9. INCOME TAXES

The provision for income taxes is based on income before income taxes as follows (in thousands):

For the year ended

December 31, 

December 31, 

December 31, 

  ​ ​ ​

2025

  ​ ​ ​

2024

  ​ ​ ​

2023

Domestic

$

10,781

$

3,951

$

18,630

Foreign

 

17,953

 

12,907

 

11,070

Income before income taxes

$

28,734

$

16,858

$

29,700

Components of the total income tax provision are as follows (in thousands):

For the year ended

December 31, 

December 31, 

December 31, 

  ​ ​ ​

2025

  ​ ​ ​

2024

  ​ ​ ​

2023

Current provision

Federal

$

2,977

$

1,838

$

6,936

State

643

685

869

Foreign

 

4,548

 

3,522

 

2,834

Total current provision

 

8,168

 

6,045

 

10,639

Deferred benefit

Federal

(585)

(1,239)

(3,569)

State

59

(214)

(518)

Foreign

 

(942)

 

(900)

 

(949)

Total deferred benefit

 

(1,468)

 

(2,353)

 

(5,036)

Income tax provision

$

6,700

$

3,692

$

5,603

The provision for income taxes differs from the amount determined by applying the federal statutory rate as follows:

For the year ended

December 31, 

  ​ ​ ​

2025

  ​ ​ ​

Amount

Percentage

U.S. federal statutory tax rate

 

$

6,034

21.0

%  

State and local income taxes, net of federal income tax effect (1)

 

469

1.6

%  

Foreign tax effects

Germany

 

Other

309

1.1

%  

New Zealand

Change in valuation allowance

379

1.3

%  

Other

3

-

%  

Portugal

State and municipal surcharges

 

348

1.2

%  

Investment tax credits

(650)

(2.3)

%  

Changes in valuation allowances

(465)

(1.6)

%  

Other

3

-

%  

Other foreign jurisdictions

235

0.8

%  

Effect of changes in tax laws or rates enacted in the current period

-

-

%  

Effect of cross-border tax laws

Global intangible low-taxed income

410

1.4

%  

Other

(439)

(1.5)

%  

Tax credits

Federal research credit

(628)

(2.2)

%  

Change in valuation allowance

-

-

%  

Nontaxable or nondeductible items

Section 162(m) compensation

679

2.4

%  

Other

200

0.7

%  

Change in unrecognized tax benefits

(180)

(0.6)

%  

Other adjustments

(7)

-

%  

Total

$

6,700

23.3

%  

(1) The tax effect in this category primarily reflects state and local taxes in Oklahoma

 

For the year ended

December 31, 

December 31, 

  ​ ​ ​

2024

2023

  ​ ​ ​

Tax provision, computed at statutory rate

 

21.0

%  

21.0

%  

State tax, net of federal impact

 

1.0

%  

1.7

%  

Change in valuation allowance

(2.9)

%  

(1.5)

%  

Effect of foreign tax rate differences

 

2.4

%  

1.9

%  

Section 162(m) compensation

4.8

%  

2.4

%  

R&D Credit and incentives

(7.9)

%  

(6.1)

%  

Effect of Tax Cuts and Jobs Act

1.6

%  

0.3

%  

Unrecognized tax benefits

(1.1)

%  

(0.7)

%  

Other

0.9

%  

(0.1)

%  

Withholding tax on foreign distributions

2.1

%  

-

%  

Provision for income taxes

 

21.9

%  

18.9

%  

 

The tax effects of significant temporary differences and credit and operating loss carryforwards that give rise to the net deferred tax assets and tax liabilities are as follows (in thousands):

December 31, 

December 31, 

  ​ ​ ​

2025

  ​ ​ ​

2024

Noncurrent deferred tax assets:

Employee benefit plans

$

1,632

$

1,735

Net operating loss and tax credit carryforwards

6,849

6,711

Accrued expenses and reserves

3,608

2,997

Research and development costs

12,637

11,069

Other

 

411

 

439

Total noncurrent deferred tax assets

 

25,137

 

22,951

Valuation allowance

 

(2,399)

 

(2,262)

Net noncurrent deferred tax assets:

$

22,738

$

20,689

Net noncurrent deferred tax liabilities:

Property and equipment

$

2,851

$

2,812

Goodwill and intangibles

12,393

 

11,762

Interest rate swap derivatives

130

570

Other

96

71

Total noncurrent deferred tax liabilities

$

15,470

$

15,215

Net deferred tax asset

$

7,268

$

5,474

Presented as follows:

Noncurrent deferred income tax assets

$

10,509

$

9,116

Noncurrent deferred income tax liabilities

(3,241)

(3,642)

Net deferred tax asset

$

7,268

$

5,474

As of December 31, 2025, the Company has the following gross carryforwards available (in thousands):

Amount

 

Jurisdiction

Tax Attribute

(in thousands)

Begin to expire

 

U.S. State

Net Operating Losses (1)

$

9,297

 

2026

International

Net Operating Losses - Unlimited Carryforward (1)

$

15,734

No expiration

U.S. Federal

Foreign Tax Credits

$

1,002

2028

International

Investment Tax Credits

$

325

2030

U.S. Federal

R&D Tax Credits

$

2036

U.S. State

R&D and Manufacturing Credits

$

547

2031

(1)Net operating losses (NOL’s) are presented as pre-tax amounts.

Realization of the Company’s recorded deferred tax assets is dependent upon the Company generating sufficient taxable income in the appropriate tax jurisdictions in future years to obtain benefit from the reversal of net deductible temporary differences and from utilization of net operating losses and tax credit carryforwards. Management considers the scheduled reversal of deferred tax liabilities, projected verifiable future taxable income and tax planning strategies in making this assessment.

Starting in 2022, noncurrent deferred tax assets includes the effects of capitalization and amortization of R&D expenses as required by the 2017 Tax Cuts and Jobs Act. The Company generated excess foreign tax credits in 2017 due to the one-time transition tax required by enactment of the Tax Cuts and Jobs Act in the amount of $910 and foreign tax credits were generated in the amount of $92 as a result of a dividend paid from Canada and, at that time, determined it was more likely than not that it will not realize a tax benefit from these credits. The Company has incurred net operating losses in certain states with a tax effected benefit of $867 as of December 31, 2025 that it is more likely than not will not be realized. Additionally, the Company has deferred tax assets (including net operating loss carryforwards and tax credits) in certain foreign jurisdictions for which it has determined it is more likely than not it would not realize a tax benefit of $145 as of December 31, 2025. The amount of deferred tax assets considered realizable is subject to adjustment in future periods if estimates of future taxable income are changed. The Company believes that it is more likely than not that it will realize the benefits of its deferred tax assets, net of valuation allowances as of December 31, 2025.

The Company files income tax returns in various U.S. and foreign taxing jurisdictions. With few exceptions, the Company is no longer subject to U.S. federal and state tax examinations in its major tax jurisdictions for periods before 2022. With few exceptions, the Company is no longer subject to tax examinations in the foreign jurisdictions for periods prior to 2020.

Due to a New Zealand tax legislation change in 2021 allowing for the use of pre-acquisition net operating loss carryforwards to be utilized on the acquirer's future period tax returns, the Company recognized, in 2021, $8,328 of net operating loss carryforwards generated in pre-acquisition periods by the Dynamic Controls New Zealand entities. The net operating loss carryforwards are now available for use by the Company beginning with the New Zealand tax returns filed for the 2020 tax period. The Company evaluated the tax legislation and considered the tax periods open for adjustment by the tax authorities which include the 2016-2020 tax years and has determined it is more likely than not it will not realize a benefit on $1,125 of the net operating loss carryforwards. The Company will adjust this unrecognized tax benefit in light of changing facts and circumstances and with the lapse of the statute of limitations. The lapse of the statute of limitations would be recorded as an adjustment to the provision for income taxes in the period of the statute closure.

Cash paid for income taxes, net of refunds, were as follows (in thousands):

  ​ ​ ​

2025

  ​ ​ ​

U.S. federal

$

2,547

U.S. state and local

 

Oklahoma

 

550

Other

513

Total U.S. state and local

1,063

Foreign

Canada

1,096

China

527

Germany

979

Netherlands

698

Portugal

583

Sweden

860

Other

633

Total foreign

5,376

Total cash paid for income taxes, net of refunds

$

8,986

The summary of changes to the unrecognized tax benefit for the year ended December 31, 2025 is as follows (in thousands):

December 31, 

December 31, 

December 31, 

  ​ ​ ​

2025

  ​ ​ ​

2024

  ​ ​ ​

2023

Beginning balance

$

350

$

586

$

786

Additions from tax legislation changes for net operating loss carryforwards

 

 

 

Reductions related to the lapse of the statute of limitations

 

(180)

 

(193)

 

(207)

Effect of foreign currency translation

8

(43)

7

Ending balance

$

178

$

350

$

586

It is reasonably possible that a reduction of approximately $180 of the balance of unrecognized tax benefits may occur within the next twelve months as a result of the lapse of the statute of limitations. As of December 31, 2025, approximately $180 of unrecognized tax benefits would favorably impact the effective tax rate, if recognized.

It is the Company’s policy to include interest and penalties related to income tax liabilities in income tax expense in the consolidated statements of income and comprehensive income. In addition, the Company records uncertain tax positions in accordance with ASC 740. No material interest or penalties related to income tax liabilities were recognized for the years ended December 31, 2025, 2024, and 2023.

In general, it is the practice and intention of the Company to reinvest the earnings of its non-domestic subsidiaries in activities outside the United States. Exceptions may be made on a year-by-year basis to repatriate earnings of certain foreign subsidiaries based on cash needs in the United States. Certain foreign subsidiaries made distributions to other foreign subsidiaries which required a withholding tax remittance of $113. In 2025, the Company distributed a portion of these foreign earnings which have been previously taxed in the United States and remitted $35 of foreign withholding taxes.

The Company does not intend to distribute the remaining previously taxed earnings resulting from the one-time transition tax under the Tax Cuts and Jobs Act or capital in foreign subsidiaries, and has not recorded any deferred taxes related to such amounts. The remaining excess of the amount for financial reporting over the tax basis of investments in foreign subsidiaries is permanently reinvested, and the determination of any deferred tax liability on this amount is not practicable.

On July 4, 2025, legislation commonly referred to as the One Big Beautiful Bill Act (“OBBBA”) was signed into law which, among other things, modifies the income tax treatment of research and development expenses, as well as includes revisions to bonus depreciation and international tax regimes. The effects of OBBBA are reflected in the results for December 31, 2025, and there were no material impacts to income tax provision or the effective income tax rate.

Historical Timeline

Fiscal YearFiled
2025Mar 5, 2026Showing above
2024Mar 5, 2025
2023Mar 5, 2024
2022Mar 7, 2023
2021Mar 9, 2022
2020Mar 10, 2021
2019Mar 11, 2020
2018Mar 13, 2019
2017Mar 14, 2018
2016Mar 13, 2017
2015Mar 9, 2016

About Income Taxes Disclosures

The income tax disclosure reveals how much a company actually pays in taxes versus what the statutory rate would predict. Analysts focus on the effective tax rate (ETR) reconciliation, which breaks down every item driving the gap between the 21% federal rate and the company's reported ETR — including R&D credits, foreign rate differentials, and state taxes. Deferred tax assets (DTAs) and their valuation allowances signal management's confidence in future profitability: a rising allowance suggests the company doubts it can use accumulated tax benefits. Uncertain tax benefit (UTB) reserves quantify exposure to IRS challenges on aggressive positions.

Key signals to watch: sudden ETR drops without clear operational reasons, large increases in valuation allowances, growing UTB balances, and significant unremitted foreign earnings. Post-TCJA, pay attention to GILTI and BEAT provisions that affect multinational tax structures. Compare the cash taxes paid (from the cash flow statement) against the income tax provision to gauge earnings quality.