[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(b)-1A]

[Page 261-263]
 
                       TITLE 26--INTERNAL REVENUE
 
    CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY 
                               (CONTINUED)
 
PART 1_INCOME TAXES--Table of Contents
 
Sec. 1.665(b)-1A  Accumulation distributions.

    (a) In general. (1) For any taxable year of a trust the term 
accumulation distribution means an amount by which the amounts properly 
paid, credited, or required to be distributed within the meaning of 
section 661(a)(2) (i.e., all amounts properly paid, credited, or 
required to be distributed to the beneficiary other than income required 
to be distributed currently within the meaning of section 661(a)(1)) for 
that year exceed the distributable net income (determined under section 
643(a)) of the trust, reduced (but not below zero) by the amount of 
income required to be distributed currently. To the extent provided in 
section 663(b) and the regulations thereunder, distributions made within 
the first 65 days following a taxable year may be treated as having been 
distributed on the last day of such taxable year.
    (2) An accumulation distribution also includes, for a taxable year 
of the trust, any amount to which section 661(a)(2) and the preceding 
paragraph are inapplicable and which is paid, credited, or required to 
be distributed during the taxable year of the trust by

[[Page 262]]

reason of the exercise of a power to appoint, distribute, consume, or 
withdraw corpus of the trust or income of the trust accumulated in a 
preceding taxable year. No accumulation distribution is deemed to be 
made solely because the grantor or any other person is treated as owner 
of a portion of the trust by reason of an unexercised power to appoint, 
distribute, consume, or withdraw corpus or accumulated income of the 
trust. Nor will an accumulation distribution be deemed to have been made 
by reason of the exercise of a power that may affect only taxable income 
previously attributed to the holders of such power under subpart E 
(section 671 and following). See example 4 of paragraph (d) of this 
section for an example of an accumulation distribution occurring as a 
result of the exercise of a power of withdrawal.
    (3) Although amounts properly paid or credited under section 661(a) 
do not exceed the income of the trust during the taxable year, an 
accumulation distribution may result if the amounts properly paid or 
credited under section 661(a)(2) exceed distributable net income reduced 
(but not below zero) by the amount required to be distributed currently 
under section 661(a)(1). This may occur, for example, when expenses, 
interest, taxes, or other items allocable to corpus are taken into 
account in determining taxable income and hence causing distributable 
net income to be less than the trust's income.
    (b) Payments that are accumulation distributions. The following are 
some instances in which an accumulation distribution may arise:
    (1) One trust to another. A distribution from one trust to another 
trust is generally an accumulation distribution. See Sec. 1.643(c)-1. 
This general rule will apply regardless of whether the distribution is 
to an existing trust or to a newly created trust and regardless of 
whether the trust to which the distribution is made was created by the 
same person who created the trust from which the distribution is made or 
a different person. However, a distribution made from one trust to a 
second trust will be deemed an accumulation distribution by the first 
trust to an ultimate beneficiary of the second trust if the primary 
purpose of the distribution to the second trust is to avoid the capital 
gain distribution provisions (see section 669 and the regulations 
thereunder). An amount passing from one separate share of a trust to 
another separate share of the same trust is not an accumulation 
distribution. See Sec. 1.665(g)-2A. For rules relating to the 
computation of the beneficiary's tax under section 668 by reason of an 
accumulation distribution from the second trust, see paragraphs (b)(1) 
and (c)(1)(i) of Sec. 1.668(b)-1A and paragraphs (b)(1) and (c)(1)(i) 
of Sec. 1.669(b)-1A.
    (2) Income accumulated during minority. A distribution of income 
accumulated during the minority of the beneficiary is generally an 
accumulation distribution. For example, if a trust accumulates income 
until the beneficiary's 21st birthday, and then distributes the income 
to the beneficiary, such a distribution is an accumulation distribution. 
However, see Sec. 1.665(b)-2A for rules governing income accumulated in 
taxable years beginning before January 1, 1969.
    (3) Amounts paid for support. To the extent that amounts forming all 
or part of an accumulation distribution are applied or distributed for 
the support of a dependent under the circumstances specified in section 
677(b) or section 678(c) or are used to discharge or satisfy any 
person's legal obligation as that term is used in Sec. 1.662(a)-4, such 
amounts will be considered as having been distributed directly to the 
person whose obligation is being satisfied.
    (c) Payments that are not accumulation distributions--(1) Gifts, 
bequests, etc., described in section 663(a)(1). A gift or bequest of a 
specific sum of money or of specific property described in section 
663(a)(1) is not an accumulation distribution.
    (2) Charitable payments. Any amount paid, permanently set aside, or 
used for the purposes specified in section 642(c) is not an accumulation 
distribution, even though no charitable deduction is allowed under such 
section with respect to such payment.
    (3) Income required to be distributed currently. No accumulation 
distribution

[[Page 263]]

will arise by reason of a payment of income required to be distributed 
currently even though such income exceeds the distributable net income 
of the trust because the payment is an amount specified in section 
661(a)(1).
    (d) Examples. The provisions of this section may be illustrated by 
the following examples:

    Example 1. A trustee properly makes a distribution to a beneficiary 
of $20,000 during the taxable year 1976, of which $10,000 is income 
required to be distributed currently to the beneficiary. The 
distributable net income of the trust is $15,000. There is an 
accumulation distribution of $5,000 computed as follows.

Total distribution...........................................    $20,000
Less: Income required to be distributed currently (section        10,000
 661(a)(1))..................................................
                                                   ------------
    Other amounts distributed (section 661(a)(2))............     10,000
Distributable net income..........................    $15,000
Less: Income required to be distributed currently.     10,000
                                                   -----------
Balance of distributable net income..........................      5,000
                                                   ------------
    Accumulation distribution................................      5,000


    Example 2. Under the terms of the trust instrument, an annuity of 
$15,000 is required to be paid to A out of income each year and the 
trustee may in his discretion make distributions out of income or corpus 
to B. During the taxable year the trust had income of $18,000, as 
defined in section 643(b), and expenses allocable to corpus of $5,000. 
Distributable net income amounted to $13,000. The trustee distributed 
$15,000 of income to A and, in the exercise of his discretion, paid 
$5,000 to B. There is an accumulation distribution of $5,000 computed as 
follows:

Total distribution...........................................    $20,000
Less: Income required to be distributed currently to A            15,000
 (section 661(a)(1)).........................................
                                                   ------------
    Other amounts distributed (section 661(a)(2))............      5,000
Distributable net income..........................    $13,000
Less: Income required to be distributed currently      15,000
 to A.............................................
                                                   -----------
Balance of distributable net income..........................          0
                                                   ------------
    Accumulation distribution to B...........................      5,000


    Example 3. Under the terms of a trust instrument, the trustee may 
either accumulate the trust income or make distributions to A and B. The 
trustee may also invade corpus for the benefit of A and B. During the 
taxable year, the trust had income as defined in section 643(b) of 
$22,000 and expenses of $5,000 allocable to corpus. Distributable net 
income amounts to $17,000. The trustee distributed $10,000 each to A and 
B during the taxable year. There is an accumulation distribution of 
$3,000 computed as follows:

Total distribution...........................................    $20,000
Less: Income required to be distributed currently............          0
                                                   ------------
    Other amounts distributed (section 661(a)(2))............     20,000
Distributable net income..........................    $17,000
Less: Income required to be distributed currently.          0
                                                   -----------
Balance of distributable net income..........................     17,000
                                                   ------------
    Accumulation distribution................................      3,000


    Example 4. A dies in 1974 and bequeaths one-half the residue of his 
estate in trust. His widow, W, is given a power, exercisable solely by 
her, to require the trustee to pay her each year of the trust $5,000 
from corpus. W's right to exercise such power was exercisable at any 
time during the year but was not cumulative, so that, upon her failure 
to exercise it before the end of any taxable year of the trust, her 
right as to that year lapsed. The trust's taxable year is the calendar 
year. During the calendar years 1975 and 1976, W did not exercise her 
right and it lapsed as to those years. In the calendar years 1977 and 
1978, in which years the trust had not distributable net income, she 
exercised her right and withdrew $4,000 in 1977 and $5,000 in 1978. No 
accumulation distribution was made by the trust in the calendar years 
1975 and 1976. An accumulation distribution of $4,000 was made in 1977 
and an accumulation distribution of $5,000 was made in 1978. The 
accumulation distribution for the years 1977 and 1978 is not reduced by 
any amount of income of the trust attributable to her under section 678 
by reason of her power of withdrawal.

[T.D. 7204, 37 FR 17137, Aug. 25, 1972]