[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: 26CFR1.955-1]

[Page 316-319]
 
                       TITLE 26--INTERNAL REVENUE
 
    CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY 
                               (CONTINUED)
 
PART 1_INCOME TAXES--Table of Contents
 
Sec. 1.955-1  Shareholder's pro rata share of amount of previously 

excluded subpart F income withdrawn from investment in less developed 
countries.

    (a) In general. Pursuant to section 951(a)(1)(A)(ii) and the 
regulations

[[Page 317]]

thereunder, a United States shareholder of a controlled foreign 
corporation must include in its gross income its pro rata share (as 
determined in accordance with paragraph (c) of this section) of the 
amount of such controlled foreign corporation's previously excluded 
subpart F income which is withdrawn for any taxable year from investment 
in less developed countries. Section 955 provides rules for determining 
the amount of a controlled foreign corporation's previously excluded 
subpart F income for any taxable year of the corporation beginning after 
December 31, 1962, that is withdrawn from investment in less developed 
countries for any taxable year of the corporation beginning before 
January 1, 1976. Except for investment in less developed country 
shipping companies, section 955 also provides rules for determining the 
amount of a controlled foreign corporation's previously excluded subpart 
F income for any taxable year of the corporation beginning after 
December 31, 1962, which is withdrawn from investment in less developed 
countries in taxable years of the corporation beginning after December 
31, 1975. To determine the amount of a controlled foreign corporation's 
previously excluded subpart F income withdrawn from investment in less 
developed country shipping companies described in section 955(c)(2) in 
taxable years of a controlled foreign corporation beginning after 
December 31, 1975, see section 955(b)(5) (as in effect after amendment 
by the Tax Reduction Act of 1975) and Sec. Sec. 1.955A-1 through 
1.955A-4. For effective dates, see Sec. 1.955-0.
    (b) Amount withdrawn by controlled foreign corporation--(1) In 
general. For purposes of sections 951 through 964, the amount of a 
controlled foreign corporation's previously excluded subpart F income 
which is withdrawn for any taxable year from investment in less 
developed countries is an amount equal to the decrease for such year in 
such corporation's qualified investments in less developed countries. 
Such decrease is, except as provided in Sec. 1.955-3--
    (i) An amount equal to the excess of the amount of its qualified 
investments in less developed countries at the close of the preceding 
taxable year over the amount of its qualified investments in less 
developed countries at the close of the taxable year, minus
    (ii) The amount (if any) by which recognized losses on sales or 
exchanges by such corporation during the taxable year of qualified 
investments in less developed countries exceed its recognized gains on 
sales or exchanges during such year of qualified investments in less 
developed countries,

but only to the extent that the net amount so determined does not exceed 
the limitation determined under subparagraph (2) of this paragraph. See 
Sec. 1.955-2 for determining the amount of qualified investments in 
less developed countries.
    (2) Limitations applicable in determining decreases--(i) General. 
The limitation referred to in subparagraph (1) of this paragraph for any 
taxable year of a controlled foreign corporation shall be the lesser of 
the following two limitations:
    (a) The sum of the controlled foreign corporation's earnings and 
profits (or deficit in earnings and profits) for the taxable year, 
computed as of the close of the taxable year without diminution by 
reason of any distributions made during the taxable year, plus the sum 
of its earnings and profits (or deficits in earnings and profits) 
accumulated for prior taxable years beginning after December 31, 1962, 
(including prior taxable years beginning after December 31, 1975) or,
    (b) The sum of the amounts excluded under section 954(b)(1) and 
paragraph (b)(1) of Sec. 1.954-1 from the foreign base company income 
of such corporation for all prior taxable years, minus the sum of the 
amounts (determined under this paragraph) of its previously excluded 
subpart F income withdrawn from investment in less developed countries 
for all prior taxable years.
    (ii) Treatment of earnings and profits. For purposes of determining 
earnings and profits of a controlled foreign corporation under 
subdivision (i)(a) of this subparagraph, such earnings and profits shall 
be considered not to include any amounts which are attributable to--
    (a)(1) Amounts which, for the current taxable year, are included in 
the gross income of a United States shareholder

[[Page 318]]

of such controlled foreign corporation under section 951(a)(1)(A)(i) or 
(iii), or
    (2) Amounts which, for any prior taxable year, have been included in 
the gross income of a United States shareholder of such controlled 
foreign corporation under section 951(a) and have not been distributed; 
or
    (b)(1) Amounts which, for the current taxable year, are included in 
the gross income of a United States shareholder of such controlled 
foreign corporation under section 551(b) or would be so included under 
such section but for the fact that such amounts were distributed to such 
shareholder during the taxable year, or
    (2) Amounts which, for any prior taxable year, have been included in 
the gross income of a United States shareholder of such controlled 
foreign corporation under section 551(b) and have not been distributed.

The rules of this subdivision apply only in determining the limitation 
on a controlled foreign corporation's decrease in qualified investments 
in less developed countries. See section 959 and the regulations 
thereunder for limitations on the exclusion from gross income of 
previously taxed earnings and profits.
    (3) Taxable years beginning after December 31, 1975. (i) In the case 
of a taxable year of a controlled foreign corporation beginning after 
December 31, 1975, Sec. 1.955-2(b)(5) must be applied in determining 
the amount of its qualified investments in less developed countries on 
both of the determination dates applicable to such taxable year.
    (ii) The application of this subparagraph may be illustrated by the 
following examples:

    Example 1. (a) Controlled foreign corporation M uses the calendar 
year as the taxable year. Throughout 1974 through 1976, M owns 100 
percent of the only class of stock of foreign corporation N, a less 
developed country shipping company described in Sec. 1.955-5(b), and M 
owns no other stock or obligations. The amount taken into account under 
Sec. 1.955-2(d) with respect to the stock of N is $10,000 at the close 
of 1974, 1975, and 1976. The amount of M's previously excluded subpart F 
income which is withdrawn for 1975 (a year to which Sec. 1.955-2(b)(5) 
does not apply) from investment in less developed countries is zero, 
determined as follows:




(1) Qualified investments in less developed countries at the     $10,000
 close of 1974...............................................
(2) Less: qualified investments in less developed countries       10,000
 at the close of 1975........................................
                                                              ----------
(3) Balance..................................................          0
                                                              ==========



(Further computations similar to those set out in lines (iv) through 
(ix) of example 1 of paragraph (d) of this section are unnecessary 
because the balance in line (3) of this example is zero.)
    (b) As a result of Sec. 1.955-2(b)(5)(ii), the amount of M's 
previously excluded subpart F income which is withdrawn for 1976 from 
investment in less developed countries is zero, determined as follows:




(1) Qualified investments in less developed countries at the close    $0
 of 1975...........................................................
(2) Less: qualified investments in less developed countries at the     0
 close of 1976.....................................................
                                                                    ----
(3) Balance........................................................    0
                                                                    ====


    Example 2. The facts are the same as in example 1, except that 
foreign corporation N is a less developed country corporation described 
in Sec. 1.955-5(a). The amount of M's previously excluded subpart F 
income withdrawn for 1976 from investment in less developed countries is 
zero, determined as follows:




(1) Qualified investments in less developed countries at the     $10,000
 close of 1975...............................................
(2) Less: qualified investments in less developed countries       10,000
 at the close of 1976........................................
                                                              ----------
(3) Balance..................................................          0
                                                              ==========


    (c) Shareholder's pro rata share of amount withdrawn by controlled 
foreign corporation--(1) In general. A United States shareholder's pro 
rata share of a controlled foreign corporation's previously excluded 
subpart F income withdrawn for any taxable year from investment in less 
developed countries is his pro rata share of the amount withdrawn for 
such year by such corporation, as determined under paragraph (b) of this 
section. See section 955(a)(3).
    (2) Special rule. A United States shareholder's pro rata share of 
the net amount determined under paragraph (b)(2)(i)(b) of this section 
with respect to any stock of the controlled foreign corporation owned by 
such shareholder

[[Page 319]]

shall be determined without taking into account any amount attributable 
to a period prior to the date on which such shareholder acquired such 
stock. See section 1248 and the regulations thereunder for rules 
governing treatment of gain from sales or exchanges of stock in certain 
foreign corporations.
    (d) Illustrations. The application of this section may be 
illustrated by the following examples:

    Example 1. A, a United States shareholder, owns 60 percent of the 
only class of stock of M Corporation, a controlled foreign corporation 
throughout the entire period here involved. Both A and M Corporation use 
the calendar year as a taxable year. Corporation M's qualified 
investments in less developed countries at the close of 1964 amount to 
$125,000; and, at the close of 1965, to $75,000. During 1965, M 
Corporation realizes recognized gains of $5,000 and recognized losses of 
$15,000, on sales of qualified investments in less developed countries. 
Corporation M's earnings and profits for 1965 and its accumulated 
earnings and profits for 1963 and 1964 amount to $45,000, as determined 
under paragraph (b)(2) of this section. The amount excluded under 
section 954(b)(1) for 1963 from its foreign base company income is 
$75,000, and the amount of its previously excluded subpart F income 
withdrawn for 1964 from investment in less developed countries is 
$25,000. The amount of M Corporation's previously excluded subpart F 
income withdrawn for 1965 from investment in less developed countries is 
$40,000, and A's pro rata share of such amount is $24,000, determined as 
follows:

(i) Qualified investments in less developed countries at the    $125,000
 close of 1964...............................................
(ii) Less: Qualified investments in less developed countries      75,000
 at the close of 1965........................................
                                                              ----------
(iii) Balance................................................     50,000
(iv) Less: Excess of recognized losses over recognized gains      10,000
 on sales during 1965 of qualified investments in less
 developed countries ($15,000 less $5,000)...................
                                                              ----------
(v) Tentative decrease in qualified investments in less           40,000
 developed countries for 1965................................
                                                              ==========
(vi) Earnings and profits for 1963, 1964, and 1965...........     45,000
                                                              ----------
(vii) Excess of amount excluded under section 954(b)(1) from      50,000
 foreign base company income for 1963 ($75,000 over amount of
 previously excluded subpart F income withdrawn for 1964 from
 investment in less developed countries ($25,000)............
                                                              ----------
(viii) M Corporation's amount of previously excluded subpart      40,000
 F income withdrawn for 1965 from investment in less
 developed countries (item (v), but not to exceed the lesser
 of item (vi) or item (vii)).................................
                                                              ----------
(ix) A's pro rata share of M Corporation's amount of             $24,000
 previously excluded subpart F income withdrawn for 1965 from
 investment in less developed countries (60 percent of
 $40,000)....................................................
                                                              ==========


    Example 2. The facts are the same as in example 1, except that M 
Corporation's earnings and profits (determined under paragraph (b)(2) of 
this section) for 1963, 1964, and 1965 (item (vi)) are $30,000 instead 
of $45,000. Corporation M's amount of previously excluded subpart F 
income withdrawn for 1965 from investment in less developed countries is 
$30,000. A's pro rata share of such amount is $18,000 (60 percent of 
$30,000).
    Example 3. The facts are the same as in example 1, except that the 
excess of the amount excluded under section 954(b)(1) for 1963 from M 
Corporation's foreign base company income over the amount of its 
previously excluded subpart F income withdrawn for 1964 from investment 
in less developed countries (item (vii)) is $20,000 instead of $50,000. 
Corporation M's amount of previously excluded subpart F income withdrawn 
for 1965 from investment in less developed countries is $20,000. A's pro 
rata share of such amount is $12,000 (60 percent of $20,000).

[T.D. 6683, 28 FR 11178, Oct. 18, 1963, as amended by T.D. 6795, 30 FR 
942, Jan. 29, 1965; T.D. 7893, 48 FR 22509, May 19, 1983; T.D. 7894, 48 
FR 22529, May 19, 1983]