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The CPA's Guide to Retirement Plans for Small Businesses (2nd Edition)

Author: Gary S. Lesser, Esq., Editor
Publisher: AICPA
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Description

The CPA's Guide to Retirement Plans for Small Businesses is designed to provide practitioners with knowledge, understanding and the tools needed to offer strategic advice on retirement plans. In over 500 pages with 26 chapters, you'll find discussion on statutory requirements, the legal structure of various plan types, as well as detailed information on plan design, establishment, monitoring, administration, correction of failures, and termination.

An extraordinary tool for CPAs in public practice, this book will help you to understand and conquer the complexities of small business retirement plans and enable you to secure the long-term financial security for your clients through sophisticated pension planning. This book is also an excellent resource for CPAs working in business and industry, for tax preparers and financial advisors, and for financial service organizations and corporate executives.

The book discusses in great depth and detail:

  • All types of qualified and nonqualified deferred compensation plans

  • Simplified employee pension plans (SEPs) and SIMPLE plans

  • The intricacies of plan design for the smaller business owner

  • Contribution, compensation and deduction issues

  • Distribution taxation and portability between plans

  • And much, much more!

Add on Plan Illustration Software

The special CPA edition – updated to reflect 2007 contribution limits — includes downloads of the QP-SEP Illustrator™ Software and the SIMPLE Illustrator® Software.

QP-SEP Illustrator automatically calculates and displays net earned income, self-employment tax, integration spreads, actual deferral percentage (ADP), top-heaviness, and limitations on contributions and their deductibility for each participant. Ineligible owner and guaranteed payment partner situations can also be handled. All optimization and solve-for functions are included. Detailed illustration of up to 6 pages can be printed, saved, and recalled.

SIMPLE Illustrator automatically determines, applies, and illustrates salary reduction, matching and nonelective contributions. Each illustration contains either two or three side-by-side comparisons from which an employer can choose. Salary reduction amounts can be maximized for each employee – entered as a dollar amount or as a percentage of each participant's compensation. The program is highly functional and practically does all the work for you!

Praise for The Book

"The RPSB Guidebook is unquestionably, the best reference tool on retirement plans I have ever used."
-Benjamin Botwick, CPA, Fairlawn, NJ

"The RPSB Guidebook is clear, concise and well written by its expert authors. Its chapter structure and organization make researching issues very easy.”
-Richard Epstein, CPA, New York

"From the general to the specific, the RPSB is an exceptional resource for understanding and knowledge."
-Alex R. DiMuro, CPA, Rochester, NY

Praise for the Software

"The beauty of QP-SEP Illustrator is that it automates these complex, time-consuming computations after you enter a handful of components, and quickly displays the results.''
Accounting Technology

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CPA Technology Report

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Table of Contents

  • Acknowledgments
  • About the Authors
  • Preface
  • Chapter 1- Introduction
    • Designing the Best Plan
    • Definitions
    • Accrued Benefit
    • Actuarially Equivalent
    • Administrator
    • Annual Addition
    • Beneficiary
    • Cash Balance Plan
    • Defined Benefit Plan
    • Defined Contribution Plan
    • Employee
    • Employee Pension-Benefit Plan or Pension Plan
    • Employer
    • Excess-Benefit Plan
    • Fiduciary
    • Highly Compensated Employee
    • Hybrid Plan
    • Key Employee
    • Limitation Year
    • Nonforfeitable
    • Normal Retirement Age
    • Normal Retirement Benefit
    • Participant
    • Plan Sponsor
    • Plan Year
    • Top-Heavy Plan
  • Chapter 2 Simplified Employee Pension Plans--
    • SEP and SARSEP
    • Establishing a SEP
      • IRS Model SEP
      • xvi The CPA's Guide to Retirement Plans for Small Businesses
      • Model SARSEP
      • Prototype SEP
      • Individually Designed SEP
      • Written Allocation Formula
      • Vesting
    • Employee Eligibility to Participate
      • Service
    • Suitability
    • General Limitations
    • Nondiscriminatory Coverage
    • Nondiscriminatory Contributions
    • No Maximum Age Restrictions
    • Salary-Reduction Contribution
      • NHCE Compensation Deferred Amount Percentage Deferred
    • Catch-Up Contributions
      • Catch-Up Rules
    • Salary-Reduction Limit
    • Maximum Compensation Limits
    • Integration With Social Security
    • More Than One Plan
    • Exclusion of Contributions by Employee
    • Contribution Due Dates
    • Deduction Timing
    • SEP and Traditional IRA
    • Withdrawals
    • Restricted Funds
    • Excess Contributions
    • Top-Heavy Rules
      • Key Employee
    • IRC Section 318 Attribution
      • Family Attribution
      • Key Employee Family Attribution
      • No Double Family Attribution
      • Option Precedence
      • Stepchildren
      • Stock Attribution, Not Compensation Attribution
    • ERISA Considerations
      • Form Filing
      • Bonding
      • Bonding Exception
    • Forwarding Contributions
    • Minimum Required Distributions
    • Early Distributions
    • Regular and Premature Distribution Taxation
    • Lump-Sum Distributions
    • Loans
    • Termination of SEP Plan
    • Protection From Creditors
    • Tax Credits
      • Tax Credit for Employers
      • Tax Credit for Employees
    • Retirement Planning Advice Provided by Employers
      • Individualized Investment Advice
      • Coercive Interference with ERISA Rights
    • Plan Correction Programs--EPCRS, VFCP, and DFVC
    • SEP Compared to a Qualified Plan
    • SEP Advantages and Disadvantages
      • SEP Advantages
      • SEP Disadvantages
  • Chapter 3 - SIMPLE Plans
    • SIMPLE IRA Plans
    • Employer Eligibility
    • SIMPLE IRA Requirements
    • The Employer
    • SIMPLE Plan Adoption
    • 100-Employee Rule
    • Exclusive Plan Requirement
    • Acquisitions, Dispositions, and Similar Transactions
    • Exclusive Plan Requirement
    • Employee Eligibility Requirements
    • Excluded Employees
    • An Employee
    • Compensation
    • Vesting
    • Employee Contributions
    • Employer Matching Contributions
    • Employer Nonelective Contributions
    • Plan Year
    • Deduction of Contributions
    • Contribution Due Dates
    • Reporting Requirements
    • Excess Contributions
    • Time Requirements for Contribution Elections and Notices
    • Taxation of Distributions
    • Rollovers and Transfers
    • ERISA Requirements
    • Tax Credits
    • SIMPLE IRA Advantages and Disadvantages
    • 401(k) SIMPLE Plans
    • Plan Year
    • Qualification Requirements
    • Vesting
    • Employer Eligibility
    • Exclusive Plan Requirement
    • Employee Eligibility
    • Participant Contribution Aggregation
    • Compensation
    • Contributions
    • Contribution Limits
    • Discrimination Testing
    • Form W-2 Reporting
    • Contribution Deduction
    • Distributions
    • Rollovers and Transfers
    • Plan Correction Procedures
    • Tax Credits
  • Chapter 4 - Qualified Plan in General
    • Qualified Plan Advantages
    • Qualified Plan Disadvantages
    • Qualified Plan Trust Requirements
    • Reversions From Plans
    • Life Insurance Considerations
      • Suitability
      • New Fair-Market Value Valuation Rules
      • Arguments Against Life Insurance in Qualified Plans
      • Prudence
      • Limits on Incidental Benefits
      • Incidental Defined Contribution Plan Limit
      • Incidental Defined Benefit Plan Limits
      • Income Tax Consequences of Life Insurance
    • Death Before Retirement
  • Chapter 5 - Compensation and Earned Income
    • Compensation
      • Limitation Year
      • Annual Additions
    • Nondiscriminatory Definition of Compensation
      • W-2 Earnings
      • IRC Section 3401(a) Wages
      • IRC Section 415 (the Safe-Harbor Section) Compensation
      • Compensation Paid After End of "Limitation Year"
      • Deferrals From Post-Severance Payments
      • Qualified Military Service Payments
      • IRC Section 415 Compensation Exclusions
    • Earned Income
      • Self-Employment Losses
    • Determining Earned Income: Where to Start
      • Partners
      • Sole Proprietors
      • Worksheet for Calculating Ultra-Net Earned Income
      • Contents xix
      • Interests in Multiple Entities
      • Interaction With IRC Section 401(a)(17)
  • Chapter 6 - General Plan Design
  • The ABCs of Qualified Plan Design: Adequacy, Budget and Cost
  • Defined-Contribution Plan Requirements
    • Allocation of Expenses
  • Plan Types
    • Profit-Sharing Plans
    • Stock Bonus Plans
    • Savings and Thrift Plans
    • 401(k) Plans
    • Employee Stock Ownership Plan (ESOP)
  • Pension Plans
    • Normal Retirement Age
    • Target-Benefit Plans
    • 412(i) Plans
    • Cash-Balance Plans
    • Floor Offset Plans
  • Eligibility and Minimum Participation Requirements
    • Minimum Age and Service Requirements
    • Related Employer Service Rules
    • Break in Service
  • Minimum Coverage Requirements Tests
    • Ratio Percentage Test
    • Average Benefits Test
    • Nondiscriminatory Classification Test
    • Average Benefits Percentage Test
    • Separate Lines of Business Exception
    • Statutory Exclusions
    • Waiver of Participation
    • Former Employees
    • Employees Treated as Benefiting
    • Mandatory Disaggregation
    • Permissive Aggregation
    • Dividing the Population
    • Defined Benefit 50/40 Test
    • Cross Tested Plans
  • Contributions
    • Defined Contribution Safe Harbors
    • General Test for Defined Contribution Plans
    • Defined Benefit Safe Harbors
    • Target Plan Benefits
    • 401(k) Plans
    • Aggregation and Restructuring
    • Integrated Plans
    • Cross-Testing
    • Permitted Disparity (Integration)
  • Vesting and Nonforfeitability
    • Five Year Cliff Vesting
    • Three to Seven Year Vesting
    • Faster Vesting Schedules for Certain Plans
    • Suspension Upon Reemployment
    • Pattern of Abuse
    • Full Vesting Required on Plan Termination or Discontinuance of Contributions
  • Deductions
    • Coordination With Minimum Funding Rules
    • Carryforward
  • Chapter 7 - Permitted Disparity--Integration of Contributions
    • Plan Types
      • Defined Contribution Plans
      • Simplified Employee Pension Plans
      • Defined Benefit Excess Plans
      • Defined Benefit Offset Plans
      • Target Benefit Plans
    • Defined Contribution Plan Integration
      • Definitions Relating to Permitted Disparity
    • Maximum Spread or Disparity Rate
      • Reduction of Maximum 5.7 Percent Spread (or Disparity Rate)
    • Defined Contribution Plan Uniform Disparity Rule
      • Top-Heavy Contributions and the Uniformity Rule
      • Allocating Integrated Contributions
      • Selecting an Integration Level
      • Reduction of $45,000 Limit in an Integrated SEP
      • Multiple Integrated Plans
    • Defined Benefit Plan Integration
      • Defined Benefit Excess Plans
      • Definitions Relating to Permitted Disparity
      • Adjustment to the .75 Percentage Point Factor
      • Excess Benefit Plan Integration Levels Requirements
    • Defined Benefit Offset Plans
      • Maximum Offset Allowance
      • Offset Level
      • Average Annual Compensation
      • Covered Compensation
    • Defined Benefit Plan Uniform Disparity Rule
    • Top-Heavy Plan Restrictions
    • Effect of Plan Termination
    • 2007 Covered Compensation Tables
  • Chapter 8 Internal Revenue Code Section 401(k) and Safe-Harbor 401(k) Plan Design
    • 401(k) Arrangements
      • 401(k)--A Feature, Not a Plan
      • Cash or Deferred Arrangements
    • General Requirements of 401(k) Plans
      • Nondiscrimination Testing
      • Vesting
      • Eligibility to Defer
      • Distribution Restrictions
      • Contingent Benefit Rule
    • Who can establish a 401(k) plan?
    • 401(k) Deferral Limits
      • Catch-Up Contributions
    • Discrimination Testing Details
      • 1.25 Test
      • 2 Percent Spread Test
      • Rule of Thumb
      • Choices in ADP Testing
      • We failed! What now?
      • Tax Treatment of Corrective Distribution
      • Distributions Made in the First Two and One-Half Months of the Correction Period
      • Distributions Made After the First Two and One-Half Months of the Correction Period
      • Employer Excise Tax for Corrective Distributions Made After Two and One-Half Months
      • Reporting the Corrective Distributions Using Form 1099-R
      • Another Way to Fix a Failed Test: Qualified Nonelective Contributions
    • Safe-Harbor 401(k) Plans
      • Safe-Harbor Contribution Requirement
      • Safe-Harbor Vesting Requirement
      • Safe-Harbor Withdrawal Restrictions
      • Annual Notice Requirement
    • Comment on Employee Direction of Investments in a 401(k) Plan
  • Chapter 9 - Defined Contribution Cross-Tested, General Tested Plan Design
    • What is this all about?
    • Rate Group Testing for Defined Contribution Plans (the General Test)
      • Determining Rate Groups
      • Equivalent Benefit Accrual Rate--Cross-Testing
    • The Basics of Cross-Testing
      • Figuring Out Your Rate Groups Using EBARS
    • Rate Groups and Coverage Testing
      • The Ratio Percentage Test
      • The Average Benefits Test
      • The Nondiscriminatory Classification Test
      • The Average Benefits Percentage Test
    • Gateway Testing
    • Cross-Tested Plan Design Basics
      • The Demographics of the Group
    • Super Integrated Designs
      • Individual Modifications
    • Use of Allocation Groups in the Plan Design
      • Each Participant in His or Her Own Allocation Group
    • Benefits, Rights, and Features
    • We Failed! What Now?
      • Corrective Amendment to the Rescue
      • Amendment Subject to Testing on Its Own
      • Amendment Must Have Substance
    • Miscellaneous Issues
      • Plans That Cover Only NHCEs
      • Plans That Cover Only HCEs
    • Conclusion
  • Chapter 10 - Defined Benefit Plan Design
    • Introduction
    • Benefit Limits
      • Average Compensation
      • All Defined Benefit Plans of the Employer
    • Funding
      • Plan Years Beginning Prior to January 1, 2008
      • Plan Years Beginning After December 31, 2007
    • Payment of Benefits
      • Minimum Lump Sums
      • Applicable Interest Rate
      • Maximum Lump Sums
      • Early Termination Rule
    • Adjustments to Funding
      • Reducing Future Benefits
      • Changing Funding Method
      • ERISA 204(h) Notice
      • Increasing Funding
      • Other Issues Related to Adjusting Funding
    • Minimum Participation
      • Pension Benefit Guaranty Corporation
    • Defined Benefit Plan Termination
      • Majority Owner Waiver
    • Cash Balance Plans
    • Case Study
      • Maximum Defined Benefit Plan
      • Cash Balance Plan
      • Combination Plans
  • Chapter 11 - Fully Insured Defined Benefit Plans--Internal Revenue Code Section 412(i)
    • Definition
    • Requirements
    • Advantages of 412(i) Plans
    • Disadvantages of 412(i) Plans
    • Who Is the Ideal Prospect?
    • Designing Fully Insured Plans Under GATT Limitations
      • Safe Approach
      • Aggressive Approach
      • Middle-Ground Approach
    • Top-Heavy Rules
    • Conversion of Existing Defined Benefit Plans
      • Conversion as Insurance Company Solution to Overfunded
      • Defined Benefit Plan
    • Abusive Designs
      • Comparison With Other Plans
  • Chapter 12 - Deduction Issues
    • General Rule
    • Defined Contribution Plans
      • Compensation
      • Benefiting Participants
      • Effective Deferrals
      • Different Plan Year and Tax Year
      • Timing of Payments
      • Acceleration of 401(k) Deductions
      • Carryover
    • Defined Benefit Plans (Pre-2008)
      • Minimum Funding
      • Level Funding
      • Normal Cost Plus Limit Adjustments
      • Full Funding Limit
      • Unfunded Current Liability
      • Terminating Plans
      • Carryover
      • Plan Year Basis for Deduction
    • Defined Benefit Plans (Post-2008)
    • Multiple Plans
    • Self-Employed Persons
    • Expenses and Fees
    • Non-Deductible Contributions
  • Chapter 13 - Plan Correction Programs--EPCRS, VFCP, and DFVC
    • Employee Plans Compliance Resolution System
      • Compliance Qualification Failures
      • Correction Programs
      • Correction Principles
      • Corrective Allocation Principles
      • The Self-Correction Program
      • Significant or Insignificant
      • Favorable Letter Requirement
      • Established Practices and Procedures
      • Anonymous Submission Procedure
      • Safe Harbors
      • Group Submission Procedures
      • Voluntary Correction With Service Approval Program
      • Correction on Audit Program
      • EPCRS for SEP and SIMPLE IRA
      • Excess Amount
      • Overpayment
      • Earnings
      • Insufficient Information
      • Amendment to Correct
      • Application for Compliance Statement
      • Corrections of Operation Failures
      • VCP Fees
    • DOL Voluntary Fiduciary Correction Program
      • Purpose of VFCP
      • Effect of the VFCP
      • Program Eligibility
      • Eligible Transactions
      • Fiduciary Correction Methods
      • Application Documentation
      • Prohibited Transaction Excise Tax
      • Additional VFCP Information
    • DOL Delinquent Filer Voluntary Compliance Program
      • Eligibility
      • Program Criteria
      • Liability
      • Penalty Structure
      • Extension of Time to File
      • Abatement for Reasonable Cause
      • IRS and PBGC Participation
    • Additional Information
  • Chapter 14 - Required Minimum Distributions
    • Introduction
    • Lifetime Required Minimum Distributions
      • Required Beginning Date
      • Employment Exception for Plans Other Than IRAs
      • "Uniform Lifetime Table"
      • Two RMDs in One Year
      • Contents xxv
      • Spousal Exception
      • Roth IRA
      • Roth 401(k)
    • Postdeath Required Distributions
    • Postdeath Required Distributions: No Designated Beneficiary
      • Owner Dies Before Required Beginning Date
      • Owner Dies On or After Required Beginning Date
      • Roth IRA
    • Postdeath Required Distributions: Nonspousal Beneficiary
      • Year of Death
      • Owner Dies Before Required Beginning Date
      • Owner Dies On or After Required Beginning Date
      • Roth IRA
    • Postdeath Required Distributions: Spouse as Beneficiary
      • Year of Death
      • Owner Dies Before Required Beginning Date and Spouse Remains the Beneficiary
      • Owner Dies On or After Required Beginning Date and Spouse Remains the Beneficiary
      • Spousal Rollover of IRA
      • Roth IRA
    • Future Changes to the RMD Rules
    • Extracts of Treasury Regulations
      • Treasury Regulations Section 1.401(a)(9)-9--Life Expectancy and Distribution Period Tables
      • Final Roth IRA Regulations Pertaining to Minimum Distributions
  • Chapter 15 - Taxation of Retirement Plan Distributions
    • IRA-Based Plans
      • SIMPLE IRA Distributions
      • SEP IRA Distributions
      • Recognizing Losses in an IRA
    • Exclusion for Qualified Health Insurance Premiums
    • 457 Plan Distributions
      • Eligible Governmental 457 Plan
      • Eligible Nongovernmental 457 Plans
      • Ineligible 457 Plans
      • Premature Distributions
    • Tax-Sheltered Annuities
      • Excess Contributions to Custodial Accounts
      • Premature Distributions
    • Qualified Plans
      • Life Insurance Protection
    • Lump-Sum Distributions From Qualified Plans
      • Death Of Participant
      • Nonqualifying Distributions
      • Alternate Payee Under a Qualified Domestic Relations Order
      • Tax Credit ESOPs
      • Plan Types
      • "Separation From Service" Versus "Severance From Employment"
    • Capital Gains Treatment
    • Ten-Year Forward Income Averaging
      • One Election After 1986
      • Beneficiary(ies) Receiving Lump-Sum Distributions
      • Lump-Sum Distributions to Multiple Recipients
    • Net Unrealized Appreciation in Employer Securities
    • Preretirement Distributions
      • Grandfather Rule
      • Distribution of Annuity or Life Insurance Contract
      • Life Insurance Contract
      • Disability Benefits
      • Death Benefits
      • Charitable Beneficiary
      • Recovery of Life Insurance Protection Costs
      • Policy Valuation
    • Failure to Withdraw a Required Minimum Distribution
    • Premature Distribution Penalty Tax
      • Death
      • Disability
      • Substantially Equal Periodic Payments
      • Qualified Higher Education Expenses
      • First-time Homebuyer Expenses
      • Unreimbursed Medical Expenses
      • Medical Insurance for Unemployed Individuals
      • IRS Levy
      • Divorce or Separation
      • Separation After Age 55
      • ESOP Dividends
      • Qualified Charitable Distributions
      • Qualified Reservist Distribution
      • Distributions to a Qualified Public Safety Employee
      • Hurricane Distributions Exception
  • Chapter 16 - Rollovers and Portability
    • General Rollover Rules
      • Qualified Plans, 403(b) and 457(b) Plans to Eligible Retirement Plans
      • Plans Not Eligible for Rollover to Traditional IRAs
      • Triggering Events
      • Conditions for Rolling Over to An Eligible Retirement Plan
      • Maximum Amount Eligible for a Rollover or Direct Rollover
      • Rollovers of After-Tax Employee Contributions
      • Eligible Rollover Distributions
      • Distribution Timing of Amounts Rolled Over to Employer Plan
    • Substantially Equal Payments Not Eligible for Rollover
      • Change in Amount of Payments or the Distributee
      • Series of Payments Beginning Before 1993
      • Random or Independent Payments
      • Substantially Equal Payments From a Defined-Contribution Plan
      • 10 Percent Additional Tax
      • Direct Rollover Election Requirement
      • Irrevocable Rollover Designation
    • Withholding Requirements
      • Mandatory 20 Percent Withholding Requirement
      • Additional Withholding by Agreement
      • Withholding on Split Distributions
      • Property Distributions and Mandatory Withholding
      • Net Unrealized Appreciation in Employer Securities
      • Withholding on Distributions Not Eligible for Rollover
      • Responsibility to Withhold
      • Traditional IRA Distributions Exception
      • $200 De Minimis Rule
      • Withholding Requirement on Property Distributions
      • Payment of Withholding to Payor by Participant
      • Distributions of Employer Securities
      • Distributions to Nonspouse Beneficiaries and Alternate Payees
      • Reliance on Adequate Information Provided by the Employee
    • Direct Rollovers
      • Direct Rollover Procedure
      • Splitting Distributions Under the $500 Rule
      • Direct Rollovers to Multiple Recipient Plans
      • Election Deadline and Default Procedure
      • Prohibition Against Employer Impairing a Direct Rollover
      • IRC Section 402(f) Notice
      • Model 402(f) Notices for Qualified Plans and 403(b)s
      • Rollovers and Direct Rollovers by Surviving Spouse Beneficiaries
      • Rollovers and Direct Rollovers by Alternate Payee Under a QDRO
      • The Recipient Plan Is Not Required to Accept the Funds
      • Plan Must Allow for a Distribution
      • IRS Reporting
      • Disqualification Relief for Plans Accepting Direct Rollovers
      • Default Direct Rollovers Upon Involuntary Cashout
      • Responsibilities of Employer and IRA Trustees
      • Disregarding Rollovers for Purposes of the $5,000 Cashout Limit
    • Related Rollover and Direct Rollover Issues
      • Lump-Sum Distributions From Qualified Plans
      • 60-Day Rollover Requirement
      • Exception for Frozen Deposits
      • Exception for Certain Disasters
      • Waiver of 60-Day Rule
      • Distribution of Property
      • Fluctuations in Fair-Market Values
      • Replacing Distributed Property With Cash
    • Net Unrealized Appreciation in Employer Securities Distributed From a Qualified Plan
      • Distributions Other Than Lump Sum
      • Qualifying Lump-Sum Distributions That Include After-Tax Employee Contributions
      • Rolling Over All Securities Except the Portion Representing After-Tax Contributions
      • Stepped-Up Basis of Employer Stock Held Until Death
      • No Rollover and Direct Rollover of Amounts Subject to Required Minimum Distribution Rules
      • Plan Administrator May Make Certain Assumptions
      • Withdrawing More Than the Minimum
      • Direct Rollover Can Be Immediately Rolled Again
      • Participant Loans Treated as Distributions
      • Interest-Only Distributions
      • Annuity Contract Distributed From Qualified Plan
      • Restrictions on Certain Terminated Defined Benefit Plans
    • Rolling Traditional IRAs Into an Employer's Plan
      • Maximum Amount Eligible to Be Rolled Over to an Employer's Plan
    • Summary Charts
      • IRA Rollover Summary Chart
      • Employer Plan Rollover Summary Chart
  • Chapter 17 - State Taxation of Nonresidents
    • Pension Source Act
      • Income Tax
      • Domicile
      • Protected Income
    • Nonqualified Deferred Compensation Plans
      • Nonqualified Plans
    • Mirror Plans
      • Maintained Solely for Providing Benefits in Excess of the Limitations
      • Termination From Service
  • Chapter 18 - Creditor Protection
    • Protection Under ERISA
    • ERISA Covered Plans
    • Bankruptcy Law Protection
      • Property Exempt in Bankruptcy
      • Bankruptcy Protection for Retirement Plan Assets
    • Creditor Protection Under State Law
    • Chapter Examples
  • Chapter 19 - Entity Choice--To Be or Not to Be
    • Comparison of Entities
    • Nontax Factors
      • Formalities of Existence
      • Limited Liability of Owners
      • Ability to Raise Capital
      • Participation in Management
      • Transferability of Interests
    • Tax Factors
      • Tax Aspects Upon Formation
    • Contribution of Property Examples
      • Tax Aspects Upon Sale
      • Taxation as a Separate Entity Versus a Pass-Through Entity
      • Taxation of Owner Compensation
      • Ability to Provide Tax-Favored Fringe Benefits
    • Evaluating the Various Entity Forms
      • The S Corporation
      • The General Partnership
      • The Limited Partnership
      • The Limited Liability Company
      • The Limited Liability Partnership
      • Case Study
    • Conclusion
  • Chapter 20 - Deadlines for Depositing Employee Contributions and Loan Repayments
    • Overview
    • Plan Assets
    • Deposit Deadlines for Elective Deferrals
      • Contributions by Partners
      • Ten-Day Extensions
      • Limitation on Extensions
    • Deposit Deadlines for Nonelective Employee Contributions
    • Deposit Deadlines for Loan Repayments
    • Employer Contribution Deadline
    • Form 5500 Series Treatment of Late Deposits
    • Auditor's Confirmation
    • Prohibited Transaction Implications
  • Chapter 21 - Beneficiary Designations
    • CPA Practices
      • ERISA Preemption
      • ERISA or State Law
    • Definitions
    • About Beneficiary Designations
      • Other Reasons Why a Participant Would Want to Name a Beneficiary
      • Using Trusts
      • Making a Beneficiary Designation
      • Substantial-Compliance Doctrine
      • Default Beneficiary Designation
      • Lost Beneficiary Designation
      • Laws and External Documents That Might Affect a Beneficiary Designation
    • Family Rights That Restrain a Beneficiary Designation
      • Failing to Provide for a Spouse
      • Failing to Provide for a Child
      • Spouse's Rights
    • Marriage
      • The Nature of Marriage
      • Void Marriage
      • Voidable Marriage
      • Ceremonial Marriage
      • Common-Law Marriage
      • Same-Sex Marriage
      • Unusual Marriages
    • Using Agreements to Change a Spouse's Rights
      • Premarital Agreements
      • Marital Agreements
    • Charitable Gifts
    • Death
      • Simultaneous Deaths
      • Presuming the Death of an Absentee
    • Disclaimer
      • Disclaimer by an Agent
      • Tax-Valid Disclaimer
    • Government Claims
      • Medicaid
      • IRS Levy
      • Unclaimed Property
    • Tax-Oriented Estate Planning
      • Retirement Benefit Included in Federal Estate
      • Federal Estate Tax
      • Federal Estate Tax "Exemption"
      • Federal Estate Tax Marital Deduction
      • State Death Taxes
    • Giving Advice About a Beneficiary Designation
      • Financial Planning
      • Reading a Beneficiary Designation Form
      • Answering a Client's Questions
      • Involving Other Professionals
      • Common Mistakes
    • Additional Resources
      • AICPA Resources on Professional Practices
      • Pension Answer Book Series (Aspen Publishers)
      • Resources on Laws That Relate to Beneficiary Designations
  • Chapter 22 - Form 5500 Series Filing Requirements and Audit
    • Waivers for Small Pension Plans
    • Form 5500 Series Filing Requirements
      • Who Must File Form 5500, Annual Return/Reports
      • Pension-Benefit Plan
      • Form 5500 Schedules
      • Limited Plan Reporting
      • Short Plan Year Rule
      • Small Pension Plans
      • Large Pension Plans
      • Arrangements Not Required to File Form 5500
      • Form 5500-EZ
    • Audit Waivers for Small Pension Plans
      • Plans Eligible for Waiver
      • General Conditions for Audit Waiver
      • Qualifying Plan Assets
      • Account Type Requirements
      • Assets in Individual Participant Accounts
      • Fidelity Bond for Nonqualifying Assets
      • Summary Annual Report Disclosures
    • Model Language
    • Form 5500 Reporting Requirements
  • Chapter 23 - Fiduciary Duties to a Retirement Plan
    • What is ERISA
      • Which Plans are ERISA-Governed?
      • Which Plans are Not ERISA-Governed?
      • How Does a Person Become a Fiduciary to a Retirment Plan?
      • Plan Administrator
      • Certified Public Accountant
    • Appointing a Fiduciary
      • What Are a Fiduciary's Duties?
      • What Is a Fiduciary's Standard of Care?
      • How Can a Fiduciary Protect Against Liability?
      • Managing Conflicting Interests
      • What Should a Fiduciary Do If the Others Make A Decision That Is Imprudent?
      • Indemnification Against Liability
    • Using Plan Assets to Pay for Necessary Services
      • Paying Fees From Plan Assets
      • Allocating Plan Expenses
    • Fiduciary Duties for a Summary Plan Description
    • Trusts for a Retirement Plan
      • Which Persons Are Eligible To Serve As Trustee?
      • Fiduciary Duties of a Trustee
      • Trustee's Resignation Alone Does Not Escape Any Potential Liability
    • Selecting Investments
      • How Should a Fiduciary Select Investments for a Retirement Plan?
      • What is a Fiduciary's Investment Responsibility for an ERISA Plan?
      • Making Investment Decisions
    • Participant-Directed Investment
      • Gaining the Protection of ERISA Section 404(c)
      • What is Required to "Comply" with ERISA Section 404(c)?
      • What Constitutes a Broad Range of Investments?
      • Plan Communications About Investments
      • Procedures for Participant-Directed Investment
      • Communicating About a Blackout
    • Prompt Contributions
      • How Promptly Must an Employer Send Participant Contributions?
      • What Are the Consequences of Late Contributions?
      • What May an Employer Do to Repair the Harms of a Late Contribution?
      • Reporting Late Contributions
    • Records Retention
    • Resources
      • Government Resources
      • AICPA Resources on Professional Practices
      • Resources on Laws Concerning Fiduciary Duties
  • Chapter 24 Uniformed Services Employment and Re-Employment Rights
    • Overview of USERRA
    • Pension Benefits Under USERRA
    • Healthcare and COBRA Benefits Under USERRA
    • Required Notice
    • Conclusion
  • Chapter 25 Missing Participants, Beneficiaries, and Alternate Payees
    • General Rules
      • Fiduciary Duties and Missing Participants in Terminated Defined Contribution Plans
      • Fiduciary Responsibilities
      • Steps for Locating a Missing Participant
    • Plan Administrative Policy
      • Locating Missing Participants
      • Cash-Out Provisions
      • Forfeiting Balances
      • Escheating Balances
      • Annuity Option
      • Alternative Arrangements
      • Tax Withholding and Early Distribution Penalties
      • 100 Percent Withholding Not an Option
    • IRS Letter Forwarding Program
      • Humane Purpose
      • Letter Forwarding Procedure
      • Forwarding Letters to 49 or Fewer Individuals
      • Sample Cover Letter to the IRS
      • Sample Letter Directed to Missing Participants
      • Forwarding Letters to 50 or More Individuals
      • Contents xxxiii
      • Social Security Administration Letter Forwarding Program
      • Pension Benefit Guaranty Corporation Missing Participant Programs
      • Private Locator Services
      • Internet Resources
  • Chapter 26 Nonqualified Deferred Compensation
    • Introduction to Nonqualified Deferred Compensation
    • Section 409A of the Internal Revenue Code
    • Fundamental Doctrines and Theories of Tax
      • Reasonable Compensation
      • Constructive Receipt
      • Economic Benefit Doctrine
      • Assignment of Income Doctrine
      • Cash Equivalency Doctrine
      • Transfer of Property
      • Dominion and Control
    • Deferred Compensation
    • Deferred Compensation Under Section 409A
      • Initial Deferral Elections
      • Subsequent Deferral Elections
      • Distribution Requirements
      • IRS Compliance Resolution Program for Section 409A
    • Top-Hat Plan
      • Primarily
      • Select Group
      • Management
      • Highly Compensated
      • Ambiguity in Plan Terms
      • Reason for ERISA Exemption for Top-Hat Plans
      • Whether a Plan Satisfies the Purpose and the Description of a Top-Hat Plan
      • Cases Addressing the Elements of a Top-Hat Plan
  • Appendix A Charts and Tables
  • Appendix B Plan Illustrations
  • Appendix C IRA Contribution Worksheets for Recipients of Social Security
  • Appendix D Indexing of Employee Benefits and Related Limits

Excerpts

SIMPLE Plans

A savings incentive match plan for employees (SIMPLE) is a simplified retirement plan for small businesses that allows employees to make elective pretax contributions and requires employers to make matching or, alternatively, nonelective contributions. A SIMPLE may be part of a 401(k) plan or it may be used as an individual retirement account or annuity (IRA). When it is used as an IRA, it is known as a SIMPLE IRA. See comprehensive illustrations in Appendix A, “Plan Feature Comparison Charts.”

Contributions are limited to employee elective contributions and required employer matching contributions or nonelective contributions. No other contributions are permitted, except rollovers from another SIMPLE IRA.

SIMPLE IRA Plans

A SIMPLE IRA plan is an IRA that satisfies several additional rules and also includes a qualified salaryreduction arrangement.1 The plan under which contributions are made is called a SIMPLE to distinguish it from a SIMPLE arrangement established in the form of a qualified 401(k) plan (called a 401(k) SIMPLE), which are separately discussed below. When established in IRA form, many of the qualified plan rules do not apply.

Each employee decides whether to contribute and in that way reduce the amount of his or her compensation for tax purposes, as well. Contributions are made by the employer to an IRA, called a SIMPLE IRA, to which the only contributions that may be made are contributions under a SIMPLE IRA plan and rollovers or transfers from another SIMPLE IRA. No other types of contributions are permitted to be made under a SIMPLE.

Each contributing employee may choose whether to have the employer make payments as contributions under the SIMPLE IRA plan or to receive these payments directly in cash.

Employer Eligibility

A SIMPLE-IRA plan may be established by an eligible employer but generally must be the only plan maintained by that employer. The following types of business entities are eligible to establish a SIMPLE:

  • Corporations
  • Partnerships
  • S corporations
  • Sole proprietors (individuals who own the entire interest in an unincorporated trade or business operated for profit)
  • Limited liability companies (LLCs)
  • Limited liability partnerships (LLPs)
  • Nonprofit and government entities

The term plan includes a qualified plan or annuity, a governmental plan, a tax-sheltered annuity or custodial account, a simplified employee pension (SEP), or a simple retirement account.

Example. Mega Incorporated and Merger Incorporated are both owned by Buddy. The entities are located in different states. They each adopt a separate SIMPLE. Notwithstanding that both Mega and Merger are treated as a single employer, the adoption of a second plan invalidates the adoption of both SIMPLE plans.

SIMPLE IRA Requirements

The general requirements for a SIMPLE established in the form of an IRA are the following:

  1. The employer must be an eligible employer for the calendar year. Although a tax-exempt employer may not maintain a salary-reduction or elective SEP (SARSEP), it may establish a SIMPLE. A governmental employer may also establish a SIMPLE (if allowed by state enabling statutes).
  2. The only contributions permitted are contributions under a qualified salary-reduction arrangement.
  3. All contributions must be fully vested.
  4. Eligible employees must have the option to participate.
  5. Special administrative requirements must be satisfied (for example, each eligible employee must be notified at least 60 days before the election period that he or she may make or change a salaryreduction election and whether he or she may elect the financial institution that will serve as trustee or custodian of the plan).

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