Example. In 1978, a trust makes an accumulation distribution of undistributed net income to X of $50,000 that is deemed under section 666(a) to have been distributed in 1972. X had income in 1972, 1973, and 1973, and had a net operating loss in 1975 that offset his taxable income (computed as provided in § 1.172-5 ) for those years, as follows:
Year | Actual income (or loss) | Income after net operating loss carryback (n.o.l.c.b.) |
1972 | $10,000 | $0 |
1973 | 50,000 | 0 |
1974 | 50,000 | 10,000 |
1975 | (100,000) | 0 |
As a result of the allocation of the 1973 accumulation distribution to 1972, X's income for 1972, 1973, 1974, and 1975, after taking into account the 1975 n.o.l.c.b., is deemed to be as follows:
Year | Income deemed to have been earned after consideration of n.o.l.c.b., and accumulation distribution |
1972 | 0 ($10,000 + $50,000-$60,000 n.o.l.c.b.). |
1973 | $10,000 ($50,000-$40,000 balance of n.o.l.c.b.). |
1974 | $50,000. |
1975 | 0. |
Therefore, the tax on the 1978 accumulation distribution to X is the tax X would have paid in 1973 and 1974 had he had the above income in such years.
26 C.F.R. §1.668(b)-3A