Distributions in Redemption of Stock - Gross Investment Income of Private Foundations

 

Any distribution by a corporation that is a disqualified person in redemption of stock held by a private foundation in a business enterprise will be treated as not essentially equivalent to a dividend if all the following condi­tions are met:

  1. The stock was owned by the private foun­dation on May 26,1969,
  2. The foundation is required to dispose of the stock in order not to be liable for the tax on excess business holdings, and
  3. The foundation receives in return an amount that equals or exceeds the fair market value of the stock at the time of disposition (or at the time a contract for the disposition was previously executed) in a transaction that would not be a prohibited transaction (under section 503(b) of the Code).

For purposes of (1) above, if a private foun­dation acquired stock under the terms of a trust that was irrevocable on May 26, 1969, or under the terms of a will executed by that date, which is in effect on that date and at all times thereafter, the foundation will be considered as owning the stock on that date.


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