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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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