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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 $ 1,000 $ 200 $ 300 $ 500
Business income $ 50,000 $ 30,000 $ 10,000 $ 10,000
Sales: State X $ 70,000 $ 10,000 $ 10,000 $ 10,000
State Y $ 40,000 $ 5,000
State Z $ 20,000 $ 20,000 $ 10,000
State A $ 20,000
State B $ 10,000 $ 10,000
Property: State X $ 50,000 $ 20,000 $ 10,000
State Y $ 80,000
State Z $ 25,000 $ 20,000
State A $ 50,000
Payroll: State X $ 10,000 $ 10,000
State Y $ 40,000
State Z $ 3,000 $ 10,000
State A $ 10,000

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.

image text in transcribed

b. Calculate the business income apportioned to State X.

image text in transcribed c. Calculate the taxable income for State X for each company.

image text in transcribed d. Determine the tax liability for State X for the entire group.

image text in transcribed

State X Apportionment factors 0.7333 Sharon Carol Josey Janice State X Business Income State X taxable income Sharon Carol Josey Janice State X Tax liability

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