Taxpayer elected to have his entire account balance in the plan distributed in 1998, on or before April 1, 1998, with all eligible rollover amounts rolled directly to his IRA, and all after-tax contributions distributed directly to him. The after-tax amounts exceeded Taxpayer's minimum distribution amount on account of 1997 and 1998. Further, because the amounts distributed represented a return of Taxpayer's after-tax contributions, they were not included in Taxpayer's income. The IRS ruled that the distribution of after-tax contributions which exceeded the minimum distribution amount with respect to the plan for 1997 and 1998 satisfied the minimum distribution requirements imposed by Section 401(a)(9) even though such amounts were not included in Taxpayer's income.
Taxpayer was able to satisfy his minimum required distributions for two years without taking any distributions into income on account of 1997 or 1998. Consequently, it is important to consider the planning potential presented by after-tax contributions in qualified plans in planning required minimum distributions.