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                             Instructions for 2024 Form 6Y: 
            Wisconsin Subtraction Modification for Dividends 
 
 Purpose of Form 6Y 
 
 Combined group members complete Form 6Y to report dividends subtracted from federal taxable income under the 
 Wisconsin dividends received deduction and also to report the amount of intra-group dividends that may be eliminated 
 from combined unitary income in cases where the Wisconsin dividends received deduction does not apply. 
 
 Enter the information for each member in a separate column. If there are more than three members, use additional 
 Forms 6Y.  For example, if there are seven members in the combined group, enter members one through three on 
 Form 6Y (do not complete the combined total column yet).  Next, enter members four through six on an additional 
 Form 6Y (do not complete the combined total column yet). Finally, complete a new Form 6Y for the seventh and final 
 member.  Complete the combined total column on the last Form 6Y for all group members. 
 
 NOTE: Do not use Form 6Y to report dividends that are nontaxable for reasons other than the Wisconsin dividends 
 received deduction or the elimination of intra-group dividends from combined unitary income. See the instructions 
 for Form 6, Part II, line 4g, for reporting those dividends. 
 
 Below is an explanation of each type of dividend reportable on Form 6Y, followed by line-by-line instructions. 
 
 Wisconsin Dividends Received Deduction 

 The Wisconsin dividends received deduction is available to corporations that are separate entity filers as well as 
 combined group filers. Under sec. 71.26(3)(j), Wis. Stats., a dividend is deductible for Wisconsin purposes if it meets 
 the following requirements: 
 • It is paid on common stock, and 
 • The corporation receiving  the  dividend owned at least 70%  of the total combined voting stock of the payer 
   corporation for the entire taxable year. 
 
 If the payee corporation is in a combined group, it must own the stock of the payer corporation for the payee’s entire 
 taxable year that is included in the combined return. 
 
 For purposes of Form 6Y, the Wisconsin dividends received deduction under sec. 71.26(3)(j), Wis. Stats., is called 
 the “70% ownership” dividend deduction. 
 
 Elimination of Dividends from Combined Unitary Income 
 
 The elimination of dividends from combined unitary income applies only to corporations that are in combined groups. 
 Under sec. 71.255(4)(f), Wis. Stats., and sec. Tax 2.61(6)(e), Wisconsin Administrative Code, a dividend paid be- 
 tween two members of the same combined group may be eliminated from the group’s combined unitary income if it 
 meets the following requirements: 
 • The dividend doesn’t already qualify for the Wisconsin dividends received deduction under sec. 71.26(3)(j), Wis. 
   Stats. 
 • The dividend was paid out of earnings and profits attributable to net income or loss that was included in the group’s 
   combined unitary income in the current taxable year or a prior taxable year 
 • The dividend does not exceed the payee’s basis in the payer’s stock 
 
 Transitional Rule. If the intra-group dividend was paid out of earnings and profits (E&P) that were generated in a 
 taxable year beginning before January 1, 2009, the dividend may be eliminated from combined unitary income to the 
 extent the net income that generated the E&P would have been included in combined unitary income under sec. 
 71.255, Wis. Stats., (the statute requiring combined reporting) if that section had been in effect in those years. 
 



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                                                2024 Form 6Y Instructions 

 Computing Earnings and Profits. The following rules apply to the computation of E&P for purposes of the dividend 
 elimination: 
 
 1. LIFO Rule: Dividends are treated as paid first out of current E&P. If the dividends paid exceed current E&P, then 
    the dividends are treated as paid out of E&P accumulated in preceding years, beginning with the year closest to 
    the current year. 
 2. Pro Rata Rule: With respect to an individual taxable year, dividends are treated as paid from all E&P earned in 
    that taxable year on a pro rata basis according to the proportion of net income that was included in the combined 
    unitary income for that taxable year. 
 3. Tiering-up  Rule: The  dividend  payer’s  E&P  are  generally  determined  using  the  federal  consolidated  return 
    regulations (Treas. Reg. §1.1502-33) as if the combined group is a federal consolidated group. This means that 
    a combined group member’s E&P are adjusted to reflect the undistributed E&P of any subsidiary that is a member 
    of the same combined group. However, sec.   Tax 2.61(6)(g), Wisconsin Administrative Code, provides that a 
    subsidiary’s E&P can only be “tiered up” to its parent company to the extent it relates to income that was (or the 
    case of E&P from taxable years before 2009, would have been), included in combined unitary income. 
 
 The following examples illustrate these rules: 
 
 Example 1: 
 Combined Group MN consists of Member M and Member N. The combined group was formed when Corporation M 
 acquired 60% of Corporation N on June 1, 2023. Group MN uses a calendar year. During 2024, N paid a dividend to 
 M of $500,000. N’s current E&P for 2024, before accounting for the distribution to M, are $100,000. N’s E&P attributable 
 to its 2023 calendar year are $1,000,000, of which $50,000 (5% of the total) were earned while N was a member of 
 Group MN. Assume N had no separate entity items while it was a member of Group MN. Also assume M did not 
 deduct any foreign taxes attributable to the dividend and N has sufficient stock basis. 
 
 Applying the LIFO and pro rata rules, the amount of dividend that qualifies for elimination from Group MN’s combined 
 unitary income in 2024 is $120,000 (= $100,000 + (5% x $400,000)). Under the pro rata rule, 95%, or $380,000, of 
 the dividend paid out of N’s 2023 E&P is considered to be paid from pre-acquisition E&P. 
 
 Example 2: 
 Combined Group FGH consists of Member F, Member G, and Member H. F owns all the stock of G, and G owns of 
 all the stock of H. Group FGH is on a calendar year. During the taxable year 2024, F has current year E&P of $300,000 
 and G has current year E&P of $500,000, both exclusive of any amounts attributed from subsidiaries. Assume F and 
 G’s E&P amounts are attributable entirely to items included in Group FGH’s 2024 combined unitary income. H has 
 current year E&P of $400,000. However, $50,000 of this amount is attributable to overseas operations, the income 
 from which was not included in combined unitary income under the water’s edge rules. 
 
 Assume none of the corporations made distributions in 2023. Under the tiering-up rule, G’s total current year E&P 
 are $850,000 (= $500,000  +  ($400,000  -  $50,000  attributed from F)),  and F’s  current  year  E&P  are  $1,150,000 
 (= $300,000 + $850,000 attributed from H). 
 
 Line-by-Line Instructions 

 First, group the total dividends received by the corporation into amounts paid by each payer then group the dividends 
 received by each member into amounts paid by each payer. 
 
 From the total amounts paid by each payer, identify the dividends that qualify for the “70% ownership” dividend 
 deduction. Then identify any of the remaining dividends qualifying for elimination from combined unitary income. 
 
 Lines 1a through 1f. Qualifying Dividends –    On lines 1a to 1f, enter the aggregate totals of qualifying dividends 
 based on the groupings described above. Each of these lines represents the total dividends paid from one payer 
 corporation to one payee corporation during the entire taxable year. Each dividend does not have to be separately. 
 Instructions for each field of lines 1a through 1f follow: 

 IC-525 (R. 12/24) 
                                    



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                                               2024 Form 6Y Instructions 

 Name of Payer Corporation. Enter the name of the corporation that paid the dividends eligible for the subtraction. 
 
 Date Acquired by Payee. Enter the date on which the payee obtained the level of voting stock ownership indicated 
 in the Payee’s Ownership of Payer field described below. 
 
 Payee’s Ownership of Payer.  Check the appropriate line to indicate the payee’s level of ownership of the payer’s 
 stock. The percentages shown represent the total ownership of the combined voting power of the payer’s stock. 
 
 Dividends Received. Enter the dividends received by the payee from the payer to the extent they qualify for either 
 the dividends received deduction or the elimination from combined unitary income. 
 
 CAUTION:          If the payee owned more than 50%, but less than 70%, of the combined voting power of the payer’s 
 stock, determine how much of the dividends qualify to be eliminated from combined unitary income and only report 
 the qualifying amount on lines 1a through 1f. 

 The following example illustrates how to complete Form 6Y in the case of a combined group: 
 
 Example of Lines 1a to 1f for a Combined Group: Combined Group ABC consists of Member A, Member B, and 
 Member C and uses a calendar year. Member A has owned 60% of the voting stock of B since July 1, 2009, and 80% 
 of the voting stock of C since January 15, 2008.  During 2024, A received a total of $200,000 in dividends from B and 
 $500,000 in dividends from C. No other corporations in the group received dividends. Member A determined that 
 25% of the dividend from B was paid out of E&P that wasn’t attributable to combined unitary income.  Therefore, only 
 $150,000 (= 75% x $200,000) of the dividend from B qualifies for the elimination of dividends. 
 
 Group ABC would complete lines 1a and 1b as follows: 
                                         Line 1a 
 Name of Payer Corporation ......................... Member B 
 Date Acquired by Payee… ........................ 07/01/2008 
 Payee’s Ownership of Payer ........... “> 50% but < 70%” 
 Dividends Received: ..................................... $150,000 

                                         Line 1b 
 Name of Payer Corporation ......................... Member C 
 Date Acquired by Payee… ........................ 01/15/2007 
 Payee’s Ownership of Payer ....................... “> or =70%” 
 Dividends Received: .................................... $500,000 
 
 Alternatively, the dividends from Member C could have been reported on line 1a and the dividends from Member B 
 on line 1b. 
 
 Line 1h. Additional Forms 6Y – If the corporation has more qualifying dividends than can be reported on lines 1a to 
 1f, use an additional Schedule 6Y to report the remaining qualifying dividends. Complete lines 1h through 4 only for 
 the first Schedule 6Y. 
 
 Enter the information for each member in a separate column. If there are more than three members, use additional 
 Forms 6Y.  For example, if there are seven members in the combined group, enter members one through three on 
 Form 6Y (do not complete the combined total column yet).  Next, enter members four through six on an additional 
 Form 6Y (do not complete the combined total column yet). Finally, complete a new Form 6Y for the seventh and final 
 member.  Complete the combined total column on the last Form 6Y for all group members. 
 
 Line 3. Foreign Taxes On line 3,enter taxes paid to a foreign nation on dividends listed on lines 1a to 1f if those 
 foreign taxes are claimed as a deduction elsewhere on the return. They may be deducted from the federal taxable income 
 reported on Form 6, or they may be a subtraction from income on Form 6, Part II, line 4h. 

 IC-525 (R. 12/24) 
                                      



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                                               2024 Form 6Y Instructions 

 Additional Information and Assistance 
                                                                                                                        
 Web Resources. 
 
 The Department of Revenue has a web page dedicated to combined reporting issues, including: 
 • Forms Common questionsPublications on specific tax topics 
 • The Wisconsin Tax Bulletin 
 • A home page specifically for combined reporting topics 
 • Links to the Wisconsin Statutes and Administrative Code 
 
 For questions that do not relate to combined reporting, the web page also has a library of frequently asked questions 
 on general business tax topics, available at: revenue.wi.gov/faqs/index.html 
 
 Contact Information. 
 
 If you cannot find the answer to your question in the resources available on the Department of Revenue’s web page, 
 contact the Department using any of the following methods: 
 • E-mail your question to: DORFranchise@wisconsin.gov 
 • Call (608) 266-2772 
   (Telephone help is also available using TTY equipment. Call the Wisconsin Telecommunications Relay System 
   at 711 or, if no answer, (800) 947-3529. These numbers are to be used only when calling with TTY equipment.) 
 • Send a fax to (608) 267-0834 
 • Write to the Audit Bureau, Wisconsin Department of Revenue, Mail Stop 3-107, PO Box 8906, Madison, WI 
   53708-8906 
 
                                               Applicable Laws and Rules 
   This  document  provides  statements  or  interpretations  of  the  following  laws  and  regulations  enacted  as  of 
   the revised date :  Chapter 71 Wis. Stats., and Chapter Tax 2, Wis. Adm. Code 

 IC-525 (R. 12/24) 
                                   






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