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Short-term capital gain distributions from a RIC - accounting income or corpus?


When an estate or trust owns shares of a regulated investment company Regulated investment company

An investment company allowed to pass capital gains, dividends, and interest earned on fund investments directly to its shareholders so that it is taxed only at the personal level, and double taxation is avoided.
 (RIC RIC Rhode Island College
RIC Rehabilitation Institute of Chicago
RIC Regulated Investment Company
RIC Royal Irish Constabulary
RIC Reuters Instrument Code
RIC Roman Imperial Coinage
RIC Resources Inventory Committee
RIC Rapid Intervention Crew
), the question often arises as to whether short-term capital gain Short-term capital gain

A profit on the sale of a security or mutual fund share that has been held for one year or less. A short-term capital gain is taxed as ordinary income.
 distributions received from the RIC should be allocated to the estate's or trust's accounting income or corpus; that is, should the distributions be treated as ordinary income or capital gain? An answer to this question can be reached by analyzing Secs. 852 and 643 and the Revised Uniform Principal and Income Act The Uniform Principal And Income Act (UPAIA) is one of the uniform acts that has been promulgated in attempts to harmonize the law in all fifty U.S. states. It was completed by the Uniform Law Commissioners in 1997, and amended in 2000.  (RUPIA).

Sec. 852(b)(2) generally defines taxable income Under the federal tax law, gross income reduced by adjustments and allowable deductions. It is the income against which tax rates are applied to compute an individual or entity's tax liability. The essence of taxable income is the accrual of some gain, profit, or benefit to a taxpayer.  of a RIC as all taxable income minus net capital gain. The term "net capital gain" is defined under Sec. 1222(11) as net long-term capital gain Long-term capital gain

A profit on the sale of a security or mutual fund share that has been held for more than one year.
 in excess of net short-term capital loss for the tax year. Thus, a RIC's taxable income equals all income other than long-term capital gain.

As a result, if a RIC has a net short-term capital gain, such gain will be included in computing computing - computer  to RIC's taxable income a taxed at ordinary income rates. Distributions to RIC shareholders out of short-term capital gains are treated as dividend income by the shareholders and not as short-term capital gains. Thus, under Sec. 852, conduit treatment is not available for short-term capital gains distributed from a RIC.

Sec. 643(b) provides that "the term `income', when not preceded by the words `taxable', `distributable net', or `gross', means the amount of income of the estate or trust for the taxable year Taxable year

The 12-month period an individual uses to report income for income tax purposes. For most individuals, their tax year is the calendar year.
 determined under the terms of the governing instrument and applicable local law." Thus, the definition of accounting income is not contingent on Adj. 1. contingent on - determined by conditions or circumstances that follow; "arms sales contingent on the approval of congress"
contingent upon, dependant on, dependant upon, dependent on, dependent upon, depending on, contingent
 any definition in the Internal Revenue Code The Internal Revenue Code is the body of law that codifies all federal tax laws, including income, estate, gift, excise, alcohol, tobacco, and employment taxes. These laws constitute title 26 of the U.S. Code (26 U.S.C.A. § 1 et seq.  of taxable income. Rather, an estate's or trust's accounting income must be determined under the governing instrument and applicable local law.

In the absence of specific provisions in the governing instrument, local law determines how short-term capital gains are treated. RUPIA Section 6 (adopted by many states) addresses the issue of distributions from a RIC as follows:

Distributions made from ordinary income by a regulated investment company or by a trust qualifying and electing to be taxed under federal law as a real estate investment trust are income. All other distributions made by the company or trust, including distributions from capital gains, depreciation, or depletion, whether in the form of cash or an option to take new stock or cash or an option to purchase additional shares, are principal. (Emphasis added.)

Thus, the RUPIA does not distinguish between long-term capital gains and short-term capital gains. instead, the statute clearly indicates that all capital gains are principal for fiduciary accounting purposes.

Based on this analysis, unless the trust's or estate's governing instrument provides otherwise (or applicable local law deviates from the RUPIA with respect to RIC distributions), short-term capital gain distributions from a RIC to a trust or estate should retain their character as capital gain and thus be allocated to corpus.

Observation: An argument can be made that the RUPIA's reference to ordinary income with respect to RIC distributions means taxable income as defined under Sec. 852(b)(2). In such a case, distributions of short-term capital gain from a RIC would constitute ordinary income distributions which the RUPIA provides should be treated as accounting income. However, since RUPIA Section 6 does not make any reference to the Internal Revenue Code, there is no legal support for this position.
COPYRIGHT 1995 American Institute of CPA's
No portion of this article can be reproduced without the express written permission from the copyright holder.
Copyright 1995, Gale Group. All rights reserved. Gale Group is a Thomson Corporation Company.

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Title Annotation:regulated investment company
Author:Watson, Mark T.
Publication:The Tax Adviser
Date:Jun 1, 1995
Words:555
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