TN 10 (09-90)
Payments made by an employer to or on behalf of an employee or his/her beneficiary, both into and from the annuity or bond purchase plan are not wages if they were made:
To plans which at the time of payment met the criterion of secs. 165(a)(3),(4),(5), and (6) of the IRC of 1939, or secs. 401(a)(3),(4),(5), and (6) of the IRC.
To qualified annuity plans described in sec. 403(a) of the IRC; or
To qualified bond purchase plans described in sec. 405(a) of the IRC. (Repealed by P.L. 98-369, July 18, 1984).
If development is necessary, follow the development guidelines in RS 01402.140B., Tax-Exempt Trust.