[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: 26CFR1.995-3]

[Page 708-709]
 
                       TITLE 26--INTERNAL REVENUE
 
    CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY 
                               (CONTINUED)
 
PART 1_INCOME TAXES--Table of Contents
 
Sec. 1.995-3  Distributions upon disqualification.

    (a) General rule. Under section 995 (b)(2), a shareholder of a 
corporation which is disqualified from being a DISC, either because 
pursuant to Sec. 1.992-2(e)(2) it revoked its election to be treated as 
a DISC or because it has failed to satisfy the requirements as set forth 
in Sec. 1.992-1 to be a DISC for a taxable year, shall be deemed to 
have received (at the times specified in paragraph (b) of this section) 
distributions taxable as dividends aggregating an amount equal to his 
pro rata share of the accumulated DISC income (as defined in Sec. 
1.996-3(b)) of such corporation which was accumulated during the 
immediately preceding consecutive taxable years for which the 
corporation was a DISC. The pro rata share referred to in the preceding 
sentence shall be determined as of the close of the last of such 
consecutive taxable years for which the corporation was a DISC. See 
Sec. 1.996-7(c) for rules relating to the carryover of, and maintaining 
a separate account for, such accumulated DISC income in certain 
reorganizations.
    (b) Time of receipt of deemed distributions. Distributions described 
in paragraph (a) of this section shall be deemed to be received in equal 
installments on the last day of each of the 10 taxable years of the 
corporation following the year of the disqualification described in 
paragraph (a) of this section, except that in no case may the number of 
equal installments exceed the number of the immediately preceding 
consecutive taxable years for which the corporation was a DISC.
    (c) Transfer of shares. Deemed distributions are includible under 
paragraphs (a) and (b) of this section in a shareholder's gross income 
as a dividend only so long as he continues to hold the shares with 
respect to which the distribution is deemed made. Thus, the transferee 
of such shareholder will include in his gross income under paragraphs 
(a) and (b) of this section the remaining installments of the deemed 
distribution which the transferor would have included in his gross 
income as a dividend had he not transferred the shares. However, if the 
transferee acquires the shares in a transaction in which the 
transferor's gain is treated under Sec. 1.995-4 in whole or in part as 
a dividend, then under Sec. 1.996-4(a) such transferee does not include 
subsequent installments in his gross income to the extent that the 
transferee treats such subsequent installments as made out of previously 
taxed income.
    (d) Effect of requalification. Deemed distributions under paragraphs 
(a) and (b) of this section continue and are includible in gross income 
as dividends by the shareholders whether or not the corporation 
subsequently requalifies and is treated as a DISC.
    (e) Effect of actual distributions and deemed distributions under 
section 995(b)(1)(G). If, during the period a shareholder of a DISC, or 
former DISC, is taking into account deemed distributions under 
paragraphs (a) and (b) of this section, an actual distribution is made 
to him out of accumulated DISC income or a deemed distribution because 
of foreign investment attributable to producer's loans is made under 
Sec. 1.995-2(a)(5) out of accumulated DISC income, such actual or 
deemed distribution shall first reduce the last installment of the 
deemed distributions scheduled to be included in the shareholder's gross 
income as a dividend, and then the preceding scheduled installments in 
reverse order. If deemed distributions are scheduled to

[[Page 709]]

be included in gross income for two or more disqualifications, an actual 
distribution or a deemed distribution under Sec. 1.995-2 (a)(5) which 
is treated as made out of accumulated DISC income reduces the deemed 
distributions resulting from the earlier disqualification first.
    (f) Examples. This section may be illustrated by the following 
examples:

    Example 1. X Corporation, which uses the calendar year as its 
taxable year, elects to be treated as a DISC beginning with 1972. X 
qualifies as a DISC for taxable years 1972 through 1975, but, pursuant 
to Sec. 1.992-2(e)(2), revokes its election as of January 1, 1976, and 
is disqualified as a DISC. On that date, X has $24,000 of accumulated 
DISC income. X's shareholders will be deemed to receive $6,000 in 
distributions taxable as a dividend on the last day of each of X's four 
succeeding taxable years (1977, 1978, 1979, and 1980).
    Example 2. Assume the same facts as in example 1, except that in 
1978 X makes an actual distribution of $22,000 to its shareholders of 
which $10,000 is treated under Sec. 1.996-1 as made out of accumulated 
DISC income. (The remaining $12,000 of such distribution is treated as 
made out of previously taxed income.) The actual distribution would 
first reduce the $6,000 deemed distribution scheduled for 1980 to zero 
and then reduce the $6,000 deemed distribution scheduled for 1979 to 
$2,000. Thus, X's shareholders include in 1978 $16,000 is gross income 
as dividends ($10,000 of actual distributions and the $6,000 deemed 
distribution scheduled for that year) and $2,000 as a dividend in 1979.
    Example 3. Assume the same facts as in example 2, except that X 
requalifies as a DISC for taxable year 1977 during which it derives 
$7,000 of DISC income (computed after taking into account a deemed 
distribution under Sec. 1.995-2(a)(4) of $7,000), but is again 
disqualified in 1978. In addition X makes an actual distribution in 1977 
equal to the deemed distribution of $7,000. Such actual distribution is 
excluded from gross income under Sec. 1.996-1(c). In 1977. X's 
shareholders include in gross income as dividends the $6,000 deemed 
distribution upon disqualification (in addition to the deemed 
distributions of $7,000 under Sec. 1.995-2 for 1977 when it was treated 
as a DISC). The actual distribution in 1978 still reduces the 
installments resulting from the earlier disqualification. Thus, in 1978, 
X's shareholders include $16,000 in gross income as dividends. In 1979, 
X's shareholders include $9,000 in gross income as dividends (the final 
installment of $2,000 from the earlier disqualification plus the single 
deemed distribution of $7,000 resulting from the later 
disqualification).

[T.D. 7324, 39 FR 35112, Sept. 30, 1974, as amended by T.D. 7854, 47 FR 
51741, Nov. 17, 1982]