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PAGE | 01 B E S T P R A C T I C E
Best Practice for...
Understanding HMRC’s
interpretation of the legislation.
I have found the major
benefit of working
with Jumpstart to be
that claims have been
identified that I would
not have considered
due to the nature of the
client’s business. Working
efficiently and maximising
a small amount of the
client’s time is key and
Jumpstart do both.
| ROGER C BLOOMER
| CHARTERED
ACCOUNTANTS
Technological Uncertainties vs Technological Unknowns
In the eyes of HMRC, the difference
between a technological uncertainty
and a technological unknown can be
the difference between an eligible
and ineligible claim. R&D only begins
when technological uncertainties arise;
technological unknowns on their own are
not eligible R&D. So when exactly does
an ‘unknown’ become an ‘uncertainty’?
The difference can be illustrated by the
following example. A company aims to
develop a more efficient kettle. It buys
three kettles made by competitors and
tests each to qualify the performance.
Although the performance of each kettle
is unknown it is possible to carry out
the tests with conventional methods. This
data may provide engineers with a clear
idea on how to develop a more efficient
kettle. In this case the unknown has
been resolved (i.e. the performance of the
competitors’ kettles) and, as established
methods were used, this is not R&D.
However, if, once the unknowns have
been resolved, it is not clear how the
engineers will develop a more efficient
kettle, this becomes a technical
uncertainty and R&D begins!
A successful R&D tax relief claim requires not only a knowledge of the
technical aspects of a company’s industry, but also an understanding of the
subtleties of HMRC’s guidelines; these are regularly refined, and keeping
abreast of HMRC’s current interpretations is one of the best ways of
ensuring that any claims – current or future – are successful.
So what are the areas you should pay particular attention to? Our best
practice guide breaks down some of the main points and offers some
relevant examples and practical tips for clearing the most troublesome
hurdles.
www.jumpstartuk.co.uk 			 A HELPING HAND FOR ACCOUNTANTS
PAGE | 02 B E S T P R A C T I C E
“
Working in partnership
with Jumpstart makes
the accountant the hero,
as through Jumpstart’s
expertise the claim that
can be submitted for
clients can be significantly
boosted and this is
enormously important in a
climate where every penny
counts in a business.
| DOUGLAS AITKEN
| DIRECTOR
| PEAK PERFORMANCE
www.jumpstartuk.co.uk 			 A HELPING HAND FOR ACCOUNTANTS
Trial and Error
There is a fine line between eligible
and ineligible R&D and nowhere is this
more apparent than in the use of trial
and error. Trial and error is essentially
experimentation using routine methods; it
is what these methods are used to resolve
that determines the difference between
eligible and ineligible R&D. For example,
if a company is using trial and error to
find the best glue for their purpose, this
would not be R&D; the company knows
that with this trial they will eventually
come to determine which glue is the best.
However, if trial and error is used in such
a manner as to generate new knowledge,
for example if a company uses trial and
error to determine how different conditions
affect cell tissue cultures, there is no
way to know if the effect of the different
conditions will ever be resolved – this is
unquestionably R&D.
Process improvement is an area that has
recently come under much scrutiny from
HMRC, and as a result companies that
have previously completed a successful
R&D tax relief claim may find themselves
struggling with future claims. Whilst
advancements in a company’s processes
can still be considered as eligible R&D,
they must now be leading to a strong
advance in science and technology, and
not simply increasing profits. For instance,
if a bakery installs new machines to improve
production processes but is forced to
carry out major adaptations to resolve
technological uncertainties before this im-
provement can be seen, then this is eligible
R&D. However, if process improvement is
carried out using standard methods with a
view to increasing production rates – which
essentially leads only to commercial gain –
then it is not R&D.
* * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * *
About Jumpstart
Jumpstart is a science and technology company that specialises in R&D tax relief. They are
100% focused on helping companies make successful claims for HMRC’s R&D tax relief
programme. Helping with all stages of the claim process, they ensure that only optimised,
accurate and compliant claims go before HMRC. The key to their success is that every member
of their delivery team has a first or postgraduate degree in an area of technology or science.
* * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * *
T 0131 240 2900 F 0131 226 4506 E helpinghand@jumpstartuk.co.uk
Process improvement

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004 - Best Practice for... Understanding HMRC’s interpretation of the R&D Tax Relief legislation.

  • 1. PAGE | 01 B E S T P R A C T I C E Best Practice for... Understanding HMRC’s interpretation of the legislation. I have found the major benefit of working with Jumpstart to be that claims have been identified that I would not have considered due to the nature of the client’s business. Working efficiently and maximising a small amount of the client’s time is key and Jumpstart do both. | ROGER C BLOOMER | CHARTERED ACCOUNTANTS Technological Uncertainties vs Technological Unknowns In the eyes of HMRC, the difference between a technological uncertainty and a technological unknown can be the difference between an eligible and ineligible claim. R&D only begins when technological uncertainties arise; technological unknowns on their own are not eligible R&D. So when exactly does an ‘unknown’ become an ‘uncertainty’? The difference can be illustrated by the following example. A company aims to develop a more efficient kettle. It buys three kettles made by competitors and tests each to qualify the performance. Although the performance of each kettle is unknown it is possible to carry out the tests with conventional methods. This data may provide engineers with a clear idea on how to develop a more efficient kettle. In this case the unknown has been resolved (i.e. the performance of the competitors’ kettles) and, as established methods were used, this is not R&D. However, if, once the unknowns have been resolved, it is not clear how the engineers will develop a more efficient kettle, this becomes a technical uncertainty and R&D begins! A successful R&D tax relief claim requires not only a knowledge of the technical aspects of a company’s industry, but also an understanding of the subtleties of HMRC’s guidelines; these are regularly refined, and keeping abreast of HMRC’s current interpretations is one of the best ways of ensuring that any claims – current or future – are successful. So what are the areas you should pay particular attention to? Our best practice guide breaks down some of the main points and offers some relevant examples and practical tips for clearing the most troublesome hurdles. www.jumpstartuk.co.uk A HELPING HAND FOR ACCOUNTANTS
  • 2. PAGE | 02 B E S T P R A C T I C E “ Working in partnership with Jumpstart makes the accountant the hero, as through Jumpstart’s expertise the claim that can be submitted for clients can be significantly boosted and this is enormously important in a climate where every penny counts in a business. | DOUGLAS AITKEN | DIRECTOR | PEAK PERFORMANCE www.jumpstartuk.co.uk A HELPING HAND FOR ACCOUNTANTS Trial and Error There is a fine line between eligible and ineligible R&D and nowhere is this more apparent than in the use of trial and error. Trial and error is essentially experimentation using routine methods; it is what these methods are used to resolve that determines the difference between eligible and ineligible R&D. For example, if a company is using trial and error to find the best glue for their purpose, this would not be R&D; the company knows that with this trial they will eventually come to determine which glue is the best. However, if trial and error is used in such a manner as to generate new knowledge, for example if a company uses trial and error to determine how different conditions affect cell tissue cultures, there is no way to know if the effect of the different conditions will ever be resolved – this is unquestionably R&D. Process improvement is an area that has recently come under much scrutiny from HMRC, and as a result companies that have previously completed a successful R&D tax relief claim may find themselves struggling with future claims. Whilst advancements in a company’s processes can still be considered as eligible R&D, they must now be leading to a strong advance in science and technology, and not simply increasing profits. For instance, if a bakery installs new machines to improve production processes but is forced to carry out major adaptations to resolve technological uncertainties before this im- provement can be seen, then this is eligible R&D. However, if process improvement is carried out using standard methods with a view to increasing production rates – which essentially leads only to commercial gain – then it is not R&D. * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * About Jumpstart Jumpstart is a science and technology company that specialises in R&D tax relief. They are 100% focused on helping companies make successful claims for HMRC’s R&D tax relief programme. Helping with all stages of the claim process, they ensure that only optimised, accurate and compliant claims go before HMRC. The key to their success is that every member of their delivery team has a first or postgraduate degree in an area of technology or science. * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * T 0131 240 2900 F 0131 226 4506 E helpinghand@jumpstartuk.co.uk Process improvement