The Indiana Department of State Revenue on June 20 issued a decision in favor of a non-resident taxpayer, finding that the taxpayer, who moved from Indiana to Nebraska in 2020 but remained an employee of an Indiana company, is entitled to a full refund of the state and local income tax paid to Indiana, having found that the taxpayer has established domicile in Nebraska and thus was not subject to Indiana income tax for the year 2021. [Ind. Dep’t of Revenue, Memorandum of Decision: 01-20232109, 06/20/24]
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