Example. During 1973, M, a related supplier (as defined in § 1.994-1(a)(3)(ii) ) of N, is engaged in the manufacture of machines in the United States. N, a calendar year taxpayer, is engaged in the sale and lease of such machines in foreign countries. N furnishes services which are related and subsidiary to its sale and lease of such machines. N also acts as a commission agent in foreign countries for Z, an unrelated supplier, with respect to Z's sale of products. N receives dividends on stock owned by it in a related foreign export corporation (as defined in § 1.993-5 ), interest on producer's loans made to M, and proceeds from sales of business assets located outside the United States resulting in a recognized gains and losses. N's gross receipts for 1973 are $3,550, computed on the basis of the additional facts assumed in the table below:
(1) N's sales receipts for machines manufactured by M (without reduction for cost of goods sold and selling expenses) | $1,500 |
(2) N's lease receipts for machines manufactured by M (without reduction for depreciation and leasing expenses) | 500 |
(3) N's gross income from services for machines manufactured by M (without reduction for service expenses) | 400 |
(4) Z's sale receipts for products manufactured by Z (without reduction for Z's cost of goods sold, commissions on sales, and commission sales expenses) | 550 |
(5) Dividends received by N | 150 |
(6) Interest received by N on producer's loans | 200 |
(7) Proceeds received by N representing recognized gain (but not losses) from sales of business assets located outside the United States | 250 |
(8) N's gross receipts | 3,550 |
26 C.F.R. §1.993-6