Guest PJW Posted October 25, 2001 Posted October 25, 2001 If the IRS is reviewing a 5310 and the plan administrator has discovered an operational defect after the filing but before a determination has been made by the IRS, is there any advantage or disadvantage to informing the IRS of the failure when it could most likely be corrected through SCP? Would there be a benefit to waiting until a determination letter is received?
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