Contact: Shirley Twillman, 202-434-9220, email@example.com.
Congress should consolidate and simplify the types of tax-favored retirement plans now available to small business owners in order to minimize the cost and administrative burden imposed by the plans, the American Institute of CPAs (AICPA) said in written testimony submitted for the record of the House Small Business Committee’s Oct. 2 hearing entitled The Challenge of Retirement Savings for Small Employers.
“When a small business grows and begins to explore options for establishing a retirement plan, the alternatives, and the various rules, can become overwhelming,” Jeffrey A. Porter, chair of the AICPA Tax Executive Committee, stated in the testimony.
“There are too many options that businesses need to consider before deciding which plan is appropriate for them,” he said. “Some plans are only available to employers with a certain number of employees, whereas other plans require mandatory contributions or create significant administrative burdens. Such administrative burdens include annual return filings, discrimination testing, and an extensive list of notice requirements with associated penalties for failures and delays in distributing such notices to employees.”
“To determine which plan is right for their business,” Porter wrote, “owners must consider their cash flow, projected profitability, anticipated growth of the work force, and expectations by their employees and co-owners. The choices are overwhelming, and many are too complex or expensive for small business owners.”
Porter identified the following possible measures for simplifying the number and complexity of the various types of retirement plans:
- Create a uniform employee contributory deferral type plan.
- Eliminate the nondiscrimination tests based on employee pre-tax and Roth deferrals for 401(k) plans.
- Create a uniform rule regarding the determination of basis in distributions.
- Create a uniform rule of attribution.
- Create a uniform definition for terms to define owners.
- Eliminate the required minimum distribution rules.
- Create uniform rules for early withdrawal penalties.
For more information, please contact Shirley Twillman at firstname.lastname@example.org or 202.434.9220.