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TX 8711L0850F01 Sales and/or Use Tax (State,Local,MTA) 1987-11-16

Was an annual fee taxable when clients received monthly economic-research reports, telephone answers, and personal presentations from a shared database?

Short answer: Yes. The Comptroller treated the economic-trends material as a taxable information service because the same general database supported information sold to each client. One fee bundled the reports with telephone access and presentations, so the total charge was presumed taxable.

Apply this to your situation

This page answers the general question as of 1987. Ezel answers yours, under current Texas tax law, with citations.

Currency note: this ruling is from 1987
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 a taxpayer-specific November 1987 Texas Comptroller letter based on economic-trends information drawn from the same general database and sold through one annual fee covering monthly reports, telephone availability, and presentations. It says the opinion may change if the facts differ. Information-service and bundled-charge rules are historical and may have changed substantially; verify current law and the exact data, customization, and billing. STAR documents may no longer represent current policy even when not marked superseded. Identities are redacted. 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) is the authoritative source for any reliance.

Plain-English summary

The provider gathered current and historical economic-trends information from various sources and used the same general database to compile material sold to each client. The Comptroller treated that work as an information service under Rule 3.342.

Each client paid one annual fee for three things: a monthly written research report, telephone availability to answer questions, and personal presentations. Because taxable and nontaxable services were sold for one charge, Rule 3.342 presumed the entire charge taxable.

What this means for you

The historical letter focused on reusable information drawn from a common database and on a single bundled price. It did not separately classify the telephone answers or presentations because they were not separately priced.

Common questions

Why was the research treated as an information service? The provider gathered and compiled economic information and used the same general database for material sold to multiple clients.

Did the presentations and phone access make only part of the fee taxable? No. The Comptroller said the single charge for taxable and nontaxable services was presumed taxable.

Would separately stated charges change the result? The letter does not answer that question.

Citations and references

  • 34 Tex. Admin. Code Rule 3.342 (information services and bundled taxable/nontaxable services)

Source

Original ruling text

November 16, 1987




Dear **:

Thank you for your letter requesting taxability information on financial
services publications.

I am enclosing a copy of Rule 3.342 in which information services are defined
as furnishing general or specialized news or other current information,
including financial information. Information which is gathered, maintained, or
compiled and made available by the provider of the information service to the
public or to a specific segment of industry for a consideration is subject to
sales tax. The rule continues by listing examples and discussing the
responsibilities of providers of information services.

Based on your letter and information obtained through telephone conversations
with you and * on November 10 and November 12, you gather information,
from various sources, about current and past economic trends and provide this
to your clients for their use. The same general data base is used to compile
information sold to each client. Therefore, you are providing information
services.

You also stated you charge each client one fee per year for, 1) a written
research report sent out each month to your clients, 2) telephone availability
to answer questions and 3) personal presentations. Rule 3.342 explains that
when taxable and non-taxable services are sold for a single charge, the total
charge is presumed to be taxable.

This opinion is based on the facts presented. If there are additional or
different facts, the opinion may change.

If you have any questions or need more information, please call me at
1-800-252-5555 toll free from anywhere in Texas. The regular number is
512/463-4600. You may write me at the Tax Policy Division.

Sincerely,

Eddie C. Washington
Tax Policy Division

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