In October 2023, HMRC published guidance in the form of a checklist of steps that it expects a company to take before claiming R&D tax relief.
No guarantee is given that companies that follow the guidance and claim R&D tax relief will necessarily escape a compliance check though HMRC states that keeping a record to show that the company or the agent has followed the thirteen steps and is satisfied with the result, will help the company reduce the risk from incorrect claims.
HMRC makes the point, often overlooked by companies claiming the relief, that the facts of an R&D claim always remain the company`s responsibility, even with professional advisors involved. Only the business fully understands the work undertaken and claiming the relief is part of the self-assessment process.
Steps 1-9 are to be carried out by the competent professional or competent professionals in the projects with steps 10-13 to be carried out by the R&D agent and company with the assistance of the competent professionals.
HMRC defines a competent professional as someone suitably qualified or experienced in the field, usually, someone directly involved in the project with professional expertise relevant to the advance being sought. It can be someone employed by the company or external.
In respect of their field of expertise, HMRC expects a competent professional to have all the following attributes:
It is stressed that having worked in a field or having an intelligent interest alone, does not make a person a competent professional. They must have enough knowledge and experience relevant to the qualifying project.
Good evidence may include one of the following examples:
HMRC states that the competent professional, or competent professionals, in the relevant field of science or technology should:
HMRC states that the company or its agent should then, supported by a competent professional as needed:
From 8 August 2023, all companies must submit an additional information form (“AIF”) to HMRC to support a claim for R&D tax relief. If the additional information form is not submitted, any claim for R&D tax relief will be disallowed.
Within the AIF, a short summary must be supplied describing;
For R&D agents who have always prepared technical narratives to support their client`s claims, this is nothing new and the project information contained within the technical narrative can be used to complete the AIF. However, it is still good practice to complete the checklist as a precursor to preparing the claim and to evidence to HMRC the steps that were taken to ensure that the claim is compliant.
To find out more about what we do, please get in touch.