The X Corporation, which files its income tax returns on the calendar year basis, has taxable income, adjusted as required by section 545, in the amount of $110,000 and has a dividends paid deduction of $150,000 for the year 1954. For 1955, its taxable income, adjusted as required by section 545, is $200,000 and its dividends paid deduction is $300,000. The dividend carryover to the year 1956 is $140,000, computed as follows:
Dividends paid deduction for 1954 | $150,000 |
Taxable income for 1954 | 110,000 |
Dividend carryover from 1954 | 40,000 |
Dividends paid deduction for 1955 | 300,000 |
Taxable income for 1955 | 200,000 |
Dividend carryover from 1955 | 100,000 |
Dividend carryover for 2 preceding taxable years, allowable as a deduction for the year 1956 | 140,000 |
The Y Corporation, which files its income tax returns on the calendar year basis, has taxable income, adjusted as required by section 545, in the amount of $100,000 and has a dividends paid deduction of $150,000 for the year 1954. For 1955, its taxable income, adjusted as required by section 545, is $200,000 and its dividends paid deduction is $170,000. The dividend carryover to the year 1956 is $20,000 computed as follows:
Dividends paid deduction for 1954 | $150,000 |
Taxable income for 1954 | 100,000 |
Dividend carryover from 1954 | 50,000 |
Taxable income for 1955 | 200,000 |
Dividends paid deduction for 1955 | 170,000 |
Excess of taxable income over dividends paid deduction | 30,000 |
Dividend carryover for second preceding taxable year, allowable as a deduction for the year 1956 | 20,000 |
26 C.F.R. §1.564-1