jgold0016 Posted July 27, 2020 Posted July 27, 2020 A business with a SEP terminates its only employee in June 2020. The business has made no 2020 SEP contributions. The business terminates the SEP as of July 31, 2020. Can the owner open a solo 401k in August 2020 and make a 2020 contribution to the solo 401k?
Larry Starr Posted July 27, 2020 Posted July 27, 2020 3 hours ago, jgold0016 said: A business with a SEP terminates its only employee in June 2020. The business has made no 2020 SEP contributions. The business terminates the SEP as of July 31, 2020. Can the owner open a solo 401k in August 2020 and make a 2020 contribution to the solo 401k? Yes, but discrimination testing must still be done and that employee who terminated in June may be entitled to a contribution depending on the circumstances. Lawrence C. Starr, FLMI, CLU, CEBS, CPC, ChFC, EA, ATA, QPFC President Qualified Plan Consultants, Inc. 46 Daggett Drive West Springfield, MA 01089 413-736-2066 larrystarr@qpc-inc.com
jgold0016 Posted July 28, 2020 Author Posted July 28, 2020 In follow up to your comment, I dug into BNA to try to understand how discrimination rules could potentially result in the terminated employee who had been a SEP participant being entitled to contributions in a solo 401k opened after termination of his employment and after termination of the SEP. Unfortunately I can’t figure it out. Are the two plans treated as one for calendar year 2020? It’s difficult to imagine under what circumstance a contribution to the solo 401k could be required for the terminated employee. Or would the non discrimination rules instead result in the HCE/owner being ineligible to receive a 401k contribution until 2021? Perhaps you can suggest where I can find something relevant in the discrimination-related Regulations that would potentially apply to this situation. Thanks!
Mike Preston Posted July 28, 2020 Posted July 28, 2020 The SEP is a red herring because it is not aggregated with anything. So, re-ask your question with only the 401k in the picture.
jgold0016 Posted July 28, 2020 Author Posted July 28, 2020 Under these assumed facts (sole employee is terminated in June 2020; SEP is terminated as of July 31, solo 401k is opened in August 2020, and the owner makes a 2020 contribution to the 401k), what is the authority for saying there is no problem? Thanks!
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