[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: 26CFR1.993-6]

[Page 682-684]
 
                       TITLE 26--INTERNAL REVENUE
 
    CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY 
                               (CONTINUED)
 
PART 1_INCOME TAXES--Table of Contents
 
Sec. 1.993-6  Definition of gross receipts.

    (a) General rule. Under section 993(f), for purposes of sections 991 
through 996, the gross receipts of a person for a taxable year are--
    (1) The total amounts received or accrued by the person from the 
sale or lease of property held primarily for sale or lease in the 
ordinary course of a trade or business, and
    (2) Gross income recognized from all other sources, such as, for 
example, from--

[[Page 683]]

    (i) The furnishing of services (whether or not related to the sale 
or lease of property described in subparagraph (1) of this paragraph),
    (ii) Dividends and interest,
    (iii) The sale at a gain of any property not described in 
subparagraph (1) of this paragraph, and
    (iv) Commission transactions as and to the extent described in 
paragraph (e) of this section.
    (b) Nongross receipts items. For purposes of paragraph (a) of this 
section, gross receipts do not include amounts received or accrued by a 
person from--
    (1) The proceeds of a loan or of the repayment of a loan, or
    (2) A receipt of property in a transaction to which section 118 
(relating to contribution to capital) or 1032 (relating to exchange of 
stock for property) applies.
    (c) Nonreduction of total amounts. For purposes of paragraph (a) of 
this section, the total amounts received or accrued by a person are not 
reduced by returns and allowances, costs of goods sold, expenses, 
losses, a deduction for dividends received under section 243, or any 
other deductible amounts.
    (d) Method of accounting. For purposes of paragraph (a) of this 
section, the total amounts received or accrued by a person shall be 
determined under the method of accounting used in computing its taxable 
income. If, for example, a DISC receives advance or installment payments 
for the sale or lease of property described in paragraph (a)(1) of this 
section, for the furnishing of services, or which represent recognized 
gain from the sale of property not described in paragraph (a)(1) of this 
section, any amount of such advance payments is considered to be gross 
receipts of the DISC for the taxable year for which such amount is 
included in the gross income of the DISC.
    (e) Commission transactions. (1) In the case of transactions which 
give rise to a commission on the sale or lease of property or the 
furnishing of services by a principal, the amount recognized by the 
commission agent as gross income from all such transactions shall be the 
gross receipts derived by the principal from the sale or lease of the 
property, or the gross income derived by the principal from the 
furnishing of services, with respect to which the commissions are 
derived. In the case of a commission agent for a related supplier (as 
defined in Sec. 1.994-1(a)(3)(ii)), the gross receipts or gross income 
of such agent shall be determined as if it used the same method of 
accounting as its related supplier. In the case of a commission agent 
for a principal other than a related supplier, the gross receipts or 
gross income of such principal shall be determined as if such principal 
used the same method of accounting as its agent.
    (2) If the commission arrangement provides that the commission agent 
will receive a commission only with respect to sales or leases of export 
property, or the furnishing of services, which result in qualified 
export receipts, the commission agent will not take into account the 
gross receipts or gross income, as the case may be, derived by the 
principal from any transaction for which the commission agent would not 
be entitled to a commission under the commission arrangement.
    (f) Example. The provisions of this section may be illustrated by 
the following example:

    Example. During 1973, M, a related supplier (as defined in Sec. 
1.994-1(a)(3)(ii)) of N, is engaged in the manufacture of machines in 
the United States. N, a calendar year taxpayer, is engaged in the sale 
and lease of such machines in foreign countries. N furnishes services 
which are related and subsidiary to its sale and lease of such machines. 
N also acts as a commission agent in foreign countries for Z, an 
unrelated supplier, with respect to Z's sale of products. N receives 
dividends on stock owned by it in a related foreign export corporation 
(as defined in Sec. 1.993-5), interest on producer's loans made to M, 
and proceeds from sales of business assets located outside the United 
States resulting in a recognized gains and losses. N's gross receipts 
for 1973 are $3,550, computed on the basis of the additional facts 
assumed in the table below:

(1) N's sales receipts for machines manufactured by M (without    $1,500
 reduction for cost of goods sold and selling expenses)........
(2) N's lease receipts for machines manufactured by M (without       500
 reduction for depreciation and leasing expenses)..............
(3) N's gross income from services for machines manufactured by      400
 M (without reduction for service expenses)....................
(4) Z's sale receipts for products manufactured by Z (without        550
 reduction for Z's cost of goods sold, commissions on sales,
 and commission sales expenses)................................
(5) Dividends received by N....................................      150
(6) Interest received by N on producer's loans.................      200

[[Page 684]]


(7) Proceeds received by N representing recognized gain (but         250
 not losses) from sales of business assets located outside the
 United States.................................................
                                                                --------
(8) N's gross receipts.........................................    3,550
                                                                ========



[T.D. 7514, 42 FR 55468, Oct. 17, 1977]