An official website of the Commonwealth of Massachusetts
This page, Letter Ruling 84-92: Dividends from Regulated Investment Company Investing in US Obligations, is offered by
Letter Ruling

Letter Ruling Letter Ruling 84-92: Dividends from Regulated Investment Company Investing in US Obligations

Date: 10/18/1984
Organization: Massachusetts Department of Revenue
Referenced Sources: Massachusetts General Laws

Personal Income Tax

October 18, 1984


You ask whether dividends from the * * * * * ("Fund") are subject to Massachusetts income tax.

The Fund is a regulated, open-end, diversified investment company incorporated under the laws of Maryland and registered under the Investment Company Act of 1940.  It has qualified and intends to continue to qualify as a regulated investment company under the Internal Revenue Code.  The Fund invests predominantly in United States Treasury bills and notes.  All of the Fund's net income is declared as dividends daily.  For federal income tax purposes the dividends are taxable to shareholders as ordinary income.

Under Massachusetts law a dividend is any item of federal gross income which is a dividend under Section 316 of the Code. (G.L. c. 62, § 1(e)).

For Massachusetts income tax purposes gross income is federal gross income with certain modifications not here relevant. (G.L. c. 62, § 2(a)).

Massachusetts law has no provision exempting corporate dividends derived from investments in United States government obligations.

Dividends paid to shareholders by the Fund are included in federal gross income and therefore included in the Massachusetts gross income of Massachusetts residents.

Very truly yours,

/s/Ira A. Jackson

Ira A. Jackson
Commissioner of Revenue


LR 84-92

Table of Contents

Referenced Sources: