[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: 26CFR1.996-3]

[Page 726-731]
 
                       TITLE 26--INTERNAL REVENUE
 
    CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY 
                               (CONTINUED)
 
PART 1_INCOME TAXES--Table of Contents
 
Sec. 1.996-3  Divisions of earnings and profits.

    (a) In general. For purposes of sections 991 through 997, the 
earnings and profits of a DISC, or former DISC, shall be treated as 
composed of the following three divisions:
    (1) Accumulated DISC income (as defined in paragraph (b) of this 
section),
    (2) Previously taxed income (as defined in paragraph (c) of this 
section), and
    (3) Other earnings and profits (as defined in paragraph (d) of this 
section),
    (b) Accumulated DISC income defined. (1) Accumulated DISC income is 
that portion of a corporation's earnings and profits which were derived 
during taxable years for which it qualified as a DISC and which were 
deferred from taxation. Accumulated DISC income as of the close of each 
taxable year of the corporation is--
    (i) The amount of accumulated DISC income as of the close of the 
immediately preceding taxable year increased by,
    (ii) The amount of DISC income for the year (as determined in 
subparagraph (2) of this paragraph) and reduced (but not below zero) by,
    (iii) The items enumerated in subparagraph (3) of this paragraph.
    (2) Under section 996(f)(1), DISC income is (i) the earnings and 
profits derived by the corporation during a taxable year for which such 
corporation is a DISC minus (ii) amounts deemed distributed under Sec. 
1.995-2 other than the amount of foreign investment attributable to 
producer's loans described in Sec. 1.995-2(a)(5). For example, the 
earnings and profits of a DISC for a taxable year include any amounts 
includible in such DISC's gross income pursuant to section 951(a) 
(relating to controlled foreign corporations). Deemed distributions 
under Sec. 1.995-2(a)(5) are taken into account under subparagraph (3) 
of this paragraph as a reduction in computing accumulated DISC income.
    (3) The accumulated DISC income (as increased by DISC income for the 
year determined under subparagraph (2) of this paragraph) is reduced by 
each of the following items in the following order:
    (i) Any amount deemed distributed for such year under Sec. 1.995-3 
(relating to deemed distributions upon disqualification),
    (ii) Any amount of foreign investment attributable to producer's 
loans deemed distributed for such year under Sec. 1.995-2(a)(5) to the 
extent it is charged

[[Page 727]]

to accumulated DISC income under Sec. 1.996-1(b)(1)(i),
    (iii) The amount of any adjustment to accumulated DISC income for 
such year under Sec. 1.966-4(b)(1), and
    (iv) To the extent they are treated, under Sec. 1.996-1 (a) or (b) 
(relating to ordering rules for distributions), as made out of 
accumulated DISC income, the amounts of any actual qualifying 
distributions pursuant to Sec. 1.992-3 in the order in which they are 
made, and thereafter by the amounts of any other actual distributions in 
the order in which they are made, except that, prior to each actual 
distribution, accumulated DISC income shall be reduced by the portion of 
any deficit in earnings and profits for the taxable year chargeable at 
that time under Sec. 1.996-2(a)(2) to accumulated DISC income.
    (4) Every distribution or other reduction in accumulated DISC income 
pursuant to subparagraph (3) of this paragraph shall be charged to the 
most recently accumulated DISC income.
    (c) Previously taxed income. Under section 996(f)(2), previously 
taxed income as of the close of each taxable year of the corporation is 
an amount equal to--
    (1) The sum of--
    (i) The amount of previously taxed income as of the close of the 
immediately preceding taxable year,
    (ii) Amounts deemed distributed for the current year under Sec. 
1.995-2 (relating to deemed distributions in qualified years),
    (iii) Amounts deemed distributed for the current year under Sec. 
1.995-3 (relating to deemed distributions upon disqualification),
    (iv) With respect to a distribution in redemption to which Sec. 
1.996-4(b)(1) applies, an amount equal to the excess (if any) of (a) the 
amount of the reduction under Sec. 1.996-4(b)(1) in accumulated DISC 
income over (b) the reduction in the corporation's earnings and profits 
(see section 312(e)), and
    (v) Any amount by which accumulated DISC income is reduced under 
paragraph (b)(3)(ii) of this section by reason of a deemed distribution 
as a dividend, under Sec. 1.995-2(a)(5), of an amount of foreign 
investment attributable to producer's loans,
    (2) Decreased (but not below zero), to the extent they are treated, 
under Sec. 1.996-1 (a) or (b) (relating to ordering rules for 
distributions), as made out of previously taxed income, by the amounts 
of any actual qualifying distributions pursuant to Sec. 1.992-3 in the 
order in which they are made, and thereafter by the amounts of any other 
actual distributions in the order in which they are made, except that, 
prior to any actual distribution, previously taxed income shall be 
reduced by the portion of any deficit in earnings and profits for the 
taxable year chargeable at that time under Sec. 1.996-2(a)(3) to 
previously taxed income.
    (d) Other earnings and profits. Under section 996(f)(3), other 
earnings and profits consist of earnings and profits other than 
accumulated DISC income and previously taxed income described 
respectively in paragraphs (b) and (c) of this section. Other earnings 
and profits as of the close of each taxable year of the corporation is 
(subject to paragraph (e) of this section) an amount equal to the amount 
of other earnings and profits as of the close of the immediately 
preceding taxable year decreased (if necessary, below zero) in the 
following order by--
    (1) To the extent they are treated, under Sec. 1.996-1 (a) or (b) 
(relating to ordering rules for distributions), as made out of other 
earnings and profits, the amounts of any actual qualifying distributions 
pursuant to Sec. 1.992-3 in the order in which they are made, and 
thereafter the amounts of any other actual distributions in the order in 
which they are made, except that, prior to any actual distribution, 
other earnings and profits shall be reduced by the portion of any 
deficit in earnings and profits for the taxable year chargeable at that 
time under Sec. 1.996-2(a)(1) to other earnings and profits, and
    (2) With respect to a distribution in redemption to which Sec. 
1.996-4(b)(1) applies, an amount equal to the excess (if any) of (a) the 
reduction in the corporation's earnings and profits (see section 312(e)) 
over (b) the amount of the reduction under Sec. 1.996-4(b)(1) in 
accumulated DISC income.
    (e) Distributions in kind. (1) For purposes of determining, under 
paragraphs (b), (c), and (d) of this section, the

[[Page 728]]

amount by which any division of earnings and profits is reduced by 
reason of a distribution of property (other than money or the DISC's, or 
former DISC's, own obligations), the amount of such distribution is the 
fair market value of such property at the time of the distribution.
    (2) For any taxable year in which the DISC makes a distribution of 
such property, the amount of other earnings and profits determined under 
paragraph (d) of this section (without regard to this subparagraph) 
shall be--
    (i) Increased by the excess (if any) of the amount of such 
distribution treated as a dividend under section 316(a) over the 
adjusted basis of such property, and
    (ii) Decreased by the excess (if any) of the adjusted basis of such 
property over the amount of such distribution treated as a dividend 
under section 316 (a).

Each item of property shall be considered separately for purposes of 
making the adjustment under this subparagraph.
    (f) Examples. The provisions of Sec. Sec. 1.996-1, 1.996-2, and 
this section may be illustrated by the following examples:

    Example 1. M Corporation, which uses the calendar year as its 
taxable year, elects to be treated as a DISC beginning with 1974. During 
1975, M derives no earnings and profits and makes no deemed or actual 
distributions, except that on December 31, 1975, M's shareholders are 
treated as having received a dividend distribution of $100 under Sec. 
1.995-2 (a)(5) (relating to foreign investment attributable to 
producer's loans). M's earnings and profits are adjusted as shown on 
line (2) of the table below on the basis of facts assumed therein.

----------------------------------------------------------------------------------------------------------------
                                                                                                         Other
                                                                Accumulated  Accumulated  Previously   earnings
                                                                  earnings   DISC income     taxed        and
                                                                and profits                 income      profits
----------------------------------------------------------------------------------------------------------------
(1) Balance January 1, 1975...................................         $450         $100        $250        $100
(2) Adjustments (see paragraphs (b)(3)(ii) and (c)(1)(v) of               0        (100)         100           0
 this section)................................................
                                                               --------------
(3) Balance January 1, 1976...................................          450            0         350         100
----------------------------------------------------------------------------------------------------------------

    Example 2. N Corporation, which uses the calendar year as its 
taxable year, elects to be treated as a DISC beginning with 1972. During 
1973, N derives no earnings and profits for the year and makes no deemed 
or actual distributions, except that A, a shareholder, realized $200 of 
gain upon receiving an actual cash distribution of $300 in redemption of 
N stock having an adjusted basis of $100 in his hands. The redemption is 
treated as an exchange under section 302(a) but, under section 995(c), A 
includes the $200 of gain in his gross income as a dividend. Assuming 
that, under section 312(e), $240 is properly chargeable to capital 
account of N and that, under Sec. 1.996-4(b), accumulated DISC income 
is reduced by $200, N's accounts are adjusted on line (2) of the table 
below on the basis of facts assumed therein.

----------------------------------------------------------------------------------------------------------------
                                                                                                         Other
                                                                Accumulated  Accumulated  Previously   earnings
                                                       Capital    earnings   DISC income     taxed        and
                                                                and profits                 income      profits
----------------------------------------------------------------------------------------------------------------
(1) Balance January 1, 1973.........................    $2,000         $400         $300        $100           0
(2) Adjustments (see Sec.  1.996-4(b) and paragraph     (240)         (60)        (200)         140           0
 (c)(1)(iv) of this section)........................
                                                     -----------
(3) Balance January 1, 1974.........................     1,760          340          100         240           0
----------------------------------------------------------------------------------------------------------------

    Example 3. P Corporation, which uses the calendar year as its 
taxable year, elects to be treated as a DISC beginning with 1973. During 
1974, P derives no earnings and profits for the year and makes no deemed 
or actual distributions, except for a distribution to B, its sole 
shareholder, of property with a fair market value of $100 and an 
adjusted basis in P's hands of $40. Under Sec. 1.996-1(a)(1), B treats 
the entire amount of the distribution as being made out of previously 
taxed income and, under Sec. 1.996-1(c), excludes it from his gross 
income. P's earnings and profits, divisions are adjusted on lines (2) 
and (3) of the table below on the basis of facts assumed therein.

[[Page 729]]



----------------------------------------------------------------------------------------------------------------
                                                                                                         Other
                                                                Accumulated  Accumulated  Previously   earnings
                                                                  earnings   DISC income     taxed        and
                                                                and profits                 income      profits
----------------------------------------------------------------------------------------------------------------
(1) Balance January 1, 1974...................................         $200          $80        $120           0
(2) Adjustment under paragraphs (c)(2) and (e)(1) this section         (40)            0       (100)           0
(3) Adjustment under paragraph (e)(2)(i) of this section......            0            0           0         $60
                                                               --------------
(4) Balance January 1, 1975...................................          160           80          20          60
----------------------------------------------------------------------------------------------------------------

    Example 4. Q Corporation, which uses the calendar year as its 
taxable year, elects to be treated as a DISC beginning with 1974. On 
January 1, 1975, Q has accumulated earnings and profits of $1,200 and, 
during 1975, Q incurs a deficit in earnings and profits of $365. The 
amount of such deficit incurred as of any date before the close of 1975 
cannot be shown. On July 1, 1975, Q makes a cash distribution of $650, 
with respect to its stock to C, Q's sole shareholder. C subsequently 
transfers by gift all of his Q stock to D. On December 31, 1975, Q makes 
a cash distribution of $650, with respect to its stock, to D. Under 
these facts and additional facts assumed in the table below, C is 
treated as having received a dividend of $650 of which $320 is treated 
as distributed out of previously taxed income and excluded from gross 
income. D is treated as receiving a dividend of $186. Adjustments to Q's 
earnings and profits accounts are illustrated in the table below:

----------------------------------------------------------------------------------------------------------------
                                                                                                         Other
                                                                Accumulated  Accumulated  Previously   earnings
                                                                  earnings   DISC income     taxed        and
                                                                and profits                 income      profits
----------------------------------------------------------------------------------------------------------------
(1) Balance January 1, 1975...................................       $1,200         $800        $320         $80
(2) Portion of 1975 deficit of $365 chargeable as of June 30,         (181)        (101)           0        (80)
 1975, pursuant to Sec.  1.996-2(a)..........................
                                                               --------------
(3) Balance July 1, 1975......................................        1,019          699         320           0
(4) $650 distributed to C on July 1, 1975.....................        (650)        (330)       (320)           0
(5) Portion of 1975 deficit of $365 chargeable as of December         (183)        (183)           0           0
 30, 1975, pursuant to Sec.  1.996-2(a)......................
                                                               --------------
(6) Balance December 31, 1975.................................         $186         $186           0           0
(7) $650 distributed to D on December 31, 1975 \1\............        (186)        (186)           0           0
                                                               --------------
(8) Balance January 1, 1976...................................            0            0           0           0
----------------------------------------------------------------------------------------------------------------
\1\ $60 treated as return of capital pursuant to section 301(c)(2).

    Examples 5: (1) Facts. R Corporation, which uses the calendar year 
as its taxable year elects to be treated as a DISC beginning with 1972. 
X Corporation is its sole shareholder. At the beginning of 1974, R has a 
deficit in earnings and profits of $60 all of which is composed of 
``other earnings and profits''. For 1974, R has earnings and profits of 
$80 before reduction for any distributions and taxable income of $70. On 
June 15, 1974, R makes a cash distribution to X of $60, with respect to 
its stock, to which section 301 applies. On August 15, 1974, R makes a 
cash distribution to X of $30 designated as a distribution to meet 
qualification requirements pursuant to Sec. 1.992-3. Under Sec. 1.995-
2(a), X is deemed to receive, on December 31, 1974, a distribution of a 
dividend of $35, i.e., one-half of R's taxable income of $70. The tax 
consequences of these facts to X and their effect on R's earnings and 
profits are set forth in the subsequent subparagraphs of this example.
    (2) Dividend treatment of actual distributions. Since R had $80 of 
earnings and profits for 1974 and a deficit in accumulated earnings and 
profits at the beginning of 1974, only $80 of the actual distributions 
($90) are treated as dividends under sections 301(c)(1) and 316(a)(2). 
($10 of the actual distribution, which is not treated as a dividend is 
treated in the manner specified in section 301(c) (2) and (3).) Thus, 
under Sec. 1.316-2(b), $26.67 of the actual qualifying distribution 
made on August 15, 1974 ($30x $80/$90), and $53.33 of the actual 
distribution made on June 15, 1974 ($60x$80/$90), are considered made 
out of earnings and profits.
    (3) Priority of distributions. Under Sec. 1.996-1(d), for purposes 
of adjusting the divisions of R's earnings and profits and determining 
the treatment of subsequent distributions, the sequence in which each 
distribution is treated as having been made is--
    (i) First, the deemed distribution of $35,
    (ii) Second, the actual qualifying distribution of $30 made on 
August 15, 1974, pursuant to Sec. 1.992-3, and

[[Page 730]]

    (iii) Finally, the actual distribution of $60 made on June 15, 1974.
    (4) Treatment and effect of deemed distribution. Under Sec. 1.995-
2(a), on December 31, 1974, X includes the deemed distribution of $35 in 
its gross income as a dividend. Under paragraph (c)(1)(ii) of this 
section, R's previously taxed income is increased by $35 as shown on 
line (3) of the table in subparagraph (7) of this example. Under 
paragraph (b)(1)(ii) and (2) of this section, accumulated DISC income is 
increased by $45 of DISC income, i.e., R's earnings and profits for 
1974, $80, minus the deemed distribution of $35, as shown on line (4) of 
the table.
    (5) Treatment and effect of actual qualifying distribution of $30. 
As indicated in subparagraph (2) of this example, $26.67 of the $30 
qualifying distribution on August 15, 1974, is treated as made out of 
earnings and profits for 1974. Under Sec. 1.996-1(b)(1)(i), the entire 
$26.67 is treated as distributed out of accumulated DISC income. Thus, 
on August 15, 1974, X includes $26.67 in its gross income as a dividend. 
No deduction is allowable under section 243. Under paragraph (b)(3)(iv) 
of this section, R's accumulated DISC income is reduced by $26.67 as 
shown on line (6) of the table in subparagraph (7) of this example.
    (6) Treatment and effect of actual distribution of $60. As indicated 
in subparagraph (2) of this example, $53.33 of the $60 distribution on 
June 15, 1974, is treated as made out of earnings and profits for 1974. 
Under Sec. 1.996-1(a), the $53.33 is treated as distributed out of 
previously taxed income to the extent thereof, $35, and then out of 
accumulated DISC income, $18.33. Thus, on June 15, 1974, X includes 
$18.33 in its gross income as a dividend. Under Sec. 1.996-1(c), the 
distribution of $35 out of previously taxed income is excluded from 
gross income. No deduction is allowable under section 243 with respect 
to the actual distribution of $53.33. Under paragraph (b)(3)(iv) of this 
section, accumulated DISC income is reduced by $18.33 and, under 
paragraph (c)(2) of this section, previously taxed income is reduced by 
$35, as shown on line (7) of the table in subparagraph (7) of this 
example.
    (7) Summary. The effects on earnings and profits and the divisions 
of earnings and profits are summarized in the following table:

----------------------------------------------------------------------------------------------------------------
                                                   Earnings   Accumulated                Previously     Other
                                                 and profits    earnings   Accumulated     taxed       earnings
                                                   for year   and profits  DISC income     income    and profits
----------------------------------------------------------------------------------------------------------------
(1) Balance January 1, 1974....................  ...........     ($60.00)  ...........  ...........     ($60.00)
(2) Earnings and profits for year before              $80.00  ...........  ...........  ...........  ...........
 reduction for distributions...................
(3) Deemed distribution of $35 to X on December  ...........  ...........  ...........       $35.00  ...........
 31, 1974, under Sec.  1.995-2(a).............
(4) DISC income for 1974 of $45 as defined in    ...........  ...........       $45.00  ...........  ...........
 paragraph (b)(2) of this section (line 2 ($80)
 minus line 3 ($35))...........................
                                                --------------
(5) Balance before actual distributions........        80.00      (60.00)        45.00        35.00      (60.00)
(6) Qualifying distribution of $30 to X on           (26.67)  ...........      (26.67)  ...........  ...........
 August 15, 1974, pursuant to Sec.  1.992-3...
(7) Actual distribution to P of $60 on June 15,      (53.33)  ...........      (18.33)      (35.00)  ...........
 1974..........................................
                                                --------------
(8) Balance January 1, 1975....................            0      (60.00)            0  ...........      (60.00)
----------------------------------------------------------------------------------------------------------------

    Example 6. Assume the facts are the same as in example 5, except 
that at the beginning of 1974 R's accumulated earnings and profits 
amount to $60 consisting of accumulated DISC income of $20, previously 
taxed income of $10, and other earnings and profits of $30. In addition, 
on August 1, 1974, X transfers all R's stock to Y Corporation in a 
reorganization described in section 368(a)(1)(B) in which under section 
354 X recognizes no gain or loss. Under these facts, X includes in its 
gross income for 1974 a dividend of $15 which is attributable to the 
actual distribution of $60 paid out of earnings and profits on June 15, 
1974. X excludes from gross income the balance of the $60 distribution 
($45) paid out of earnings and profits because, under Sec. 1.996-1(a), 
it is treated as paid out of previously taxed income. Y includes in its 
gross income for 1974 a dividend of $65 of which $35 is attributable to 
the deemed distribution of a dividend to Y on December 31, 1974, under 
Sec. 1.995-2(a) and $30 is attributable to the qualifying distribution 
paid out of earnings and profits to Y on August 15, 1974. The 
adjustments to R's earnings and profits are summarized in the following 
table:

[[Page 731]]



----------------------------------------------------------------------------------------------------------------
                                                   Earnings   Accumulated                Previously     Other
                                                 and profits    earnings   Accumulated     taxed       earnings
                                                   for year   and profits  DISC income     income    and profits
----------------------------------------------------------------------------------------------------------------
(1) Balance January 1, 1974....................  ...........          $60          $20          $10          $30
(2) Earnings and profits for year before                 $80  ...........  ...........  ...........  ...........
 reduction for distributions...................
(3) Deemed distribution of $35 to Y on December  ...........  ...........  ...........           35  ...........
 31, 1974, under Sec.  1.995-2(a).............
(4) DISC income for 1974 of $45 as defined in    ...........  ...........           45  ...........  ...........
 paragraph (b)(2) of this section (line 2 ($80)
 minus line 3 ($35))...........................
                                                --------------
(5) Balance before actual distributions........           80           60           65           45           30
(6) Qualifying distribution of $30 to Y on           (26.67)       (3.33)         (30)  ...........  ...........
 August 15, 1974, pursuant to Sec.  1.992-3...
(7) Actual distribution to X of $60 on June 15,      (53.33)       (6.67)         (15)         (45)  ...........
 1974..........................................
                                                --------------
(8) Balance January 1, 1975....................  ...........           50           20            0           30
----------------------------------------------------------------------------------------------------------------

    (g) DISCs having corporate and noncorporate shareholders. In the 
case of a DISC having one or more corporate shareholders but less than 
all of its shareholders subject to the special rules of section 
291(a)(4), relating to certain deferred DISC income as a corporate 
preference item, accumulated DISC income and previously taxed income of 
the DISC are divided between the corporate shareholders, as a class, and 
the other shareholders, as a class, in proportion to amounts of DISC 
income not deemed distributed and amounts deemed distributed to each 
class. Subsequent taxation of actual and qualifying distributions shall 
be based upon this division. Thus, if a DISC is owned 50 percent by 
corporate shareholders and 50 percent by individual shareholders and has 
undistributed taxable income of $2,000 for its year, the division is 
made as follows:




Corporate shareholders:
    Previously taxed income (57.5% of $2,000/2)............         $575
    Accumulated DISC income (42.5% of $2,000/2)............          425
Individual shareholders:
    Previously taxed income (50% of $2,000/2)..............          500
    Accumulated DISC income (50% of $2,000/2)..............          500



(Secs. 995(e)(7), (8) and (10), 995(g) and 7805 of the Internal Revenue 
Code of 1954 (90 Stat. 1655, 26 U.S.C. 995 (e)(7), (8) and (10); 90 
Stat. 1659, 26 U.S.C. 995(g); and 68A Stat. 917, 26 U.S.C. 7805))

[T.D. 7324, 39 FR 35121, Sept. 30, 1974, as amended by T.D. 7854, 47 FR 
51742, Nov. 17, 1982; T.D. 7984, 49 FR 40024, Oct. 12, 1984]