On April 15, 2019, the Tax Court held in Siemer Milling Company v. Commissioner, T.C. Memo. 2019-37, that the petitioner did not properly support the research credit under Internal Revenue Code section 41. The Tax Court therefore disallowed the petitioner’s claimed research credits for the tax years ended May 31, 2011, and May 31, 2012.
The petitioner (Siemer) is an Illinois-based company that has been in the business of milling wheat since the 1950s. Siemer’s longtime accounting firm prepared its returns, credit studies, certified audits and financial statements during the tax years at issue. During those tax years, Siemer claimed the research credit for research activities related to seven different projects, some of which spanned both tax years.
The Tax Court applied the section 41 research credit rules to each project separately. To qualify for the research credit, an activity or project must meet a four-part test: the section 174 test, the technological information test, the business component test and the process of experimentation test.
The Tax Court agreed with Siemer that the projects represented business components meeting the requirements of section 41. The court noted that the development process of a single business component can span multiple years. Further, a project can face the same uncertainty in more than one year.
Nonetheless, the court agreed with the IRS that Siemer was not entitled to the research credit in either year. Siemer failed to provide adequate documentation to demonstrate its process of experimentation. Asserting that the petitioner used an iterative process, or trial and error, was not enough in the opinion of the Tax Court. The credit studies produced by Siemer’s accounting firm did not help. The studies “included very little evidence of Siemer’s asserted process of experimentation.”
Further, Siemer did not establish that several of the projects met the technological information test. Although Siemer argued that its research activities relied upon principles of engineering, physical sciences and biological sciences, “Siemer did not establish the principles on which its research activities relied.” The court was looking for a more detailed discussion of the specific scientific principles.
Although the court held that Siemer was not entitled to the research credit, it determined that Siemer was not subject to the accuracy penalty under section 6662 because Siemer acted with reasonable cause and in good faith by relying on a competent tax professional.
This case should serve as a reminder to taxpayers of the importance of not only keeping robust documentation to demonstrate that they meet all four parts of the research credit test, but also using a professional with experience in identifying and documenting eligible R&D activities and costs. While creating and maintaining this documentation can be time-consuming, it is imperative that a taxpayer have detailed documentary proof of the scientific principles involved in the qualified activity, i.e., broad statements that “engineering principles were used” are insufficient. Taxpayers must also provide detailed documentation of the process of experimentation. Assertions in a research credit study that “the taxpayer uses trial and error and other iterative processes” are insufficient.
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