The ERISA Industry Committee (ERIC) is pleased to respond to the request by the Internal Revenue Service (“IRS”) for comments regarding the provisions contained in the proposed Update to Minimum Present Value Requirements for Defined Benefit Plan Distributions (the “proposed regulations”) and to request the opportunity to testify at the March 7, 2017 hearing on this subject. Our testimony will address the points made in this comment letter
Topic Archives:
ERIC Comments on Oregon Retirement Savings Plan
The ERISA Industry Committee (“ERIC”) is pleased to respond to the request of the Oregon State Treasury for comments regarding rules on the Oregon State Retirement Savings Plan (“Proposed Rule”)
Two Comment Letters Filed – PEP & Oregon
ERIC Submits Comments to IRS and Treasury on Pension Equity Plans
The ERISA Industry Committee (“ERIC”) is pleased to respond to the request of the U.S. Treasury Department and the Internal Revenue Service (collectively, the “Agencies”) for comments regarding Notice 2016-67 (the “Notice”), which addresses the applicability of Code § 411(b)(5)(B)(i) to “implicit interest” pension equity plans
Telehealth Newsletter – Thirty-seveth Edition
Telehealth Newsletter – Thirty-sixth Edition
Telehealth Newsletter – Thirty-fifth Edition
Telehealth Newsletter – Thirty-fourth Edition
ERIC Works to Alleviate Burden for Large Employers after Loss of Determination Letter Program
ERIC is working with the U.S. Department of the Treasury and IRS to assist in enhancing avenues for plan document compliance in the wake of the discontinuance of the IRS determination letter program for on-going individually designed plans