| B Corporation (second-tier corporation): | ||
| Pretax earnings and profits | $100.00 | |
| Foreign income taxes (40%) | 40.00 | |
| Earnings and profits | 60.00 | |
| Dividends paid to A Corporation | $45.00 | |
| Foreign income taxes paid by B Corporation on or with respect to its accumulated profits | 40.00 | |
| Foreign income taxes of B Corporation deemed paid by A Corporation for 1978 under section 902(b)(1) ($45/$60×$40) | 30.00 | |
| A Corporation (first-tier corporation): | ||
| Pretax earnings and profits: | ||
| Dividends from B Corporation | $45.00 | |
| Other income | 100.00 | |
| Total pretax earnings and profits | 145.00 | |
| Foreign income taxes (20%) | 29.00 | |
| Earnings and profits | 116.00 | |
| Foreign income taxes paid, and deemed to be paid, by A Corporation on or with respect to its earnings and profits ($29 $30) | 59.00 | |
| Amount required to be included in N Corporation's gross income under section 951 with respect to A Corporation | 50.00 | |
| Dividends paid to N Corporation | 0 | |
| N Corporation (domestic corporation): | ||
| Foreign income taxes of A Corporation deemed paid by N Corporation for 1978 under section 960(a)(1) ($50/$116×$59) | 25.43 |
| B Corporation (second-tier corporation): | ||
| Pretax earnings and profits | $250.00 | |
| Foreign income taxes (20%) | 50.00 | |
| Earnings and profits | 200.00 | |
| Amounts required to be included in N Corporation's gross income under section 951 with respect to B Corporation | 150.00 | |
| Dividends paid to A Corporation | 150.00 | |
| Foreign income taxes paid on or with respect to earnings and profits of B Corporation | 50.00 | |
| A Corporation (first-tier corporation): | ||
| Pretax earnings and profits: | ||
| Dividends from B Corporation | $150.00 | |
| Other income | 200.00 | |
| Total pretax earnings and profits | 350.00 | |
| Foreign income taxes (10%) | 35.00 | |
| Earnings and profits | 315.00 | |
| Dividends paid to N Corporation | 135.00 | |
| Foreign income taxes paid by A Corporation on or with respect to its accumulated profits | 35.00 | |
| N Corporation (domestic corporation): | ||
| Foreign income taxes of B Corporation deemed paid by N Corporation for 1978 under section 960(a)(1) ($150/$200×$50) | 37.50 | |
| Foreign income taxes of A Corporation deemed paid by N Corporation for 1978 under section 902(a) ($135/$315×$35) | 15.00 | |
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| Total foreign income taxes deemed paid by N Corporation under section 901 | 52.50 | |
| B Corporation (second-tier corporation): | |
| Pretax earnings and profits | $100.00 |
| Foreign income taxes (40%) | 40.00 |
| Earnings and profits | 60.00 |
| Dividends paid to A Corporation | 50.00 |
| Foreign income taxes paid by B Corporation on or with respect to its accumulated profits | 40.00 |
| Foreign income taxes of B Corporation deemed paid by A Corporation for 1978 under section 902(b)(1) ($50/$60×$40) | 33.33 |
| A Corporation (first-tier corporation): | |
| Pretax earnings and profits: | |
| Dividends from B Corporation | $50.00 |
| Other income | 200.00 |
| Total pretax earnings and profits | 250.00 |
| Foreign income taxes (10%) | 25.00 |
| Earnings and profits | 225.00 |
| Foreign income taxes paid, and deemed to be paid, by A Corporation on or with respect to its earnings and profits ($25.00 $33.33) | 58.33 |
| Amounts required to be included in N Corporation's gross income for 1978 under section 951 with respect to A Corporation | 180.00 |
| Dividends paid to N Corporation: | |
| Dividends to which section 902(a) does not apply (from A Corporation's earnings and profits in respect of which an amount is required under section 951 to be included in N Corporation's gross income with respect to A Corporation) | 180.00 |
| Dividends to which section 902(a) applies (from A Corporation's other earnings and profits) | 20.00 |
| Total dividends paid to N Corporation | $200.00 |
| N Corporation (domestic corporation): | |
| Foreign income taxes of corporations A and B deemed paid by N Corporation under section 960(a)(1) ($180/$225×$58.33) | 46.66 |
| Foreign income taxes of corporations A and B deemed paid by N Corporation under section 902(a) ($20/$225×$58.33) | 5.18 |
| Total foreign income taxes deemed paid by N Corporation under section 901 | 51.84 |
| B Corporation (second-tier corporation): | ||
| Pretax earnings and profits | $250.00 | |
| Foreign income taxes (20%) | 50.00 | |
| Earnings and profits | 200.00 | |
| Amounts required to be included in N Corporation's gross income under section 951 for 1978 with respect to B Corporation | 150.00 | |
| Dividends paid by B Corporation: | ||
| Dividends to which section 902(b) does not apply (from B Corporation's earnings and profits in respect of which an amount is required under section 951 to be included in N Corporation's gross income with respect to B Corporation) | $150.00 | |
| Dividends to which section 902(b)(1) applies (from B Corporation's other earnings and profits) | 25.00 | |
| Total dividends paid to A Corporation | 175.00 | |
| Foreign income taxes paid by B Corporation on or with respect to its accumulated profits | 50.50 | |
| Foreign income taxes of B Corporation deemed paid by A Corporation for 1978 under section 902(b)(1) ($25/$200×$50) | 6.25 | |
| A Corporation (first-tier corporation): | ||
| Pretax earnings and profits | 175.00 | |
| Foreign income tax (10 percent) | 17.50 | |
| Earnings and profits | 157.50 | |
| Earnings and profits after exclusion of amounts attributable to dividends to which section 902(b) does not apply ($157.50 less [$150− ($150×0.10)]) | 22.50 | |
| Amount required to be included in N Corporation's gross income for 1978 under section 951 with respect to A Corporation | 22.50 | |
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| Dividends paid to N Corporation | 0 | |
| N Corporation (domestic corporation): | ||
| Foreign income taxes deemed paid by N Corporation under section 960(a)(1)(C) with respect to A Corporation: | ||
| Tax actually paid by A Corporation ($22.50/$157.50×$17.50) | 2.50 | |
| Tax of B Corporation deemed paid by A Corporation under section 902(b)(1) ($22.50/$22.50×$6.25) | 6.25 | |
| 8.75 | ||
| Foreign income taxes deemed paid by N Corporation under section 960(a)(1)(C) with respect to B Corporation ($150/$200×$50) | 37.50 | |
| Total taxes deemed paid under section 960(a)(1)(C) | 46.20 | |
| B Corporation (second-tier corporation): | ||
| Pretax earnings and profits | $250.00 | |
| Foreign income taxes (20%) | 50.00 | |
| Earnings and profits | 200.00 | |
| Amounts required to be included in N Corporation's gross income for 1978 under section 951 with respect to B Corporation | 150.00 | |
| Dividends paid by B Corporation: | ||
| Dividends to which section 902(b) does not apply (from B Corporation's earnings and profits in respect of which an amount is required under section 951 to be included in N Corporation's gross income with respect to B Corporation) | $150.00 | |
| Dividends to which section 902(b) applies (from B Corporation's other earnings and profits) | $25.00 | |
| Total dividends paid to A Corporation | $175.00 | |
| Foreign income taxes paid by B Corporation on or with respect to its accumulated profits | 50.00 | |
| Foreign income taxes of B Corporation deemed paid by A Corporation for 1978 under section 902(b)(1) ($25/$200×$50) | 6.25 | |
| A Corporation (first-tier corporation): | ||
| Pretax earnings and profits: | ||
| Dividends received from B Corporation | 175.00 | |
| Other income | 100.00 | |
| Total pretax earnings and profits | 275.00 | |
| Foreign income taxes (10 percent) | 27.50 | |
| Earnings and profits | 247.50 | |
| Earnings and profits after exclusion of amounts attributable to dividends to which section 902(b) does not apply ($247.50 less [$150 −($150×0.10)]) | 112.50 | |
| Amount required to be included in N Corporation's gross income for 1978 under section 951 with respect to A Corporation | 22.50 | |
| Distributions paid by A Corporation: | ||
| Dividends to which section 902(a) does not apply (From A Corporation's earnings and profits in respect of which an amount is required under section 951 to be included in N Corporation's gross income with respect to A Corporation) | 22.50 | |
| Dividends to which section 902(a) applies (from A Corporation's other earnings and profits) | 202.50 | |
| Total dividends paid to N Corporation | 225.00 | |
| N Corporation (domestic corporation): | ||
| Foreign income taxes deemed paid by N Corporation under section 960(a)(1) with respect to— | ||
| B Corporation ($150/$200×$50) | 37.50 | |
| A Corporation: | ||
| Tax paid by A Corporation ($22.50/ $247.50×$27.50) | 2.50 | |
| Tax of B Corporation deemed paid by A Corporation under section 902(b)(1) ($22.50/$112.50×$6.25) | 1.25 | 3.75 |
| Total taxes deemed paid under section 960(a)(1) | 41.25 | |
| Foreign income taxes deemed paid by N Corporation under section 902(a)(1) with respect to A Corporation: | ||
| Tax paid by A Corporation ($200.50/$247.50×$27.50) | 22.50 | |
| Tax of B Corporation deemed paid by A Corporation ($67.50/ $112.50×$6.25) | 3.75 | |
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| Total taxes deemed paid under section 902(a)(1) | 26.52 | |
| Total foreign income taxes deemed paid by N Corporation under section 901 | 67.05 | |
| B Corporation (2d-tier corporation): | ||
| Pretax earnings and profits | $200.00 | |
| Foreign income taxes (20%) | 40.00 | |
| Earnings and profits | 160.00 | |
| Amount required to be included in N Corporation's gross income for 1978 under section 951 with respect to B Corporation | 100.00 | |
| Dividends paid by B Corporation: | ||
| Dividends to which section 902(b) does not apply (from B corporation's earnings and profits in respect of which an amount is required under section 951 to be included in N corporation's gross income with respect to B corporation) | $100.00 | |
| Dividends to which section 902(b)(1) applies (from B corporation's other earnings and profits) | 50.00 | |
| Total dividends paid to A corporation | 150.00 | |
| Foreign income taxes of B corporation deemed paid by A corporation for 1978 under section 902(b)(1) ($50/$100× $40) | 12.50 | |
| A corporation (1st-tier corporation): | ||
| Pretax earnings and profits: | ||
| Dividends received from B corporation | 150.00 | |
| Other income | 100.00 | |
| Total pretax earnings and profits | 250.00 | |
| Foreign income taxes: | ||
| On dividends received from B corporation | None | |
| On other income ($100×0.10) | 10.00 | |
| Total foreign income taxes | 10.00 | |
| Earnings and profits: | ||
| Attributable to dividends received from B corporation to which section 902(b) does not apply | 100.00 | |
| Attributable to other income: | ||
| Attributable to dividends received from B Corporation to which section 902(b)(1) applies | 50.00 | |
| Attributable to other income ($100−$10) | 90.00 | |
| Subtotal | 140.00 | |
| Total earnings and profits | 240.00 | |
| Earnings and profits after exclusion of amounts attributable to dividends to which section 902(b) does not apply ($240−$100) | 140.00 | |
| Amount required to be included in N corporation's gross income for 1978 under section 951 with respect to A corporation | None | |
| Dividends paid by A corporation: | ||
| Dividends to which section 902(a) does not apply (from A corporation's earnings and profits in respect of which an amount is required under section 951 to be included in N corporation's gross income with respect to A corporation) | None | |
| Dividends to which section 902(a) applies (from A corporation's other earnings and profits) | $175.00 | |
| Total dividends paid to N corporation | $175.00 | |
| N corporation (domestic corporation): | ||
| Foreign income taxes deemed paid by N corporation under section 960(a)(1) with respect to B corporation ($100/$160×$40) | 25.00 | |
| Foreign income taxes deemed paid by N corporation under section 902(a) with respect to A corporation (allocation of earnings and profits being made under pars. (c)(2) and (d) of this section): | ||
| Tax paid by A corporation in respect to dividends received from B Corporation to which section 902(b) does not apply ($100/ $100×$0) | None | |
| Tax paid by A corporation in respect to its other income ($75/ $140×$10) | 5.36 | |
| Tax paid by B corporation deemed paid by A corporation in respect to such other income ($75/$140×$12.50) | 6.70 | |
| Total taxes deemed paid under section 902(a) | 12.06 | |
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| Total foreign income taxes deemed paid by N corporation under section 901 | 37.06 | |
| B Corporation (2d-tier corporation): | |
| Pretax earnings and profits | $250.00 |
| Foreign income taxes (20 percent) | 150.00 |
| Earnings and profits | 200.00 |
| Amount required to be included in N Corporation's gross income for 1978 under section 951 with respect to B corporation | 150.00 |
| Dividends paid by B corporation: | |
| Dividends to which section 902(b) does not apply (from B corporation's earnings and profits in respect of which an amount is required under section 951 to be included in N corporation's gross income with respect to B corporation) | $150.00 |
| Dividends to which section 902(b)(1) applies (from B corporation's other earnings and profits) | 50.00 |
| Total dividends paid to A corporation | 200.00 |
| Foreign income taxes of B corporation deemed paid by A corporation for 1978 under section 902(b)(1) ($50/$200×$50) | 12.50 |
| A corporation (1st-tier corporation): | |
| Pretax earnings and profits: | |
| Dividends received from B corporation | 200.00 |
| Other income | 100.00 |
| Total pretax earnings and profits | 300.00 |
| Foreign income taxes: | |
| On dividends received from B corporation to which section 902(b) does not apply ($150× 0.05) | 7.50 |
| On other income: | |
| Dividends received from B corporation to which section 902(b)(1) applies ($50× 0.05) | <