Texas 2011 82nd Regular

Texas House Bill HB3182 Engrossed / Fiscal Note

Filed 02/01/2025

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                    LEGISLATIVE BUDGET BOARD    Austin, Texas      FISCAL NOTE, 82ND LEGISLATIVE REGULAR SESSION            May 10, 2011      TO: Honorable Steve Ogden, Chair, Senate Committee on Finance      FROM: John S O'Brien, Director, Legislative Budget Board     IN RE:HB3182 by Ritter (Relating to the imposition of state taxes, including the sales and use, motor vehicle sales and use, and hotel occupancy tax, on certain oilfield portable units.), As Engrossed    No significant fiscal implication to the State is anticipated.  The bill would amend the Tax Code relating to the taxability of oilfield portable units.  The bill would amend Chapter 151, regarding the sales and use tax, to specify that an oilfield portable unit (OPU) as defined in Chapter 152 was not exempt from the sales and use tax.  The bill would amend Chapter 152, regarding motor vehicle taxes, to define an OPU and establish that an OPU was not a "motor vehicle" for tax purposes.  The bill would amend Chapter 156, regarding the hotel occupancy tax, to exclude an OPU from the definition of a "hotel" and taxation under that chapter.  Under current law, OPU-type structures are taxed under the sales and use tax or the motor vehicle sales and use tax.  OPU-type structures that are considered manufactured housing are subject to neither the sales and use tax nor the motor vehicle sales and use tax; a manufactured housing dealer, however, is subject to the manufactured housing sales tax on the purchase from a manufacturer.  The bill would make clear that an OPU would continue to be taxable under Chapter 151 of the Tax Code. The bill would take effect September 1, 2011.  Local Government Impact No significant fiscal implication to units of local government is anticipated.    Source Agencies:304 Comptroller of Public Accounts   LBB Staff:  JOB, KK, SD    

LEGISLATIVE BUDGET BOARD
Austin, Texas
FISCAL NOTE, 82ND LEGISLATIVE REGULAR SESSION
May 10, 2011





  TO: Honorable Steve Ogden, Chair, Senate Committee on Finance      FROM: John S O'Brien, Director, Legislative Budget Board     IN RE:HB3182 by Ritter (Relating to the imposition of state taxes, including the sales and use, motor vehicle sales and use, and hotel occupancy tax, on certain oilfield portable units.), As Engrossed  

TO: Honorable Steve Ogden, Chair, Senate Committee on Finance
FROM: John S O'Brien, Director, Legislative Budget Board
IN RE: HB3182 by Ritter (Relating to the imposition of state taxes, including the sales and use, motor vehicle sales and use, and hotel occupancy tax, on certain oilfield portable units.), As Engrossed

 Honorable Steve Ogden, Chair, Senate Committee on Finance 

 Honorable Steve Ogden, Chair, Senate Committee on Finance 

 John S O'Brien, Director, Legislative Budget Board

 John S O'Brien, Director, Legislative Budget Board

HB3182 by Ritter (Relating to the imposition of state taxes, including the sales and use, motor vehicle sales and use, and hotel occupancy tax, on certain oilfield portable units.), As Engrossed

HB3182 by Ritter (Relating to the imposition of state taxes, including the sales and use, motor vehicle sales and use, and hotel occupancy tax, on certain oilfield portable units.), As Engrossed



No significant fiscal implication to the State is anticipated.

No significant fiscal implication to the State is anticipated.



The bill would amend the Tax Code relating to the taxability of oilfield portable units.  The bill would amend Chapter 151, regarding the sales and use tax, to specify that an oilfield portable unit (OPU) as defined in Chapter 152 was not exempt from the sales and use tax.  The bill would amend Chapter 152, regarding motor vehicle taxes, to define an OPU and establish that an OPU was not a "motor vehicle" for tax purposes.  The bill would amend Chapter 156, regarding the hotel occupancy tax, to exclude an OPU from the definition of a "hotel" and taxation under that chapter.  Under current law, OPU-type structures are taxed under the sales and use tax or the motor vehicle sales and use tax.  OPU-type structures that are considered manufactured housing are subject to neither the sales and use tax nor the motor vehicle sales and use tax; a manufactured housing dealer, however, is subject to the manufactured housing sales tax on the purchase from a manufacturer.  The bill would make clear that an OPU would continue to be taxable under Chapter 151 of the Tax Code. The bill would take effect September 1, 2011. 

The bill would amend the Tax Code relating to the taxability of oilfield portable units.  The bill would amend Chapter 151, regarding the sales and use tax, to specify that an oilfield portable unit (OPU) as defined in Chapter 152 was not exempt from the sales and use tax.  The bill would amend Chapter 152, regarding motor vehicle taxes, to define an OPU and establish that an OPU was not a "motor vehicle" for tax purposes.  The bill would amend Chapter 156, regarding the hotel occupancy tax, to exclude an OPU from the definition of a "hotel" and taxation under that chapter.  Under current law, OPU-type structures are taxed under the sales and use tax or the motor vehicle sales and use tax.  OPU-type structures that are considered manufactured housing are subject to neither the sales and use tax nor the motor vehicle sales and use tax; a manufactured housing dealer, however, is subject to the manufactured housing sales tax on the purchase from a manufacturer.  The bill would make clear that an OPU would continue to be taxable under Chapter 151 of the Tax Code.

The bill would take effect September 1, 2011. 

Local Government Impact

No significant fiscal implication to units of local government is anticipated.

Source Agencies: 304 Comptroller of Public Accounts

304 Comptroller of Public Accounts

LBB Staff: JOB, KK, SD

 JOB, KK, SD