West Virginia Sales Tax Nexus Details

Kelsey O'Gorman
November 30, 2020

This blog was last updated on November 30, 2020

The West Virginia sales tax nexus changed after the South Dakota v. Wayfair, Inc. decision. Effective January 1, 2019, remote sellers that have no physical presence in the state must now register, collect and remit sales and use taxes in West Virginia should they meet the threshold or transaction amount. In addition to the remote seller requirement, West Virginia further enacted requirements for marketplace facilitators effective July 1, 2019. Marketplace facilitators without physical presence are also now required to register, collect and remit West Virginia sales tax should they meet the requirements for economic nexus. We have outlined several of the major points in West Virginia’s requirements below.

Enforcement date:
January 1, 2019 for remote sellers.

July 1, 2019 for marketplace facilitators.

Sales/transactions threshold:
$100,000 or 200 transactions.

Measurement period:
Threshold applies to the previous calendar year.

Included transactions/sales:
Retail sales of tangible personal property and taxable services delivered into the state.

When You Need to Register Once You Exceed the Threshold:
Next transaction.

Summary: Remote sellers must collect West Virginia sales tax when the remote seller has annual sales of products and services of more than $100,000 or has more than 200 separate transactions delivered in West Virginia. Marketplace facilitators without physical presence must also follow this requirement should they meet the threshold or transaction amount.  

Remote sellers and marketplace facilitators must ensure that they stay current on any potential changes to economic nexus law. Working with the right partner can help ensure that businesses operations remain smooth.

West Virginia Sales Tax Resources: For more information on the West Virginia sales tax nexus, reach out to our team. Additionally, check out our interactive sales tax nexus map for the latest updates on every state.

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Author

Kelsey O'Gorman

Kelsey O’Gorman is a Regulatory Counsel at Sovos. Within Sovos’ Regulatory Analysis function, Kelsey focuses on global sales tax and VAT issues, supporting both the tax determination and reporting engines. Kelsey received her B.A. in Psychology from University at Buffalo and her J.D. from Roger Williams University School of Law. She is a member of the Massachusetts Bar.
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