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IRS Rev. Proc. 2009-36: Leeway Provided in Remedial Amendment Cycle for Governmental Retirement Plans (PDF)
Internal Revenue Service [IRS] [Official Guidance] Aug. 13, 2009
4 pages. Excerpt: This revenue procedure modifies Rev. Proc. 2007-44 ... to provide that a remedial amendment cycle with respect to a governmental plan ... will not end before the expiration of the 91st day after the close of the first legislative session that begins more than 120 days after a determination letter is issued for the plan (or after the occurrence of certain other events relating to a determination letter application), provided that the application for the determination letter was timely submitted to the Service. This revenue procedure also modifies Rev. Proc. 2007-44 to provide that the sponsor of an individually designed governmental plan may elect Cycle E (instead of Cycle C) as the initial (EGTRRA) remedial amendment cycle for the plan. This change (which was announced in the November 5, 2008, Special Edition of the EP News http://www.irs.gov/pub/irs-tege/se1108.pdf is a one-time modification that does not apply in determining a plan's remedial amendment cycle after the initial (EGTRRA) cycle.
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