Skip to main content

You are here

Advertisement

Case of the Week: New In-Service Distributions from 457(b) Plans

Case of the Week

The ERISA consultants at the Retirement Learning Center Resource regularly receive calls from financial advisors on a broad array of technical topics related to IRAs, qualified retirement plans and other types of retirement savings plans. We bring Case of the Week to you to highlight the most relevant topics affecting your business.

A recent call with a financial advisor from North Carolina is representative of a common inquiry related to in-service distributions from retirement plans.The advisor asked:  

“Can a governmental 457(b) plan permit participants to take plan withdrawals while they are still working?” 

Highlights of the Discussion

Yes, as a result of a law change, governmental 457(b) plans now have the ability to offer in-service distributions to participants starting at age 59½, if the sponsor has chosen to implement the provision. 

Allowing age-59½ distributions was a significant change brought about by the Setting Every Community Up for Retirement Enhancement (SECURE) Act for plan years beginning after Dec. 31, 2019. [See Division M: Bipartisan American Miners Act (Section 104) of the Further Consolidated Appropriations Act, 2020) for authorizing language.] 

In the past, 457(b) plan participants could only access their plan assets upon:

  • Reaching the age for required minimum distributions
  • Severing employment
  • Experiencing an unforeseeable emergency
  • Qualifying for a one-time cash-out (i.e., the account balance was $5,000 or less, and there had been no employee contributions for at least two years)
  • Termination of the plan
  • Divorce, pursuant to a qualified domestic relations order

Sponsors who offer these withdrawals must amend their plan documents. Formal amendments to incorporate the age-59½ in-service distributions are due by the end of the 2024 plan year.

Conclusion

The list of distributable events for governmental 457(b) plans now includes age 59½ in-service distributions for sponsors that choose to offer them.

Any information provided is for informational purposes only. It cannot be used for the purposes of avoiding penalties and taxes. Consumers should consult with their tax advisor or attorney regarding their specific situation. 

©2020, Retirement Learning Center, LLC. Used with permission.

Advertisement

All comments
Julie Kent
3 years 11 months ago
The article states the amendment deadline is the end of the 2024 plan year. Was this extended or possibly a typo? The last I read, unless I missed a notice, is is the last day of first plan year beginning on or after 1/1/2022.