Rollover to Rollover
Client did a direct rollover to credit union, but had intended to rollover some of the money to an annuity IRA with our firm. Now credit union going to write a check to annuity company fbo client, and we are asked to code as direct rollover. Does this sound ok?
Permalink Submitted by Alan - IRA critic on Wed, 2014-12-17 20:33
Yes, trustee to trustee transfers are unlimited. Credit union should make out check to the annuity company FBO client’s IRA, and this would be a non reportable TtoT transfer. Direct rollovers technically involve a qualified plan on one end of the transaction. What is needed here is an IRA to IRA non reportable TtoT transfer.
Permalink Submitted by Julie Brangenberg on Thu, 2014-12-18 15:22
The credit union is only reporting the amount they are going to keep as a direct rollover. They instructed me to report the amount for the annuity as a direct rollover as well??
Permalink Submitted by Alan - IRA critic on Thu, 2014-12-18 16:13
With proper reporting, the 1099R form reporting any distribution should match up with the 5498 (IRAs only) issued by the receiving IRA custodian. If the 1099R is more than the 5498 total, IRS might doubt that the rollovers were fully completed. Did the funds originally moved to the CU come from another IRA or from an employer plan? I know you indicated it was done by direct rollover, and that would indicate the original funds came from an employer (non IRA) plan.
Permalink Submitted by Julie Brangenberg on Thu, 2014-12-18 17:51
Original funds came from Employer Plan to CU. I was told by CU Financial Rep. that he reported monies kept with them as a direct rollover and he asked me to report monies made payable to annuity company with us as a direct rollover. We received a check from the credit union, made payable to annuity co. fbo client.
Permalink Submitted by Alan - IRA critic on Thu, 2014-12-18 20:17