Is your client really a nonresident for state income tax purposes?

Let's say your high-income client moves to a no-income-tax state. But he still has a house in the Land of Lincoln. And a spouse in the house, just to up the ante. Is he a nonresident of Illinois for income tax purposes? Can anybody say "it depends"? David P. Dorner discusses the important factors to consider in the latest ISBA Tax Trends newsletter.
Posted on May 25, 2010 by Mark S. Mathewson
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