R&D tax credit for SaaS & software companies
If your engineers are building new features, novel algorithms, AI/ML systems, or scaling and securing a platform, you’re likely doing qualified research — and likely leaving credit on the table. Software teams are among the most common to underclaim. A Ricerca study captures it with documentation that holds up.
Why software development qualifies
Each new or improved release is a business component — a product, software, or technique you’re trying to make better. The work qualifies when your team faces genuine technical uncertainty about architecture, algorithms, performance, scale, or security and resolves it through a systematic process of experimentation: designing alternatives, prototyping, and testing.
Every qualifying activity must pass the IRC §41 four-part test — permitted purpose, technological in nature (here, the principles of computer science), elimination of uncertainty, and a process of experimentation. Routine configuration, content changes, and bug fixes after release don’t qualify; the genuinely uncertain engineering does.
Software firms underclaim for predictable reasons: the work feels like “just building the product,” time isn’t tracked against the four-part test, and generalist preparers skip it. Mapping each activity to the statute — with contemporaneous evidence — is exactly what turns everyday engineering into a defensible claim.
The software work that commonly qualifies
Representative activities we see meet the four-part test. The label matters less than the underlying technical uncertainty and experimentation.
New features & architectures
Novel algorithms & data structures
AI/ML model development
Performance & scalability engineering
Security engineering
DevOps & infrastructure-as-code
Complex integrations
Prototypes & POCs
Platform re-architecture
Typical QRE categories for software
What spending counts toward the credit — tailored to how software teams actually spend.
Technical wages
W-2 wages for engineering, QA, DevOps, and technical product staff for time spent on qualified development, supervision, and direct support.
§41(b)(2)(A)–(B)
Cloud & compute
Amounts paid to rent cloud and compute for development, test, staging, and model-training environments used in qualified research.
§41(b)(2)(A)(iii)
Contract development (65%)
65% of amounts paid to U.S. third-party developers and agencies for qualified development performed on your behalf.
§41(b)(3)
Supplies
Limited for software teams — tangible property consumed in research, not depreciable equipment or overhead.
§41(b)(2)(C)
Software development is fully deductible again
New IRC §174A restores immediate, full expensing of domestic research & experimental costs for tax years beginning after December 31, 2024 — and domestic software development is explicitly included. Captured alongside the §41 credit, you get the deduction and the credit, correctly.
What a software study can look like
A hypothetical scenario to show how the pieces fit together. It is not a quote, projection, or promise of results.
- Engineering payroll
- $3.2M
- Share on qualified development
- ~60%
- Cloud & compute (dev/test/training)
- $300K
- Estimated QRE
- ~$2.2M
- Illustrative federal credit
- ≈ $130K–$220K
Plus the full §174A first-year deduction on domestic R&E, including software development.
Illustrative only. Figures are hypothetical and rounded; the federal credit commonly works out to roughly 6–10% of QRE depending on method and filing history. Your result depends entirely on your facts. This is not a quote or a guarantee.