# 26 CFR 1.963-8 - Determination of minimum distribution during the surcharge period.

§ 1.963-8 Determination of minimum distribution during the surcharge period.

(a)Taxable years not wholly within the surcharge period. In the case of a taxable year beginning before the surcharge period and ending within the surcharge period, or beginning within the surcharge period and ending after the surcharge period, or beginning before January 1, 1970, and ending after December 31, 1969, section 963(b) provides the method for determining the required minimum distribution. Under the method prescribed in section 963(b) for such years, the required minimum distribution is an amount equal to the sums of:

(1) That portion of the minimum distribution which would be required if the provisions of section 963(b)(1) were applicable to the taxable year, which the number of days in such taxable year which are within the surcharge period and before January 1, 1970, bears to the total number of days in such taxable year.

(2) That portion of the minimum distribution which would be required if the provisions of section 963(b)(2) were applicable to such taxable year, which the number of days in such taxable year which are within the surcharge period and after December 31, 1969, bears to the total number of days in such taxable year, and

(3) That portion of the minimum distribution which would be required if the provisions of section 963(b)(3) were applicable to such taxable year, which the number of days in such taxable year which are not within the surcharge period bears to the total number of days in such taxable year.

(b)Calendar year 1970. For calendar year 1970, the required minimum distribution shall be an amount determined in accordance with the following table:

If the effective foreign tax rate is (percentage) - The required minimum distribution of earnings and profits is (percentage) -
Under 9 84.983562
9 or over but less than 10 82.967123
10 or over but less than 18 80.983562
18 or over but less than 19 79.471233
19 or over but less than 26 77.487671
26 or over but less than 27 73.958904
27 or over but less than 32 70.487671
32 or over but less than 33 67.463014
33 or over but less than 36 63.991781
36 or over but less than 37 57.942466
37 or over but less than 39 51.991781
39 or over but less than 40 44.934247
40 or over but less than 41 37.495890
41 or over but less than 42 31.446575
42 or over but less than 43 19.446575
43 or over but less than 44 12.893151
44 or over but less than 45 6.446575
45 or over 0

(c)Surcharge period. For purposes of this section the term “surcharge period” means the period beginning January 1, 1968, and ending June 30, 1970.

(d)Illustration of principles. The application of the rules set forth in paragraphs (a), (b), and (c) of this section may be illustrated by the following example. It is assumed that all computations are carried to sufficient accuracy:

Example.
(a) M, a domestic corporation, and A, its controlled corporation (the one class of stock of which is wholly owned by M), both have a taxable year beginning December 1, 1969, and ending November 30, 1970. For such taxable year M makes a first-tier election with respect to A corporation. The effective foreign tax rate for such year is 30 percent.

(b) Under section 963(b) and paragraph (b) of this section the surcharge period ends June 30, 1970. Therefore, of the 365 days in the taxable year, 153 days are not within the surcharge period. Of the remaining 212 days, 31 are within the surcharge period and before January 1, 1970 and 181 days are within the surcharge period and after December 31, 1969. If section 963(b)(1) were applicable to the entire taxable year, the required minimum distribution of earnings and profits would be 75 percent. If section 963(b)(2) were applicable to the entire taxable year, the required minimum distribution would be 72 percent. If section 963(b)(3) were applicable to the entire taxable year, the required minimum distribution would be 69 percent.

(c) Under section 963(b) and this section the required minimum distribution of earnings and profits is 71 percent, computed as follows:

(75% × 31 ÷ 365) (72% × 181 ÷ 365) (69% × 153 ÷ 365) = 71%.
[T.D. 7100, 36 FR 5336, Mar. 20, 1971]

Title 26 published on 16-Jun-2017 03:58

The following are ALL rules, proposed rules, and notices (chronologically) published in the Federal Register relating to 26 CFR Part 1 after this date.

• 2017-06-30; vol. 82 # 125 - Friday, June 30, 2017
1. 82 FR 29719 - Regulations Regarding Withholding of Tax on Certain U.S. Source Income Paid to Foreign Persons, Information Reporting and Backup Withholding on Payments Made to Certain U.S. Persons, and Portfolio Interest Treatment; Correction
GPO FDSys XML | Text
DEPARTMENT OF THE TREASURY, Internal Revenue Service
Correcting amendment.
Effective Date: These corrections are effective June 30, 2017. Applicability Date: The corrections to §§ 1.1441-0; 1.1441-1(b)(7)(ii)(B), (e)(3)(iv)(B) and (C), (e)(4)(ii)(B)( 11 ), (e)(4)(ix)(D), (e)(5)(ii) through (e)(5)(ii)(B), (e)(5)(ii)(D) through (e)(5)(v)(B)( 3 ), (e)(5)(v)(B)( 5 ) through (e)(5)(v)(D), and (f) through (f)(4); 1.1441-1T; 1.1441-3(d)(1); 1.1441-4; 1.6045-1(m)(2)(ii) and (n)(12)(ii); and 1.6049-5(c)(1) through (c)(4) are applicable on January 6, 2017.
26 CFR Part 1

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