Example.
Royalties | $20,000 | |
Capital gain allocable to corpus | 10,000 | |
Gross income | 30,000 | |
Deductions: | ||
Expenses | $2,000 | |
Distributions to A | 10,000 | |
Capital gain deduction | 5,000 | |
Personal exemption | 100 | |
17,100 | ||
Taxable income | 12,900 | |
Total income taxes | 3,787 |
$3,787 (total taxes) * $7,900 (taxable income other than capital gains not included in d.n.i. less the 1202 deduction) divided by $12,900 (taxable income) | $2,319 |
Example. Assume the same facts as in the example in subparagraph (1) of this paragraph. In 1975 the trust makes an accumulation distribution, of which an amount of undistributed net income is deemed distributed in 1974. Taxes imposed on the trust (in the amount of $1,000) attributable to the undistributed net income are therefore deemed distributed in such year. Consequently, the taxes imposed on the trust subsequent to the 1975 distribution attributable to the remaining undistributed net income are $1,319 ($2,319 less $1,000).
However, if the alternative tax computation under section 1201(b) is used and there are no net short-term gains, the amount is the amount of the alternative tax imposed on the trust and attributable to the capital gain. The application of this subparagraph may be illustrated by the following example, which assumes that the alternative tax computation is not used:
Example. Assume the same facts as in the example in paragraph (b)(1). The capital gains not included in d.n.i. are $10,000, and the deduction under section 1202 is $5,000. The amount of taxes imposed on the trust attributable to undistributed capital gain is $1,468, computed as follows:
$3,787 (total taxes) * $5,000 (capital gains not included in d.n.i. less section 1202 deductions) divided by $12,900 (taxable income) | $1,468 |
Example. Assume the same facts as in the example in subparagraph (1) of this paragraph. In 1976, the trust makes a capital gain distribution, of which an amount of undistributed capital gain is deemed distributed in 1974. Taxes imposed on the trust (in the amount of $500) attributable to the undistributed capital gain are therefore deemed distributed in such year. Consequently, the taxes imposed on the trust attributable to the remaining undistributed capital gain are $968 ($1,468 less $500).
26 C.F.R. §1.665(d)-1A