Client is concerned about hefty penalty. The RMD check (beneficiary) check was not processed in 2018 (but was Submitted in 2018).
In short the RMD check was released in 2019 (death benefit) it was submitted to the broker for processing in end of 2018, but check was paid out in 2019.
I kept telling the client that this will be included in 2019 tax return, am i correct? Client is terrified of penalty if it's not included in 2018 tax return. Any thoughts? Thank you
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You are correct. If it was supposed to be distributed in 2018, use the 5329 to request waiving any penalty.
You are correct. If it was supposed to be distributed in 2018, use the 5329 to request waiving any penalty.
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