multiplied by
Pursuant to section 951(a)(1)(A)(i) and § 1.951-1 , a United States shareholder of such controlled foreign corporation must include his pro rata share of such subpart F income in his gross income for his taxable year in which or with which such taxable year of the foreign corporation ends. See section 952(a). However, see paragraph (a) of § 1.957-2 for special rule limiting the subpart F income to the income derived from the insurance of United States risks in the case of certain controlled foreign corporations described in section 957(b).
Thus, for example, dividends received from sources within the United States by a foreign corporation engaged in business in the United States during the taxable year, which are not effectively connected for that year with the conduct of a trade or business in the United States by that corporation, shall not be excluded from subpart F income under section 952(b) and this subparagraph even though such dividends are subject to the tax of 30 percent imposed by section 881 (a). Also, for example, if, by reason of an income tax convention to which the United States is a party, an amount of interest from sources within the United States which is effectively connected for the taxable year with the conduct of a business in the United States by a foreign corporation is subject to tax under chapter 1 at a flat rate of 15 percent, as provided in § 1.871-12 , such interest is not excluded from subpart F income under section 952(b) and this subparagraph. The deductions attributable to items of income which are excluded from subpart F income under this subparagraph shall not be taken into account for purposes of section 952.
For purposes of applying this subparagraph, the reduction (if any) provided by subdivision (i) of this subparagraph in a United States shareholder's pro rata share of the earnings and profits of a controlled foreign corporation shall be taken into account before the reduction provided by subdivision (ii) of this subparagraph. See section 952(c).
Corporation M's earnings and profits for 1964 (determined under section 964(a) and § 1.964-1 as of the close of such year without diminution for any distributions made during such year) | $12,000 |
Less: Corporation M's earnings and profits for 1964 described in section 959(b) | 5,000 |
Limitation on M Corporation's Subpart F income for 1964 | 7,000 |
Thus, for 1964 with respect to A's interest in M Corporation, $7,000 of subpart F income is includible in his gross income under section 951(a)(1)(A)(i). The $10,000 dividend received from M Corporation is excludible from A's gross income for 1964 under section 959(a)(1) and paragraph (b) of § 1.959-1 .
then, with respect to such shareholder and only for purposes of determining the limitation on subpart F income under paragraph (c) of this section, the earnings and profits for the taxable year of each such foreign corporation which is a controlled foreign corporation shall, in accordance with the rules of subparagraph (2) of this paragraph, be reduced to take into account any deficit in earnings and profits referred to in subdivision (ii) of this subparagraph. See section 952(d).
Subpart F income | Earnings and profits (deficits) | |
A Corporation | $6,000 | $18,000 |
B Corporation | (7,500) | |
C Corporation | (2,500) | |
D Corporation | 4,000 | 5,000 |
E Corporation | 12,000 | 15,000 |
F Corporation | 8,000 | 20,250 |
G Corporation | (10,000) | |
H Corporation | 7,000 |
[In percent]
A | B | C | D | E | F | G | H | |
A chain: | ||||||||
Direct interest | 100 | |||||||
(100% * 80%) | 80 | |||||||
(100% * 80%) | 80 | |||||||
(80% * 75%) | 60 | |||||||
(80% * 75%) | 60 | |||||||
(80% * 50%) | 40 | |||||||
(80% * 50%) | 40 | |||||||
B chain: | ||||||||
Direct interest | 20 | |||||||
(20% * 75%) | 15 | |||||||
(20% * 50%) | 10 | |||||||
(20% * 50%) | 10 | |||||||
F chain: | ||||||||
Direct interest | 100 | |||||||
(100% * 20%) | 20 | |||||||
(20% * 75%) | 15 | |||||||
Total interests | 100 | 100 | 100 | 75 | 75 | 100 | 50 | 50 |
Earnings and profits | Deficit | |
A chain: | ||
A Corporation (100%) | $18,000 | |
B Corporation (80%) | ($6,000) | |
C Corporation (80%) | (2,000) | |
D Corporation (60%) | 3,000 | |
E Corporation (60%) | 9,000 | |
G Corporation (40%) | (4,000) | |
H Corporation (40%) | (1) | |
Total | 30,000 | (12,000) |
B chain: | ||
B Corporation (20%) | ($1,500) | |
D Corporation (15%) | $750 | |
G Corporation (10%) | (1,000) | |
H Corporation (10%) | (1) | |
Total | $750 | ($2,500) |
F chain: | ||
F Corporation (100%) | 20,250 | |
C Corporation (20%) | (500) | |
E Corporation (15%) | 2,250 | |
Total | $22,500 | (500) |
1 The earnings and profits of H Corporation are not included in the total earnings and profits for the chain because H Corporation is not a controlled foreign corporation.
Amount of reduction | ||
A chain: | ||
A Corporation ($12,000 * $18,000/$30,000) | $7,200 | |
D Corporation ($12,000 * $3,000/$30,000) | 1,200 | |
E Corporation ($12,000 * $9,000/$30,000) | 3,600 | |
Total | 12,000 | |
B chain: | ||
D Corporation ($2,500 * $750/$750) | $2,500 | |
Limitation: M Corporation's pro-rata share of D Corporation's earnings and profits | 750 | |
Allocation of used deficit ($750) to M Corporation's pro rata share of the deficits of corporations B and G: | ||
B Corporation ($750 * ($1,500/$2,500)) | $450 | |
G Corporation ($750 * ($1,000/$2,500)) | 300 | |
Total | 750 | $750 |
F chain: | ||
F Corporation ($500 * $20,250/$22,500) | 450 | |
E Corporation ($500 * $2,250/$22,500) | 50 | |
Total | 500 |
Earnings and profits before reduction | Reduction (sec. 952(d)) | Reduced earnings and profits | |
A chain: | |||
A Corporation | $18,000 | $7,200 | $10,800 |
D Corporation | 3,000 | 1,200 | 1,800 |
E Corporation | 9,000 | 3,600 | 5,400 |
B chain: D Corporation | 750 | 750 | |
F chain: | |||
F Corporation | 20,250 | 450 | 19,800 |
E Corporation | 2,250 | 50 | 2,200 |
Subpart F income (before limitation) | Earnings and profit (sec. 952 (c)) | Amount includible in income | |
A Corporation (100%) | $6,000 | $10,800 | $6,000 |
D Corporation (75%) | 3,000 | 1,800 | 1,800 |
E Corporation (75%) | 9,000 | 7,600 | 7,600 |
F Corporation (100%) | 8,000 | 19,800 | 8,000 |
Total includible under sec. 951(a)(1)(A)(i) | 23,400 |
Subpart F income (before limitation) | Earnings and profits (sec. 952(c)) | Amount includible in income | |
A Corporation | $800 | $1,000 | $800 |
B Corporation | 1,000 | 450 | 450 |
F Corporation | 500 | 1,000 | 500 |
Example. CFC, a controlled foreign corporation, is an 80-percent partner in PRS, a foreign partnership. PRS earns $100 of interest income that is not export financing interest as defined in section 954(c)(2)(B), or qualified banking or financing income as defined in section 954(h)(3)(A), from a person unrelated to CFC. This interest income would have been foreign personal holding company income to CFC, under section 954(c), if it had received this income directly. Accordingly, CFC's distributive share of this interest income, $80, is foreign personal holding company income.
26 C.F.R. §1.952-1