Safe Harbor 401(k) Plan Errors and Corrections. Agenda. Presented by: Robert Richter, APM and Bob Kaplan, CPC, QPA
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1 Safe Harbor 401(k) Plan Errors and Corrections Presented by: Robert Richter, APM and Bob Kaplan, CPC, QPA Agenda 1. Document Failures 2. Notice Failures 3. Missed Deferral Opportunity 4. Funding with Forfeitures (or not) 5. When is testing required 6. Other watch outs 1
2 Document Failures You are either a SH plan or not Cannot condition on giving notice Must be in place for full PY (except first year) First year must be in place by 3 months before end of PY (Oct. 1 st for calendar year plans) Document Failures Current tested 401(k) must be converted as of first day of next PY Profit Sharing plan (no deferral feature) can be converted with at least 3 months left in PY 2
3 Document Failures So what to do if document does not have proper language? EPCRS VCP Document Failures What if plan uses all the correct provisions (fully vested contributions at the correct levels, etc.) and even gave notices out but does not contain actual SH language? Not a SH Will IRS allow amendment to be a SH under VCP? 3
4 IRS Position on Mid Year Amendments Plan provisions that satisfy the safe harbor requirements must be adopted before the first day of the plan year and remain in effect for an entire 12 month plan year If plan is amended, then plan will not satisfy the safe harbor rules There are limited exceptions IRS Position on Mid Year Amendments IRS feels that a mid year change is only OK if the IRS says you can make it Can a plan sponsor make a change to a provision not reflected in the SH notice? Final regulations authorize IRS to issue guidance to allow other mid year amendments Revenue rulings, notices, announcements, etc. On IRS priority plan 4
5 Allowable Changes Roth Deferral option Roth Conversion option Adding beneficiary events to hardship provisions Spousal definition to conform with Windsor decision Cease or terminate SH Change of plan year, so long as preceded by SH PY and followed by 12 month SH Allowable Changes (non binding verbal guidance)????? Expand coverage to include employees previously not included (so long as existing participants are not affected) Change of investment vendor A retroactive corrective amendment to address a coverage failure Change of trustees 5
6 PPA Restatements We are in a restatement period Can I restate in middle of year restatement is retroactive anyway Yes Issue is what effective date can be used for the restatement If no discretionary changes being made then can have a retroactive effective date of restatement Impermissible Change What happens if an impermissible change is made mid year? Would require VCP 3 options: Amendment doesn t affect SH status so no problem Amendment is void and SH status retained Plan is not a SH 6
7 Annual Notice Content SH formula (match or nonelective) Other contributions or potential contributions Plan to which SH contribution made (if employer sponsors another plan) Compensation that may be deferred (type and amount) How to make deferral elections Periods available to make deferrals Vesting and withdrawal provisions of all sources of funds How to obtain other plan information Documentation and Disclosure Annual notice requirement reasonable period before each plan year Deemed to be reasonable if distributed days prior to plan year (safe harbor period for the Safe Harbor Notice) If less than 30 days before plan year still may be okay if it is deemed reasonable under a facts and circumstances test 7
8 Documentation and Disclosure Newly Eligible employee no sooner than 90 days before eligibility date and no later than eligibility date For a newly established SH plan, all eligible employees are newly eligible, therefore plans can be established during last month of prior year Bob s Opinion FWIW Closer to 30 days the better 3% nonelective does not really affect deferrals so you have a better argument if this is very close to first day of plan year SH match deferral amounts may be affected so you will want to show IRS if the timing of the distribution of notice affected deferral elections 8
9 Failure to Provide Safe Harbor Notice Previously, IRS recommended VCP ER unlikely to incur costs of VCP for what it considers a harmless error IRS newsletter suggests correction by way of example (Fall 2008) Not official but an indication of what the IRS probably would accept Failure To Provide Notice BLM maintains safe harbor 401(k) plan with basic safe harbor match BLM fails to provide notice to all participants Ann became eligible on 1/1/14 In addition to not providing her with the notice, BLM failed to inform her of her right to make elective deferrals Earns $30,000/year Bob (existing participant) defers at a 2% rate and earns $50K/year Although BLM did not provide him a notice, he was aware that: he could change his deferral rate, and the plan s matching formula did not change for
10 Correction Options SCP Ann receives $1,350 (plus earnings) 50% x (3% x $30,000) deferrals 100% x $900 match No correction for Bob not affected by failure Not guaranteed (facts and circumstances) Document determination in case of audit Late notice reduces correction Correction Options VCP Sanction payment Attorney cost Who knows what the correction may be 10
11 Administrative Procedures IRS requires the ER to reform its administrative procedures to ensure that future failures do not occur For example, the ER could establish a calendar identifying due dates by which it must complete certain plan tasks The ER should commit to writing (e.g., memorandum for the file) the reforms it is adopting The written description of the implemented changes is particularly important if the ER s correction does not involve a corrective contribution The ER also should document why the failure to provide the notice did not affect certain EEs Comment: IRS examiners are more persuaded by documents created at the time of correction than a verbal explanation given at an audit Safe Harbor Nonelective The IRS does not discuss the correction for a plan providing the SH nonelective contribution rather than the SH match IRS officials have stated several times that: ER maintaining such a plan probably could correct simply by providing the notice late (even if it were after the beginning of the plan year), and Correcting its administrative procedures to prevent further failures 11
12 Missed Deferral Opportunity Missed deferral opportunity = 50% of missed deferrals Missed deferrals For SH match = greater of 3% of compensation or maximum % at which the employer matches at 100% For nonelective = 3% of compensation Missed Match Opportunity When correcting for a missed deferral opportunity you calculate the match at the total missed amount (not the 50% corrective contribution amount) 12
13 Example: Improper Exclusion Bob (NHCE) was improperly excluded from plan during compensation = $50,000 ADP SH plan with basic match (100% on first 3) Missed deferral = 3% Missed deferral opportunity = $750 (50% x [3% x $50,000]) Missed match = $1,500 (3% x $50,000 x 100%) Defective Notice What if notice was given out timely but was defective Presumably same approach as failure to timely provide the notice Is the missing information something that would affect a participant s decision to defer? 13
14 Compensation Safe harbor contribution must be based on definition of compensation that satisfies IRC 414(s) What if definition does not satisfy 414(s) (e.g., if plan excludes bonuses)? Plan is no longer SH and amendment needed to add ADP tests Corrective amendment to use total comp can be made Funding SH contributions with Forfeitures If your document currently says that you can then you are okay If your document is silent be aware that IRS is auditing and not allowing New documents will not allow 14
15 Don t forget to test when There are after tax contributions (not Roth) Match on deferrals in excess of 6% Discretionary match greater than 4% Higher rate of match for HCEs than NHCEs Watch Outs for all SH Plans SH required to only be given to the NHCEs However, need to follow document and accrual requirements Example if calendar year plan states that all participants get the SH, employer cannot decide after the PYE that the HCEs (even the owners) will not get the SH amounts!!! 15
16 Watch Outs for all SH Plans SH nonelective contributions may not be used to satisfy the permitted disparity (SS integration under 401(l)) If a plan wants to use permitted disparity it must ignore the SH and start the nonelective from scratch Not so with cross testing gateways!! QUESTIONS Thank you for your attendance and participation 16
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