Reg. § 1.402(c)-1 Taxability of beneficiary of certain foreign situs trusts.

26 CFR § 1.402(c)-1eCFR, current through 2026-07-14

Section has the effect of treating, for purposes of section , the distributions from a trust which at the time of the distribution is located outside the United States in the same manner as distributions from a trust which is located in the United States. If the trust would qualify for exemption from tax under section except for the fact that it fails to comply with the provisions of , which restricts qualification to trusts created or organized in the United States and maintained here, section and are applicable to the distributions from such a trust. Thus, for example, a total distribution from such a trust is entitled to the long-term capital gains treatment of section , except in the case of a nonresident alien individual (see section and and the regulations thereunder). However, if the plan fails to meet any requirement of section and the regulations thereunder in addition to , section and are applicable to the distributions from such a trust.

[T.D. 6500, 25 FR 11679, Nov. 26, 1960]