At the taxpayer's option, all, a part, or none of the costs which qualify as export promotion expenses may be so claimed as export promotion expenses.
(1) Maximum combined taxable income (determined under paragraph (b)(2) of this section): | ||
(a) Y's gross receipts from export sales | $95.00 | |
(b) Less: | ||
(i) Direct materials | 40.00 | |
(ii) Direct labor | 20.00 | |
(iii) Y's export promotion expenses claimed in determining Y's DISC taxable income | 5.00 | |
(iv) Total deductions | 65.00 | |
(c) Maximum combined taxable income | 30.00 | |
(2) Overall profit percentage limitation (determined under paragraph (b)(3) of this section): | ||
(a) Gross receipts of X and Y from all domestic and foreign sales | 400.00 | |
(b) Less deductions: | ||
(i) Direct materials | 160.00 | |
(ii) Direct labor | 80.00 | |
(iii) Other costs (of which $8 are costs of the DISC including $5 of export promotion expenses claimed in determining Y's taxable income) | 40.00 | |
(c) Total deductions | 280.00 | |
(d) Total taxable income from all sales computed on a full costing method | 120.00 | |
(e) Overall profit percentage (line (d) ($120) divided by line (a) ($400)) (percent) | 30% | |
(f) Multiply by gross receipts from Y's export sales (line (1)(a)) | $95.00 | |
(g) Overall profit percentage limitations | 28.50 |
Since the overall profit percentage limitation under line (2)(g) ($28.50) is less than maximum combined taxable income under line (1)(c) ($30), combined taxable income under marginal costing is limited to $28.50. Since under the franchise agreement Y is to earn the maximum commission permitted under the intercompany pricing rules of section 994, combined taxable income on the transactions is $28.50. Accordingly, the costs attributable to export sales (other than for direct material, direct labor, and export promotion expenses) are $1.50, i.e., line (1)(c) ($30) minus line (2)(g) ($28.50). Under the combined taxable income method of § 1.994-1 (c)(3) , Y will have taxable income attributable to the sales of $14.75, i.e., the sum of 1/2 of combined taxable income (1/2 of $28.50) and 10 percent of Y's export promotion expenses claimed in determining Y's taxable income (10 percent of $5). Accordingly, the commissions Y receives from X are $22.75, i.e., Y's costs ($8, see line (2)(b)(iii)) plus Y's profit ($14.75).
(1) Maximum combined taxable income (determined under paragraph (b)(2) of this section): | ||
(a) Y's gross receipts from export sales | $85.00 | |
(b) Less: | ||
(i) Direct materials | 40.00 | |
(ii) Direct labor | 20.00 | |
(iii) Y's export promotion expenses claimed in determining Y's taxable income | 5.00 | |
(iv) Total deductions | 65.00 | |
(c) Maximum combined taxable income | 20.00 | |
(2) Overall profit percentage limitation (determined under paragraph (b)(3) of this section): | ||
(a) Gross receipts from Y's export sales (line (1)(a)) | 85.00 | |
(b) Multiply by overall profit percentage (as determined in example 1) (percent) | 30% | |
(c) Overall profit percentage limitation | 25.50 |
Since maximum combined taxable income under line (1)(c) ($20) is less than the overall profit percentage limitation under line (2)(c) ($25.50), combined taxable income under marginal costing is limited to $20. Since under the franchise agreement Y is to earn the maximum commission permitted under the intercompany pricing rules of section 994, combined taxable income on the transactions is $20. Accordingly, no costs (other than for direct material, direct labor, and export promotion expenses) will be attributed to export sales. Under the combined taxable income method of § 1.994-1(c)(3) , Y will have taxable income attributable to the sales of $10.50, i.e., the sum of 1/2 of combined taxable income (1/2 of $20) and 10 percent of Y's export promotion expenses claimed in determining Y's taxable income (10 percent of $5). Accordingly, the Commissions Y receives from X are $18.50, i.e., Y's costs ($8, see line (2)(b)(iii) of example 1) plus Y's profit ($10.50).
(3) Maximum combined taxable income (determined under paragraph (b)(2) of this section): | ||
(a) Y's gross receipts from export sales | $85.00 | |
(b) Less: | ||
(i) Direct materials | 40.00 | |
(ii) Direct labor | 20.00 | |
(iii) Total deductions | 60.00 | |
(c) Maximum combined taxable income | 25.00 | |
(4) Overall profit percentage limitation (line (2)(c)) | 25.50 |
Since maximum combined taxable income under line (3)(c) ($25) is less than the overall profit percentage under line (4) ($25.50), combined taxable income under marginal costing is limited to $25. Since under the franchise agreement Y is to earn the maximum commission permitted under the intercompany pricing rules of section 994, combined taxable income on the transactions is $25. Accordingly, no costs (other than for direct material and direct labor) will be attributed to export sales. Under the combined taxable income method of § 1.994-1(c)(3) , Y will have taxable income attributable to the sales of $12.50, i.e., 1/2 of combined taxable income (1/2 of $25). Accordingly, the commissions Y receives from X are $20.50, i.e., Y's costs ($8, see line (2)(b)(iii) of example 1) plus Y's profit ($12.50).
(1) Maximum combined taxable income (determined under paragraph (b)(2) of this section): | ||
(a) Y's gross receipts from export sales | $85.00 | |
(b) Less: | ||
(i) Direct materials | 40.00 | |
(ii) Direct labor | 20.00 | |
(iii) Y's export promotion expenses claimed in determining Y's taxable income | 35.00 | |
(iv) Total deductions | 95.00 | |
(c) Maximum combined taxable income (loss) | (10.00) | |
(2) Overall profit percentage limitation (as determined in example 2) | 25.50 |
Since maximum combined taxable income under line (1)(c) (which is a loss of $10) is less than the overall profit percentage limitation under line (2)(c) ($25.50), combined taxable income under marginal costing is a loss of $10 and, under the combined taxable income method of § 1.994-1(c)(3) , Y will have no taxable income or loss attributable to the sales. Accordingly, the commissions Y receives from X are $40, i.e., Y's costs ($40).
(3) Maximum combined taxable income (determined under paragraph (b)(2) of this section) (line (3)(c) of example 2) | $25.00 |
(4) Overall profit percentage limitation (as determined in example 2) | 25.50 |
The results would be the same as in part (2) of example 2, except that the commissions Y receives from X are $52.50, i.e., Y's costs ($40) plus Y's profit ($12.50).
26 C.F.R. §1.994-2