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CARES Act provisions


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If a plan does not ALREADY allow for loans, or hardship/in-service for that matter, must the plan amend to allow loans by 12/31/2020, and then subsequently (or concurrently) add the Coronavirus provisions, or can the entire loan provision have the extend deadline of 12/31/2022?

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So a plan that does NOT currently permit loans but wants to take advantage of the CARES loan options, if they do not create a "regular" amendment now to add a loan provision, will be making loans available to ONLY Coronavirus affected/eligible  participants, right?  The future amendment will only address the Coronavirus type loan, loans to "eligible" participants, right?   In other words, the future amendment won't have language that makes loans available to all  participants, correct?  

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  • 3 weeks later...

I think if your plan document does not permit loans, you will need to amend if you want to make CARES Act loans, but the amendment does not need to be made until 2022 plan year. In the interim, you can just have/administer loans, but a guiding document of some sort, even if not a formal plan amendment, is HIGHLY advisable.

The IRS and/or DOL will presumably clarify the above in guidance.

Luke Bailey

Senior Counsel

Clark Hill PLC

214-651-4572 (O) | LBailey@clarkhill.com

2600 Dallas Parkway Suite 600

Frisco, TX 75034

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