Kentucky
Kentucky: State High Court Holds that Purchases are Exempt Supplies, Not Taxable Replacement Parts
The Kentucky Supreme Court recently addressed the distinction between exempt supplies and taxable repair parts. Under Kentucky law, 鈥渟upplies鈥� purchased by a manufacturer for use in the manufacturing process are tax exempt, but 鈥渞epair, replacement, or spare parts鈥� are not. To be classified as a 鈥渟upply鈥� an item must be tangible personal property, be consumed in manufacturing or industrial processing, be used directly in manufacturing or industrial processing, and have a useful life of less than one year. 鈥淩epair, replacement or spare parts鈥� are tangible personal property used to maintain, restore, mend, or repair machinery or equipment. 聽The Kentucky Supreme Court recently concluded that an aluminum manufacturer鈥檚 purchases qualified as exempt supplies. In the court鈥檚 view, the plain language of the definition of repair, replacement and spare parts restricted the part鈥檚 use to maintaining, restoring, mending or repairing the actual manufacturing machinery or equipment. As such, tangible personal property that maintained the 鈥渕anufacturing process,鈥� but did not actually replace an existing part of the permanent machinery, did not fit within the definition of a taxable repair part. 聽The court concluded that the question as to whether tangible personal property is a tax-exempt supply or a taxable part, if all the other characteristics of a tax-exempt supply are met, may be resolved by whether the tangible personal property has the characteristics of being consumed in the manufacturing process and having a useful life of less than one year. 鈥淲ith the conclusion that specific tangible personal property is a supply, its defining characteristics exclude it from being categorized as a repair, replacement or spare part, and the statute cannot be construed in an absurd, inconsistent manner to allow the same tangible personal property to be viewed also as a part.鈥� Please contact聽Greg Ruud聽or聽Dave Perry聽with questions on聽Century Aluminum of Kentucky, GP v. Dep鈥檛 of Revenue.