Example. A, a calendar year taxpayer using the cash receipts and disbursements method of accounting, on January 1, 1964, purchases from a life insurance company a policy in the amount of $100,000 with an annual gross premium of $2,200. For the first policy year, A pays the annual premium by means other than by borrowing. For the second, third, fourth, and fifth policy years, A continues the policy in effect by incurring indebtedness pursuant to a plan referred to in paragraph (a) of this section. The years and amounts applicable to the policy are as follows:
Years | Cumulative cash value of contract | Total loan outstanding | Interest paid at 4.8 percent |
1964 | $370 | 0 | 0 |
1965 | 2,175 | $2,200 | $105.60 |
1966 | 4,000 | 4,400 | 211.20 |
1967 | 5,865 | 6,600 | 316.80 |
1968 | 7,745 | 8,800 | 422.40 |
On these facts (assuming that none of the exceptions contained in paragraph (d) of this section are applicable), no deduction is allowed for the interest paid during the year 1968. Moreover, the interest deduction will be disallowed for the taxable years 1965 through 1967 if such taxable years are not closed by reason of the statute of limitations or other rule of law.
26 C.F.R. §1.264-4