Jump to content

Church plans and various members of controlled group

Guest mikewebb68

Recommended Posts

Guest mikewebb68

Hospitals X and Y are members of the Healthcare System A controlled group. Healthcare System A has already sought an obtained a private letter ruling from the IRS that has established that all retirement plans are Hospital X are "church plans" within the meaning of section 414(e) due to Healthcare System A's status as a 414(e) church and its control of Hospital X. If Healthcare System A controls Hospital Y in the same fashion as it controls Hospital X, are all plans of Hospital Y deemed to be "church plans" as well? Or must an additional private letter ruling be sought to establish whether the retirement plans of Hospital Y are church plans?

Link to comment
Share on other sites

Create an account or sign in to comment

You need to be a member in order to leave a comment

Create an account

Sign up for a new account in our community. It's easy!

Register a new account

Sign in

Already have an account? Sign in here.

Sign In Now
  • Create New...