cpc0506 Posted March 27, 2014 Posted March 27, 2014 I have a new one partcipant plan (owner and spouse only). The final regulations confirmed that so-called “one participant plans” are not subject to Section 408(b)(2). Does that mean they are not subject to 404(a)(5) fee disclosure as well? What about PPA periodic notice requirement?
John Feldt ERPA CPC QPA Posted March 27, 2014 Posted March 27, 2014 A plan covering the 100% owner (and spouse) is not subject to ERISA, so ERISA Section 404(a)(5) does not apply.
cpc0506 Posted March 27, 2014 Author Posted March 27, 2014 what about PPA for a participant directed Profit Sharing Plan? Again one partcipant plan?
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