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<br />JWF 8/2/06 <br /> <br />ORDINANCE NO. NS-2723 <br /> <br />AN URGENCY ORDINANCE OF THE CITY COUNCIL OF <br />THE CITY OF SANTA ANA AMENDING SECTIONS 35- <br />153(n) AND 35-155 OF THE SANTA ANA MUNICIPAL <br />CODE MAKING CERTAIN TECHNICAL MODIFICATIONS <br />TO THE UTILITY USERS TAX ON TELEPHONE <br />SERVICES DUE TO CHANGES IN INTERPRETATION OF <br />FEDERAL LAW. <br /> <br />THE CITY COUNCIL OF THE CITY OF SANTA ANA DOES ORDAIN AS <br />FOLLOWS: <br /> <br />Section 1. The City Council of the City of Santa Ana hereby finds, determines <br />and declares as follows: <br /> <br />A. Since 1975 the City of Santa Ana has collected a Utility Users Tax ("UUT") <br />on telephone communication services. Since 1991, the tax rate has been <br />6%. <br /> <br />B. When first adopted, the UUT was enacted with reference to Federal <br />Excise Tax, 26 United States Code ~~ 4251,4252 and 4253, ("FET") upon <br />local and long distance telephone communication services. <br /> <br />C. The reference to the FET in the UUT was intended to be used as a <br />benchmark for purposes of identifying the types of telephone <br />communication services subject to the tax, and those taxpayers exempt <br />from the tax. The FET was not a basis or authority for the City's imposition <br />of the UUT. <br /> <br />D. On May 25, 2006, the Internal Revenue Service ("IRS") issued its <br />Revenue Notice 2006-50 which announced that the IRS was no longer <br />interpreting the FET as applying to wireless communications which were <br />billed based on time only without consideration of the distance of the call. <br />This revenue ruling reversed the historical interpretation and practice of <br />the IRS as it relates to wireless telephone services and further reversed <br />prior IRS Revenue Ruling 79-404 which held that telephone services <br />which are billed based only on time are subject to the FET, and upon <br />which the City relied in collecting the UUT. As a result of Revenue Notice <br />2006-50, effective August 1, 2006, the FET will no longer be applicable to <br />long distance calls billed on time only, and certain other "bundled" <br />services. <br /> <br />E. The City of Santa Ana does not want to apply the new IRS interpretation <br />to the UUT, but rather continue to apply its UUT to all telephone services <br />as it has historically and consistent with the IRS Ruling 79-404. The <br /> <br />Ordinance No. NS-2723 <br />Page 1015 <br />