New Zealand introduces new research and development tax incentive
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1 6 November 2018 Global Tax Alert New Zealand introduces new research and development tax incentive NEW! EY Tax News Update: Global Edition EY s new Tax News Update: Global Edition is a free, personalized subscription service that allows you to receive EY Global Tax Alerts, newsletters, events, and thought leadership published across all areas of tax. Access more information about the tool and registration here. Also available is our EY Global Tax Alert Library on ey.com. Executive Summary The New Zealand Government introduced, on 25 October 2018, the Taxation (Research and Development Tax Credits) Bill. The Bill contains the new Research and Development (R&D) tax incentive, a 15% tax credit available from the 2019/20 income year. The incentive is an additional initiative to the existing small-scale R&D tax loss cash out regime. The R&D tax incentive will apply at a rate of 15% on expenditure on qualifying R&D activity, with a cap of $120 million 1 expenditure per company. The changes will over time move New Zealand s support for R&D from a grantsbased to a tax-based approach. Detailed discussion Background The Government has targeted increased spending on private sector R&D to make New Zealand more competitive internationally for innovative business. New Zealand s current spending on R&D is comparatively low in relation to other Organisation for Economic Co-operation and Development (OECD) countries. The Government sees innovation as important in increasing New Zealand s productivity, which is low by OECD standards.
2 2 Global Tax Alert The Government has set aside $1.1 billion over four years in operating expenditure to incentivize innovation (an increase from $373 million in 2017). This increase in spending will enable a wider range of businesses to access R&D incentives. Previously, a smaller number of Growth Grants were available through Callaghan Innovation (a Crown-owned entity). While valued by recipients, such grants are time limited and have a complex application process, therefore many innovative companies do not receive a grant. Overview of the R&D tax incentive The R&D tax incentive will be widely available. Table 1 outlines its key features: Table 1: New Zealand s proposed R&D tax incentive Feature Decision Rate 15% of eligible R&D expenditure Application date 2019/2020 income year Minimum and maximum $50,000 $120 million of expenditure expenditure per year qualifies (some exceptions apply) Refundability It is refundable up to a maximum of $255,000 if certain conditions are satisfied Eligible activities Activity must be conducted using a systematic approach; have a material purpose of creating new knowledge, or new or improved processes, services, or goods; have a material purpose of resolving scientific or technological uncertainty; and have its day-today management conducted in New Zealand Callaghan Growth Grants Continue until 31 March 2021 Overseas R&D Up to 10% allowed expenditure Expenditure for overseas Local R&D qualifies affiliate State-owned enterprises Qualify for R&D incentive No double dipping Cannot claim Growth Grant and Tax Incentive in the same year Relationship with existing R&D initiatives The incentive will apply at a rate of 15% on eligible expenditure, which will bring the scheme broadly in line with existing Growth Grants (subject to comments around refundability below) and with a previous R&D tax incentive available for the 2008/2009 year. The existing small-scale R&D tax loss cash-out regime will continue to operate and will be able to be utilized in tandem with either the R&D tax incentive or, in the short-term, Growth Grants. Growth Grants will be phased out and replaced with the R&D tax incentive. Growth Grant recipients can continue to receive their grants until 31 March Businesses will not be able to claim both a Growth Grant and the R&D tax incentive in the same income year, so they will have to make a choice during the transition period. The R&D tax incentive differs from Growth Grants in several key areas, including a lower minimum expenditure threshold, a wider test for eligible activity that does not require scientific methodology, no intensity requirements for total R&D spend, and the allowance for some R&D to be undertaken outside of New Zealand. Eligibility The R&D tax incentive features several eligibility tests that must be satisfied to claim the tax credit. The tests include eligibility of the person claiming the credit, eligible R&D activity, and eligible R&D expenditure. Eligible businesses The general requirements are that a business be performing a core activity in New Zealand, that they carry on business in New Zealand through a fixed establishment, and that they have certain controlling rights in relation to their core activity. New Zealand subsidiaries of multinational organizations will be able to access the tax credit, even where ownership rights are held by overseas parent entities. A business may also perform their core activity through a contractor, in which case the principal business is eligible to claim, but the contractor may not claim in respect of the contracted activity.
3 Global Tax Alert 3 Eligible activities Businesses will need to perform eligible activities to be able to claim the tax credit. Businesses must perform a core activity, which is an activity that: Is conducted using a systematic approach Has a material purpose of creating new knowledge, or new or improved processes, services, or goods Has a material purpose of resolving scientific or technological uncertainty Has its day-to-day management conducted in New Zealand The test will not be satisfied if the knowledge required to resolve the uncertainty is publicly available or deducible by a competent professional working in the relevant field. Businesses may also claim in respect of supporting activities, which are only or mainly for the purpose of, required for, and integral to a core activity. Activities conducted outside of New Zealand cannot be core activities, but may be eligible as supporting activities. There is also a schedule of activities that are specifically excluded from being core activities and supporting activities. Eligible expenditure The tax credit may only be claimed for expenditure in relation to an eligible activity. A schedule lists specific items of expenditure that are eligible and ineligible. There is a general requirement that a business incur a minimum of $50,000 in eligible expenditure for the income year, or have approved research provider expenditure. For partnerships and look-through companies, the minimum threshold can be satisfied by looking at the total eligible expenditure of the business. There is a limitation on expenditure that can be claimed where an R&D activity is performed in the course of commercial production. Internal software expenditure is excluded where it relates to ordinary internal administrative functions, and is otherwise subject to a $3 million cap. Expenditure on R&D activities performed through a contractor is limited to 80% of the amount paid to the contractor by the principal. Expenditure incurred on R&D activities performed outside New Zealand is limited to 10% of a business s total tax credit claim. In-year approval From the income year, businesses will need to have their core activities approved prior to making a claim in respect of those activities. Subject to some conditions, businesses with R&D expenditure greater than $2 million can opt-out of the core activity approval requirement. These businesses may also apply for optional criteria and methodology approval in respect of determining their activities and apportioning their expenditure. Amount of credit available A tax credit of 15% of the eligible expenditure that was incurred during the income year can be claimed, up to an expenditure cap of $120 million; effectively meaning that a business may receive a maximum of $18 million in tax credits each year. Businesses may apply to exceed the cap if they can show that the activity the expenditure relates to will give rise to a substantial net benefit to New Zealand. Refundability Where businesses have more R&D tax credits than their income tax liability, their tax credits are refundable up to a maximum of $255,000, provided certain criteria are satisfied. The criteria for refundability includes: Current year tax losses A spend of at least 20% of total business salary on R&D activities The claimant is not listed on a recognized exchange R&D tax credits that are not refunded can be carried forward subject to the pre-existing tax loss shareholder continuity rules. The Government intends to undertake further policy work on refunding R&D tax credits and the level of refundability may increase from the 2020/21 income year. Planning points Businesses that engage in R&D in New Zealand, or are considering doing so, should begin preparing systems and documenting their activities now. Preparation of evidentiary documents in real time will be crucial. The R&D tax incentive is intended to increase business spending on R&D. Preparation should therefore include modelling the potential impact of the R&D tax incentive and Growth Grant options, with a view to assessing whether previously marginal projects will now become viable.
4 4 Global Tax Alert Businesses in receipt of Growth Grants need to determine which program will give them the better outcome and decide on their transition path. The R&D incentive applies from the 2019/20 income year, which commences from as early as October 2018 for some early balance date taxpayers. Businesses will be required to file their R&D supplementary returns within 30 days of filing their income tax returns. Next steps The Government anticipates the Bill will be enacted by mid For companies with the New Zealand standard balance date of 31 March, the R&D tax incentive will take effect from 1 April It is likely that some changes will be made to the Bill before enactment as a result of Parliamentary Select Committee scrutiny over the coming months. Endnote 1. Currency references in this Alert are to NZ$.
5 Global Tax Alert 5 For additional information with respect to this Alert, please contact the following: Ernst & Young New Zealand, Wellington Dr Tim Benbow, R&D Tax Incentives Leader Nicola Black tim.benbow@nz.ey.com nicola.black@nz.ey.com
6 EY Assurance Tax Transactions Advisory About EY EY is a global leader in assurance, tax, transaction and advisory services. The insights and quality services we deliver help build trust and confidence in the capital markets and in economies the world over. We develop outstanding leaders who team to deliver on our promises to all of our stakeholders. In so doing, we play a critical role in building a better working world for our people, for our clients and for our communities. EY refers to the global organization, and may refer to one or more, of the member firms of Ernst & Young Global Limited, each of which is a separate legal entity. Ernst & Young Global Limited, a UK company limited by guarantee, does not provide services to clients. For more information about our organization, please visit ey.com EYGM Limited. All Rights Reserved. EYG no Gbl NY ED None This material has been prepared for general informational purposes only and is not intended to be relied upon as accounting, tax, or other professional advice. Please refer to your advisors for specific advice. ey.com
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