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IRS Issues FAQs Regarding Long-Term Part-Time Employees in 403(b) Plans

October 15, 2024

The IRS recently issued Notice 2024-73, which provides much-needed guidance on long-term, part-time (“LTPT”) employees in ERISA-governed 403(b) retirement plans. Following passage of the SECURE 2.0 Act, an employee is generally considered a LTPT employee if he or she works at least 500 hours per year for two consecutive years. 

Among other items, the Notice sets forth the IRS position on the following key issues on which the benefits community has been seeking clarification:

The guidance in the Notice is effective for plan years beginning after December 31, 2024. Importantly, the Notice also provides that a previously promulgated proposed regulation relating to the handling of LTPT employees in 401(k) plans, once finalized, will apply no earlier than plan years beginning on or after January 1, 2026 (i.e., a two-year extension). 

If you have any questions regarding these issues, please reach out to the authors or your Miller Canfield attorney. 

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