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Sharon Inc. is headquartered in State X and owns 100 percent of Carol Corp., Josey Corp., and Janice Corp., which form a single unitary group.

Sharon Inc. is headquartered in State X and owns 100 percent of Carol Corp., Josey Corp., and Janice Corp., which form a single unitary group. Assume sales operations are within the solicitation bounds of Public Law 86-272. Each of the corporations has operations in the following states:

Domicile State Sharon Inc. State X (throwback) Carol Corp. State Y (throwback) Josey Corp. State Z (nonthrowback) Janice Corp. State Z (nonthrowback)
Dividend income $ 1,460 $ 295 $ 610 $ 520
Business income $ 52,200 $ 32,500 $ 18,100 $ 19,000
Sales: State X $ 88,200 $ 13,500 $ 16,400 $ 16,800
State Y $ 45,250 $ 8,700
State Z $ 23,100 $ 44,250 $ 16,800
State A $ 29,500
State B $ 19,300 $ 19,000
Property: State X $ 72,500 $ 26,800 $ 13,000
State Y $ 97,500
State Z $ 41,500 $ 35,750
State A $ 60,500
Payroll: State X $ 15,100 $ 18,900
State Y $ 58,750
State Z $ 5,650 $ 16,200
State A $ 19,700

Compute the following for State X assuming a tax rate of 15 percent. (Use an equally weighted three-factor apportionment. Round all apportionment factors to 4 decimal places. Round other answers to the nearest whole dollar amount. Leave no answer blank. Enter zero if applicable.)

a. Calculate the State X apportionment factor for Sharon Inc., Carol Corp., Josey Corp., and Janice Corp. b. Calculate the business income apportioned to State X. c. Calculate the taxable income for State X for each company.

d. Determine the tax liability for State X for the entire group.

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