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    (a)    A rebuttable presumption exists that any sale in the State is subject to the sales and use tax imposed under § 11–102(a)(1) of this subtitle.

    (b)    The person required to pay the sales and use tax has the burden of proving that a sale in the State is not subject to the sales and use tax.

    (c)    The retail sale of a digital code or digital product shall be presumed to be made in the state in which the customer tax address is located.