austin3515 Posted June 28, 2016 Posted June 28, 2016 I have a weird situation, it's a 6/30 plan year end, where the employer contributions are funded each pay-period and are substantial. So the HCE neds to limit his 403b contributions. Problem is, they way everything plays out, he never generates any catch-ups. He never exceeds 402g, and because of the way he scheduled his deferrals, he doesn't have enough 403b in the plan year to reclassify enough of his 415 additions as catch-ups to pass (he barely contributes 403b in first 6 months of calendar year). Options: a) Go back to 2015 and reclassify some unused catch-ups?? b) Take the position that his 403b was limited for 415 to ~$8,000 (he gets around $45K of Profit share, for a total of $53K). Therefore, he can cotnribute $14K and treat the extra $6K during the year as a catch-up. I know b) works for an ADP limit, what about 415? Austin Powers, CPA, QPA, ERPA
Kevin C Posted June 28, 2016 Posted June 28, 2016 Sorry, but I don't understand your first paragraph. The timing rules for catch-ups determine when amounts become classified as catch-up. 1.414(v)-1©(3) Timing rules. For purposes of determining the maximum amount of permitted catch-up contributions for a catch-up eligible participant, the determination of whether an elective deferral is a catch-up contribution is made as of the last day of the plan year (or in the case of section 415, as of the last day of the limitation year), except that, with respect to elective deferrals in excess of an applicable limit that is tested on the basis of the taxable year or calendar year (e.g., the section 401(a)(30) limit on elective deferrals), the determination of whether such elective deferrals are treated as catch-up contributions is made at the time they are deferred.
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