Title: Hooray for 401a
1Hooray for 401(a)
October 22, 2004
- Linda Delivorias, Esq.
- Vice President, Aon Consulting
- 301.280.7534
- Linda_Delivorias_at_aoncons.com
2Why All the Excitement?
- Employers have three goals for their 401(a) Plans
- Increase the Percentage of Employees
Participating in Retirement Plans - Raise Retirement Savings
- Improve Asset Allocation
- Employees have three goals for their 401(a) Plans
- Employer-funded plans
- Investment Advice
- Portability
3Why All The Despair?
- Volatile Equity Markets
- Mutual Fund Scandals
- Participant Lawsuits
- Hidden Fees Expenses
- Fiduciary Liability
- Outsourcing Plan Administration
4Overview of 401(a) Defined Contribution Plans
- 401(a) Plans are funded by employer contributions
- Employer contributions can be based on the amount
a participant contributes to another retirement
plan (401(k), 403(b), 457 plan) AND/OR criteria
unrelated to participant contributions such as
years of service or compensation
5Regulatory Advantages
- Statutory exemption from the following ERISA and
Internal Revenue Code requirements - Titles I and IV (fiduciary duties, reporting and
disclosure, termination insurance) - Participation test for private sector employees
- Coverage
- Vesting plan termination discontinuance of
employer contributions - Joint Survivor Annuities
6Regulatory Advantages
- Assignment/Alienation of Benefits QDROs
- Commencement of Benefits
- Permitted Disparity
- ADP/ACP Tests
- Top Heavy Provisions
- Schedule SSA
- Form 5500
7Life Savers for Plans
- IRS issues PLRs and Determination Letters
- PLR issued in response to a taxpayer request
and is binding on IRS if the taxpayer fully and
accurately describes the proposed transaction and
carries out the transaction as described - Determination Letter plan sponsor receives
letter from the IRS that the form (NOT THE
OPERATION) of the plan complies with IRS
requirements for tax qualification
8Internal Revenue Code Requirements
- Written Program Requirement
- Exclusive Benefit Rule plan must be maintained
for the exclusive benefit of employees and
beneficiaries. Under the plans trust agreement,
it must be impossible to divert any assets for
any other purpose. - Distribution Rules age 70 1/2/retirement
- Contribution Limits
- Compensation Limits
- Rollover Rules
9Priorities Challenges
- Investments
- Investment Guidance
- Investment Advice
- Managed Accounts
- Fees Expenses
- Outsourcing
- Plan Design
- Fiduciary Services
10Best Practices Investments
- Fiduciaries Must Monitor
- Investment policy statement
- Fund selection quantity, type (active, passive,
lifestyle, lifecycle, self-directed brokerage,
proprietary) - Ongoing fund performance expenses
- Significant management cash flow changes
- Style drift
- Participant investment behavior
- Participation levels
- Diversification of investments
11Whats It All About, Spitzer?
- Mutual fund advisers have recently come under
close scrutiny for - Late trading allowing favored investors to
place trades after markets close and still
receive same day pricing - Market timing allowing investors to make rapid
in and out purchases and redemptions to realize
short term gains - Insider abuse senior officers, portfolio
managers taking advantage of their positions to
gain profits - Pay to play investment consultants/brokers
recommending funds based on revenue
12Whos Involved?
13Responses to Fund Mismanagement
- The primary fiduciary issue
- Is it prudent to continue to make the fund
available under the plan? - Acting prudently is a nice concept, of course,
but what does it mean in practice?
14Assess the Risks
- Some plan fiduciaries have decided to remove plan
assets from mutual funds that have been tarnished
in the scandals, but that is not cost-free.
Direct and indirect risks include - The costs (in time and money) of prudently
selecting a replacement fund - The possibility that the replaced fund will
perform better than the replacement fund - The risk that the replacement fund will face
similar allegations
15Best Practices Guidance, Advice Managed
Accounts
- Guidance enrollment assistance, meetings,
seminars, one-on-one assistance (not investment
advice) - Advice investment advice provided by
independent third party (fees based on usage) - Managed Accounts investment advice
automatically implemented and monitored (fees
based on account size) - Fiduciary Duties with Respect to Selection
Monitoring of Providers
16Best Practices Fees and Expenses
- Plan assets can be used to pay reasonable cost of
expenses to maintain the plan - Fiduciaries they need to make sure fees are
reasonable - Problem fees are often hidden and not always
fully disclosed
17Best Practices Fees and Expenses
- What are the fees?
- Record keeping
- Per participant/plan sponsor
- Special charges for loans, distributions, etc.
- Compliance
- Trustee/Custodial
- Investment management
- 12(b)-1 fees
- Expense ratios
- Commissions finders fees
- Wrap fees
18Best Practices Fees and Expenses
- How to find out
- Group Annuity Contract
- Prospectus
- Service Agreement
- Challenging situations
- Insurance products
- Guaranteed investment contracts
- Market-value adjustments Contingent-Deferred
Sales Charges
19Best Practices Outsourcing
- Bundled vs. Unbundled
- Best Price
- Best System
- Negotiate Contracts
- Service Guarantees
- Fee Guarantees
- Standards of Care (Gross vs. Ordinary Negligence)
- Indemnification
20Best Practices Plan Design
- If no pension plan percentage of compensation
- If pension plan based on deferrals
- Vesting Schedule Majority have immediate
vesting - Significant Impact on Participation in Deferral
Plans - Estimated Annual Costs case by case
21Best Practices Fiduciary Services
- Investment Consultant
- Provides information to fiduciaries, but does not
make final recommendations - Disavows any role as a fiduciary or co-fiduciary
- Investment Advisor and Co-Fiduciary
- Provides guidance and specific advice
- Serves as co-fiduciary with committee
- Cautions
- Advisor says it is a co-fiduciary, but not in
writing - Advisor says it is a co-fiduciary, but liability
nullified by contract provisions