[Code of Federal Regulations]
[Title 26, Volume 10]
[Revised as of April 1, 2004]
From the U.S. Government Printing Office via GPO Access
[CITE: 26CFR1.911-2]

[Page 9-11]
 
                       TITLE 26--INTERNAL REVENUE
 
    CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY 
                               (CONTINUED)
 
PART 1_INCOME TAXES--Table of Contents
 
Sec. 1.911-2  Qualified individuals.

    (a) In general. An individual is a qualified individual if:
    (1) The individual's tax home is in a foreign country or countries 
throughout--
    (i) The period of bona fide residence described in paragraph 
(a)(2)(i) of this section, or
    (ii) The 330 full days of presence described in paragraph (a)(2)(ii) 
of this section, and
    (2) The individual is either--
    (i) A citizen of the United States who establishes to the 
satisfaction of the Commissioner or his delegate that the individual has 
been a bona fide resident of a foreign country or countries for an 
uninterrupted period which includes an entire taxable year, or
    (ii) A citizen or resident of the United States who has been 
physically present in a foreign country or countries for at least 330 
full days during any period of twelve consecutive months.
    (b) Tax home. For purposes of paragraph (a)(i) of this section, the 
term ``tax home'' has the same meaning which it has for purposes of 
section 162(a)(2) (relating to travel expenses away from home). Thus, 
under section 911, an individual's tax home is considered to be located 
at his regular or principal (if more than one regular) place of business 
or, if the individual has no regular or principal place of business 
because of the nature of the business, then at his regular place of 
abode in a real and substantial sense. An individual shall not, however, 
be considered to have a tax home in a foreign country for any period for 
which the individual's abode is in the United States. Temporary presence 
of the individual in the United States does not necessarily mean that 
the individual's abode is in the United States during that time. 
Maintenance of a dwelling in the United States by an individual, whether 
or not that dwelling is used by the individual's spouse and dependents, 
does not necessarily mean that the individual's abode is in the United 
States.
    (c) Determination of bona fide residence. For purposes of paragraph 
(a)(2)(i) of this section, whether an individual is a bona fide resident 
of a foreign country shall be determined by applying, to the extent 
practical, the principles of section 871 and the regulations thereunder, 
relating to the determination of the residence of aliens. Bona fide 
residence in a foreign country or countries for an uninterrupted period 
may be established, even if temporary visits are made during the period 
to the United States or elsewhere on vacation or business. An individual 
with earned income from sources within a foreign country is not a bona 
fide resident of that country if:
    (1) The individual claims to be a nonresident of that foreign 
country in a statement submitted to the authorities of that country, and
    (2) The earned income of the individual is not subject, by reason of 
nonresidency in the foreign country, to the income tax of that country.

If an individual has submitted a statement of nonresidence to the 
authorities of a foreign country the accuracy of which has not been 
resolved as of any date when a determination of the individual's bona 
fide residence is being made, then the individual will not be considered 
a bona fide resident of the foreign country as of that date.
    (d) Determination of physical presence. For purposes of paragraph 
(a)(2)(ii) of this section, the following rules apply.
    (1) Twelve-month test. A period of twelve consecutive months may 
begin with any day but must end on the day

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before the corresponding day in the twelfth succeeding month. The 
twelve-month period may begin before or after arrival in a foreign 
country and may end before or after departure.
    (2) 330-day test. The 330 full days need not be consecutive but may 
be interrupted by periods during which the individual is not present in 
a foreign country. In computing the minimum 330 full days of presence in 
a foreign country or countries, all separate periods of such presence 
during the period of twelve consecutive months are aggregated. A full 
day is a continuous period of twenty-four hours beginning with midnight 
and ending with the following midnight. An individual who has been 
present in a foreign country and then travels over areas not within any 
foreign country for less than twenty-four hours shall not be deemed 
outside a foreign country during the period of travel. If an individual 
who is in transit between two points outside the United States is 
physically present in the United States for less than twenty-four hours, 
such individual shall not be treated as present in the United States 
during such transit but shall be treated as travelling over areas not 
within any foreign country. For purposes of this paragraph (d)(2), the 
term ``transit between two points outside the United States'' has the 
same meaning that it has when used in section 7701(b)(6)(C).
    (3) Illustrations of the physical presence requirement. The physical 
presence requirement of paragraph (a)(2)(ii) of this section is 
illustrated by the following examples:

    Example 1. B, a U.S. citizen, arrives in Venezuela from New York at 
12 noon on April 24, 1982. B remains in Venezuela until 2 p.m. on March 
21, 1983, at which time B departs for the United States. Among other 
possible twelve month periods, B is present in a foreign country an 
aggregate of 330 full days during each of the following twelve month 
periods: March 21, 1982 through March 20, 1983; and April 25, 1982 
through April 24, 1983.
    Example 2. C, a U.S. citizen, travels extensively from the time C 
leaves the United States on March 5, 1982, until the time C departs the 
United Kingdom on January 1, 1984, to return to the United States 
permanently. The schedule of C's travel and the number of full days at 
each location are listed below:

----------------------------------------------------------------------------------------------------------------
                                                                                                       Full days
                                                                                                           in
                   Country                      Time and date of arrival   Time and date of departure   foreign
                                                                                                        country
----------------------------------------------------------------------------------------------------------------
United States................................  ..........................  10 p.m. (by air) Mar. 5,    .........
                                                                            1982.
United Kingdom...............................  9 a.m. Mar. 6, 1982.......  10 p.m. (by ship) June 25,        110
                                                                            1982.
United States................................  11 a.m. June 30, 1982.....  1 p.m. (by ship) July 19,           0
                                                                            1982.
France.......................................  3 p.m. July 24, 1982......  11 a.m. (by air) Aug. 22,         393
                                                                            1983.
United States................................  4 p.m. Aug. 22, 1983......  9 a.m. (by air) Sept. 4,            0
                                                                            1983.
United Kingdom...............................  9 a.m. Sept. 5, 1983......  9 a.m. (by air) Jan. 1,           117
                                                                            1984.
United States................................  1 p.m. Jan. 1, 1984.......  ..........................  .........
----------------------------------------------------------------------------------------------------------------

    Among other possible twelve-month periods, C is present in a foreign 
country or countries an aggregate of 330 full days during the following 
twelve-month periods: March 2, 1982 through March 1, 1983; and January 
21, 1983 through January 20, 1984. The computation of days with respect 
to each twelve month period may be illustrated as follows:
    First twelve-month period (March 2, 1982 through March 1, 1983):

------------------------------------------------------------------------
                                                               Full days
                                                                   in
                                                                foreign
                                                                country
------------------------------------------------------------------------
Mar. 2, 1982 through Mar. 6, 1982............................          0
Mar. 7, 1982 through June 24, 1982...........................        110
June 25, 1982 through July 24, 1982..........................          0
July 25, 1982 through Mar. 1, 1983...........................        220
                                                              ----------
    Total full days..........................................        330
------------------------------------------------------------------------

    Second twelve-month period (January 21, 1983 through January 20, 
1984):

------------------------------------------------------------------------
                                                               Full days
                                                                   in
                                                                foreign
                                                                country
------------------------------------------------------------------------
Jan. 21, 1983 through Aug. 21, 1983..........................        213
Aug. 22, 1983 through Sept. 5, 1983..........................          0
Sept. 6, 1983 through Dec. 31, 1983..........................        117
Jan. 1, 1984 through Jan. 20, 1984...........................          0
                                                              ----------
    Total full days..........................................        330
------------------------------------------------------------------------

    (e) Special rules. For purposes only of establishing that an 
individual is a qualified individual under paragraph (a) of this 
section, residence or presence in a foreign country while there employed 
by the U.S. government or any agency or instrumentality of the

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U.S. government counts towards satisfaction of the requirements of Sec. 
1.911-2(a). (But see section 911(b)(1)(B)(ii) and Sec. 1.911-3(c)(3) 
for the rule excluding amounts paid by the U.S. government to an 
employee from the definition of foreign earned income.) Time spent in a 
foreign country prior to January 1, 1982, counts toward satisfaction of 
the bona fide residence and physical presence requirements, even though 
no exclusion or deduction may be allowed under section 911 for income 
attributable to services performed during that time. For purposes or 
paragraph (a)(2)(ii) of this section, the term ``resident of the United 
States'' includes an individual for whom a valid election is in effect 
under section 6013 (g) or (h) for the taxable year or years during which 
the physical presence requirement is satisfied.
    (f) Waiver of period of stay in foreign country due to war or civil 
unrest. Notwithstanding the requirements of paragraph (a) of this 
section, an individual whose tax home is in, a foreign country, and who 
is a bona fide resident of, or present in a foreign country for any 
period, who leaves the foreign country after August 31, 1978, before 
meeting the requirements of paragraph (a) of this section, may as 
provided in this paragraph, qualify to make an election under section 
911(a) and Sec. 1.911-7(a). If the Secretary determines, after 
consultation with the Secretary of State or his delegate, that war, 
civil unrest, or similar adverse conditions existed in a foreign 
country, then the Secretary shall publish the name of the foreign 
country and the dates between which such conditions were deemed to 
exist. In order to qualify to make an election under this paragraph, the 
individual must establish to the satisfaction of the Secretary that the 
individual left a foreign country, the name of which has been published 
by the Secretary, during the period when adverse conditions existed and 
that the individual could reasonably have expected to meet the 
requirements of paragraph (a) of this section but for the adverse 
conditions. The individual shall attach to his return for the taxable 
year a statement that the individual expected to meet the requirements 
of paragraph (a) of this section but for the conditions in the foreign 
country which precluded the normal conduct of business by the 
individual. Such individual shall be treated as a qualified individual, 
but only for the actual period of residence or presence. Thus, in 
determining the number of the individual's qualifying days, only days 
within the period of actual residence or presence shall be counted.
    (g) United States. The term ``United States'' when used in a 
geographical sense includes any territory under the sovereignty of the 
United States. It includes the states, the District of Columbia, the 
possessions and territories of the United States, the territorial waters 
of the United States, the air space over the United States, and the 
seabed and subsoil of those submarine areas which are adjacent to the 
territorial waters of the United States and over which the United States 
has exclusive rights, in accordance with international law, with respect 
to the exploration and exploitation of natural resources.
    (h) Foreign country. The term ``foreign country'' when used in a 
geographical sense includes any territory under the sovereignty of a 
government other than that of the United States. It includes the 
territorial waters of the foreign country (determined in accordance with 
the laws of the United States), the air space over the foreign country, 
and the seabed and subsoil of those submarine areas which are adjacent 
to the territorial waters of the foreign country and over which the 
foreign country has exclusive rights, in accordance with international 
law, with respect to the exploration and exploitation of natural 
resources.

(Sec. 911 (95 Stat. 194; 26 U.S.C. 911) and sec. 7805 (68A Stat. 917; 26 
U.S.C. 7805) of the Internal Revenue Code of 1954)

[T.D. 8006, 50 FR 2965, Jan. 23, 1985]