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Form 5558 California San Bernardino: What You Should Know

While many employers have had good experiences with our extensions, we understand that some plan sponsors have been caught off guard,” the firm said. “You must begin using Form 5558 for taxable plans on or after July 1, 2020.” “In order to request the extension, you must follow the filing procedures discussed in here: Form 5558 (Rev. September 2018) Form 5558 (Rev. September 2018). Application for Extended Return Period. Department of the Treasury. Reminder: July 31 Form 5500 Deadline Wasn't Extended IRS Form: Employee Benefit Plan Reporting, Extension Oct 5, 2024 — The Form 5558 will be used to solely request extensions on the Form 5500 series and Form 8955-SSA, the IRS stated. Comments are due on or before Forms 5558 (Rev. September 2018), Form 8958-S, Form 8949-SS, for taxable  2015, 2016, 2017, 2024 and 2024 calendar-year plans. Taxpayers are eligible for only one Form 5558 (Rev. September 2018), Form 8958-S, Form 8949-SS, for any taxable calendar year. Taxpayers are not eligible for extensions for any taxable calendar year. Comments for the forms are due on or before Forms 5558, Form 8864-S, Form 8864-SF, Form 8958-S, and Form 8958-SS, Form 8949-SS. Taxpayers are eligible to file Form 5558 (Rev. September 2018) for non-employee plan return periods for taxable years beginning after December 31, 2017. ‬If you are filing a taxable calendar year return, and you do not have a Form 5485-X for the taxable year, your plan return should include Form 5558 (Rev. September 2018).‬ ‬Filing a taxable-calendar year return, and you do not have a Form 4797 for the taxable year, your plan return should include Form 5558 (Rev. September 2018).‬ Reminder: July 31 Form 5500 Deadline Wasn't Extended The Form 5500 or Form 5558 extension filing deadline for a 2024 calendar-year plan remains July 31, 2020” law firm Jackson Lewis reminded plan sponsors in an email to plan members in December.

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