Changes Proposed to Form 5500 to Implement SECURE Act Rules
On Sept. 14, 2021, federal agencies announced proposed revisions to the Form 5500 Annual Return/Report. These changes are designed primarily to implement the Setting Every Community Up for Retirement Enhancement Act of 2019 (SECURE Act) and to make other improvements.
Key Changes
The key proposed forms revisions would do the following:
- Consolidate the Form 5500 for defined contribution retirement plans. The proposal would add a new type of direct filing entity and add a new Schedule DCG (Individual Plan Information) that such reporting groups must file, in addition to the more generally applicable requirements.
- Modify the Form 5500 to reflect pooled employer plans (PEPs) as a new type of retirement plan and implement changes to multiple-employer pension plans’ reporting of participating employer information.
- Improve financial reporting by adding new fee and expense reporting requirements, and enhancing the format and content of the existing schedules of assets held for investment.
- Expand the number of defined contribution retirement plans that would be eligible for small plan simplified reporting options by changing the participant-count methodology.
- Add questions to improve financial and funding reporting by certain defined benefit pension plans, and improve oversight and compliance of tax-qualified retirement plans.
Timing of Proposed Changes
Nov. 1, 2021
Public comments on the proposed changes are due.
Jan. 1, 2022
If adopted, the proposed changes generally would be effective for plan years beginning on or after Jan. 1, 2022.
July 2023
Form 5500s for the 2022 plan year generally are not required to be filed until 7 months after the end of the plan year (July 2023 for calendar year plans), with the availability of a 2 ½ month extension.
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