United States | France | Germany | Total | |
Investment income from sources within | $150,000 | $120,000 | $180,000 | $450,000 |
Investment expenses relating to income from sources within | (100,000) | (90,000) | (120,000) | (310,000) |
Net investment income | 50,000 | 30,000 | 60,000 | 140,000 |
Investment interest expense relating to income from sources within | (110,000) | (70,000) | (50,000) | (230,000) |
(Excess) of investment interest expense over net investment income | (60,000) | (40,000) | *10,000 | (90,000) |
*Excess of net investment income over investment interest expense.
Investment interest: | |||
French | ($70,000) | ||
German | (50,000) | ($120,000) | |
Net investment income: | |||
Investment income: | |||
French | 120,000 | ||
German | 180,000 | $300,000 | |
Less: | |||
Investment expenses: | |||
French | (90,000) | ||
German | (120,000) | (210,000) | 90,000 |
Excess of U.S. net income over investment interest expenses: | |||
Total foreign excess investment interest | (30,000) |
Total worldwide excess ($90,000) / Total separately determined excess ($100,000) * French excess ($40,000) = $36,000
The taxpayer's total excess investment interest attributable to sources within any foreign country or possession of the United States is, thus, $36,000 ($36,000 (French) plus zero (German)). The taxpayer's excess investment interest attributable to sources within the United States is $54,000
($90,000 / $100,000 * $60,000).
Since, in making the latter determination, $6,000 of the $60,000 of U.S. investment interest expense in excess of U.S. net investment income is, in effect, offset by German net investment income, for purposes of § 1.58-7(c) , $6,000 of interest deductions attributable to income from sources within the United States are, pursuant to subdivision (iv) of this subparagraph, treated as deductions attributable to income from sources within Germany.
United States | France | Germany | Total | |
Investment income from sources within | $180,000 | $120,000 | $150,000 | $450,000 |
Investment expenses relating to income from sources within | (120,000) | (90,000) | (100,000) | (310,000) |
Net investment income | 60,000 | 30,000 | 50,000 | 140,000 |
Investment interest expense relating to income from sources within | (50,000) | (70,000) | (110,000) | (230,000) |
(Excess) of investment interest expense over net investment income | 10,000 | (40,000) | (60,000) | (90,000) |
Foreign investment interest: | |||
French | ($70,000) | ||
German | (110,000) | ($180,000) | |
Foreign net investment income: | |||
French | 120,000 | ||
German | 150,000 | $270,000 | |
Less: | |||
Investment expenses: | |||
French | (90,000) | ||
German | (100,000) | (190,000) | 80,000 |
Excess of U.S. net investment income over U.S. investment interest expense | 10,000 | ||
Excess investment interest attributable to foreign sources | (90,000) |
France:
$90,000 / $100,000 * $40,000 = $36,000
Germany:
$90,000 / $100,000 * $60,000 = $54,000
Total excess investment interest attributable to sources within any foreign countries and possessions-$90,000.
See § 1.58-7(b)(2)(iv) with respect to the attribution of certain interest deductions to foreign sources in cases involving the excess investment interest item of tax preference.
For purposes of the above computations, taxable income is computed with the modifications specified in section 172(b)(2) or section 172(c), whichever is applicable. However, the amount of suspense preferences which are converted into actual items of tax preference in accordance with the above principles is reduced to the extent suspense preferences offset increases in taxable income from sources within the United States due to the modifications specified in section 172(b)(2) or section 172(c). For this purpose, suspense preferences are considered to offset an increase in taxable income due to the section 172(b)(2) modifications only after reducing taxable income computed before the section 172(b)(2) or section 172(c) modifications.
United States taxable income: | |||
Gross income | $750,000 | ||
Deductions | (250,000) | $500,000 | |
Foreign source loss: | |||
Gross income | 200,000 | ||
Deductions: | |||
Preference items (excess of percentage depletion over basis) | $550,000 | ||
Other | 50,000 | (600,000) | (400,000) |
Overall taxable income | 100,000 |
Pursuant to subdivision (i) of this subparagraph the smallest of (a) the items of tax preference attributable to the foreign sources ($550,000), (b) the foreign source loss ($400,000), or (c) the taxable income from sources within the United States ($500,000) reduces the tax imposed by chapter 1 (other than the minimum tax) on income from sources within the United States. Thus, $400,000 of the $550,000 of excess depletion is treated as an item of tax preference in 1974 subject to the minimum tax.
United States loss: | |||
Gross income | $75,000 | ||
Deductions | (225,000) | ||
($150,000) | |||
Foreign loss: | |||
Gross income | 400,000 | ||
Deductions: | |||
Preference items (excess of accelerated depreciation on sec. 1250 property over straight-line amount) | $200,000 | ||
Other | 550,000 | (750,000) | (350,000) |
Overall net operating loss | (500,000) |
Since the nonpreference deductions reduce the foreign source income before the preference portion, the $350,000 foreign source loss consists of $200,000 of suspense preferences and $150,000 of other deductions. In 1971, 1972, and 1973 the taxpayer had taxable income from sources within the United States of $100,000, $200,000, and $300,000, respectively and taxable income from sources within foreign countries of $80,000 each year. Of the $200,000 of suspense preferences, $150,000 are converted into actual items of tax preference, subject to the minimum tax in 1974, determined as follows:
[In thousands of dollars]
Year-Explanation | Taxable income | U.S. deductions | Foreign deductions | ||
U.S. source | Foreign source | Suspense preferences | Other | ||
1971 End of year balance before section 58(g) computations | 100 | 80 | 150 | 200 | 150 |
1. U.S. deductions against U.S. income | (100) | ||||
(100) | |||||
2. Other foreign deductions against foreign income | (80) | (80) | |||
1972 End of year balance before section 58(g) computations | 200 | 80 | 50 | 200 | 70 |
1. U.S. deductions against U.S. income | (50) | (50) | |||
2. Other foreign deductions against foreign income | (70) | (70) | |||
3. Suspense preferences against foreign income | (10) | (10) | |||
4. Suspense preferences against U.S. income | *(150) | *(150) | |||
1973 End of year balance before section 58(g) computations | 300 | 80 | 40 | ||
1. U.S. deductions against U.S. income | Not applicable | ||||
2. Other foreign deductions against foreign income | Not applicable | ||||
3. Suspense preference against foreign income | (40) | (40) | |||
4. Suspense preferences against U.S. income | Not applicable | ||||
Balances | 300 | 40 |
*Suspense preferences converted to actual items of tax preference.
Foreign loss: | ||
Gross income | $400,000 | |
Deductions: | ||
Preferences (excess of accelerated depreciation on section 1250 property over straight-line) | $200,000 | |
Net operating loss | 350,000 |
Pursuant to subdivision (i) of this subparagraph, none of the preferences attributable to foreign sources reduce the tax imposed by chapter 1 (other than the minimum tax) on taxable income from sources within the United States. Pursuant to subdivision (ii) of this subparagraph, the $200,000 portion of the net operating loss resulting from the excess accelerated depreciation constitutes suspense preferences. No part of the net operating loss that is carried back to previous years is reduced in such previous years. In 1971 and 1972, the taxpayer's income (before the net operating loss deduction) consists of the following:
1971 taxable income: | ||
United States | $160,000 | |
Foreign | 70,000 | |
Total | 230,000 | |
1972 taxable income: | ||
United States | 25,000 | |
Foreign | 105,000 | |
Total | 130,000 |
Conversion of suspense preferences:
1970 Net Operating Loss
[In thousands of dollars]
U.S. taxable income | Foreign taxable income | U.S. deductions | Suspense preferences | Other foreign deductions | |
$160 | $70 | $200 | $150 | ||
1. U.S. deductions against U.S. income | Not applicable | ||||
2. Other foreign deductions against foreign income | 70 | (70) | |||
3. Suspense preference against foreign income | Not applicable | ||||
4. Suspense preference against U.S. income | *(160) | (160) | |||
Balance to 1972 | 40 | 80 |
*Suspense preferences converted into actual items of tax preference.
Imposition of minimum tax on 1970 items of tax preference:
1970 Net Operating Loss
[In thousands of dollars]
1971 taxable income | Nonpreference portion | Preference portion | Suspense portion | |
$230 | $150 | $200 | ||
1. 1971 conversion of suspense preferences pursuant to sec. 58(g) | 1 30 | $130 | (160) | |
Adjusted NOL | 180 | 130 | 40 | |
2. Nonpreference portion against taxable income | (180) | (180) | ||
3. Preference portion against taxable income | 2 (50) | (50) | ||
Balance to 1972 | 80 | 40 |
1 Represents the 1970 minimum tax exemption.
2 Imposition of 1970 minimum tax (10 pct * $50,000 = $5,000).
Conversion of suspense preferences:
1970 Net Operating Loss
[In thousands of dollars]
U.S. taxable income | Foreign taxable income | U.S. deductions | Suspense preferences | Other foreign deductions | |
$25 | $105 | $40 | $80 | ||
1. U.S. deduction against U.S. income | Not applicable | ||||
2. Other foreign deductions against foreign income | (80) | (80) | |||
3. Suspense preferences against foreign income | (25) | (25) | |||
4. Suspense preference against U.S. income | 1 (15) | (15) | |||
Balance | 10 |
1 Suspense preferences converted into actual items of tax preference.
Imposition of minimum tax on 1970 items of tax preference:
1970 Net Operating Loss
[In thousands of dollars]
1972 taxable income | Nonpreference portion | Preference portion | Suspense portion | |
$130 | $80 | $40 | ||
1. 1972 conversion of suspense preferences pursuant to sec. 58(g) | $25 | 15 | (40) | |
Adjusted NOL | 25 | 95 | ||
2. Nonpreference portion against taxable income | (25) | (25) | ||
3. Preference portion against taxable income | 1 (95) | (95) | ||
Balance | 10 |
1 Imposition of 1970 minimum tax (10 pct * $95,000 = $9,500).
For purposes of the above computations, taxable income is computed with the modifications specifed in section 172(b)(2) or section 172(c), whichever is applicable. However, the amount of suspense preferences which are converted into actual items of tax preference in accordance with the above principles is reduced to the extent the suspense preferences offset increases in taxable income from sources within the United States due to the modifications specified in section 172(b)(2) or section 172(c). For this purpose, suspense preferences are considered to offset an increase in taxable income due to section 172(b)(2) or section 172(c) modifications only after reducing taxable income computed before such modifications.
Example (1). The taxpayer has the following items of income and deduction for the taxable year 1971:
United States | France | Germany | United Kingdom | |
Gross income | $180,000 | $165,000 | $50,000 | $75,000 |
Deductions: | ||||
Preference | (45,000) | |||
Other | (120,000) | (125,000) | (80,000) | (100,000) |
Taxable income (or loss) | 60,000 | 40,000 | (30,000) | (70,000) |
United States | France | Germany | United Kingdom | Belgium | |
Gross income | $250,000 | $50,000 | $60,000 | $5,000 | $45,000 |
Deductions: | |||||
Preferences | (35,000) | (70,000) | (95,000) | ||
Other | (100,000) | (75,000) | (30,000) | (40,000) | |
Taxable income (or loss) | 150,000 | (60,000) | (40,000) | (90,000) | 5,000 |
France | $35,000 |
Germany | 40,000 |
United Kingdom | 90,000 |
Belgium | 0 |
Total | 165,000 |
Since the total of the potential preference amounts exceeds the U.S. taxable income, in applying the principles of subparagraph (1)(i) of this paragraph, U.S. taxable income which is reduced by potential preference amounts with respect to each country is a pro-rata amount based on the total potential preference amounts as follows:
France | (35,000 / 165,000 * $150,000)-$31,818 |
Germany | (40,000 / 165,000 * $150,000)-$36,364 |
United Kingdom | (90,000 / 165,000 * $150,000)-$81,818 |
Belgium | (0 / 165,000 * $150,000)-$0 |
Total | $150,000 |
The amount by which the foreign preference items offset U.S. taxable income pursuant to subdivision (i) of this subparagraph is then determined as follows:
(a) | (b) | (c) | (d) | |
Preferences | Loss | U.S. taxable income | Smallest of (a), (b), or (c) | |
France | $35,000 | $60,000 | $81,818 | $31,818 |
Germany | 70,000 | 40,000 | 36,364 | 36,364 |
United Kingdom | 95,000 | 90,000 | 81,818 | 81,818 |
Belgium | ||||
Total | 150,000 |
Thus, $150,000 of the total foreign preference items will be taken into account pursuant to subdivision (i) of this subparagraph as items of tax preference in 1972 and subject to the provisions of section 56.
Explanation | Deductions | ||||||
United States | France | Germany | United Kingdom preferences | Belgium other | |||
Preferences | Other | Preferences | Other | ||||
$100,000 | $35,000 | $75,000 | $70,000 | $30,000 | $95,000 | $40,000 | |
1. U.S. deductions against U.S. income ($250,000) | (100,000) | ||||||
2. Other foreign deductions against foreign income (per-country)1 | (50,000) | (30,000) | (40,000) | ||||
3. Suspense preferences against remaining foreign income (per-country) | (30,000) | (5,000) | |||||
4. Suspense preferences against remaining U.S. income: | |||||||
France (35,000 / 165,000 * $150,000) | (31,818) | ||||||
Germany (40,000 / 165,000 * $150,000) | (36,364) | ||||||
U.K. (90,000 / 165,000 * $150,000) | (81,818) | ||||||
5. Other foreign deductions against remaining U.S. income (0) | (2) | (2) | (2) | (2) | (2) | (2) | (2) |
6. U.S. deductions against other foreign income | (2) | (2) | (2) | (2) | (2) | (2) | (2) |
7. Other foreign deductions against remaining foreign income ($5,000) | (5,000) | ||||||
8. Suspense preferences against remaining foreign income (0): | (2) | (2) | (2) | (2) | (2) | (2) | (2) |
Balance (components of NOL) | 3,182 | 20,000 | 3,636 | 8,182 |
1 Foreign income amounts before step 2 are: France-$50,000; Germany-$60,000; United Kingdom-$5,000; Belgium-$45,000.
2 Not applicable.
United States | France | Germany | United Kingdom |
$100,000 | $60,000 | $20,000 | $30,000 |
In addition, the taxpayer has a net operating loss deduction of $235,000 resulting from a 1972 net operating loss consisting of the following amounts:
Deductions attributable to income from sources within the United States | $25,000 |
Suspense preferences attributable to income from sources within France | $75,000 |
Deductions other than suspense preferences attributable to income from sources within France | $85,000 |
Deductions other than suspense preferences attributable to sources within the Netherlands | $50,000 |
[In thousands of dollars]
1973 income | 1972 net operating loss | |||||||
United States | France | Germany | United Kingdom | United States | French suspense preferences | French other deductions | Dutch other deductions | |
100 | 60 | 20 | 30 | 25 | 75 | 85 | 50 | |
U.S. deductions against U.S. income | (25) | (25) | ||||||
Other foreign deductions against foreign income (per-country) | (60) | (60) | ||||||
Suspense preferences against remaining foreign income (per-country) | (2) | (2) | (2) | (2) | (2) | (2) | (2) | (2) |
Suspense preferences against remaining U.S. income | (1 75) | (75) | ||||||
Other foreign deductions against remaining U.S. income | (2) | (2) | (2) | (2) | (2) | (2) | (2) | (2) |
U.S. deductions against remaining foreign income | (2) | (2) | (2) | (2) | (2) | (2) | (2) | (2) |
Other foreign deductions against remaining foreign income: | ||||||||
French (25,000/75,000 * $50,000) | (16.7) | (16.7) | ||||||
Dutch (50,000/75,000 * $50,000) | (33.3) | (33.3) | ||||||
Suspense preferences against remaining foreign income | (2) | (2) | (2) | (2) | (2) | (2) | (2) | (2) |
Balance (1972 carryover to 1974) | 8.3 | 16.7 |
1 Suspense preferences converted to actual items of tax preference.
2 Not applicable.
26 C.F.R. §1.58-7