Treasury Regulations (26 C.F.R.)
26 CFR § 1.997-1 — Special rules for subchapter C of the Code.
(a) For purposes of applying the provisions of sections 301 through 395 of the Code, any distribution in property to a corporation by a DISC, or former DISC, which is made out of previously taxed income or accumulated DISC income shall be treated as a distribution in the same amount as if such distribution of property were made to an individual, and have a basis, in the hands of the recipient corporation, equal to such amount treated as having been distributed.
(b) This section may be illustrated by the following example:
Source: official text