Research and Development Tax Credit Expansion Act of 2019
A BILL
To amend the Internal Revenue Code of 1986 to expand refundability and increase simplification of the research credit for certain small businesses.
Sec. 2 Expansion of refundable research credit for new and small businesses
“(ii) Adjustment for inflation—In the case of a taxable year beginning after 2020, the $500,000 amount in clause (i) shall be increased by an amount equal to—
“(I) such dollar amount, multiplied by
“(II) the cost-of-living adjustment determined under section 1(f)(3) for the calendar year in which the taxable year begins, determined by substituting “2019” for “2016” in subparagraph (A)(ii) thereof.”
“(i) Credit for research expenditures of qualified small businesses—Any portion of the credit under section 3111(f) which is credited under such section to the tax under section 3301 shall be treated as a credit under this section. Subsection (c) shall not apply to any such credit.”
Sec. 3 Modifications to alternative simplified credit for new and small businesses
“(D) Special rules for qualified small businesses—In the case of a qualified small business (as defined in subsection (h)(3))—
“(i) Credit rate—Subparagraph (A) shall be applied by substituting “20 percent” for “14 percent”.
“(ii) Special rule for 1st year of qualified research expenses—If the taxpayer has no qualified research expenses in any taxable year preceding the taxable year for which the credit is being determined, subparagraph (B)(ii) shall be applied by substituting “20 percent” for “6 percent”.
“(iii) Special rule for other years—If the taxpayer is not described in clause (ii) for the taxable year, and subparagraph (B) applies to such taxpayer for such year, at the election of the taxpayer—
“(I) subparagraph (B)(ii) shall be applied by substituting “10 percent” for “6 percent”, or
“(II) subparagraph (B) shall not apply, and the average under subparagraph (A) shall be determined by disregarding any taxable year in the 3-year period described in such subparagraph in which there were no qualified research expenses.”