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USC Title 26 enacted through 2008

§ 246A. Dividends received deduction reduced where portfolio stock is debt financed

 
(a)
General rule
 
In the case of any dividend on debt-financed portfolio stock, there shall be substituted for the percentage which (but for this subsection) would be used in determining the amount of the deduction allowable under section 243, 244, or 245(a) a percentage equal to the product of -
 
(1)
70 percent (80 percent in the case of any dividend from a 20-percent owned corporation as defined in section 243(c)(2)), and
 
(2)
100 percent minus the average indebtedness percentage.
 
(b)
Section not to apply to dividends for which 100 percent dividends received deduction allowable
 
Subsection (a) shall not apply to -
 
(1)
qualifying dividends (as defined in section 243(b) without regard to section 243(d)(4)), and
 
(2)
dividends received by a small business investment company operating under the Small Business Investment Act of 1958.
 
(c)
Debt financed portfolio stock
 
For purposes of this section -
 
(1)
In general
 
The term "debt financed portfolio stock" means any portfolio stock if at some time during the base period there is portfolio indebtedness with respect to such stock.
 
(2)
Portfolio stock
 
The term "portfolio stock" means any stock of a corporation unless -
 
(A)
as of the beginning of the ex-dividend date, the taxpayer owns stock of such corporation -
 
(i)
possessing at least 50 percent of the total voting power of the stock of such corporation, and
 
(ii)
having a value equal to at least 50 percent of the total value of the stock of such corporation, or
 
(B)
as of the beginning of the ex-dividend date -
 
(i)
the taxpayer owns stock of such corporation which would meet the requirements of subparagraph (A) if "20 percent" were substituted for "50 percent" each place it appears in such subparagraph, and
 
(ii)
stock meeting the requirements of subparagraph (A) is owned by 5 or fewer corporate shareholders.
 
(3)
Special rule for stock in a bank or bank holding company
 
(A)
In general
 
If, as of the beginning of the ex-dividend date, the taxpayer owns stock of any bank or bank holding company having a value equal to at least 80 percent of the total value of the stock of such bank or bank holding company, for purposes of paragraph (2)(A)(i), the taxpayer shall be treated as owning any stock of such bank or bank holding company which the taxpayer has an option to acquire.
 
(B)
Definitions
 
For purposes of subparagraph (A) -
 
(i)
Bank
 
The term "bank" has the meaning given such term by section 581.
 
(ii)
Bank holding company
 
The term "bank holding company" means a bank holding company (within the meaning of section 2(a) of the Bank Holding Company Act of 1956).
 
(4)
Treatment of certain preferred stock
 
For purposes of determining whether the requirements of subparagraph (A) or (B) of paragraph (2) or of subparagraph (A) of paragraph (3) are met, stock described in section 1504(a)(4) shall not be taken into account.
 
(d)
Average indebtedness percentage
 
For purposes of this section -
 
(1)
In general
 
Except as provided in paragraph (2), the term "average indebtedness percentage" means the percentage obtained by dividing -
 
(A)
the average amount (determined under regulations prescribed by the Secretary) of the portfolio indebtedness with respect to the stock during the base period, by
 
(B)
the average amount (determined under regulations prescribed by the Secretary) of the adjusted basis of the stock during the base period.
 
(2)
Special rule where stock not held throughout base period
 
In the case of any stock which was not held by the taxpayer throughout the base period, paragraph (1) shall be applied as if the base period consisted only of that portion of the base period during which the stock was held by the taxpayer.
 
(3)
Portfolio indebtedness
 
(A)
In general
 
The term "portfolio indebtedness" means any indebtedness directly attributable to investment in the portfolio stock.
 
(B)
Certain amounts received from short sale treated as indebtedness
 
For purposes of subparagraph (A), any amount received from a short sale shall be treated as indebtedness for the period beginning on the day on which such amount is received and ending on the day the short sale is closed.
 
(4)
Base period
 
The term "base period" means, with respect to any dividend, the shorter of -
 
(A)
the period beginning on the ex-dividend date for the most recent previous dividend on the stock and ending on the day before the ex-dividend date for the dividend involved, or
 
(B)
the 1-year period ending on the day before the ex-dividend date for the dividend involved.
 
(e)
Reduction in dividends received deduction not to exceed allocable interest
 
Under regulations prescribed by the Secretary, any reduction under this section in the amount allowable as a deduction under section 243, 244, or 245 with respect to any dividend shall not exceed the amount of any interest deduction (including any deductible short sale expense) allocable to such dividend.
 
(f)
Regulations
 
The regulations prescribed for purposes of this section under section 7701(f) shall include regulations providing for the disallowance of interest deductions or other appropriate treatment (in lieu of reducing the dividend received deduction) where the obligor of the indebtedness is a person other than the person receiving the dividend.








Tax Code (Internal Revenue Code) Section Index


U.S. GAAP by Codification Topic
 
105 GAAP Hierarchy
105 GAAP History

205 Presentation of Financial Statements
205-20 Discontinued Operations
210 Balance Sheet
210-20 Offsetting
220 Comprehensive Income
225 Income Statement
225-20 Extraordinary and Unusual Items
230 Statement of Cash Flows
250 Accounting Changes and Error Corrections
260 Earnings per Share
270 Interim Reporting

310 Impairment of a Loan
320 Investment Securities
320 Other-Than-Temporary Impairments, FSP FAS 115-2
320-10-05 Overview of Investments in Other Entities
320-10-35 Reclassification of Investments in Securities
323-10 Equity Method Investments
323-30 Investments in Partnerships and Joint Ventures
325-20 Cost Method Investments
330 Inventory

340-20 Capitalized Advertising Costs
350-20 Goodwill
350-30 Intangibles Other than Goodwill
350-40 Internal-Use Software
350-50 Website Development Costs
360 Property, Plant and Equipment
360-20 Real Estate Sales

410 Asset Retirement and Environmental Obligations
420 Exit or Disposal Cost Obligations
450 Contingencies
450-20 Loss Contingencies
450-30 Gain Contingencies
480 Redeemable Financial Instruments

505-20 Stock Dividends, Stock Splits
505-30 Treasury Stock

605 SEC Staff Accounting Bulletin, Topic 13
605-25 Revenue Recognition - Multiple Element Arrangements

715-30 Defined Benefit Plans - Pension
718 Share-Based Payment
730 Research and Development
730-20 Research and Development Arrangements

805 Business Combinations
810 Consolidation
810 Noncontrolling Interests
810 Consolidation of Variable Interest Entities, SFAS 167

815 Derivatives and Hedging Overview

820 Fair Value Measurements
820 Fair value when the markets are not active, FSP FAS 157-4
825 Fair Value Option

830 Foreign Currency Matters
830-20 Foreign Currency Transactions
830-30 Translation of Financial Statements
835 Interest
835-20 Capitalization of Interest
835-30 Imputation of Interest

840 Leases
840-20 Operating Leases
840-30 Capital Leases
840-40 Sale-Leaseback Transactions
845 Nonmonetary Transactions

855 Subsequent Events
860-20 Sale of Financial Assets, SFAS 166
860-50 Servicing Assets and Liabilities, SFAS 156

985-20 Costs of software to be sold


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Tax Code (Internal Revenue Code) Section Index




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