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WASHINGTON - The Treasury Department and the Internal
Revenue Service have issued proposed regulations that
provide employers sponsoring single-employer defined
benefit plans with guidance regarding the measurement of
pension assets and liabilities under the new funding
rules enacted as part of the Pension Protection Act of
2006.
These proposed regulations, together
with proposed regulations related to mortality issued in
May, proposed regulations relating to funding balances
and funding-based benefit limitations issued in August,
the yield curve guidance issued in October, and guidance
on lump sum determinations issued in November will
assist plan sponsors in determining the contribution
requirements that apply to their defined benefit plans
for the first year that the new funding rules apply.
Although the new funding rules are
generally effective for plan years beginning on or after
Jan. 1, 2008, these regulations are proposed to be
effective for plan years beginning on or after Jan. 1,
2009. However, plan sponsors can rely on these proposed
regulations for purposes of satisfying the requirements
of section 430 for plan years beginning in 2008.
The Treasury Department and the
Internal Revenue Service intend to issue guidance in the
near future indicating that the proposed effective date
for these regulations should also apply for the proposed
regulations relating to employer-specific mortality
tables issued in May and the proposed regulations
related to funding balances and funding based-benefit
limitations under sections 430(f) and 436 issued in
August. Although final regulations will not apply to
plan years beginning before January 1, 2009, plan
sponsors may also rely on those proposed regulations for
purposes of satisfying the statutory requirements for
plan years beginning in 2008.
On Dec. 19, 2007, the Senate passed
an amended version of the Pension Protection Technical
Corrections Act of 2007. These proposed regulations,
like the earlier proposed regulations, do not reflect
any proposed technical corrections. Nor do they include
any reflection of the proposed modification to the rules
for determining asset values. After technical
corrections are enacted, the regulations will be
modified to take into account the enacted provisions.


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