veba problems | Lance Wallach | Pulse | LinkedIn

veba problems | Lance Wallach | Pulse | LinkedIn

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  1. F. SELECTED PROBLEMS OF VOLUNTARY EMPLOYEES'
    BENEFICIARY ASSOCIATIONS (VEBAs)
    1. Introduction and History
    The VEBA is a mutual association of employees providing certain specified
    benefits to its members or their designated beneficiaries. It may be funded by the
    employees or their employer. The VEBA has existed in the tax law since the
    Revenue Act of 1928 when it was given exempt status under section 101(16) of the
    Act. Exemption for this entity was re-enacted by the Revenue Acts of 1932, 1934,
    1936, and 1938. The VEBA was incorporated into the 1939 Code as IRC 101(16)
    and subsequently into the 1954 Code (the present Code), as amended to date, as
    IRC 501(c)(9).
    IRC 501(c)(9) exempts from federal income tax the voluntary employees'
    beneficiary association (VEBA) providing for the payment of life, sick, accident or
    other benefits to its members (or their dependents or designated beneficiaries) if no
    part of the net earnings inures (other than through such payments) to the benefit of
    any private shareholder or individual.

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