Research Tax Credits and QRE’s: IRS Form 6765

Being married to a fermentation biologist has allowed me access to a wide swath of fascinating experiments involving media from bio-fuels to home brew. So no matter how many esoteric Internal Revenue Codes I vamp up in public or in social gatherings-like an idiot savant, I can never out nerd the love of my life.

For that I am grateful, as I should be, right?

Nevertheless our time together on this planet as two individuals with our own idiosyncratic lenses, at arguably the pinnacle of life, have grown to agree on many things with one standing out…

As oil prices hit generational lows and fermentation technology for the production of advanced bio-fuels has taken much longer to live up to the hype of a decade ago, many scientists recruited from all over the world are finding themselves displaced, laid off, or outright fired and as such faced with a conundrum.

What is next?

If you happen to still be reading, this post is for YOU, or anyone you care about interested in starting up a new scientific business venture, or even taking a startup into the major leagues…

One area of observable deficiency in most scientific based start up business plans that Cathy and I look at surrounds the general lack of research tax credit consideration in underlining financial models. At issue it seems is that research expenses from a tax perspective are nuanced and perceived as scary, particularly as they pertain to employment costs.

But they don’t need to be that way!

Generally speaking when it comes to labor costs, as per 26 U.S. Code § 41 – Credit for increasing research activities employees either actively developing, supervising development or supporting the development process are deemed qualifying research expenditures (“QRE”) for the research tax credit.

Many people interested in the business of science tend to dance around research tax credits out of fear. Larger corporations however claim over $10 billion dollars in research tax credits every year and you should be claiming yours if your operation or business plan qualifies.

FEAR NOT!

1. You can do this! It is not difficult to integrate the US Tax Code with scientific research. Like warriors with machetes in the jungle Cathy and I figured this crap out together. SO CAN YOU!

2. Once a business plan is funded and a research lab is up and running, from the perspective of a tax practitioner the biggest pitfall to avoid is lack of transparency in research activities.

3.Operational transparency between the research and the tax functions is paramount in claiming the tax credit and defending the tax return.

4.Complete transparency though can be difficult to achieve particularly when research functions tend to be either spread out across several employees or departments with varying roles.

5.Or in the case of new upstarts, not properly annotating how staff spend their work day and record their time.

6.There rarely seems to be consistency in assessing what employee costs can be defensibly attributed to research as everyone seems to have their own ‘model’ for calculation purposes with some being complete bullshit and others overtly conservative. THIS IS WHERE SWEET MUSIC IS MADE!

7.The best approach in calculating the tax credit IMHO has been to identify the specific roles within a business that each person assumes by quite literally interviewing each worker and drafting a tax-centric version of his or her job description. This is then used as a basis for defining the qualifying portion of salary attributable to research for tax credit purposes.

8.My approach to date has relied on customization because generally it seems no two taxpayers in the scientific community offer standardized employee tracking necessary for calculating the credit.

9.The objective remains steadfast over time, to defensibly maximize research tax credits within the confines of the Code.

10.So there tends to be a fair amount of uncertainty when it comes to tax credit claims made unless you know what the hell you are doing, many don’t. The funny thing is it is not rocket science.

What is a Qualifying Research Expenditure (QRE)?

1.Qualified research means research for which expenses may be treated as Internal Revenue Code section 174 expenses.

2.The research must be undertaken for discovering information that is technological in nature, and its application must be intended for use in developing a new or improved business component.  Blah blah!

3.Substantially all of the activities of the research must be elements of a process of experimentation relating to a new or improved function, performance, reliability, or quality.

4.All of the research activities must be applied separately with respect to each business component of the taxpayer to which many taxpayers assert the ‘kiss my ass bitch’ mantra.

What is NOT a Qualifying Research Expenditure?

1.Research conducted after the beginning of commercial production.

2.Research adapting an existing product or process to a particular customer’s need.

3.Duplication of an existing product or process.

4.Surveys or studies.

5.Research relating to certain internal-use computer software.

6.Research conducted outside the United States, Puerto Rico, or a U.S. possession.

7.Research in the social sciences, arts, or humanities.

8.Research funded by another person (or governmental entity).

9.For special rules concerning the allocation and apportionment of research and experimental expenses between U.S. and foreign source income, see Internal Revenue Code sections 861 through 864.

Top Considerations when preparing IRS Form 6765

1.You can either claim the regular credit in Section A of IRS Form 6768, or Elect the alternative simplified credit in Section B.

2.To determine which method is preferred you may want to figure your credit using both of the methods for which you are eligible to get the maximum credit allowed.

3.Once elected, the alternative simplified credit (ASC) applies to the current tax year and all later years.

4.A current tax year’s ASC election may not be revoked.

5.You may revoke the election for a later tax year by completing Section A relating to the regular credit and attaching IRS Form 6765 to your timely filed (including extensions) original return for the year to which the revocation applies.

6.See Regulations section 1.41-9(b)(3).

7.Basically any individual, estate, trust, organization, or corporation can claim a credit for increasing research activities.

8.Any S corporation, partnership, estate, or trust that allocates the credit to its shareholders, partners, or beneficiaries must complete this form as well.

9.The most important point to note IMHO is that partnerships and S corporations must file this form to claim the credit.

10.All other taxpayers can report this credit directly on IRS Form 3800 – General Business Credit.

11.As in life though there are exceptions to this general rule if you are a taxpayer that is an estate or trust and the credit can be allocated to beneficiaries. For more details, see the Instructions for Form 1041, Schedule K-1, box 13.

12.Corporations filing an amended return to claim a credit or refund of the research credit, see http:// www.irs.gov/irb/2008-13_IRB/ar12.html for information on where to file.

For you nerds that can keep up with me!

Treasury announced regulations (TD 9666) that will allow companies to take the Research and Development Alternative Simplified Credit (ASC) on amended returns. This seemingly arcane change means more dollars in the wallets of innovative small to medium size businesses. The following are the most important points:

1.The previous regulations allowed companies to take the ASC only on original returns.  NO MORE!

2.Allowing ASC on amended returns is a game changer because even under ASC it is not a walk in the park for a business to qualify (requiring books, records, etc.) for the R&D tax credit.

3.The reality is that for many small and medium business owners it’s not worth the overhead expense to qualify for the ASC if they are only getting one year of benefit.

4.By allowing the ASC on amended returns – our Treasury and the IRS have completely changed the math for thousands of small and medium business owners.

5.Who shall now see for the first time the benefits of the R&D tax credit – for example, a marijuana cultivator we know of who previously decided not to take the R&D tax credit because her company would only see a benefit of $135,000 for the current tax year, now she is able to amend her company’s previous tax filings and will qualify for roughly $150,000 in tax credits separate and distinct from state tax R&D credits for which she is eligible.

6.THIS IS HOW TAXPAYERS SAVE SERIOUS $$ FOLKS!  JUMP ON BOARD.

Now the only other problem to overcome is self-censoring by businesses that don’t think they qualify for the R&D tax credit!

Tens of thousands of businesses – especially small and medium size businesses – wrongly think they don’t qualify.

A key is to understand that the R&D tax credit isn’t just for basic research, but is also for applied research.  Moreover,  the number of industries potentially eligible for the R&D tax credit is vast based on this list.

In conclusion

If you or your company invests in making or improving things or processes, make sure you are taking full advantage of your R&D Tax Credits. The following is a list of resources for those inclined to get the most out of IRS Form 6765 Credit for Increasing Research Activities including:

IRS Audit Techniques for Research Tax Credit

Current-year Deduction of Research & Development Expenditures

Amortization of R&D Expenditures

Instructions IRS Form 6765 Credit for Increasing Research Activities

Notice 2008-39 Credit for Increasing Research Activities: Filing Address and Requirements for Certain Claims for Credit or Refund

IRS Form 3800 – General Business Credit

Instructions – IRS Form 3800 – General Business Credit

Enrolled with the United States Treasury Department to practice before the IRS, governed by rules stipulated in United States Treasury Circular 230. As a Federally Authorized Tax Practitioner and a tax appeals specialist my Enrolled Agent License #85353 is issued by the United States Treasury. With this license I work for U.S. taxpayers everywhere to resolve tax matters and de-escalate stress about taxes or tax disputes for individuals and corporations with federal and state issues.

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1 comment on “Research Tax Credits and QRE’s: IRS Form 6765”

  • Bart Klim 201-694-1260

    Under Form 6765, Section B- Alternative Simplified Credit for S Corp
    Qualified R & D Expense $400
    14% R&D tax credit 56
    9%- Reduced 280C credit 36
    Question: Book Deduction As R& D Expense $ 400
    Less 14% R&D Tax Credit -56
    Tax deduction 344 Is this correct ?
    If take9% reduced 280C credit of 36, the full amount of R& D expense is same for book & tax ,$400- NoM-1 Adjust ?
    John,Please reply important

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