[Code of Federal Regulations]
[Title 26, Volume 11]
[Revised as of April 1, 2004]
From the U.S. Government Printing Office via GPO Access
[CITE: 26CFR1.1248-3]

[Page 386-398]
 
                       TITLE 26--INTERNAL REVENUE
 
    CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY 
                               (CONTINUED)
 
PART 1_INCOME TAXES--Table of Contents
 
Sec. 1.1248-3  Earnings and profits attributable to stock in complex cases.

    (a) General--(1) Manner of computation. For purposes of paragraph 
(a)(1) of Sec. 1.1248-1, if a United States person sells or exchanges 
stock in a foreign corporation, and if the provisions of Sec. 1.1248-2 
do not apply, then the earnings and profits attributable to the stock 
which were accumulated in taxable years of the corporation beginning 
after December 31, 1962, during the period or periods such stock was 
held (or was considered to be held by reason of the application of 
section 1223) by such person while such corporation was a controlled 
foreign corporation, shall be computed in accordance with the steps set 
forth in subparagraphs (2), (3), and (4) of this paragraph.
    (2) Step 1. For each taxable year of the corporation beginning after 
December 31, 1962, (i) the earnings and profits accumulated for such 
taxable year by the corporation shall be computed in the manner 
prescribed in paragraph (b) of this section, (ii) the person's tentative 
ratable share of such earnings and profits shall be computed in the 
manner prescribed in paragraph (c) or (d) (whichever is applicable) of 
this section, and (iii) the person's ratable share of such earnings and 
profits shall be computed by adjusting the tentative ratable share in 
the manner prescribed in paragraph (e) of this section.
    (3) Step 2. If the provisions of paragraph (f) of this section 
(relating to earnings and profits of lower tier foreign corporations) 
apply, the amount of the person's ratable share of the earnings and 
profits accumulated by each lower tier corporation attributable to any 
such taxable year (i) shall be computed in the manner prescribed by 
paragraph (f) of this section, and (ii) shall be added to such person's 
ratable share for such taxable year determined in step 1.
    (4) Step 3. The amount of earnings and profits attributable to the 
share shall be the sum of the ratable shares computed for each such 
taxable year in the manner prescribed in steps 1 and 2.
    (5) Share or block. In general, the computation under this paragraph 
shall be made separately for each share of stock sold or exchanged, 
except that if a group of shares constitute a block of stock the 
computation may be made in respect of the block. For purposes of this 
section, the term block of stock means a group of shares sold or 
exchanged in one transaction, but only if (i) the amount realized, 
basis, and holding period are identical for each such share, and (ii) 
the adjustments (if any) under paragraphs (e) and (f)(5) of this section 
of the tentative ratable shares would be identical for each such share 
if such adjustments were computed separately for each such share.
    (6) Deficit in earnings and profits. For purposes of this section 
and Sec. Sec. 1.1248-4 through 1.1248-7, in respect of a taxable year, 
the term earnings and profits accumulated for a taxable year (but only 
if

[[Page 387]]

computed under paragraph (b) of this section) includes a deficit in 
earnings and profits accumulated for such taxable year. Similarly, a 
tentative ratable share, or a ratable share, may be a deficit.
    (7) Examples. The application of the provisions of this paragraph 
may be illustrated by the following examples:

    Example 1. On December 31, 1967, Brown sells 10 shares of stock in 
foreign corporation X, which uses the calendar year as its taxable year. 
The 10 shares constitute a block of stock under subparagraph (5) of this 
paragraph. Under step 1, Brown's ratable shares of the earnings and 
profits of X attributable to the block are as follows:

------------------------------------------------------------------------
                                                                Ratable
                      Taxble year of X                          shares
------------------------------------------------------------------------
1963........................................................        $100
1964........................................................         150
1965........................................................      \1\ 50
1966........................................................          50
1967........................................................         100
                                                             -----------
    Sum.....................................................         350
------------------------------------------------------------------------
\1\ Deficit.


The amount of the earnings and profits attributable to such block under 
step 3 is $350.
    Example 2. Assume the same facts as in example (1), except that in 
respect of X there are lower tier corporations Y and Z to which the 
provisions of paragraph (f) of this section apply. Brown's ratable 
shares of the earnings and profits of X, Y, and Z attributable to the 
block under steps 1 and 2 for each taxable year of X are as follows:

------------------------------------------------------------------------
                                              Ratable shares
        Taxable year of X        ---------------------------------------
                                      X         Y         Z       Total
------------------------------------------------------------------------
1963............................      $100       $40       $20      $160
1964............................       150        40       -60       130
1965............................       -50        30        50        30
1966............................        50        50        30       130
1967............................       100       -40        40       100
                                 ---------------------------------------
    Sum.........................       350       120        80       550
------------------------------------------------------------------------


The amount of the earnings and profits attributable to such block under 
step 3 is $550.

    (b) Earnings and profits accumulated for a taxable year--(1) 
General. For purposes of this section, the earnings and profits 
accumulated for a taxable year of a foreign corporation shall be the 
earnings and profits for such year, computed in accordance with the 
rules prescribed in Sec. 1.964-1 (relating to determination of earnings 
and profits for a taxable year of a controlled foreign corporation), 
except that (i) the special rules of subparagraph (2) of this paragraph 
shall apply, and (ii) adjustments shall be made under subparagraph (3) 
of this paragraph for distributions made by the corporation during such 
taxable year. If the stock in the corporation is sold or exchanged 
before any action is taken by or on behalf of the corporation under 
paragraph (c) of Sec. 1.964-1, the computation of earnings and profits 
under Sec. 1.964-1 for purposes of this section shall be made as if no 
elections had been made and no accounting method had been adopted. The 
amount of earnings and profits accumulated for a taxable year of a 
foreign corporation, as computed under this paragraph, is not 
necessarily the same amount as the earnings and profits of the taxable 
year computed under section 316(a)(1) or paragraph (d) of Sec. 1.1248-
2. Thus, for example, if a distribution with respect to stock is in 
excess of the amount of earnings and profits of the taxable year 
computed under section 316(a)(2), such excess is treated under section 
316(a)(2), or paragraph (d) of Sec. 1.1248-2 as made out of any 
earnings and profits accumulated in prior taxable years, whereas the 
amount of such excess may create, or increase, a deficit in the earnings 
and profits accumulated for the taxable year as computed under this 
paragraph. See subparagraph (3) of this paragraph.
    (2) Special rules. (i) The earnings and profits of the corporation 
accumulated:
    (a) For any taxable year beginning before January 1, 1967, shall not 
include the excess of any item includible in gross income of the foreign 
corporation under section 882(b) as gross income derived from sources 
within the United States, and
    (b) For any taxable year beginning after December 31, 1966, shall 
not include the excess of any item includible in gross income of the 
foreign corporation under section 882(b)(2) as income effectively 
connected for that year with the conduct by such corporation of a trade 
or business in the United States, whether derived from sources within or 
from sources without the United States,

Over any deductions allocable to such item under section 882(c). 
However, if the sale or exchange of stock in the foreign corporation by 
the U.S. person

[[Page 388]]

occurs before January 1, 1967, the provisions of (a) of this subdivision 
apply with respect to such sale or exchange even though the taxable year 
begins after December 31, 1966. See section 1248(d)(4). Any item which 
is required to be excluded from gross income, or which is taxed at a 
reduced rate, under an applicable treaty obligation of the United States 
shall not be excluded under this subdivision from earnings and profits 
accumulated for a taxable year.
    (ii) If a foreign corporation adopts a plan of complete liquidation 
in a taxable year of the corporation beginning after December 31, 1962, 
and if because of the application of section 337(a) gain or loss would 
not be recognized by the corporation from the sale or exchange of 
property if the corporation were a domestic corporation, then the 
earnings and profits of the corporation accumulated for the taxable year 
shall be determined without regard to the amount of such gain or loss. 
See section 1248(d)(2). For the nonapplication of section 337(a) to a 
liquidation by a collapsible corporation (as defined in section 341) and 
to certain other liquidations, see section 337(c).
    (3) Adjustment for distributions. (i) The earnings and profits of a 
foreign corporation accumulated for a taxable year (computed without 
regard to this subparagraph) shall be reduced (if necessary below zero 
so as to create a deficit), or a deficit in such earnings and profits 
shall be increased, by the amount of the distributions (other than in 
redemption of stock under section 302(a) or 303) made by the corporation 
in respect of its stock during such taxable year (a) out of such 
earnings and profits, or (b) out of earnings and profits accumulated for 
prior taxable years beginning after December 31, 1962 (computed under 
this paragraph). Except for purposes of applying this subparagraph, the 
application of the preceding sentence shall not affect the amount of 
earnings and profits accumulated for any such prior taxable year.
    (ii) The application of this subparagraph may be illustrated by the 
following examples:

    Example 1. X Corporation, which uses the calendar year as its 
taxable year, was organized on January 1, 1965, and was a controlled 
foreign corporation on each day of 1965. The amount of X's earnings and 
profits accumulated for 1965 (computed under this paragraph without 
regard to the adjustment for distributions under this subparagraph) is 
$400,000, of which $100,000 is distributed by X as dividends during 
1965. The amount of X's earnings and profits accumulated for 1965 
(computed under this paragraph) is $300,000 (that is, $400,000 minus 
$100,000). The result would be the same even if X was not a controlled 
foreign corporation on each day of 1965.
    Example 2. Assume the same facts as in example (1). Assume further 
that the amount of X's earnings and profits accumulated for 1966 
(computed under this paragraph without regard to the adjustment for 
distributions under this subparagraph) is $150,000, and that X 
distributes the amount of $260,000 as dividends during 1966. Since 
$150,000 of the distribution is from earnings and profits accumulated 
for 1966 (computed without regard to the adjustment for distributions 
under this subparagraph), and since $110,000 is from earnings and 
profits accumulated for 1965, the earnings and profits of X accumulated 
for 1966 are a deficit of $110,000 (that is, $150,000 minus $260,000). 
However, the earnings and profits accumulated for 1965 are still 
$300,000 for purposes of computing in the manner prescribed in paragraph 
(c) of this section a person's tentative ratable share.

    (c) Tentative ratable share if earnings and profits accumulated for 
a taxable year not less than zero--(1) General rule. For purposes of 
paragraph (a)(2)(ii) of this section, in respect of a share (or block) 
of stock in a foreign corporation, if the amount of the earnings and 
profits accumulated for a taxable year of the corporation (computed 
under paragraph (b) of this section), beginning after December 31, 1962, 
is not less than zero, then the person's tentative ratable share for 
such taxable year shall be equal to:
    (i)(a) Such amount (if the computation is made in respect of a 
block, multiplied by the number of shares in the block), divided by (b) 
the number of shares in the corporation outstanding, or deemed under 
subparagraph (2) of this paragraph to be outstanding, on each day of 
such taxable year, multiplied by
    (ii) The percentage that (a) the number of days in such taxable year 
of the corporation during the period the person held (or was considered 
to have held by reason of the application of section 1223) the share (or 
block) while

[[Page 389]]

the corporation was a controlled foreign corporation, bears to (b) the 
total number of days in such taxable year.
    (2) Shares deemed outstanding for a taxable year. For purposes of 
this section and Sec. Sec. 1.1248-4 through 1.1248-7, if the number of 
shares of stock in a foreign corporation outstanding on each day of a 
taxable year of the corporation is not constant, then the number of such 
shares deemed outstanding on each such day shall be the sum of the 
fractional amounts in respect of each share outstanding on any day of 
the taxable year. The fractional amount in respect of a share shall be 
determined by dividing (i) the number of days in the taxable year during 
which such share was outstanding (excluding the day the share became 
outstanding, but including the day the share ceased to be outstanding), 
by (ii) the total number of days in such taxable year.
    (3) Examples. The application of subparagraphs (1) and (2) of this 
paragraph may be illustrated by the following examples:

    Example 1. On each day of 1964, S owns a block consisting of 30 of 
the 100 shares of the only class of stock outstanding in F Corporation, 
and on each such day F is a controlled foreign corporation. F uses the 
calendar year as its taxable year and F's earnings and profits 
accumulated for 1964 (computed under paragraph (b) of this section) are 
$10,000. S's tentative ratable share with respect to the block is 
$3,000, computed as follows:

Earnings and profits accumulated for taxable year...........     $10,000
Multiplied by:
  Number of shares in block (30), divided by number of               30%
   shares outstanding (100).................................
Multiplied by:
  Number of days in 1964 S held block while F was a                 100%
   controlled foreign corporation (365), divided by number
   of days in 1964 (365)....................................
                                                             -----------
    Tentative ratable share for block.......................      $3,000


    Example 2. On December 31, 1964, X Corporation, a controlled foreign 
corporation which uses the calendar year as its taxable year, had 100 
shares of one class of stock outstanding, 15 of which were owned by T. 
T's 15 shares were redeemed by X on March 14, 1965. On December 31, 
1965, in addition to the remaining 85 shares, 10 new shares of stock 
(which were issued on May 26, 1965) were outstanding. Thus, during 1965, 
15 shares were outstanding for 73 days, 10 for 219 days, and 85 for 365 
days. The earnings and profits (computed under paragraph (b) of this 
section) accumulated for X's taxable year ending on December 31, 1965, 
are $18,800. T's tentative ratable share with respect to one share of 
stock is $40, computed as follows:

Earnings and profits accumulated for taxable year...........     $18,800
Divided by:
  Number of shares deemed outstanding each day
   of 1965:.....................................
    15 for 73 days (15x73/365)..................           3
    10 for 219 days (10x219/365)................           6
    85 for 365 days (35x365/365)................          85
                                                 ============
  Total number of shares deemed outstanding each day of 1965          94
                                                 -------------
Earnings and profits accumulated per share..................        $200
Multiplied by:
  Number of days in 1965 T held his share while X was a              20%
   controlled foreign corporation (73), divided by number of
   days in 1965 (365).......................................
                                                 -------------
    T's tentative ratable share per share of stock..........         $40


    Example 3. Assume the same facts as in example (2) except that X was 
not a controlled foreign corporation after January 31, 1965. T's 
tentative ratable share with respect to one share of stock for 1965 is 
$17, computed as follows:

Earnings and profits accumulated per share, determined in           $200
 example (2)................................................
Multiplied by:
  Number of days in 1965 T held X stock while X was a               8.5%
   controlled foreign corporation (31), divided by number of
   days in 1965 (365).......................................
                                                 -------------
    Tentative ratable share.................................         $17


    (4) More than one class of stock. If a foreign corporation for a 
taxable year has more than one class of stock outstanding, then before 
applying subparagraphs (1) and (2) of this paragraph the earnings and 
profits accumulated for the taxable year of the corporation (computed 
under paragraph (b) of this section) shall be allocated to each class of 
stock in accordance with the principles of paragraph (e) (2) and (3) of 
Sec. 1.951-1, applied as if the corporation were a controlled foreign 
corporation on each day of such taxable year.
    (d) Tentative ratable share if deficit in earnings and profits 
accumulated for taxable year--(1) General rule. For purposes of 
paragraph (a)(2)(ii) of this section, in respect of a share (or block) 
of stock in a foreign corporation, if there is a deficit in the earnings 
and profits accumulated for a taxable year of the corporation (computed 
under paragraph (b) of this section) beginning after December 31, 1962, 
the person's tentative

[[Page 390]]

ratable share for such taxable year shall be an amount equal to the sum 
of the partial tentative ratable shares computed under subparagraphs (2) 
and (3) of this paragraph.
    (2) Operating deficit. The partial tentative ratable share under 
this subparagraph is computed in 2 steps. First, compute (under 
paragraph (b) of this section without regard to the adjustment for 
distributions under subparagraph (3) thereof) the deficit (if any) in 
earnings and profits accumulated for such taxable year. Second, compute 
the partial tentative ratable share in the same manner as the tentative 
ratable share for such taxable year would be computed under paragraph 
(c) of this section if such deficit were the amount referred to in 
paragraph (c)(1)(i)(a) of this section.
    (3) Deficit from distributions. The partial tentative ratable share 
under this subparagraph is computed in 2 steps. First, compute and treat 
as a deficit only that portion of the adjustment for distributions under 
paragraph (b)(3) of this section for such taxable year which is 
attributable under subparagraph (4) of this paragraph to distributions 
out of earnings and profits accumulated during prior taxable years of 
the corporation beginning after December 31, 1962, during the period or 
periods the corporation was a controlled foreign corporation and the 
share (or block) of stock was owned by a United States shareholder (as 
defined in section 951(b) and the regulations thereunder). Second, 
compute the partial tentative ratable share for such taxable year in the 
same manner as the tentative ratable share for such taxable year would 
be computed under paragraph (c) of this section if (i) such deficit were 
the amount referred to in paragraph (c)(1)(i)(a) of this section, and 
(ii) the corporation were a controlled foreign corporation on each day 
of such taxable year.
    (4) Order of distributions. For purposes of applying subparagraph 
(3) of this paragraph only, the adjustment for distributions under 
paragraph (b)(3) of this section for a taxable year of a foreign 
corporation shall be treated as attributable first to distributions of 
earnings and profits for the taxable year (computed under paragraph (b) 
of this section without regard to such adjustment) to the extent 
thereof, and then to distributions out of the most recent of earnings 
and profits accumulated during prior taxable years beginning after 
December 31, 1962 (computed under paragraph (b) of this section). If the 
foreign corporation was a controlled foreign corporation during a prior 
taxable year for a period or periods which was only part of such prior 
taxable year, then for purposes of the preceding sentence (i) such 
taxable year shall be divided into periods the corporation was or was 
not a controlled foreign corporation, (ii) distributions of the earnings 
and profits accumulated during such prior taxable year shall be 
considered made from the most recent period first, and (iii) the 
earnings and profits accumulated during such prior taxable year shall be 
allocated to a period during such year in the same proportion as the 
number of days in the period bears to the number of days in such year. 
Except for purposes of applying subparagraph (3) of this paragraph, the 
application of this subparagraph shall not affect the amount of earnings 
and profits accumulated for any such prior taxable year (computed under 
paragraph (b) of this section).
    (5) Examples. The application of this paragraph may be illustrated 
by the following examples:

    Example 1. On each day of 1965 X Corporation, which uses the 
calendar year as its taxable year, was a controlled foreign corporation 
having 100 shares of one class of stock outstanding, a block of 25 of 
which were owned by T, who acquired them in 1962 and sold them in 1967. 
The deficit in X's earnings and profits accumulated for 1965 (computed 
under paragraph (b) of this section without regard to the adjustment for 
distributions under subparagraph (3) thereof) is $100,000, and thus in 
respect of the block T's partial tentative ratable share computed under 
subparagraph (2) of this paragraph is a deficit of $25,000 (that is, 
$100,000x25/100). During 1965 X does not make any distributions in 
respect of its stock, and thus in respect of the block T's partial 
tentative ratable share computed under subparagraph (3) of this 
paragraph is zero. Accordingly, T's tentative ratable share in respect 
of the block of X stock for 1965 is a deficit of $25,000. If, however, X 
was a controlled foreign corporation for only 292 days during 1965, T's 
tentative ratable share in respect of the block for 1965 would be a 
deficit of $20,000 (that is, $25,000x292/365).

[[Page 391]]

    Example 2. (i) Assume the same facts as in example (1) except that 
at no time during 1965 is X a controlled foreign corporation and that 
during 1965 X distributes $80,000 with respect to its stock. Assume 
further that X was a controlled foreign corporation on each day of 1964, 
but only for the first 146 days of 1963, and that X's earnings and 
profits accumulated for prior taxable years computed under paragraph (b) 
of this section are $70,000 for 1964 and $20,000 for 1963.
    (ii) Since X was not a controlled foreign corporation on any day of 
1965, in respect of the block T's partial tentative ratable share 
computed under subparagraph (2) of this paragraph is zero.
    (iii) The partial tentative ratable share under subparagraph (3) of 
this paragraph is computed in the following manner: For 1965 the 
adjustment for distributions under paragraph (b)(3) of this section is 
$80,000. Under subparagraph (4) of this paragraph $70,000 of such 
adjustment is attributable to the distribution of all of the earnings 
and profits accumulated during 1964, on every day of which X was a 
controlled foreign corporation, and $10,000 of the adjustment is 
attributable to the distribution of $10,000 of the earnings and profits 
accumulated for 1963. The portion of the earnings and profits 
accumulated by X in 1963 attributable to the first 146 days in 1963 
during which X was a controlled foreign corporation is $8,000 (that is, 
$20,000x146/365), and the portion attributable to the period in 1963 
during which X was not a controlled foreign corporation is $12,000 (that 
is, $20,000x219/365). Under subparagraph (4)(ii) of this paragraph, the 
distribution in 1965 of $10,000 of earnings and profits accumulated 
during 1963 is attributable to the more recent period in 1963, that is, 
the period X was not a controlled foreign corporation. Accordingly, the 
portion of the adjustment for distributions under paragraph (b)(3) of 
this section attributable to earnings and profits accumulated during 
periods X was a controlled foreign corporation is $70,000, and in 
respect of the block T's partial tentative ratable share under 
subparagraph (3) of this paragraph is a deficit of $17,500 (that is, 
$70,000x25/100).
    (iv) T's tentative ratable share in respect of the block of X stock 
for 1965 is a deficit of $17,500 (that is, the sum of the partial 
tentative ratable share for the block computed under subparagraph (2) of 
this paragraph, zero, plus the partial tentative ratable share for the 
block computed under subparagraph (3) of this paragraph, a deficit of 
$17,500).
    (v) Assume that X had 100 shares of one class of stock outstanding 
on each day of 1964 and 1963. Notwithstanding the distributions in 1965 
of earnings and profits accumulated during 1964 and 1963 (computed under 
paragraph (b) of this section), nevertheless, in respect of the block 
T's tentative ratable share for 1964 is $17,500 (that is, earnings and 
profits accumulated during 1964 so computed of $70,000, multiplied by 25 
shares/100 shares) and in respect of the block T's tentative ratable 
share for 1963 is $2,000 (that is, earnings and profits accumulated 
during 1963 so computed of $20,000, multiplied by 25 shares/100 shares, 
and multiplied by the percentage that the number of days in 1963 on 
which X was a controlled foreign corporation bears to the total number 
of days in 1963, 146/365).
    Example 3. Assume the same facts as in example (2) except that X was 
a controlled foreign corporation on each day of 1965. The tentative 
ratable share with respect to the block of stock for 1965 is a deficit 
of $42,500, that is, the sum of the partial tentative ratable share 
under subparagraph (2) of this paragraph (as determined in example (1)), 
a deficit of $25,000, plus the partial tentative ratable share under 
subparagraph (3) of this paragraph (as determined in example (2)), a 
deficit of $17,500.

    (6) More than one class of stock. If a foreign corporation for a 
taxable year has more than one class of stock outstanding, then before 
applying subparagraph (1) of this paragraph the earnings and profits 
accumulated for the taxable year of the corporation (computed under 
paragraph (b) of this section) shall be allocated to each class of stock 
in accordance with the principles of paragraph (e) (2) and (3) of Sec. 
1.951-1, applied as if the corporation were a controlled foreign 
corporation on each day of such taxable year.
    (e) Ratable share of earnings and profits accumulated for a taxable 
year--(1) In general. For purposes of paragraph (a)(2)(iii) of this 
section, in respect of a share (or block) of stock in a foreign 
corporation, the person's ratable share of the earnings and profits 
accumulated for a taxable year beginning after December 31, 1962, shall 
be an amount equal to the tentative ratable share computed under 
paragraph (c) or (d) (as the case may be) of this section, adjusted in 
the manner prescribed in subparagraphs (2) through (6) of this 
paragraph.
    (2) Amounts included in gross income under section 951. (i) In 
respect of a share (or block) of stock in a foreign corporation, a 
person's tentative ratable share for a taxable year of the corporation 
(computed under paragraph (c) of this section) shall be reduced (but not 
below zero) by the excess of (a) the amount, if any, included (in 
respect of such corporation for such taxable year)

[[Page 392]]

under section 951 in the gross income of such person or (during the 
period such share, or block, was considered to be held by such person by 
reason of the application of section 1223) in the gross income of any 
other person who held such share (or block), over (b) the portion of 
such amount which, in any taxable year of such person or such other 
person, resulted in an exclusion from the gross income of such person or 
such other person of an amount under section 959(a)(1) (relating to 
exclusion from gross income of distributions of previously taxed 
earnings and profits). See section 1248(d)(1). This subdivision shall 
apply notwithstanding an election under section 962 by such person to be 
subject to tax at corporate rates.
    (ii) The application of this subparagraph may be illustrated by the 
following example:

    Example: On December 31, 1975, Brown sells one share of stock in X 
Corporation, a controlled foreign corporation which has never been a 
less developed country corporation (as defined in section 902(d)). Both 
Brown and X use the calendar year as the taxable year. In respect of his 
share, Brown's tentative ratable share for 1971 (computed under 
paragraph (c) of this section) is $35. In respect of his share, Brown 
included $4 in his gross income for 1971 under section 951, and the 
amount of $3, which was distributed to him by X on January 15, 1972, is 
excluded from Brown's gross income under section 959(a)(1). In respect 
of the stock, Brown's ratable share for 1971 is $34, determined as 
follows:

Tentative ratable share.....................................         $35
Minus:
  Excess of amount of tentative ratable share included in              1
   Brown's gross income under section 951 ($4), over portion
   thereof which resulted in exclusion under section
   959(a)(1) ($3)...........................................
                                                             -----------
    Ratable share...........................................          34


    (3) Amounts included in gross income under section 551. In respect 
of a share (or block) of stock in a foreign corporation, a person's 
tentative ratable share for a taxable year of the corporation (computed 
under paragraph (c) of this section) shall be reduced (but not below 
zero) by the amount, if any, included (in respect of such corporation 
for such taxable year) under section 551 in the gross income of such 
person or (during the period such share, or block, was considered to be 
held by such person by reason of the application of section 1223) in the 
gross income of any other person who held such share (or block).
    (4) Less developed country corporations. (i) If the foreign 
corporation was a less developed country corporation as defined in 
section 902(d) for a taxable year of the corporation, and if the person 
who sold or exchanged a share (or block) of stock in such corporation 
satisfies the requirements of paragraph (a) of Sec. 1.1248-5 in respect 
of such stock, then his ratable share for such taxable year shall be 
zero. See section 1248(d)(3).
    (ii) The application of this subparagraph may be illustrated by the 
following example:

    Example: Assume the same facts as in the example in subparagraph 
(2)(ii) of this paragraph except that X was a less developed country 
corporation for 1971. Assume further that Brown satisfies the 
requirements of paragraph (a) of Sec. 1.1248-5. Brown's ratable share 
in respect of the stock for 1971 is zero.

    (5) Qualified shareholder of foreign investment company. In respect 
of a share (or block) of stock in a foreign corporation which was a 
foreign investment company described in section 1246 (b)(1), if the 
election under section 1247(a) to distribute income currently was in 
effect for a taxable year of the company, and if the person who sold or 
exchanged the stock (or another person who actually owned the stock 
during such taxable year and whose holding of the stock is attributed by 
reason of the application of section 1223 to the person who sold or 
exchanged the stock) was a qualified shareholder (as defined in section 
1247(c)) for his taxable year in which or with which such taxable year 
of the company ends, then the ratable share in respect of the share (or 
block) for such taxable year of the company shall be zero. See section 
1248(d)(5). In case gain is recognized under section 1246 in respect of 
a share (or block), see section 1248(f)(3)(B).
    (6) Adjustment for certain distributions. If (i) the person who sold 
or exchanged the share or block (or another person who actually owned 
the share or block and whose holding of the share or block is attributed 
by reason of the application of section 1223 to such person) received a 
distribution during a taxable year of the corporation, and (ii) such 
distribution was not included in the

[[Page 393]]

gross income of such person (or such other person) by reason of the 
application of section 959(a)(1) to amounts which were included under 
section 951(a)(1) in the gross income of a United States shareholder 
whose holding of the share or block is not attributed by reason of the 
application of section 1223 to such person (or such other person), then 
the amount of such distribution shall be added to such person's 
tentative ratable share for such taxable year. Thus, for example, such 
tentative ratable share may be increased, or a deficit reduced, by the 
amount of such distribution.
    (f) Earnings and profits of subsidiaries of foreign corporations--
(1) Application of paragraph. (i) In respect of a person who sells or 
exchanges stock in a foreign corporation (referred to as a first tier 
corporation), the provisions of this paragraph shall apply if the 
following 3 conditions exist:
    (a) The conditions of paragraph (a)(2) of Sec. 1.1248-1 are 
satisfied by the person in respect of such stock;
    (b) By reason of his ownership of such stock, on the date of such 
sale or exchange such person owned, within the meaning of section 
958(a)(2), stock in another foreign corporation (referred to as a lower 
tier corporation); and
    (c) The conditions of paragraph (a)(2) of Sec. 1.1248-1 would be 
satisfied by such person in respect of such stock in the lower tier 
corporation if such person were deemed to have sold or exchanged such 
stock in the lower tier corporation on the date he actually sold or 
exchanged such stock in the first tier corporation.
    (ii) If the provisions of this paragraph apply, (a) the person's 
tentative ratable share (or shares) of the earnings and profits 
accumulated by the lower tier corporation attributable to a taxable year 
of the first tier corporation shall be computed under subparagraph (2) 
or (4) of this paragraph, whichever is applicable, and (b) such person's 
ratable share (or shares) for the lower tier corporation attributable to 
a taxable year of the first tier corporation shall be computed under 
subparagraph (5) of this paragraph. For the manner of taking into 
account the ratable share for a lower tier corporation, see paragraph 
(a)(3) of this section.
    (iii) The application of this subparagraph may be illustrated by the 
following example:

    Example: On each day of 1964 and 1965 corporations X and Y are 
controlled foreign corporations, and each has outstanding 100 shares of 
one class of stock. On January 15, 1965, T, a United States person, owns 
one share of stock in X and X directly owns 20 shares of stock in Y. 
Thus, T owns, within the meaning of section 958(a)(2), stock in Y. On 
that date, T sells his share in X and satisfies the conditions of 
paragraph (a)(2) of Sec. 1.1248-1 in respect of his stock in X. 
Assuming that the conditions of paragraph (a)(2) of Sec. 1.1248-1 would 
be satisfied by T in respect of the stock he indirectly owns in Y if, on 
January 15, 1965, he were deemed to have sold such stock in Y, the 
provisions of this paragraph apply.

    (2) Tentative ratable share (of lower tier corporation attributable 
to a taxable year of first tier corporation) not less than zero. If the 
provisions of this paragraph apply to a sale or exchange by a United 
States person of a share (or block) of stock in a first tier 
corporation, and if the amount of earnings and profits accumulated 
(computed under paragraph (b) of this section) for a taxable year 
(beginning after December 31, 1962) of the lower tier corporation is not 
less than zero, then in respect of the share (or block) such person's 
tentative ratable share of the earnings and profits accumulated for such 
taxable year of the lower tier corporation attributable to any taxable 
year (beginning after December 31, 1962) of such first tier corporation 
shall be an amount equal to:
    (i)(a) Such amount of earnings and profits accumulated for such 
taxable year of the lower tier corporation (if the computation is made 
in respect of a block in the first tier corporation, multiplied by the 
number of shares in the block), divided by (b) the number of shares in 
the first tier corporation outstanding, or deemed under paragraph (c)(2) 
of this section to be outstanding, on each day of such taxable year of 
the first tier corporation, multiplied by
    (ii) The percentage that (a) the number of days during the period or 
periods in such taxable year of the first tier corporation on which such 
person held (or was considered to have held by reason of the application 
of section 1223) the share (or block) in the first tier

[[Page 394]]

corporation while the first tier corporation owned (within the meaning 
of section 958(a)) stock of such lower tier corporation at times while 
such lower tier corporation was a controlled foreign corporation, bears 
to (b) the total number of days in such taxable year of the first tier 
corporation, multiplied by
    (iii) The percentage that (a) the average number of shares in the 
lower tier corporation which were owned within the meaning of section 
958(a) by the first tier corporation during such period or periods 
(referred to in subdivision (ii)(a) of this subparagraph), bears to (b) 
the total number of such shares outstanding, or deemed under the 
principles of paragraph (c)(2) of this section to be outstanding, during 
such period or periods, multiplied by
    (iv) The percentage that (a) the number of days in such taxable year 
of the lower tier corporation which fall within the taxable year of the 
first tier corporation, bears to (b) the total number of days in such 
taxable year of the lower tier corporation.
    (3) Examples. The application of subparagraph (2) of this paragraph 
may be illustrated by the following examples:

    Example 1. In a year subsequent to 1969, Brown, a United States 
person, sells 5 of his shares of stock in X Corporation in a transaction 
as to which the provisions of this paragraph apply. Brown had purchased 
the 5 shares prior to 1969. On each day of 1969 X Corporation actually 
had 100 shares of one class of stock outstanding. On each such day X 
Corporation directly owned all of the shares of stock in Y Corporation, 
and Y Corporation directly owned all of the shares of stock in Z 
Corporation. Z Corporation on each such day was a controlled foreign 
corporation. Both X and Z use the calendar year as the taxable year. Z's 
earnings and profits accumulated for 1969 (computed under paragraph (b) 
of this section) are $2,000. Brown's tentative ratable share of the 
earnings and profits accumulated by Z attributable to the 1969 calendar 
year of X is $20 per share, computed as follows:

  (i) Z's earnings and profits for 1969 ($2,000), divided by         $20
   the number of shares in X deemed outstanding each day of
   1969 (100)...............................................
Multiplied by:
  (ii) Since on each day of 1969 Brown (by reason of owning         100%
   directly his shares in X) owned, within the meaning of
   section 958(a)(2), stock in Z while Z was a controlled
   foreign corporation, the percentage determined under
   subparagraph (2)(ii) of this paragraph equals............
Multiplied by:
  (iii) Since on each day of 1969 X owned 100 percent of the        100%
   stock of Y while Y owned 100 percent of the stock in Z,
   the percentage determined under subparagraph (2)(iii) of
   this paragraph equals....................................
Multiplied by:
  (iv) Since X and Z each use the same taxable year, the            100%
   percentage determined under subparagraph (2)(iv) of this
   paragraph equals.........................................
                                                 -------------
      Total.................................................         $20


    Example 2. Assume the same facts as in example (1), except that 
Brown sold his stock in X on October 19, 1969. Brown's tentative ratable 
share of the earnings and profits accumulated by Z attributable to the 
1969 calendar year of X is $16 per share, computed as follows:

  (i) The amount determined in subdivision (i) of example            $20
   (1)......................................................
Multiplied by:
  (ii) The number of days in the period during 1969 Brown            80%
   (by reason of owning directly his stock in X) owned,
   within the meaning of section 958(a)(2), his stock in Z
   while Z was a controlled foreign corporation (292),
   divided by the number of days in 1969 (365), equals......
Multiplied by:
  (iii) The percentage determined in subdivision............
    (iii) of example (1)....................................        100%
Multiplied by:
  (iv) The percentage determined in subdivision.............
    (iv) of example (1).....................................        100%
                                                 -------------
      Total.................................................         $16


    Example 3. Assume the same facts as in examples (1) and (2), except 
that on each day during 1969 Y owned (within the meaning of section 
958(a)(2)) 81 of the 100 shares of Z's outstanding stock. Brown's 
tentative ratable share of the earnings and profits accumulated by Z 
attributable to the 1969 calendar year of X is $12.96 per share, 
computed as follows:

  (i) The amount determined in subdivision (i) of example            $20
   (1)......................................................
Multiplied by:
  (ii) The percentage determined in subdivision (ii) of              80%
   example (2)..............................................
Multiplied by:
  (iii) The average number of shares in Z which were owned           81%
   (within the meaning of section 958(a)) by X during the
   applicable period (81), divided by the total number of
   shares in Z during such period (100).....................
Multiplied by:
  (iv) The percentage determined in subdivision (iv) of             100%
   example (1)..............................................
                                                 =============
      Total.................................................      $12.96



The result would be the same if X owned (within the meaning of section 
958(a)(2)) 81 percent of the stock in Y while Y so owned 100 percent of 
the stock in X, or if X so owned 90 percent of the stock in Y while Y so 
owned 90 percent of the stock in Z.

[[Page 395]]

    Example 4. Assume the same facts as in example (3), except that Z 
Corporation uses a fiscal year ending June 30 as its taxable year. 
Assume further that Z's earnings and profits accumulated for its fiscal 
year ending June 30, 1969, and for its fiscal year ending June 30, 1970, 
are $3,000 and $2,000, respectively. Brown's tentative ratable share of 
the earnings and profits accumulated by Z attributable to the 1969 
calendar year of X is $16.17 per share, computed as follows:


                                                     In respect of Z's
                                                    taxable year ending

                                                   June 30,    June 30,
                                                     1969        1970

  (i) Z's earnings and profits, divided by the
   number of shares in X deemed outstanding on
   each day of 1969:
      $3,000/100................................         $30
      $2,000/100................................  ..........         $20
Multiplied by:
  (ii) The percentage determined in subdivision          80%         80%
   (ii) of example (2)..........................
Multiplied by:
  (iii) The percentage determined in subdivision         81%         81%
   (iii) of example (3).........................
Multiplied by:
  (iv) Number of days in Z's taxable year which
   fall within 1969, divided by total number of
   days in Z's taxable year:
      181/365...................................       49.6%
      184/365...................................  ..........       50.4%
                                                 -----------------------
        Totals..................................       $9.64       $6.53
  (v) Sum of tentative ratable shares of Z
   attributable to X's 1969 calendar year:
    For Z's taxable year ending
      June 30, 1969.............................  ..........       $9.64
      June 30, 1970.............................  ..........       $6.53
                                                 -------------
        Sum.....................................  ..........      $16.17


    (4) Deficit in tentative ratable share of lower tier corporation 
attributable to a taxable year of first tier corporation. (i) If there 
is a deficit in the earnings and profits accumulated for a taxable year 
of a lower tier corporation beginning after December 31, 1962 (computed 
under paragraph (b) of this section), the person's tentative ratable 
share for such taxable year of such lower tier corporation attributable 
to a taxable year of a first tier corporation shall not be computed 
under subparagraph (2) of this paragraph but shall be an amount equal to 
the sum of the partial tentative ratable shares computed under 
subdivisions (ii) and (iii) of this subparagraph.
    (ii) The partial tentative ratable share under this subdivision is 
computed in 2 steps. First, compute (under paragraph (b) of this section 
without regard to the adjustments for distributions under subparagraph 
(3) thereof) the deficit (if any) in earnings and profits accumulated 
for such taxable year of such lower tier corporation. Second, compute 
the partial tentative ratable share in the same manner as such tentative 
ratable share would be computed under subparagraph (2) of this paragraph 
if such deficit were the amount referred to in subparagraph (2)(i)(a) of 
this paragraph.
    (iii) The partial tentative ratable share under this subdivision is 
computed in 2 steps. First, compute and treat as a deficit the portion 
of the adjustment for distributions under paragraph (b)(3) of this 
section for such taxable year which is attributable under paragraph 
(d)(4) of this section to distributions of earnings and profits 
accumulated during prior taxable years of the lower tier corporation 
beginning after December 31, 1962, during the period or periods such 
lower tier corporation was a controlled foreign corporation and the 
percentage of the stock of such lower tier corporation (which the person 
owns within the meaning of section 958(a)(2)) was owned within the 
meaning of section 958(a) by a United States shareholder (as defined in 
section 951(b) and the regulations thereunder). Second, compute the 
partial tentative ratable share in the same manner as such tentative 
ratable share would be computed under subparagraph (2) of this paragraph 
if (a) such deficit were the amount referred to in subparagraph 
(2)(i)(a) of this paragraph, and (b) such lower tier corporation were a 
controlled foreign corporation on each day of such taxable year.
    (5) Ratable share of lower tier corporation attributable to a first 
tier corporation. (i) If the provisions of this paragraph apply in 
respect of a share of stock in a first tier corporation, a person's 
ratable share of the earnings and profits accumulated by the lower tier 
corporation attributable to a taxable year of the first tier corporation 
shall be an amount equal to the tentative

[[Page 396]]

ratable share computed under subparagraph (2) or (4) of this paragraph, 
adjusted in the manner prescribed in this subparagraph.
    (ii) If the first tier corporation and the lower tier corporation 
use the same taxable year, then in respect of a share (or block) of 
stock in the first tier corporation the person's tentative ratable share 
of the accumulated earnings and profits of the lower tier corporation 
attributable to the taxable year of the first tier corporation (computed 
under subparagraph (2) of this paragraph) shall be reduced (but not 
below zero) by the excess of (a) the amount, if any, included (in 
respect of such lower tier corporation for its taxable year) under 
section 951 in the gross income of such person or (during the period 
such stock was considered to be held by such person by reason of the 
application of section 1223) in the gross income of any other person who 
held such stock, over (b) the portion of such amount which, in any 
taxable year of such person or such other person, resulted in an 
exclusion from the gross income of such person or such other person of 
an amount under section 959(a)(1). For an illustration of the principles 
in the preceding sentence, see the example in paragraph (e)(2)(ii) of 
this section.
    (iii) If the first tier corporation and the lower tier corporation 
do not use the same taxable year, and if there would be an excess 
computed under subdivision (ii) of this subparagraph in respect of a 
taxable year of the lower tier corporation (were the taxable years of 
such corporations the same), then such person's tentative ratable share 
of the accumulated earnings and profits for a taxable year of the lower 
tier corporation attributable to such taxable year of the first tier 
corporation shall be reduced (but not below zero) by an amount which 
bears the same ratio to (a) such excess, as (b) the number of days in 
the taxable year of the lower tier corporation which fall within the 
taxable year of the first tier corporation, bears to (c) the total 
number of days in the taxable year of the first tier corporation.
    (iv) If the first tier corporation and the lower tier corporation 
use the same taxable year, then in respect of a share (or block) of 
stock in the first tier corporation the person's tentative ratable share 
of the accumulated earnings and profits of the lower tier corporation 
attributable to the taxable year of the first tier corporation (computed 
under subparagraph (2) of this paragraph) shall be reduced (but not 
below zero) by the amount, if any, included (in respect of such 
corporation for such taxable year) under section 551, by reason of the 
application of section 555(b), in the gross income of such person or 
(during the period such share (or block) was considered to be held by 
such person by reason of the application of section 1223) in the gross 
income of any other person who held such share (or block).
    (v) If the first tier corporation and the lower tier corporation do 
not use the same taxable year, and if there would be a reduction in the 
person's tentative ratable share of the accumulated earnings and profits 
of the lower tier corporation attributable to the taxable year of the 
first tier corporation by an amount computed under subdivision (iv) of 
this subparagraph in respect of a taxable year of the lower tier 
corporation (were the taxable years of such corporations the same), then 
such person's tentative ratable share of the accumulated earnings and 
profits for a taxable year of the lower tier corporation attributable to 
such taxable year of the first tier corporation shall be reduced by an 
amount which bears the same ratio to (a) such amount, as (b) the number 
of days in the taxable year of the lower tier corporation which fall 
within the taxable year of the first tier corporation, bears to (c) the 
total number of days in the taxable year of the first tier corporation.
    (vi) If the lower tier corporation was a less developed country 
corporation as defined in section 902(d) for a taxable year of the 
corporation, see paragraph (g) of this section.
    (g) Lower tier corporation a less developed country corporation--(1) 
General. If the lower tier corporation was a less developed country 
corporation as defined in section 902(d) for a taxable year of such 
corporation, and if the person who sold or exchanged a share (or block) 
of stock in the first tier corporation satisfies on the date of such 
sale or exchange:

[[Page 397]]

    (i) The requirements of paragraph (a)(1) of Sec. 1.1248-5 with 
respect to such stock, and
    (ii) The requirements of paragraph (d)(1) of Sec. 1.1248-5 with 
respect to any stock of the lower tier corporation which such person, by 
reason of his direct ownership of such stock in the first tier 
corporation, owned within the meaning of section 958(a)(2),

Then such person's ratable share (or a deficit in such ratable share) 
for such taxable year of the lower tier corporation attributable to a 
taxable year of the first tier corporation (determined without regard to 
this paragraph) shall be reduced by an amount computed by multiplying 
such ratable share (so determined without regard to this paragraph) by 
the percentage computed under either subparagraph (2) or (4) of this 
paragraph, whichever is applicable.
    (2) Percentage for second tier corporation. For purposes of 
subparagraph (1) of this paragraph, if stock of a lower tier corporation 
(hereinafter referred to as a second tier corporation) is owned directly 
by the first tier corporation on the date of the sale or exchange 
referred to in such subparagraph (1), the percentage under this 
subparagraph shall be computed by dividing (i) the number of shares of 
stock of the second tier corporation which the first tier corporation 
has owned directly for an uninterrupted 10-year period ending on such 
date, by (ii) the total number of shares of the stock of such second 
tier corporation owned directly by such first tier corporation on such 
date.
    (3) Examples. The provisions of subparagraph (2) of this paragraph 
may be illustrated by the following examples:

    Example 1. On January 1, 1966, Smith, a United States person, 
recognizes gain upon the sale of one share of the only class of stock of 
F Corporation, which he has owned continuously since 1955. He includes a 
portion of the gain in his gross income as a dividend under section 
1248(a). On January 1, 1966, F owns directly 60 shares of the 100 
outstanding shares of the only class of stock of G Corporation, which F 
acquired in 1955 and owned continuously until such sale. F uses a 
taxable year ending June 30, and G uses the calendar year as the taxable 
year. For 1964, G was a less developed country corporation, and on each 
day of 1964 G was a controlled foreign corporation. Smith's ratable 
share for G's taxable year ending December 31, 1964, attributable to F's 
taxable year ending June 30, 1965 (determined without regard to this 
paragraph) is $6.00. Since the percentage computed under subparagraph 
(2) of this paragraph is 100 percent (60 shares divided by 60 shares), 
Smith's ratable share for G's taxable year ending December 31, 1964, 
attributable to F's taxable year ending June 30, 1965 (after the 
application of subparagraph (2) of this paragraph) is zero (that is, 
$6.00 reduced by 100 percent of $6.00).
    Example 2. Assume the same facts as in example (1) except that of 
the 60 shares of G Corporation which F Corporation owned on January 1, 
1966, 20 shares were acquired in 1961. The percentage computed under 
subparagraph (2) of this paragraph is 66\2/3\ percent (40 shares divided 
by 60 shares). Accordingly, Smith's ratable share for G's taxable year 
ending December 31, 1964, attributable to F's taxable year ending June 
30, 1965 (after the application of subparagraph (2) or this paragraph) 
is $2.00 (that is, $6.00 reduced by 66\2/3\ percent of $6.00).

    (4) Percentage for lower tier corporations other than second tier 
corporation. For purposes of subparagraph (1) of this paragraph, if 
stock of a lower tier corporation (other than a second tier corporation) 
is owned within the meaning of section 958(a)(2) by the first tier 
corporation on the date of the sale or exchange referred to in such 
subparagraph (1), the percentage under this subparagraph shall be 
computed in the following manner:
    (i) First, determine the percentage for the second tier corporation 
in accordance with subparagraph (2) of this paragraph.
    (ii) Second, determine a partial percentage for each other lower 
tier corporation in the same manner as the percentage for the second 
tier corporation is determined. Thus, for example, the partial 
percentage for a third tier corporation is determined by dividing (a) 
the number of shares of stock of the third tier corporation which the 
second tier corporation has owned directly for an uninterrupted 10-year 
period ending on the date of the sale or exchange referred to in 
subparagraph (1) of this paragraph, by (b) the total number of shares of 
stock of such third tier corporation owned directly by such second tier 
corporation on such date.
    (iii) Third, the percentage for a third tier corporation is the 
percentage for the second tier corporation multiplied by the partial 
percentage for the third

[[Page 398]]

tier corporation. The percentage for a fourth tier corporation is the 
percentage for the third tier corporation (as determined in the 
preceding sentence) multiplied by the partial percentage for the fourth 
tier corporation. In a similar manner, the percentage for any other 
lower tier corporation may be determined.
    (5) Example. The application of subparagraph (4) of this paragraph 
may be illustrated by the following example:

    Example: On January 1, 1967, Brown, a United States person 
recognizes gain upon the sale of one share of the only class of stock of 
W Corporation, which he has owned continuously since 1955. He includes a 
portion of the gain in his gross income as a dividend under section 
1248(a). W is the first tier corporation of a chain of foreign 
corporations W, X, Y, and Z. W and Z each use the calendar year as the 
taxable year. For 1964, Z was a less developed country corporation and 
on each day of 1964 Z was a controlled foreign corporation. Additional 
facts are set forth in the table below:

------------------------------------------------------------------------
                                Shares directly owned by
                                    preceding tier--
                              ---------------------------
                                    For                     Column (2)
       Corporation--(1)        uninterrupted                divided by
                                  10-year     On Jan. 1,    column (3)
                               period ending   1967--(3)  (percent)--(4)
                               Jan. 1, 1967--
                                    (2)
------------------------------------------------------------------------
X............................            40           60       66\2/3\
Y............................            30           40            75
Z............................            20           30       66\2/3\
------------------------------------------------------------------------


For 1964, the percentage referred to in subparagraph (4) of this 
paragraph for Z is 33\1/3\ percent (66\2/3\%x75%x66\2/3\%).

    (6) Special rule. For purposes of applying the provisions of this 
paragraph, a lower tier corporation may be treated as a second tier 
corporation with respect to any of its stock which is owned directly by 
a first tier corporation whereas such lower tier corporation may be 
treated as a lower tier corporation other than a second tier corporation 
with respect to other stock in such lower tier corporation which is 
owned (within the meaning of section 958(a)(2)) by such first tier 
corporation. Thus, for example, if corporations X, Y, and Z are foreign 
corporations, X is a first tier corporation owning directly 100 percent 
of the stock of Y and 40 percent of the stock of Z, and in addition Y 
owns directly 60 percent of the stock of Z, then the 40 percent of the Z 
stock (which X owns directly) is considered to be stock in a second tier 
corporation and the 60 percent of the Z stock (which Y owns directly and 
which X is considered to own within the meaning of section 958(a)(2)) is 
considered to be stock in a third tier corporation.

[T.D. 6779, 29 FR 18133, Dec. 22, 1964, as amended by T.D. 7293, 38 FR 
32803, Nov. 28, 1973; T.D. 7545, 43 FR 19652, May 8, 1978]