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IRS Issues Final Regs Under Code Section 4960
Thomson Reuters Practical Law Link to more items from this source
[Guidance Overview]
Jan. 18, 2021

"[To] provide more flexibility in cases where an employee may unexpectedly fail to meet the 50% threshold in an applicable year, [the final regulations] expand the measurement period for the non-exempt funds exception from one applicable year to two applicable years ... The final regulations adopt the definition of ATEO set forth in the proposed regulations."

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