Gruegen Posted 51 minutes ago Posted 51 minutes ago Based on the guidance issued so far, there are clearly many administrative requirements for a Section 128 Trump Account Contribution Program (TACP) including Developing a plan document Disclosing the TACP to employees Performing three non-discrimination tests (and correction of failures) Collection of employee certifications (ie, that the beneficiary of the Trump Account is anticipated to be the employee's dependent; and the beneficiary's date of birth) If the employee has multiple dependents, how much of the employer contribution will be made to each dependent's Trump Account Verification that employer contribution was made to a valid Trump Account Notification to the Trump Account trustees that an amount is a Section 128 contribution If the TACP permits employee contributions through a Section 125 cafeteria plan, facilitating employee's changes to 125 deferral amounts Funding of employer contributions to each individual Trump Account (ignore this one for now as I am hoping that BNY develops a common remitter program) My question is....who do you think will be performing these administrative services? Payroll providers? Retirement Plan Recordkeepers/TPA's? Dependent Care Program providers? Employers themselves? Some new company/service provider that will enter the market? A combination of providers/employers themselves?
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