It should be noted that the credit under section 667 is computed by the use of a different ratio from that used for computing the amount of taxes deemed distributed under section 666(c).
The undistributed portion of distributable net income is $15,000, to which $6,160 of the tax is allocable under section 665. The undistributed net income is therefore $8,840 ($15,000 minus $6,160). In 1955, the trust makes an accumulation distribution of $8,840. Under section 666(b), the total taxes for 1954 attributable to the undistributed net income are deemed distributed, so $15,000 is deemed distributed. The amount of the tax which may not be refunded to the trust under section 667 and the credit to which A is entitled under section 668(b) is the excess of $6,160 over zero, since after the distribution and the application of subpart D there is no remaining undistributed portion of distributable net income for 1954.
Accumulation distribution in 1955 | $5,000 | |
Taxes deemed distributed under section 666(c) (5,000/8,840 * $6,160) | 3,484 | |
Total amount deemed distributed out of the undistributed portion of distributable net income | 8,484 | |
Tax attributable to the undistributed portion of distributable net income ($15,000) before 1955 distribution (see example 1 of this paragraph) | 6,160 | |
Tax on $11,516 (taxable income of $20,000 minus $8,484, amount deemed distributed) | $3,216 | |
Tax on $5,000 (capital gains of $5,100, less personal exemption of $100, allocable to corpus) | 1,100 | |
Tax attributable to undistributed portion of distributable net income after 1955 distribution | 2,116 | |
Refund disallowed to the trust and credit available to A in 1955 | 4,044 |
26 C.F.R. §1.667-1