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KS P-2004-044 Kansas Retailers' Sales Tax 2004-07-29

Were a Kansas painting contractor's labor charges for decorative painting, faux finishes, and murals on residential interiors subject to sales tax?

Short answer: No. Although K.S.A. 79-3603(p) generally taxed services that apply or install tangible personal property, labor for original construction was exempt. The contractor performed only interior residential decorative painting, faux finishing, and murals and paid sales tax on materials. The Department treated all of that residential interior labor as exempt original-construction labor, which included replacement, remodeling, restoration, renovation, or reconstruction of a residence.

Apply this to your situation

This page answers the general question as of 2004. Ezel answers yours, under current Kansas tax law, with citations.

Currency note: this ruling is from 2004
Subsequent statutory amendments, regulation changes, court decisions, or later rulings may have changed the analysis. Treat this page as historical context, not current tax advice. Verify current law before relying on any specific rule, rate, or position mentioned here.
Disclaimer: This is an official Kansas Department of Revenue Private Letter Ruling (issued under K.A.R. 92-19-59). It binds the Department only as to the specific retailer who requested it and the facts stated; taxpayer-identifying details are redacted. It may not be cited or relied upon as precedent by any other person, and it ceases to be valid if a statute, regulation, or interpretation it relied upon changes substantially. Kansas state and local sales and use taxes are administered centrally by the Department, so there is no self-collected home-rule city tax outside its scope. This summary is informational only and is not legal or tax advice.
About this page: The plain-English summary, reader guidance, and Q&A below were written by Ezel based on the official state tax ruling. The original ruling (linked on this page as a PDF) is the authoritative source for any reliance.
View original ruling (PDF)

Plain-English summary

The contractor's labor charges for interior residential decorative painting, faux finishes, and murals were exempt as original-construction labor.

K.S.A. 79-3603(p) generally taxed services that apply or install tangible personal property. But labor performed in “original construction” was exempt.

The ruling described original construction as including:

  • initial construction of a new building;
  • adding an entire room or floor;
  • completing an unfinished portion of a building; and
  • replacing, remodeling, restoring, renovating, or reconstructing a residence.

Because all of the contractor's work was on residential interiors, the Department treated the labor as exempt original construction. The contractor separately stated that sales tax was paid on the materials.

What this means for you

Residential painting contractors

Separate labor from materials and document that the project is residential work within the original-construction categories described by the ruling.

Decorative and mural painters

The exemption was not limited to ordinary wall paint. On these facts it included decorative painting, faux finishing, and murals performed on residential interiors.

Commercial projects

This ruling rested on the statement that all work was performed on residences. Commercial painting requires a separate analysis and should not be assumed exempt from this PLR.

Common questions

Q: Was the painting labor taxable?
A: No, under the stated residential facts.

Q: What types of work were covered?
A: Interior decorative painting, faux finishing, and murals.

Q: Were the materials exempt?
A: The ruling says the contractor paid sales tax on materials; it addressed the labor-charge exemption.

Q: Why was the labor exempt?
A: The Department treated residential replacement, remodeling, restoration, renovation, or reconstruction as original construction.

Citations and references

  • K.S.A. 79-3603(p) — installation services and original-construction labor

Source

Original ruling text

Private Letter Ruling

Body:

Office of Policy & Research

July 29, 2004

XXXX
XXXX
XXXX

Re: Your Private Letter Ruling Request

Dear XXXX:

You indicate that your business is a sole proprietorship and you are a painting contractor. Your work involves of interior residential painting consisting of decorative painting, faux finishing and murals. Sales tax is paid on your materials. You have asked whether your labor charges for this work are subject to sales tax.

Under K.S.A. 79-3603(p), the service of applying or installing tangible personal property is subject to sales tax. However, labor for “original construction” work is exempt from sales tax. “Original construction” would include initial construction of a new building, addition of an entire room or floor to an existing building, completion of an unfinished portion of an existing building, or replacement, remodeling, restoration, renovation or reconstruction of a residence. Since you indicate that all of your painting work is done on interiors of residences, the labor charges for this work would be exempt from sales tax as “original construction” labor.

This is a private letter ruling pursuant to K.A.R. 92-19-59. It is based solely on the facts provided in your request. If it is determined that undisclosed facts were material or necessary to an accurate determination by the department, this ruling is null and void. This ruling will be revoked by operation of law without further department action if there is a change in the controlling statutes, administrative regulations, revenue rulings or case law that materially effects this determination.

Very truly yours,

Richard L. Cram

Date Composed: 07/30/2004 Date Modified: 07/30/2004

Table 1

Ruling Number: P-2004-044

Table 2

Tax Type: Kansas Retailers' Sales Tax
Brief Description: Labor services associated with interior residential painting.
Keywords:
Approval Date: 07/29/2004

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