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December 3, 2021
In a recent Issue Snapshot about how the annual limit on retirement plan contributions under Section 415(c) of the Internal Revenue Code (“Code”) applies to 403(b) plans, the IRS...
November 3, 2021
The IRS Tax Exempt and Government Entities (TE/GE) Division has oversight responsibilities for employee plans, including retirement plans, IRAs, and related trusts.  TE/GE has a...
October 25, 2021
The IRS reminds retirement plan sponsors of rules that, if broken, can result in loan amounts being deemed distributions.
October 1, 2021
If a 403(b) plan participant also sponsors a plan to which he contributes, the plans must satisfy the annual additions limitation on an aggregate basis.
December 16, 2020
To embed, copy and paste the code into your website or blog: Presented below is our summary of significant Internal Revenue Service (IRS) guidance and relevant tax matters for the week of December 7 – December 11, 2020... December 7, 2020: The IRS released TD 9937 related to rollover rules for qualified plan loan offset amounts. December 9, 2020: The IRS issued Notice 2020-86 providing guidance on sections 102 and 103 of the SECURE Act with respect to safe harbor plans. December 9, 2020: The ...
December 15, 2020
Legal Disclaimer You are responsible for reading, understanding and agreeing to the National Law Reviews (NLR’s) and the National Law Forum LLCs Terms of Use and Privacy Policy before using the National Law Review website. The National Law Review is a free to use, no-log in database of legal and business articles. The content and links on www.NatLawReview.com are intended for general information purposes only. Any legal analysis, legislative updates or other content and links should not b...
December 11, 2020
To print this article, all you need is to be registered or login on Mondaq.com. IRS Issues Final PFIC Ownership Regulations The IRS has issued final regulations (TD 9936) regarding how to determine if a foreign corporation is a passive foreign investment company (PFIC) and the application and scope of certain rules that determine whether a U.S. person that indirectly holds stock in a PFIC is treated as a shareholder of the PFIC. On July 11, 2019, the IRS published prop...