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430 and 436 Regulations - Case Studies to Prepare for 2010 Valuations. Philadelphia Actuaries Club February 16, 2010. John Markley, Markley Actuarial Services Enrolled Actuary Associate of the Society of Actuaries Member of the American Academy of Actuaries
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430 and 436 Regulations - Case Studies to Prepare for 2010 Valuations Philadelphia Actuaries Club February 16, 2010
John Markley, Markley Actuarial Services Enrolled Actuary Associate of the Society of Actuaries Member of the American Academy of Actuaries Fellow of the Society of Pension Actuaries Carol Zimmerman, Internal Revenue Service Fellow of the Society of Actuaries NOT FOR PENALTY PROTECTION: To comply with IRS requirements (Treasury Circular 230), we inform you that unless otherwise expressly stated above, any US federal tax advice contained in this communication (including any attachments) is not intended or written to be used, and cannot be used, for the purpose of (i) avoiding penalties under the Internal Revenue Code or (ii) promoting, marketing or recommending to any other party any transaction or matter addressed in this communication. Speakers
Introduction IRS Issues Final 430, 436 Regs – 10/15/09 IRS EP Phone Forum Case Studies - Funding Rules Case Studies - Benefit Restrictions Where To Go From Here? Agenda - February 16, 2010
There have been numerous presentations regarding 430 and 436 Regulations, including EP Phone Forum on January 26, 2010 We are going to move onto Case Studies and preparing for 2010 valuations Our presentation is intended to provide background for preparing 2010 valuations even beyond 430 and 436 Final regulations Introduction
Unpredictable Contingent Event – Assumption needed for the probability of this occurring, even if it has not Limited number of plans, but big impact on the liability Assumption may be zero, if appropriate Need to get information from Plan sponsors to confirm assumption Does computer software support a non zero assumption? Case Study #1 – Funding Rules
Selection of Interest Rates for the 2010 Valuation Many Plans used October 2008 spot yield curve for 2009 calendar year valuation For 2010 Plan year, can switch back to segment rates with up to 4 month look-back No look-back available for Spot yield curve IRS approval NOT required for switch from default election after 2010 Strategy could be to use default election (segment, no look back) for 2010 to allow some flexibility for 2011 and beyond Case Study #2 – Funding Rules
Selection of Asset Valuation Method for the 2010 Valuation Many Plans used asset smoothing for 2009 valuation For 2010, asset smoothing will likely result in use of 110% of asset value However, no free ride to switch for 2011, so it may be appropriate to consider market value for 2010 Case Study #3 – Funding Rules
Does this Plan have required quarterly contributions for 2009? • Can the transition rules (less than 100%) be used to determine if quarterly contributions are required? Answer: No • Do assets have to be reduced for COB and PFB? Answer: Yes • Quarterlies are required! • Have proper quarterly elections been made for 2009? Case Study #4 – Funding Rules
Elections must be made by Plan sponsor for Interest Rates, Carryover Balance and Prefunding Balance Standing Elections can be made to offset minimum required contributions, but not quarterlies (additional guidance is coming) 2009 Schedule SB has a process for “late” elections for quarterlies Case Study #4 – Funding Rules Continued
Allocation of Benefits Final Regulations “fixed” issues with benefits not accrued in a pattern related to service or with the accrued benefit Example of $10,000 death benefit Benefit in excess of accrued benefit is allocated over years of service to date through the expected date of decrement Case Study #5 – Funding Rules
Are small amount lump sums permitted? Plan has AFTAP between 60% and 80% Lump sums payments are limited Small amount lump sums are permitted Is small amount $5,000 or $1,000? Guidance is forthcoming Case Study #6 – Benefit Restrictions
Bifurcation of Benefits Plan AFTAP is between 60% and 80% 50% of benefit can be paid in a lump sum Apply minimum present value rules to each portion separately Also applies to Social Security leveling option Case Study #7 – Benefit Restrictions
Plan Amendments Amendments not effective if AFTAP is less than 80% Section 436 contribution to make amendment effective AFTAP between 60% and 80%, full cost AFTAP over 80%, amount needed for 80% Not permitted if AFTAP < 60% Case Study #8 – Benefit Restrictions
Plan Amendments Amendment becomes automatically effective later in year if permitted by AFTAP Amendment not based on compensation may be an exception Case Study #8 – Benefit Restrictions - Continued
Ordering Rules for credit balances Material changes in AFTAP and recertification Frequently Asked Questions
430 and 436 Regulations - Case Studies to Prepare for 2010 Valuations Any questions?