Tax Law, § 1105[c][1])
Example 1:
A company distributes a newsletter to its subscribers weekly, showing the range of daily market prices for certain commodities. The newsletter comprises a taxable information service.
Example 2:
A company publishes a bound volume monthly, which it furnishes to its subscribers. The volume contains information with respect to current advertising rates of various media in different localities. This publication is a taxable information service.
Example 3:
A firm supplies to business concerns listings of prospective customers' telephone numbers is providing a taxable information service and must collect the appropriate tax on the charges for such service.
Example 4:
A computer service company owns a service program consisting of analyses of law cases and statutes. It is asked by a customer to research all references to the word "assessment". The fee for the printout received by the customer constitutes a taxable receipt from an information service, as the citations listed may be given to another subscriber requesting the same information.
Cross reference:
Periodicals and newspapers, see Part 528 of this Title.
Example 1:
The report submitted by a private detective agency to its clients is a personal report, the charge for which is not taxable.
Example 2:
Automobile insurance damage appraisals performed for insurance companies are individual reports, the fees for which are not subject to sales tax.
Example 3:
A computer service company has a program consisting of withholding tax tables. Using the same program, it computes the payroll for several subscribers. The fee charged to each subscriber is not taxable as it is for an information service, the results of which are not incorporated into reports furnished others.
Example 4:
A firm is in the business of reading newspapers and periodicals, cutting out all articles in which the name of a customer or a topic of interest to the customer appears, and transferring such clippings to the customer, whether by mail or otherwise, for a fee. This is a service of furnishing information which is taxable. The tax is due on the entire charge regardless of the method of billing for the service, including any charge by the firm for shipping or delivery of the clippings to the customer. Even though this information may be individual in nature, it may be incorporated in reports furnished to others.
Example 5:
An advertising agency is hired to design an advertising program and to furnish art work and layouts to the media. The fee charged by the agency to its client for this service is not subject to the tax. However, if the layout and artwork is sold by the advertising agency prior to use by it to the customer for his use, the advertising agency is making a sale of tangible personal property which is subject to sales tax.
Example 1:
A credit bureau purchases forms for the furnishing of credit status reports to its clients. The forms purchased are not subject to the sales tax since they were purchased for use in performing a taxable service.
Example 2:
A firm which computes payroll information purchases forms for the purpose of furnishing reports to its clients. The reports will contain information which is personal or individual and not a taxable information service. Such purchases by the firm are at retail and subject to the sales tax.
Example 3:
A vendor of an investment advisory service purchases a commodity information service and stock market information service. Both services purchased by the vendor are incorporated into the service he sells. The vendor may purchase the services he uses for resale without payment of sales tax.
N.Y. Comp. Codes R. & Regs. Tit. 20 § 527.3