The IRS recently issued an announcement that will impact
taxpayers’ use of IRA rollovers. An IRA
rollover is technically a receipt of funds from one IRA followed by a
contribution to another IRA within the 60-day period beginning the day after
the date of receipt. If the rollover is
accomplished within the 60-day period, the receipt of the IRA funds is not
taxable. If the contribution to the
second IRA occurs after 60 days, the receipt of the IRA funds is considered a
taxable distribution (with a 10% early withdrawal penalty if the owner is
younger than 59 ½) and the contribution to the second IRA will generally not be
permitted and will be counted as an excess contribution subject to
penalties. A similar result occurs if
more than one rollover is made within 12 months. The 12-month period is measured beginning on
the date of receipt.
The 12 month provision discussed in IRC §408(d)(3) has
been interpreted by IRS Publication 590 and Prop. Reg. 1.408-4(b)(4)(ii), which
state that the once-every-12 months IRA rollover provision be applied on an
IRA-by-IRA basis. On January 28, 2014, the
Tax Court ruled in Bobrow v. Commissioner, T.C. Memo. 2014-21, that the
once-every-12 months IRA rollover provision applies at the taxpayer level and
not at the IRA level. This decision
greatly disrupts the commonly accepted interpretation of the tax law. On March 20, 2014, the IRS issued
Announcement 2014-15 stating that it will follow the Tax Court’s decision and
revise Publication 590 and the regulation.
The announcement grants transition relief applying the former
interpretation to IRA rollovers made through December 31, 2014, to give IRA
owners and custodians time to change to the new procedure.
A direct transfer by one IRA custodian to another IRA
custodian is termed a direct “trustee to trustee” transfer and is not
considered a rollover for this purpose.
Therefore, the practical implication of this new ruling is that taxpayers
should move IRA funds by arranging for the direct transfer from one institution
to another institution, rather than receiving the funds and then depositing the
funds within the 60-day period.
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