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Correcting 401(k) plan disqualification problem--self-correction, etc. (or, as Oliver twist put it: "please sir, I want some more.").(Internal Revenue Code)
September 1, 2004... Tpe IRS has a program that, happily, provides a means for the administrator of a 401(k) plan to correct problems that might otherwise cause the plan to fail to be qualified for the favorable tax treatment generally afforded 401(k) plans under...
Revenue Ruling 2002-46 update: deductions of contributions to a 401(k) plan attributable to compensation paid after year end.(Internal Revenue Code)
September 1, 2004... The IRS updated Revenue Ruling 2002-46 effective September 24, 2004 with a Coordinated Issue Paper which addresses the deduction of contributions to an Internal Revenue Code (the Code) Section 401(k) plan attributable to compensation paid...
Qualified domestic relations orders.(tax law)
September 1, 2004... Generally, a participant's interest in a qualified plan, subject to ERISA, cannot be assigned to a third party nor can parties with claims against the participant attach or place a lien on benefits. Federal tax liabilities are the exception...