[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: 26CFR1.815-4]

[Page 656-659]
 
                       TITLE 26--INTERNAL REVENUE
 
    CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY 
                               (CONTINUED)
 
Determination of Tax Liability--Table of Contents
 
Sec. 1.815-4  Policyholders surplus account.

    (a) In general. Every stock life insurance company subject to the 
tax imposed by section 802 shall establish and maintain a policyholders 
surplus account. This account shall be established as of January 1, 
1959, and the beginning or opening balance of the policyholders surplus 
account on that date shall be zero.
    (b) Additions to policyholders surplus account. The amount added to 
the policyholders surplus account for any taxable year beginning after 
December 31, 1958, shall be the sum of:
    (1) An amount equal to 50 percent of the amount by which the gain 
from operations for the taxable year exceeds the taxable investment 
income,
    (2) The deduction allowed or allowable under section 809(d)(5) (as 
limited by section 809(f)) for certain nonparticipating contracts, and
    (3) The deduction allowed or allowable under section 809(d)(6) (as 
limited by section 809(f)) for taxable years beginning before January 1, 
1963, for group life and group accident and health insurance contracts, 
and for taxable years beginning after December 31, 1962, for accident 
and health insurance and group life insurance contracts.
    (c) Subtractions from policyholders surplus account--(1) In general. 
There shall be subtracted from the cumulative balance in the 
policyholders surplus account at the end of any taxable year, computed 
without diminution by reason of distributions made during the

[[Page 657]]

taxable year, an amount equal to the sum of:
    (i) The amount which (without regard to subdivision (ii) of this 
subparagraph) is treated under section 815(a) as distributed out of the 
policyholders surplus account for the taxable year, plus
    (ii) The amount (determined without regard to section 802(a)(3)) by 
which the tax imposed for taxable years beginning before January 1, 
1962, by section 802(a)(1), and for taxable years beginning after 
December 31, 1961, by section 802(a), is increased by reason of section 
802(b)(3).

In addition, there shall be subtracted from the policyholders surplus 
account for the taxable year those amounts which, at the close of the 
taxable year, are subtracted or treated as subtracted from the 
policyholders surplus account under section 815(d) (1) and (4) and 
paragraphs (a) and (d) of Sec. 1.815-6. For purposes of this paragraph, 
the subtractions from the policyholders surplus account shall be treated 
as made in the following order:
    (a) First the amount determined under section 815(c)(3) by reason of 
distributions to shareholders during the taxable year which are treated 
as being made out of the policyholders surplus account;
    (b) Next the amount elected to be subtracted from the policyholders 
surplus account for the taxable year under section 815(d)(1);
    (c) Then the amount which is treated as a subtraction from the 
policyholders surplus account for the taxable year by reason of the 
limitation provided in section 815(d)(4); and
    (d) Finally the amount taken into account upon termination as a life 
insurance company as provided in section 815(d)(2).
    (2) Method of computing amount subtracted from policyholders surplus 
account--(i) Where life insurance company taxable income, computed 
without regard to section 802(b)(3), exceeds $25,000. If the life 
insurance company taxable income for any taxable year computed under 
section 802(b), computed without regard to section 802(b)(3), exceeds 
$25,000, the amount subtracted from the policyholders surplus account 
shall be determined by multiplying the amount treated as distributed out 
of such account by a ratio, the numerator of which is 100 percent and 
the denominator of which is 100 percent minus the sum of the normal tax 
rate and the surtax rate for the taxable year.
    (ii) Where life insurance company taxable income does not exceed 
$25,000. If the life insurance company taxable income for any taxable 
year, computed under section 802(b), does not exceed $25,000, the amount 
subtracted from the policyholders surplus account shall be determined by 
multiplying the amount treated as distributed out of such account by a 
ratio, the numerator of which is 100 percent and the denominator of 
which is 100 percent minus the normal tax rate for the taxable year.
    (iii) Where life insurance company taxable income, computed without 
regard to section 802(b)(3) does not exceed $25,000, but computed with 
regard to section 802(b)(3) does exceed $25,000. If the life insurance 
company taxable income for any taxable year, computed without regard to 
section 802(b)(3) does not exceed $25,000, but computed with regard to 
section 802(b)(3) does exceed $25,000, the amount subtracted from the 
policyholders surplus account shall be determined in the following 
manner:
    (a) First, determine the amount by which $25,000 exceeds the amount 
determined under section 802(b) (1) and (2);
    (b) Then, multiply the amount determined under (a) by a ratio, the 
numerator of which is 100 percent minus the normal tax rate and the 
denominator of which is 100 percent;
    (c) Next, determine the amount by which the amount treated as 
distributed out of the policyholders surplus account exceeds the amount 
determined under (b) and multiply such excess by a ratio, the numerator 
of which is 100 percent and the denominator of which is 100 percent 
minus the sum of the normal tax rate and the surtax rate; and
    (d) Finally, add the amounts determined under (a) and (c).
    (3) Illustration of principles. The application of section 815(c)(3) 
and subparagraph (2) of this paragraph may be illustrated by the 
following examples:


[[Page 658]]


    Example 1. The life insurance company taxable income of S, a stock 
life insurance company, computed without regard to section 802(b)(3), 
exceeds $25,000 for the taxable year 1959. Assume that of the amount 
distributed by S to its shareholders during the taxable year, $9,600 (as 
determined under section 815(a) and without regard to section 
815(c)(3)(B)) is treated as distributed out of the policyholders surplus 
account. Since the sum of the normal tax rate (30%) and the surtax rate 
(22%) in effect for 1959 is 52 percent. S shall subtract $20,000 from 
its policyholders surplus account for the taxable year 1959, computed as 
follows:

$9,600x100/(100-52)=$9,600x100/48=$20,000


Of this amount, $9,600 is due to the application of section 815(c)(3)(A) 
and $10,400 to the application of section 815(c)(3)(B).
    Example 2. Assume that for the taxable year 1960, S, a stock life 
insurance company, has taxable investment income of $1,000 and a gain 
from operations of $2,000. Assume further that of the amount distributed 
by S to its shareholders during the taxable year, $3,500 (as determined 
under section 815(a) and without regard to section 815(c)(3)(B)) is 
treated as distributed out of the policyholders surplus account. Since 
S's life insurance company taxable income does not exceed $25,000 for 
the taxable year and the normal tax rate in effect for 1960 is 30 
percent, S shall subtract $5,000 from its policyholders surplus account 
for the taxable year 1960, computed as follows:

$3,500x100/(100-30)=$3,500x100/70=$5,000


Of this amount, $3,500 is due to the application of section 
815(c)(3)(A), and $1,500 to the application of section 815(c)(3)(B).
    Example 3. For the taxable year 1960, the life insurance company 
taxable income of S, a stock life insurance company, computed without 
regard to section 802(b)(3), is $10,000. Assume that of the amount 
distributed by S to its shareholders during the taxable year, $12,000 
(as determined under section 815(a) and without regard to section 
815(c)(3)(B)) is treated as distributed out of the policyholders surplus 
account. Since the life insurance company taxable income of S, computed 
with regard to section 802(b)(3), exceeds $25,000, in order to determine 
the amount to be subtracted from its policyholders surplus account, S 
would make up the following schedule:

(1) $25,000 minus life insurance company taxable income,         $15,000
 computed without regard to sec. 802(b)(3) ($25,000 minus
 $10,000.....................................................
(2) Item (1) multiplied by 100 percent minus the normal tax
 rate as in effect for 1960, over 100 percent
    ($15,000x(100-30)/100)...................................     10,500
(3) Amount by which the amount treated as distributed out of
 policyholders surplus account ($12,000) exceeds item (2)
 ($10,500), multiplied by 100 percent over 100 percent minus
 the sum of the normal tax rate and the surtax rate as in
 effect for 1960
    ($1,500x100/(100-52))....................................      3,125
(4) Item (1) plus item (3) ($15,000 plus $3,125).............     18,125



For the taxable year 1960, S shall subtract $18,125 from its 
policyholders surplus account. Of this amount, $10,500 represents the 
distribution from the policyholders surplus account which is taxed at a 
30 percent tax rate and $1,500 the distribution from the policyholders 
surplus account which is taxed at a 52 percent tax rate. Thus, of the 
amount subtracted from the policyholders surplus account for the taxable 
year 1960, $12,000 is due to the application of section 815(c)(3) (A), 
and $6,125 to the application of section 815(c)(3)(B).

    (d) Illustration of principles. The application of section 815(c) 
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:

Taxable investment income....................................    $25,000
Gain from operations.........................................     30,000
Tax base (sec. 802(b)(1) and (2))............................     27,500
Deduction for certain nonparticipating policies provided by          600
 sec. 809(d)(5) (as limited by sec. 809(f))..................
Deduction for group policies provided by sec. 809(d)(6) (as          400
 limited by sec. 809(f)).....................................
Amount distributed to shareholders...........................     60,000
Cumulative balance in shareholders surplus account as of 12-      36,000
 31-60.......................................................
Balance in policyholders surplus account as of 1-1-60........     48,000



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

(1) Balance in policyholders surplus account as of 1-1-60....    $48,000
(2) Additions to account:
  (a) 50 percent of the amount by which the gain       $2,500
   from operations ($30,000) exceeds the taxable
   investment income ($25,000) (1/2 x$5,000)......
  (b) The deduction for certain nonparticipating          600
   contracts provided by sec. 809(d)(5) (as
   limited by sec. 809(f))........................
  (c) The deduction for group contracts provided          400
   by sec. 809(d)(6) (as limited by sec. 809(f))..

[[Page 659]]


                                                     --------      3,500
                                                              ----------
(3) Cumulative balance in policyholders account as of 12-31-      51,500
 60 (item (1) plus item (2)).................................


Under the provisions of section 815(a), since the amount distributed to 
shareholders during the taxable year, $60,000, exceeds the cumulative 
balance in the shareholders surplus at the end of the taxable year, 
computed without diminution by reason of distributions during the 
taxable year, $36,000, the shareholders surplus account shall first be 
reduced to zero. The remaining $24,000 ($60,000 minus $36,000) of the 
distribution shall then be treated as made out of the policyholders 
surplus account. Thus, since the tax base under section 802(b)(1) and 
(2) is in excess of $25,000, the total amount to be subtracted from the 
policyholders surplus account at the end of the taxable year would be 
$50,000 ($24,000x100/(100-52)). Of this amount $26,000 ($50,000 minus 
$24,000) represents the tax on the portion of the distribution to 
shareholders which is treated as being out of the policyholders surplus 
account.

    (e) Special rule for 1959 and 1960. For a special transitional rule 
applicable to any increase in tax liability under section 802(b)(3) for 
the taxable years 1959 and 1960 which is due solely to the operation of 
section 815(c)(3) and this section, see section 802(a)(3) and Sec. 
1.802-5.

[T.D. 6535, 26 FR 543, Jan. 20, 1961, as amended by T.D. 6886, 31 FR 
8689, June 23, 1966]