The AICPA made recommendations to Treasury and the IRS on their proposed regulations to implement a SECURE 2.0 provision which requires that catch-up contributions made to retirement plans by certain eligible participants must be designated as Roth contributions.
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AICPA Comments on Proposed Regulations to Section 603 of SECURE 2.0 Act
Jul 01, 2025 · 253.1 KB Download
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Download the AICPA Comments on Proposed Regulations to Section 603 of SECURE 2.0 Act
File name: AICPA Comments Prop Regs Catch-Up Contributions.pdf
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