[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: 26CFR1.962-3]

[Page 427-430]
 
                       TITLE 26--INTERNAL REVENUE
 
    CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY 
                               (CONTINUED)
 
PART 1_INCOME TAXES--Table of Contents
 
Sec. 1.962-3  Treatment of actual distributions.

    (a) In general. Section 962(d) provides that the earnings and 
profits of a foreign corporation attributable to amounts which are, or 
have been, included in the gross income of an individual United States 
shareholder under section 951(a) by reason of such shareholder's 
ownership (within the meaning of section 958(a)) of stock in such 
corporation and with respect to which amounts an election under Sec. 
1.962-2 applies or applied shall, when such earnings and profits are 
distributed to such shareholder with respect to such stock, 
notwithstanding the provisions of section 959(a)(1), be included in his 
gross income to the extent that such earnings and profits exceed the 
amount of income tax paid by such shareholder under this chapter on the 
amounts to which such election applies or applied. Thus, when such 
shareholder receives an actual distribution of section 962 earnings and 
profits (as defined in paragraph (b)(1) of this section) from a foreign 
corporation, only the excludable section 962 earnings and profits (as 
defined in paragraph (b)(1)(i) of this section) may be excluded from his 
gross income.
    (b) Rules of application. For purposes of this section--
    (1) Section 962 earnings and profits defined. With respect to an 
individual United States shareholder, the term ``section 962 earnings 
and profits'' means the earnings and profits of a foreign corporation 
referred to in paragraph (a) of this section. Such earnings and profits 
include--
    (i) Excludable section 962 earnings and profits. Excludable section 
962 earnings and profits which are the amount of the section 962 
earnings and profits equal to the amount of income tax paid under this 
chapter by such shareholder on the amounts included in his gross income 
under section 951(a); and

[[Page 428]]

    (ii) Taxable section 962 earnings and profits. Taxable section 962 
earnings and profits which are the excess of section 962 earnings and 
profits over the amount described in subdivision (i) of this 
subparagraph.
    (2) Determinations made separately for each taxable year. If section 
962 earnings and profits attributable to more than one taxable year are 
distributed by a foreign corporation the determinations under this 
section shall be made separately with respect to each such taxable year.
    (3) Source of distributions--(i) In general. Except as otherwise 
provided in this subparagraph, the provisions of paragraphs (a) through 
(d) of Sec. 1.959-3 shall apply in determining the source of 
distributions of earnings and profits by a foreign corporation.
    (ii) Treatment of section 962 earnings and profits under Sec. 
1.959-3. For purposes of a section 959(c) amount and year classification 
under paragraph (b) of Sec. 1.959-3, a distribution of earnings and 
profits by a foreign corporation shall be first allocated to earnings 
and profits other than section 962 earnings and profits (as defined in 
subparagraph (1) of this paragraph) and then to section 962 earnings and 
profits. Thus distributions shall be considered first attributable to 
amounts described in paragraph (b)(1) of Sec. 1.959-3 which are not 
section 962 earnings and profits and then to amounts described in such 
paragraph (b)(1) which are section 962 earnings and profits (first for 
the current taxable year and then for prior taxable years beginning with 
the most recent prior taxable year), secondly to amounts described in 
paragraph (b)(2) of Sec. 1.959-3 which are not section 962 earnings and 
profits and then to amounts described in such paragraph (b)(2) which are 
section 962 earnings and profits (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 described in paragraph (b)(3) 
of Sec. 1.959-3 (first for the current taxable year and then for prior 
taxable years beginning with the most recent prior taxable year).
    (iii) Allocation to excludable section 962 earnings and profits. A 
distribution of section 962 earnings and profits by a foreign 
corporation for any taxable year shall be considered first attributable 
to the excludable section 962 earnings and profits (as defined in 
subparagraph (1)(i) of this paragraph) and then to taxable section 962 
earnings and profits.
    (iv) Allocation of deficits in earnings and profits. 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 Sec. 1.964-1) for any 
taxable year shall be applied in accordance with the provisions of 
paragraph (c) of Sec. 1.959-3 except that such deficit shall also be 
applied to taxable section 962 earnings and profits (as defined in 
subparagraph (1)(ii) of this paragraph).
    (4) Distribution in exchange for stock. The provisions of this 
section shall not apply to a distribution of section 962 earnings and 
profits which is treated as in part or full payment in exchange for 
stock under subchapter C of chapter 1 of the Internal Revenue Code. The 
application of this subparagraph may be illustrated by the following 
example:

    Example. Individual United States shareholder A owns 60 percent of 
the only class of stock in foreign corporation M, the basis of which is 
$10,000. Both A and M Corporation use the calendar year as a taxable 
year. In each of the taxable years 1964, 1965, and 1966, M Corporation 
has $1,000 of earnings and profits and $1,000 of subpart F income. With 
respect to each such amount, A includes $600 in gross income under 
section 951(a), makes the election under section 962, and pays a United 
States tax of $132 (22 percent of $600). Accordingly, A increases the 
basis of his stock in M corporation under section 961(a) by $132 in each 
of the years 1964, 1965, and 1966, and thus on December 31, 1966, the 
adjusted basis for A's stock in M Corporation is $10,396. In 1967, M 
Corporation is completely liquidated (in a transaction described in 
section 331) and A receives $13,800, consisting of $1,800 of earnings 
and profits attributable to the amounts which A included in gross income 
under section 951(a) in 1964, 1965, and 1966, and $12,000 attributable 
to the other assets of M Corporation. No amount of the $3,404 gain 
realized by A on such distribution ($13,800 minus $10,396) may be 
excluded from gross income under section 959(a)(1). However, section 
962(d) will not prevent any part of such $3,404 from being treated as a 
capital gain under section 331.


[[Page 429]]


    (5) Illustration. 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; A and B, individual United States shareholders, own 50 
percent and 25 percent, respectively, of the only class of stock in M 
Corporation. Corporation M, A, and B use the calendar year as a taxable 
year, and M Corporation is a controlled foreign corporation throughout 
the period here involved. For the taxable years 1963, 1964, 1965, and 
1966, A and B must include amounts in gross income under section 951(a) 
with respect to M Corporation. For the years 1963, 1965, and 1966, A 
makes the election under section 962. On January 1, 1967, B sells his 
25-percent interest in M Corporation to A; A satisfies the requirements 
of paragraph (d) of Sec. 1.959-1 so as to qualify as B's successor in 
interest. As of December 31, 1967, M Corporation's accumulated earnings 
and profits of $675 (before taking into account distributions made in 
1967) applicable to A's interest (including his interest as B's 
successor in interest) in such corporation are classified under Sec. 
1.959-3 and this section for purposes of section 962(d) as follows:

                      Classification of Earnings and Profits for Purposes of Sec.  1.962-3
----------------------------------------------------------------------------------------------------------------
                                           Section 959(c)(1)                 Section 959(c)(2)
                                  --------------------------------------------------------------------
                                      Non-    Excludable   Taxable      Non-    Excludable   Taxable
                                    section     section    section    section     section    section    Section
               Year                   962         962        962,       962         962        962        959
                                    earnings   earnings    earnings   earnings   earnings    earnings    (c)(3)
                                      and         and        and        and         and        and
                                    profits     profits    profits    profits     profits    profits
----------------------------------------------------------------------------------------------------------------
1963.............................        $25         $11        $39  .........  ..........  .........  .........
1964.............................         75  ..........  .........        $60  ..........  .........        $15
1965.............................  .........  ..........  .........         75         $33       $117  .........
1966.............................  .........  ..........  .........         50          22         78  .........
1967.............................  .........  ..........  .........  .........  ..........  .........         75
----------------------------------------------------------------------------------------------------------------

    (b) During 1967, M Corporation makes three separate distributions to 
A of $200, $208, and $267. The source of such distributions under Sec. 
1.959-3 and this section is as follows:

------------------------------------------------------------------------
                                                      Classification of
                                                     distributions under
           Distribution             Amount    Year     sections 959 and
                                                            962(d)
------------------------------------------------------------------------
No. 1............................       $75    1964  (c)(1) non-section
                                         25    1963   962.
                                         11    1963   Do.
                                         39    1963  (c)(1) excludable
                                         50    1966   section 962.
                                                     (c)(1) taxable
                                                      section 962.
                                                     (c)(2) non-section
                                                      962.
                                  ----------
  Total..........................       200
----------------------------------
No. 2............................        22    1966  (c)(2) excludable
                                         78    1966   section 962
                                         75    1965  (c)(2) taxable
                                         33    1965   section 962.
                                                     (c)(2) non-section
                                                      962.
                                                     (c)(2) excludable
                                                      section 962.

  Total..........................       208
----------------------------------
No. 3............................       117    1965  (c)(2) taxable
                                         60    1964   section 962.
                                         75    1967  (c)(2) non-section
                                         15    1964   962.
                                                     (c)(3).
                                                      Do.
                                  ----------
  Total..........................       267
------------------------------------------------------------------------

    (c) A must include $324 in his gross income for 1967. The source of 
these amounts is as follows:

------------------------------------------------------------------------
           Distribution             Amount    Year      Classification
------------------------------------------------------------------------
No. 1............................       $39    1963  (c)(1) taxable
                                                      section 962.
No. 2............................        78    1966  (c)(2) taxable
                                                      section 962.
No. 3............................       117    1965   Do.
                                         75    1967  (c)(3).
                                         15    1964   Do.
                                  ----------
  Total..........................       324
------------------------------------------------------------------------

    (c) Treatment of shareholder's successor in interest--(1) In 
general. If a United States person (as defined in Sec. 1.957-4) 
acquires from any person any portion of the interest in the foreign 
corporation of a United States shareholder referred to in this section, 
the rules of paragraphs (a) and (b) of this section shall apply to such 
acquiring person. However, no exclusion of section 962 earnings and 
profits under paragraph (a) of this section shall be allowed unless such 
acquiring person establishes to the satisfaction of the district 
director his right to such exclusion. The information to be furnished by 
the acquiring person to the district director with his return for the 
taxable year to support such exclusion shall include:
    (i) The name, address, and taxable year of the foreign corporation 
from which a distribution of section 962 earnings and profits is 
received and of

[[Page 430]]

all other corporations, partnerships, trusts, or estates in any 
applicable chain of ownership described in section 958(a);
    (ii) The name and address of the person from whom the stock interest 
was acquired;
    (iii) A description of the stock interest acquired and its relation, 
if any, to a chain of ownership described in section 958(a);
    (iv) The amount for which an exclusion under paragraph (a) of this 
section is claimed; and
    (v) Evidence showing that the section 962 earnings and profits for 
which an exclusion is claimed are attributable to amounts which were 
included in the gross income of a United States shareholder under 
section 951(a) subject to an election under Sec. 1.962-2, that such 
amounts were not previously excluded from the gross income of a United 
States person, and the identity of the United States shareholder 
including such amount.

The acquiring person shall also furnish to the district director such 
other information as may be required by the district director in support 
of the exclusion.
    (2) Taxes previously deemed paid by an individual United States 
shareholder. If a corporate successor in interest of an individual 
United States shareholder receives a distribution of section 962 
earnings and profits, the income, war profits, and excess profits taxes 
paid to any foreign country or to any possession of the United States in 
connection with such earnings and profits shall not be taken into 
account for purposes of section 902, to the extent such taxes were 
deemed paid by such individual United States shareholder under paragraph 
(b)(2) of Sec. 1.962-1 and section 960(a)(1) for any prior taxable 
year.

[T.D. 6858, 30 FR 13696, Oct. 28, 1965]