In the latest GeTtin’ SALTy podcast episode, host Nikki Dobay welcomes new Greenberg Traurig colleague John Ormonde, a shareholder in the firm’s State & Local Tax Practice.

The centerpiece of the episode is a detailed inside look at the Smithfield Foods case, which John identifies as one of the most significant California apportionment decisions in recent memory — and which observers at the Federation of Tax Administrators have called perhaps the single most important case on apportionment for the foreseeable future. John breaks down the two distinct issues before the court.

The first issue concerns whether Smithfield qualified as an agricultural business under California Revenue and Taxation Code Section 25128, entitling it to three-factor apportionment rather than single sales factor apportionment. The second and more broadly applicable issue involves alternative apportionment under Section 25137, California’s codification of Section 18 of UDITPA, which has counterparts in more than twenty states.

Nikki and John also preview two additional pending California matters: the NTU case, which is currently on appeal, challenges the retroactive application of Revenue and Taxation Code Section 25128.9, which modified the apportionment factors in ways that effectively eliminated the use of gross receipts as historically understood, and Garcia-Rojas v. Franchise Tax Board, in which the California Court of Appeal held that a sole proprietor performing services for a California customer was not engaged in a unitary business and therefore could not be subjected to market-based sourcing under the UDITPA-derived regulation — a decision now before the California Supreme Court on FTB’s petition for review.

The episode closes with a lightly competitive debate over World Cup allegiances, with both Nikki and John ultimately landing on Mexico.

Tune in!

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Photo of Nikki E. Dobay Nikki E. Dobay

Nikki Dobay is nationally known for her deep experience and understanding of state tax policy and the legislative process. She also advises her clients on sophisticated multistate tax issues as well as the consequences and planning opportunities related to corporate M&A transactions and…

Nikki Dobay is nationally known for her deep experience and understanding of state tax policy and the legislative process. She also advises her clients on sophisticated multistate tax issues as well as the consequences and planning opportunities related to corporate M&A transactions and oversees state and local tax controversy matters, ranging from audits to appellate litigation, and involving sales and use taxes, income and franchise taxes, property taxes, and constitutional issues.

Nikki regularly engages with statewide business and taxpayer associations and departments of revenue, as well as national tax administrator organizations, including the Federation of Tax Administrators (FTA), the Multistate Tax Commission (MTC), and the National Conference of State Legislatures (NCSL), on key SALT issues impacting multijurisdictional taxpayers.

Nikki’s previous experience includes spending five years as senior tax counsel for the Council On State Taxation (COST). She also gained experience working in the national office of a Big Four accounting firm and at a large international law firm and a large corporate law firm in Oregon, where she assisted clients with multistate tax issues and Oregon tax controversy matters, including proceedings in the Oregon Tax Court.

Photo of John Ormonde John Ormonde

John Ormonde advises clients on state and local tax controversy, planning, and policy matters. His practice covers all major state and local tax types, including corporate income tax, franchise tax, gross receipts tax, property tax, and sales and use taxes, with wide-ranging experience…

John Ormonde advises clients on state and local tax controversy, planning, and policy matters. His practice covers all major state and local tax types, including corporate income tax, franchise tax, gross receipts tax, property tax, and sales and use taxes, with wide-ranging experience in California state and local taxes. He works with Fortune 500 corporate taxpayers, partnerships, and high-net-worth individuals across the technology, financial, asset management, manufacturing, and retail industries.

John represents clients at every stage of a tax dispute, from the audit level through administrative appeals, trial courts, and courts of appeal. He also identifies state and local tax refund opportunities and handles the execution of refund claims. Before beginning his legal practice, John worked as a tax consultant in the California national practice group of a Big Four accounting firm, which gave him a practical grounding in the compliance and planning issues corporate taxpayers face day to day.

John is a frequent speaker on state and local tax topics, presenting at conferences and webinars hosted by organizations such as the Tax Executives Institute, California Tax Foundation, California Lawyers Association, and American Bar Association.