[Code of Federal Regulations]
[Title 26, Volume 1]
[Revised as of April 1, 2003]
From the U.S. Government Printing Office via GPO Access
[CITE: 26CFR1.41-0A]

[Page 215-216]
 
                       TITLE 26--INTERNAL REVENUE
 
     CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY
 
PART 1--INCOME TAXES--Table of Contents
 
Sec. 1.41-0A  Table of contents.

    This section lists the paragraphs contained in Secs. 1.41-0A, 1.41-
3A, 1.41-4A and 1.41-5A.

Sec. 1.41-0A  Table of contents.
Sec. 1.41-3A  Base period research expense.
    (a) Number of years in base period.
    (b) New taxpayers.
    (c) Definition of base period research expenses.
    (d) Special rules for short taxable years.
    (1) Short determination year.
    (2) Short base period year.
    (3) Years overlapping the effective dates of section 41 (section 
44F).
    (i) Determination years.
    (ii) Base period years.
    (4) Number of months in a short taxable year.
    (e) Examples.
Sec. 1.41-4A  Qualified research for taxable years beginning before 
          January 1, 1986.
    (a) General rule.
    (b) Activities outside the United States.
    (1) In-house research.
    (2) Contract research.
    (c) Social sciences or humanities.
    (d) Research funded by any grant, contract, or otherwise.
    (1) In general.
    (2) Research in which taxpayer retains no rights.
    (3) Research in which the taxpayer retains substantial rights.
    (i) In general.
    (ii) Pro rata allocation.
    (iii) Project-by-project determination.
    (4) Independent research and development under the Federal 
Acquisition Regulations System and similar provisions.

[[Page 216]]

    (5) Funding determinable only in subsequent taxable year.
    (6) Examples.
Sec. 1.41-5A  Basic research for taxable years beginning before January 
          1, 1987.
    (a) In general.
    (b) Trade or business requirement.
    (c) Prepaid amounts.
    (1) In general.
    (2) Transfers of property.
    (d) Written research agreement.
    (1) In general.
    (2) Agreement between a corporation and a qualified organization 
after June 30, 1983.
    (i) In general.
    (ii) Transfers of property.
    (3) Agreement between a qualified fund and a qualified educational 
organization after June 30, 1983.
    (e) Exclusions.
    (1) Research conducted outside the United States.
    (2) Research in the social sciences or humanities.
    (f) Procedure for making an election to be treated as a qualified 
fund.

[T.D. 8930, 66 FR 295, Jan. 3, 2001]