Code of Maryland Regulations
Title 03 - COMPTROLLER OF THE TREASURY
Subtitle 04 - INCOME TAX
Chapter 03.04.10 - Maryland Research Development Tax Credit
Section 03.04.10.09 - Affiliated Corporations and Entities Under Common Control

Universal Citation: MD Code Reg 03.04.10.09

Current through Register Vol. 51, No. 6, March 22, 2024

A. All members of the same controlled group of corporations, as defined in §41(f) of the Internal Revenue Code, and all entities under common control, whether incorporated or not, shall be treated as a single taxpayer for purposes of these tax credits.

B. The credits allowable to each member shall be determined by multiplying the total credits certified by the Department for the controlled group by a fraction:

(1) The numerator of which is the Maryland qualified research and development expenses incurred by the separate member; and

(2) The denominator of which is the total Maryland qualified research and development expenses incurred by all members of the controlled group.

C. The computation of the Maryland base amount or the Maryland adjusted base amount shall include all of the qualified research and development expenses of an acquired, consolidated, restructured, or merged entity.

Disclaimer: These regulations may not be the most recent version. Maryland may have more current or accurate information. We make no warranties or guarantees about the accuracy, completeness, or adequacy of the information contained on this site or the information linked to on the state site. Please check official sources.
This site is protected by reCAPTCHA and the Google Privacy Policy and Terms of Service apply.