID allows individuals who are sole proprietors or investors in a pass-through entity or S corporation to deduct up to $250,000 ($125,000 if married filing separately) of business income otherwise included in their Ohio individual income tax return. Business income above $250,000 (or $125,000 if married filing separately) is taxed at a flat rate of 3% instead of being subject to the normal graduated Ohio marginal rates that cap at 4.997%. The BID came under scrutiny in the last biennial legislative cycle with a proposal to lower the deductible amount to $100,000 of business income and repeal the 3% flat rate on income above that threshold, subjecting such income to the normal marginal tax rates. The final version of the budget legislation, Amended Substitute House Bill 166 (HB 166, see Tax Alert 2019-1338), retained the BID for most taxpayers; however, it excluded business income from legal and lobbying services from business income eligible for the BID. There were concerns that this language could operate to deny the BID not only to lawyers or lobbyists, but to individuals or pass-through entities that employed, or even hired, lawyers or lobbyists. In the wake of this uncertainty and concerns that the BID, as amended by HB 166, discriminated against Ohio businesses (and specifically against lawyers and lobbyists), SB 26 restores the BID to its pre-HB 166 form for tax years beginning on or after January 1, 2019. Accordingly, legal and lobbying businesses are again eligible for the BID. However, SB 26 requires taxpayers claiming the deduction to provide North American Industry Classification System codes to identify the type of business for which the BID is being claimed. Presumably, this information is being gathered to allow Ohio to revisit modifications or limitations to the BID at a later date.
In addition, SB 26 exempts the sale of feminine hygiene products and prescription diapers or incontinence pads covered by Medicaid from sales/use tax. The sales/use tax provisions are effective beginning on the first day of the first month that begins at least 30 days after the effective date of this Act. Under Ohio law, an Act is effective 90 days after it is filed with the Secretary of State. As such, it appears that these new sales/use tax provisions will be effective April 1, 2020. Taxpayers claiming the BID must be cognizant of the informational reporting requirements required by SB 26. EY will continue to monitor and report on developments in this area.
Document ID: 2019-2005 | |||||