Example. The XYZ regulated investment company meets the requirements of section 852(a) for the taxable year and has received income from the following sources:
Capital gains (from the sale of stock or securities) | $100,000 |
Dividends (from domestic sources other than dividends described in section 116(b)) | 70,000 |
Dividend (from foreign corporations) | 5,000 |
Interest | 25,000 |
Total | 200,000 |
Expenses | 20,000 |
Taxable income | 180,000 |
The regulated investment company decides to distribute the entire $180,000. It distributes a capital gain dividend of $100,000 and a dividend of ordinary income of $80,000. The aggregate dividends received by the regulated investment company from domestic corporations ($70,000) is less than 75 percent of its gross income ($100,000) computed without regard to capital gains from sales of securities. Therefore, an apportionment is required. Since $70,000 is 70 percent of $100,000, out of every $1 dividend of ordinary income paid by the regulated investment company only 70 cents would be available for the credit, exclusion, or deduction referred to in section 854(b)(1). The capital gains dividend and the dividend received from foreign corporations are excluded from the computation.
26 C.F.R. §1.854-1