Accordingly, Virginia is prohibited by federal law from imposing a net income tax on certain foreign corporations which have income clearly derived from Virginia sources but have insufficient activity within Virginia. However, any additional business activities in Virginia which exceed the limitation of federal law ( Public Law 86-272) may subject the corporation to the imposition of Virginia income tax on all of its income from Virginia sources. Whether or not additional activities are sufficient to subject a foreign corporation to the taxing jurisdiction of Virginia is determined by the facts of each case. Consideration is given to the nature, continuity, frequency, and regularity of the activities in Virginia, compared with the nature, continuity, frequency, and regularity of its activities elsewhere.
23 Va. Admin. Code § 10-120-90
Statutory Authority
§§ 58.1-203 and 58.1-401 of the Code of Virginia.