This revenue ruling contains a determination under § 809 of
                        the Internal Revenue Code of the ”differential earnings rate”
                        for 2004.  This rate is used by mutual life insurance companies to calculate
                        their federal income tax liability for taxable years beginning in 2004.  Notice
                        2005-18, 2005-9 I.R.B. 634, contained a tentative determination of this rate.
                     
                     The Job Creation and Worker Assistance Act of 2002, Pub. L. 107-147,
                        § 611, amended  § 809 by adding new paragraph (j).  Section
                        § 809(j) provides that the differential earnings rate shall be treated
                        as zero for purposes of computing both the differential earnings amount and
                        the recomputed differential earnings amount for a mutual life insurance company’s
                        taxable years beginning in 2001, 2002, or 2003.  See Notice
                        2002-33, 2002-1 C.B. 989.  Under § 809(j), the final recomputed
                        differential earnings rate for 2003 is zero.  Subsequently, the Pension Funding
                        Equity Act of 2004, Pub. L. 108-218, § 205, repealed § 809
                        of the Code for taxable years beginning after December 31, 2004.  Therefore,
                        the Internal Revenue Service is required to determine a differential earnings
                        rate for 2004.
                     
                     The final determination of the rates is set forth in Table 1.
                     
                     For additional background concerning the differential earnings rates, see Rev.
                         Rul. 2001-33, 2001-2 C.B. 118.
                     
                   
                  
                     
                     The principal author of this revenue ruling is Katherine A. Hossofsky
                        of the Office of the Associate Chief Counsel (Financial Institutions and Products).
                         For further information regarding this revenue ruling, contact Ms. Hossofsky
                        at (202) 622-8435 (not a toll-free call).
                     
                   
                
               
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