HR 9286 United States House · 117th Congress

To amend the Internal Revenue Code of 1986 to treat certain price protection payments as eligible rollover distributions, and for other purposes.

Summary
This bill treats certain price protection payments from Employee Stock Ownership Plans (ESOPs) as eligible rollover distributions (i.e., tax-free distributions from a qualified retirement plan to another eligible plan). Price protection payments are made under a price protection agreement and provide a guaranteed minimum price for shares that may temporarily decline in value as a result of loans to the ESOP to purchase shares. The bill treats price protection payments made after December 12, 2019, for plan years ending before January 1, 2023, as eligible rollover distributions if payments were made pursuant to a price protection agreement for distributions due to separation from service, retirement, death or disability. For plan years beginning after 2022, payments made under a price protection agreement as a result of any separation of service of a plan participant (regardless of the reason for such separation) would be eligible for rollover.
Bill status in committee 1 of 4 stages cleared
Introduction
Nov 2022
Committee Review
Floor Vote
President
Introduced Nov 10, 2022 Last action Nov 10, 2022
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Full legislative history

Actions timeline

Total actions
2
Key actions
0
Committee
1
Nov 10, 2022
Committee
Referred to the House Committee on Ways and Means.
lower
Nov 10, 2022
Introduced
Introduced in House
lower
1 primary · 1 co-sponsor

Sponsors