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Rev. Rul. 2003-62: Funds Paid from Qualified Plan Are Income, Even if Used to Pay Health Expenses
Internal Revenue Service [IRS]
[Official Guidance] June 23, 2003
Excerpt: Issue: Whether amounts distributed from a qualified retirement plan that the distributee elects to have applied to pay health insurance premiums under a cafeteria plan are includible in the distributee's gross income under § 402(a) of the Internal Revenue Code, and whether the same conclusion applies if amounts distributed from the qualified retirement plan are applied directly to reimburse medical care expenses incurred by a participant in the qualified retirement plan.
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