Year | Undistributed net income-portion of the trust created by a U.S. person | Undistributed net income-portion of the trust created by a person other than a U.S. person |
1963 | $20,000 | $10,000 |
1962 | 25,000 | 12,000 |
1961 | None | None |
1960 | 16,000 | 9,000 |
1959 | 17,000 | 8,000 |
1958 | 4,000 | 2,000 |
1957 | None | None |
1956 | 8,000 | 3,000 |
1955 | 11,000 | 5,000 |
1954 | None | None |
1953 | 12,000 | 7,000 |
1952 | 7,000 | 4,000 |
Totals | 120,000 | 60,000 |
The accumulation distribution in the amount of $150,000 is deemed to have been distributed in the amount of $100,000 (120,000/180,000 * $150,000) from the portion of the trust which is a foreign trust created by a U.S. person, and in the amount of $50,000 (60,000/180,000 * $150,000) from the portion of the trust which is a foreign trust created by a person other than a U.S. person computed as follows:
Year | Throwback to preceding years of foreign trust created by a U.S. person | Throwback to preceding years of portion of the entire foreign trust which is not a foreign trust created by a U.S. person |
1963 | $20,000 | $10,000 |
1962 | 25,000 | 12,000 |
1961 | None | None |
1960 | 16,000 | 9,000 |
1959 | 17,000 | 8,000 |
1958 | 4,000 | 2,000 |
1957 | None | None |
1956 | 8,000 | 3,000 |
1955 | 10,000 | 5,000 |
1954 | None | None |
1953 | None | 1,000 |
1952 | None | None |
Totals | 100,000 | 50,000 |
Pursuant to paragraph (a)(3) of this section, the accumulation distribution in the amount of $100,000 from the portion of the trust which is a foreign trust created by a U.S. person is included in the beneficiary's gross income for 1964, as this amount represents undistributed net income of the trust for the trust's preceding taxable years which began after December 31, 1953, and ended after August 16, 1954. The accumulation distribution in the amount of $50,000 from the portion of the trust which is a foreign trust created by a person other than a U.S. person is included in the beneficiary's gross income for 1964 to the extent of the undistributed net income of the trust for the preceding 5 years. Accordingly, with respect to the portion of the trust which is a foreign trust created by a person other than a U.S. person only the undistributed net income for the years 1959 through 1963 which totals $39,000 is includible in the beneficiary's gross income for 1964. Thus, of the $150,000 distribution made in 1964, the beneficiary is required to include a total of $139,000 in his gross income for 1964.
Year | Undistributed net income-portion of the trust created by a U.S. person | Undistributed net income-portion of the trust created by a person other than a U.S. person |
1964 | $10,000 | $10,000 |
1963 | None | None |
1962 | None | None |
1961 | None | None |
1960 | None | None |
1959 | None | None |
1958 | None | None |
1957 | None | None |
1956 | None | None |
1955 | 1,000 | None |
1954 | None | None |
1953 | 12,000 | 6,000 |
1952 | 7,000 | 4,000 |
Totals | 30,000 | 20,000 |
The accumulation distribution is deemed to have been distributed in the amount of $15,000 (30,000/50,000 * $25,000), from the portion of the trust which is a foreign trust created by a U.S. person, and in the amount of $10,000 (20,000/50,000 * $25,000) from the portion of the trust which is a foreign trust created by a person other than a U.S. person computed as follows:
Year | Throwback to preceding years of foreign trust created by U.S. person | Throwback to preceding years of portion of the entire foreign trust which is not a foreign trust created by a U.S. person |
1964 | $10,000 | $10,000 |
1963 | None | None |
1962 | None | None |
1961 | None | None |
1960 | None | None |
1959 | None | None |
1958 | None | None |
1957 | None | None |
1956 | None | None |
1955 | 1,000 | None |
1954 | None | None |
1953 | 4,000 | None |
1952 | None | None |
Totals | 15,000 | 10,000 |
Pursuant to paragraph (a)(3) of this section, only $11,000 of the accumulation distribution in the amount of $15,000 from the portion of the trust which is a foreign trust created by a U.S. person is includible in the beneficiary's gross income for 1965 as the $11,000 amount represents undistributed net income of the trust for the trust's preceding taxable years which began after December 31, 1953, and ended after August 16, 1954. The accumulation distribution in the amount of $10,000 from the portion of the trust which is a foreign trust created by a person other than a U.S. person is included in the beneficiary's gross income for 1965 to the extent of the undistributed net income of the trust for the preceding 5 years. Accordingly, the entire $10,000 (representing the undistributed net income for the year 1964) is includible in the beneficiary's gross income for 1965. Thus, of the $25,000 distribution made in 1965, the beneficiary is required to include a total of $21,000 in his gross income for 1965.
26 C.F.R. §1.666(a)-1