Institute Comments on IRS Required Minimum Distributions ProposalWashington, DC, April 17, 2001 - The Institute submitted a comment letter on the Internal Revenue Service's proposed regulations on required minimum distributions. The letter is divided into three sections-IRA reporting requirements, transition issues and additional issues needing clarification. In the IRA reporting requirements section, the Institute recommends that the Service adopt an alternative approach to the new reporting requirement contained in the proposed regulations. The letter discusses the problems that IRA trustees would face in reporting annual RMD amounts to their shareholders. The Institute recommends that the Service consider two alternative reporting approaches. Under the first alternative, IRA trustees would be required to provide taxpayers aged 70½ and older and beneficiaries with information designed to notify them of the RMD rules and how to calculate RMD amounts. The Institute also recommends that IRA trustees be required to provide the Service with date of birth information for all of their IRA owners to enable the Service to determine who is subject to the RMD rules. The Institute suggests that the IRS develop RMD "calculators" or worksheets to help taxpayers subject to the RMD rules calculate their annual RMDs. Appendix B of the letter includes a sample RMD worksheet. Under the second alternative to the proposed reporting requirement, the Service would add date of birth information to the Form 1040, and include a worksheet to help the taxpayer calculate his RMD for the year. The letter also addresses several "transition issues" that concern the operation of the regulations during the period of time between the effective date of the proposed regulations and when the rules are finalized. The Institute requests that the Service issue guidance on these issues as soon as practicable. These transition issues include: - how beneficiaries currently in pay status elect into the new rules;
- the effect of the model amendment on distributions made prior to the date of adoption;
- the effect of the model amendment on prototype plans; and,
- the effect of section 411(d)(6) on the proposed regulations.
Finally, the letter addresses additional issues needing clarification including questions regarding: individuals currently taking distributions under the 1987 proposed regulations; - RMD calculations;
- rollovers and transfers; and
- other miscellaneous issues.
For each, the Institute identifies the issue and make a specific recommendation.
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