Revenue Ruling 2008-40 discusses the tax treatment of amounts from a qualified trust transferred to a nonqualified foreign trust. The ruling discusses two fact patterns including one where the transferee plan satisfies the requirements of section 1165(a) of the Puerto Rico Code and Section 1022(i)(1) of ERISA.
Treatment of Transfers from a Qualified Trust to Foreign Trust
Thursday, July 24th, 2008 |
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