UT PLR 96-160 Sales & Use Tax 1996-10-28

As of late 1996, did a Utah retailer have to charge state sales tax on prepaid telephone calling cards at the point of sale?

Short answer: As of this 1996 ruling, prepaid telephone calling cards were NOT subject to Utah sales tax at the point of sale, continuing a position the Commission had taken the prior year while it worked on an administrative rule amendment to make them taxable. This position is now superseded: a later statutory amendment (addressed in a subsequent ruling, PLR 08-007) made prepaid calling cards fully taxable as a distinct statutory category regardless of interstate/intrastate minutes.

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This page answers the general question as of 1996. Ezel answers yours, under current Utah tax law, with citations.

Currency note: this ruling is from 1996
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 Utah State Tax Commission private letter ruling (governed by Utah Admin. Code R861-1A-34). It states the Commission's interpretation only as to the specific taxpayer and facts to which it was issued; taxpayer-identifying details have been redacted. Another taxpayer cannot rely on it as binding, and any weight it carries in a later appeal depends on how closely that taxpayer's facts match. This summary is informational only and is not legal or tax advice. Consult a licensed Utah tax professional about your specific situation.
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

This ruling reflects a since-superseded position — read it as history, not current law. In late 1996, someone asked the Utah Tax Commission a simple question: does a retailer have to charge state sales tax on a prepaid telephone calling card at the point of sale?

At the time, the answer was no. The Commission explained that the state legislature had commissioned a broader study of telecommunications service taxation, but that study didn't end up addressing prepaid calling cards specifically. So the Commission was, on its own, drafting an amendment to its administrative rule governing telephone service to add prepaid calling cards as a taxable item. Until that rule change went through public comment and took effect, the Commission continued the position it had already stated in an advisory opinion the prior year (1995): prepaid calling cards were not taxable at the point of sale, pending the law changing. The ruling explicitly flagged that this was a temporary, prospective-only holding — once the rule amendment passed, calling cards would become taxable going forward.

That change did happen. A later Utah PLR (99-054's companion ruling, PLR 08-007) confirms that a 1998 statutory amendment created prepaid telephone calling cards as their own distinct taxable category, fully taxable regardless of how many of the minutes used turn out to be interstate versus intrastate calls — a different and more definitive framework than the point-of-sale question this 1996 ruling addressed.

What this means for you

Anyone researching historical Utah sales tax treatment of prepaid phone cards

This ruling is only useful for understanding the pre-1998 landscape. If you need to know the current rule, look to the 1998 amendment and later guidance (see PLR 08-007), not this 1996 ruling — the underlying law changed specifically because of the gap this ruling identified.

Retailers or telecom companies with historical transactions from 1996-1998

If you're dealing with a historical audit or dispute involving prepaid calling card sales from this window, this ruling documents the Commission's position during that specific period: non-taxable at the point of sale, pending the rule change.

Accountants and tax professionals

Don't cite this ruling as current authority on prepaid calling card taxability — it predates the 1998 statutory amendment that fundamentally changed the tax treatment. Cite the amendment and post-1998 guidance instead.

Common questions

Q: Were prepaid phone cards taxable in Utah in 1996?
A: No — at the point of sale, prepaid calling cards were not subject to sales tax under this 1996 ruling, which continued a position from a 1995 advisory opinion pending an administrative rule change.

Q: Is this still the law today?
A: No. A 1998 statutory amendment made prepaid telephone calling cards fully taxable as their own category, superseding the position in this ruling.

Q: Why did the Commission choose not to tax calling cards in 1996?
A: It was waiting for its own rule-making process (adding calling cards to the taxable telephone-service rule) to run its course, including public comment, rather than taxing them under existing law.

Q: Can I rely on this ruling for a current transaction?
A: No — it's a historical position that a later statutory amendment overrode. It binds the Commission only as to the taxpayer, facts, and time period described.

Citations and references

No statutes were cited in the original ruling text; the Commission relied on its ongoing administrative rule-making process governing telephone service taxation. See the later Utah PLR addressing the 1998 amendment (PLR 08-007) for the current statutory framework.

Source

Original ruling text

96-160

Response October 28,1 996

Request

XXXXX

October 10, 1996

Attention: XXXXX

Could you please send me an advisory opinion on the issue of Prepaid Phone Cards?

Does a retailer charge state sales tax at the point of sale?

Thank you,

XXXXX

October 28, 1996

XXXXX

Advisory opinion - prepaid calling cards

Dear XXXXX

We have received your request for information regarding the application of sales tax to prepaid calling cards. We offer the following advice:

The legislature has been studying taxation of telecommunications services. We hoped that the study would address prepaid calling cards, but it does not. The Commission, therefore, is now in the process of drafting an amendment to our administrative rule governing telephone service to include prepaid calling cards among taxable items.

In the meantime, we acknowledge that we issued an advisory opinion last year which stated that prepaid calling cards are not taxable pending a change in the law. We offer you the same advice. If the administrative rule passes after public comment, the tax status of prepaid calling cards will change prospectively.

Please contact us if you have other questions.

For the Commission,

Joe B. Pacheco,

Commissioner

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