You can access ASPPA's request submitted to the DOL asking for additional guidance on issues affecting 403(b) plans here. The request highlights many of the issues practitioners and plan sponsors are currently wrestling with and asks the DOL to expand on its guidance previously issued in FAB 2007-2 which addressed this question:
How do the Department of the Treasury/Internal Revenue Service regulations governing Internal Revenue Code § 403(b) tax-sheltered annuity programs affect the status of such programs under the Department of Labor's safe harbor regulation at 29 C.F.R. § 2510.3-2(f)?

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Posted by: Attractiverefer | 12/18/2009 at 10:57 AM
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Posted by: Deferred Annuity | 12/15/2011 at 12:23 PM