Registration of securities issued in business combination transactions

Income Tax

v3.7.0.1
Income Tax
12 Months Ended
Dec. 31, 2016
Income Tax Disclosure [Abstract]  
Income Tax

9. INCOME TAX

[a] The reconciliation of income tax attributable to operations computed at the statutory tax rate to income tax expense is as follows. OncoGenex Technologies, a Canadian corporation, which is subject to combined Canadian federal and provincial statutory tax rates for December 31, 2016, 2015, and 2014 of 26.0%, 26.0%, and 26.0%, respectively. Following the reverse takeover by OncoGenex Technologies of Sonus Pharmaceuticals, Inc. (which subsequently changed its name to OncoGenex Pharmaceuticals, Inc.) in 2008, OncoGenex Technologies became a wholly owned subsidiary of OncoGenex Pharmaceuticals, which is a Delaware incorporated company subject to US Federal Statutory rates of 34% for all three years presented.

For the purposes of estimating the tax rate in effect at the time that deferred tax assets and liabilities are expected to reverse, we used the furthest out available future tax rate in the applicable jurisdictions. For the years ended December 31, 2016, 2015 and 2014 the future Canadian enacted rates we used were 26%, 26%, and 26%, respectively, while for the US the future enacted rate we used was 34% for all three periods presented.

[b] At December 31, 2016, we have investment tax credits of $2.6 million (2015—$2.3 million) available to reduce future Canadian income taxes otherwise payable. We also have non-capital loss carryforwards of $115.9 million (2015—$100.4 million) available to offset future taxable income in Canada and federal net operating loss carryforwards of $158.4 million (2015—$151.9 million) to offset future taxable income in the United States.

Under Section 382 of the Internal Revenue Code of 1986, substantial changes in our ownership may limit the amount of net operating loss carryforwards and development tax credit carryforwards that could be utilized annually in the future to offset taxable income. Any such annual limitation may significantly reduce the utilization of the net operating losses and tax credits before they expire. A preliminary 382 limitation review has been undertaken but a formal study has never been completed. The results of any future study could indicate that the U.S. losses may be materially limited; however, the amount of such limitation cannot be reasonably quantified at this time, but may be significant. In each period since our inception, we have recorded a valuation allowance for the full amount of our deferred tax asset, as the realization of the deferred tax asset is uncertain.

 

(In thousands)

   2016      2015      2014  

Income taxes at statutory rates (at a rate of 34% for all periods presented)

   $ (6,844    $ (5,712    $ (8,922

Expenses not deducted for tax purposes

     (67      (14      (452

Effect of tax rate changes on deferred tax assets and liabilities

     (3      (13      (9

Rate differential on foreign earnings

     972        689        1,445  

Reduction (increase) in benefit of operating losses

     196        (32      441  

Reduction in the benefit of other tax attributes

     —          —          —    

Investment tax credits

     (252      (297      (357

Change in valuation allowance

     6,203        5,114        7,854  

Book to tax return adjustments

     (205      265        —    

Other

        —          —    
  

 

 

    

 

 

    

 

 

 

Income tax expense

   $ —        $ —        $ —    

As a result, we have not recognized any federal or state income tax benefit in our statement of operations. The initial public offering of common stock by us in 1995 caused an ownership change pursuant to applicable regulations in effect under the Internal Revenue Code of 1986. Therefore, our use of losses incurred through the date of ownership change will be limited during the carryforward period and may result in the expiration of net operating loss carryforwards in the United States before utilization.

 

The investment tax credits and non-capital losses and net operating losses for income tax purposes expire as follows (in thousands):

 

     Investment
Tax Credits
     Net Operating
Losses
     Non-capital
Losses
 

2016

     —          —          —    

2017

     —          —          —    

2018

     150        10,795        —    

2019

     102        32        —    

2020

     76        2,745        —    

2021

     69        400        —    

2022

     105        11,766        —    

2023

     96        10,785        —    

2024

     111        16,814        —    

2025

     144        2,062        —    

2026

     400        27,157        7,335  

2027

     173        22,225        4,949  

2028

     390        12,648        8,020  

2029

     317        4,358        (9

2030

     346        5,034        6,288  

2031

     608        6,200        12,121  

2032

     505        8,418        17,278  

2033

     411        2,366        23,240  

2034

     492        2,609        17,077  

2035

     328        5,342        3,120  

2036

     286        6,635        16,531  
  

 

 

    

 

 

    

 

 

 
   $ 5,109      $ 158,391      $ 115,950  

In addition, we have unclaimed tax deductions of approximately $14.6 million related to scientific research and experimental development expenditures available to carry forward indefinitely to reduce Canadian taxable income of future years. We also have research and development tax credits of $2.4 million available to reduce future taxes payable in the United States. The research and development tax credits expire between 2018 and 2036.

[c] Significant components of our deferred tax assets as of December 31 are shown below (in thousands):

The potential income tax benefits relating to these deferred tax assets have not been recognized in the accounts as their realization did not meet the requirements of “more likely than not” under the liability method of tax allocation. Accordingly, a valuation allowance has been recorded and no deferred tax assets have been recognized as at December 31, 2016 and 2015.

 

     2016      2015  

Deferred tax assets:

     

Tax basis in excess of book value of assets

   $ 6,483      $ 6,308  

Non-capital loss carryforwards

     84,358        77,746  

Research and development deductions and credits

     7,969        7,484  

Stock options

     3,743        3,448  

Restructuring liability

     624        474  

Other

     112        1,627  
  

 

 

    

 

 

 

Total deferred tax assets

     103,289        97,087  

Valuation allowance

   $ (103,289    $ (97,087

Net deferred tax assets

     —          —    

 

[d] Under ASC 740, the benefit of an uncertain tax position that is more likely than not of being sustained upon audit by the relevant taxing authority must be recognized at the largest amount that is more likely than not to be sustained. No portion of the benefit of an uncertain tax position may be recognized if the position has less than a 50% likelihood of being sustained.

A reconciliation of the unrecognized tax benefits of uncertain tax positions for the year ended December 31, 2016 is as follows (in thousands):

 

            Year ended
December 31,
        
     2016      2015      2014  

Balance at January 1

   $ 2,055      $ 2,039      $ 2,007  

Additions based on tax positions related to the current year

     16        16        32  

Additions based on tax positions related to prior years

     —          —          —    
  

 

 

    

 

 

    

 

 

 

Balance at December 31

   $ 2,071      $ 2,055      $ 2,039  
  

 

 

    

 

 

    

 

 

 

As of December 31, 2016, unrecognized benefits of approximately $2.0 million, if recognized, would affect our effective tax rate, and would reduce our deferred tax assets.

Our accounting policy is to treat interest and penalties relating to unrecognized tax benefits as a component of income taxes. As of December 31, 2016 and December 31, 2015 we had no accrued interest and penalties related to income taxes.

We are subject to taxes in Canada and the U.S. until the applicable statute of limitations expires. Tax audits by their very nature are often complex and can require several years to complete.

 

Tax Jurisdiction

   Years open to
examination
 

Canada

     2008 to 2016  

US

     2013 to 2016