RestAssured Posted October 27, 2021 Posted October 27, 2021 I, the client's TPA, did not file the 5500 that was due Jan 15, 2021 for the 2019 plan year. The deadline was extended b/c of Hurricane Sally, therefore it was due on Jan 15, 2021. I am willing to pay the $750 DFVC fee myself, but am coming here in hopes that someone knows of a way I can plead my case. The client has NOT received notification from IRS or DOL; I discovered my error when I was filing his 2020 5500. I don't know why I didn't file his 2019, it looks like I began the process. Who knows what happened back in Jan 2021. Any ideas? Thanks so much!
CuseFan Posted October 27, 2021 Posted October 27, 2021 If the 2020 5500 has been filed I would be very scared that the 2019 late letter would be imminent and suggest biting the bullet to incur the cost and file DFVC ASAP. Otherwise you risk a much larger penalty, which you've already copped to, that no manufactured excuse is likely to abate. Luke Bailey and Lou S. 2 Kenneth M. Prell, CEBS, ERPA Vice President, BPAS Actuarial & Pension Services kprell@bpas.com
imchipbrown Posted October 28, 2021 Posted October 28, 2021 Agree with Cuse. $750 is cheap compared to the alternative. You'll make up some of the fee by charging for the 5500. And you'll "Rest Assured". Bill Presson 1
RestAssured Posted October 28, 2021 Author Posted October 28, 2021 Thank you both. I agree. Was just hoping there was an out since it was MY mistake, not the client's. This has never happened before to me, I will say 😂 Bill Presson 1
ERISA-Atty Posted October 28, 2021 Posted October 28, 2021 i concur. It's an inexpensive reminder to file timely. Do the program filing quickly.
ESOP Guy Posted October 28, 2021 Posted October 28, 2021 You might want to review your WIP process to see if it was a one time, thing which happens to all of us, or there is a hole in your process.
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