|
|
|
DON FITCH CPA Certified Public
Accountant
Toll
Free (877)CPA-Help Direct Line (760)674-1722
www.paylesstax.com
Email:
DonFitchCPA@paylesstax.com
|
Located here at www.paylesstax.com are over 100 Actual Successful IRS Offer in Compromise acceptance letters. We speak fluent Successful IRS Offers In Compromise in all 50 States, Successful IRS Installment
Agreements and Successful Federal Wage Levy
releases. Let us complete your prior (delinquent)
and current years tax returns including 1040
Individual, 1065 Partnership, 1120
Corporation, 1120S Corporation, 1041 Trust,
990 Non Profit, 706 Estate, 709 Gift, 941
Payroll, and 940 Futa

|

Click Here
For your Certificate of Guarantee |
|
|
|
FREE Phone Tax Consultation
FREE Tax Forms from 1980 to
Present!
FREE Online Tax Chat with Don Fitch, CPA!
NEW
Video Conference with Don
Fitch CPA!
Free Website Contact Form sent directly to Don Fitch, CPA!
Have No Fear
of an IRS Audit
Have No Fear of
the IRS
ACTUAL IRS Wage Levy
Releases
ACTUAL
IRS Installment Agreements
ACTUAL IRS Offers in
Compromise 2000
ACTUAL IRS Offers in
Compromise 1999
ACTUAL IRS Offers in
Compromise 1998
ACTUAL IRS Offers in
Compromise 1997
ACTUAL IRS Offers in
Compromise 1996
ACTUAL Testimonials
about Don Fitch CPA
ACTUAL IRS Lien
Releases
Don Fitch CPA's Guaranteed IRS Wage Levy Release Program
Haven't Filed in Years
What should I Do?
IRS Penalties
Interest and Abatement
IRS Liens What
Should I Do?
What Don Fitch CPA will do for you
Taxes and Bankruptcy
Don Fitch CPA's Resume
Danger on the Internet
IRS 1040
(Information)
IRS Form 1040 (Individual)
IRS Form 1041 (Trust)
IRS Form 1065 (Partnership)
IRS Form 1120 (Corporation)
IRS Form 1120S (Sub
S-Corporation)
IRS Form 706 (Estate)
IRS Form 709 (Gift
Tax)
IRS Form 941 (Payroll
Taxes)
IRS Form 940 (Federal
Unemployment Taxes)
IRS Form 990 (Non
Profit)
Don Fitch CPA's Favorite Accounting
and Bookkeeping Bookmarks
Don Fitch CPA's Favorite Tax
Bookmarks
Don Fitch CPA's Favorite IRS
Forms and Publications Bookmarks
Don Fitch CPA's Favorite State
Tax Resources and Forms Bookmarks
Don Fitch CPA's Favorite Tax
Publisher Bookmarks
Don Fitch CPA's Favorite Computer
Related Bookmarks
Don Fitch CPA's Favorite Continuing
Professional Education Bookmarks
Don Fitch CPA's Favorite Internet
Library Bookmarks
Don Fitch CPA's Favorite Internet
Related Bookmarks
Don Fitch CPA's Favorite Internet
Shopping Bookmarks
Don Fitch CPA's Favorite Internet
Stock Quotes Bookmarks
Don Fitch CPA's Favorite Internet
Travel Related Bookmarks
Don Fitch CPA's Employment
Opportunities
Directions to Don Fitch CPA
Webmaster's Resume
Don Fitch CPA's
Professional Fees

Home
and/or Top of Page
|
 |
IRS Revenue Ruling
2001-33Code Sec. 809
<<FULL TEXT>>
26 CFR 1.809-9: Computation of the differential earnings
rate and the
recomputed differential earnings rate.
Mutual life insurance companies; differential earnings rate.
The
differential earnings rate for 2000 and the recomputed
differential
earnings rate for 1999 are set forth for use by mutual life
insurance
companies to compute their income tax liabilities for 2000.
REV. RUL. 2001-33
This revenue ruling contains the differential earnings rate
for 2000
and the recomputed differential earnings rate for 1999.
Under section 809
of the Internal Revenue Code, mutual life insurance
companies use these
rates in computing their federal income tax liability for
taxable years
beginning in 2000. This revenue ruling also contains the
figures on which
the determinations of these rates are based. Notice 2001-24,
2001-12
I.R.B. 912, contained tentative determinations of these
rates.
Section 809(a) provides that, in the case of any mutual life
insurance
company, the amount of the deduction allowable under section
808 for
policyholder dividends is reduced (but not below zero) by
the
"differential earnings amount." Any excess of the
differential earnings
amount over the amount of the deduction allowable under
section 808 is
taken into account as a reduction in the closing balance of
reserves under
subsections (a) and (b) of section 807. The "differential
earnings amount"
for any taxable year is the amount equal to the product of
(a) the life
insurance company's average equity base for the taxable year
multiplied by
(b) the "differential earnings rate" for that taxable year.
The
"differential earnings rate" for the taxable year is the
excess of (a) the
"imputed earnings rate" for the taxable year over (b) the
"average mutual
earnings rate" for the second calendar year preceding the
calendar year in
which the taxable year begins. The "imputed earnings rate"
for any taxable
year is the amount that bears the same ratio to 16. percent
as the
"current stock earnings rate for the taxable year bears to
the "base
period stock earnings rate."
Section 809(f) provides that, in the case of any mutual life
insurance
company, if the "recomputed differential earnings amount"
for any taxable
year exceeds the differential earnings amount for that
taxable year, the
excess is included in life insurance gross income for the
succeeding
taxable year. If the differential earnings amount for any
taxable year
exceeds the recomputed differential earnings amount for that
taxable year,
the excess is allowed as a life insurance deduction for the
succeeding
taxable year. The "recomputed differential earnings amount"
for any
taxable year is an amount calculated in the same manner as
the
differential earnings amount for that taxable year, except
that the
average mutual earnings rate for the calendar year in which
the taxable
year begins is substituted for the average mutual earnings
rate for the
second calendar year preceding the calendar year in which
the taxable year
begins.
The stock earnings rates and mutual earnings rates taken
into account
under section 809 generally are determined by dividing
statement gain from
operations by the average equity base. For this purpose, the
term
"statement gain from operations" means "the net gain or loss
from
operations required to be set forth in the annual statement,
determined
without regard to federal income taxes, and . . . properly
adjusted for
realized capital gains and losses. . . ." See section
809(g)(1). The term
"equity base" is defined as an amount determined in the
manner prescribed
by regulations equal to surplus and capital increased by the
amount of
nonadmitted financial as sets, the excess of the amount of
statutory
reserves over the amount of tax reserves, the sum of certain
other
reserves, and 50 percent of any policyholder dividends (or
other similar
liability) payable in the following taxable year. See
section 809(b)(2),
(3), (4), (5), and (6). Section 1.809-10 of the Income Tax
Regulations
provides that the equity base includes both the asset
valuation reserve
and the interest maintenance reserve for taxable years
ending after
December 31, 1991.
Section 1.809-9(a) of the regulations provides that neither
the
differential earnings rate under section 809(c) nor the
recomputed
differential earnings rate that is used in computing the
recomputed
differential earnings amount under section 809(f)(3) may be
less than
zero.
Rev. Rul. 99-3, 1999-1 C.B. 313, provides that a life
insurance
subsidiary of a mutual holding company is not a mutual life
insurance
company for which the deduction for policyholder dividends
is reduced
pursuant to sections 808(c)(2) and 809.
For purposes of section 809, the differential earnings rate
for 2000
and the rate used to calculate the recomputed differential
earnings amount
for 1999 (the recomputed differential earnings rate for
1999), and the
figures on which these two rates are based are set forth in
Table 1.
REV. RUL. 2001-33 TABLE 1
Determination of Rates To Be Used For Taxable Years
Beginning in 2000
Differential earnings rate for 2000 0
Recomputed differential earnings rate for 1999 0
Imputed earnings rate for 1999 15.815
Imputed earnings rate for 2000 15.358
Base period stock earnings rate 18.221
Current stock earnings rate for 2000 16.960
Stock earnings rate for 1997 19.321
Stock earnings rate for 1998 15.836
Stock earnings rate for 1999 15.724
Average mutual earnings rate for 1998 16.011
Average mutual earnings rate for 1999 16.164
DRAFTING INFORMATION
The principal author of this revenue ruling is Katherine A.
Hossofsky
of the Office of the Associate Chief Counsel (Financial
Institutions and
Products). For further information regarding this revenue
ruling, contact
Ms. Hossofsky at (202) 622-3477 (not a toll-free number).
<<END RULING>>
TO
CONTACT
DON FITCH CPA
Phone
Don Fitch CPA Toll Free at (877)CPA-Help or (877)272-4357 or on our Direct Line at (760)674-1722.
Email:
DonFitchCPA@paylesstax.com
Fax
Don Fitch CPA (760)836-0968 or (760)406-5001.
Mail
your request for help to Don
Fitch CPA:
Don Fitch CPA
74-478
Highway 111, Suite 3
Palm
Desert, CA 92260
Complete
Don Fitch's Website contact form
http://www.paylesstax.com/dfacontact.html
Chat
Live with Don Fitch CPA |  |

 
Don Fitch CPA Copyright © 2001 Don Fitch CPA . All rights reserved.
|