Research and Development Credit November 2013
Background Section 41 of Internal Revenue Code provides a tax credit based on taxpayer’s spending on “qualified research” Qualified research – for the purpose of developing new or improved “business component” Business component – product, process, software, technique, formula or invention Active trade or business requirement
Research Defined Expenditures incurred to conduct research and development in the experimental or laboratory sense undertaken to discover information that will eliminate uncertainty Technological in nature – rely on science Process of experimentation
Excluded Activities Research after commercial production Adaptation of existing business components Reverse engineering Surveys, studies, quality control testing Foreign research
Qualified research expenses Wages for qualified services Supplies Use of computer time Contract research expenditures – at 65% Qualified research consortia expenses – at 75%
PBC Template Included in standard PBC as separate tab
Regular Credit Method Credit = 20% of the qualified research expenditures that exceed base amount Fixed base percentage calculation Reduced credit – election See example
Alternative simplified credit Credit is 14% of the QREs for the year that exceed 50% of average QREs for previous 3 years Reduced credit election See example