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                     Corporations making a section 965 election (defined below) must use these instructions to complete all portions of their tax
                     returns affected by
                     the election. These pages contain many instructions that supplement information provided in other tax forms and instructions
                     issued prior to this
                     instruction booklet.
                     
                  
                  For additional information, see Notice 2005-10, 2005-6 I.R.B. 474; Notice 2005-38, 2005-22 I.R.B. 1100; Notice 2005-64, 2005-36
                     I.R.B. (page number
                     not available at time of printing), and any subsequent guidance issued by the IRS and Treasury with respect to section 965.
                     
                  
                  
                     
                     A corporate U.S. shareholder of a controlled foreign corporation (CFC) uses Form 8895 to elect the 85% dividends received
                        deduction (DRD) provided
                        under section 965 (section 965 election) and to compute the DRD. The corporation may make the election for:
                        
                     
                     
                        
                           - 
                              Its last tax year that begins before October 22, 2004, or 
- 
                              Its first tax year that begins during the one-year period beginning on October 22, 2004. 
 
                     
                        
                     
                     The corporation makes the section 965 election by attaching Form 8895 to its timely filed tax return (including extensions)
                        for such tax year.
                        However, a corporation that filed its return before Form 8895 was made available in final form need not file the form with
                        an amended return, but
                        should retain the information requested on the form to be made available to the IRS upon request.
                        
                     
                     See Notice 2005-10, Section 2, Notice 2005-38, Section 5, and Notice 2005-64, Section 3, for more information.