KS P-1999-91 Kansas Retailers' Sales Tax 1999-03-26

Does a booster club qualify as a PTA or PTO for the Kansas sales-tax exemption?

Short answer: No. Effective July 1, 1998, K.S.A. 79-3606(yy) exempts all purchases and all sales of tangible personal property by or on behalf of a parent-teacher association (PTA) or parent-teacher organization (PTO). A PTA is a nonprofit chartered by the National PTA or Kansas PTA and authorized to operate within a school; a PTO is its functional equivalent. The Department ruled that booster clubs and other clubs supporting sports, bands, or extracurricular activities do not qualify as PTAs or PTOs, so it declined to recognize the requesting organization as exempt under 79-3606(yy).

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This page answers the general question as of 1999. Ezel answers yours, under current Kansas tax law, with citations.

Currency note: this ruling is from 1999
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 Kansas Department of Revenue Private Letter Ruling (issued under K.A.R. 92-19-59). It binds the Department only as to the specific retailer who requested it and the facts stated; taxpayer-identifying details are redacted. It may not be cited or relied upon as precedent by any other person, and it ceases to be valid if a statute, regulation, or interpretation it relied upon changes substantially. Kansas state and local sales and use taxes are administered centrally by the Department, so there is no self-collected home-rule city tax outside its scope. This summary is informational only and is not legal or tax advice.
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 as a PDF) is the authoritative source for any reliance.
View original ruling (PDF)

Plain-English summary

An organization asked to be recognized as a parent-teacher association for the Kansas sales-tax exemption. The Department explained that, effective July 1, 1998, K.S.A. 79-3606(yy) exempts all purchases of tangible personal property and services by a PTA or PTO, and all sales of tangible personal property by or on behalf of such an association or organization.

A parent-teacher association is a nonprofit chartered by the National PTA or the Kansas PTA, authorized to operate within the school by the school's administrators, and composed of teachers and parents. A parent-teacher organization is the functional equivalent of a PTA. PTAs and PTOs operate for the benefit and support of an individual school with a defined structure, purpose, and goal, and there is normally only one PTA or PTO per school. The Department stated that booster clubs, or other clubs that support sports, bands, or other extracurricular activities, do not qualify as PTAs or PTOs — even if composed of parents, students, businesses, and others interested in the school. Because the requesting organization is not a PTA or PTO, the Department declined to recognize it as exempt under K.S.A. 79-3606(yy).

This ruling reaches the same conclusion, on the same statute, as the Department's companion ruling P-1999-92 (also titled "Booster clubs do not qualify as PTA's or PTO's").

What this means for you

Supporting a school is not enough to claim the PTA/PTO exemption — the group must actually be the school's PTA or a functionally equivalent PTO.

  • Booster clubs don't qualify. Clubs supporting sports, bands, or extracurriculars fall outside K.S.A. 79-3606(yy).
  • The exemption is broad once you qualify. A genuine PTA/PTO is exempt on its purchases and on sales of tangible personal property by or on behalf of it.
  • "One per school" is a signal. There is normally a single PTA or PTO per school with a defined structure and purpose.
  • If denied, the organization's purchases and taxable sales are treated like any other non-exempt entity's.

Common questions

Does a booster club get the PTA sales-tax exemption in Kansas?
No. The Department ruled that booster clubs and clubs supporting sports, bands, or extracurriculars do not qualify as PTAs or PTOs under K.S.A. 79-3606(yy).

What does K.S.A. 79-3606(yy) exempt?
Effective July 1, 1998, a PTA's/PTO's purchases of tangible personal property and services, and sales of tangible personal property by or on behalf of it.

What makes a group a PTA or PTO?
A PTA is chartered by the National or Kansas PTA and authorized to operate within the school; a PTO is its functional equivalent, each serving one school.

Is there a related ruling?
Yes — the Department's companion ruling P-1999-92 reaches the same conclusion for a booster-type club.

Citations and references

  • K.S.A. 79-3606(yy) — effective July 1, 1998, exempts a parent-teacher association's or organization's purchases of tangible personal property and services and sales of tangible personal property by or on behalf of it (which the Department held does not cover booster clubs).

Source

  • Original ruling (DOCX): https://www.ksrevenue.gov/pildocs/rulings/P-1999-91.docx
  • Kansas Policy Information Library: https://www.ksrevenue.gov/prpil.html

Original ruling text

Private Letter Ruling

Body:

Office of Policy & Research

March 26, 1999

XXXXXXXXXXXXXXXXXXX
XXXXXXXXXXX
XXXXXXXXXXXXXXXXXX
XXXXXXXXXXXXXXX

Dear XXXXXXXXXXXXXXXX:

The purpose of this letter is to respond to your letter dated September 5, 1998.

Effective July 1, 1998, K.S.A. 79-3606(yy) exempts all purchases of tangible personal property and services by a parent-teacher association or parent teacher organization, and all sales of tangible personal property by or on behalf of such association or organization.

For purposes of this exemption, a parent-teacher association is a nonprofit association that is chartered by the National PTA or the Kansas PTA. Such an organization is authorized to operate within the school by the school’s administrators and is composed of teachers and parents A parent-teacher organization is a nonprofit organization that is the functional equivalent of a “parent teacher-association.”

PTA’s and PTO’s operate for the benefit and support of an individual school and have a defined organizational structure with a defined purpose and goal. There is normally only one PTA or PTO per school. Booster clubs or other types of clubs that support sports, bands, or other extra-curricular activities do not qualify as PTA’s or PTO’s, even though they may be composed of parents, students, businesses, and others who are interested in the school or in certain facets of the educational process.

It is the opinion of the Kansas Department of Revenue that your organization is not PTA or PTO. Therefore, the department must decline your request to be recognized as an organization exempt pursuant to K.S.A. 79-3606(yy).

This private letter ruling is based solely on the facts provided in your request. If it is determined that undisclosed facts were material or necessary to make an accurate determination by the department, this ruling is null and void. This private letter ruling will be revoked in the future by operation of law without further department action if there is a change in the statutes, administrative regulations, or case law, or a published revenue ruling, that materially affects this private letter ruling.

Sincerely,

Mark D. Ciardullo
Tax Specialist

MDC

Date Composed: 04/02/1999 Date Modified: 10/11/2001

Table 1

Ruling Number: P-1999-91

Table 2

Tax Type: Kansas Retailers' Sales Tax
Brief Description: Booster clubs do not qualify as PTA's or PTO's.
Keywords:
Approval Date: 03/26/1999

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