[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: 26CFR1.959-3]

[Page 377-381]
 
                       TITLE 26--INTERNAL REVENUE
 
    CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY 
                               (CONTINUED)
 
PART 1_INCOME TAXES--Table of Contents
 
Sec. 1.959-3  Allocation of distributions to earnings and profits of 
foreign corporations.

    (a) In general. For purposes of Sec. Sec. 1.959-1 and 1.959-2, the 
source of the earnings and profits from which distributions are made by 
a foreign corporation as between earnings and profits attributable to 
increases in earnings invested in United States property, previously 
taxed subpart F income, previously excluded subpart F income withdrawn 
from investment in less developed countries, previously excluded subpart 
F income withdrawn from investment in foreign base company shipping 
operations, and other amounts shall be determined in accordance with 
section 959(c) and paragraphs (b) through (e) of this section.
    (b) Applicability of section 316(a). For purposes of this section, 
section 316(a) shall be applied, in determining the source of 
distributions from the earnings and profits of a foreign corporation, by 
first applying section 316(a)(2) and then by applying section 
316(a)(1)--
    (1) First, as provided by section 959 (c)(1), to earnings and 
profits attributable to amounts included in gross income of a United 
States shareholder under section 951(a)(1)(B) (or which would have been 
so included but for section 959(a)(2) and paragraph (c) of Sec. 1.959-
1),
    (2) Secondly, as provided by section 959(c)(2), to earnings and 
profits attributable to amounts included in gross income of a United 
States shareholder under section 951(a)(1)(A) (but reduced by amounts 
not included in such gross income under section 951(a)(1)(B) because of 
the exclusion provided by section 959(a)(2) and paragraph (c) of Sec. 
1.959-1), and
    (3) Finally, as provided by section 959(c)(3), to other earnings and 
profits. Thus, distributions shall be considered first attributable to 
amounts, if any, described in subparagraph (1) of this paragraph (first 
for the current taxable year and then for prior taxable years beginning 
with the most recent prior taxable year), secondly to amounts, if any, 
described in subparagraph (2) of this paragraph (first for the current 
taxable year and then for prior taxable years beginning with the most 
recent prior taxable year), and finally to the amounts, if any, 
described in subparagraph (3) of this paragraph (first for the current 
taxable year and then for prior taxable years beginning with the most 
recent prior taxable year). See, however, paragraph (e) of Sec. 1.963-3 
(applied as if section 963 had not been repealed by the Tax Reduction 
Act of 1975) for a special rule for determination of the source of 
distributions counting as minimum distributions. Earnings and profits 
are classified as to year and as to section 959(c) amount in the year in 
which such amounts are included in gross income of a United States 
shareholder under section 951(a) and are reclassified as to section 
959(c) amount in the year in which such amounts would be so included but 
for the provisions of section 959(a)(2); any subsequent distribution of 
such amounts to a higher tier in a chain of ownership described in 
section 958(a) does not of itself change such classifications. For 
example, earnings and profits of a foreign corporation attributable to 
amounts of previously excluded subpart F income withdrawn from 
investment in less developed countries (or from investments in export 
trade assets or foreign base company shipping operations) shall be 
reclassified as amounts to which subparagraph (2), rather than 
subparagraph (3), of this paragraph applies for purposes of determining 
priority of distribution, and such earnings and profits shall be 
considered attributable to the taxable year in which the withdrawal 
occurs. This paragraph shall apply to distributions by one foreign 
corporation to another foreign corporation and by a foreign corporation 
to a

[[Page 378]]

United States person. The application of this paragraph may be 
illustrated by the following example:

    Example. (a) M, a controlled foreign corporation, is organized on 
January 1, 1963, and is 100-percent owned by A, a United States 
shareholder. Both A and M Corporation use the calendar year as a taxable 
year, and M Corporation is a controlled foreign corporation throughout 
the period here involved. As of December 31, 1966, M Corporation's 
accumulated earnings and profits of $450 (before taking into account 
distributions made in 1966) applicable to A's interest in such 
corporation are classified for purposes of section 959(c) as follows:

------------------------------------------------------------------------
                                        Classification of earnings and
                                        profits for purposes of section
                Year                                  959
                                     -----------------------------------
                                        (c)(1)      (c)(2)      (c)(3)
------------------------------------------------------------------------
1963................................        $100  ..........  ..........
1964................................         100         $75  ..........
1965................................  ..........          75         $50
1966................................  ..........  ..........          50
------------------------------------------------------------------------

    (b) During 1966, M Corporation makes three separate distributions to 
A of $150 each, and the source of such distributions under section 
959(c) is as follows:

------------------------------------------------------------------------
                                                           Allocation of
                                                           distributions
                                         Amount     Year   under section
                                                                959
------------------------------------------------------------------------
Distribution No. 1...................       $100     1964        (c)(1)
                                              50     1963        (c)(1)
                                      -----------
                                             150  .......  .............
                                      ===========
Distribution No. 2...................         50     1963        (c)(1)
                                              75     1965        (c)(2)
                                              25     1964        (c)(2)
                                      -----------
                                             150  .......  .............
                                      ===========
Distribution No. 3...................         50     1964        (c)(2)
                                              50     1966        (c)(3)
                                              50     1965        (c)(3)
                                      -----------
                                             150  .......  .............
------------------------------------------------------------------------

    (c) If, in addition to the above facts--
    (1) M Corporation owns throughout the period here involved 100 
percent of the only class of stock of N Corporation, a controlled 
foreign corporation which uses the calendar year as a taxable year,
    (2) Corporation N derives $60 of subpart F income for 1963 which A 
includes in his gross income for such year under section 
951(a)(1)(A)(i),
    (3) Corporation N has earnings and profits for 1963 of $60 but has 
neither earnings or profits nor a deficit in earnings and profits for 
1964, 1965, or 1966, and
    (4) During 1966, N Corporation invests $20 in tangible property (not 
described in section 956(b)(2)) located in the United States and 
distributes $45 to M Corporation,

the $20 investment of earnings in United States property is excludable 
from A's gross income for 1966, under section 959(a)(2) and paragraph 
(c) of Sec. 1.959-1, with respect to N Corporation and the $45 dividend 
received by M Corporation does not, under section 959(b) and Sec. 
1.959-2, constitute gross income of M Corporation for 1966 for purposes 
of determining amounts includible in A's gross income under section 
951(a)(1)(A)(i) with respect to M Corporation. However, the $45 dividend 
paid by N Corporation to M Corporation is allocated under section 959(c) 
and this paragraph to the earnings and profits of N Corporation as 
follows: $20 to 1963 earnings described in section 959(c)(1) and $25 to 
1963 earnings described in section 959(c)(2). In such case, M 
Corporation's earnings and profits of $495 (before taking into account 
distributions made in 1966) would be classified as follows for purposes 
of section 959(c):

------------------------------------------------------------------------
                                        Classification of earnings and
                                        profits for purposes of section
                Year                                  959
                                     -----------------------------------
                                        (c)(1)      (c)(2)      (c)(3)
------------------------------------------------------------------------
1963................................        $120         $25  ..........
1964................................         100          75  ..........
1965................................  ..........          75         $50
1966................................  ..........  ..........          50
------------------------------------------------------------------------

    (d) The three distributions to A in 1966 of $150 each would then 
have the following source under section 959(c):

------------------------------------------------------------------------
                                                           Allocation of
                                                           distributions
                                         Amount     Year   under section
                                                                959
------------------------------------------------------------------------
Distribution No. 1...................       $100     1964        (c)(1)
                                              50     1963        (c)(1)
                                      -----------
                                             150  .......  .............
                                      ===========
Distribution No. 2...................         70     1963        (c)(1)
                                              75     1965        (c)(2)
                                               5     1964        (c)(2)
                                      -----------
                                             150  .......  .............
                                      ===========
Distribution No. 3...................         70     1964        (c)(2)
                                              25     1963        (c)(2)
                                              50     1966        (c)(3)
                                               5     1965        (c)(3)

                                      -----------
                                             150  .......  .............
------------------------------------------------------------------------

    (c) Treatment of deficits in earnings and profits. For purposes of 
this section, a United States shareholder's pro rata share (determined 
in accordance with the principles of paragraph (e) of Sec. 1.951-1) of 
a foreign corporation's deficit in earnings and profits, determined 
under section 964(a) and Sec. 1.964-1, for

[[Page 379]]

any taxable year shall be applied only to earnings and profits described 
in paragraph (b)(3) of this section.
    (d) Treatment of certain foreign taxes. For purposes of this 
section, any amount described in subparagraph (1), (2), or (3) of 
paragraph (b) of this section which is distributed by a foreign 
corporation through a chain of ownership described in section 958(a)(2) 
shall be reduced by any income, war profits, or excess profits taxes 
imposed on or with respect to such distribution by any foreign country 
or possession of the United States.

    Example. (a) Domestic corporation M owns 100 percent of the only 
class of stock of foreign corporation A, which is incorporated under the 
laws of foreign country X and which, in turn, owns 100 percent of the 
only class of stock of foreign corporation B, which is incorporated 
under the laws of foreign country Y. All corporations use the calendar 
year as a taxable year and corporations A and B are controlled foreign 
corporations throughout the period here involved.
    (b) During 1963, B Corporation (a less developed country corporation 
for 1963 within the meaning of Sec. 1.955-5) derives $90 of subpart F 
income, after incurring $10 of foreign income tax allocable to such 
income under paragraph (c) of Sec. 1.954-1, has earnings and profits in 
excess of $90, and makes no distributions. Corporation M must include 
$90 in its gross income for 1963 under section 951(a)(1)(A)(i). As of 
December 31, 1963, with respect to M Corporation, B Corporation has 
earnings and profits for 1963 described in section 959(c)(2) of $90.
    (c) During 1964, B Corporation has neither earnings and profits nor 
a deficit in earnings and profits but distributes $90 to A Corporation, 
and, by reason of section 959(b) and Sec. 1.959-2, such amount is not 
includible in the gross income of M Corporation for 1964 under section 
951(a) with respect to A Corporation. Corporation A incurs a withholding 
tax of $13.50 on the $90 dividend distributed from B Corporation (15 
percent of $90) and an additional foreign income tax of 10 percent or 
$7.65 by reason of the inclusion of the net distribution of $76.50 ($90 
minus $13.50) in its taxable income for 1964. As of December 31, 1964, 
with respect to M Corporation, B Corporation's earnings and profits for 
1963 described in section 959(c)(2) amount to zero ($90 minus $90); and 
A Corporation's earnings and profits for 1963 described in section 
959(c)(2) amount to $68.85 ($90 minus $13.50 minus $7.65).

    (e) Determination of foreign tax credit. For purposes of applying 
section 902 and section 960 in determining the foreign tax credit 
allowable under section 901 in a case in which distributions are made by 
a second-tier corporation or a first-tier corporation, as the case may 
be, from its earnings and profits for a taxable year which are 
attributable to an amount included in the gross income of a U.S. 
shareholder under section 951(a) or which are attributable to amounts 
excluded from the gross income of such foreign corporation under section 
959(b) and Sec. 1.959-2 with respect to a U.S. shareholder, the rules 
of paragraph (b) of this section shall apply except that in applying 
subparagraph (1) or (2) of such paragraph--
    (1) Distributions from the earnings and profits for such taxable 
year of the second-tier corporation shall be considered first 
attributable to its earnings and profits attributable to distributions 
from the earnings and profits of the foreign corporation, if any, next 
lower in the chain of ownership described in section 958(a), to the 
extent of such earnings and profits of the second-tier corporation, and 
then to the other earnings and profits of such second-tier corporation, 
and
    (2) Distributions from the earnings and profits for such taxable 
year of the first-tier corporation shall be considered first 
attributable to its earnings and profits attributable to distributions 
from the earnings and profits of the second-tier corporation, to the 
extent of such earnings and profits of the first-tier corporation, and 
then to the other earnings and profits of such first-tier corporation. 
For purposes of this paragraph, a second-tier corporation is a foreign 
corporation referred to in section 960(a)(1)(B), and a first-tier 
corporation is a foreign corporation referred to in section 960 
(a)(1)(A). The application of this paragraph may be illustrated by the 
following examples:

    Example 1. (a) Domestic corporation A, a United States shareholder, 
owns 100 percent of the only class of stock of foreign corporation R 
which, in turn, owns 100 percent of the only class of stock of foreign 
corporation S. All corporations use the calendar year as a taxable year, 
and corporations R and S are controlled foreign corporations throughout 
the period here involved.
    (b) Neither R Corporation nor S Corporation has subpart F income for 
1963. During 1963, S Corporation increases by $100 its investment in 
tangible property (not described

[[Page 380]]

in section 956(b)(2)) located in the United States, makes no 
distributions, and has earnings and profits of $100. Corporation A must 
include $100 in its gross income for 1963 under section 951(a)(1)(B) 
with respect to S Corporation. During 1963, R Corporation also increases 
by $100 its investment in tangible property (not described in section 
956(b)(2)) located in the United States, makes no distributions, and has 
earnings and profits of $100. Corporation A must include $100 in its 
gross income for 1963 under section 951(a)(1)(B) with respect to R 
Corporation.
    (c) During 1964, S Corporation distributes $100 to R Corporation, 
and R Corporation distributes $100 to A Corporation. Neither corporation 
has any earnings or profits or deficit in earnings and profits for such 
year. On December 31, 1964, R Corporation has earnings and profits 
(computed before distributions to A Corporation made for the year) of 
$200, consisting of $100 of section 959(c)(1) amounts of R Corporation 
for 1963 and of $100 of section 959(c)(1) amounts of S Corporation for 
1963. For purposes of determining the foreign tax credit under section 
960 and the regulations thereunder, the $100 distribution by R 
Corporation shall be considered attributable to S Corporation's earnings 
and profits for 1963 described in section 959(c)(1).
    Example 2. (a) Domestic corporation A, a United States shareholder, 
owns 100 percent of the only class of stock of foreign corporation T 
which, in turn, owns 100 percent of the only class of stock of foreign 
corporation U. All corporations use the calendar year as a taxable year, 
and corporations T and U are controlled foreign corporations throughout 
the period here involved.
    (b) During 1964, T Corporation invests $100 in tangible property 
(not described in section 956(b)(2)) located in the United States. For 
1964, T Corporation has no subpart F income and makes no distributions; 
A must include $100 in its gross income for 1964 under section 
951(a)(1)(B) with respect to T Corporation. For 1964, U Corporation has 
no subpart F income or investment of earnings in United States property 
but U Corporation has $100 of earnings and profits which it distributes 
to T Corporation. At December 31, 1964, T Corporation has earnings and 
profits of $300, consisting of operating income of $100 for each of the 
years 1963 and 1964 and $100 in dividends received from the earnings and 
profits of U Corporation for 1964. These earnings and profits are 
classified as follows under section 959(c): $100 of section 959(c)(1) 
amounts of T Corporation for 1964, $100 of section 959(c)(3) amounts of 
U Corporation for 1964, and $100 of section 959(c)(3) amounts of T 
Corporation for 1963.
    (c) During 1965 neither T Corporation nor U Corporation has any 
earnings and profits or deficit in earnings and profits or investment of 
earnings in U.S. property, but T Corporation distributes $100 to A 
Corporation. For purposes of determining the foreign tax credit under 
section 960 and the regulations thereunder, the $100 distribution of T 
Corporation shall be considered attributable to T Corporation's earnings 
and profits for 1964 described in section 959(c)(1).

    (f) Illustration. The application of this section may be illustrated 
by the following example:

    Example. (a) M, a controlled foreign corporation is organized on 
January 1, 1963, and is wholly owned by A, a United States shareholder. 
Both A and Corporation M use the calendar year as a taxable year.
    (b) Corporation M's earnings and profits (before distributions) for 
1963 are $200, $100, of which is attributable to subpart F income. 
Corporation M's earnings and profits for such year also include $25 
attributable to subpart F income which is excluded from M Corporation's 
foreign base company income under section 954(b)(1) as dividends, 
interest, and gains invested in qualified investments in less developed 
countries. Corporation M's increase in earnings invested in tangible 
property (not described in section 956(b)(2)) located in the United 
States for 1963, is $50, and M Corporation makes a distribution of such 
property during such year of $20. For purposes of section 959, A's 
interest in M Corporation's earnings and profits as of December 31, 
1963, determined after the distributions of $20, is classified as 
follows:

Section 959(c)(1) amounts:
  Earnings for 1963 attributable to increased               $50  .......
   investment in U.S. property which would have been
   included in A's gross income but for application of
   section 959(a)(2) and Sec.  1.959-1(c)............
  Less: Distribution for 1963 allocated under section        20      $30
   959(c)(1) and paragraph (b)(1) of this section to
   such amounts.......................................
                                              ---------
Section 959(c)(2) amounts:
  Earnings for 1963 attributable to subpart F income        100  .......
   included in A's gross income under section
   951(a)(1)(A)(i)....................................
  Less: Earnings for 1963 attributable to increased          50       50
   investment in U.S. property which would have been
   included in A's gross income but for application of
   section 959(a)(2) and Sec.  1.959-1(c)............
                                              ---------
Section 959(c)(3) amounts:
  Predistribution earnings for 1963...................      200  .......
  Less: Earnings for 1963 classified as:
    Section 959(c)(1) amounts................      $50  .......  .......

[[Page 381]]


    Section 959(c)(2) amounts................       50      100      100
                                              ----------
A's total interest in M Corporation's          .......  .......      180
 earnings and profits........................
----------------------------------------------



For 1963, A is required to include $100 of subpart F income in his gross 
income under section 951(a)(1)(A)(i). He would have been required to 
include $50 in his gross income under section 951(a)(1)(B) as M 
Corporation's increase in earnings invested in United States property, 
except that section 959(a)(2) and paragraph (c) of Sec. 1.959-1 provide 
in effect that earnings and profits taxed to A under section 
951(a)(1)(A) with respect to M Corporation (whether in the current 
taxable year or in prior years) may be invested in United States 
property without again being included in gross income under section 
951(a). The $20 dividend from M Corporation is excluded from A's gross 
income under section 959(a)(1) and paragraph (b) of Sec. 1.959-1, since 
such distribution is allocated under section 959(c)(1) and paragraph 
(b)(1) of this section to amounts described in section 959(c)(1).
    (c) During 1964, M Corporation's earnings and profits (before 
distributions) are $300, $75 of which is attributable to subpart F 
income. Corporation M has no change in investments in United States 
property during such year and withdraws $15 of previously excluded 
subpart F income from investment in less developed countries. 
Corporation M makes a cash distribution of $250 to A during 1964. For 
purposes of section 959, A's interest in M Corporation's earnings and 
profits as of December 31, 1964, determined after the distribution of 
$250, is classified as follows:

Section 959 (c)(1) amounts:
  Section 959(c)(1) net amount for 1963 (as determined      $30  .......
   under paragraph (b) of this example)...............
  Less: Distribution for 1964 allocated under section        30  .......
   959(c)(1) and paragraph (b)(1) of this section to
   such amount........................................
                                     =========
Section 959(c)(2) amounts:
  Section 959(c)(2) net amount for 1963 (as determined       50  .......
   under paragraph (b) of this example)...............
  Plus: Earnings for 1964 attributable to:
    Subpart F income for 1964 included in A's gross          75  .......
     income under section 951(a)(1)(A)(i).............
    Previously excluded subpart F income withdrawn in        15  .......
     1964 from investment in less developed countries
     and included in A's gross income under section
     951(a)(1)(A)(ii).................................
                                     ---------
                                                            140  .......
  Less: Distribution for 1964 allocated under section       140  .......
   959(c)(2) and paragraph (b)(2) of this section to
   such amounts.......................................
                                     =========
Section 959(c)(3) amounts:
  Section 959(c)(3) net amount for 1963 (as determined      100  .......
   under paragraph (b) of this example)...............
  Plus: Section 959(c)(3) net amount
   for 1964:
    Predistribution earnings for      .......     $300  .......  .......
     1964...........................
    Less:
      Earnings for 1964 classified        $90  .......  .......  .......
       as section 959(c)(1) amounts
       ($0) and as section 959(c)(2)
       amounts ($75+$15)............
      Distributions for 1964               80      170      130     $230
       allocated under section
       959(c)(3) and paragraph
       (b)(3) of this section.......
                                     ----------
A's total interest in M               .......  .......  .......      230
 Corporation's earnings and profits.
-------------------------------------


For 1964, A is required to include in his gross income under section 
951(a)(1)(A)(i) $75 of subpart F income, and under section 951 
(a)(1)(A)(ii) $15 of previously excluded subpart F income withdrawn from 
investment in less developed countries. Of the $250 cash distribution, A 
may exclude $170 from his gross income under section 959(a)(1) and 
paragraph (b) of Sec. 1.959-1 and $80 is includible in his gross income 
as a dividend.
    (d) The source under section 959(c) of the 1964 distribution of $250 
to A is as follows:

------------------------------------------------------------------------
                                                           Allocation of
                                                           distribution
                  Year                        Amount       under section
                                                                959
------------------------------------------------------------------------
1963....................................             $30         (c)(1).
1964....................................              90         (c)(2).
1963....................................              50         (c)(2).
1964....................................              80         (c)(3).
                                         ----------------
                                                     250  ..............
------------------------------------------------------------------------


[T.D. 6795, 30 FR 945, Jan. 29, 1965, as amended by T.D. 7334, 39 FR 
44211, Dec. 23, 1974; T. D. 7545, 43 FR 19652, May 8, 1978; T.D. 7893, 
48 FR 22510, May 19, 1983]

[[Page 382]]