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Published byMaria Moody Modified over 9 years ago
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Research and Development Credit November 2013
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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
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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
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Excluded Activities Research after commercial production Adaptation of existing business components Reverse engineering Surveys, studies, quality control testing Foreign research
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Qualified research expenses Wages for qualified services Supplies Use of computer time Contract research expenditures – at 65% Qualified research consortia expenses – at 75%
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PBC Template Included in standard PBC as separate tab
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Regular Credit Method Credit = 20% of the qualified research expenditures that exceed base amount Fixed base percentage calculation Reduced credit – election See example
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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
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