Rhode Island Code of Regulations — Title 280 (Department of Revenue)
280-RICR-20-20-2
Research and Development Expenses Credit
# General
A credit is available to corporations, sole proprietors, or passed through from partnerships, joint ventures or subchapter S corporations for qualified research expenses. The credit is 5% of the excess (if any) of the qualifying research expenses in the taxable year over the base period expenses. The expenses must have been incurred in Rhode Island after July 1, 1994. For periods January 1, 1998 and thereafter, the credit is 22.5% for expenses up to $111,111 and 16.9% for the remaining expenses over $111,111.
# Definitions
The terms "qualified research expenses" and "base period research expenses" shall have the same meaning as defined in section 41 of the Internal Revenue Code (26 U.S.C. § 41), provided, however, that such expenses shall have been incurred in this state after July 1, 1994.
# Calculation of the Credit
A.The credit is based on the amount of the taxpayer's Federal excess expenses and is calculated by first determining what of the taxpayer's Federal excess expenses were incurred in Rhode Island after July 1, 1994 and then multiplying that amount by the 5% rate to yield the Rhode Island credit. For periods January 1, 1998 and thereafter, the credit is 22.5% on the expenses up to $111,111 and 16.9% for the remaining expenses over $111,111.
B.EXAMPLES
2.Taxpayer A has completed and claimed its Federal Section 41 credit and has qualified research expenses for its Federal credit of $100,000; its Federal Section 41 base amount is $75,000; all expenses were incurred in Rhode Island and were incurred evenly throughout 1995 and A has a calendar year end. Taxpayer A's 1995 RI R & D expense credit is calculated as:
Federal Qualified Research Expenses | $100,000 |
Federal Base Amount | 75,000 |
Federal Excess Expenses | 25,000 |
Amount of Federal Excess Expenses in RI | 25,000 |
Amount of Expenses in RI after 7/1/94 | 25,000 |
Credit @ 5% | $1,250 |
2.Taxpayer B has a similar fact pattern to Taxpayer A above, except that Taxpayer B has a March 31 year end. Taxpayer B's FYE 3/31/95 RI R & D expense credit is calculated as:
Federal Excess Expenses | $25,000 |
Amount of Federal Excess Expenses in RI | 25,000 |
Amount of Expenses in RI after 7/1/94 (9 mos.) | 18,750 |
Credit @ 5% | $938 |
3.Taxpayer C has a similar fact pattern to Taxpayer A above except that the excess federal expenses were specifically identified as $9,000 in August in Connecticut and $16,000 in October in Rhode Island. Taxpayer C's calendar year 1995 RI R & D expense credit is calculated as:
Federal Excess Expenses | $25,000 |
Amount of Federal Excess Expenses in RI | 16,000 |
Amount of Expenses in RI after 7/1/94 (Specific) | 16,000 |
Credit @ 5% | $800 |
4.Taxpayer D has a similar fact pattern to Taxpayer B above except that the excess federal expenses were specifically identified as $9,000 in August in Connecticut, $7,000 in May 1994 and $9,000 in October in Rhode Island. Taxpayer C's f/y/e 3/31/95 RI R & D expense credit is calculated as:
Federal Excess Expenses | $25,000 |
Amount of Federal Excess Expenses in RI | 16,000 |
Amount of Expenses in RI after 7/1/94 Specific | 9,000 |
Credit @ 5% | $450 |
5.Taxpayer E has $135,000 of qualified expenses in tax year 2000. The credit is calculated at 22.5% of the first $111,111 and 16.9% of the remaining expenses over $111,111. The credit is $29,037 [$111,111 @ .225% or $25,000] plus $4,037 [16.9% of the remaining $23,889].
# Minimum Tax and Carryover
In the case of corporations, the credit allowed shall not reduce the tax due to less than the minimum fixed by R.I. Gen. Laws § 44-11-2(e); however, if the amount of credit allowable reduces the tax to the minimum fixed by R.I. Gen. Laws § 44-11-2(e), any amount of credit not used may be carried over to a maximum of seven (7) years. For purposes of R.I. Gen. Laws Chapter 44-30 (Personal Income Tax), if the credit allowed exceeds the taxpayer's tax, the amount of credit not used may be carried over to a maximum of seven (7) years.
# Limitation and Order of Credits
A.For purposes of determining the order in which carry-overs shall be taken into consideration, the credit allowed by R.I. Gen. Laws § 44-32-2 (credit for research and development property) shall be used before the credit described in this regulation. The investment tax credit allowed by R.I. Gen. Laws § 44-31-1 shall be used before the credit described in this regulation.
B.The credit is limited to one-half the tax otherwise payable after all other credits available to the taxpayer have been used.
1.Taxpayer F has RI tax of $50,000, Enterprise Zone Business Credit of $15,000, Investment credit [10% type] of $20,000 and R & D credit of $10,000. The 10% type investment credit also carries the one-half tax limit [see R.I. Gen. Laws § 44-30-31-1(d)] but the R & D expense credit law specifically provides that, in the ordering of the credits, any investment credit will be used before this credit. In the ordering of credit, Taxpayer F calculates:
Tax | $50,000 |
Enterprise Zone Credit | 15,000 |
Tax Payable | 35,000 |
10% Investment Credit Limit (1/2 Tax Payable) | 17,500 |
R & D Expense Credit Limit (1/2 Tax Payable | 8,750 |
Tax | $8,750 |
a.Both the remaining $2,500 of 10% investment credit and $1,250 of R & D Expense Credit can be carried forward but continue to be subject to the same order and one-half limitation
# Consolidated Returns
The credit allowed shall only be allowed against the tax of that corporation included in a consolidated return that qualifies for the credit and not against the tax of other corporations that may join in the filing of a consolidated return.
# Division of the Credit
In the event the taxpayer is a partnership, joint venture or small business corporation, the credit shall be divided in the same manner as income.
Amendment history
01/04/2022
Source: view the official text
In this chapter (40 sections)
- 280-20-00-1 · Equal Access to Justice for Small Business and Individuals
- 280-20-00-2 · Administrative Hearing Procedures
- 280-20-00-3 · Access to Public Records Regulation
- 280-20-00-4 · Taxpayer Rights and Responsibilities
- 280-20-00-5 · Procedures in Handling Requests for Issuance of…
- 280-20-00-6 · Offers in Compromise
- 280-20-00-7 · Filing Deadlines: Weekends, Holidays and Mailings
- 280-20-00-8 · Conduct of Public Hearings
- 280-20-05-1 · Bank Deposits Tax
- 280-20-10-1 · Withholding Tax on the Sale of Real Property by…
- 280-20-15-1 · Cigarette Tax
- 280-20-15-2 · Other Tobacco Products
- 280-20-20-1 · Investment Tax Credit
- 280-20-20-2 · Research and Development Expenses Credit
- 280-20-20-3 · Historic Structures Tax Credit
- 280-20-20-4 · Residential Lead Abatement Income Tax Credit
- 280-20-20-5 · Rules and Regulations for the Certification of Motion…
- 280-20-20-6 · Historic Preservation Tax Credits 2013
- 280-20-20-8 · Rules and Regulations for the Rhode Island Qualified Jobs…
- 280-20-20-9 · Rules and Regulations for the Rebuild Rhode Island Tax…
- 280-20-20-10 · Rules and Regulations for the Wavemaker Fellowship…
- 280-20-20-11 · Small Business Capital Development
- 280-20-20-12 · Elective Deduction for New Research and Development…
- 280-20-20-13 · Daycare Assistance and Development Tax Credit
- 280-20-20-14 · Research and Development Property Credit
- 280-20-20-15 · Tax Incentives for Employers
- 280-20-20-16 · Disabled Access Credit for Small Businesses
- 280-20-25-1 · Amended Returns
- 280-20-25-2 · Rhode Island Jobs Development Act
- 280-20-25-3 · Exclusion of Distributive Share of Public Service Income
- 280-20-25-4 · Notice to Administrator of Sale of Assets, Letters of…
- 280-20-25-5 · Estimated Tax Payments
- 280-20-25-6 · Limited Liability Partnerships and Limited Partnerships
- 280-20-25-7 · Limited Liability Companies
- 280-20-25-8 · Nexus
- 280-20-25-9 · Apportionment of Net Income
- 280-20-25-10 · Combined Reporting
- 280-20-25-11 · Ability to Apportion Net Income
- 280-20-25-12 · Consolidated Returns
- 280-20-25-13 · Net Operating Loss Deductions