πŸ§ͺ TEST MODE ACTIVE Use test card: 4242 4242 4242 4242
TX 9409690L Sales and/or Use Tax (State,Local,MTA) 1994-09-09

Is selling coupon books or passbooks taxable under Texas sales tax?

Short answer: No β€” the Texas Comptroller ruled that selling a book of discount coupons (a 'passbook') is considered the sale of an intangible, not tangible personal property, so Texas sales tax does not apply to the sale of the coupon books themselves.

Apply this to your situation

This page answers the general question as of 1994. Ezel answers yours, under current Texas tax law, with citations.

Currency note: this ruling is from 1994
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 Texas Comptroller of Public Accounts letter published on the State Tax Automated Research (STAR) system. Letters on STAR can be the basis of a detrimental reliance claim only for the taxpayer to whom the letter was directly issued (see 34 Tex. Admin. Code Rules 3.1 and 3.10); documents on STAR may no longer represent current policy even if not marked superseded. Taxpayer-identifying details are redacted. This summary is informational only and is not legal or tax advice. Consult a licensed Texas tax professional about your specific situation.
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.

Subject

Coupon Book/Passbook/Coupons β€” Sold To Consumers β€” Sale Of An Intangible

Source

Plain-English Summary

A PTA asked the Texas Comptroller whether selling "passbooks" β€” booklets of discount coupons good for things like percentage-off deals or buy-one-get-one-free offers at various retailers β€” is exempt from Texas sales tax. The Comptroller's answer: selling a coupon book is treated as a sale of an intangible, not a sale of tangible personal property, so it isn't taxable at all. The ruling doesn't turn on any nonprofit exemption; it's simply that Texas sales tax applies to tangible personal property and taxable services, and a book of coupons β€” despite being a physical booklet you can hold β€” is legally categorized as intangible for this purpose. The letter notes the answer is based on the facts as presented and could change if the facts were different.

What This Means For You

This ruling is most directly useful for PTAs, booster clubs, schools, and other nonprofit or community groups that run fundraisers selling coupon books or "passbooks" of discount coupons redeemable at local businesses. It tells them they don't need to collect Texas sales tax on the sale price of the coupon book itself. It would also be relevant to any business or organization selling similar discount coupon booklets to consumers, since the ruling's reasoning (coupon books = intangible property) isn't limited to nonprofits β€” it applies to the nature of what's being sold, not who is selling it. Note that this ruling does not address what happens tax-wise when a coupon is later redeemed for a discount on a taxable item β€” it only addresses the sale of the coupon book itself.

Q&A

Q: Does a PTA need to charge Texas sales tax when selling coupon books/passbooks as a fundraiser?
A: No. The Comptroller ruled that selling passbooks β€” books of discount coupons β€” is a sale of an intangible, so it is not taxable.

Q: Why isn't a coupon book taxable if it's a physical booklet?
A: Because the Comptroller treats what's being sold (the right to a discount or a deal) as an intangible, rather than tangible personal property, even though the coupons are printed in a physical book.

Q: Does this ruling apply no matter what kind of coupons are in the book?
A: The ruling describes the passbooks as containing coupons like percentage-off deals and buy-one-get-one-free offers, and it is based on the facts presented β€” the letter itself notes that if additional or different facts existed, the opinion could change.

Citations

No specific statutes or administrative rules are cited in the original ruling text.

Original ruling text

September 9, 1994




Dear ****:

Thank you for your letter questioning whether the sale of ***** passbooks
by your PTA is exempt from Texas sales tax. I apologize for the delay in
responding to this request.

***** passbooks are books of coupons that may be used at various retail
locations. These may be percentage off coupons, buy-one, get-one-free coupons,
etc.

The sale of coupons or coupon books is considered the sale of an intangible.
Therefore, the sale of ***** passbooks is not taxable.

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

Sincerely,

Tax Administration Division

Get today's answer for your situation

You just read a 1994 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.