IRA distributions based on joint life expectancies and AFR will be "substantially equal periodic payments". (Employee Benefits and Pensions).T plans to retire and wants to start receiving distributions from IRAs 1, 2 and 3, beginning in 2001. T will attain age 52 in 2001. He wants to avoid the additional 10% tax, imposed under Sec. 72(0(1) on early distributions, by using the exception provided in Sec. 72(t)(2)(A)(iv) for "substantially equal periodic payments Substantially equal periodic payments (SEPP) A method of distribution from IRA account assets that under certain conditions is not subject to the IRS's 10% premature withdrawal penalty for those under age 59-1/2. ." An annual distribution amount for 2001 is calculated by amortizing the aggregated account balances of IRAs 1, 2 and 3 as of Dec. 31, 2000, over the number of years equal to the joint and last survivor life expectancy Life Expectancy 1. The age until which a person is expected to live. 2. The remaining number of years an individual is expected to live, based on IRS issued life expectancy tables. for T and his wife, obtained from Table VI of Kegs. Sec. 1.72-9 (as set forth in Table II of IRS An abbreviation for the Internal Revenue Service, a federal agency charged with the responsibility of administering and enforcing internal revenue laws. Publication 590), using an interest rate of 6.36%. The same annual distribution amount will be distributed in subsequent years. All distributions will be taken from one or more of IRAs 1, 2 or 3. Analysis Sec. 408(d) provides that amounts paid or distributed from an individual retirement plan must be included in gross income by the payee The person who is to receive the stated amount of money on a check, bill, or note. payee n. the one named on a check or promissory note to receive payment. PAYEE. The person in whose favor a bill of exchange is made payable. or distributee in the manner provided under Sec. 72. Sec. 72 provides rules for determining how amounts received as annuities, endowments or life insurance contracts and distributions from qualified plans should be taxed. Sec. 72(t)(1) provides for the imposition of an additional 10% tax on early distributions from qualified plans, including IRAs. The additional tax is imposed on that portion of the distribution includible in gross income. Under Sec. 72 (t)(2)(A)(iv) , Sec. 72(t)(1) does not apply to distributions that are part of a series of substantially equal periodic payments (not less frequently than annually) made for the life (or life expectancy) of the employee or the joint lives (or joint life expectancies) of such employee and his beneficiary. Under Sec. 72(t)(4), if the series of payments is subsequently modified (other than by reason of death or disability,) before the later of (1) the close of the five-year period beginning with the date of the first payment and (2) the employee's attainment of age 59 1/2, the taxpayer's tax for the first tax year in which such modification occurs is increased by an amount determined under regulations, equal to the tax that would have been imposed except for Sec. 72(t)(2)(A)(iv), plus interest for the deferral deferral - Waiting for quiet on the Ethernet. period. Regs. Sec. 1.72-9 tables are to be used in connection with computations under Sec. 72 and the regulations thereunder. Included in this section are life expectancy tables for one life (Table V) and for joint life and last survivor expectancies for two lives (Table VI). In the absence of regulations on Sec. 72(t), Notice 89-25 provides guidance on the exception to the tax on premature distributions Premature distribution A distribution from an IRA before the owner reaches age 59-1/2. Generally, a 10% penalty tax is owed on such a distribution. Also known as an early distribution or an early withdrawal. provided under Sec. 72(t)(2)(A)(iv), in question-and-answer form. Q&A-12 of the notice provides three methods for determining substantially equal periodic payments for purposes of Sec. 72(t)(2)(A)(iv). Two of these methods involve the use of an interest rate assumption that must be an interest rate that does not exceed a reasonable interest rate on the date payments start. Proposed Methodology The proposed method for determining periodic payments described in the ruling request is to calculate an end-of-year annual distribution amount for 2001 by amortizing the total of the aggregated account balances of IRAs 1, 2 and 3 as of Dec. 31, 2000 over a term certain, equal to the joint and last survivor life expectancy for T and his wife, obtained from Table VI of Regs. Sec. 1.72-9 (as set forth in Table II of Appendix E in IRS Publication 590), using the ages attained by T and his wife in 2001, and an interest rate equal to 6.36% (110% of the annual long-term applicable Federal rate used for Sec. 1274(d) purposes, in effect for January 2001). The same annual distribution amount will be distributed in subsequent years. All distributions come from one or more of IRAs 1, 2 or 3, and only from these IRAs. Conclusion The life expectancy and interest rate used are such that they do not result in the circumvention CIRCUMVENTION, torts, Scotch law. Any act of fraud whereby a person is reduced to a deed by decree. Tech. Dict. It has the same sense in the civil law. Dig. 50, 17, 49 et 155; Id. 12, 6, 6, 2; Id. 41, 2, 34. Vide Parphrasis. of the requirements of Sec. 72(t)(2)(A)(iv) and (t)(4) (through the use of an unreasonable life expectancy or an unreasonably high interest rate). Accordingly, the proposed method of determining periodic payments satisfies one of the methods described in Notice 89-25 and results in substantially equal periodic payments within the meaning of Sec. 72(t)(2) (A)(iv). Such payments will not be subject to the additional tax of Sec. 72(t), unless the requirements of Sec. 72(t)(4) are not met. IRS LETTER RULING 200131035 (5/11/01) IN THIS DEPARTMENT Employee Benefits & Pensions * IRA Ira, in the Bible Ira (ī`rə), in the Bible. 1 Chief officer of David. 2, 3 Two of David's guard. IRA, abbreviation IRA. distributions based on joint lives and AFR AFR African AFR Australian Financial Review AFR Afrikaans (South African language) AFR Air France (ICAO code) AFR Alternate Frame Rendering AFR Applicable Federal Rate as substantially equal periodic payments: LTR LTR - Langage Temps-RĂ©el. (French for "real-time language") A French predecessor to Ada, LTR is Modula-like with a set of special-purpose real-time constructs based on an event model. It was mentioned in the reference below. ["An Overview of Ada", J.G.P. 200131035; p. 792. Estates, Trusts & Gifts * Valuation formula clause and gift tax: FSA FSA Financial Services Authority FSA Food Standards Agency (UK) FSA Farm Service Agency (USDA) FSA Financial Services Agency (Japan) 200122011; p. 793. Procedure & Administration * Eligibility of nonelecting spouse's trust to challenge innocent-spouse relief: Hale Exemption Trust Exemption Trust A trust whose purpose is to drastically reduce or eliminate federal estate taxes for a married couple's estate. This type of estate plan sets up an irrevocable trust that will hold the assets of the first spouse to die. , TC Memo; p. 796. * Zeroed-out return: SCA (Single Connector Attachment) An 80-pin plug and socket used to connect peripherals. With a SCSI drive, it rolls three cables (power, data channel and ID configuration) into one connector for fast installation and removal. 200127045; p. 796. The reports of cases, rulings, etc., herein, except for the Reflections, are edited versions of the relevant court opinion, published ruling, etc. * This development, concerning related matters, is covered in the Reflections to the report of the principal item. |
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