Unless otherwise specified, only the types of tangible personal property listed above may be purchased exclusive of the tax by an industrial manufacturer or processor for direct use in producing products for sale or resale. Other production items and items of tangible personal property used indirectly in production activities are deemed subject to the tax.
Based upon the foregoing, for a business to obtain the exemption, it first must be manufacturing or processing products for sale or resale and secondly, such production must be industrial in nature. The determination of whether an operation is industrial in nature shall be made without regard to plant, size, finished product inventory size, degree of mechanization, amount of capital investment, number of employees or other factors relating principally to size. Third, the types of tangible personal property which may be purchased exclusive of the tax by an industrial producer are machinery and tools, raw materials or one of the other types specifically set forth above, and fourth, such types of tangible personal property must be used directly in the manufacturing or processing operation. In addition, the statutory definitions of "manufacturing" and "processing" under the Retail Sales and Use Tax Act limit the industrial exemption to activities conducted at a single plant site (see also subdivision B 2 of this section).
Industrial processors include establishments engaged in the treatment of materials, substances, or other products in such a manner as to render such products more useful or marketable. Products need not undergo a change in state or form in order for an establishment to be classified as an industrial processor.
These establishments (hereinafter referred to as "industrial manufacturers") are usually described as plants, factories or mills and characteristically use power driven machines and materials handling equipment. The production activities of such establishments are usually carried on for the wholesale market or to order for industrial users, rather than for direct sale to domestic consumers. The term "industrial manufacturer" as used herein shall include but not be limited to businesses classified or substantially similar to other businesses classified in codes 20 through 39 of the Standard Industrial Classification (hereinafter "SIC") Manual published by the U.S. Department of Commerce.
Establishments which manufacture or process tangible personal property as an incidental part of a retail or service business are generally deemed to be engaged in nonindustrial activities. Establishments of this type include retailers such as restaurants, caterers, meat and fish markets, and candy, nut, and confectionery stores which process food products primarily for direct sale on the premises to consumers. Such non-industrial establishments also include individuals engaged primarily in providing personal services such as photographers, artists, tailors, and seamstresses.
The integrated manufacturing process noted above includes the production line of a plant, factory, mill, etc., starting with the handling and storage of raw materials at the plant site and continuing through the last step of production where products are finished or completed for sale and conveyed to a warehouse at the same plant site, and also includes production line testing and quality control. Tangible personal property used in activities conducted away from the plant site or used to convey products or materials between two plant sites is deemed not to be used directly in manufacturing or processing.
The concept of the integrated manufacturing process includes within the scope of the manufacturing and processing exemption machinery, tools, repair parts, fuel, power, energy and supplies used directly to manufacture or process fuel, power or energy used to run exempt production machinery or to manufacture exempt production machinery, tools or supplies. In essence, an exemption is available for subprocessing activities which produce tangible personal property used directly in the main manufacturing or processing activity.
Items of tangible personal property which are used directly in manufacturing and processing are machinery, tools and repair parts therefor, fuel, power, energy, or supplies which are indispensable to the actual production of products for sale and which are used as an immediate part of such production process. Convenient or facilitative items, such as fuel storage tanks, platforms, structural steel, grating, equipment supports, special flooring, etc., or items which are essential to the operation of a business but not an immediate part of actual production, are not used directly in manufacturing or processing even though such items may be directly attached to exempt production machinery. Furthermore, the fact that the use of a particular item, such as firefighting and safety equipment, may be required by federal, state or local law is not, by itself, dispositive of direct usage in manufacturing or processing.
Office furniture, supplies and equipment, textbooks and other educational materials, books, and records, and all other items used in record keeping and other administrative or managerial activities, whether on or off the assembly line. Also included are computer hardware and canned software, calculators, and other such items used to record the quality and quantity of work in production or goods in storage, the flow of work, and the results of inspections;
Tangible personal property used for the personal comfort, convenience or use of employees, including items used in employee lounges, restrooms, etc.; and
Tangible personal property used for employee payroll and customer billing, purchasing records, etc.
Ancillary activities such as plant construction are not a part of production and are taxable. Accordingly, construction materials such as concrete, structural steel, and roofing which becomes permanently incorporated into the production plant and machinery and tools used in the construction of the plant are taxable.
Steel or similar supports which are a component part of exempt production machinery and which do not become permanently affixed to realty are not subject to the tax. However, concrete floors or foundations on which such supports rest or to which machinery is bolted, and structures housing machinery are not used directly in manufacturing and processing and are subject to tax.
Equipment used for production line testing or quality control is classified as exempt production equipment. Testing for the purpose of improving administrative efficiency or any other testing not relating to quality control is taxable.
Replacement and repair parts which are used to replace worn or damaged parts on exempt machinery and equipment, as well as operating supplies which are actively and continually consumed in the operation of exempt machinery and equipment, are deemed used directly in manufacturing or processing and are not subject to the tax.
Machinery and tools used by the person engaged in manufacturing or processing to manufacture exempt machinery, equipment, or supplies are exempt from the tax only to the extent that they are used in such manufacture. For information on the application of the tax to items used in both a taxable and exempt manner, see subsection D of this section.
Examples of taxable and exempt production items are listed below:
Taxable:
Tangible personal property used to transport raw materials to a plant site;
Tangible personal property used to prevent or fight fires, and equipment and supplies used for such programs as safety, accident prevention, and first aid;
Tanks used to store exempt fuel and other tangible personal property except that tanks and other devices which constitute machinery are exempt;
Tangible personal property used for general plant lighting, heating, air conditioning, ventilation, etc., unless such property is specifically designed to protect the integrity of products;
Demurrage charges for the use of cylinders in which exempt gases are stored;
Tangible personal property used to dispose of plant wastes and pollutants other than equipment designated as certified pollution control equipment under the provisions of § 58.1-3660 of the Code of Virginia;
Materials and apparatus used to support exempt production machinery, including flooring, concrete and metal platforms, etc., except supports or legs which are a component part of exempt production machinery and do not become affixed to realty;
Tangible personal property used in the repair, servicing, and maintenance of production machinery; however, replacement parts for exempt production machinery are exempt from the tax;
Catwalks, walkways, etc., regardless of whether used to provide access to production machinery for the operation, maintenance or repair of such machinery;
Materials used in constructing, paving or maintaining roadways on the plant site on which exempt production vehicles travel.
Exempt:
Tangible personal property used to test and inspect products on the production line for quality control purposes;
Computer hardware and software used to direct or control production line and/or quality control operations (as contrasted to computer hardware and software used merely to monitor production operations, e.g., computers used to produce production reports, make production information available to plant personnel, monitor the efficiency of production machinery, etc., which are deemed to be taxable administrative items);
Wrapping or packaging equipment and supplies used at the plant site in packaging products for sale or resale;
Tangible personal property, used on the plant site, to unload raw materials or to convey raw materials to storage or from storage to the production line, to convey products from one step of production to another, or to convey finished products to packaging or warehouse areas; and
Safety apparel furnished gratuitously by manufacturer to production line employees; however, safety apparel furnished to non-production line employees is taxable as are sales of such items to employees.
Tangible personal property used to remove or load finished (packaged) goods from storage at the plant site;
Tangible personal property used to transport manufactured products to market or customers;
Tangible personal property used in advertising or marketing manufactured products for sale; including salesmen's samples withdrawn from a manufacturer's inventory;
Tangible personal property used in the exhibition of manufactured products; and
Tangible personal property (other than containers) used to protect manufactured products from damage during shipment to market or customers.
For manufacturers and processors who produce tangible personal property both for sale or resale and for their own use in performing real property construction contracts, see 23VAC10-210-410 E. For purchases of exempt machinery by contractors, see 23VAC10-210-410.
23 Va. Admin. Code § 10-210-920
Statutory Authority
§§ 58.1-203 and 58.1-609.3(2) of the Code of Virginia.