- (a) Distributions by corporations which are treated as a return of capital for Federal income tax purposes shall also be treated as a return of capital for Pennsylvania personal income tax purposes and therefore not taxable as dividends under section 303(a)(5) of the TRC (72 P. S. § 7303(a)(5)).
- (b) That portion of a distribution which is a return of capital shall be applied against and shall reduce the adjusted basis of the stock. That portion of a distribution which is a return of capital, to the extent it exceeds the adjusted basis of the stock, shall be treated as gain or income from the disposition of property.
- (c) To the extent that a distribution which was a return of capital was previously taxed as dividend income to the recipient under prior Department policy, the recipient need not reduce the adjusted basis of the stock.
- (d) This section is effective for the 1981 tax year and all future years.
Authority
The provisions of this § 103.19 issued under section 354 of the Tax Reform Code of 1971 (72 P. S. § 7354).
Source
The provisions of this § 103.19 adopted August 5, 1983, effective August 6, 1983, 13 Pa.B. 2418.