If a transaction described in the preceding sentence has occurred, the acquiring corporation shall be treated as having been a member of the affiliated group for the entire period during which the acquired corporation was a member of such group.
Earnings and profits accumulated for | Corp | Corp |
Y | Z | |
1964 | $60,000 | $40,000 |
1965 | 30,000 | 15,000 |
1966 | (5,000) | 2,000 |
1967 | 12,000 | 6,000 |
Corporation Y had earnings and profits of $10,000 in each of the years 1968 and 1969, and made distributions during such years in the following amounts:
1968 | $29,000 |
1969 | 31,000 |
(a) Dividend from Y's current year's earnings and profits (1968) | $10,000 |
(b) Dividend from earnings and profits of Y accumulated for 1967 | 12,000 |
(c) Dividend from earnings and profits of Z accumulated for: | |
1967 | 6,000 |
1966 | 1,000 |
29,000 |
Since the 1968 dividend is considered paid out of earnings and profits of Y's 1968 and 1967 years, and Z's 1967 and 1966 years, and since each of these years satisfies each of the conditions specified in subparagraph (2) of this paragraph, X is entitled to a 100-percent dividends received deduction with respect to the entire 1968 distribution of $29,000 from Y.
(a) Dividend from Y's current year's earnings and profits (1969) | $10,000 |
(b) Dividend from earnings and profits of Z accumulated for 1966 (1966 earnings and profits remaining after 1968 distribution, i.e., $2,000-$1,000 | 1,000 |
(c) Dividend from earnings and profits of Y and Z accumulated for 1965: | |
Corporation Y: $25,000 (i.e., $30,000-$5,000 deficit) divided by $40,000 (i.e., the sum of the 1965 earnings and profits of Y and Z) multiplied by $20,000 (the portion of the distribution from the 1965 earnings and profits of Y and Z) | 12,500 |
Corporation Z: $15,000 divided by $40,000 multiplied by $20,000 | 7,500 |
31,000 |
The sum of the dividends from Y's 1969 year ($10,000), Z's 1966 year ($1,000), and Y's 1965 year ($12,500), or $23,500, qualifies for the 100-percent dividends received deduction. However, the dividends paid out of Z's 1965 year ($7,500) do not qualify because on each day of 1965 Z and X were not members of the affiliated group of which Y (the distributing corporation) and X (the corporation receiving the dividends) were members on the day in 1969 when the dividends were received by X.
26 C.F.R. §1.243-4