JustnERPA Posted December 21, 2018 Posted December 21, 2018 A plan has a fraud prevention procedure that delays issuing a participant loan request by a couple of days after the request is made. A participant's vested balance is $10,000 on the day they request a $5,000 loan. The market drops during those 2 days so their vested balance is $8,600 when the loan is issued. Can the plan issue a loan for $5,000 or must they redo the amort schedules etc. and only issue a loan for $4,300?
JustnERPA Posted December 21, 2018 Author Posted December 21, 2018 Okay, found this: The issue is when the plan document requires 'daily valuation'.If the loan policy has language that allows some reasonable procedure, would that allow the $5,000? It is not exactly addressed in IRS Notice 82-22. Opinions welcome.
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