New Zealand: Tax credit for research and development from April 2019

International Tax Review is part of Legal Benchmarking Limited, 4 Bouverie Street, London, EC4Y 8AX

Copyright © Legal Benchmarking Limited and its affiliated companies 2025

Accessibility | Terms of Use | Privacy Policy | Modern Slavery Statement

New Zealand: Tax credit for research and development from April 2019

Sponsored by

sponsored-firms-russel-mcveagh.png
intl-updates

The New Zealand government has announced a non-refundable tax credit of 12.5% of eligible research and development (R&D) expenditure (R&D credit), from April 2019.

An R&D credit has not been available in New Zealand since 2009. The reintroduction of an R&D credit is intended to increase R&D expenditure in New Zealand, which is well below the OECD average. The design of the R&D credit is still to be decided, but the main eligibility criteria, as proposed in the government's consultation document 'Fuelling Innovation to Transform Our Economy', are described below.

Proposed eligibility criteria

To receive the R&D credit a business must be located and carrying out R&D activity in New Zealand. The business must also have control over, and bear the risks and own the results of, the R&D activity. All businesses, regardless of legal structure, can be eligible for the R&D credit. However, the eligibility of government-owned or funded entities (including state-owned enterprises, which are taxed in the same way as non-government-owned businesses) is still being considered.

Research and development activity for the purposes of the R&D credit means activities conducted using scientific methods that are performed for the purpose of acquiring new knowledge, or creating something new or improved. Activities must also be intended to resolve scientific or technological uncertainty. Support activities sufficiently connected to those activities will also be treated as an R&D activity. Mineral or petroleum exploration, research of a non-scientific nature (e.g. market research, research in social sciences, and management studies) and certain other activities will be excluded from being R&D activities.

Businesses with less than NZ$100,000 ($69,000) of eligible expenditure on R&D activities in a year will not receive any R&D credit (unless R&D activities are outsourced to an approved research provider). A NZ$120 million cap of eligible expenditure is proposed (meaning a maximum R&D credit of NZ$15 million). Expenditure will be eligible only if it has sufficient connection to an R&D activity. Interest expenditure, certain related party costs and other costs will be excluded. Businesses in a loss position, or whose R&D credit is greater than their tax liability, will be able to carry forward any unused R&D credit.

Design issues yet to be considered

The consultation document acknowledges that the government is still considering a number of design issues. These include:

  • Whether some continuity of business ownership should be required for unused R&D credits to be carried forward to subsequent years (this might disadvantage businesses in a growth phase that need to bring in new owners);

  • How the definition of R&D activity should apply to software R&D, and whether there should be 'special treatment' for certain software activities; and

  • Whether the measure of eligible expenditure should be based solely on direct R&D labour costs, or on a broader range of direct and indirect costs.

It is expected that these issues will be addressed before September 2018 when a bill to implement the R&D credit is expected to be introduced in New Zealand's parliament. Businesses carrying on R&D in New Zealand should consider the proposed eligibility criteria for the R&D credit, and take the opportunity to provide feedback when the bill is referred to a select committee for consideration (expected to be in late 2018).

brown.jpg
woolley.jpg

Brendan

Brown

Matt

Woolley

Brendan Brown (brendan.brown@russellmcveagh.com) and Matt Woolley (matt.woolley@russellmcveagh.com)

Russell McVeagh

Tel: +64 4 819 7748 and +64 4 819 7303

Website: www.russellmcveagh.com

more across site & shared bottom lb ros

More from across our site

Levine, who served under the Joe Biden administration, led the US’s negotiations on the OECD’s two-pillar solution
The deal to acquire ITR's parent company is expected to complete by the end of May 2025
JBS, the biggest meat company in the world, allegedly used Luxembourgian ‘mailbox companies’ to avoid taxes between 2019 and 2022
Despite the conviction of Jessa Dabalos, the Tax Practitioners’ Board’s investigative work continues with five outstanding PwC scandal probes
Heads of tax need to push their teams forward as strategic business advisers to add value across their organisations, says Sandy Markwick
Scott Bessent reportedly felt undermined by Musk naming Gary Shapley as acting IRS commissioner; in other news, Baker Tilly will combine with a top 15 US firm
The promise of nine years’ tax certainty and a ‘rational and pragmatic’ government process makes APAs a no-brainer, Indian tax advisers tell ITR
Despite garnering significant revenues from multinationals, Italy’s digital services tax presents pressing double taxation issues, say Stefano Simontacchi and Francesco Saverio Scandone of BonelliErede
ITR’s research shows that in-house tax counsel in Asia also feel underserved by their advisers’ international networks
World Tax global head of research Jon Moore tells ITR how his team spots standout submissions, and gives early statistical insights into this year’s entries
Gift this article