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The primary duties of the comptroller's office are to collect substantially all tax revenue owed to the State of Texas (this involves more than 60 different types of taxes from the sales tax-- the largest source of the state's tax revenue, since Texas does not have a personal income tax-- to minor items such as the "battery sales fee" -- a $2–$3 fee on sales of lead-acid batteries) and to ...
For a related article on the former office, see entry on Texas State Treasurer. Pages in category "State treasurers of Texas" The following 9 pages are in this ...
Additionally, the treasurer acted as chairman of the State Depository Board and the Cash Management Committee, officer of the Treasury Safekeeping Trust Company, and member of the State Banking Board and Bond Review Board. The State Treasury Department had two divisions: fiscal management and administration. Within the fiscal management area ...
Charitable contributions, either in the form of a cash donation or an “in kind” donation (i.e., you donate clothing to your local Goodwill) can be deducted from your tax return if you itemize ...
Texas abolished the position of Texas State Treasurer in 1996, transferring the duties of that office to the Texas Comptroller of Public Accounts. The state treasurer serves as the chief custodian of each state's treasury and as the state's head banker. Typically, they receive and deposit state monies, manages investments, and keeps track of ...
Dec. 20—The State Ethics Commission has upheld a hearing officer's decision finding State Treasurer Laura Montoya violated campaign finance reporting laws by accepting $10,000 in concealed ...
Returns are also required by partnerships doing business in the state. Many states require that a copy of the federal income tax return be attached to their state income tax returns. The deadline for filing returns varies by state and type of return, but for individuals in many states is the same as the federal deadline, typically April 15.
Quill Corp. v. North Dakota, 504 U.S. 298 (1992), was a Supreme Court case that determined that the Dormant Commerce Clause prohibited states from collecting sales taxes from purchases made by their residents from out-of-state vendors that did not have a physical presence within that state unless legislation from the United States Congress allowed them to do so.