- 1. Overview
- 2. Etymology
- 3. Cultural Impact
United States Economic Nexus Thresholds
Economic nexus in the United States is a legal standard that U.S. states use to determine whether a business has a substantial connection with the state, thereby imposing the obligation to collect and remit sales tax . Unlike the traditional physical‑presence requirement, economic nexus [1] is established through the volume or value of a business’s economic activity within a state, such as reaching a certain threshold of sales or number of transactions. [2]
The concept became central to state tax policy after the 2018 United States Supreme Court decision in South Dakota v. Wayfair, Inc., which allowed states to require out‑of‑state or remote sellers to collect sales tax based solely on economic activity, even in the absence of a physical footprint. This ruling overturned decades of precedent, most notably the Quill Corp. v. North Dakota decision, enabling states to expand tax‑collection obligations to out‑of‑state or remote sellers, particularly those engaged in the e‑commerce industry.
Since the decision, most U.S. states have enacted economic‑nexus statutes that have fundamentally transformed sales‑tax compliance for businesses operating across state lines, compelling many online retailers, digital platforms, and marketplace facilitators to register, collect, and remit taxes in jurisdictions where they previously had no obligation. The shift has generated both administrative burdens and revenue gains for states, while also prompting a wave of legislative adjustments as policymakers fine‑tune thresholds, definitions, and enforcement mechanisms to balance fiscal needs with commercial realities.
History
Background
Before 2018, the authority of U.S. states to require businesses to collect sales tax was primarily governed by the North Dakota Supreme Court ’s 1992 decision in Quill Corp. v. North Dakota [3]. In that case, the Court reaffirmed the principle that a business must have a physical presence—such as an office, warehouse, or employees—in a state before that state could impose tax‑collection obligations. This physical‑presence rule was rooted in the U.S. Constitution , which limits state regulation of interstate commerce.
The Quill decision limited state tax enforcement at a time when remote commerce and online sales were rapidly expanding. States argued that the rule created a tax loophole, allowing out‑of‑state or remote sellers to avoid collecting, reporting, and remitting sales tax even when they generated substantial sales within the state. This situation placed brick‑and‑mortar businesses at a competitive disadvantage and led to growing concerns about lost tax revenue .
South Dakota v. Wayfair, Inc.
The legal framework surrounding state sales‑tax collection changed dramatically with the 2018 Supreme Court ruling in South Dakota v. Wayfair, Inc. [4]. The State of South Dakota had enacted a law requiring out‑of‑state sellers to collect and remit sales tax if they exceeded specific economic thresholds set at $100,000 in sales or 200 transactions annually in the state, regardless of physical presence. [5]
The Court upheld South Dakota’s law, ruling that the physical‑presence requirement established in Quill was “outdated and artificial.” It reasoned that substantial economic and technological changes in commerce justified a shift in legal standards. The opinion noted that “states were losing between $694 million and $3 billion per year in sales‑tax revenues as a result of the physical‑presence rule.” [4]
This decision effectively sanctioned the use of economic‑nexus standards, allowing states to assert tax authority based on the aggregate volume of sales or transactions within their borders, even when the seller has no physical presence.
State‑by‑State Economic Nexus Threshold Overview
The following table summarizes the current economic‑nexus thresholds adopted by each state as of July 2025, including the dates when the regulations were introduced, the quantitative thresholds, the measurement periods used, the types of sales included, and the deadlines for registration once a threshold is crossed. [6]
| State | Date When the Economic Nexus Regulations Were Introduced | Current Economic Nexus Threshold | Measurement Period | Sales Included in the Threshold | Registration Deadline Upon Exceeding the Threshold | Legislative Changes |
|---|---|---|---|---|---|---|
| Alabama | 1 October 2018 | $250,000 and specified activities [6] | Previous calendar year | Retail sales | 1 January following the year in which the threshold is exceeded | Marketplace sales are excluded from the threshold for individual sellers |
| Alaska | The Alaska Remote Seller Sales Tax Commission has passed its “Remote Seller Sales Tax Code & Common Definitions,” which applies to local municipalities in Alaska that choose to adopt it. | $100,000 [7] | Previous calendar year | Gross sales | The first day of the month following 30 days from adoption by the city or borough | Alaska removed its 200‑transaction threshold, effective 1 January 2025 |
| Arizona | 1 October 2019 | $100,000 [8] | Previous or current calendar year | Gross sales | The first day of the month that starts at least thirty days after the threshold is met | In 2019, the threshold was set to $200,000, which was later decreased in 2020 to $150,000. In 2021, the current $100,000 threshold was defined |
| Arkansas | 1 July 2019 | $100,000 or 200 or more separate transactions [9] | Previous or current calendar year | Taxable sales | Next transaction after meeting the threshold | Marketplace sales are excluded from the threshold for individual sellers |
| California | 1 April 2019 | $500,000 [10] | Preceding or current calendar year | Gross sales of tangible personal property | The day sellers exceed the threshold | On 25 April 2019, California removed its 200‑transactions threshold and raised its sales threshold from $100,000 |
| Colorado | 1 December 2018, with a grace period through 31 May 2019 | $100,000 [11] | Previous or current calendar year | Retail sales | On the 20th day after the retailer exceeded the threshold | On 14 April 2019, Colorado removed its 200‑transactions threshold |
| Connecticut | 1 December 2018 | $100,000 and 200 transactions [12] | 12‑month period ending on September 30 | Retail sales | October 1 of the year in which sellers crossed the threshold | On 1 July 2019, Connecticut decreased its dollar threshold from $250,000 to $100,000, keeping the number of transactions the same |
| District of Columbia | 1 January 2019 | $100,000 or 200 or more separate retail sales [13] | Previous or current calendar year | Retail sales | Next transaction after exceeding the threshold | Marketplace sales are included towards the threshold for individual sellers |
| Florida | 1 July 2021 | $100,000 [14] | Previous calendar year | Taxable sales | The first of the following calendar year after sellers meet the threshold | Marketplace sales are excluded from the threshold for individual sellers |
| Georgia | 1 January 2019 | $100,000 or 200 or more sales [15] | Previous or current calendar year | Retail sales of tangible personal property delivered electronically or physically, whether taxable or exempt | Next transaction after exceeding the threshold | Between 1 January 2019 and 1 January 2020, the threshold was $250,000 or 200 or more sales. On 1 January 2020, Georgia decreased their sales threshold to $100,000 and kept the 200‑transactions threshold unchanged |
| Hawaii | 1 July 2018 | $100,000 or 200 or more separate transactions [16] | Current or immediately preceding calendar year | Gross sales | The first of the month following the month in which the threshold is met | Marketplace sales are included towards the threshold for individual sellers |
| Idaho | 1 June 2019 | $100,000 [17] | Previous or current calendar year | Gross sales | Not specified by the State | Marketplace sales are included towards the threshold for individual sellers |
| Illinois | 1 October 2018 | $100,000 or 200 or more separate transactions [18] | Preceding 12‑month period | Retail sales | Retailers must determine every quarter whether they meet the criteria for the preceding 12‑month period | From 1 January 2026, Illinois will remove its 200‑transactions threshold |
| Indiana | 1 October 2018 | $100,000 [19] | The calendar year in which the retail transaction is made or for the calendar year preceding the calendar year in which the retail transaction is made | Gross sales | Next transaction after exceeding the threshold | Marketplace sales excluded from the threshold for individual sellers |
| Iowa | 1 January 2019 | $100,000 [20] | Current or immediately preceding calendar year | Gross sales | The first day of the following calendar month that starts at least 30 days from the day the remote seller first exceeded the threshold | On 1 July 2019, Iowa removed its 200‑transaction threshold |
| Kansas | 1 July 2021 | $100,000 [21] | Current or immediately preceding calendar year | Gross sales | Next transaction after exceeding the threshold | Kansas originally introduced the economic nexus rules applicable to out‑of‑state or remote sellers in 2019. The initial legislation did not state a threshold. Therefore, any remote seller selling tangible goods or services into the state had to register and begin collecting tax by 1 October 2019 |
| Kentucky | 1 October 2018 | $100,000 or 200 or more separate transactions [22] | Previous or current calendar year | Gross sales | The first of the month following 60 days after the threshold is met | Marketplace sales are included towards the threshold for individual sellers |
| Louisiana | 1 July 2020 | $100,000 [23] | Previous or current calendar year | Retail sales | Within 30 days of exceeding the threshold | On 1 August 2023, Louisiana removed its 200‑transactions threshold |
| Maine | 1 July 2018 | $100,000 [24] | Previous or current calendar year | Gross sales | The first day of the following calendar month that starts at least 30 days from the day the remote seller first exceeded the threshold | On 1 January 2022, Maine removed its 200‑transactions threshold |
| Maryland | 1 October 2018 | $100,000 or 200 or more separate transactions [25] | Previous or current calendar year | Gross sales | First day of the month following the month in which the threshold is met | Marketplace sales included towards the threshold for individual sellers |
| Massachusetts | 1 October 2017 | $100,000 [26] | Previous or current calendar year | Gross sales | First day of the first month that starts two months after the month in which the remote retailer exceeded the threshold | On 1 October 2019, Massachusetts removed its 100‑transactions threshold and decreased the $500,000 threshold to $100,000 |
| Michigan | 1 October 2018 | $100,000 or 200 or more separate transactions [27] | Previous calendar year | Gross sales | 1 January of the year following the year in which the threshold is exceeded | Marketplace sales are included towards the threshold for individual sellers |
| Minnesota | 1 October 2018 | $100,000 or 200 or more retail sales [28] | The 12 months ending on the last day of the most recently completed calendar quarter | Retail sales | The first day of the calendar month occurring no later than 60 days after the threshold is exceeded | On 1 October 2019, Minnesota changed its previous threshold set at $100,000 and 10 sales or 100 transactions |
| Mississippi | 1 September 2018 | $250,000 [29] | The prior twelve‑month period | Gross sales | Next transaction after exceeding the threshold | Marketplace sales are excluded from the threshold for individual sellers |
| Missouri | 1 January 2023 | $100,000 [30] | Previous calendar year | Taxable sales of tangible personal property | No later than 3 months following the close of the quarter in which the threshold was exceeded | Marketplace sales are included towards the threshold for individual sellers |
| Nebraska | 1 April 2019 | $100,000 or 200 or more separate transactions [31] | Previous or current calendar year | Retail sales | The first day of the second calendar month in which the threshold was exceeded | Marketplace sales are included towards the threshold for individual sellers |
| Nevada | 1 November 2018 | $100,000 or 200 or more separate transactions [32] | Previous or current calendar year | Retail sales | The first day of the following calendar month that starts at least 30 days from the day the remote seller first exceeded the threshold | Marketplace sales are included towards the threshold for individual sellers |
| New Jersey | 1 November 2018 | $100,000 or 200 or more separate transactions [33] | Previous or current calendar year | Gross sales | Sales must start collecting from the first taxable sale after the threshold is exceeded. There is a 30‑day grace period to register | Marketplace sales are included towards the threshold for individual sellers |
| New Mexico | 1 July 2019 | $100,000 [34] | Previous calendar year | Taxable sales | 1 January following the year in which the threshold is exceeded | Marketplace sales are excluded from the threshold for individual sellers |
| New York | 21 June 2018 | $500,000 in sales of tangible personal property and more than 100 sales [35] | Immediately preceding four sales tax quarters | Gross receipts from sales of tangible personal property | Sellers must register within 30 days after exceeding the threshold | On 24 June 2019, New York increased its dollar threshold from $300,000 to $500,000, leaving the transaction threshold unchanged |
| North Carolina | 1 November 2018 | $100,000 [36] | Previous or current calendar year | Gross sales | Next transaction after exceeding the threshold | On 1 July 2024, North Carolina removed its 200‑or‑more separate transaction threshold [37] |
| North Dakota | 1 October 2018 | $100,000 [38] | Previous or current calendar year | Taxable sales | The following calendar year or 60 days after the threshold is met, whichever is earlier | Marketplace sales are excluded from the threshold for individual sellers |
| Ohio | 1 January 2018 | $100,000 or 200 or more separate transactions [39] | Previous or current calendar year | Retail sales | The next day after exceeding the threshold | On 1 August 2019, Ohio decreased its threshold from $500,000 to $100,000 and added a 200‑transaction threshold |
| Oklahoma | 1 November 2019 | $100,000 in aggregate sales of tangible personal property [40] | Preceding or current calendar year | Taxable sales | The first calendar month following the month in which the threshold is met | Marketplace sales are excluded from the threshold for individual sellers |
| Pennsylvania | 1 July 2019 | $100,000 [41] | The prior calendar year | Gross sales on all channels, including taxable, exempt, and marketplace sales | April 1 of the following calendar year, in which the threshold was exceeded | On 1 April 2018, Pennsylvania enacted Notice and Reporting Requirements, which were later replaced by the economic nexus legislation |
| Rhode Island | 1 July 2019 | $100,000 or 200 or more separate transactions [42] | Immediately preceding calendar year | Gross sales | 1 January following the year in which the threshold is exceeded | Marketplace sales are included towards the threshold for individual sellers |
| South Carolina | 1 November 2018 | $100,000 [43] | Previous or current calendar year | Gross sales | The first day of the second calendar month in which the threshold is exceeded | Marketplace sales are included towards the threshold for individual sellers |
| South Dakota | 1 November 2018 | $100,000 [44] | Previous or current calendar year | Gross revenue | The first whole month that begins at least 30 days after exceeding the threshold | On 1 July 2023, South Dakota removed its 200‑transaction threshold [45] |
| Tennessee | 1 October 2019 | $100,000 [46] | Previous 12‑month period | Retail sales | The first day of the third month following the month in which the threshold is exceeded | On 1 October 2019, Tennessee decreased the threshold from $500,000 to $100,000 [47] |
| Texas | 1 October 2019 | $500,000 [48] | Previous 12‑month period | Gross revenue, including taxable, non‑taxable, and tax‑exempt sales | The first day of the fourth month after the month in which the seller exceeded the threshold | Marketplace sales are included towards the threshold for individual sellers |
| Utah | 1 January 2019 | $100,000 [49] | Previous or current calendar year | Gross sales | The State does not specify | On 1 July 2025, Utah removed its 200‑transactions threshold [50] |
| Vermont | 1 July 2018 | $100,000 or 200 or more separate transactions [51] | The prior four calendar quarters | Gross sales | First of the month, after 30 days from the end of the quarter, in which the threshold is exceeded | Marketplace sales are included towards the threshold for individual sellers |
| Virginia | 1 July 2019 | $100,000 or 200 or more separate transactions [52] | Previous or current calendar year | Retail sales | Next transaction after exceeding the threshold | Marketplace sales are excluded from the threshold for individual sellers |
| Washington | 1 October 2018 | $100,000 [53] | Current or preceding calendar year | Gross sales | The first day of the month that starts at least 30 days after the threshold is exceeded | Between 1 October 2018 and 31 December 2019, sellers with 200 or more separate transactions into Washington were subject to sales‑tax collection and remittance requirements. In the same period, retail sales were calculated towards the threshold. On 14 March 2019, Washington removed the $200 transaction threshold and replaced the retail‑sales standard with the gross‑sales standard |
| West Virginia | 1 January 2019 | $100,000 or 200 or more separate transactions [54] | Preceding or current calendar year | Gross sales | The State does not specify | Marketplace sales are included towards the threshold for individual sellers |
| Wisconsin | 1 October 2018 | $100,000 [55] | Previous or current calendar year | Gross sales | Next transaction after exceeding the threshold | On 20 February 2021, Wisconsin removed its 200‑transactions threshold [56] |
| Wyoming | 1 February 2019 | $100,000 | Previous or current calendar year | Gross sales | Next transaction after exceeding the threshold | On 1 July 2024, Wyoming removed its 200‑transactions threshold [57] |
Note: Economic thresholds are as of July 2025 and are subject to change.
U.S. States Without Economic Nexus
Although the vast majority of the U.S. states that impose sales tax have adopted economic‑nexus laws, a small number of states do not impose a statewide sales tax. These states are Delaware , Oregon , Montana , and New_Hampshire , and together with Alaska they are known as the NOMAD states. [1]
- Delaware imposes a gross receipts tax on businesses that sell goods or provide services within the state. Remote or out‑of‑state sellers are exempt from paying gross receipts tax in Delaware, as it generally applies to businesses with physical nexus and activity within the state. [58]
- Oregon imposes a vehicle‑privilege and use tax [59] on new vehicles purchased out of state, and excise taxes are applied to products such as cigarettes and marijuana .
- Montana levies excise taxes on gasoline , alcohol , tobacco , lodgings , and other items.
- New_Hampshire does not have a general sales tax, but it does levy certain selective taxes on specific goods and services.
Alaska, while not part of the NOMAD group, nonetheless allows local jurisdictions to adopt economic‑nexus rules through the Alaska Remote Seller Sales Tax Commission (see above).