| Income (Section 61 ) | |
| Dividends | $200,000 |
| Interest | 10,000 |
| Rent | 5,000 |
| Gross income as defined in section 61 | 215,000 |
| Add: | |
| Distributive share of undistributed income of the other foreign personal holding company (considered as a dividend) | 85,000 |
| Gross income as defined in section 555 | 300,000 |
| Deductions (Section 161 ) | |
| Expenses allocable to operation of the rented property | $75,000 |
| Depreciation of the rented property | 30,000 |
| Ordinary and necessary expenses (office) | 10,000 |
| Contributions (within the 5-percent limitation specified in section 170(b) (2) | 5,000 |
| 120,000 | |
| Taxable income for purposes of computing undistributed foreign personal holding company income | 180,000 |
| Taxable income for purposes of computing undistributed foreign personal holding company income | $180,000 |
| Add (see section 556(b)): | |
| Contributions deductible in computing taxable income under section 63 | 5,000 |
| Excess property expenses and depreciation over amount of rent received for use of property ($105,000−$5,000) | 100,000 |
| Total | 105,000 |
| Deduct (see section 556(b)): | |
| Federal income taxes | 59,125 |
| Contributions (within the percentage limitations specified in section 170(b)(1) (A) and (B), determined under the rules provided in section 556(b)(2)) | 15,000 |
| Total | 74,125 |
| Net additions under section 556(b) | 30,875 |
| Taxable income, as adjusted under section 556(b) | 210,875 |
| Less: Deduction for dividends paid (see section 561) | 50,000 |
| Undistributed foreign personal holding company income | 160,875 |