🧪 TEST MODE ACTIVE Use test card: 4242 4242 4242 4242
TX 8802L0892B01 Sales and/or Use Tax (State,Local,MTA) 1988-02-05

Were oil-and-gas publications forecasting market trends taxable information services when sold to multiple subscribers?

Short answer: Yes. Texas treated the publications as taxable information services because market forecasts were still news or information and the publications fit the oil-and-gas survey example. The particular-client exemption did not apply because each publication had multiple subscribers.

Apply this to your situation

This page answers the general question as of 1988. Ezel answers yours, under current Texas tax law, with citations.

Currency note: this ruling is from 1988
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 February 1988 Texas Comptroller letter. It says the opinion may change if the facts differ. Information-service, publication, subscription, market-forecast, and particular-client exemption rules may have changed; verify current law and digital-product treatment. STAR documents may no longer represent current policy even when not marked superseded. The publication and taxpayer 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 Comptroller concluded that the client's market-forecast publications were taxable information services.

Forecasting market trends rather than merely compiling current data did not take the publications outside “news” or “information.” The publication also appeared to fit Rule 3.342(b)(2)'s example of a survey used in oil, gas, and related industries.

The exemption for information sold to one particular client did not apply because every publication was sold to more than one subscriber.

What this means for you

Calling a product a forecast or analysis did not make it nontaxable under the historical rule. Selling the same information to multiple subscribers also defeated the particular-client exception.

Common questions

Were market forecasts considered information? Yes.

Did the oil-and-gas survey example apply? The Comptroller said the publication appeared to come directly within it.

Why did the particular-client exemption fail? Each publication was sold to more than one subscriber.

Citations and references

  • 34 Tex. Admin. Code Rule 3.342(b)(2) — example of a taxable survey used in oil, gas, and related industries.

Source

Original ruling text

COMPTROLLER OF PUBLIC ACCOUNTS
STATE OF TEXAS
Austin, Texas 78774

February 5, 1988




Dear **:

Thank you for your recent letter concerning the taxability of your
client's publications. As you requested, the edition of the "**"
which you furnished with your letter is being returned with this
response.

Based on our review of the materials you furnished, we have concluded
that
the sale of your client's publications is taxable. The fact that the
primary focus of your client's publication is not the compilation of
current data, but the forecasting of market trends, does not render its
contents to be something other than "news" or "information." Moreover.
the
publication would appear to come directly within the example of a taxable
information service contained in Rule 3.342 (b) (2) as a survey used in
the
oil and gas and related industries. The only exception to the sale of
information services which could be
applicable to your client's publications is the exemption for the sale of
information to a particular client. Since all of your client's publications are
sold to more than one subscriber, that exemption is not applicable in
this case.

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

Please feel free to contact me if you have additional questions. You may
write me, call toll free 1-800-531-5441 from anywhere in U.S., or phone
(512)463-4600.

Sincerely,
Wayne McDonald
Tax Policy Division

Get today's answer for your situation

You just read a 1988 ruling on this question. Ezel checks current Texas tax law and answers your specific situation, with citations.

Opens in Ezel Pro. Every answer cites the authority it relies on.