On April 16, 2024, the IRS issued Notice 2024-35, which extends the relief that the IRS has twice previously granted plan sponsors with respect to certain โspecifiedโ (see below) required minimum distributions (RMDs) taken from qualified retirement plans, including 401(k) plans.
The Notice defines a โspecifiedโ RMD as any distribution that, under the proposed regulations issued in February 2022 (see our blog ), would be required to be made in 2024 to:
Generally stated, Notice 2024-35 provides that โspecifiedโ RMDs, if not paid in 2024:
Finally, Notice 2024-35 also states that final regulations covering RMDs are anticipated to apply for calendar years beginning on or after January 1, 2025 (pushed back from โat least 2023. In the meantime, plans may continue to rely on a good faith interpretation of the proposed regulations that were issued in 2022.
NOTE:
This article is intended as a general overview of Notice 2024-35 as it affects most 401(k) plans and is not meant to offer a comprehensive analysis of the Notice or its effect on other types of qualified retirement plans and/or individual retirement accounts (IRAs). It is meant to be read in conjunction with our previous blog entitled โ401(k) Current Events: IRS Issues Limited Relief for Certain Required Minimum Distributions That Were Due in 2021, 2022.โ As always, be sure to consult with your own ERISA attorney or other professional advisor for individualized advice with respect to your planโs unique situation.
The information and content contained in this blog post are for general informational purposes only, and does not, and is not intended to, constitute legal advice. As always, for specific questions concerning your 401(k) retirement plan, please consult your own ERISA attorney or professional advisor.