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Self Certification Process for 60-Day Waiver

The IRS has released new guidance designed to allow qualifying individuals to self certify eligibility for the 60 day Rollover Waiver.

Document Excerpt

This revenue procedure provides guidance concerning waivers of the 60-day rollover requirement contained in §§ 402(c)(3) and 408(d)(3) of the Internal Revenue Code (“Code”). Specifically, it provides for a self-certification procedure (subject to verification on audit) that may be used by a taxpayer claiming eligibility for a waiver under §§ 402(c)(3)(B) or 408(d)(3)(I) with respect to a rollover into a plan or individual retirement arrangement (“IRA”). It provides that a plan administrator, or an IRA trustee, custodian, or issuer (“IRA trustee”), may rely on the certification in accepting and reporting receipt of a rollover contribution. It also modifies Rev. Proc. 2003-16, 2003-4 I.R.B. 359, by providing that the Internal Revenue Service may grant a waiver during an examination of the taxpayer’s income tax return. An appendix contains a model letter that may be used for self-certification.

Link
https://www.irs.gov/pub/irs-drop/rp-16-47.pdf



This post first appeared on Benefits Forward, please read the originial post: here

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Self Certification Process for 60-Day Waiver

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