Kansas 2023 2023-2024 Regular Session

Kansas Senate Bill SB507 Introduced / Fiscal Note

                    Division of the Budget 
Landon State Office Building 	Phone: (785) 296-2436 
900 SW Jackson Street, Room 504 	adam.c.proffitt@ks.gov 
Topeka, KS  66612 	http://budget.kansas.gov 
 
Adam C. Proffitt, Director 	Laura Kelly, Governor 
Division of the Budget 
 
March 6, 2024 
 
 
 
 
The Honorable Caryn Tyson, Chairperson 
Senate Committee on Assessment and Taxation 
300 SW 10th Avenue, Room 548-S 
Topeka, Kansas  66612 
 
Dear Senator Tyson: 
 
 SUBJECT: Fiscal Note for SB 507 by Senate Committee on Assessment and Taxation 
 
 In accordance with KSA 75-3715a, the following fiscal note concerning SB 507 is 
respectfully submitted to your committee. 
 
 Under current law, Kansas uses a three-factor formula to apportion business income for 
income tax purposes using the proportion of sales, property, and payroll in Kansas compared to 
total sales, property, and payroll. SB 507 would apportion business income for income tax 
purposes using only the single sales factor beginning in tax year 2025.  The bill details the 
conditions and requirements that the taxpayer would include in the single sales factor. The bill 
would change the way sales are sourced from a cost of performance method to a market-based 
method.  The bill would remove references and definitions related to the three-factor formula and 
remove outdated language from previous tax years.   
 
 The bill would eliminate the taxpayer’s option to use the apportionment rules of the 
Multistate Tax Compact to determine business income and allocation of income tax liability 
between states.  In the event of a conflict between the Kansas Income Tax Act and the Multistate 
Tax Compact, the language in the Kansas Income Tax Act would be used. The bill would update 
Multistate Tax Compact language in statute moving from a three-factor formula to apportion 
business income to a single sales factor.  The bill would also make changes to the definition of 
business income by defining business income as follows: 
 
1. Income arising from transactions and activity in the regular course of the taxpayer’s trade 
or business; 
 
2. Income arising from transactions and activity involving tangible and intangible property or 
assets used in the operation of the taxpayer’s trade or business; or   The Honorable Caryn Tyson, Chairperson 
Page 2—SB 507 
 
 
 
3. Income of the taxpayer that may be apportioned to this state under the provisions of the 
U.S. Constitution and federal law, except that a taxpayer may elect that all income 
constitutes business income.  Any election made would be effective and irrevocable for the 
tax year in which the election is made and the following nine tax years and would also be 
binding on all members of a unitary group of corporations. 
 
Estimated State Fiscal Effect 
 	FY 2024 FY 2025 FY 2026 
Expenditures    
   State General Fund  	-- $70,612 	-- 
   Fee Fund(s) 	-- 	-- 	-- 
   Federal Fund 	-- 	-- 	-- 
      Total Expenditures 	-- $70,612 	-- 
Revenues    
   State General Fund  	-- $1,200,000 $3,800,000 
   Fee Fund(s) 	-- 	-- 	-- 
   Federal Fund 	-- 	-- 	-- 
      Total Revenues 	-- $1,200,000 $3,800,000 
FTE Positions 	-- 	-- 	-- 
 
 The Department of Revenue estimates that SB 507 would increase State General Fund 
Revenues by $1.2 million in FY 2025 and by $3.8 million in both FY 2026 and FY 2027. 
 
 To formulate these estimates, the Department of Revenue reviewed corporate income tax 
returns from tax year 2021.  Tax liability for companies in multiple states were estimated using 
their current three factor values converted to a single sales factor, which resulted in an increase in 
corporate income tax collections of $10,360,000 in tax year 2025. Data is not available for the 
impact of market-based sourcing in determining the singles sales factor.  Based on similar 
legislation proposed in other states, this provision is estimated to decrease corporate income tax 
collections by 1.0 percent in tax year 2025, or $6,530,000.  Combining moving from the three-
factor formula to the single sales factor (increase of $10,360,000) with market-based sourcing in 
determining the singles sales factor (decrease of $6,530,000) would increase corporate tax 
collections by approximately $3.8 million in tax year 2025.  Neither of these two major changes 
would have any impact on businesses that operate solely in Kansas.  The estimate for FY 2025 
includes 30.0 percent of tax year 2025 tax liability.  The estimate for FY 2026 includes 70.0 percent 
of tax year 2025 tax liability and 30.0 percent of tax year 2026 tax liability. 
 
 The Department of Revenue indicates updating the Multistate Tax Compact language in 
statute, would have no direct fiscal effect.  However, this bill has the potential to prevent a State 
General Fund revenue decrease in corporate income tax receipts.  The Department of Revenue 
indicates that if taxpayers elect to use the alternative apportionment rules of the Multistate Tax  The Honorable Caryn Tyson, Chairperson 
Page 3—SB 507 
 
 
Compact instead of apportionment rules in state law, then Kansas tax liability could be reduced 
significantly.   
 
 The Department indicates that the bill would require $70,612 from the State General Fund 
in FY 2025 to implement the bill and to modify the automated tax system. The required 
programming for this bill by itself would be performed by existing staff of the Department of 
Revenue.  In addition, if the combined effect of implementing this bill and other enacted legislation 
exceeds the Department’s programming resources, or if the time for implementing the changes is 
too short, additional expenditures for outside contract programmer services beyond the 
Department’s current budget may be required. Any fiscal effect associated with SB 507 is not 
reflected in The FY 2025 Governor’s Budget Report. 
 
 
 
 	Sincerely, 
 
 
 
 	Adam C. Proffitt 
 	Director of the Budget 
 
 
 
 
 
cc: Lynn Robinson, Department of Revenue