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Text of IRS Rev. Rul. 2022-13: Applicability of Section 432(b)(7) Following a Merger Involving a Multiemployer Defined Benefit Plan That Has Received Special Financial Assistance (PDF)
Internal Revenue Service [IRS] Link to more items from this source
[Official Guidance]
July 7, 2022

"After a merger of a multiemployer defined benefit pension plan that has received SFA from PBGC with a second multiemployer defined benefit pension plan that has not received SFA, with the second plan designated as the ongoing plan after the merger, the ongoing plan is not deemed to be in critical status under section 432(b)(7) of the Code solely as a result of the merger."

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