A&M Tax Advisory Services, PLLC
会计
Chicago,Illinois 111 位关注者
The expertise you need to navigate the challenges of State and Local Indirect Taxes.
关于我们
A&M Tax Advisory Services, PLLC, a licensed Illinois Certified Public Accounting firm, was launched out of a passion for helping clients understand and navigate the intricacies of State and Local Indirect taxes. A&M is the brainchild of two results-driven colleagues, Anna Marie Alberti Hearn and Margaret Vidales Minor. Anna Marie and Margaret bring their skills and knowledge from more than 40 combined years with Deloitte and Arthur Andersen. A&M has a wealth of knowledge and experience with Sales, Use, Gross Receipts, Lease, and other Specialty taxes, imposed by state, municipal and county taxing jurisdictions nationwide. Whether your business is manufacturing, waste management, retail, technology/software, or services, we have the expertise to help you through the state and local indirect tax issues that come your way. Working with businesses of every size, we adapt to each client individually, as partners and trusted advisors. Our goal is to assist you with the various aspects of sales and use taxes so that you can focus on other issues related to your business. For example, our audit defense services leverage our vast tax technical and industry experience, reducing the time and effort your internal teams spend dealing with the day-to-day tasks related to defense. Our tax recovery reviews provide insight into areas of potential tax overpayment, recovery of identified overpayments which allow the monies to be put to a greater use, and solutions to minimize future overpayments. Core to our services, A&M partners with you to implement, enhance or streamline your Indirect Tax processes and procedures. When you work with A&M you get tax technical expertise combined with the integrity you would expect from trusted advisors. Understanding business need for value and results, while navigating challenges faced in the changing landscape of Indirect Taxes, is what you can expect when working with A&M as your partner.
- 所属行业
- 会计
- 规模
- 2-10 人
- 总部
- Chicago,Illinois
- 类型
- 私人持股
- 创立
- 2021
- 领域
- Audit Defense / Resolution、Tax Recovery、Nexus Reviews、Product and Service Tax Sensitization、Software and Cloud Issues、Voluntary Disclosure、Process Reviews、Letter Rulings 、Taxability Matrices、Exemption and Resale Certificates、Chicago and Cook County Taxes、Manufacturing and Pollution Control Exemptions、Specialty Taxes、Tax Exposure and Remediation Analysis和Tax Registrations
地点
-
主要
US,Illinois,Chicago
A&M Tax Advisory Services, PLLC 员工
动态
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Illinois Tax Tip – Illinois has issued Information Bulletin FY 2025-10 addressing retailers’ tax registration, collection and reporting changes for sales sourced outside of Illinois. Effective January 1, 2025, retailers with any kind of physical presence in Illinois who make sales to Illinois customers that are source outside of Illinois will now be subject to destination-based retailers’ occupation tax (ROT) rather than Use tax. The collection and reporting of tax on related sales will be based on the state and local ROT rate in effect where the tangible personal property is delivered to, or possession is taken by, the purchaser. This creates administration and system changes as retailers will need to register a tax site for each jurisdiction in which they make sales of tangible personal property and properly calculate, collect and report the tax based on the rates imposed in each destination. A process for monitoring of sales to potential new tax jurisdictions and thus requirement to add new tax sites to their Illinois tax account should be implemented. For more details and to read a copy of Information Bulletin FY 2025-10 see: https://lnkd.in/g2BJqpf7 For any questions or assistance: [email protected] or [email protected]
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Vermont Tax Tip – On June 17th, Vermont’s house and senate overrode the governor’s veto of several bills, including ?H.887. Tangible personal property defined under 32 V.S.A. § 9701(7) currently includes prewritten?computer software, however, Sec. G.8 of Act No. 51 (2015) specifically exempted charges for the right to remotely access prewritten computer software from the definition.?Sec. 3 of H.887 expands the definition of tangible personal property to include prewritten computer software regardless of the method in which it is paid for, delivered, or accessed, including remotely or hosted by a vendor or the vendor’s designee, or both. Sec. 4 of H.887 specifically repeals Sec. G.8 noted above.?The effective date for Sec. 3 and 4 is July 1, 2024. For any questions or assistance: [email protected]?or?[email protected] #cpa #SaaS #Vermont #salestax #taxconsulting