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| New rules make it easier
for businesses to qualify. |
From The Tax Adviser:
The
Research and Experimentation Credit
or the past 20 years, a research and
experimentation (R&E) credit has been part of the tax
law. Unfortunately, because of its complexity, many
businesses (particularly smaller ones) have failed to
take advantage of this credit. Recently issued proposed
regulations should make it easier to qualify.
R&E
CREDIT
In general, businesses can claim a
credit for the amount of any qualified research that
exceeds a base amount.
Expenses qualifying for the R&E
credit include in-house expenses for wages, salaries and
supplies (but not computer hardware), computer leasing or
time-sharing costs and certain contract research. The
costs must be incurred on preproduction research for a
new or substantially improved business component in
physical, biological, engineering or computer science.
Costs incurred after a product is ready for commercial
sale or use do not qualify. Costs incurred to duplicate
or adapt an existing product, those related to style,
taste, cosmetic or seasonal design factors and those
related to research conducted in the social sciences also
do not qualify.
QUALIFYING
TESTS
A company must meet four tests to claim
the R&E credit:
Sec. 174 test. The
costs must be trade or business expenses for experimental
or laboratory research. These generally include all costs
incident to a products development or improvement.
Business component
test. The discovery must be intended for
developing a new or improved business component.
Discovery test. The
purpose of the research must be to discover information
that is technological in nature.
A taxpayer meets this test if the
intent of its research efforts is to eliminate
uncertainty in the development or improvement of a
business component.
Process-of-experimentation
test. Substantially all (80% or more) of
the research must be conducted through a process that
evaluates one or more alternatives to a final result and
which, at the outset, is uncertain as to the capability,
method or appropriate design of achieving it.
A taxpayer is not engaged in a process
of experimentation if the solution to the research is
readily known at the outset. Likewise, the
experimentation process does not include merely selecting
among several alternatives if such alternatives are
readily discernible and applicable at the beginning of
the research efforts.
PLANNING
Businesses seeking to claim the R&E
credit should consider taking certain steps:
At the start of a research project,
a business should write a statement of the problem, the
desired goal and the preliminary alternatives to be used
in achieving it. The company should indicate the
uncertainty that exists as to which alternative (if any)
will be successful. It should set up job-costing codes to
use in tracking time and supply costs.
As research proceeds, the business
should describe each approach actually used and document
any revisions, tests or rejections. As it develops new
alternatives, the company also should document the
initial uncertainty as to whether these will succeed. In
addition, it should record information gained from the
project, as well as any new product or improved
functionality. The business should note the project
completion point, as well as document the costs and
research alternatives explored (and their outcomes) in
sufficiently usable form and detail to substantiate the
claimed expenses.
For a detailed discussion of the new
R&E rules, see R&E Prop. Regs. Ease
Eligibility, by Debra Grace, in the March 2002
issue of The Tax Adviser.
Nicholas Fiore,
editor
The Tax Adviser
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