Ohio Revised Code

Ohio Rev. Code § 5711.101 (2026)

Tax commissioner may require financial statement or balance sheet - substitute listing date

✓ current as of May 2026
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The tax commissioner may require that with every return listing personal property used in business or credits, the taxpayer shall file a financial statement or balance sheet of such business as of the close of business on the day next preceding the date of listing.

A taxpayer who is required to file a financial statement or balance sheet of his business pursuant to this section may be authorized or required by the commissioner to list his taxable property as of the close of business at the end of his fiscal year, instead of as of the day otherwise prescribed by section 5711.03 of the Revised Code. The commissioner may adopt regulations to govern the use of the basis of listing authorized by this section, but a taxpayer who is authorized or permitted to list taxable property as of a day other than that prescribed by section 5711.03 of the Revised Code, shall thereafter use the same basis unless the commissioner, for good cause shown, authorizes the substitution of another fiscal year, or, unless the commissioner requires or, upon application of the taxpayer, authorizes, the substitution of another listing date to insure that property subject to taxation under the provisions of section 5709.01 or 5709.02 of the Revised Code, and acquired by means of purchase, merger, or reorganization, involving an entire plant, a facility, or a division, shall not be excluded from taxation for a year or taxed more than once in a year. In the case of such acquisition the commissioner shall require or authorize a substitute listing date only for such acquired property and only for one year.

No document authorized or required by this section to be filed with returns of taxable property shall be deemed a public document or record, but shall be a confidential document for the use of the department of taxation only in assessing taxable property.

Notes of Decisions
Cited in 4 cases, 1965–1994 · leading case: Hoover Universal, Inc. v. Limbach, 575 N.E.2d 811 (Ohio 1991).
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Hoover Universal, Inc. v. Limbach, 575 N.E.2d 811 (Ohio 1991). “R.C. 5711.101; Ohio Adm.Code 5703-3-03; and former TX41-02, now 5703-3-04(B).”
Rick Case Motors, Inc. v. Tracy, 643 N.E.2d 1137 (Ohio 1994). “03 requires taxpayers to list all taxable property as of the first day of January annually, and R.C. 5711.101 permits a fiscal year taxpayer to list taxable property as of the close of business at the end of his fiscal year.”
Doraty Rambler, Inc. v. Schneider, 212 N.E.2d 580 (Ohio 1965). · cites it 4× “” *40 In recognition of the fact that many businesses are conducted on a fiscal year, rather than a calendar year, basis, the Legislature has provided in Section 5711.101, Revised Code, that the Tax Commissioner may authorize or require a taxpayer to list his taxable personal…”
Rick Case Motors, Inc. v. Tracy, 1994 Ohio 176 (Ohio 1994). “03 requires taxpayers to list all taxable property as of the first day of January annually, and R.C. 5711.101 permits a fiscal year taxpayer to list taxable property as of the close of business at the end of his fiscal year.”
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