[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: 26CFR1.815-3]

[Page 655-656]
 
                       TITLE 26--INTERNAL REVENUE
 
    CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY 
                               (CONTINUED)
 
Determination of Tax Liability--Table of Contents
 
Sec. 1.815-3  Shareholders surplus account.

    (a) In general. Every stock life insurance company subject to the 
tax imposed by section 802 shall establish and maintain a shareholders 
surplus account. This account shall be established as of January 1, 
1958, and the beginning or opening balance of the shareholders surplus 
account on that date shall be zero.
    (b) Additions to shareholders surplus account. (1) The amount added 
to the shareholders surplus account for any taxable year beginning after 
December 31, 1957, shall be the amount by which the sum of:
    (i) The life insurance company taxable income (computed without 
regard to section 802(b)(3)),
    (ii) In the case of a taxable year beginning after December 31, 
1958, the amount (if any) by which the net long-term capital gain 
exceeds the net short-term capital loss, reduced (in the case of a 
taxable year beginning after December 31, 1961) by the amount referred 
to in subdivision (i) of this subparagraph,
    (iii) The deduction for partially tax-exempt interest provided by 
section 242 (as modified by section 804(a)(3)), the deductions for 
dividends received provided by sections 243, 244, and 245 (as modified 
by section 809(d)(8)(B)), and the amount of interest excluded from gross 
income under section 103, and
    (iv) The small business deduction provided by section 809(d)(10). 
Exceeds the taxes imposed for the taxable year by section 802(a), 
computed without regard to section 802(b)(3).
    (c) Subtractions from shareholders surplus account--(1) In general. 
There shall be subtracted from the cumulative balance in the 
shareholders surplus account at the end of any taxable year, computed 
without diminution by reason of distributions made during the taxable 
year, the amount which is treated as being distributed out of such 
account under section 815(a) and paragraph (b) of Sec. 1.815-2.
    (2) Special rule; distributions in 1958. There shall be subtracted 
from the shareholders surplus account (to the extent thereof) for any 
taxable year beginning in 1958 the amount of the distributions to 
shareholders made by the company during 1958. For example, assume S, a 
stock life insurance company, had additions to its shareholders surplus 
account (as determined under section 815(b)(2) and paragraph (b) of this 
section) for the taxable year 1958 of $10,000, and actually distributed 
as

[[Page 656]]

dividends to its shareholders $8,000 during the year 1958. The balance 
in S's shareholders surplus account as of January 1, 1959, shall be 
$2,000. If S had distributed $12,000 as dividends in 1958, the balance 
in its shareholders surplus account as of January 1, 1959, would be zero 
and the other accounts referred to in section 815(a)(3) and paragraph 
(b)(1)(iii) of Sec. 1.815-2 would be reduced by $2,000.
    (d) Illustration of principles. The application of section 815(b) 
and this section may be illustrated by the following example:

    Example. The books of S, a stock life insurance company, reflect the 
following items for the taxable year 1960.

Balance in shareholders surplus account as of 1-1-60........      $5,000
Life insurance company taxable income computed without             4,000
 regard to sec. 802(b)(3)...................................
Excess of net long-term capital gain over net short-term           1,700
 capital loss...............................................
Tax-exempt interest included in gross investment income              100
 under sec. 804(b)..........................................
Small business deduction (determined under sec. 809(d)(10)).         200
Tax liability under sec. 802(a) (1) and (2) computed without       1,625
 regard to sec. 802(b)(3)...................................
Amount distributed to shareholders..........................       9,000



For purposes of determining the amount to be subtracted from its 
shareholders surplus account for the taxable year, S would first make up 
the following schedule in order to determine the cumulative balance in 
the shareholders surplus account at the end of the taxable year, 
computed without diminution by reason of distributions made during the 
taxable year:

(1) Balance in shareholders surplus account as of 1-1-60....      $5,000
(2) Additions to account:
  (a) Life insurance company taxable income           $4,000
   computed without regard to sec. 802(b)(3)....
  (b) Excess of net long-term capital gain over        1,700
   net short-term capital loss..................
  (c) Tax-exempt interest included in gross              100
   investment income under sec. 804(b)..........
  (d) Small business deduction (determined under         200
   sec. 809(d)(10)).............................
                                                 ------------
    Total.......................................       6,000
Less:
  Tax liability under sec. 802(a) (1) and (2)          1,625
   computed without regard to sec. 802(b)(3)....
                                                   ---------       4,375
                                                 -------------
(3) Cumulative balance in shareholders surplus account as of       9,375
 12-31-60 (item (1) plus item (2))..........................


Since the amount distributed to shareholders during the taxable year, 
$9,000, does not exceed the cumulative balance in the shareholders 
surplus account at the end of the taxable year, computed without 
diminution by reason of distributions made during the taxable year, 
$9,375, under the provisions of section 815(a), the entire distribution 
shall be treated as being made out of the shareholders surplus account. 
Thus, $9,000 shall be subtracted from the shareholders surplus account 
(leaving a balance of $375 in such account at the end of the taxable 
year) and S shall incur no additional tax liability by reason of the 
distribution to its shareholders during the taxable year 1960.

[T.D. 6535, 26 FR 542, Jan. 20, 1961, as amended by T.D. 7189, 37 FR 
12793, June 29, 1972]