Proposed R&D Planning Changes: Good for Government – Bad for Business

R&D Plan Consultation

In the last working week of 2008 we received draft guidelines for R&D planning from AusIndustry for discussion. R&D planning has been a requirement of the R&D tax concession since 2001 and is actually part of the definition of R&D activities in the Income Tax Assessment Act 1936.

There are serious deficiencies with the current R&D Planning Guidelines, despite the consultations prior to their introduction, but they have proven to be workable since their introduction.

R&D Planning Should be a “Carrot” not a “Stick”

MJA has a long track record of supporting a component of the R&D tax concession that links R&D activities to business strategy. In fact, our first submissions on this point were made way back in 1995.

Initially, our recommendation was for companies that commit to R&D planning to be rewarded with higher rates of deduction (a “carrot”), rather than the “stick” approach adopted by government. Instead we have a system that rewards form over substance and tends to see R&D plans as a compliance documents, where the absence of a plan can lead to a claim being denied.

And so the government set out, in response to the June 2007 New Elements of the R&D Tax Concession Evaluation Report, to simplify and streamline the R&D planning process.

But “simplified and streamlined” actually increases compliance costs

The government, in requesting feedback on the draft guidelines, said “[t]he draft guidelines are simplified and streamlined in comparison to the existing guidelines”. Whilst this is true in that the document is shorter, implementing the draft guidelines in their current form has the potential to significantly increase compliance costs without delivering any further business value.

Our principal objection to the new planning guidelines is that they force compliance questions about the eligibility of possible, future, planned activities into a rigorous legalistic framework to be addressed in advance of work being undertaken.

Under the current guidelines it is sufficient to outline the program of R&D activities, the intended “Innovation” or “High Levels of Technical Risk” in the activities and the objective of the R&D project. A form was provided, but it was not intended to be prescriptive. These requirements, although favouring form over substance, were sufficient to identify potentially eligible projects (including some that may or may not be undertaken, let alone claimed).

Further proposed changes, dealing with authorisation procedures, estimation of expenditure by planned R&D activity, accompanied by a lack of detail on planning updates and frequency as well as approval of updates means that the changes proposed are far-reaching and affect organisations whether large or small.

If this guideline is approved it is a victory of means over ends; of bureaucracy over business.

MJA Submission on R&D Planning

We have written a detailed submission to goverment on the proposed R&D planning guidelines. You can download a PDF below, together with the proposed R&D planing guideline and see what the issues are.

R&D Guidelines

AusIndustry Draft R&D Planning Guidelines

MJA Submission on Draft R&D Plan Guideines

MJA Submission on Draft R&D Plan Guideines

 

 

 

 

 

 

 

Although submissions formally closed on 30 January 2009, we suspect that few corporates or other parties will have responded due to the Christmas/New Year break.

If that’s the case, and you want to make a submission to AusIndustry on these guidelines, please forward your comments either by email to rdtaxcon@innovation.gov.au with the heading “Consultation on proposed R&D Plan Guideline” or by post to:

The Manager
R&D Tax Concession Program Management
AusIndustry
GPO Box 9839
Canberra ACT 2601

How are we doing?

It’s always helpful to have your feedback on the Submissions we prepare, and the approach we’re taking in dealings with the government. You can help us by filling out a Comment below this post on our website, and giving us any feedback you have on how we’re peforming, or how we could improve.

Comments

2 Responses to “Proposed R&D Planning Changes: Good for Government – Bad for Business”

  1. Robert Wulff on 12 February 2009 12:13 pm

    Kris, John and Team

    Keep making these submissions. These are issues that business would like to address if it had the time/resources or knowledge that such devlopments are taking place.

    The “devil is always in the detail” and your team is perfectly placed to get to the bottom of each issue, and discover what it is that business stands to lose, and government needs to know.

    For example, the proposed changes to R&D Planning sound like they will achieve the opposite of what AusIndustry says they are intended to achieve.

    Great work!
    Robert Wulff
    Griffith Hack

  2. Rob McInnes on 12 February 2009 12:15 pm

    Hi Kris,

    Thanks for fighting the good fight!

    Has anyone made the point that, if the government thinks it’s become necessary to hose around as many billions of dollars as possible to stimulate the economy, the most immediately effective way to do so in a way that preserves and creates high-paying, value adding jobs (as well as adding to Australia’s intellectual asset base) would be to switch Commercial Ready back on?

    Cheers

    Rob

About Michael Johnson Associates

Founded in 1983, Michael Johnson Associates (MJA) is Australia's leading specialist R&D tax concession firm. We work with organisations of all sizes to help them understand the benefits of a compliance approach to R&D tax concessions and grants.

We know the complex legislation, amendments and guidelines related to government programs inside out - we deal with them every day. We also write the commentary on the R&D tax incentive for the CCH Federal Tax Reporter.

Please Contact Us to see how we can be of help to you.




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