In December 2023, the ATO released two new taxpayer alerts to raise awareness of its concern about issues under risk assessment:
The ATO intends the taxpayer alerts to highlight fact profiles in which specific provisions of Division 355 of the Income Tax Assessment Act 1997 (ITAA 1997) may be triggered to prevent R&D expenditure from being eligible for notional deduction because either:
The ATO considers entitlement to the R&D Tax Incentive may be affected in whole or part under the arrangements of concern. The general anti-avoidance provisions in Part IVA of the Income Tax Assessment Act 1936 (ITAA 1936) may also apply to deny an offset if the arrangement was entered into or carried out for the purpose of obtaining a tax offset, even where an arrangement is effective under the substantive provisions.
TA 2023/4 addresses R&D claims for expenditure incurred under an agreement with an ‘associate’. The term ‘associate’ is defined by section 318 of the ITAA 1936. It is a complex definition, in which, among other things, an entity can be a company’s associate if it ‘sufficiently influences’ the company.
The ATO is concerned with arrangements that:
The ATO outlines that the associate is typically an entity that has historically conducted the group's trading and research activities. However, the associate is not itself an entity that would be entitled to claim an offset were it to conduct the activities for its own benefit, or if it were entitled, would only be entitled to a lesser benefit under the R&D Tax Incentive. By contrast, the R&D entity may have few or no employees and conduct limited or no activity other than the R&D-specific arrangements under the service agreement entered into with the associate. The R&D entity may purport to pay the associate via a loan with the associate as lender, or set-off arrangement against a licencing agreement or intra-group sales.
TA 2023/4 further outlines the structure and conduct common to arrangements of concern to the ATO.
TA 2023/5 addresses arrangements where Australian-resident R&D entities claim a tax offset under the R&D Tax Incentive rules for expenditure incurred on R&D activities conducted overseas. The ATO highlights instances where an R&D entity purported that the R&D activities were conducted for its own benefit, where those activities were conducted wholly, or to a significant extent, for a foreign entity that is connected with, or is an affiliate of, the R&D entity.
Arrangements of concern to the ATO are typified by the foreign entity:
In these arrangements, the Australian R&D entity:
In TA 2023/5, the ATO states that upon objective review of the financing, licensing, service, corporate or other arrangements between the Australian R&D entity and the foreign entity, it appears that the foreign entity is the sole or major beneficiary of the Australian R&D entity's overseas activities. Such arrangements would fail to satisfy the requirement of section 355-210 of the ITAA 1997 that R&D activities conducted outside Australia be conducted ‘for’ the R&D entity.
The ATO is concerned that such R&D entities may be incorrectly claiming the R&D tax offset irrespective of whether:
TA 2023/5 provides considerably more detail about these arrangements of concern.
Where an arrangement is covered by either of these taxpayer alerts, the ATO is concerned that R&D entities do not qualify for an R&D tax offset for expenditure incurred by them, because either:
Where the conditions for entitlement to an R&D tax offset are satisfied, the general anti-avoidance provisions in Part IVA of the ITAA 1936 may still apply to deny that tax offset.
The release of these taxpayer alerts indicates a continued focus from the ATO on incorrect R&D tax offset claims. In a recent findings report on its Top 1000 income tax and GST assurance program, the ATO noted that R&D expenditure typically has lower assurance ratings than other areas reviewed, suggesting that this focus is likely to continue into the foreseeable future.
If you would like to discuss any of the topics mentioned above, please contact PwC’s R&D and Government Incentives team.
Sophia Varelas
PwC | Private | National Leader - R&D and Government Incentives, PwC Australia
Tel: +61 417 208 230