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Department of the Treasury

Internal Revenue Service

Instructions for
Form 1120-IC-DISC
Interest Charge Domestic International Sales
Corporation Return
(Section references are to the Internal Revenue Code unless otherwise noted. )

Paperwork Reduction Act Notice General Instructions


We ask for the information on this form to carry out the Internal Revenue laws of the
United States. You are required to give us the information. We need it to ensure that Purpose of Form
you are complying with these laws and to allow us to figure and collect the right
Form 1120-IC-DISC is an information
amount of tax.
return filed by interest charge domestic
The time needed to complete and file the following forms will vary depending on international sales corporations
individual circumstances. The estimated average times are: (IC-DISCs), former DISCs, and former
Copying, IC-DISCs.
assembling, and
Learning about the law Preparing the sending the form What Is an IC-DISC?
Form Recordkeeping or the form form to the IRS
1120-IC-DISC 95 hr., 54 min. 19 hr., 38 min. 29 hr., 31 min. 2 hr., 9 min. An IC-DISC is a domestic corporation
Schedule K 4 hr., 4 min. 47 min. 54 min. that has elected to be an IC-DISC and
Schedule P 11 hr., 58 min. 1 hr., 17 min. 1 hr., 34 min. its election is still in effect. The IC-DISC
If you have comments concerning the accuracy of these time estimates or election is made by filing Form 4876-A,
suggestions for making these forms more simple, we would be happy to hear from Election To Be Treated as an Interest
you. You can write to both the Internal Revenue Service, Washington, DC 20224, Charge DISC.
Attention: IRS Reports Clearance Officer, T:FP; and the Office of Management and Generally, an IC-DISC is not taxed on
Budget, Paperwork Reduction Project (1545-0938), Washington, DC 20503. DO its income. Shareholders of an IC-DISC
NOT send the tax form to either of these offices. Instead, see Where To File on are taxed on its income when the
page 2. income is actually or deemed
distributed. In addition, section 995(f)
imposes an interest charge on
Contents Schedule K—Shareholder’s shareholders for their share of
Statement of IC-DISC DISC-related deferred tax liability. See
Voluntary Contributions To Reduce the Distributions 12
Public Debt 1 Form 8404, Computation of Interest
Schedule L—Balance Sheets 12 Charge on DISC-Related Deferred Tax
General Instructions 1 Liability, for details.
Schedule N—Export Gross Receipts
Purpose of Form 1 of the IC-DISC and Related U.S. To be an IC-DISC, a corporation must
Who Must File 2 Persons 12 be organized under the laws of a state
When To File 2 Schedule O—Other Information 13 or the District of Columbia and meet the
Where To File 2 Schedule P (Form 1120-IC-DISC)— following tests:
Who Must Sign 2 Intercompany Transfer Price or ● At least 95% of its gross receipts
Commission 13 during the tax year are qualified export
Accounting Methods 2
Codes for Principal Business Activity 14 receipts.
Unresolved Tax Problems 3
Product Code System for ● At the end of the tax year, the
Other Forms, Returns, and adjusted basis of its qualified export
Statements That May Be Schedule N 15
assets is at least 95% of the sum of the
Required 3 adjusted basis of all its assets.
Definitions 4 ● It has only one class of stock, and its
Voluntary Contributions To
Penalties 5 outstanding stock has a par or stated
Reduce the Public Debt value of at least $2,500 on each day of
Specific Instructions 5
Income 6 A corporation may make a contribution the tax year (or for a new corporation on
to reduce the public debt. To do so, the last day to elect IC-DISC status for
Schedule A—Cost of Goods Sold 6 enclose a check made payable to the year and on each later day).
Section 263A Uniform Capitalization “Bureau of the Public Debt,” with Form ● It maintains separate books and
Rules 6 1120-IC-DISC. These amounts are records for a tax year.
Schedule B—Gross Income 7 tax-deductible, subject to the rules and ● It is not a member of any controlled
Schedule C—Dividends and Special limitations for charitable contributions. group of which a foreign sales
Deductions 8 corporation (FSC) is a member.
Schedule E—Deductions 9 ● Its tax year must conform to the tax
Schedule J—Deemed and Actual year of the principal shareholder who at
Distributions 10 the beginning of the tax year has the
highest percentage of voting power. If
two or more shareholders have the
Cat. No. 11476W
highest percentage of voting power, the taxed or accumulated DISC income. A Alaska, Arizona, California
IC-DISC must elect a tax year that former IC-DISC is a corporation that was (counties of Alpine, Amador,
conforms to that of any one of the an IC-DISC in an earlier year but did not Butte, Calaveras, Colusa,
principal shareholders. See section qualify as an IC-DISC at the end of its Contra Costa, Del Norte, El
441(h) and its regulations for more 1991 tax year; and at the beginning of Dorado, Glenn, Humboldt,
Lake, Lassen, Marin,
information. the year, it had undistributed income Mendocino, Modoc, Napa,
● Its election to be treated as an that was previously taxed or Nevada, Placer, Plumas,
IC-DISC is in effect for the tax year. accumulated IC-DISC income. (See Sacramento, San Joaquin,
Ogden, UT 84201
section 992 and related regulations.) Shasta, Sierra, Siskiyou,
See Definitions on page 4 and Solano, Sonoma, Sutter,
section 992 and related regulations for A former DISC or former IC-DISC Tehama, Trinity, Yolo, and
details. need not complete page 1 and the Yuba), Colorado, Idaho,
Schedules for figuring taxable income, Montana, Nebraska,
Distribution to meet qualification Nevada, North Dakota,
but must complete Schedules J, L, and
requirements.—An IC-DISC that does Oregon, South Dakota,
M of Form 1120-IC-DISC and Schedule
not meet the gross receipts test or Utah, Washington,
K (Form 1120-IC-DISC). Write “Former Wyoming
qualified export asset test during the tax
DISC” or “Former IC-DISC” across the
year will still be considered to have met California (all other
top of the return. Fresno, CA 93888
them if, after the tax year ends, the counties), Hawaii
IC-DISC makes a pro rata property Special Returns for Certain Illinois, Iowa, Minnesota,
distribution to its shareholders and Kansas City, MO 64999
Organizations Missouri, Wisconsin
specifies at the time that this is a
Certain organizations have to file special Alabama, Arkansas,
distribution to meet the qualification Louisiana, Mississippi, Memphis, TN 37501
requirements. returns. North Carolina, Tennessee
If the IC-DISC did not meet the gross If the organization is a: File Form
Ä Ä Delaware, District of
receipts test, the distribution equals the Columbia, Maryland, Philadelphia, PA 19255
part of its taxable income attributable to Tax-exempt organization 990 series Pennsylvania, Virginia
gross receipts that are not qualified
export gross receipts. If it did not meet Personal holding company
1120 and Schedule If the IC-DISC is one of a group of
PH (Form 1120) IC-DISCs controlled by a common
the qualified export asset test, the
distribution equals the fair market value Financial institutions parent, file with the service center where
1120
of the assets that are not qualified affected by sec. 581 or 593 the common parent files.
export assets on the last day of the tax Life insurance company A group of corporations in several
1120L
year. If the IC-DISC did not meet either (sec. 801) service center regions may file their
test, the distribution equals the sum of Property and casualty
separate returns with the service center
both amounts. Regulations section insurance company (sec. 1120-PC for the principal office of the managing
1.992-3 explains how to figure the 831) corporation that keeps all the books and
distribution. records.
Regulated investment
Interest on late distribution.—If the 1120-RIC
company (sec. 851)
IC-DISC makes a distribution after Form
Real estate investment trust
Who Must Sign
1120-IC-DISC is due, interest must be (sec. 856)
1120-REIT
The return must be signed and dated by
paid to the Internal Revenue Service the president, vice president, treasurer,
Center where it filed the form. The S corporation (sec. 1361) 1120S
assistant treasurer, chief accounting
charge is 41⁄2% of the distribution times officer, or any other corporate officer
the number of tax years that begin after When To File (such as tax officer) authorized to sign. A
the tax year to which the distribution receiver, trustee, or assignee must sign
relates until the date the IC-DISC made File Form 1120-IC-DISC by the 15th day
of the 9th month after the tax year ends. and date any return required to be filed
the distribution. on behalf of a corporation.
If you must pay this interest, send the No extensions are allowed.
If a corporate officer completed Form
payment to the Service Center within 30 1120-IC-DISC, the Paid Preparer’s space
days of making the distribution. On the Where To File should remain blank. Anyone who
payment, write the IC-DISC’s name, prepares Form 1120-IC-DISC but does
Use the following
address, and employer identification If the main business, Internal Revenue not charge the corporation should not
number; the tax year involved; and a office, or agency is Service Center sign the return. Generally, anyone who is
statement that the payment represents located in address
paid to prepare Form 1120-IC-DISC
the interest charge under Regulations Ä Ä
must sign it and fill in the Paid
section 1.992-3(c)(4). New Jersey, New York Preparer’s Use Only area.
(New York City and
The paid preparer must complete the
Who Must File counties of Nassau,
Rockland, Suffolk, and
Holtsville, NY 00501
required preparer information and:
The corporation must file Form Westchester)
● Sign the return, by hand, in the space
1120-IC-DISC if it elected, by filing Form New York (all other provided for the preparer’s signature
4876-A, to be treated as an IC-DISC. counties), Connecticut, (signature stamps or labels are not
If the corporation is a former DISC or Maine, Massachusetts, New Andover, MA 05501 acceptable).
Hampshire, Rhode Island,
former IC-DISC, it must file Form Vermont ● Give a copy of the return to the
1120-IC-DISC in addition to any other taxpayer.
return required. A former DISC is a Florida, Georgia, South
Atlanta, GA 39901
Carolina
corporation that was a DISC on or
before December 31, 1984, but failed to Indiana, Kentucky,
Accounting Methods
qualify as a DISC sometime prior to Michigan, Ohio, West Cincinnati, OH 45999 Compute taxable income by the
December 31, 1984, or did not elect to Virginia accounting method regularly used to
be an IC-DISC after 1984; and at the Kansas, New Mexico, keep the IC-DISC’s books and records.
Austin, TX 73301
beginning of the year, it had Oklahoma, Texas The method used must clearly reflect
undistributed income that was previously taxable income. See section 446.
Page 2
A member of a controlled group must ● jewelry and furs, $10,000. proceeds from broker and barter
avoid using an accounting method that Form 720 is also used to report exchange transactions; certain dividends
would distort any group member’s environmental excise taxes, and distributions; interest payments;
income, including its own. For example, communications and air transportation payments for certain fishing boat crew
an IC-DISC acts as a commission agent taxes, fuel taxes, manufacturers taxes, members, medical and dental health
for property sales by a related ship passenger tax, and certain other care payments, direct sales of consumer
corporation that uses the accrual excise taxes. goods for resale, miscellaneous income
method and pays the IC-DISC its payments, and nonemployee
Form 926, Return by U.S. Transferor of
commission more than 2 months after compensation; original issue discount;
Property to a Foreign Corporation,
the sale. In this case, the IC-DISC distributions from profit-sharing plans,
Foreign Estate or Trust, or Foreign
should not use the cash method of retirement plans, individual retirement
Partnership. Use this form to report all
accounting, because it materially distorts arrangements, insurance contracts, etc.;
transfers of property to a foreign
the income of the IC-DISC. and proceeds from real estate
corporation, foreign estate or trust,
Unless the law specifically permits transactions. Also use these returns to
foreign partnership, and to pay any
otherwise, the IC-DISC must get report amounts that were received as a
excise tax due under section 1491. Also
consent on Form 3115, Application for nominee on behalf of another person.
use Form 926 to report information
Change in Accounting Method, to required under section 6038B. For more information, see the
change from the accounting method it instructions for Forms 1099 and Pub.
Under section 6038B, a corporation
used to report taxable income in earlier 937, Employment Taxes and Information
that transfers property to a foreign
years (for income as a whole or for any Returns.
corporation in an exchange described in
material item). section 367(a) or (d), or that makes an Note: Every corporation must file Form
Rounding to Whole Dollars.—The election to apply principles similar to the 1099-MISC if, in the course of its trade
corporation may show the money items principles of section 367 to any transfer or business, it makes payments of rents,
on the return and accompanying covered by the excise tax, must file commissions, or other fixed or
schedules as whole-dollar amounts. To Form 926 and attachments with its deter minable income (see section 6041)
do so, drop any amount less than 50 income tax return for the tax year in totaling $600 or more to any one person
cents, and increase any amount from 50 which the transfer was made. dur ing the calendar year.
cents through 99 cents to the next Form 966, Corporate Dissolution or Form 5452, Corporate Report of
higher dollar. Liquidation. Nondividend Distributions.
Forms 1042, Annual Withholding Tax Form 5498, Individual Retirement
Unresolved Tax Problems Return for U.S. Source Income of Arrangement Information. Use this form
The IRS has a Problem Resolution Foreign Persons, and Form 1042S, to report contributions (including rollover
Program for taxpayers who have been Foreign Person’s U.S. Source Income contributions) to an individual retirement
unable to resolve their problems with the Subject to Withholding. Use these forms arrangement (IRA) and the value of an
IRS. If the corporation has a tax problem to report and transmit withheld tax on IRA or simplified employee pension
it has been unable to resolve through payments or distributions made to (SEP) account.
normal channels, write to the nonresident alien individuals, foreign Form 5713, International Boycott
corporation’s local IRS district director or partnerships, or foreign corporations, to Report. Filed by persons having
call the corporation’s local IRS office and the extent the payments or distributions operations in or related to “boycotting”
ask for Problem Resolution assistance. constitute gross income from sources countries. Also, persons who participate
Hearing-impaired persons who have within the United States (see sections in or cooperate with an international
access to TDD equipment may call 861 through 865). For more information, boycott may have to complete Schedule
1-800-829-4059 to ask for help. The see sections 1441 and 1442, and Pub. A or Schedule B and Schedule C of
Problem Resolution office will ensure 515, Withholding of Tax on Nonresident Form 5713 to compute their loss of the
that your problem receives proper Aliens and Foreign Corporations. following items: the foreign tax credit,
attention. Although the office cannot Please inform shareholders who are the deferral of earnings of a controlled
change the tax law or make technical nonresident alien individuals or foreign foreign corporation, IC-DISC benefits,
decisions, it can help clear up problems corporations, trusts, or estates that if and FSC benefits.
that may have resulted from previous they have gains from disposal of stock Form 8264, Application for Registration
contacts. in the IC-DISC, former DISC, or former of a Tax Shelter. Filed by tax shelter
IC-DISC, or distributions from organizers to register tax shelters with
Other Forms, Returns, and accumulated IC-DISC income, including the IRS to receive a tax shelter
Statements That May Be deemed distributions, they must treat registration number.
these amounts as effectively connected Form 8271, Investor Reporting of Tax
Required with the conduct of a trade or business Shelter Registration Number. Taxpayers
Forms conducted through a permanent who have acquired an interest in a tax
establishment in the United States and shelter that is required to be registered
The IC-DISC may have to file any of the derived from sources within the United file this form to report the tax shelter’s
following: States. registration number. Form 8271 must be
Form W-2, Wage and Tax Statement, Form 1096, Annual Summary and attached to any tax return (including an
and Form W-3, Transmittal of Income Transmittal of U.S. Information Returns. application for tentative refund (Form
and Tax Statements. Form 1098, Mortgage Interest 1139) and an amended Form 1120-IC-
Form 720, Quarterly Federal Excise Tax Statement. This form is used to report DISC) on which a deduction, credit, loss,
Return. Use Form 720 to report a 10% the receipt from any individual of $600 or other tax benefit attributable to a tax
excise tax that applies to the following or more of mortgage interest and points shelter is taken or any income
items, to the extent the sales price in the course of the corporation’s trade attributable to a tax shelter is reported.
exceeds the amounts shown: or business for any calendar year. Form 8275, Disclosure Statement. Used
● passenger vehicles, $30,000; Forms 1099-A, B, DIV, INT, MISC, OID, by taxpayers and income tax return
● boats and yachts, $100,000; R, and S. These information returns are preparers to disclose items or positions,
for reporting abandonments and except those contrary to a regulation
● aircraft, $250,000; and (see Form 8275-R below), that are not
acquisitions through foreclosure;
Page 3
otherwise adequately disclosed on a tax of the outstanding stock of a personal g. Gross receipts for engineering or
return. The disclosure is made to avoid holding company and the corporation architectural services on construction
parts of the accuracy-related penalty was required to include in its gross projects outside the United States.
imposed for negligence, disregard of income any undistributed foreign h. Gross receipts for managerial
rules, or substantial understatement of personal holding company income from services performed for an unrelated
tax. Form 8275 is also used for a foreign personal holding company. IC-DISC.
disclosures relating to preparer penalties A corporation may have to file Form For more information, see Regulations
for understatements due to unrealistic 5471, Information Return of U.S. section 1.993-1.
positions or for willful or reckless Persons With Respect to Certain Foreign
conduct. Qualified export assets are any of
Corporations, if any of the following the following:
Form 8275-R, Regulation Disclosure applies:
Statement. Used to disclose any item on a. Export property.
1. It controls a foreign corporation.
a tax return for which a position has b. Assets used mainly in performing
2. It is a 10%-or-more shareholder of the engineering or architectural services
been taken that is contrary to Treasury a controlled foreign corporation.
regulations. listed under qualified export receipts,
3. It acquires, disposes of, or owns item g above, or managerial services
Form 8300, Report of Cash Payments 5% or more in value of the outstanding
Over $10,000 Received in a Trade or that further the production of qualified
stock of a foreign corporation. export receipts, items a, b, c, and g
Business. Generally, this form is used to
report the receipt of more than $10,000 4. It is a 10% shareholder of a foreign above; or assets used mainly in
in cash or foreign currency in one personal holding company. assembling, servicing, handling, selling,
transaction or in a series of related 5. It owns stock in a controlled foreign leasing, packaging, transporting, or
transactions. corporation for an uninterrupted period storing of export property.
After February 2, 1992, cashier’s of 30 days or more during any tax year c. Accounts receivable produced by
checks, bank drafts, and money orders of the foreign corporation, and it owned transactions listed under qualified export
with face amounts of $10,000 or less are that stock on the last day of that year. receipts, items a–d, g, or h above.
considered cash when they are received Transfers to a corporation controlled d. Temporary investments, such as
from the retail sale of certain personal by the transferor.—If a person receives money and bank deposits, in an amount
property, collectibles, and travel and stock of a corporation in exchange for reasonable to meet the corporation’s
entertainment activities. Corporations property, and no gain or loss is needs for working capital.
must treat these amounts as cash in any recognized under section 351, the e. Obligations related to a producer’s
transaction if they know these transferor and the transferee must each loan.
instruments are being used instead of attach to their tax returns the f. A related foreign export
currency to avoid the reporting of the information required by Regulations corporation’s stock or securities that the
transaction. For more information, see section 1.351-3. IC-DISC holds.
Regulations section 1.6050I-1(c).
Attachments g. Certain obligations that are issued
Form 8594, Asset Acquisition or insured by the U.S. Export-Import
Statement. Filed by both the purchaser Attach Form 4136, Credit for Federal
Bank or the Foreign Credit Insurance
and seller of a group of assets Tax Paid on Fuels, after page 6, Form
Association and that the IC-DISC
constituting a trade or business if 1120-IC-DISC. Attach schedules in
acquires from the bank, the association,
goodwill or a going concern value alphabetical order and other forms in
or the person who sold or bought the
attaches, or could attach, to such assets numerical order after Form 4136.
goods from which the obligations arose.
and if the purchaser’s basis in the assets
h. Certain obligations held by the
is determined only by the amount paid Definitions IC-DISC that were issued by a domestic
for the assets.
1. The following definitions are based corporation organized to finance export
Form 8621, Return by a Shareholder of on section 993. property sales under an agreement with
a Passive Foreign Investment Company the Export-Import Bank, by which the
or Qualified Electing Fund. A corporation Qualified export receipts are any of
the following: corporation makes export loans that the
that was a shareholder in a passive bank guarantees.
foreign investment company (as defined a. Gross receipts from selling,
in section 1296) at any time during the exchanging, or otherwise disposing of i. Other deposits in the United States
tax year must complete and attach this export property. used to acquire qualified export assets
form to its return. b. Gross receipts from renting export within the time provided by Regulations
property that the lessee uses outside the section 1.993-2(j).
Form 8697, Interest Computation Under
the Look-Back Method for Completed United States. See Regulations section 1.993-2 for
Long-Term Contracts. Use this form to c. Gross receipts from supporting more information.
figure the interest due or to be refunded services related to any qualified sale, Export property must be:
under the look-back method of section exchange, rental, or other disposition of a. Made, grown, or extracted in the
460(b)(2) on certain long-term contracts, export property by the corporation. United States by someone other than an
accounted for under either the d. Gross receipts, if there is a gain, IC-DISC.
percentage of completion-capitalized from selling, exchanging, or otherwise b. Neither excluded under section
cost method or the percentage of disposing of qualified export assets that 993(c)(2) nor declared in short supply
completion method. are not export property. under section 993(c)(3).
Statements e. Dividends or amounts includible in c. Held mainly for sale or rent in the
gross income regarding stock of a ordinary course of trade or business, by
Financial statements.—The balance related foreign export corporation and or to an IC-DISC for direct use,
sheets should agree with your books under section 951 (relating to amounts consumption, or disposition outside the
and records. Reconcile any differences. included in the gross income of U.S. United States.
Stock ownership in foreign shareholders of controlled foreign d. Property not more than 50% of the
corporation.—Attach the statements corporations). fair market value of which is attributable
required by section 551(c) if the f. Interest on any obligation that is a to articles imported into the United
corporation owned 5% or more in value qualified export asset. States.
Page 4
e. Neither sold nor leased by or to foreign corporation’s sole function is to property for use or distribution outside
another IC-DISC that, immediately hold the title; and only the IC-DISC uses the United States. These expenses do
before or after the transaction, either the property, under lease or otherwise. not include income tax, but do include
belongs to the same controlled group c. An associated foreign corporation is 50% of the cost of shipping the export
(defined in section 993(a)(3)) as your a related foreign export corporation if: property on U.S.-owned and
IC-DISC or is related to your IC-DISC in U.S.-operated aircraft or ships if U.S.
(1) The IC-DISC or a controlled group
a way that would result in losses being law or regulations do not require that it
of corporations to which the IC-DISC
denied under section 267. be shipped on them.
belongs owns less than 10% of the total
See Regulations section 1.993-3 for voting power of the foreign corporation’s
details. stock (section 1563 defines a controlled Penalties
A producer’s loan must meet all the group in this sense, and sections The IC-DISC may have to pay the
following terms: 1563(d) and (e) define ownership), and following penalties unless it can show
a. Satisfy sections 993(d)(2) and (3) (2) The IC-DISC’s ownership of the that it had reasonable cause for not
limiting loans the IC-DISC makes to any foreign corporation’s stock or securities providing information or not filing a
one borrower. reasonably furthers transactions that return:
b. Not raise the unpaid balance due lead to qualified export receipts for the ● $100 for each instance of not
the IC-DISC on all its producer’s loans IC-DISC. providing required information, up to
above the level of accumulated IC-DISC See Regulations section 1.993-5 for $25,000 during the calendar year.
income it had at the start of the month more information about related foreign ● $1,000 for not filing a return.
in which it made the loan. export corporations.
If the return is filed late and the failure
c. Be indicated by written evidence of Gross receipts are the IC-DISC’s total to file timely is due to reasonable cause,
debt, such as a note, that has a stated receipts from selling or renting property please explain. See section 6686 for
maturity date no more than 5 years after that the corporation holds for sale or other details.
the date of the loan. rent in the course of its trade or
d. Be made to a person in the United business and from all other sources. For
States in the trade or business of commissions on selling or renting Specific Instructions
making, growing, or extracting export property, include gross receipts from
property. selling or renting the property on which File a Complete Return
the commissions arose. See Regulations
e. Be designated as a producer’s loan To assist us in processing the return,
section 1.993-6 for more information.
when made. please complete every applicable entry
United States, as used in these space on Form 1120-IC-DISC. Do not
For more information, see Schedule Q
instructions, includes Puerto Rico and attach statements and write “See
(Form 1120-IC-DISC), Borrower’s
U.S. possessions, as well as the 50 attached” instead of completing the
Certificate of Compliance With the Rules
states and the District of Columbia. entry spaces on Form 1120-IC-DISC.
for Producer’s Loans, and Regulations
section 1.993-4. 2. Intercompany pricing rules
(section 994).—If a related person Period Covered
A related foreign export corporation
described in section 482 sells export File the 1992 return for calendar year
of any of the following kinds can pay
property to the IC-DISC, use the 1992 and fiscal years that begin in 1992.
dividends and interest to the IC-DISC
intercompany pricing rules to figure If the return is for a fiscal year, fill in the
without loss of IC-DISC status. The
taxable income for the IC-DISC and the tax year space at the top of the form.
IC-DISC’s investment must be related to
seller. These rules generally do not
exports from the United States.
permit the related person to price at a Address
a. A foreign inter national sales loss. Under intercompany pricing, the
corporation is a related foreign export Include the suite, room, or other unit
IC-DISC’s taxable income from the sale number after the street address. If the
corporation if: (regardless of the price actually charged) Post Office does not deliver mail to the
(1) The IC-DISC directly owns more may not exceed the greatest of: street address, show the P.O. box
than 50% of the total voting power of a. 4% of qualified export receipts on number instead of the street address.
the foreign corporation’s stock; the IC-DISC’s sale of the property plus
(2) For the tax year that ends with 10% of the IC-DISC’s export promotion Item C—Employer Identification
your IC-DISC’s tax year or ends within it, expenses attributable to the receipts, Number
at least 95% of the foreign corporation’s b. 50% of the IC-DISC’s and the Enter the IC-DISC’s employer
gross receipts consists of the qualified seller’s combined taxable income from identification number (EIN). If the
export receipts described in items a–d qualified export receipts on the property, IC-DISC does not have an EIN, it should
of Qualified export receipts and derived from the IC-DISC’s sale of the apply for one on Form SS-4, Application
interest on the qualified export assets property plus 10% of the IC-DISC’s for Employer Identification Number. You
listed in items c and d of Qualified export promotion expenses attributable can get this form at most IRS or Social
export assets; and to the receipts, or Security Administration offices. Send
(3) The adjusted basis of the qualified c. Taxable income based on the sale Form SS-4 to the same Internal
export assets in items a–d of Qualified price actually charged, provided that Revenue Service Center to which you
export assets that the foreign under section 482 the price actually send Form 1120-IC-DISC. If the
corporation held at the end of the tax charged clearly reflects the taxable corporation has not received the EIN by
year is at least 95% of the adjusted income of the IC-DISC and the related the time for filing Form 1120-IC-DISC,
basis of all assets it held then. person. write “Applied for” in the space for the
b. A real property holding company is Schedule P (Form 1120-IC-DISC), EIN.
a related foreign export corporation if: Intercompany Transfer Price or Item E—Total Assets
(1) The IC-DISC directly owns more Commission, explains the intercompany
than 50% of the total voting power of pricing rules in more detail. Enter the total assets of the IC-DISC. If
the foreign corporation’s stock, and there are no assets at the end of the tax
3. Export promotion expenses year, enter the assets as of the
(2) Applicable foreign law forbids the (section 994(c)).—These expenses are beginning of the tax year.
IC-DISC to hold title to real property; the incurred to help distribute or sell export

Page 5
Item F—Initial Return, Final Return, A deficit in earnings and profits is Line 4
Change in Address, or Amended chargeable in the following order:
Return Additional Section 263A Costs
1. First, to any earnings and profits
If this is the IC-DISC’s initial return or other than accumulated IC-DISC income Complete this line only if the corporation
final return, check the applicable box in or previously taxed income. elected a simplified method of
item F at the top of the form. 2. Second, to any accumulated accounting. For corporations electing
IC-DISC income. the simplified production method,
If there has been a change in address additional section 263A costs are
from the previous year, check the box 3. Third, to previously taxed income. generally those costs, other than
for Change in Address in item F at the Do not apply any deficit in earnings interest, that were not capitalized or
top of the form. Form 8822, Change of and profits against accumulated IC-DISC included in inventory costs under the
Address, should be filed to notify the income that, as a result of the corporation’s method of accounting
IRS of a change of address that occurs corporation’s revoking its election to be immediately before the effective date in
after the return is filed. treated as an IC-DISC (or other Temporary Regulations section
To correct an error in a Form disqualification), is deemed distributed to 1.263A-1T that are now required to be
1120-IC-DISC already filed, file an the shareholders. See section capitalized under section 263A. If the
amended Form 1120-IC-DISC and check 995(b)(2)(A). corporation elected the simplified resale
the Amended return box in item F at the method, additional section 263A costs
top of the form. If the amended return Line 6b
are generally costs incurred for the
changes the income or distributions of Dividends-Received Deduction following categories: off-site storage or
income to shareholders, an amended warehousing; purchasing; handling,
Schedule K (Form 1120-IC-DISC) must See the instructions under Schedule C, processing, assembly, and repackaging;
be filed with the amended Form Line 9, Column (c) on page 9 for and general and administrative costs
1120-IC-DISC and given to each details. (mixed service costs). Enter on line 4 the
shareholder. Write “AMENDED” across Line 7 balance of section 263A costs paid or
the top of the corrected Schedule K you incurred during the tax year not included
give to each shareholder. Taxable Income on lines 2 and 3. See Temporary
If the corporation uses either the gross Regulations section 1.263A-1T for more
Question G(1)
receipts method or combined taxable information.
For rules of stock attribution, see section income method to compute the
267(c). If the owner of the voting stock Line 5
IC-DISC’s taxable income attributable to
of the IC-DISC was an alien individual or any transactions involving products or Other Costs
a foreign corporation, partnership, trust, product lines, attach Schedule P (Form
or estate, check the “Yes” box in the Enter on line 5 any other inventoriable
1120-IC-DISC). Show in detail the costs paid or incurred during the tax
“Foreign owner” column and enter the IC-DISC’s taxable income attributable to
name of the owner’s country, in year not entered on lines 2 through 4.
each such transaction or group of
parentheses, in the address column. transactions. Line 7
“Owner’s country” for individuals is their
country of residence; for other foreign Line 8 Inventory at End of Year
entities, it is the country in which
Refundable Credit for Federal Tax Paid See section 263A and Temporary
organized or otherwise created, or in
on Fuels Regulations section 1.263A-1T for
which administered.
details on figuring the amount of
Enter the credit from Form 4136. additional section 263A costs to be
Income capitalized and added to ending
An IC-DISC must figure its taxable inventory.
income although it does not pay most
Schedule A
Lines 9a Through 9e
taxes. Generally, an IC-DISC is subject Cost of Goods Sold
only to the tax imposed by sections Inventory Valuation Methods
1491 through 1494 on certain transfers
If the corporation uses intercompany Inventories can be valued at:
to avoid tax. An IC-DISC is exempt from
pricing rules, reflect in Schedule A actual 1. Cost;
the corporate income tax, alternative
purchases from a related supplier. See 2.
minimum tax, and accumulated earnings 2. Cost or market value (whichever is
Intercompany pricing rules (section
tax. lower); or
994) on page 5 and use the transfer
An IC-DISC and its shareholders are price figured in Part II of Schedule P 3. Any other method approved by the
not entitled to the possessions (Form 1120-IC-DISC). IRS that conforms to the provisions of
corporation tax credit (section 936). An the applicable regulations cited below.
If the IC-DISC acts as another
IC-DISC cannot claim the general Taxpayers who use erroneous
person’s commission agent on a sale,
business credit or the credit for fuel valuation methods must change to a
do not enter any amount in Schedule A
produced from a nonconventional method permitted for Federal tax
for the sale. See Schedule P (Form
source. In addition, these credits cannot purposes. To make this change, use
1120-IC-DISC).
be passed through to shareholders of Form 3115, Application for Change In
the corporation. Section 263A Uniform Accounting Method.
Line 6a Capitalization Rules On line 9a, check the method(s) used
These rules are discussed in general in for valuing inventories. Under “lower of
Net Operating Loss Deduction cost or market,” market generally
Limitations on deductions under
The net operating loss deduction is the Schedule E on page 9. See those applies to normal market conditions
amount of the net operating loss instructions before completing where there is a current bid price
carryovers and carrybacks that can be Schedule A. prevailing at the date the inventory is
deducted in the tax year. See section valued. When no regular open market
172 and Pub. 536, Net Operating exists or when quotations are nominal
Losses, for details. because of inactive market conditions,
use fair market prices from the most
Page 6
reliable sales or purchase transactions Corporations that fall under this 4. Outside the United States by
that occurred near the date the provision should attach a schedule means of the seller’s delivery vehicle
inventory is valued. See Regulations showing total gross receipts, amount not (ship, plane, etc.).
section 1.471-4. accrued as a result of the application of 5. Outside the United States to a
Inventory may be valued below cost section 448(d)(5), and the net amount buyer or lessee at a storage or assembly
when the merchandise is unsalable at accrued. The net amount should be site if the property was previously
normal prices or unusable in the normal entered on the applicable line of shipped from the United States by the
way because the goods are “subnormal” Schedule B. For more information and IC-DISC.
due to damage, imperfections, shop guidelines on this non-accrual 6. Outside the United States to a
wear, etc., within the meaning of experience method, see Temporary purchaser or lessee if the property was
Regulations section 1.471-2(c). The Regulations section 1.448-2T. previously shipped by the seller or lessor
goods may be valued at the current from the United States and if the
bona fide selling price minus direct cost
Commissions: Special Rule
property is located outside the United
of disposition (but not less than scrap If the IC-DISC received commissions on States pursuant to a prior lease by the
value) if such a price can be established. selling or renting property or furnishing seller or lessor, and either (a) the prior
Check the box on line 9a(iv) if you services, list in column (b) the gross lease terminated at the expiration of its
used a method of inventory valuation receipts from the sales, rentals, or term (or by the action of the prior lessee
other than those described in 9a(i) services on which the commissions acting alone), (b) the sale occurred or
through (iii). Attach a statement arose, and in column (c), list the the term of the subsequent lease began
describing the method used. commissions earned. In column (d) after the time at which the term of the
report receipts from noncommissioned prior lease would have expired, or (c) the
If this is the first year the “Last-in,
sales or rentals of property or furnishing lessee under the subsequent lease is
First-out” (LIFO) inventory method was
of services, as well as all other receipts. not a related person (a member of the
either adopted or extended to inventory
goods not previously valued under the For purposes of completing line 1a same controlled group as defined in
LIFO method provided in section 472, and line 1b, related purchasers are section 993(a)(3) or a relationship that
attach Form 970, Application To Use members of the same controlled group would result in a disallowance of losses
LIFO Inventory Method, or a statement (as defined in section 993(a)(3)) as the under section 267 or section 707(b))
with the information required by Form IC-DISC. All other purchasers are immediately before or after the lease
970. Also check the LIFO box in line 9b. unrelated. with respect to the lessor, and the prior
In line 9c, enter the amount or percent A qualified export sale or lease must lease was terminated by the action of
of total closing inventories covered meet a use test and a destination test the lessor (acting alone or together with
under section 472. Estimates are in order to qualify. the lessee).
acceptable. The use test applies at the time of the Line-by-Line Instructions
If the IC-DISC changed or extended sale or lease. If the property is used
its inventory method to LIFO and had to predominantly outside the United States, Line 1.—Qualified export receipts in line
“write up” its opening inventory to cost and the sale or lease is not for ultimate 1 are received from the sale of property,
in the year of election, report the effect use in the United States, it is a qualified such as inventory, that is produced in
of this write up as income (line 3f, export sale or lease. Otherwise, if a the United States for direct use,
Schedule B) proportionately over the reasonable person would believe that consumption, or disposition outside the
3-year period that begins in the tax year the property will be used in the United United States. These sales are qualified
the corporation made its LIFO election States, the sale or lease is not a export sales.
(see section 472(d)). qualified export sale or lease. For Line 1a. Enter the IC-DISC’s qualified
example, if property is sold to a foreign export receipts from export property
wholesaler and it is known in trade sold to foreign, unrelated buyers for
Schedule B circles that the wholesaler, to a delivery outside the Unites States. Do
substantial extent, supplies the U.S. not include amounts entered on line 1b.
Gross Income retail market, the sale would not be a Line 1b. Enter the IC-DISC’s qualified
qualified export sale, and the receipts export receipts from export property
If an income item falls into two or more would not be qualified export receipts. sold for delivery outside the United
categories, report each part on the Regardless of where title or risk of States to a related foreign entity for
applicable line. For example, if interest loss shifts from the seller or lessor, the resale to a foreign, unrelated buyer, or
income consists of qualified interest property must be delivered under one of an unrelated buyer when a related
from a foreign international sales the following conditions to meet the foreign entity acts as commission agent.
corporation and nonqualified interest destination test: Line 2a. Enter the gross amount
from a domestic obligation, enter the 1. Within the United States to a carrier received from leasing or subleasing
qualified interest on an attached or freight forwarder for ultimate delivery export property to unrelated persons for
schedule for line 2g and the nonqualified outside the United States to a buyer or use outside the United States.
interest on an attached schedule for line lessee.
3f. Receipts from leasing export property
2. Within the United States to a buyer may qualify in some years and not in
For gain from selling qualified export or lessee who, within 1 year of the sale others, depending on where the lessee
assets, attach a separate schedule in or lease, delivers it outside the United uses the property. Enter only receipts
addition to the forms required for lines States or delivers it to another person that qualify during the tax year. (Use
2h and 2i. for ultimate delivery outside the United Schedule E to deduct expenses such as
Accrual basis taxpayers need not States. repairs, interest, taxes, and
accrue certain amounts to be received 3. Within or outside the United States depreciation.)
from the performance of services which, to an IC-DISC that is not a member of Line 2b. A service connected to a sale
on the basis of their experience, will not the same controlled group (as defined in or lease is related to it if the service is
be collected (section 448(d)(5)). This section 993(a)(3)) as the IC-DISC that is usually furnished with that type of sale
provision does not apply to any amount making the sale or lease. or lease in the trade or business where it
if interest is required to be paid on such took place. A service is subsidiary if it is
amount or if there is any penalty for less important than the sale or lease.
failure to pay timely such amount.
Page 7
Line 2c. Include receipts from corporations. Attach a schedule to Form
engineering or architectural services on 1120-IC-DISC showing how the amount
foreign construction projects abroad or Schedule C on line 3, column (c), was figured.
proposed for location abroad. These Dividends and Special Deductions
services include feasibility studies, Line 4, Column (a)
design and engineering, and general Enter dividends received on the
supervision of construction, but do not For purposes of the 20% ownership test preferred stock of a less-than-20%-
include services connected with mineral on lines 1 through 7, the percentage of owned public utility that is subject to
exploration. stock owned by the corporation is based income tax and is allowed the deduction
on voting power and value of the stock. under section 247 for dividends paid.
Line 2d. Include receipts for export Preferred stock described in section
management services provided to 1504(a)(4) is not taken into account. Line 5, Column (a)
unrelated IC-DISCs.
Line 2f. Include interest received on any Line 1, Column (a) Enter dividends received on preferred
loan that qualifies as a producer’s loan. stock of a 20%-or-more-owned public
Enter dividends (except those received utility that is subject to income tax and
Line 2g. Enter interest on any qualified on debt-financed stock acquired after is allowed the deduction under section
export asset other than interest on July 18, 1984—see section 246A and 247 for dividends paid.
producer’s loans. For example, include line 2, column (a)) that are received from
interest on accounts receivable from less-than-20%-owned domestic Line 6, Column (a)
sales in which the IC-DISC acted as a corporations subject to income tax and
Enter the U.S.-source portion of
principal or agent and interest on certain that are eligible for the 70% deduction
dividends that are received from
obligations issued, guaranteed, or under section 243(a)(1). Include taxable
less-than-20%-owned foreign
insured by the Export-Import Bank or distributions from an IC-DISC or former
corporations and that qualify for the
the Foreign Credit Insurance DISC that are designated as being
70% deduction under section 245(a). To
Association. eligible for the 70% deduction and
qualify for the 70% deduction, the
Line 2h. On Schedule D (Form 1120), certain dividends of Federal Home Loan
corporation must own at least 10% of
Capital Gains and Losses, report in Banks. See section 246(a)(2).
the stock of the foreign corporation by
detail every sale or exchange of a For dividends received from a vote and value. Also include dividends
capital asset, even if there is no gain or regulated investment company, see received from a less-than-20%-owned
loss. section 854 for the amount subject to FSC that are attributable to income
In addition to Schedule D (Form 1120), the 70% deduction. treated as effectively connected with the
attach a separate schedule computing So-called dividends or earnings conduct of a trade or business within
gain from the sale of qualified export received from mutual savings banks, the United States (excluding foreign
assets. etc., are really interest. Do not treat trade income) and that qualify for the
Line 2i. Enter the net gain or loss from them as dividends. 70% deduction under section
line 20, Part II, Form 4797, Sales of 245(c)(1)(B).
Line 2, Column (a)
Business Property.
Enter dividends (except those received Line 7, Column (a)
In addition to Form 4797, attach a
separate schedule computing gain from on debt-financed stock acquired after Enter the U.S.-source portion of
the sale of qualified export assets. July 18, 1984) that are received from dividends that are received from
20%-or-more-owned domestic 20%-or-more-owned foreign
Line 2j. Enter any other qualified export corporations subject to income tax and corporations and that qualify for the
receipts for the tax year not reported on that are eligible for the 80% deduction 80% deduction under section 245(a).
lines 2a through 2i. Such receipts under section 243(c). Include on this line Also include dividends received from a
include the IC-DISC’s allocable portion taxable distributions from an IC-DISC or 20%-or-more-owned FSC that are
of an adjustment to income required former DISC that are considered eligible attributable to income treated as
under section 481(a) because of a for the 80% deduction. effectively connected with the conduct
change in accounting method. For of a trade or business within the United
example, section 481(a) income must be Line 3, Column (a) States (excluding foreign trade income)
reported as a result of the repeal of the and that qualify for the 80% deduction
Enter dividends on debt-financed stock
installment method of reporting income if under section 245(c)(1)(B).
acquired after July 18, 1984, that are
the IC-DISC reported income under the
received from domestic and foreign
installment method for prior tax years. Line 8, Column (a)
corporations subject to income tax and
Line 3b. Enter receipts from selling that would otherwise be eligible for the Enter dividends received from wholly
products subsidized under a U.S. dividends-received deduction under owned foreign subsidiaries that are
program if they have been designated as section 243(a)(1), 243(c), or 245(a). eligible for the 100% deduction under
excluded receipts. Generally, debt-financed stock is stock section 245(b).
Line 3c. Enter receipts from selling or that the corporation acquired and, in In general, the deduction under
leasing property or services for use by doing so, incurred a debt (i.e., it section 245(b) applies to dividends paid
any part of the U.S. Government if law borrowed money to buy the stock). out of the earnings and profits of a
or regulations require U.S. products or foreign corporation for a tax year during
services to be used. Line 3, Columns (b) and (c)
which all of its—
Line 3d. Enter receipts from any Dividends received on debt-financed ● Outstanding stock is owned (directly
IC-DISC that belongs to the same stock acquired after July 18, 1984, are or indirectly) by the domestic
controlled group (as defined in section not entitled to the full 70% or 80% corporation receiving the dividends, and
993(a)(3)). dividends-received deduction. The 70%
or 80% deduction is reduced by a ● Gross income from all sources is
Line 3f. Include in an attached schedule effectively connected with the conduct
any nonqualified gross receipts not percentage that is related to the amount
of debt incurred to acquire the stock. of a trade or business within the United
reported on lines 3a through 3e. Do not States.
offset an income item against a similar See section 246A. Before making this
expense item. computation, see section 245(a) for an
additional limitation that applies to
dividends received from foreign
Page 8
Line 9, Column (c) produced by a taxpayer includes a film, section 267 for limitations on deductions
sound recording, videotape, book, or for unpaid expenses and interest.
Limitation on Dividends-Received similar property. The rules also apply to
Deduction Business startup expenses.—These
personal property (tangible and are required to be capitalized unless an
Generally, line 9, column (c), may not intangible) acquired for resale. Taxpayers election is made to amortize them over a
exceed the amount from the worksheet subject to the rules are required to period of 60 months. See section 195.
below. However, in a year in which a net capitalize not only direct costs but an
operating loss occurs, this limitation allocable portion of most indirect costs Line 1
does not apply even if the loss is (including taxes) that relate to the assets
Export Promotion Expenses
created by the dividends-received produced or acquired for resale. Interest
deduction. See sections 172(d) and expense paid or incurred during the Enter export promotion expenses on
246(b). production period of certain property lines 1a through 1m. Export promotion
must be capitalized and is governed by expenses are an IC-DISC’s ordinary and
Line 9, Column (c) Worksheet special rules. For more information, see necessary expenses paid or incurred to
1. Refigure line 5, page 1, Form Notice 88-99, 1988-2 C.B. 422. The obtain qualified export receipts. Do not
1120-IC-DISC, without any adjustment uniform capitalization rules also apply to include income taxes. Enter on lines 2a
under section 1059 and without any through 2g any part of an expense not
capital loss carryback to the tax year
the production of property constructed
under section 1212(a)(1) or improved by a taxpayer for use in its incurred to obtain qualified export
2. Multiply line 1 by 80% (.80) trade or business or in an activity receipts.
3. Add lines 2, 5, 7, and 8, column (c), engaged in for profit.
and the part of the deduction on line Line 1c
Section 263A does not apply to
3, column (c), attributable to dividends
received from 20%-or-more-owned personal property acquired for resale if Depreciation
corporations the taxpayer’s annual average gross Attach Form 4562, Depreciation and
4. Enter the smaller of line 2 or line 3. If receipts are $10 million or less. It does Amortization, if you claim a deduction
line 3 is larger than line 2, do not not apply to timber or to most property for depreciation or amortization, make
complete the rest of this worksheet. produced under a long-term contract.
Instead, enter the amount from line 4 the section 179 election to expense
in the margin next to line 9 of Schedule Special rules apply to farmers. certain tangible property, or provide
C and on line 6b, page 1, Form In the case of inventory, some of the information on the business use of an
1120-IC-DISC indirect costs that must be capitalized automobile or other listed property. Enter
5. Enter the amount of dividends are administration expenses; taxes;
received from 20%-or-more-owned on line 1c the depreciation and section
corporations included on lines 2, 3, 5, depreciation; insurance; compensation 179 expense not claimed on Schedule A
7, and 8 of column (a) paid to officers attributable to services; or elsewhere on the return.
6. Subtract line 5 from line 1 rework labor; and contributions to Enter any amortization expense on line
7. Multiply line 6 by 70% (.70) pension, stock bonus, and certain 1m.
8. Subtract line 3 above from column (c) profit-sharing, annuity, or deferred
of line 9 compensation plans. See Form 4562 and its instructions for
9. Enter the smaller of line 7 or line 8 details.
10. Dividends-received deduction after The costs that must be capitalized
limitation. Add lines 4 and 9. (If this is under section 263A are not deductible Line 1h
less than line 9 of Schedule C, enter until the property to which the costs
the smaller amount on line 6b, page 1, relate is sold, used, or otherwise Freight
Form 1120-IC-DISC, and in the margin
next to line 9 of Schedule C.)
disposed of by the corporation. Enter 50% (.50) of the freight expenses
Current deductions may still be (except insurance) for shipping export
Line 15, Column (a) claimed for reasonable research and property aboard U.S. flagships and
experimental costs under section 174, U.S.-owned and U.S.-operated aircraft,
Qualified dividends are dividends that intangible drilling costs for oil and gas unless you are required to use U.S.
qualify as qualified export receipts. They and geothermal property, and mining ships or aircraft by law or regulations.
include all dividends includible in gross and exploration and development costs.
income that are attributable to stock of Temporary Regulations section Line 1i
related foreign export corporations and 1.263A-1T specifies other indirect costs
amounts includible in income under Compensation of Officers
that may be currently deducted and
section 951 (relating to amounts those that must be capitalized with Attach a schedule showing the name,
included in the gross income of U.S. respect to production or resale activities. social security number, and amount of
shareholders of controlled foreign compensation paid to all officers.
corporations). See item e under Travel, meal, and entertainment
expenses.—Generally, the amount the An officer is a person, such as a
Qualified export receipts on page 4 regular officer or chairman of the board,
and A related foreign export corporation is allowed as a deduction for
meal and entertainment expenses is who is elected or appointed to office or
corporation on page 5 for more details. is designated as an officer in the
limited to 80% of the amount that would
otherwise be allowable under section corporation’s charter or bylaws.
Schedule E 162, which permits a deduction for Line 1j
ordinary and necessary expenses, and
Deductions after other limitations under section 274. Repairs
Expenditures for meals or beverages are Enter the cost of incidental repairs, such
disallowed to the extent they are lavish as labor and supplies, that do not add
Limitations on Deductions or extravagant. See sections 274(k), (m), to the property’s value or appreciably
Section 263A uniform capitalization and (n) for exceptions. prolong its life.
rules.—These rules require corporations Transactions between related
to capitalize or include in inventory taxpayers.—Generally, an accrual basis Line 1k
certain costs incurred in connection with taxpayer may only deduct business Pension, Profit-Sharing, etc., Plans
the production of real and personal expenses and interest owed to a related
tangible property held in inventory or party in the year the payment is included If the IC-DISC has any kind of funded
held for sale in the ordinary course of in the income of the related party. See deferred-compensation plan, such as a
business. Tangible personal property
Page 9
pension or profit-sharing plan, file one of Section 267 limits deductions for to or for the use of certain private
the forms described below. unpaid expenses and interest in foundations. See section 170(e) and
There are penalties for failure to file transactions between related taxpayers. Regulations section 1.170A-4.
these forms on time. Section 461(g) limits a cash basis For special rules for contributions of
taxpayer’s deduction for prepaid interest. inventory and other property to certain
Form 5500.—Complete this form for
each plan with 100 or more participants. Line 2d organizations, see section 170(e)(3) and
Regulations section 1.170A-4A.
Form 5500-C/R.—Complete the
applicable form for each plan with fewer Contributions
Line 2e
than 100 participants. Enter charitable contributions or gifts
Form 5500EZ.—Complete this form paid within the tax year to or for the use Freight
for a one-participant plan. of charitable and governmental Enter freight expense not deducted on
organizations described in section line 1h as export promotion expense.
Line 1l 170(c). Include any unused charitable
contributions carried over from prior Line 2g
Employee Benefit Programs
years.
Enter your contributions to employee Other
The IC-DISC may claim up to 10% of
benefit programs, such as insurance or modified adjusted taxable income as Enter any other allowable deduction not
health and welfare programs, that are contributions. The limit is 10% of the claimed on line 1 or lines 2a through 2f.
not an incidental part of a plan included amount on line 7, page 1, figured Do not deduct any amount allocable to
on line 1k. Also, include contributions to without regard to the deduction for exempt income. Items directly
a qualified group legal services plan. contributions, and before taking the attributable to wholly exempt income
dividends-received deduction (line 6b, must be allocated to that income, and
Line 1m items directly attributable to any class of
page 1), or premiums paid on bond
Other repurchases (section 249); and before taxable income must be allocated to that
figuring carrybacks to the 1992 tax year income. If an item is indirectly
Enter any other allowable deduction not attributable to both taxable and exempt
claimed elsewhere on the return. Include for a net operating loss (section 172) or
a capital loss (section 1212(a)(1)). Do not income, allocate a reasonable portion to
amortization expense from Part VI, Form each.
4562. deduct charitable contributions above
the 10% limit for the 1992 tax year. Attach a statement showing the
Note: Do not deduct penalties imposed Charitable contributions over the 10% amount of each class of exempt income
on the corporation. limitation may be carried over to the and the amount of expense items
Line 2a next 5 tax years. allocated to each class. Show
A corporation on the accrual basis apportioned amounts separately.
Bad Debts may elect to deduct contributions paid
The IC-DISC must use the specific by the 15th day of the 3rd month after
chargeoff method of accounting for bad the tax year ends if the board of Schedule J
debts and deduct business bad debts directors authorized the contributions
during the tax year. Attach to the return Deemed and Actual Distributions
when they become wholly or partially
worthless. a declaration, signed by an officer,
stating that the board of directors Part I—Deemed Distributions
Line 2b adopted the resolution authorizing the Under Section 995(b)(1)
Taxes contributions during the tax year, and a
copy of the resolution. Line 1
Enter taxes paid or accrued during the If a contribution is made in property
tax year. Gross Interest
other than money, attach a schedule
Do not include state or local sales describing the kind contributed and Enter gross interest derived during the
taxes paid or incurred in connection with what method was used to determine the tax year from producer’s loans (section
an acquisition or disposition of property. fair market value. 995(b)(1)(A)).
Such taxes must be treated as a part of Special rules for contributions of Line 2
the cost of the acquired property or, in certain property.—For a charitable
the case of a disposition, as a reduction contribution of property, the corporation Recognized Gain on Section
in the amount realized on the must reduce the contribution by the sum 995(b)(1)(B) Property
disposition. of: Enter gain recognized during the tax
See section 164(d) for apportionment ● The ordinary income, short-term year on the sale or exchange of
of taxes on real property between seller capital gain that would have resulted if property, which in the hands of the
and purchaser. the property were sold at its fair market IC-DISC was not a qualified export asset
Line 2c value; and and which was previously transferred to
● All of the long-term capital gain that the IC-DISC in a transaction in which the
Interest would have resulted if the property were transferor realized gain but did not
Do not deduct interest on debts incurred sold at its fair market value. recognize the gain in whole or part. See
or continued to buy or carry obligations section 995(b)(1)(B). Show the
The reduction for the long-term capital
on which the interest is wholly exempt computation of the gain on a separate
gain applies to:
from income tax. See section 265. schedule. Include no more of the
● Contributions of tangible personal IC-DISC’s gain than the amount of gain
Certain interest paid or accrued by the property for use by an exempt the transferor did not recognize on the
corporation (directly or indirectly) to a organization for a purpose or function earlier transfer.
related person may be limited to the unrelated to the basis for its exemption;
corporation’s excess interest expense and
for the tax year. See section 163(j) for ● Contributions of any property (except
more information. stock for which market quotations are
readily available—see section 170(e)(5))
Page 10
Line 3 Line 14 Line 1
Recognized Gain on Section Earnings and Profits Export Receipts
995(b)(1)(C) Property Attach a computation showing the If there were no commission sales,
Enter gain recognized on the sale or earnings and profits for the tax year. leases, rentals, or services for the tax
exchange of property described in See section 312 for rules on figuring year, enter on line 1, Part II, the total of
section 995(b)(1)(C). Show the earnings and profits for the purpose of lines 1c and 2k, column (e), Schedule B.
computation of the gain on a separate the section 995(b)(1) limitation. If there were commission sales,
schedule. Do not include any gain leases, rentals, or services for the tax
included in the computation of line 2. Line 17 year, the total qualified export receipts to
Include only the amount of the be entered on line 1, Part II, are figured
Foreign Investment Attributable to
IC-DISC’s gain that the transferor did not as follows (section 993(f)):
Producer Loans
recognize on the earlier transfer and that 1. Add lines 1c and 2k, column (b),
would have been treated as ordinary Line 17a—For shareholders other than Schedule B
income if the property had been sold or C corporations.—To figure the amount 2. Add lines 1c and 2k, column (d),
exchanged rather than transferred to the for line 17a, attach a computation Schedule B
IC-DISC. Do not include gain on sale or showing (1) the IC-DISC’s foreign 3. Add lines 1 and 2. Enter on line 1,
exchange of IC-DISC stock-in-trade or investment in producer’s loans during Part II, Schedule J
other property that either would be the tax year; (2) accumulated earnings Line 3
included in inventory if on hand at the and profits (including earnings and
end of the tax year or is held primarily profits for the 1992 tax year) minus the Controlled Group Allocation
for sale in the normal course of amount on line 15, Part I; and (3) If the IC-DISC is a member of a
business. accumulated IC-DISC income. Enter the controlled group (as defined in section
smallest of these amounts (but not less 993(a)(3)) that includes more than one
Line 4 than zero) on line 17a. IC-DISC, only one $10 million limit is
Income Attributable to Military Line 17b—For C corporation allowed to the group. If an allocation is
Property shareholders.—To figure the amount for required, a statement showing each
line 17b, attach a computation showing member’s portion of the $10 million limit
Enter 50% of taxable income (1) the IC-DISC’s foreign investment in
attributable to military property (section must be attached to Form 1120-IC-
producer’s loans during the tax year; (2) DISC. See Proposed Regulations section
995(b)(1)(D)). Show the computation of accumulated earnings and profits
this income. To figure taxable income 1.995-8(f) for details.
(including earnings and profits for the
attributable to military property, use the 1992 tax year) minus the amount on line Lines 4 and 5
gross income attributable to military 16, Part I; and (3) accumulated IC-DISC
property for the year and the deductions Proration of $10 Million Limit
income. Enter the smallest of these
properly allocated to that income. See amounts (but not less than zero) on line The $10 million limit (or the controlled
Regulations section 1.995-6. 17b. group member’s share) is prorated on a
Line 9 For purposes of lines 17a and 17b, daily basis. Thus, for example, if for its
foreign investment in producer’s loans is 1992 tax year an IC-DISC has a short
Deemed Distributions to C the smallest of (1) the net increase in tax year of 73 days, and it is not a
Corporations foreign assets by members of the member of a controlled group, the limit
Line 9 provides for the computation of controlled group (defined in section that would be entered on line 5 of Part II
the one-seventeenth deemed distribution 993(a)(3)) to which the IC-DISC belongs; is $2 million (73/365 times $10 million).
of section 995(b)(1)(F)(i). Line 9 only (2) the actual foreign investment by the If your tax year included February 29,
applies to shareholders of the IC-DISC group’s domestic members; and (3) the 1992, use 366 instead of 365 for the
that are C corporations. IC-DISC’s outstanding producer’s loans purpose of figuring line 5.
to members of the controlled group.
Line 10 Line 7
Net increase in foreign assets and
International Boycott Income actual foreign investment are defined in Taxable Income
sections 995(d)(2) and (3). Enter the taxable income attributable to
An IC-DISC is deemed to distribute any
income that resulted from cooperating See Regulations section 1.995-5 for line 6 qualified export receipts. The
with an international boycott (section additional information on computing IC-DISC may select the qualified export
995(b)(1)(F)(ii)). See Form 5713 to figure foreign investment attributable to receipts to which the line 5 limitation is
this deemed distribution and for producer’s loans. allocated.
reporting requirements for any IC-DISC Lines 20 and 21. The percentages on See Proposed Regulations section
with operations related to a boycotting lines 20 and 21 must add up to 100%. 1.995-8 for details on determining the
country. Lines 22 and 23. Allocate the line 22 IC-DISC’s taxable income attributable to
amount to shareholders that are qualified export receipts in excess of the
Line 11
individuals, partnerships, S corporations, $10 million amount. Special rules are
Illegal Bribes, etc. trusts, and estates. Allocate the line 23 provided for allocating the taxable
amount to shareholders that are income attributable to any related and
An IC-DISC is deemed to distribute the C corporations. subsidiary services, and for the ratable
amount of any illegal payments, such as allocation of the taxable income
bribes or kickbacks, that it pays, directly Part II—Deemed Distribution attributable to the first transaction
or indirectly, to government officials, Under Section 995(b)(1)(E) selected by the IC-DISC that exceeds
employees, or agents (section the $10 million amount. Deductions
995(b)(1)(F)(iii)). Generally, any taxable income of the
IC-DISC attributable to qualified export must be allocated and apportioned
receipts that exceed $10 million will be according to the rules of Regulations
deemed distributed. section 1.861-8. The selection of the
excess receipts by the IC-DISC is
intended to permit the IC-DISC to
allocate the $10 million limitation to the
Page 11
qualified export receipts of those any distributions of pre-1985 income (exempt from tax) when
transactions occurring during the tax accumulated DISC income that are distributed to DISC shareholders after
year that permit the greatest amount of nontaxable. In the space to the left of December 31, 1984.
taxable income to be allocated to the the line 4a amount, enter the dollar Exception: The exemption does not
IC-DISC under the intercompany pricing amount of the distribution and identify it apply to distr ibutions of accumulated
rules of section 994. as nontaxable pre-1985 DISC income. pre-1985 DISC income of an IC-DISC or
To avoid double counting of the Do not include distributions of pre-1985 for mer DISC that was made taxable
deemed distribution, if an amount of DISC income that are made under under section 995(b)(2) because of a
taxable income for the tax year section 995(b)(2) because of prior year pr ior revocation of the DISC election or
attributable to excess qualified export revocations or disqualifications. disqualification of the DISC. For more
receipts is also deemed distributed details on these distr ibutions, see
under either line 1, 2, 3, or 4 of Part I,
Part V—Deferred DISC Income Temporary Regulations section
such amount of taxable income is only In general, deferred DISC income is: 1.921-1T(a)(7).
includible on that line of Part I, and must 1. Accumulated IC-DISC income (for
be subtracted from the amount Line 13
periods after 1984) of the IC-DISC as of
otherwise reportable on line 7 of Part II the close of the computation year, over Accumulated IC-DISC Income
and carried to line 5 of Part I. See 2. The amount of distributions-in-
Proposed Regulations section Accumulated IC-DISC income (for
excess-of-income for the tax year of the periods after 1984) is accounted for on
1.995-8(d). IC-DISC following the computation year. line 13 of Schedule L. The balance of
After filing the IC-DISC’s 1992 tax For purposes of item 2 above, this account is used in figuring deferred
return, the allocation of the $10 million distributions-in-excess-of-income means DISC income in Part V of Schedule J.
limitation and the computation of the line the excess (if any) of:
7 deemed distribution may be changed
by filing an amended Form 1. Actual distributions to shareholders
1120-IC-DISC only under the conditions out of accumulated IC-DISC income, Schedule N
specified in Proposed Regulations over
Export Gross Receipts of the
section 1.995-8(b)(1). 2. The amount of IC-DISC income (as
defined in section 996(f)(1)) for the tax IC-DISC and Related U.S. Persons
Part III—Deemed Distributions year following the computation year.
Under Section 995(b)(2) See section 995(f) and Proposed Line 1
If the corporation is a former DISC or a Regulations section 1.995(f)-1 for a Product Code and Percentage
former IC-DISC that revoked IC-DISC definition of computation year and more
status or lost IC-DISC status for failure information on figuring deferred DISC Enter in line 1a the code number and
to satisfy one or more of the conditions income. percentage of total receipts for the
specified in section 992(a)(1) for 1992, The amount on line 3, Part V, is product or service that accounts for the
each shareholder is deemed to have allocated to each shareholder on line 2, largest portion of the IC-DISC’s gross
received a distribution taxable as a Part III, of Schedule K (Form receipts. The product codes are on page
dividend on the last day of the 1992 tax 1120-IC-DISC). 15 of these instructions. On line 1b enter
year. The deemed distribution equals the the same information for the IC-DISC’s
Shareholders of IC-DISC must file next largest product or service.
shareholder’s prorated share of the Form 8404, Computation of Interest
DISC’s or IC-DISC’s income Charge on DISC-Related Deferred Tax Example: An IC-DISC has export gross
accumulated during the years just before Liability, if the IC-DISC reports deferred receipts of $10 million; selling
DISC or IC-DISC status ended. The DISC income on line 2, Part III of agricultural chemicals accounts for $4.5
shareholder will be deemed to receive Schedule K. million (45%) of that amount, which is
the distribution in equal parts on the last the IC-DISC’s largest product or service.
day of each of the 10 tax years of the The IC-DISC should enter “287” (the
corporation following the year of the Schedule K product code for agricultural chemicals)
termination or disqualification of the and “45%” in line 1a.
IC-DISC (but in no case over more than Shareholder’s Statement of Selling industrial chemicals accounts
twice the number of years the IC-DISC Distributions for $2 million (20% of the $10 million
corporation was a DISC or IC-DISC). total), and is the IC-DISC’s second
Attach a separate Copy A, Schedule K largest product or service. The IC-DISC
Part IV—Actual Distributions should enter “281” (the product code for
(Form 1120-IC-DISC), to Form
Line 1 1120-IC-DISC for each shareholder who industrial chemicals) and “20%” in line
had an actual or deemed distribution 1b.
Distributions to Meet Section during the tax year or to whom the
995(c)(2)(B) Line 2
corporation reported deferred DISC
If the corporation is required to pay income for the tax year. Definitions
interest under section 992(c)(2)(B) on the Export gross receipts are receipts from
amount of a distribution to meet the any of the following:
qualification requirements of section Schedule L a. Selling for direct use, consumption,
992(c), report this interest on line 2c,
Schedule E. Also include the amount on Balance Sheets or disposition outside the United States,
line 1, Part IV of Schedule J and show property (such as inventory) produced in
the computation of the interest on an the United States.
Line 12
attached schedule. b. Renting this property to unrelated
Accumulated Pre-1985 DISC Income persons for use outside the United
Line 4a States.
If the corporation was a qualified DISC
Previously Taxed Income as of December 31, 1984, the c. Providing services involved in such
accumulated pre-1985 DISC income will a sale or rental.
Report on line 4a all actual distributions
of previously taxed income. Also, include generally be treated as previously taxed d. Providing engineering or
architectural services for construction
Page 12
projects located outside the United sources (including the United States) for account, or other financial account in a
States. the 1992 tax year. foreign country.
e. Providing export management Column (b)—Export gross receipts of If “Yes” is checked for question 7, file
services. related IC-DISCs.—Complete column Form TD F 90-22.1 by June 30, 1993,
For commission sales, export gross (b) to report related IC-DISCs’ export with the Department of the Treasury at
receipts include the total receipts on gross receipts from all sources (including the address shown on the form. Form
which the IC-DISC earned the the United States). TD F 90-22.1 is not a tax return, so do
commission. Column (c)—Export gross receipts of not file it with the IRS.
For purposes of line 2, Schedule N all other related U.S. persons.— TD F 90-22.1 may be obtained from
only, no reduction is to be made for Complete column (c) to report other IRS Forms Distribution Centers.
receipts attributable to military property. related U.S. persons’ export gross Question 8—Foreign trust.—If the
Therefore, an IC-DISC’s export gross receipts from all sources except the answer to question 8 is “Yes,” the
receipts for purposes of line 2 is the United States. IC-DISC may have to file Form 3520,
total of the amounts from page 2, Line 3—Related U.S. persons.—Report United States Information Return—
Schedule B, columns (b) and (d), lines the name, address, and identifying Creation of or Transfers to Certain
1c, 2a, 2b, 2c, and 2d. number of related U.S. persons in your Foreign Trusts; Form 3520A, Annual
Related persons are— controlled group. Return of Foreign Trust With U.S.
If lines 2(b) and 2(c) are completed, Beneficiaries; or Form 926, Return by a
a. An individual, partnership, estate, or
show first in line 3(b) the name, address, U.S. Transferor of Property to a Foreign
trust that controls the IC-DISC.
and identifying number of the IC-DISC Corporation, Foreign Estate or Trust, or
b. A corporation that controls the Foreign Partnership.
that completed 2(b) and 2(c).
IC-DISC or is controlled by it.
Question 9—Boycott of Israel.—File
c. A corporation controlled by the Form 5713 if the IC-DISC or any
same person or persons who control the Schedule O member of its controlled group (defined
IC-DISC. in section 993(a)(3)) has operations in or
Control means direct or indirect Other Information related to a boycotting country or with
ownership of more than 50% of the total the government, a company, or a
voting power of all classes of stock Question 7—Foreign financial national of that country. An IC-DISC that
entitled to vote. See section 993(a)(3). account.—Check the “Yes” box, and cooperates with an international boycott
U.S. person is— enter the name of the foreign country if is also deemed to distribute part of its
a. A citizen or resident of the United either a or b below applies. income. See Form 5713 for more
States, which includes the a. At any time during the year the information.
Commonwealth of Puerto Rico and IC-DISC had an interest in or signature Question 10—Tax-exempt interest.—
possessions of the United States. or other authority over a financial Show any tax-exempt interest received
b. A domestic corporation or account in a foreign country (such as a or accrued. Include any exempt-interest
partnership. bank account, securities account, or dividends received as a shareholder in a
other financial account); AND mutual fund or other regulated
c. An estate or trust (other than a investment company.
foreign estate or trust as defined in ● The combined value of the accounts
section 7701(a)(31)). was more than $10,000 at any time
during the year; AND
Export Gross Receipts for 1992 ● The account was NOT with a U.S. Schedule P (Form 1120-IC-
Column (a).—All IC-DISCs should military banking facility operated by a DISC)
complete column (a) in line 2. If two or U.S. financial institution.
Intercompany Transfer Price or
more IC-DISCs are related persons, only b. The IC-DISC owns more than 50%
the IC-DISC with the largest export of the stock in any corporation that
Commission
gross receipts should complete columns would answer the question “Yes” based
(b) and (c). If an IC-DISC acts as a on item a above. Complete and attach a separate
commission agent for a related person, Get Form TD F 90-22.1, Report of Schedule P (Form 1120-IC-DISC) for
attribute the total amount of the Foreign Bank and Financial Accounts, to each transaction or group of
transaction to the IC-DISC. see if the corporation is considered to transactions to which you apply the
have an interest in or signature or other intercompany pricing rules of section
Complete column (a) to report the
authority over a bank account, securities 994(a)(1) and (2). See 2. Intercompany
IC-DISC’s export gross receipts from all
pricing rules (section 994) on page 5.

Page 13
Codes for Principal Business Activity percentage of total receipts is derived. Total receipts means
all income (line 1, page 1).
These codes for the Principal Business Activity are designed
to classify enterprises by the type of activity in which they On page 6, Schedule O, line 1, state the principal business
are engaged to facilitate the administration of the Internal activity and principal product or service that account for the
Revenue Code. Though similar in format and structure to the largest percentage of total receipts. For example, if the
Standard Industrial Classification Codes (SIC), they should principal business activity is “Wholesale trade: Machinery,
not be used for SIC codes. Also, certain activities such as equipment, and supplies,” the principal product or service
manufacturing do not apply to an IC-DISC. may be “Engines and turbines.”
Using the list below, enter on page 1, under B, the code
number for the specific industry group from which the largest

TRANSPORTATION, Code Code


COMMUNICATION, ELECTRIC, GAS,
Nondurable Miscellaneous retail stores
AND SANITARY SERVICES
5110 Paper and paper products 5912 Drug stores and proprietary stores
Code 5129 Drugs, drug proprietaries, and druggists’ 5921 Liquor stores
sundries 5995 Other miscellaneous retail stores
Transportation 5130 Apparel, piece goods, and notions
4400 Water transportation 5140 Groceries and related products FINANCE, INSURANCE, AND REAL
4700 Other transportation services 5150 Farm-product raw materials ESTATE
5160 Chemicals and allied products
Electric, gas, and sanitary services Credit agencies other than banks
5170 Petroleum and petroleum products
4910 Electric services 6199 Other credit agencies
5180 Alcoholic beverages
4920 Gas production and distribution
5190 Miscellaneous nondurable goods SERVICES
4930 Combination utility services
RETAIL TRADE Business services
WHOLESALE TRADE
7389 Export management services
Building materials, hardware, garden supply,
Durable mobile home dealers, general merchandise, and Auto repair and services; miscellaneous repair
5008 Machinery, equipment, and supplies food stores services
5010 Motor vehicles and automotive equipment 5220 Building materials dealers 7500 Lease or rental of motor vehicles
5020 Furniture and home furnishings 5251 Hardware stores
5030 Lumber and construction materials 5265 Garden supplies and mobile home dealers Amusement and recreation services
5040 Sporting, recreational, photographic, and 5300 General merchandise stores 7812 Motion picture production, distribution, and
hobby goods, toys, and supplies 5410 Grocery stores services
5050 Metals and minerals, except petroleum and 5490 Other food stores
scrap Other services
5060 Electrical goods Automotive dealers and service stations 8911 Architectural and engineering services
5070 Hardware, plumbing and heating equipment 5515 Motor vehicle dealers 8930 Accounting, auditing, and bookkeeping
5098 Other durable goods 5541 Gasoline service stations 8980 Miscellaneous services
5598 Other automotive dealers
5600 Apparel and accessory stores
5700 Furniture and home furnishings stores
5800 Eating and drinking places

Page 14
Product Code System for Schedule N Code
325 Structural clay products
(These codes are used only with Schedule N, page 6, Form 1120-IC-DISC.) 326 Pottery and related products
327 Concrete, gypsum, and plaster products
Using the list below, enter on line 1 of Schedule N the product code number and percent 328 Cut stone and stone products
of export gross receipts as explained in the Specific Instructions. 329 Abrasive, asbestos, and miscellaneous
nonmetallic mineral products
This product code system is divided into two categories—nonmanufactured product
Primary metal products
groups and services and manufactured product groups.
331 Blast furnaces, steel works, and rolling and
NONMANUFACTURED PRODUCT GROUPS AND Code finishing mills
SERVICES 332 Iron and steel foundries
236 Girls’, children’s, and infants’ outerwear 333 Primary smelting and refining of nonferrous
Code 237 Fur goods metals
011 Grains and soybeans 238 Miscellaneous apparel and accessories 334 Secondary smelting and refining of nonferrous
013 Cotton 239 Miscellaneous fabricated textile products metals
019 Crops, except cotton, grains, and soybeans Lumber and wood products, except furniture 335 Rolling, drawing, and extruding of nonferrous
021 Livestock and livestock products 241 Logging camps and logging contractors metals
070 Agricultural services 242 Sawmills and planing mills 336 Nonferrous foundries
090 Fishery products and services 243 Millwork, veneer, plywood, and prefabricated 339 Miscellaneous primary metal products
100 Metal mining, except iron ores, products and structural wood products Fabricated metal products, other than ordnance,
services 244 Wooden containers machinery, and transportation equipment
101 Iron ores 249 Miscellaneous wood products
110 Coal mining (anthracite, bituminous, and lignite) 341 Metal cans
products and services Furniture and fixtures 342 Cutlery, hand tools, and general hardware
130 Crude petroleum and natural gas products and 251 Household furniture 343 Heating apparatus (except electric) and
services 252 Office furniture plumbing fixtures
147 Chemical and fertilizer mineral products and 253 Public building and related furniture 344 Fabricated structural metal products
services 254 Partitions, shelving, lockers, and office and 345 Screw machine products and bolts, nuts,
149 Other nonmetallic mineral products and store fixtures screws, rivets, and washers
services 259 Miscellaneous furniture and fixtures 346 Metal stampings
400 Transportation services (land, air, and water) 347 Coating, engraving, and allied services
Paper and allied products 348 Miscellaneous fabricated wire products
490 Electric, gas, and sanitary services
600 Finance, insurance, and real estate services 261 Pulp mills 349 Miscellaneous fabricated metal products
730 Export management services 262 Paper mills, except building paper mills Machinery other than electrical
780 Motion picture distribution 263 Paperboard mills
264 Converted paper and paperboard products, 351 Engines and turbines
850 Engineering and architectural services 352 Farm machinery and equipment
990 Miscellaneous nonmanufactured products and except containers and boxes
265 Paperboard containers and boxes 353 Construction, mining, and materials handling
services machinery and equipment
266 Building paper and building board mills
MANUFACTURED PRODUCT GROUPS 354 Metalworking machinery and equipment
Printing, publishing, and allied products 355 Special industry machinery, except
Ordnance and accessories
271 Newspapers: publishing, publishing and metalworking machinery
191 Guns, howitzers, mortars, and related printing 356 General industrial machinery and equipment
equipment 272 Periodicals: publishing, publishing and printing 357 Office, computing, and accounting machines
192 Ammunition, except for small arms 273 Books 358 Service industry machines
193 Tanks and tank components 274 Miscellaneous publishing 359 Miscellaneous machinery, except electrical
194 Sighting and fire control equipment 275 Commercial printing Electrical machinery, equipment, and supplies
195 Small arms 276 Manifold business forms
196 Small arms ammunition 277 Greeting card publishing 361 Electric transmission and distribution
199 Ordnance and accessories, not elsewhere 278 Blankbooks, looseleaf binders, and equipment
classified bookbinding and related work 362 Electrical industrial apparatus
279 Service industries for the printing trade 363 Household appliances
Food and kindred products
364 Electric lighting and wiring equipment
201 Meat products Chemicals and allied products 365 Radio and television receiving sets, except
202 Dairy products 281 Industrial inorganic and organic chemicals communication types
203 Canned and preserved fruits, vegetables, and 282 Plastics materials and synthetic resins, 366 Communication equipment
seafoods synthetic rubber, and synthetic fibers, except 367 Electronic components and accessories
204 Grain mill products glass 369 Miscellaneous electrical machinery, equipment,
205 Bakery products 283 Drugs and supplies
206 Sugar 284 Soap, detergents, and cleaning preparations, Transportation equipment
207 Confectionery and related products perfumes, cosmetics, and other toilet
208 Beverages preparations 371 Motor vehicles and motor vehicle equipment
209 Miscellaneous food preparations and kindred 285 Paints, varnishes, lacquers, enamels, and allied 372 Aircraft and parts
products products 373 Ship and boat building and repairing
286 Gum and wood chemicals 374 Railroad equipment
Tobacco manufactures
287 Agricultural chemicals 375 Motorcycles, bicycles, and parts
211 Cigarettes 379 Miscellaneous transportation equipment
289 Miscellaneous chemical products
212 Cigars
Petroleum refining and related products Professional, scientific, and controlling
213 Tobacco (chewing and smoking) and snuff
instruments; photographic and optical goods;
214 Tobacco stemming and redrying 291 Petroleum refining watches and clocks
Textile mill products 295 Paving and roofing materials
299 Miscellaneous products of petroleum and coal 381 Engineering, laboratory, and scientific and
221 Broad woven fabric mills, cotton research instruments and associated
222 Broad woven fabric mills, synthetic fiber and Rubber and miscellaneous plastics products equipment
silk 301 Tires and inner tubes 382 Instruments for measuring, controlling, and
223 Broad woven fabric mills, wool (including 302 Rubber footwear indicating physical characteristics
dyeing and finishing) 303 Reclaimed rubber 383 Optical instruments and lenses
224 Narrow fabrics and other smallwares mills: 306 Fabricated rubber products, not elsewhere 384 Surgical, medical, and dental instruments and
cotton, wool, silk, and synthetic fiber classified supplies
225 Knitting mills 307 Miscellaneous plastics products 385 Ophthalmic goods
226 Dyeing and finishing textiles, except wool 386 Photographic equipment and supplies
Leather and leather products
fabrics and knit goods 387 Watches and clocks
227 Floor covering mills 311 Leather tanning and finishing
312 Industrial leather belting and packing Miscellaneous manufactured products
228 Yarn and thread mills
229 Miscellaneous textile goods 313 Boot and shoe cut stock and findings 391 Jewelry, silverware, and plated ware
314 Footwear, except rubber 393 Musical instruments
Apparel and other finished products made from
315 Leather gloves and mittens 394 Toys, amusement, sporting and athletic goods
fabrics and similar materials
316 Luggage 395 Pens, pencils, and other office and artists’
231 Men’s, youths’, and boys’ suits, coats, and 317 Handbags and other personal leather goods materials
overcoats 319 Leather goods, not elsewhere classified 396 Costume jewelry, costume novelties, buttons,
232 Men’s, youths’, and boys’ furnishings, work and miscellaneous notions, except precious
Stone, clay, glass, and concrete products
clothing, and allied garments metal
233 Women’s, misses’, and juniors’ outerwear 321 Flat glass 399 Miscellaneous manufactured products
234 Women’s, misses’, children’s, and infants’ 322 Glass and glassware, pressed or blown
undergarments 323 Glass products, made or purchased glass
235 Hats, caps, and millinery 324 Cement, hydraulic

Page 15

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