Section 17752 Of Chapter 9. Estates, Trusts, Beneficiaries, And Decedents From California Revenue And Taxation Code >> Division 2. >> Part 10. >> Chapter 9.
17752
. Section 663 of the Internal Revenue Code, relating to
special rules applicable to Sections 661 and 662, is modified as
follows:
(a) Section 663(b) of the Internal Revenue Code, relating to
distributions in the first 65 days of the taxable year, is modified
as follows:
(1) An election under Section 663(b) of the Internal Revenue Code
for federal purposes shall be treated for purposes of this part as an
election made by the executor of the estate or the fiduciary of the
trust, as the case may be, under Section 663(b) of the Internal
Revenue Code for state purposes and a separate election under
paragraph (3) of subdivision (e) of Section 17024.5 shall not be
allowed.
(2) If the executor of the estate or the fiduciary of the trust,
as the case may be, fails to make an election under Section 663(b) of
the Internal Revenue Code for federal purposes with respect to an
amount properly paid or credited within 65 days of the taxable year,
that amount shall not be considered for purposes of this part as
having been paid or credited on the last day of the preceding taxable
year, an election under Section 663(b) of the Internal Revenue Code
for state purposes with respect to that amount shall not be allowed,
and a separate election under paragraph (3) of subdivision (e) of
Section 17024.5 shall not be allowed with respect to that amount.
(b) Section 663(c) of the Internal Revenue Code, relating to
separate shares treated as separate estates or trusts, is modified as
follows:
(1) An election under Section 663(c) of the Internal Revenue Code
for federal purposes shall be treated for purposes of this part as an
election made by the executor of the estate or the fiduciary of the
trust, as the case may be, under Section 663(c) of the Internal
Revenue Code for state purposes and a separate election under
paragraph (3) of subdivision (e) of Section 17024.5 shall not be
allowed.
(2) If the executor of the estate or the fiduciary of the trust,
as the case may be, fails to make an election under Section 663(c) of
the Internal Revenue Code for federal purposes with respect to
separate shares treated as separate estates or trusts, an election
under Section 663(c) of the Internal Revenue Code for state purposes
shall not be allowed, and a separate election under paragraph (3) of
subdivision (e) of Section 17024.5 shall not be allowed.