income on the contract

(1) Income inclusion (A) In general If at any time any contract which is a life insurance contract under the applicable law does not meet the definition of life insurance contract under subsection (a), the income on the contract for any taxable year of the policyholder shall be treated as ordinary income received or accrued by the policyholder during such year. (B) Income on the contract For purposes of this paragraph, the term “income on the contract” means, with respect to any taxable year of the policyholder, the excess of— (i) the sum of— (I) the increase in the net surrender value of the contract during the taxable year, and (II) the cost of life insurance protection provided under the contract during the taxable year, over (ii) the premiums paid (as defined in subsection (f)(1)) under the contract during the taxable year. (C) Contracts which cease to meet definition If, during any taxable year of the policyholder, a contract which is a life insurance contract under the applicable law ceases to meet the definition of life insurance contract under subsection (a), the income on the contract for all prior taxable years shall be treated as received or accrued during the taxable year in which such cessation occurs. (D) Cost of life insurance protection For purposes of this paragraph, the cost of life insurance protection provided under the contract shall be the lesser of— (i) the cost of individual insurance on the life of the insured as determined on the basis of uniform premiums (computed on the basis of 5-year age brackets) prescribed by the Secretary by regulations, or (ii) the mortality charge (if any) stated in the contract.

Source

26 USC § 7702(g)(1)


Scoping language

For purposes of this paragraph
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