Eligibility
Must be triggered by a court order, closing agreement, or signed agreement with the Secretary; distribution must occur within 90 days of determination and a claim filed within 120 days.
Frequently Asked Questions
Who is eligible for the Deficiency Dividend Deduction?
Must be triggered by a court order, closing agreement, or signed agreement with the Secretary; distribution must occur within 90 days of determination and a claim filed within 120 days.
How does the Deficiency Dividend Deduction work?
Allows a corporation to avoid PHC tax liability after an IRS determination by distributing dividends to shareholders within 90 days.
What law authorizes the Deficiency Dividend Deduction?
The Deficiency Dividend Deduction is authorized under IRC §547 of the Internal Revenue Code (Title 26, United States Code).
Statutory Text — IRC §547
Source: Internal Revenue Code, Title 26, United States Code
§ 547. Deduction for deficiency dividends(a) General ruleIf a determination (as defined in subsection (c)) with respect to a taxpayer establishes liability for personal holding company tax imposed by section 541 (or by a corresponding provision of a prior income tax law) for any taxable year, a deduction shall be allowed to the taxpayer for the amount of deficiency dividends (as defined in subsection (d)) for the purpose of determining the personal holding company tax for such year, but not for the purpose of determining interest, additional amounts, or assessable penalties computed with respect to such personal holding company tax.
(b) Rules for application of section(1) Allowance of deductionThe deficiency dividend deduction shall be allowed as of the date the claim for the deficiency dividend deduction is filed.
(2) Credit or refundIf the allowance of a deficiency dividend deduction results in an overpayment of personal holding company tax for any taxable year, credit or refund with respect to such overpayment shall be made as if on the date of the determination 2 years remained before the expiration of the period of limitation on the filing of claim for refund for the taxable year to which the overpayment relates. No interest shall be allowed on a credit or refund arising from the application of this section.
(c) DeterminationFor purposes of this section, the term “determination” means—(1) a decision by the Tax Court or a judgment, decree, or other order by any court of competent jurisdiction, which has become final;
(2) a closing agreement made under section 7121; or
(3) under regulations prescribed by the Secretary, an agreement signed by the Secretary and by, or on behalf of, the taxpayer relating to the liability of such taxpayer for personal holding company tax.
(d) Deficiency dividends(1) DefinitionFor purposes of this section, the term “deficiency dividends” means the amount of the dividends paid by the corporation on or after the date of the determination and before filing claim under subsection (e), which would have been includible in the computation of the deduction for dividends paid under section 561 for the taxable year with respect to which the liability for personal holding company tax exists, if distributed during such taxable year. No dividends shall be considered as deficiency dividends for purposes of subsection (a) unless distributed within 90 days after the determination.
(2) Effect on dividends paid deduction(A) For taxable year in which paidDeficiency dividends paid in any taxable year (to the extent of the portion thereof taken into account under subsection (a) in determining personal holding company tax) shall not be included in the amount of dividends paid for such year for purposes of computing the dividends paid deduction for such year and succeeding years.
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