RMD on Deceased
We had a client that we discovered on our RMD list that had died in 2017. It appears the account now carried into December 2018 due to (what we understand) issues with getting the lawyers to finish everything.
Our question is: What will we need to do with the RMD on this? What tax-related issues arise from this situation? We want to make sure it doesn’t go into next year causing penalties to the new or deceased owner.
Permalink Submitted by Alan - IRA critic on Thu, 2018-12-06 16:22
Permalink Submitted by Andrew Rogers on Fri, 2018-12-07 15:01
Thank you for the reply. The one thing I don’t understand from the reply: is the beneficiary required to request an RMD for this year and are they required to also take their disbursement given that the owner died in 2017? Also, the current beneficiary is a trust.
Permalink Submitted by Alan - IRA critic on Fri, 2018-12-07 15:49
Yes, the trust beneficiary needs to request distribution of the remainder of the year of death RMD and they will have to provide the amount to the IRA custodian. One correction to my prior post – the 5329 for the year of death will only need to be filed for 2017. The penalty is not due for each year the RMD is late, just for the first year. So even if the year of death RMD is not distributed until January, only one 5329 (for 2017) needs to be filed after the late RMD is distributed.
Permalink Submitted by Andrew Rogers on Fri, 2018-12-07 16:00
The 2017 (what you’re referring to as the year of death disbursement I assume) was covered from regular distributions. However, the distributions were stopped at death, so 2018 hasn’t been taken care of. Therefore, the account carried into the year AFTER the year of death. The year after the year of death is the RMD I’m referring to. Sorry I wasn’t clearer on that.
Permalink Submitted by Alan - IRA critic on Fri, 2018-12-07 16:53
The 2018 RMD is a beneficiary RMD and needs to be distributed this year or it will be late and require a 5329 to be filed for 2018 to request a penalty waiver. Of course, the correct RMD needs to be determined depending on if the beneficiary is an individual, estate, or trust. If a trust, it needs to be determined if the trust is qualified for look through or not. For a variety of reasons beneficiary RMDs can be late, but if the beneficiary makes up the late distribution and files a 5329 citing what reasonable cause there was for the delinquency, the IRS will almost always waive the penalty. If any assistance with the actual amount of the RMD is needed, more details about the beneficiary type are needed.