IRS Qualified Plan Limitations Unchanged for 2010

October 21, 2009

On October 15, 2009, the IRS released the inflation-adjusted limitations applicable to tax-qualified retirement plans for 2010.  Due to low inflation, the limitations have not changed from 2009.  In addition to the impact of these limitations on tax-qualified retirement plans, the compensation limit under section 401(a)(17) of the Code also affects the amount of severance pay that may be excludable from coverage under section 409A of the Code in certain circumstances.

The key 2010 limits are as follows:

Limitation

2010 Limit

402(g) Limit on Employee Elective Deferrals (Note:  This is relevant for "401(k)," "403(b)" and "457" plans, and for certain limited purposes under Code Section 409A.)

$16,500

414(v) Limit on "Catch-Up Contributions" for Employees Age 50 and Older (Note:  This is relevant for "401(k)," "403(b)" and "457" plans.)

$5,500

401(a)(17) Limit on Includible Compensation (Note:  This applies to compensation taken into account in determining contributions or benefits under qualified plans.  It also impacts the "two times/two years" exclusion from Code Section 409A coverage of payments made solely in connection with involuntary terminations of employment.)

$245,000

415(c) Limit on Annual Additions Under a Defined Contribution Plan

$49,000 (or, if less, 100% of compensation)

415(b) Limit on Annual Age 65 Annuity Benefits Payable Under a Defined Benefit Plan

$195,000 (or, if less, 100% of average "high 3" compensation)

414(q) Dollar Amount for Determining Highly Compensated Employee Status

$110,000

416(i) Officer Compensation Amount for "Top-Heavy" Determination (Note:  Because Code Section 409A defines "specified employees" of public companies by reference to this provision, the change also affects the specified employee determination, and thus, the group subject to the six-month delay under Section 409A.)

$160,000

Social Security "Wage Base" for Plans Integrated with Social Security

$106,800

 

Gibson, Dunn & Crutcher LLP

Gibson, Dunn & Crutcher lawyers are available to assist in addressing any questions you may have regarding these issues. Please contact the Gibson Dunn attorney with whom you work, or any of the following:

Stephen W. Fackler – Palo Alto (650-849-5385, [email protected])
Charles F. Feldman – New York (212-351-3908, [email protected])
David West – Los Angeles (213-229-7654, [email protected])
David I. Schiller – Dallas (214-698-3205, [email protected])
Michael J. Collins – Washington, D.C. (202-887-3551, [email protected])
Sean Feller – Los Angeles (213-229-7579, [email protected])
Amber Busuttil Mullen – Los Angeles (213-229-7023, [email protected])
Chad Mead – Dallas (214-698-3134, [email protected]
Meredith C. Shaughnessy – Los Angeles (213-229-7857, [email protected]
Jonathan Rosenblatt
– Palo Alto (650-849-5317, [email protected])
John C. Cook – Washington, D.C. (202-887-3665, [email protected])
Dina R. Bernstein – Los Angeles (213-229-7206, [email protected]
Aaron K. Briggs – Los Angeles (213-229-7953, [email protected])

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