July 9, 2004
FOR IMMEDIATE RELEASE
Indiana Tax Court Determines Maintenance Equipment and Chemicals Qualify for the Processing Exemption.
In Guardian
Automotive Trim, Inc., v. Indiana Department of State Revenue, June 30, 2004,
the Indiana Tax Court ("Tax Court") determined that purchases of cleaning equipment and
chemicals used to clean production equipment qualify for exemption from sales and use
taxes under both the equipment exemption and consumption exemption.
Guardian Automotive Trim, Inc. ("Guardian") appealed the final determination of the
Indiana Department of State Revenue ("Department") denying it several exemptions from
sales and use tax. The Department assessed Guardian use tax on the purchase of mask
cleaning equipment and chemicals arguing that the items were used as a function of
maintenance and that production halted while the masks were processed. Therefore,
the Department determined that the cleaning equipment and chemicals were not essential
and integral to the manufacture of automotive trim parts.
Guardian manufactured exterior automotive trim parts and components for its customers.
Guardian used a shell (i.e., a mask) that covered areas of the manufactured plastic
parts as they were being sprayed with a coating. The mask covered the areas that were
later to be electroplated. Chemicals were used as cleaning agents within one of Guardian's
mask processing systems. The masks were "processed" or cleaned periodically to prevent
build-up of the coating that caused the mask lines to become irregular which, in turn,
caused a variety of defects on the plastic part. These defects rendered Guardian's
products unmarketable to its customers.
To sustain continuous production of its parts, Guardian processed the masks in
synchronization with the manufacturing process. All mask processing occurred in
an area of the plant separate from where the part coating process occurred.
Production was not halted while masks were cleaned. Production only stopped
momentarily as old masks were replaced with clean masks.
The Tax Court stated that "Guardian's production process as a whole must be examined;
it cannot be artificially broken down into its component parts." The Department
focused solely on the cleaning process as a function of maintenance. The Department
also ignored the fact that proper electroplating can only be accomplished with periodic
cleaning of the masks and that production did not halt in order to process the masks.
The Tax Court ruled that the mask processing equipment and chemicals were essential and
integral to the overall production of Guardian's automotive trim components and are exempt
under Indiana Code § 6-2.5-5-3 and Indiana Code § 6-2.5-5-5.1.
If you have any questions regarding this information, please contact Mr. G. Brint Ryan,
Managing Principal of Ryan & Company, at 972.934.0022.
Mr. Ryan can also be reached via e-mail.
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