I have a Floor Offset arrangement where the DB and the DC plans are both effective 1/1/08, but the DB grants one year of past service credit to 1/1/07. My HCE will be at 1/10th of the $ limit both at the beginning of year and at the end of year after the offset of the 12/31/08 DC contribution. I'm doing an end of year valuation. The other participants have accrued benefits at 1/1/08 since there is no offset at that time ( and therefore have A TNC) but are completely offset out by 12/31/08. (i.e. one years DC contribution exceeds 2 years of DB benefit accruals. I therefore am getting a FT at 12/31/08, a cushion amount based on the FT, and a negative normal cost equal to the FT for all those participants who were zeroed out at the end of the year. I don't beleive that 411(b)1(g) protects the accrual at the begining of year ,yet am uneasy about a negative normal cost and the fact 'm getting a cushion amount on benefits that are zeroed out by years end.
Has anybody run into this situation before?
Any help would be appreciated.
Thanks in advance
Sam
