new opportunities in the dcio market
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New Opportunities in the DCIO Market. Marcia S. Wagner, Esq. 1. Retirement Income 2. Target Date Funds 3. 403(b) Trends. Retirement Security and Annuitization. Obama Administration believes lifetime income options facilitate retirement security. - PowerPoint PPT PresentationTRANSCRIPT
New Opportunities in the DCIO Market
Marcia S. Wagner, Esq.
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1. Retirement Income2. Target Date Funds3. 403(b) Trends
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Retirement Security and Annuitization
• Obama Administration believes lifetime income options facilitate retirement security.◦ Initiative to reduce barriers to annuitization of 401(k)
plan assets.◦ DOL / IRS issued a joint release with requests for
information on Feb 2, 2010.◦ RFI addresses education, disclosure, tax rules,
selection of annuity providers, 404(c) and QDIAs.
• The Retirement Security Project◦ Released 2 white papers on DC plan annuitization.◦ Proposed use of annuities as default investment.
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Other Recent Developments in DC Plan Annuitization
• Two types of legislative proposals.◦ Encourage annuitization with tax breaks: Lifetime
Pension Annuity for You Act, Retirement Security for Life Act.
◦ Annual disclosure of what 401(k) plan balance would be worth as annuity: Lifetime Income Disclosure Act.
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Joint Hearing by DOL, IRS and Treasury in September 2010
• Purpose is to investigate 5 focused topics.
• 2 areas of general policy-related interest.◦ Specific concerns raised by participants.◦ Alternative designs of in-plan and distribution lifetime
income options.
• 3 areas of specific interest.◦ Fostering “education” to help participants make informed
retirement income decisions.◦ Disclosure of account balances as monthly income streams.◦ Modifying fiduciary safe harbor for selection of issuer or
product.
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1. Retirement Income2. Target Date Funds3. 403(b) Trends
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Recent Developments for TDFs• DOL and SEC at Senate Special Committee on
Aging hearing on TDFs (Oct. 28, 2009).◦ Investor Bulletin jointly released by DOL and SEC.◦ DOL’s fiduciary checklist on TDFs is pending.
• SEC proposal for TDF advertising materials.◦ If name has target date, “tag line” disclosure needed.◦ Advertising must include glide path information.
• On Nov. 30, 2010, DOL proposes rules on TDF disclosures for participants, amending:◦ QDIA reg’s issued under PPA of 2006◦ Participant-level fee disclosure reg’s that were
finalized on Oct. 14, 2010 but are not yet effective.
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DOL’s Proposed Changes to QDIA Reg’s• Background on QDIA Reg’s◦ Participant deemed to be directing investment to
default choice if QDIA requirements are met.◦ Default investment must be a QDIA, and QDIA notices
must be provided to participants.
• DOL proposes change to QDIA notice for TDFs.◦ Explanation and illustration of TDF’s glide path.◦ Relevance of target date (e.g., 2030) in TDF name.◦ Disclaimer that TDF may lose money after retirement.
• DOL also proposes general changes to QDIA notice (even if not a TDF).
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DOL’s Proposed Changes to Participant-Level Fee Disclosure Reg’s
• Background (recap)◦ New rules will require disclosure of plan-related fees
and annual comparative chart for plan’s investments.
• DOL proposes change to annual comparative chart for TDFs (even if not a QDIA).◦ Must include appendix with additional TDF info. ◦ Same info as required for QDIA notice.
• Informal follow-up guidance from DOL◦ TDF prospectus is unlikely to satisfy QDIA notice and
annual comparative chart requirements, as proposed.
◦ DOL will not provide “model” target date disclosures.
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Conflicts of Interest in TDFs• Conflicts arise when a “fund of funds” invests
in affiliated underlying funds.◦ Conflicts are permitted because fund managers are
carved out from ERISA’s fiduciary requirements.• Are fund managers ever subject to ERISA? ◦ Firm requested clarification on scope of carve-out.• In Adv. Op. 2009-04A (Avatar Associates), DOL
declined to rule that the TDF managers are fiduciaries.
• Implications of DOL guidance◦ Plan sponsors are alone in their fiduciary obligation.◦ Must ensure TDFs (and underlying funds) are
appropriate plan investments.
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Congressional Proposal for TDFs• Senator Kohl announced his intent to
introduce new legislation (Dec. 2009).◦ Concerns over high fees, low performance or
excessive risk in many TDFs.◦ Would impose ERISA fiduciary status on TDF
managers when TDF used as QDIA in 401(k) plans.
• Senator Kohl’s proposal differs from DOL approach to improve disclosures to employers and participants.
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1. Retirement Income2. Target Date Funds3. 403(b) Trends
Non-ERISA v. ERISA 403(b) Plans• Non-ERISA 403(b) plans are impracticable, even if
theoretically possible.• Non-ERISA status is lost with employer discretion for
loans, non-safe-harbor hardship distributions, or similar features.
• Some 403(b) vendors will not exercise discretion.• Eliminating some features (e.g., loans) is unpopular.• Employer is forced to exercise discretion and, thus,
create ERISA plan.
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Form 5500 Audit Requirement Form 5500 Audit Requirement
• Before 2009, simplified Form 5500 (e.g., no audit).• Audit requirement now applies to large plans (i.e.,
100 or more participants).o Audit exemption still available for small plans if
certain conditions are satisfied (e.g., 95% of the plan assets are held by a mutual fund or insurer).
o Audit exemption for 403(b) contracts frozen before 2009.
• Audit costs are driving plan consolidation.
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Investment Management Oversight
• Historically, employers exercise little control over 403(b) investment menu.◦ Participants have sole control.◦ Some vendors require standard menus.
• Allowing participants to invest in problem funds creates ERISA fiduciary risk.
• Negotiate control or terminate the relationship.
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Moving Assets: Model Solution
• Freeze contributions to existing investment vendors.
• Terminate 403(b) plan and participants choose:◦ receiving individual contracts to avoid back-
loaded expense charges or termination fees.◦ rolling over money tax-free if it is not subject to
deferred payment or other restrictions.◦ receiving cash subject to income and early
distribution taxes, and vendor’s restrictions.Replace 403(b) plan with 401(k) plan.
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New Opportunities in the DCIO Market
Marcia S. Wagner, Esq.
99 Summer Street, 13th FloorBoston, MA 02110
Tel: (617) 357-5200 Fax: (617) 357-5250 Website: www.wagnerlawgroup.com
[email protected] A0066762