[Congressional Bills 117th Congress]
[From the U.S. Government Publishing Office]
[H.R. 8331 Introduced in House (IH)]
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117th CONGRESS
2d Session
H. R. 8331
To amend the Internal Revenue Code of 1986 to temporarily suspend
required minimum distribution rules for certain retirement plans and
accounts.
_______________________________________________________________________
IN THE HOUSE OF REPRESENTATIVES
July 12, 2022
Mr. Davidson introduced the following bill; which was referred to the
Committee on Ways and Means
_______________________________________________________________________
A BILL
To amend the Internal Revenue Code of 1986 to temporarily suspend
required minimum distribution rules for certain retirement plans and
accounts.
Be it enacted by the Senate and House of Representatives of the
United States of America in Congress assembled,
SECTION 1. TEMPORARY WAIVER OF REQUIRED MINIMUM DISTRIBUTION RULES FOR
CERTAIN RETIREMENT PLANS AND ACCOUNTS.
(a) In General.--Section 401(a)(9)(I) of the Internal Revenue Code
of 1986 is amended--
(1) in clause (i), by striking ``2020'' and inserting
``required minimum distribution suspension calendar year'',
(2) in clause (ii)--
(A) in the heading, by striking ``in 2020'' and
inserting ``in a required minimum distribution
suspension calendar year'',
(B) by striking ``in calendar year 2020'' and
inserting ``in a required minimum distribution calendar
year'', and
(C) in subclause (II), by striking ``January 1,
2020'' and inserting ``such calendar year'',
(3) in clause (iii)(II), by inserting ``or calendar year
2022'' after ``calendar year 2020'', and
(4) by adding at the end the following new clause:
``(iv) Required minimum distribution
suspension calendar year.--For purposes of this
subparagraph, the term `required minimum
distribution suspension calendar year' means
calendar year 2020 and calendar year 2022.''.
(b) Eligible Rollover Distributions.--Section 402(c)(4) of the
Internal Revenue Code of 1986 is amended by inserting ``or 2022'' after
``2020'' each place it appears.
(c) Effective Dates.--
(1) In general.--The amendments made by this section shall
apply for calendar years beginning after December 31, 2021.
(2) Provisions relating to plan or contract amendments.--
(A) In general.--If this paragraph applies to any
plan or contract amendment--
(i) such plan or contract shall not fail to
be treated as being operated in accordance with
the terms of the plan during the period
described in subparagraph (B)(ii) solely
because the plan operates in accordance with
this section, and
(ii) except as provided by the Secretary of
the Treasury (or the Secretary's delegate),
such plan or contract shall not fail to meet
the requirements of section 411(d)(6) of the
Internal Revenue Code of 1986 and section
204(g) of the Employee Retirement Income
Security Act of 1974 by reason of such
amendment.
(B) Amendments to which paragraph applies.--
(i) In general.--This paragraph shall apply
to any amendment to any plan or annuity
contract which--
(I) is made pursuant to the
amendments made by this section, and
(II) is made on or before the last
day of the first plan year beginning on
or after January 1, 2024. In the case
of a governmental plan, this subclause
shall be applied by substituting
``2026'' for ``2024''.
(ii) Conditions.--This paragraph shall not
apply to any amendment unless during the period
beginning on the effective date of the
amendment and ending on December 31, 2022, the
plan or contract is operated as if such plan or
contract amendment were in effect.
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