[Code of Federal Regulations]
[Title 26, Volume 8]
[Revised as of April 1, 2004]
From the U.S. Government Printing Office via GPO Access
[CITE: 26CFR1.665(a)-1]

[Page 179-181]
 
                       TITLE 26--INTERNAL REVENUE
 
    CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY 
                               (CONTINUED)
 
PART 1_INCOME TAXES--Table of Contents
 
Sec. 1.665(a)-1  Undistributed net income.

    (a) The term undistributed net income means for any taxable year the 
distributable net income of the trust for that year as determined under 
section 643(a), less:
    (1) The amount of income required to be distributed currently and 
any other amounts properly paid or credited or required to be 
distributed to beneficiaries in the taxable year as specified in 
paragraphs (1) and (2) of section 661(a), and
    (2) The amount of taxes imposed on the trust, as defined in Sec. 
1.665(d)-1.
    The application of the rule in this paragraph to the first year of a 
trust in which income is accumulated may be illustrated by the following 
example:

    Example. Assume that under the terms of the trust, $10,000 of income 
is required to be distributed currently to A and the trustee has 
discretion to make additional distributions to A. During the taxable 
year 1954 the trust had distributable net income of $30,100 derived from 
royalties and the trustee made distributions of $20,000 to A. The 
taxable income of the trust is $10,000 on which a tax of $2,640 is paid. 
The undistributed net income of the trust as of the close of the taxable 
year 1954 is $7,460 computed as follows:

Distributable net income.....................................    $30,100
Less:
  Income currently distributable to A.............    $10,000
  Other amounts distributed to A..................     10,000
  Taxes imposed on the trust (see Sec.  1.665(d)-      2,640
   1).............................................
                                                   -----------
                                                                  22,640
                                                   ------------
    Undistributed net income.................................      7,460



See also paragraphs (e)(1) and (f)(1) of Sec. 1.668(b)-2 for additional 
illustrations of the application of the rule in this paragraph to the 
first year of a trust in which income is accumulated.

    (b) The undistributed net income of a foreign trust created by a 
U.S. person for any taxable year is the distributable net income of such 
trust (see Sec. 1.643(a)-6 and the examples set forth in paragraph (b) 
thereof), less:
    (1) The amount of income required to be distributed currently and 
any other amounts properly paid or credited or required to be 
distributed to beneficiaries in the taxable year as specified in 
paragraphs (1) and (2) of section 661(a), and
    (2) The amount of taxes imposed on such trust by chapter 1 of the 
Internal Revenue Code, which are attributable to items of income which 
are required to be included in such distributable net income. For 
purposes of subparagraph (2) of this paragraph, the amount of taxes 
imposed on the trust (for any taxable year), by chapter 1 of the 
Internal Revenue Code is the amount of taxes imposed pursuant to the 
provisions of section 871 which is properly allocable to the 
undistributed portion of the distributable net income. See Sec. 
1.665(d)-1. The amount of taxes imposed pursuant to the provisions of 
section 871 is the difference between the total tax imposed pursuant to 
the provisions of that section on the foreign trust created by a U.S. 
person for the year and the amount which would have been imposed on such 
trust had all the distributable net income, as determined under section 
643(a), been distributed. The application of the rule in

[[Page 180]]

this paragraph may be illustrated by the following examples:

    Example 1. A trust was created in 1952 under the laws of Country X 
by the transfer to a trustee in Country X of money or property by a U.S. 
person. The entire trust constitutes a foreign trust created by a U.S. 
person. The governing instrument of the trust provides that $7,000 of 
income is required to be distributed currently to a U.S. beneficiary and 
gives the trustee discretion to make additional distributions to the 
beneficiary. During the taxable year 1963 the trust had income of 
$10,000 from dividends of a U.S. corporation (on which Federal income 
taxes of $3,000 were imposed pursuant to the provisions of section 871 
and withheld under section 1441 resulting in the receipt by the trust of 
cash in the amount of $7,000), $20,000 in capital gains from the sale of 
stock of a Country Y corporation, and $30,000 from dividends of a 
Country X corporation, none of the gross income of which was derived 
from sources within the United States. The trustee did not file a U.S. 
income tax return for the taxable year 1963. The distributable net 
income of the trust before distributions to the beneficiary for 1963 is 
$60,000 ($57,000 of which is cash). During 1963 the trustee made 
distributions to the U.S. beneficiary equaling one-half of the trust's 
distributable net income or $30,000. Thus, the U.S. beneficiary is 
treated as having had distributed to him $5,000 (composed of $3,500 as a 
cash distribution and $1,500 as the tax imposed pursuant to the 
provisions of section 871 and withheld under section 1441), representing 
one-half of the income from U.S. sources; $10,000 in cash, representing 
one-half of the capital gains from the sale of stock of the Country Y 
corporation; and $15,000 in cash, representing one-half of the income 
from Country X sources for a total of $30,000. The undistributed net 
income of the trust at the close of taxable year 1963 is $28,500 
computed as follows:

Distributable net income.....................................    $60,000
Less:
  (1) Amounts distributed to the beneficiary--....
  Income currently distributed to the beneficiary.     $7,000
  Other amounts distributed to the beneficiary....     21,500
  Taxes under sec. 871 deemed distributed to the        1,500
   beneficiary....................................
                                                   -----------
    Total amounts distributed to the beneficiary..     30,000
  (2) Amount of taxes imposed on the trust under        1,500
   chapter 1 of the Code (See Sec.  1.665(d)-1)..
                                                   -----------
    Total....................................................     31,500
                                                   ------------
    Undistributed net income.................................     28,500


    Example 2. The facts are the same as in example 1 except that 
property has been transferred to the trust by a person other than a U.S. 
person, and during 1963 the foreign trust created by a U.S. person was 
60 percent of the entire foreign trust. The trustee paid no income taxes 
to Country X in 1963.
    (1) The undistributed net income of the foreign trust created by a 
U.S. person for 1963 is $17,100, computed as follows:

Distributable net income (60% of each item of gross income of
 entire trust):
  60% of $10,000 U.S. dividends..............................     $6,000
  60% of $20,000 Country X capital gains.....................     12,000
  60% of $30,000 Country X dividends.........................     18,000
                                                   ------------
    Total....................................................     36,000
Less:
  (i) Amounts distributed to the beneficiary--
  Income currently distributed to the beneficiary      $4,200
   (60% of $7,000)................................
  Other amounts distributed to the beneficiary         12,900
   (60% of $21,500)...............................
  Taxes under sec. 871 deemed distributed to the          900
   beneficiary (60% of $1,500)....................
                                                   -----------
    Total amounts distributed to the beneficiary..     18,000
  (ii) Amount of taxes imposed on the trust under        $900
   chapter 1 of the Code (See Sec.  1.665(d)-1)
   (60% of $1,500)................................
                                                              ----------
    Total....................................................    $18,900
                                                   ------------
    Undistributed net income.................................     17,100


    (2) The undistributed net income of the portion of the entire trust 
which is not a foreign trust created by a U.S. person for 1963 is 
$11,400, computed as follows:

Distributed net income (40% of each item of gross income of
 entire trust)
  40% of $10,000 U.S. dividends..............................     $4,000
  40% of $20,000 Country X capital gains.....................      8,000
  40% of Country X dividends.................................     12,000
                                                   ------------
    Total....................................................     24,000
Less:
  (i) Amounts distributed to the beneficiary--
  Income currently distributed to the beneficiary      $2,800
   (40% of $7,000)................................
  Other amounts distributed to the beneficiary          8,600
   (40% of $21,500)...............................
  Taxes under sec. 871 deemed distributed to the          600
   beneficiary (40% of $1,500)....................
                                                   -----------
    Total amounts distributed to the beneficiary..     12,000
  (ii) Amount of taxes imposed on the trust under        $600
   chapter 1 of the Code (See Sec.  1.665(d)-1)
   (40% of $1,500)................................
                                                   -----------
    Total....................................................    $12,600
                                                   ------------
    Undistributed net income.................................     11,400


    (c) However, the undistributed net income for any year to which an 
accumulation distribution for a later year may

[[Page 181]]

be thrown back may be reduced by accumulation distributions in 
intervening years and also by any taxes imposed on the trust which are 
deemed to be distributed under section 666 by reason of the accumulation 
distributions. On the other hand, undistributed net income for any year 
will not be reduced by any distributions in an intervening year which 
are excluded from the definition of an accumulation distribution under 
section 665(b), or which are excluded under section 663(a)(1), relating 
to gifts, bequests, etc. See paragraph (f)(5) of Sec. 1.668(b)-2 for an 
illustration of the reduction of undistributed net income for any year 
by a subsequent accumulation distribution.

[T.D. 6989, 34 FR 733, 741, Jan. 17, 1969]