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Issuing a Revised 401(k) Safe Harbor Notice
FIS Relius Link to more items from this source
[Guidance Overview]
Dec. 3, 2013
"Although the regulations do not address the issue of providing a revised notice, neither do the regulations prohibit such a notice. Accordingly, we believe a plan sponsor has the option of issuing a revised notice to participants as long as the notice is timely. In fact, in light of the IRS issuing the regulations less than one month before the December 2 safe harbor deadline for a calendar year plan, we expect the IRS would be even more understanding regarding the issue."

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