[Code of Federal Regulations]
[Title 26, Volume 4]
[Revised as of April 1, 2004]
From the U.S. Government Printing Office via GPO Access
[CITE: 26CFR1.381(c)(14)-1]

[Page 422-427]
 
                       TITLE 26--INTERNAL REVENUE
 
    CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY 
                               (CONTINUED)
 
PART 1_INCOME TAXES--Table of Contents
 
Sec. 1.381(c)(14)-1  Dividend carryover to personal holding company.

    (a) Carryover requirement. Section 381(c)(14) provides that an 
acquiring corporation shall succeed to and take into account the 
dividend carryover (described in section 564) of a distributor or 
transferor corporation in computing its dividends paid deduction under 
section 561 for taxable years ending after the date of distribution or 
transfer for which the acquiring corporation is a personal holding 
company under section 542. To determine the amount of such dividend 
carryover and to integrate it with the dividend carryover of the 
acquiring corporation in computing the dividends paid deduction for 
taxable years ending after the date of distribution or transfer, it is 
necessary to apply the provisions of section 564 and Sec. 1.564-1 in 
accordance with this section.
    (b) Manner of computing dividend carryover--(1) Preceding taxable 
years. If the acquiring corporation is a personal holding company under 
section 542 for its first taxable year ending after the date of 
distribution or transfer, the taxable year of the distributor or 
transferor corporation ending with such date is a first preceding 
taxable year for purposes of section 564, and the taxable year of the 
distributor or transferor corporation immediately preceding such first 
preceding year is a second preceding taxable year for purposes of 
section 564. If the acquiring corporation is a personal holding company 
for its second taxable year ending after the date of distribution or 
transfer, the taxable year of the distributor or transferor corporation 
ending with such date is a second preceding taxable year for purposes of 
section 564.
    (2) Determination of dividends paid deduction and taxable income. 
The dividends paid deduction of any distributor or transferor 
corporation (determined under section 561 but without regard to any 
dividend carryover) and the taxable income of any such corporation 
(adjusted as provided in section 545(b)) for any taxable year ending on 
or before the date of distribution or transfer shall be determined 
without reference to any dividends paid deduction, or taxable income, of 
the acquiring corporation or any other distributor or transferor 
corporation; in like manner, the dividends paid deduction and the 
taxable income of the acquiring corporation for any such taxable year 
shall be determined without reference to any dividends paid deduction, 
or taxable income, of a distributor or transferor corporation.
    (3) Computation of dividend carryover. (i) For the purpose of 
determining the dividend carryover to the first taxable year of the 
acquiring corporation ending after the date of distribution or transfer, 
the amount of the dividend carryover from the distributor or transferor 
corporation shall be determined under section 564 without reference to 
the dividends paid deduction or taxable income of the acquiring 
corporation or any other corporation. If two or more transactions to 
which section 381(a) applies have the same date of distribution or 
transfer, or if a particular taxable year of the acquiring corporation 
is the first taxable year ending after the dates of distribution or 
transfer of two or more such transactions occurring on different dates, 
the amount of the dividend carryover from each distributor or transferor 
corporation shall be determined separately as provided in the preceding 
sentence. Except as provided in subdivision (iii) of this subparagraph, 
the aggregate of the dividend carryovers from each distributor or 
transferor corporation and the dividend carryover of the acquiring 
corporation (computed without regard to this section) shall constitute 
the dividend carryover under section 561(a)(3) of the acquiring 
corporation for its first taxable year ending after the date (or dates) 
of distribution or transfer.
    (ii) For the purpose of determining the dividend carryover to the 
second

[[Page 423]]

taxable year of the acquiring corporation ending after the date (or 
dates) of distribution or transfer, the excess, if any, of the dividends 
paid deduction (determined under section 561 without regard to any 
dividend carryover) over the taxable income (adjusted as provided in 
section 545(b)) for the taxable year of each distributor or transferor 
corporation and the acquiring corporation referred to as a second 
preceding taxable year shall be determined separately without reference 
to the dividends paid deduction or taxable income of any other of such 
corporations. The excesses thus determined shall be aggregated, and such 
aggregate shall be--
    (a) Increased by the excess of the dividends paid deduction 
(determined without regard to any dividend carryover) over the taxable 
income (adjusted as provided in section 545(b)), or
    (b) Reduced by the excess of the taxable income (adjusted as 
provided in section 545(b)) over the dividends paid deduction 
(determined without regard to any dividend carryover),

for the first preceding taxable year of the acquiring corporation. 
Except as provided in subdivision (iii) of this subparagraph, the amount 
thus determined shall constitute the dividend carryover under section 
561(a)(3) of the acquiring corporation for its second taxable year 
ending after the date (or dates) of distribution or transfer.
    (iii) If a particular taxable year of the acquiring corporation is 
its first taxable year ending after the date (or dates) of distribution 
or transfer of one or more transactions to which section 381(a) applies, 
and if the same taxable year of the acquiring corporation is also its 
second taxable year ending after the date (or dates) of distribution or 
transfer of one or more other transactions to which section 381(a) 
applies, then, for the purpose of determining the dividend carryover to 
such taxable year of the acquiring corporation, the rules contained in 
both subdivisions (i) and (ii) of this subparagraph shall be applied. 
Insofar as such taxable year constitutes the first taxable year ending 
after the date (or dates) of distribution or transfer of any 
transaction, the amount of the dividend carryover from any distributor 
or transferor corporation involved in such transaction shall be 
determined separately as provided in subdivision (i) of this 
subparagraph. Insofar as such taxable year constitutes the second 
taxable year ending after the date (or dates) of distribution or 
transfer of any transaction, the amount of the dividend carryover from 
any distributor or transferor corporation involved in the transaction 
and the acquiring corporation shall be determined as provided in 
subdivision (ii) of this subparagraph. The aggregate of the dividend 
carryovers thus determined shall constitute the dividend carryover under 
section 561(a)(3) of the acquiring corporation for such taxable year. 
See Example (4) in paragraph (c) of this section.
    (c) Illustrations. The rules set forth in paragraphs (a) and (b) of 
this section may be illustrated by the following examples:

    Example (1). (i) Facts. N Corporation acquired on June 30, 1960, all 
the assets of M Corporation in a reorganization to which section 381(a) 
applies. Both corporations compute taxable income on the basis of the 
calendar year. N Corporation is a personal holding company for its 
taxable years ending December 31, 1960, and December 31, 1961.
    (ii) Dividend carryover to N Corporation's taxable year ending 
December 31, 1960. With respect to N Corporation's taxable year ending 
December 31, 1960, the taxable years referred to as first preceding 
taxable years and second preceding taxable years are--
    (a) M Corporation's taxable years ending June 30, 1960, and December 
31, 1959, respectively; and
    (b) N Corporation's taxable years ending December 31, 1959, and 
December 31, 1958, respectively.


The dividend carryover to N Corporation's taxable year ending December 
31, 1960, is $22,000 computed as follows, assuming the dividends paid 
deduction before dividend carryovers, and the taxable income after 
section 545(b) adjustments, to be as stated in the computation:

                                                                          M Corporation N Corporation
Second preceding taxable year:                                ...........
  Dividends paid deduction..................................      $25,000  ...........      $12,000  ...........
  Taxable income............................................       15,000  ...........       13,000  ...........
                                                             =============             -------------
  Excess dividends paid deduction........................................      $10,000  ...........  ...........

[[Page 424]]


First preceding taxable year:
  Dividends paid deduction..................................       23,000  ...........       20,000  ...........
  Taxable income............................................       21,000  ...........       10,000  ...........
                                                             =============             -------------
  Excess dividends paid deduction...........................        2,000  ...........      $10,000
Separate dividend carryovers................................       12,000  ...........       10,000
----------------------------------------------------------------------------------------------------------------

The aggregate dividend carryover of $22,000 is the sum of $12,000 (the 
separate dividend carryover from M Corporation) and $10,000 (the 
separate dividend carryover from N Corporation's own preceding taxable 
years).
    (iii) Dividend carryover to N Corporation's taxable year ending 
December 31, 1961. With respect to N Corporation's taxable year ending 
December 31, 1961, the first preceding taxable year is N Corporation's 
taxable year ending December 31, 1960; and the taxable years referred to 
as second preceding taxable years are M Corporation's taxable year 
ending June 30, 1960, and N Corporation's taxable year ending December 
31, 1959. The dividend carryover to N Corporation's taxable year ending 
December 31, 1961, is $17,000 computed as follows, assuming the 
dividends paid deduction before dividend carryovers, and the taxable 
income after section 545(b) adjustments, to be as stated in the 
computation:

------------------------------------------------------------------------
                                                     M            N
         Second preceding taxable year          Corporation  Corporation
------------------------------------------------------------------------
Dividends paid deduction......................      $23,000      $20,000
Taxable income................................       21,000       10,000
                                               --------------
Separate excess of dividends paid deduction           2,000       10,000
 over taxable income..........................
------------------------------------------------------------------------

The aggregate excess of dividends paid deduction over taxable income for 
the second preceding taxable year is $12,000, the sum of $2,000 
(separate excess from N Corporation) and $10,000 (separate excess from N 
Corporation). Such aggregate excess is increased by the excess dividends 
paid deduction, or is reduced by the excess of taxable income, for the 
first preceding taxable year as follows:

Aggregate excess of dividends paid deduction for  ..........     $12,000
 second preceding taxable year..................
Dividends paid deduction of N Corporation for        $50,000  ..........
 first preceding taxable year...................
Taxable income of N Corporation for first             45,000  ..........
 preceding taxable year.........................
                                                 ------------
                                                  ..........      $5,000
Dividend carryover to N Corporation's taxable     ..........      17,000
 year ending December 31, 1961..................
------------------------------------------------------------------------

    Example (2). (i) Facts. X Corporation is organized on May 1, 1956, 
and computes its taxable income on the basis of the fiscal year ending 
April 30. Y Corporation and Z Corporation are both organized on January 
1, 1955, and both compute their taxable income on the basis of the 
calendar year. On July 31, 1957, X Corporation and Y Corporation 
transfer all their assets to Z Corporation in a statutory merger to 
which section 381(a) applies. For its taxable years ending December 31, 
1957, and December 31, 1958, Z Corporation is a personal holding 
company.
    (ii) Dividend carryover to Z Corporation's taxable year ending 
December 31, 1957. With respect to Z Corporation's taxable year ending 
December 31, 1957, the taxable years referred to as first preceding 
taxable years and second preceding taxable years are--
    (a) X Corporation's taxable years ending July 31, 1957, and April 
30, 1957, respectively;
    (b) Y Corporation's taxable years ending July 31, 1957, and December 
31, 1956, respectively; and
    (c) Z Corporation's taxable years ending December 31, 1956, and 
December 31, 1955, respectively.


The dividend carryover to Z Corporation's taxable year ending December 
31, 1957, is $40,000 computed as follows, assuming the dividends paid 
deduction before dividend carryovers, and the taxable income after 
section 545(b) adjustments, to be as stated in the computation:

                                                      X Corporation Y Corporation Z Corporation
Second preceding taxable year:
  Dividends paid deduction........      $56,000  ...........      $19,000  ...........       $6,000  ...........
  Taxable income..................       24,000  ...........       17,000  ...........        5,000  ...........
                                   -------------             -------------             -------------
    Excess.....................................      $32,000  ...........       $2,000  ...........      $1,000
First preceding taxable year:
  Dividends paid deduction........        9,000  ...........        4,000  ...........       10,000  ...........
  Taxable income..................        7,000  ...........        8,000  ...........        5,000  ...........
                                   -------------             -------------             -------------
    Excess.....................................        2,000  ...........      (4,000)  ...........        5,000
                                   -------------             -------------             --------------
Separate dividend carryovers...................       34,000  ...........            0  ...........       6,000
----------------------------------------------------------------------------------------------------------------
The aggregate dividend carryover of $40,000 is the sum of $34,000 (the separate dividend carryover from X
  Corporation) and $6,000 (the separate dividend carryover from Z Corporation's own preceding taxable years).


[[Page 425]]

    (iii) Dividend carryover to Z Corporation's taxable year ending 
December 31, 1958. With respect to Z Corporation's taxable year ending 
December 31, 1958, the first preceding taxable year is Z Corporation's 
taxable year ending December 31, 1957; and the taxable years referred to 
as second preceding taxable years are X Corporation's taxable year 
ending July 31, 1957, Y Corporation's taxable year ending July 31, 1957, 
and Z Corporation's taxable year ending December 31, 1956. The dividend 
carryover to Z Corporation's taxable year ending December 31, 1958, is 
$1,000 computed as follows, assuming the dividends paid deduction before 
dividend carryovers, and the taxable income after section 545(b) 
adjustments, to be as stated in the computation:

------------------------------------------------------------------------
                                        X            Y            Z
                                   Corporation  Corporation  Corporation
------------------------------------------------------------------------
Second preceding taxable year:
  Dividends paid deduction.......       $9,000       $4,000      $10,000
  Taxable income.................        7,000        8,000        5,000
                                  --------------
Separate excess of dividends paid        2,000            0        5,000
 deduction over taxable income...

------------------------------------------------------------------------

The aggregate excess of dividends paid deduction over taxable income for 
the second preceding taxable year is $7,000, the sum of $2,000 (separate 
excess from X Corporation) and $5,000 (separate excess from Z 
Corporation). Such aggregate excess is increased by the excess dividends 
paid deduction, or is reduced by the excess of taxable income, for the 
first preceding taxable year as follows:

Aggregate excess of dividends paid deduction for     ..........   $7,000
 second preceding taxable year.....................
Dividends paid deduction of Z Corporation for first    $102,000  .......
 preceding taxable year............................
Taxable income of Z Corporation for first preceding     108,000  (6,000)
 taxable year......................................
                                                    -------------
Dividend carryover to Z Corporation's taxable year   ..........    1,000
 ending December 31, 1958..........................


    Example (3). Assume the facts stated in Example (2), except that Y 
Corporation transferred all its assets to Z Corporation on May 31, 1957. 
Assume also that the facts for Y Corporation's taxable year ending May 
31, 1957, are otherwise the same as those stated for its taxable year in 
Example (2) ending July 31, 1957. In such case, the dividend carryovers 
to Z Corporation's taxable years ending on December 31, 1957, and 
December 31, 1958, are the same as in Example (2) notwithstanding the 
fact that the transfers from X Corporation and Y Corporation occurred on 
the different dates.
    Example (4). (i) Facts. T Corporation acquired on June 30, 1960, all 
the assets of U Corporation in a statutory merger to which section 
381(a) applies, and in a like transaction acquired on June 30, 1961, all 
the assets of V Corporation. Such corporations all compute taxable 
income on the basis of the calendar year. T Corporation is a personal 
holding company for its taxable years 1960 and 1961.
    (ii) Dividend carryover to T Corporation's taxable year 1960. With 
respect to T Corporation's taxable year ending December 31, 1960, the 
taxable years referred to as first preceding taxable years and second 
preceding taxable years are--
    (a) U Corporation's taxable years ending June 30, 1960, and December 
31, 1959, respectively; and
    (b) T Corporation's taxable years ending December 31, 1959, and 
December 31, 1958, respectively.


The dividend carryover to T Corporation's taxable year ending December 
31, 1960, is $7,000 computed as follows, assuming the dividends paid 
deduction before dividend carryovers, and the taxable income after 
section 545(b) adjustments, to be as stated in the computation:

                                                                          U Corporation T Corporation
Second preceding taxable year:
  Dividends paid deduction..................................      $16,000  ...........      $10,000  ...........
  Taxable income............................................       12,000  ...........       13,000  ...........
                                                             -------------             -------------
    Excess...............................................................       $4,000  ...........           0
First preceding taxable year:
  Dividends paid deduction..................................        7,000  ...........       17,000  ...........
  Taxable income............................................        5,000  ...........       16,000  ...........
                                                             -------------             -------------
    Excess...............................................................        2,000  ...........       $1,000
                                                             -------------             --------------
Separate dividend carryovers.............................................        6,000  ...........        1,000
----------------------------------------------------------------------------------------------------------------


[[Page 426]]

The aggregate dividend carryover of $7,000 is the sum of $6,000 (the 
separate dividend carryover from U Corporation) and $1,000 (the separate 
dividend carryover from T Corporation's own first preceding taxable 
year).
    (iii) Dividend carryover to T Corporation's taxable year 1961. 
Inasmuch as T Corporation's taxable year 1961 is the second taxable year 
ending after the date of distribution or transfer from U Corporation, 
paragraph (b)(3)(ii) of this section governs the determination of the 
dividend carryover from taxable years of T Corporation and U 
Corporation. On the other hand, inasmuch as T Corporation's taxable year 
1961 is the first taxable year ending after the date of distribution or 
transfer from V Corporation, paragraph (b)(3)(i) governs the 
determination of the dividend carryover from taxable years of V 
Corporation.
    (a) Application of paragraph (b)(3)(ii) of this section. With 
respect to T Corporation's taxable year 1961, the first preceding 
taxable year is T Corporation's taxable year ending December 31, 1960; 
and the taxable years referred to as second preceding taxable year are T 
Corporation's taxable year ending December 31, 1959, and U Corporation's 
taxable year ending June 30, 1960. The dividend carryover from taxable 
years of T Corporation and U Corporation is $1,500 computed as follows, 
assuming the dividends paid deduction before dividend carryovers, and 
the taxable income after section 545(b) adjustments, to be as stated in 
the computation:

------------------------------------------------------------------------
                                                     U            T
         Second preceding taxable year          Corporation  Corporation
------------------------------------------------------------------------
Dividends paid deduction......................       $7,000      $17,000
Taxable income................................        5,000       16,000
                                               --------------
Separate excess of dividends paid deduction           2,000        1,000
 over taxable income..........................
------------------------------------------------------------------------

The aggregate excess of dividends paid deduction over taxable income for 
the second preceding taxable year is $3,000, the sum of $2,000 (separate 
excess from U Corporation) and $1,000 (separate excess from T 
Corporation). Such aggregate is increased by the excess dividends paid 
deduction, or is reduced by the excess of taxable income, for the first 
preceding taxable year as follows:


                                                                  T
                                                             Corporation

Aggregate excess of dividends paid deduction for second           $3,000
 preceding taxable year....................................
First preceding taxable year:
  Dividends paid deduction of T Corporation....     $21,000  ...........
  Taxable income of T Corporation..............      22,500  ...........
  Excess taxable income....................................      (1,500)
                                                -------------
Separate dividend carryover (without regard to V                   1,500
 Corporation)..............................................


    (b) Application of paragraph (b)(3)(i) of this section. With respect 
to T Corporation's taxable year 1961, V Corporation's taxable year 
ending June 30, 1961, is a first preceding taxable year, and its taxable 
year ending December 31, 1960, is a second preceding taxable year. The 
separate dividend carryover from V Corporation is $8,000 computed as 
follows, assuming the dividends paid deduction before dividend 
carryovers, and the taxable income after section 545(b) adjustments, to 
be as stated in the computation:


                                                       V Corporation
          Second preceding taxable year


Dividends paid deduction.........................     $11,000  .........
Taxable income...................................       6,000  .........
  Excess.........................................  ..........     $5,000
First preceding taxable year:
  Dividends paid deduction.......................      $9,000  .........
  Taxable income.................................       6,000  .........
                                                  ------------
  Excess.........................................       3,000
                                                              ----------
Separate dividend carryover from V Corporation...  ..........      8,000


    (c) Dividend carryover. The dividend carryover to T Corporation's 
taxable year 1961 is $9,500, the sum of $8,000 (the separate dividend 
carryover from V Corporation) and $1,500 (the aggregate dividend 
carryover from T Corporation and U Corporation).

    (d) Successive carryovers. The provisions of this section shall 
apply for the purpose of determining a dividend carryover to an 
acquiring corporation which, in a distribution or transfer to which 
section 381(a) applies, acquires the assets of a distributor or 
transferor corporation which has previously acquired the assets of 
another corporation in a transaction to which section 381(a) applies; 
even though, in computing the dividend carryover to such second 
acquiring corporation, it is necessary to take into account the 
deduction for dividends paid, and the adjusted taxable income, of the 
first distributor or transferor corporation.
    (e) Acquiring corporation not receiving all the assets. The dividend 
carryover acquired from a distributor or transferor corporation by an 
acquiring corporation in a transaction to which section 381(a) applies 
is not reduced by reason of the fact that the acquiring corporation does 
not acquire 100 percent of the assets of the distributor or transferor 
corporation.
    (f) Dividends paid after the close of taxable year. A transaction to 
which section 381(a) applies does not prevent the

[[Page 427]]

application of section 563(b) to a dividend paid by a distributor or 
transferor corporation after the close of its taxable year ending with 
the date of distribution or transfer but on or before the 15th day of 
the third month following the close of such taxable year. However, 
dividends paid by the acquiring corporation may not be taken into 
account under section 563(b) for the purpose of determining the 
dividends paid deduction of the distributor or transferor corporation 
for its taxable year ending with the date of distribution or transfer.

[T.D. 6532, 26 FR 406, Jan. 19, 1961]