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sguandal, the statute is ambiguous with regard to this situation. For those who have reached age 70½ and are still working, the statue specifies that RMDs must begin April 1 of the year following "the calendar year in which the employee retires." The plan administrator is responsible for enforcing the RMD requirements, so ask the plan administrator whether they consider you to have "retired," making you subject to RMDs.
Generally speaking, once an individual becomes subject to RMDs from a plan, the RMDs cannot stop. Given this, if the plan required you to take an RMD for 2018, you are required to take RMDs from the plan for 2019 and beyond. So the question then becomes, "Was the distribution you received in early 2019 an RMD or was it a distribution that simply equaled the amount that your RMD for 2018 would have been had you been considered to be retired in 2018, but not actually a required distribution." Ask your plan administrator.