[Code of Federal Regulations]
[Title 26, Volume 9]
[Revised as of April 1, 2002]
From the U.S. Government Printing Office via GPO Access
[CITE: 26CFR1.902-4]

[Page 631-633]
 
                       TITLE 26--INTERNAL REVENUE
 
    CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY 
                               (CONTINUED)
 
PART 1--INCOME TAXES--Table of Contents
 
Sec. 1.902-4  Rules for distributions attributable to accumulated profits 
for taxable years in which a first-tier corporation was a less developed 
country corporation.

    (a) In general. If a domestic shareholder receives a distribution 
from a first-tier corporation before January 1, 1978, in a taxable year 
of the domestic shareholder beginning after December 31, 1964, which is 
attributable to accumulated profits of the first-tier corporation for a 
taxable year beginning before January 1, 1976, in which the first-tier 
corporation was a less developed country corporation (as defined in 26 
CFR Sec. 1.902-2 revised as of April 1, 1978), then the amount of the 
credit deemed paid by the domestic shareholder with respect to such 
distribution shall be calculated under the rules relating to less 
developed country corporations contained in (26 CFR Sec. 1.902-1 revised 
as of April 1, 1978).
    (b) Combined distributions. If a domestic shareholder receives a 
distribution before January 1, 1978, from a first-tier corporation, a 
portion of which is described in paragraph (a) of this section, and a 
portion of which is attributable to accumulated profits of the first-
tier corporation for a year in which the first-tier corporation was not 
a less developed country corporation, then the amount of taxes deemed 
paid by the domestic shareholder shall be computed separately on each 
portion of the dividend. The taxes deemed paid on that portion of the 
dividend described in paragraph (a) shall be computed as specified in 
paragraph (a). The taxes deemed paid on that portion of the dividend 
described in this paragraph (b), shall be computed as specified in 
Sec. 1.902-3.
    (c) Distributions of a first-tier corporation attributable to 
certain distributions from second- or third-tier corporations. Paragraph 
(a) shall apply to a distribution received by a domestic shareholder 
before January 1, 1978, from a first-tier corporation out of accumulated 
profits for a taxable year beginning after December 31, 1975, if:
    (1) The distribution is attributable to a distribution received by 
the first-tier corporation from a second- or third-tier corporation in a 
taxable year beginning after December 31, 1975.
    (2) The distribution from the second- or third-tier corporation is 
made out of accumulated profits of the second- or third-tier corporation 
for a taxable year beginning before January 1, 1976, and

[[Page 632]]

    (3) The first-tier corporation would have qualified as a less 
developed country corporation under section 902(d) (as in effect on 
December 31, 1975), in the taxable year in which it received the 
distribution.
    (d) Illustrations. The application of this section may be 
illustrated by the following examples:

    Example 1. M, a domestic corporation owns all of the one class of 
stock of foreign corporation A. Both corporations use the calendar year 
as the taxable year. A Corporation pays a dividend to M Corporation on 
January 1, 1977, partly out of its accumulated profits for calendar year 
1976 and partly out of its accumulated profits for calendar year 1975. 
For 1975 A Corporation qualified as a less developed country corporation 
under the former section 902(d) (as in effect on December 31, 1975). M 
Corporation is deemed under paragraphs (a) and (b) of this section to 
have paid $63 of foreign income taxes paid by A Corporation on or with 
respect to its accumulated profits for 1976 and 1975 and M Corporation 
includes $36 of that amount in gross income as a dividend under section 
78, determined as follows upon the basis of the facts assumed:

                                  1976
Gains, profits, and income of A Corp. for 1976...............    $120.00
Foreign income taxes imposed on or with respect to such            36.00
 gains, profits, and income..................................
Accumulated profits..........................................     120.00
Foreign income taxes paid by A Corp. on or with respect to         36.00
 its accumulated profits (total foreign income taxes)........
Accumulated profits in excess of foreign income taxes........      84.00
Dividend to M Corp. out of 1976 accumulated profits..........      84.00
Foreign income taxes of A for 1976 deemed paid by M Corp.          36.00
 ($84/$84x$36)...............................................
Foreign income taxes included in gross income of M Corp.           36.00
 under section 78 as a dividend from A Corp..................



                                  1975
Gains, profits, and income of A Corp. for 1975...............    $257.14
Foreign income taxes imposed on or with respect to such            77.14
 gains, profits, and income..................................
Accumulated profits (under section 902(c)(1)(B) as in effect      180.00
 prior to amendment by the Tax Reform Act of 1976)...........
Foreign income taxes paid by A Corp. on or with respect to         54.00
 its accumulated profits ($77.14x$180/$257.14)...............
Dividend to M Corp. out of accumulated profits of A Corp. for      90.00
 1975........................................................
Foreign income taxes of A Corp. for 1975 deemed paid by M          27.00
 Corp. (under section 902(a)(2) as in effect prior to
 amendment by the Tax Reform Act of 1976) ($54x$90/$180).....
Foreign income taxes included in gross income of M Corp.               0
 under section 78 as a dividend from A Corp..................


    Example 2. The facts are the same as in example 1, except that the 
distribution from A Corporation to M Corporation on January 1, 1977, was 
from accumulated profits of A Corporation for 1976. A Corporation's 
accumulated profits for 1976 were made up of income from its trade or 
business, and a dividend paid by B, a second-tier corporation in 1976. 
The dividend from B Corporation to A Corporation was from accumulated 
profits of B Corporation for 1975. A Corporation would have qualified as 
a less developed country corporation for 1976 under the former section 
902(d) (as in effect on December 31, 1975). M Corporation is deemed 
under paragraphs (b) and (c) of this section to have paid $543 of the 
foreign taxes paid or deemed paid by A Corporation on or with respect to 
its accumulated profits for 1976, and M Corporation includes $360 of 
that amount in gross income as a dividend under section 78, determined 
as follows upon the basis of the facts assumed:

Total gains, profits, and income of A Corp. for 1976..........    $1,500
                                                               ---------
  Gains and profits from business operations..................     1,200
  Gains and profits from dividend A Corp. received in 1976           300
   from B Corp. out of accumulated profits of B Corp. for 1975
                                                               ---------
Foreign taxes imposed on or with respect to such profits and         450
 income.......................................................
                                                               ---------
  Foreign taxes paid by A Corp. attributable to gains and            360
   profits from A Corp.'s business operations.................
  Foreign taxes paid by A Corp. attributable to dividend from         90
   B Corp. in 1976............................................
                                                               ---------
Dividends from A Corp. to M Corp. on Jan. 1, 1977.............     1,050
                                                               ---------
  Portion of dividend attributable to gains and profits of A         840
   Corp. from business operations. ($1,200/$1,500x$1,050).....
  Portion of dividends attributable to gains on profits of A         210
   Corp. from dividend from B Corp. ($300/$1,500x$1,050)......



    (a) Amount of foreign taxes of A Corp. deemed paid by M Corp. on A 
Corp.'s gains and profits for 1976 from business operations.

Gains, profits, and income of A Corp. from business operations    $1,200
Foreign income taxes imposed on or with respect to gains,            360
 profits, and income..........................................
Accumulated profits...........................................     1,200
Foreign income taxes paid by A Corp. on or with respect to its       360
 accumulated profits (total foreign income taxes).............
Accumulated profits in excess of foreign income taxes.........       840
Dividend to M Corp............................................       840
Foreign taxes of A Corp. deemed paid by M Corp. ($360 x $840/        360
 $840)........................................................
Foreign taxes included in gross income of M Corp. under              360
 section 78 as a dividend.....................................


    (b) Amount of foreign taxes of A Corp. deemed paid by M Corp. on 
portion of the dividend attributable to B Corp.'s accumulated profits 
for 1975.

[[Page 633]]



B Corp. (second-tier corporation):
  Gains, profits, and income for calendar year 1975...........    $1,000
  Foreign income taxes imposed on or with respect to gains,          400
   profits, and income........................................
  Accumulated profits (under section 902(c)(1)(B) as in effect       600
   prior to amendment by the Tax Reform Act of 1976)..........
  Foreign income taxes paid by B Corp. on or with respect to         240
   its accumulated profits ($400 x $600/$1,000)...............
  Dividend to A Corp. in 1976.................................       300
  Foreign taxes of B Corp. for 1975 deemed paid by A Corp.           120
   (under section 902(b)(1)(B) as in effect prior to amendment
   by the Tax Reform Act of 1976) ($240 x $300/$600)..........
A Corp. (first-tier corporation):
  Gains, profits, and income for 1976 attributable to dividend       300
   from B Corp.'s accumulated profits for 1975................
  Foreign income taxes imposed on or with respect to such             90
   gains, profits, and income.................................
  Accumulated profits (under section 902(c)(1)(B) as in effect       210
   prior to amendment by the Tax Reform Act of 1976)..........
  Foreign taxes paid by A Corp. on or with respect to such            63
   accumulated profits ($90 x $210/$300)......................
  Foreign income taxes paid and deemed to be paid by A Corp.         183
   for 1976 on or with respect to such accumulated profits
   ($120 + $63)...............................................
  Dividend paid to M Corp. attributable to dividend from B           210
   Corp. out of accumulated profits for 1975).................
  Foreign taxes of A Corp. deemed paid by M Corp. (under             183
   section 902(a)(2) as in effect prior to amendment by the
   Tax Reform Act of 1976) ($183 x $210/$210).................
  Amount included in gross income of M Corp. under section 78.         0



[T.D. 7649, 44 FR 60087, Oct. 18, 1979. Redesignated and amended by T.D. 
8708, 62 FR 927, 940, Jan. 7, 1997]