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Advisory Committee on Tax Exempt and Government Entities (ACT ...

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PROTECTING PLAN BENEFITS:IMPROVING GOVERNMENTAL DEFINED CONTRIBUTION PLAN COMPLIANCEThe following table illustrates the variati<strong>on</strong> in applicability of certain Code rules <strong>and</strong> IRSprograms across categories of plans:Rev. Proc. 2003-44EPCRSPre-Approved PlanProgramModel Language/Model Amendments401(a) 457(b) 403(b) 401(k)No (specialYes 180 day rule) Yes YesNo – underc<strong>on</strong>siderati<strong>on</strong> YesNo (LRMs notavailable)N<strong>on</strong>eNo, but canseek PLRNoRev. Proc.2004-56w/respect to Sample PlanEGTRRA IssuedNo, but canseek PLR Yes YesDeterminati<strong>on</strong> LetterIRS Correcti<strong>on</strong>Programs Yes Yes Yes YesAs noted in the table above, the IRS Pre-approved Plan Program, which providesemployers with a means for adopting a st<strong>and</strong>ardized plan, is generally tailored tocorporate 401(k) plans. Another well-regarded IRS program, the Employee PlansCompliance Resoluti<strong>on</strong> System (EPCRS), is also not widely available acrossgovernmental plans. The <strong>ACT</strong> believes that both programs could benefit governmentalplan sp<strong>on</strong>sors. Both are described in more detail below.Pre-Approved Plan Document Program (Prototype System)Generally, there are two classificati<strong>on</strong>s into which all qualified retirement plans can bedivided, pre-approved plans <strong>and</strong> individually designed plans (“IDPs”). Pre-approvedplans are plans which are submitted to the IRS by a sp<strong>on</strong>soring organizati<strong>on</strong> (e.g. ThirdParty Administrator, Practiti<strong>on</strong>er, etc.) <strong>and</strong> receive an opini<strong>on</strong> letter or advisory letterpre-approving the plan's language. Pre-approved plans c<strong>on</strong>sist of Master <strong>and</strong> Prototype(“M&P”) plans <strong>and</strong> Volume Submitter (“VS”) plans. The IRS Pre-approved PlanDocument program is available to qualified plans, but is oriented through itsdocumentati<strong>on</strong> to corporate plans. The program is not available to IRC secti<strong>on</strong> 457(b)plans. As reported in the next secti<strong>on</strong> of this report, the fact that the Pre-Approved PlanDocument program is oriented towards corporate 401(k) plans is c<strong>on</strong>sidered to be acompliance gap for governmental defined c<strong>on</strong>tributi<strong>on</strong> plans.In c<strong>on</strong>trast to a pre-approved plan, an IDP is a plan which is specifically designed for<strong>on</strong>e employer or a group of employers <strong>and</strong> then submitted to the IRS for adeterminati<strong>on</strong> letter. In the case of 457(b) plans, an IDP may be submitted to the IRS fora favorable private letter ruling (PLR). The purpose of the document approval process isto provide plan sp<strong>on</strong>sors <strong>and</strong> practiti<strong>on</strong>ers with assurance that their plan documentcomplies with the requirements of the Code <strong>and</strong> other IRS guidance. When they havereceived a favorable Determinati<strong>on</strong> Letter or PLR, the employer or practiti<strong>on</strong>er hasachieved a degree of c<strong>on</strong>fidence that their plan document design will protect the taxADVISORY COMMITTEE ON TAX EXEMPT AND GOVERNMENT ENTITIES (<strong>ACT</strong>) June 11, 2008 17

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