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Ruling 89-12


You have inquired as to whether the Connecticut sales and use tax is applicable to certain writing services performed by your business.

As we understand the facts, X Company prepares an analysis of the current Connecticut economy in a text form to be published by a bank and a business newspaper, for the benefit of their customers.

It is our opinion that these writing services performed by X Company are not subject to our sales and use tax.


May 17, 1989