Just in: Expanded access to coronavirus-related distributions
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Many people have suffered a financial loss as a result of COVID-19. Now, more may be eligible for coronavirus-related distributions (CRDs) from retirement accounts.
A CRD is a distribution made from an eligible retirement plan. It can be taken by an IRA account owner or by a participant in a qualified employer plan, if the plan permits. With a new IRS Notice, it’s now clear that a CRD can be used for health or economic reasons when an individual or someone in the individual’s household* is affected by COVID-19.
To apply, people must self-certify that they meet one of the qualifying CRD conditions. A “qualified individual” is any individual, their spouse or their dependent who has received a diagnosis of COVID-19 or experienced adverse financial consequences as a result of the pandemic. In previous regulatory guidance, financial hardship was tied to the individual alone.
A CRD withdrawal can be spread pro rata across three years for federal tax purposes. For example, a $30K CRD taken in 2020 can be treated as three distinct withdrawals of $10K each for tax years 2020, 2021 and 2022.
A withdrawal can also be rolled over (repaid). If it’s placed in a traditional IRA or qualified plan at any time until December 31, 2022, it’s not considered taxable income. Any income that was included in a prior tax year filing can be considered exempt by filing an adjusted tax return; the repaid amount can be used to offset the CRD amount included in a future tax year (2021 or 2022).
The CARES Act also allows people to borrow a higher amount from qualified plans with loan provisions. Loans are normally limited by regulation to the lessor of $50,000 or 50% of the participant’s vested account balance. In 2020, qualified plans can offer an increased maximum loan amount to the lesser of $100,000 or 100% of the vested account balance. And plan sponsors can elect to delay loan repayments on new and outstanding loans in 2020.
As with the CRD, changes in loan provisions are elective for qualified plans. A plan sponsor can implement either or both options before amending the plan document and has until the end of 2022 (2024 for a governmental 457(b) plan) to make the amendment.
Bottom line: More people may now qualify for coronavirus-related distributions.
Investors with access to other resources should consider using them prior to using a CRD or loan to withdraw or borrow from retirement assets. But if someone does need to tap into their retirement assets, the CARES Act provides a flexible distribution option and increased loan provision available only in 2020.