JAY21 Posted September 26, 2017 Posted September 26, 2017 If you have a corrective amendment completed after the IRC 412(d)(2) election period (2.5 mos after PYE), you cannot use the corrective amendment on the Valuation for funding but can still/must correct the discrimination testing by the 11(g) deadline (9.5 mos after PYE). On the Form 5500 if the corrective amendment brought in an additional participant to pass testing do you show a different higher participant count on the Form 5500 than you do on the Schedule B ? Any problems showing a different participant count on the Form 5500 than the Schedule SB ? Thanks in advance.
ETA Consulting LLC Posted September 26, 2017 Posted September 26, 2017 They should be included in the count if you have a plan amendment that made them a participant during the year. Good Luck! CPC, QPA, QKA, TGPC, ERPA
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