Interest on bonds of a U.S. corporation | $10,000 |
Net long-term capital gain from U.S. sources | 30,000 |
Gross income from investments in Country X | 40,000 |
Net short-term capital loss from U.S. sources | 5,000 |
Expenses allocable to gross income from investments in Country X | 5,000 |
Interest on bonds of a U.S. corporation | $10,000 | |
Gross income from investments in Country X | 40,000 | |
Net long-term capital gain from U.S. sources | $30,000 | |
Less: Net short-term capital loss from U.S. sources | 5,000 | |
Excess of net long-term capital gain over net short-term capital loss | 25,000 | |
Total | 75,000 | |
Less: Expenses allocable to income from investments in Country X | 5,000 | |
Distributable net income | 70,000 |
Interest on bonds of a U.S. corporation (60 percent of $10,000) | $6,000 | |
Gross income from investments in Country X (60 percent of $40,000) | 24,000 | |
Net long-term capital gain from U.S. sources (60 percent of $30,000) | $18,000 | |
Less: Net short-term capital loss from U.S. sources (60 percent of $5,000) | 3,000 | |
15,000 | ||
Total | 45,000 | |
Less: Expenses allocable to income from investments in Country X (60 percent of $5,000) | 3,000 | |
Distributable net income | 42,000 |
Interest on bonds of a U.S. corporation (40 percent of $10,000) | $4,000 |
Gross income from investments in Country X (40 percent of $40,000) | 16,000 |
Total | 20,000 |
Less: Expenses allocable to income from investments in Country X (40 percent of $5,000) | 2,000 |
Distributable net income | 18,000 |
Distributable net income of the foreign trust created by a U.S. person | $42,000 |
Distributable net income of that portion of the entire foreign trust which does not constitute a foreign trust created by a U.S. person | 18,000 |
Distributable net income of the entire foreign trust | 60,000 |
It should be noted that the difference between the $70,000 distributable net income of the foreign trust in example 1 and the $60,000 distributable net income of the entire foreign trust in this example is due to the $10,000 (40 percent of $25,000) net capital gain (capital gain net income for taxable years beginning after December 31, 1976) which under section 643(a)(3) is excluded from the distributable net income of that portion of the foreign trust in example 2 which does not constitute a foreign trust created by a U.S. person.
26 C.F.R. §1.643(a)-6