Where Retailers Can Ship DtC

Alex Koral
March 6, 2020

This blog was last updated on June 18, 2024

For the most up-to-date information on retailer DtC shipping rules, visit this page

This post was updated on January 4, 2024.

In August 2017, Missouri repealed rules that previously permitted limited direct to consumer (DtC) sales of wine by licensed retailers. This rule change highlighted the complexities surrounding retailer DtC sales. This is the second installation of a three-part blog series to remove some of the confusion these complexities can cause. Today, we discuss where retailer DtC is still permitted, as well as the compliance requirements imposed on retailers making these sales.

Basic Rules – Retailer ships DtC

As of latest publication date, 12 states and the District of Columbia permit out-of-state retailers to sell directly to their residents, and fulfill those orders through a common carrier. Twelve of these states, plus D.C., will allow shipping by retailers located in any other state, as long as they comply with the rules of the destination state; the other three operate under a “reciprocal” process, described below. Except for selling to residents of these twelve states and D.C., it is illegal for a retailer to deliver beverage alcohol into any state in which it does not have a physical off-premises retail store.

Licensed Retailer DtC States

If they receive a license and comply with the rules under that license, out-of-state retailers may sell directly to customers in California, New Mexico OregonWyoming, Nebraska, North Dakota, Louisiana, West Virginia, Virginia, New Hampshire, Florida, Connecticut and the District of Columbia. However, there are some quirks:

  • Neither Florida nor D.C. have an actual DtC license, but standard DtC compliance rules – such as packaging rules and not selling to dry communities – apply.

For these states, the licenses are generally the same as those required for manufacturers to ship DtC – though the price may vary, as is the case in Louisiana. The same restrictions imposed on suppliers will also apply to retailers. Without this license, retailers cannot legally sell to and make deliveries to residents of these states.

Wyoming, Louisiana, Connecticut, Florida and West Virginia permit the sale of wine only. Nebraska, North Dakota, D.C., and New Hampshire permit the sale of all types of beverage alcohol. Virginia permits the sale of beer as well as wine, as does Oregon. However, Oregon only allows beer to come from states that also permit Oregon breweries to deliver to their residents. For more on DtC beer sales, head here.

Retailers must also follow specific tax rules. Each of these states, except for D.C, require seller (i.e. the retailer) to collect and remit both excise taxes and state sales taxes. Neither Oregon nor New Hampshire have state sales taxes, but New Hampshire levies a special liquor tax that will apply. These states also require a regular report from the retailer detailing the DtC sales they have made – though in some states, this may be coupled with a tax return.

When the product is being delivered, it must be shipped in a properly labeled package indicating it contains alcohol and an adult’s signature is required for delivery to be made. Carriers experienced with the DtC market (primarily FedEx and UPS — USPS does not accept packages containing alcohol) are aware of these rules, and will collect signatures. These carriers will also ensure retailers have valid DtC licenses before agreeing to ship their packages.

There are also some individual state rules to note. West Virginia and New Hampshire have “dry” communities where it is illegal to sell alcohol in any manner, including by a DtC delivery. West Virginia and Virginia will require a DtC seller to indicate to the alcohol control boards which labels will be sold DtC. Virginia requires a retailer to post that they have permission from the manufacturer to resell their products through DtC, and also prohibits DtC sellers from using third-party marketing to advertise their DtC market.

These may seem like a long list of onerous rules that unfairly restrict retailers from participating in the DtC market. However, these are the same type of rules that wineries, the bulwark of the DtC market, have successfully complied with for years.

It may also seem unfair that the list of states that permit retailer DtC is so small. This, however, is a local political consideration. Each state is empowered to establish its own alcohol beverage rules, and many states have determined that it is not in their interests to permit out-of-state retailers to sell directly to their residents. Residents — and retailers — who oppose those restrictions can petition their state legislators to amend the rules.

Reciprocal Retailer DtC States

Beyond the ten “license” states and D.C., there are currently two states that operate under what is known as “reciprocity” rules. These states are California and New Mexico, and they only permit shipments of wine. Missouri and Idaho used to be reciprocity states for retailers, but with rule changes they now prohibit all deliveries made by retailers both in-state and out-of-state.

Reciprocity is essentially an “I’ll scratch your back if you scratch my back” methodology. More technically, California and New Mexico law says that they will allow out-of-state retailers to sell directly to their residents only if those out-of-state retailers are in a state that allows out-of-state retailers to sell directly to their residents without any licensing, tax, or other regulatory burdens. Put more simply, the rules in state B must be as free and open for retailer DtC sales as the rules in state A for a retailer shipping from state B to sell to a resident of state A. They may also require a specific letter of agreement between the two states, indicating that there are no license or tax requirements.

In effect, since only California and New Mexico have such a rule in place, residents of California and New Mexico are limited to only receiving shipments from retailers located in California or New Mexico. Retailers in California and New Mexico can then freely sell to residents of those states – or, if they get licensed, sell to residents of the other ten states, plus D.C.

Because a lack of regulatory burdens is the crux of these reciprocity rules, from a compliance standpoint it can much easier for a retailer in one of these states to sell to residents of the others. However, obviously, their customer base will be limited.

Want to know everything about DtC shipping? Download the 2023 DtC Wine Shipping Report.

Sign up for Email Updates

Stay up to date with the latest tax and compliance updates that may impact your business.

Author

Alex Koral

Alex Koral is Senior Regulatory Counsel for Sovos ShipCompliant in the company’s Boulder, Colorado office. He actively researches beverage alcohol regulations and market developments to inform development of Sovos’ ShipCompliant product and help educate the industry on compliance issues. Alex has been in the beverage alcohol arena since 2015, after receiving his J.D. from the University of Colorado Law School.
Share this post

North America
June 6, 2024
Observations and Predictions: The Future of Tax and Compliance

This blog was last updated on June 6, 2024 When I became the CEO of Sovos one year ago, I knew that I was stepping into an innovative company in an industry primed for a seismic transformation. However, even with this knowledge in place, I must admit that the speed and scope of change over […]

North America VAT & Fiscal Reporting
August 30, 2024
Applicability of IPT to Warranty Services

This blog was last updated on August 30, 2024 Italy: IPT Treatment on Used Vehicle Warranty Services On 21 May 2024, the Italian tax authority published a ruling (No. 110/2024) on the IPT treatment of warranty services provided in relation to the sale of used vehicles. The ruling dealt with a scenario in which a […]

North America Unclaimed Property
August 29, 2024
Delaware’s Second Round of Verified Report Requests Released

This blog was last updated on August 29, 2024 Delaware recently released the second round of Verified Report requests by mail addressed to the Tax/Escheat Departments with the subject line Notice Requesting Verified Reports for Report Year 2023*. All companies should be on the lookout for the Notice, even if your organization was audited by […]

North America ShipCompliant
August 27, 2024
2024 Direct-to-Consumer Wine Shipping Mid-Year Report

The direct-to-consumer (DtC) wine shipping channel has seen a continuation of movement tracked in the January release of the Sovos ShipCompliant/Wine Business Analytics Direct-to-Consumer Wine Shipping Report, with the top destination states experiencing a dip in volume and value.  The latest data for the U.S. wine DtC shipping market reveals shipment data trending downward. Nationwide, […]

North America ShipCompliant
August 21, 2024
Craft Distillers Are Struggling; Why Not DtC?

This blog was last updated on August 27, 2024 As craft distillers work to grow their business and market presence, they must contend with innumerable challenges, not least of which is simply being able to access consumers across the country due to restrictive state laws. To help relieve these headwinds, industry groups along with consumer […]

North America ShipCompliant
August 21, 2024
New Alaska DtC Rules Set to Take Effect

This blog was last updated on August 27, 2024 A new regulatory framework for direct-to-consumer (DtC) shipping of beverage alcohol in Alaska is set to take effect on Friday, August 23, 2024.   These new rules govern how in-state and out-of-state producers can ship their products to consumers in Alaska following the passage of SB 9 […]