Example. If the taxpayer makes a $1,000,000 qualified investment, the amount of the potential rebate is $350,000.
Example. Taxpayer's base period amount at the investment mine is $1,000,000, which is the annual average of the five-year base period. Taxpayer paid $1,500,000 severance tax in the claim year from production at the investment mine. The difference is $500,000. The taxpayer can claim the rebate against $400,000 of severance taxes paid during the claim year, which is 80 percent of the difference.
Example 1: Taxpayer company has three mines, Mine A, Mine B, and Mine C. Mine A has been in operation for five years. Mine B has been in operation for three years. Mine C goes into production during the current year. The base severance tax amount for this taxpayer is the average annual production of all mines during the past five years.
Example 2: Taxpayer company has three mines, Mine A, Mine B, Mine C. Mine A went into production two years ago, while Mine B and Mine C go into production during the current year. The taxpayer's base severance tax production is the average production for all three mines during the prior year.
Example 3: Taxpayer company has three mines, Mine A, Mine B, and Mine C. All three mines go into production in West Virginia during the current year. The taxpayer is not eligible to claim the rebate until it has been in business in the State of West Virginia for at least two years.
Example 1: Taxpayer's base period amount at the investment mine is $3,000,000, which is the annual average of the five-year base period. Taxpayer paid $3,800,000 severance tax in the claim year from production at the investment mine. The difference is $800,000. 80 percent of that difference is $640,000 ($800,000 X 0.8 = $640,000). The taxpayer may be able to claim the rebate against $640,000 of severance taxes paid during the claim year, depending upon the result of the limiting factor below.
The base period coal production of all the taxpayer's mines, including the mine where the investment was made, is 400,000 tons. The claim year production of all the taxpayer's mines is 450,000. 450,000 tons minus 400,000 tons is 50,000 tons.
The base period coal production of the taxpayer's mine where the investment was made is 100,000 tons. The claim year production at the taxpayer's mine where the investment was made is 160,000 tons. 160,000 tons minus 100,000 tons is 60,000 tons.
Increase in production all mines = 50,000 tons
Increase in production at investment mine = 60,000 tons
The factor does not exceed one.
The factor is multiplied by 80 percent of the increase in the state portion of severance taxes, which results in $533,333. ((50,000/60,000) X ($800,000 X 0.8) = $533,333). The rebate may only be claimed against $533,333.
Example 2: The taxpayer's increase in severance tax is the same as above, so that the taxpayer may be able to claim the rebate against $640,000 of severance taxes paid during the claim year, depending upon the result of the limiting factor below.
However, this time the base period coal production of all the taxpayer's mines, including the mine where the investment was made, is 400,000 tons. The claim year production of all the taxpayer's mines is 460,000. 460,000 tons minus 400,000 tons is 60,000 tons.
The base period coal production of the taxpayer's mine where the investment was made is 100,000 tons. The claim year production at the taxpayer's mine where the investment was made is 150,000 tons. 150,000 tons minus 100,000 tons is 50,000 tons.
Increase in production all mines = 60,000 tons
Increase in production at investment mine = 50,000 tons
The resulting factor is larger than one. The factor cannot exceed one, so the factor will be reduced to one.
The factor is multiplied by 80 percent of the increase in the state portion of severance taxes, which results in $640,000. (1 X ($800,000 X 0.8) = $640,000). The limiting factor did not decrease the amount of rebate that may be taken.
W. Va. Code R. § 110-21F-3