IDWMaster
Returning Member

State tax filing

I believe the argument here is that I'm "telecommuting" to CA and accessing an in-office at my desk workstation remotely, hence the work is being physically conducted from CA. I looked for case law on telecommuting as a basis for physical presence and wasn't able to find anything. This seems to be a relatively new legal issue which hasn't yet been tested in court, although I'd prefer to not be the first person to test this in court.