1.556-3—Illustration of computation of undistributed foreign personal holding company income.

The method of computation of the undistributed foreign personal holding company income may be illustrated by the following example:

Code of Federal Regulations

Example. (a) The following facts exist with respect to the M Corporation, a foreign personal holding company, for the calendar year 1954: (1) The gross income of the corporation as defined in section 555 amounts to $300,000, of which $85,000 represents its distributive share of the undistributed foreign personal holding company income of another foreign personal holding company in which it is a shareholder, $200,000 consists of dividends, $10,000 consists of fully taxable interest, and the remainder ($5,000) consists of rent received from the principal shareholder of the corporation for the use of property owned by the corporation. (2) The expenses of the corporation amount to $85,000, of which $75,000 is allocable to the maintenance and operation of the property used by the principal shareholder and $10,000 consists of ordinary and necessary office expenses allowable as a deduction. The claim for deduction for the expenses of, and depreciation on, the rented property in excess of the rent received for its use is not established as provided in section 556(b)(5). The yearly depreciation on the rented property amounts to $30,000. (3) Federal income tax withheld at the source on the income of the corporation from sources within the United States amounts to $59,125. (4) No gain from the sale or exchange of stock or securities is realized during the taxable year, but losses in the amount of $10,000 are sustained from the sale of stock or securities which constitute capital assets. Such losses are not allowed as a deduction in any amount. See section 1211(a). (5) Contributions, payment of which is made to or for the use of donees described in section 170(b)(1)(A) for the purposes therein specified, amount to $15,000, of which $5,000 is deductible in computing taxable income under section 63.
Code of Federal Regulations 318
(6) Dividends paid by the corporation to its shareholders during the taxable year amount to $50,000. (b) The taxable income of the corporation (including the distributive share of the undistributed foreign personal holding company income of the other foreign personal holding company) is $180,000, computed as follows (assuming for the purposes of this example only that the expenses of, and depreciation on, the rental property are deductible under sections 162 and 167):
Income (Section 61 )
Dividends $200,000
Interest 10,000
Rent 5,000
Gross income as defined in section 61 215,000
Add:
Distributive share of undistributed income of the other foreign personal holding company (considered as a dividend) 85,000
Gross income as defined in section 555 300,000
Deductions (Section 161 )
Expenses allocable to operation of the rented property $75,000
Depreciation of the rented property 30,000
Ordinary and necessary expenses (office) 10,000
Contributions (within the 5-percent limitation specified in section 170(b) (2) 5,000
120,000
Taxable income for purposes of computing undistributed foreign personal holding company income 180,000
(c) The undistributed foreign personal holding company income of the corporation is $160,875, computed as follows:
Taxable income for purposes of computing undistributed foreign personal holding company income $180,000
Add (see section 556(b)):
Contributions deductible in computing taxable income under section 63 5,000
Excess property expenses and depreciation over amount of rent received for use of property ($105,000−$5,000) 100,000
Total 105,000
Deduct (see section 556(b)):
Federal income taxes 59,125
Contributions (within the percentage limitations specified in section 170(b)(1) (A) and (B), determined under the rules provided in section 556(b)(2)) 15,000
Total 74,125
Net additions under section 556(b) 30,875
Taxable income, as adjusted under section 556(b) 210,875
Less: Deduction for dividends paid (see section 561) 50,000
Undistributed foreign personal holding company income 160,875