Section 301 | Section 1.46-8 | Subject |
(d)(1) | (c)(7)(i), (c)(8)(i) | Establishing a TRASOP, in general; funding a TRASOP, in general. |
(2)(A) | (c)(7)(ii) | Type of plan. |
(B) | (d)(3), (e)(10) | Investment design. |
(C) | (d)(1) | Plan requirements, in general. |
(3) | (d)(6) | Allocation. |
(b)(8) | Compensation, definition. | |
(4) | (d)(7) | Nonforfeitability. |
(d)(9) | Distributions. | |
(5) | (d)(8) | Voting rights. |
(6) | (c) | Procedures for additional credit. |
(7)(A) | (c)(7)(ii) | Taxability, non-401(a) TRASOP. |
(B) | (e)(3) | Allocations under 401(a). |
(C) | (e)(3) | Section 410 and section 415 requirements. |
(8) | (e)(9) | Reductions of investment credit. |
(9)(A) | (b)(4) | Employer securities, definition. |
(e)(10), (f) | Employer securities, requirements. | |
(B) | (b)(7) | Value, definition. |
(10) | (a)(2) | Reporting requirements. |
(11) | (h) | Failure to comply. |
(12) | (c)(10) | Deductibility. |
(13) | (e) (6) and (7) | Reimbursement for expenses. |
(14) | (c)(8)(v) and (d)(7)(i) | Contingent contributions. |
(f) | (d)(7), (e)(8)(vii), (f) | Withdrawals of TRASOP securities. |
Example. A calendar-year corporation begins operation and establishes a TRASOP in 1975. The facts and treatment relating to the corporation's qualified investments and investment tax credits for 1975 and 1976 are as follows:
1975 | 1976 | |
Facts: | ||
1. Qualified investment | $500,000 | $500,000 |
2. Credits earned: | ||
a. 10% credit | 50,000 | 50,000 |
b. Additional credit | 5,000 | 5,000 |
c. Carryover of additional credit from prior year, line 5 | 3,000 | |
3. Sec. 46(a)(3) limitation | 52,000 | 47,000 |
Treatment of credits: | ||
4. Credits allowed: | ||
a. Carryover of additional credit | 3,000 | |
b. Current 10% credit | 50,000 | 44,000 |
c. Current additional credit | 2,000 | 0 |
5. Unused credits: | ||
a. 10% credit | 0 | 6,000 |
b. Additional credit | 3,000 | 5,000 |
Thus, in 1975 the section 46(a)(3) limitation ($52,000) is applied first to allow all of the 10-percent investment credit ($50,000). Accordingly only $2,000 of the additional credit earned is allowed in 1975 and $3,000 of the additional credit is carried forward to 1976. In 1976, section 46(a)(1) requires that this $3,000 of additional credit is allowed first, and then only $44,000 of the 10-percent credit earned in 1976 is allowed since the section 46(a)(3) limitation for that year is $47,000. The unused credits from 1976 cannot be carried back since 1975, the only prior year, is an unused credit year.
Example. For 1977, a calendar-year corporation claims an additional credit of $10,000. The corporation's TRASOP meets the requirements of section 301(f) of the 1975 TRA. Each of 10 participants under the plan for that year receives an equal allocation of 10 shares valued at $1,000. In 1978, one participant terminates employment and receives a distribution of 10 shares. In 1979, a recapture reduces the 1977 additional credit by $2,000. The value of employer securities has not changed from the allocation date. If the 10 shares had not been distributed, 20 shares would be available for withdrawal, 2 shares from each participant's account. Since 9 participants remain from 1977, only 18 shares are available for withdrawal (2 shares * 9 remaining participants). If these 18 shares are withdrawn, the corporation may take into account 2 shares by deducting their value to the extent permitted under paragraph (e)(9)(vi) of this section.
26 C.F.R. §1.46-8
Sec. 301(d)(2)(C) of the Tax Reduction Act of 1975; sec. 7805 of the Internal Revenue Code of 1954 (89 Stat. 38, 68A Stat. 917; 26 U.S.C. 7805 )