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Posted

Hi Lois

Thank you for the link but I am not 100% convinced.

I did a quick read and there are some references to pensions related sections 7805((A)(d)(4) and unless I am misreading (with a high possibility), this section is at best ambiguous or not included. If you do a search under "pension", you will get a few hits, too many to disclose here.

I would like to hear what others will say/comment.

Posted

Thank you for this.

I do not see anything regarding minimum funding deadline extension unless I missed it.

Posted

Hi All

As I do not see any comments on the minimum funding yet, here are couple additional scenarios. I am just curious and see what/if I missed anything in the law that is always applicable for disaster areas (I live/work in one and that is why I am trying to learn this stuff)

This is for a calendar plan situations.

Scenario 1:

If (and that is a big if) the 2020 minimum funding deadline is extended under the relief (I am not convinced), under SECURE, does that mean a plan sponsor can set up a new defined benefit plan, say in November, and fund/deduct it for 2020 rather than 9/15/2021?

Scenario 2: How about if the sponsor wants to set up a profit sharing plan for 2020, can they do that in November?

Scenario 3: The sponsor wants to set up 401k/safe harbor plan for 2021 (deadline is 10/1/2021). Can they do that for 2021 in November?

Again, just curious and learning.

Thank you all.

Posted

Not that I have seen nor anyone chimed in. I am having all my clients making their deposits by 9/15 even if their return is extended. no headaches, no issues.

I am also going to have them file their 5500 forms by 10/15.

But that is me.

Posted
 

Metsfan026 posted this in the 401K Plan Section in regard to contributions being extended beyond September 15th:

 

I just want to make sure I'm reading all of this correctly.  Under the Hurricane Ida Relief it says:

The IRS also gives affected taxpayers until January 3, 2022 to perform other time-sensitive actions described in Treas. Reg. § 301.7508A-1(c)(1) and Rev. Proc. 2018-58, 2018-50 IRB 990 (Dec. 10, 2018), that are due to be performed on or after September 1, 2021, and before January 3, 2022, are postponed through January 3, 2022.

As part of Treas. Reg. § 301.7508A-1(c)(1) it says:

(c) Acts for which a period may be disregarded—(1) Acts performed by taxpayers. Paragraph (b) of this section applies to the following acts performed by affected taxpayers (as defined in paragraph (d)(1) of this section)—

(iii) Making contributions to a qualified retirement plan (within the meaning of section 4974(c)) under section 219(f)(3), 404(a)(6), 404(h)(1)(B), or 404(m)(2); making distributions under section 408(d)(4); recharacterizing contributions under section 408A(d)(6); or making a rollover under section 402(c), 403(a)(4), 403(b)(8), or 408(d)(3);

Paragraph (b) discusses the delayed deadline.  So does this mean contributions due by 9/15 are delayed to January 3? 

Thanks in advance everyone!

Posted

So, for any calendar plan, 412/430 funding is still due today, at least to my understanding. Any profit sharing can be done later.

Posted
4 hours ago, Jakyasar said:

So, for any calendar plan, 412/430 funding is still due today, at least to my understanding. Any profit sharing can be done later.

In addition to Profit Sharing contributions being extended, it appears that a DB plan that has a zero minimum required contribution and a maximum of 126,658, can make a contribution up to the 126K maxium by January. As the maximum is based on 404. 

Posted

Yes but can it be reflected on 2020 SB and 2021 AFTAP which need to be certified by 9/30/2021? Unless I am mistaken/missing anything, no.

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