d=$38−0.20d−0.40($38−d) | |
d=$38−0.20d−$15.20 0.40d | |
d=$22.80 0.20d | |
0.80 | d=$22.80 |
d=$22.80/0.80 | |
d=$28.50 |
M Corporation's proportionate share of B Corporation's distribution (0.80×$25) | $20.00 |
Pretax and predistribution consolidated earnings and profits of the group (0.80×$200) | 160.00 |
Statutory percentage of pretax and predistribution consolidated earnings and profits (0.33×$160) | 60.80 |
Less: portion of such statutory percentage to which the $20 dividend received from B Corporation is attributable: Total dividend paid by B Corporation | 25.00 |
Code of Federal Regulations
508
|
|
Plus: Foreign income tax on B Corporation's pretax and predistribution earnings and profits to which such dividend is attributable, letting “t” represent such tax: | |
t=0.20 ($25) 0.40t | |
t=$5 0.40t | |
0.60t=$5 | |
t=$5/0.60 | 8.33 |
B Corporation's pretax and predistribution earnings and profits to which such dividend is attributable | 33.33 |
M Corporation's proportionate share of B Corporation's pretax and predistribution earnings and profits to which the dividend is attributable (0.80×$33.33) | 26.67 |
The statutory percentage of the pretax and predistribution consolidated earnings and profits of the group to which A Corporation's distribution must be attributable | 34.13 |
Dividend required to be received from A Corporation ($34.13−[0.40×$34.13]) | 20.48 |
Minimum distribution to M Corporation of the taxable year's consolidated earnings and profits of the group ($20 $20.48) | 40.48 |
M Corporation's proportionate share of A Corporation's distribution (0.80×$25) | $20.00 |
Pretax and predistribution consolidated earnings and profits of the group (0.80×$200) | 160.00 |
Statutory percentage of pretax and predistribution consolidated earnings and profits (0.38×$160) | 60.80 |
Less: Portion of such statutory percentage to which the $20 dividend received from A Corporation is attributable: Total dividend paid by A Corporation | 25.00 |
Plus: Foreign income tax on A Corporation's pretax and predistribution earnings and profits to which such dividend is attributable (0.40×[$25/0.60]) | 16.67 |
A Corporation's pretax and predistribution earnings and profits to which such dividend is attributable | 41.67 |
M Corporation's proportionate share of A Corporation's pretax and predistribution earnings and profits to which dividend is attributable ($41.67×0.80) | 33.34 |
Portion of the statutory percentage of the pretax and predistribution consolidated earnings and profits of the group to which B Corporation's distribution must be attributable | 27.46 |
Dividend received from B Corporation, letting “d” represent the dividend: | |
d=$27.46−0.20d−0.40 ($27.46−d) | |
d=$27.46−0.20d−$10.98 0.40d | |
d=$16.48 0.20d | |
0.80d=$16.48 | |
d=$16.48/0.80 | 20.60 |
Minimum distribution to M Corporation of the taxable year's consolidated earnings and profits of the group ($20 $20.60) | 40.60 |
1963 | |
Effective foreign tax rate which obtains if no earnings and profits of B Corporation are distributed [($100×0.10) ([$100−($100×0.10)]×0.30)]/$100 | 37% |
Minimum percentage of earnings and profits required under section 963(b) to be distributed, given a 37 percent effective foreign tax rate | 68% |
Amount of earnings and profits (before reduction by foreign income tax) to which minimum distribution would be attributable if the effective foreign tax rate of 37 percent obtained (0.68×$100) | $68.00 |
Minimum distribution required to be received by M Corporation, i.e., such an amount that is $68 less the foreign income tax on such $68, determined by letting “d” equal the dividend in the algebraic equation: | |
d=$68 − (0.10 × $68) − 0.30 ($68 − [0.10 × $68] − d) − 0.20d | |
d=$68 − $6.80 − ($20.40 − $2.04 − 0.30d) − 0.20d | |
d=$61.20 − $20.40 $2.04 0.30d − 0.20d | |
d=$42.84 0.10d | |
0.90d=$42.84 | |
d=$42.84/0.90, or | $47.60 |
Gross-up under section 78, using the actual foreign income tax imposed on pretax profits to which are attributable the earnings and profits distributed ($6.80 0.30 [$61.20−$47.60] 0.20 [$47.60]) | $20.40 |
Taxable income of M Corporation for 1963 ($47.60 $20.40) | $68.00 |
U.S. tax before foreign tax credit ($68×0.52) | $35.36 |
Foreign tax credit ($47.60/$47.60× $20.40) | $20.40 |
U.S. tax payable for 1963 ($35.36− $20.40) | $14.96 |
Overall U.S. and foreign income tax rate [$14.96 $20.40 ($32×0.37)]/$100 | 47.20% |
1964 | |
Dividend received by M Corporation ($32−[0.37×$32]) | $20.16 |
Gross-up under section 78, using the foreign income tax paid or accrued on pretax earnings and profits to which are attributable 1963 earnings and profits distributed during 1964 ($20.16/$20.16×[$32× 0.37]) | $11.84 |
Taxable income of M Corporation for 1964 ($20.16 $11.84) | $32.00 |
U.S. tax before foreign tax credit ($32×0.52) | $16.64 |
Foreign tax credit ($20.16/$20.16× $11.84) | $11.84 |
U.S. tax payable ($16.64−$11.84) | $4.80 |
1963 | |
Pretax and predistribution earnings and profits of B Corporation for 1963 | $100 |
Total dividend paid by B Corporation in 1963 ($21/0.70) | 30 |
Total foreign income tax paid by B Corporation for 1963 (0.40[$100− $30] [0.20×$30]) or ($28 $6) | 34 |
Foreign income tax, represented by “t” in the following equation, to be taken into account with respect to total dividend in determining tax deemed paid under section 902(a) by M Corporation: | |
t=(0.20×$30) 0.40t | |
t=$6 0.40t | |
0.60t=$6 | |
t=$6/0.60, or | $10 |
Foreign income tax deemed paid by M Corporation for 1963 ($21/$30×$10) | 7 |
1964 | |
Remaining 1963 earnings and profits of B Corporation ([$100−$34]−$30) or ($66−$30) | 36 |
Dividend received by M Corporation for 1964 (0.70×$36) | 25.20 |
Foreign income tax deemed paid by M Corporation for 1964 ($25.20/$36× [$34−$10]) or ($25.20/$36×$24) | 16.80 |