[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: 26CFR1.41-3A]

[Page 216-218]
 
                       TITLE 26--INTERNAL REVENUE
 
     CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY
 
PART 1--INCOME TAXES--Table of Contents
 
Sec. 1.41-3A  Base period research expense.

    (a) Number of years in base period. The term ``base period'' 
generally means the 3 taxable years immediately preceding the year for 
which a credit is being determined (``determination year''). However, if 
the first taxable year of the taxpayer ending after June 30, 1981, ends 
in 1981 or 1982, then with respect to that taxable year the term ``base 
period'' means the immediately preceding taxable year. If the second 
taxable year of the taxpayer ending after June 30, 1981, ends in 1982 or 
1983, then with respect to that taxable year the term ``base period'' 
means the 2 immediately preceding taxable years.
    (b) New taxpayers. If, with respect to any determination year, the 
taxpayer has not been in existence for the number of preceding taxable 
years that are included under paragraph (a) of this section in the base 
period for that year, then for purposes of paragraph (c)(1) of this 
section (relating to the determination of average qualified research 
expenses during the base period), the taxpayer shall be treated as--
    (1) Having been in existence for that number of additional 12-month 
taxable years that is necessary to complete the base period specified in 
paragraph (a) of this section, and
    (2) Having had qualified research expenses of zero in each of those 
additional years.
    (c) Definition of base period research expenses. For any 
determination year, the term ``base period research expenses'' means the 
greater of--
    (1) The average qualified research expenses for taxable years during 
the base period, or
    (2) Fifty percent of the qualified research expenses for the 
determination year.
    (d) Special rules for short taxable years--(1) Short determination 
year. If the determination year for which a research credit is being 
taken is a short taxable year, the amount taken into account under 
paragraph (c)(1) of this section shall be modified by multiplying that 
amount by the number of months in the short taxable year and dividing 
the result by 12.
    (2) Short base period year. For purposes of paragraph (c)(1) of this 
section, if a year in the base period is a short taxable year, the 
qualified research expenses paid or incurred in the short taxable year 
are deemed to be equal to the qualified research expenses actually paid 
or incurred in that year multiplied by 12 and divided by the number of 
months in that year.
    (3) Years overlapping the effective dates of section 41 (section 
44F)--(i) Determination years. If a determination year includes months 
before July 1981, the determination year is deemed to be a short taxable 
year including only the months after June 1981. Accordingly, paragraph 
(d)(1) of this section is applied for purposes of determining the base 
period expenses for such year. See section 221(d)(2) of the Economic 
Recovery Tax Act of 1981.
    (ii) Base period years. No adjustment is required in the case of a 
base period year merely because it overlaps June 30, 1981.
    (4) Number of months in a short taxable year. The number of months 
in a short taxable year is equal to the number of whole calendar months 
contained in the year plus fractions for any partially included months. 
The fraction for a partially included month is equal to the number of 
days in the month that are included in the short taxable year divided by 
the total number of

[[Page 217]]

days in that month. Thus, if a short taxable year begins on January 1, 
1982, and ends on June 9, 1982, it consists of 5 and 9/30 months.
    (e) Examples. The following examples illustrate the application of 
this section.

    Example 1. X Corp., an accrual-method taxpayer using the calendar 
year as its taxable year, is organized and begins carrying on a trade or 
business during 1979 and subsequently incurs qualified research expenses 
as follows:

1979...........................................................     $10x
1980...........................................................     150x
1/1/81-6/30/81.................................................      90x
7/1/81-12/31/81................................................     110x
1982...........................................................     250x
1983...........................................................     450x


    (i) Determination year 1981. For determination year 1981, the base 
period consists of the immediately preceding taxable year, calendar year 
1980. Because the determination year includes months before July 1981, 
paragraph (d)(3)(i) of this section requires that the determination year 
be treated as a short taxable year. Thus, for purposes of paragraph 
(c)(1) of this section, as modified by paragraph (d)(1) of this section, 
the average qualified research expenses for taxable years during the 
base period are $75x ($150x, the average qualified research expenses for 
the base period, multiplied by 6, the number of months in the 
determination year after June 30, 1981, and divided by 12). Because this 
amount is greater than the amount determined under paragraph (c)(2) of 
this section (50 percent of the determination year's qualified research 
expense of $110x, or $55x), the amount of base period research expenses 
is $75x. The credit for determination year 1981 is equal to 25 percent 
of the excess of $110x (the qualified research expenditures incurred 
during the determination year including only expenditures accrued on or 
after July 1, 1981, through the end of the determination year) over $75x 
(the base period research expenses).
    (ii) Determination year 1982. For determination year 1982, the base 
period consists of the 2 immediately preceding taxable years, 1980 and 
1981. The amount determined under paragraph (c)(1) of this section (the 
average qualified research expenses for taxable years during the base 
period) is $175x (($150x+$90x+$110x)/2). This amount is greater than the 
amount determined under paragraph (c)(2) of this section, (50 percent of 
$250x, or $125x). Accordingly, the amount of base period research 
expenses is $175x. The credit for determination year 1982 is equal to 25 
percent of the excess of $250x (the qualified research expenses incurred 
during the determination year) over $175x (the base period research 
expenses).
    (iii) Determination year 1983. For determination year 1983, the base 
period consists of the 3 immediately preceding taxable years 1980, 1981 
and 1982. The amount determined under paragraph (c)(1) of this section 
(the average qualified research expenses for taxable years during the 
base period) is $200x (($150x+$200x+$250x)/3). The amount determined 
under paragraph (c)(2) of this section is $225x (50 percent of the $450x 
of qualified research expenses in 1983). Accordingly, the amount of base 
period research expenses is $225x. The credit for determination year 
1983 is equal to 25 percent of the excess of $450x (the qualified 
research expenses incurred during the determination year) over $225x 
(the base period research expenses).
    Examp1e 2. Y, an accrual-basis corporation using the calendar year 
as its taxable year comes into existence and begins carrying on a trade 
or business on July 1, 1983. Y incurs qualified research expenses as 
follows:

7/1/83--12/31/83...............................................     $80x
1984...........................................................     200x
1985...........................................................     200x


    (i) Determination year 1983. For determination year 1983, the base 
period consists of the 3 immediately preceding taxable years: 1980, 1981 
and 1982. Although Y was not in existence during 1980, 1981 and 1982, Y 
is treated under paragraph (b) of this section as having been in 
existence during those years with qualified research expenses of zero. 
Thus, the amount determined under paragraph (c)(1) of this section (the 
average qualified research expenses for taxable years during the base 
period) is $0x (($0x+$0x+$0x)/3). The amount determined under paragraph 
(c)(2) of this section is $40x (50 percent of $80x). Accordingly, the 
amount of base period research expenses is $40x. The credit for 
determination year 1983 is equal to 25 percent of the excess of $80x 
(the qualified research expenses incurred during the determination year) 
over $40x (the base period research expenses).
    (ii) Determination year 1984. For determination year 1984, the base 
period consists of the 3 immediately preceding taxable years: 1981, 
1982, and 1983. Under paragraph (b) of this section, Y is treated as 
having been in existence during years 1981 and 1982 with qualified 
research expenses of zero. Because July 1 through December 31, 1983 is a 
short taxable year, paragraph (d)(2) of this section requires that the 
qualified research expenses for that year be adjusted to $160x for 
purposes of determining the average qualified research expenses during 
the base period. The $160x results from the actual qualified research 
expenses for that year ($80x) multiplied by 12 and divided by 6 (the 
number of months in the short taxable year). Accordingly, the amount 
determined under paragraph (c)(1) of this section (the average qualified 
research expenses for taxable years during the base period) is $53\1/3\x 
(($0x+$0x+$160x)/3). The

[[Page 218]]

amount determined under paragraph (c)(2) of this section is $100x (50 
percent of $200x). The amount of base period research expenses is $100x. 
The credit for determination year 1984 is equal to 25 percent of the 
excess of $200x (the qualified research expenses incurred during the 
determination year) over $100x (the base period research expenses).
    (iii) Determination year 1985. For determination year 1985, the base 
period consists of the 3 immediately preceding taxable years: 1982, 
1983, and 1984. Pursuant to paragraph (b) of this section, Y is treated 
as having been in existence during 1982 with qualified research expenses 
of zero. Because July 1 through December 31, 1982, is a short taxable 
year, paragraph (d)(2) of this section requires that the qualified 
research expense for that year be adjusted to $160x for purposes of 
determining the average qualified research expenses for taxable years 
during the base period. This $160x is the actual qualified research 
expense for that year ($80x) multiplied by 12 and divided by 6 (the 
number of months in the short taxable year). Accordingly, the amount 
determined under paragraph (c)(1) of this section (the average qualified 
research expenses for taxable years during the base period) is $120x 
(($0x+$160x+$200x)/3). The amount determined under paragraph (c)(2) of 
this section is $100x (50 percent of $200x). The amount of base period 
research expenses is $120x. The credit for determination year 1985 is 
equal to 25 percent of the excess of $200x (the qualified research 
expenses incurred during the determination year) over $120x (the base 
period research expenses).

[T.D. 8251, 54 FR 21204, May 17, 1989. Redesignated by T.D. 8930, 66 FR 
289, Jan. 3, 2001]

    rules for computing credit for investment in certain depreciable 
                                property