SlideShare une entreprise Scribd logo
1  sur  6
Télécharger pour lire hors ligne
SUMM ARY OF ERISA SECTION 404(C) REQUIREMENTS

Introduction


ERISA section 404(c) (“404(c)”) applies to individual benefit account plans that are covered by Title I of
ERISA. Should an employer choose to comply with 404(c), plan fiduciaries will not be liable for any
losses on individual investments so long as:


    •    The participant exercised control with respect to the transaction; and,


    •    The investment losses were a result of investment instructions given by the participant.


The 404(c) requirements can be met even if:


    •    Only certain participants are able to exercise investment control (assuming this is not
         discriminatory); or,


    •    Participants may only exercise investment control over a portion of their account balance.


What follows below is a description of the 404(c) requirements and the information that either must be
provided automatically or at the participant’s request.


Requirements


To be deemed to exercise investment control, the participant must give investment allocation
instructions. The participant must also receive written confirmation of investment transactions,
including investment allocation instructions. Allocation instructions must be given to an identified plan
fiduciary. In turn, the plan fiduciary must give certain information to participants as follows.


To avail themselves of 404(c) relief, plan fiduciaries must provide information that is sufficient to
enable the participant to make informed investment decisions. The information that must be provided
to participants includes:


    •    A statement that the plan intends to follow 404(c).


    •    An explanation that the plan fiduciaries may be relieved of liability as a result of their
         compliance.
•   A description of each available investment alternative, preferably encouraging participants to
        review investment information.


    •   A description of the investment objectives and risk and return characteristics of each
        investment, and information regarding the type and diversification of assets in the portfolio of
        the designated alternative.


    •   The identity of all designated investment managers.


    •   An explanation of how participants may give investment instructions, including limitations,
        restrictions, penalties or adjustments related to investment transfers.


    •   A description of transaction fees charged to participants.


    •   Information on indemnification of the plan fiduciary responsible for giving information on
        request.


    •   Company stock information, if applicable.


    •   A copy of the most recent prospectus.


    •   Information related to the exercise of voting, tender, or similar rights to be executed by
        participants.


These items must be provided before participants direct their investments.


Participants must also be provided with certain information on request. This information includes:


    •   A statement of the annual operating expenses of each designated investment alternative,
        including fees that reduce the rate of return expressed as a percentage of average net assets
        of the designated investment alternative. The prospectus may be sufficiant.


    •   Copies of prospectuses, financial statements and reports related to the investment
        alternatives to the extent that this information has been provided to the plan.


    •   A list of assets comprising the investment alternative portfolio, including plan assets and their
        value. If the investment has a fixed rate of return, the name of the issuer, the contact term and
        the rate of return must also be made available upon request.


    •   The value of shares or units and past and current investment performance of each available
        alternative, minus expenses.
•    The value of the shares or units held in the particular participant's account.


These items must provided upon request with sufficient time for the participant to weigh it prior to
making an investment decision.


Even where 404(c) requirements are otherwise met, the plan fiduciary will not be relieved of
investment liability when a participant’s investment direction would:


    •    Violate the terms of the plan document.


    •    Cause plan assets to be owned outside the United States.


    •    Jeopardize tax qualified status of the plan.


    •    Result in a loss in excess of the entire participant account balance.


    •    Constitute or result in a prohibited transaction.


Plan sponsors may decide not to implement a participant’s investment instructions that would cause
these circumstances to arise and remain protected under 404(c).


Additionally, participants must be given the opportunity to make changes their investment directives as
often as the investment volatility may require. This principle is known as the “general volatility rule.”
Specifically, participants must be able to change core investment alternatives (those that constitute a
broad range of investment alternatives) at least every three months, subject to the general volatility
rule.


If an investment alternative permits changes more frequently than once every three months, at least
one core investment must permit the same frequency of change. The investment alternative into which
participants transfer must be income producing, low risk and liquid. Non-core investments are not
subject to this three month requirement, but they are subject to general volatility rule.


Finally, investment alternatives must be sufficiently diverse to permit participants a broad range of
investment alternatives that provide participants the opportunity to affect the potential return and risk
on their investments. Under this requirement, participants must be able to choose from at least three
diversified investments that:


    •    Have materially different risk and return characteristics.


    •    Enable the participant to achieve appropriate relative aggregate risk and return.
•   Tends to minimize the overall risk of the portfolio when combined with the other available
        alternatives.


Participants must be given the opportunity to diversify the investments to minimize the risk of large
losses, taking into account the nature of the plan and the size of participant accounts.


Conclusion


ERISA section 404(c) provides electing plan sponsors with a fiduciary liability shield against participant
investment decisions so long as the requirements outlined above are met. The attached checklist may
be used as a tool to assist plan sponsors in determining whether their plans are in proper compliance
with 404(c).
ERISA 404(C) COMPLI ANCE CHECKLIST

The ERISA Section 404(c) Checklist below will help to ensure that your plan is complying with ERISA
section 404(c). To the extent that your plan permits participants to exercise control over the assets in
their individual accounts, you will not be liable for losses resulting from investment choices made by a
participant if your plan elects to comply with ERISA section 404(c) and certain information is provided
to participants. This protection does not extend to the selection of the investment lineup, default fund
or to transactions involving voting, tender and similar rights to the extent those rights are not passed
through to plan participants.


Plan Requirements


       The plan offers three or more funds that are diversified, have materially different risk and
        return characteristics, enable the participants to achieve aggregate risk and return
        characteristics within the range normally appropriate for each participant and enable
        participants to minimize risk through diversification.


       Plan participants are given the opportunity to give investment instructions to an identified plan
        fiduciary who is obligated to comply with such instructions.


       Plan participants are given the opportunity to make investment changes at least quarterly and
        with a frequency that is appropriate in light of market volatility.


Disclosure Requirements


The following information is provided to participants automatically:


       An explanation that the plan is intended to be a section 404(c) plan;


       An explanation that plan fiduciaries may be relieved of liability for any loss that is the direct
        and necessary result of investment instructions given by the participant.


       An explanation of how participants may give investment instructions and any limitations on
        those instructions including restrictions on transfers and restrictions on the exercise of voting,
        tender, and similar rights.


       A description of each of the investment alternatives including the type and diversification of
        assets, investment objectives and risk and return characteristics.


       The identity of any designated investment managers.
   A description of any transaction fees and expenses chargeable against the participant’s
        account.


       The name, address, and phone number of the plan fiduciary responsible for giving information
        upon request and a description of the information available upon request (see below).


       A copy of the most recent prospectus provided to the plan for investment alternatives subject
        to the Securities Act of 1933 (this must be given immediately before or after an initial
        investment).


The following information is being provided to participants upon request:


       A description of the annual operating expenses of each investment alternative that reduces
        the participant’s rate of return and the aggregate amount of such expenses expressed as a
        percentage of average net assets of the investment alternative.


       A copy of any prospectuses, financial statements and reports and materials relating to the
        available investment alternatives to the extent the information is provided to the plan.


       A list of assets comprising the portfolio of each investment alternative, the value of each such
        asset and, if the asset is a fixed rate investment contract, the name of the issuer, the term and
        the contract’s rate of return.


       Information on the value of shares or units held in the participant’s own account.


       Information on the value of shares or units in available investment alternatives and the past
        and current investment performance of the investment alternatives, net of expenses.



Multnomah Group, Inc.
Phone: (888) 559-0159
Fax: (800) 997-3010
www.multnomahgroup.com

Contenu connexe

En vedette

En vedette (9)

Making Sense of Fee Disclosure: a Participant's Perspective
Making Sense of Fee Disclosure: a Participant's PerspectiveMaking Sense of Fee Disclosure: a Participant's Perspective
Making Sense of Fee Disclosure: a Participant's Perspective
 
Personnel entrance
Personnel entrancePersonnel entrance
Personnel entrance
 
Conducting a Vendor Search Benefits & Best Practices
Conducting a Vendor Search Benefits & Best PracticesConducting a Vendor Search Benefits & Best Practices
Conducting a Vendor Search Benefits & Best Practices
 
Conducting a Vendor Search
Conducting a Vendor SearchConducting a Vendor Search
Conducting a Vendor Search
 
Fiduciary Responsibility, Delegation & Governance
Fiduciary Responsibility, Delegation & GovernanceFiduciary Responsibility, Delegation & Governance
Fiduciary Responsibility, Delegation & Governance
 
2013 Regulatory Update
2013 Regulatory Update2013 Regulatory Update
2013 Regulatory Update
 
The Fiscal Cliff: Crisis Averted
The Fiscal Cliff: Crisis AvertedThe Fiscal Cliff: Crisis Averted
The Fiscal Cliff: Crisis Averted
 
Correcting Plan Errors
Correcting Plan Errors Correcting Plan Errors
Correcting Plan Errors
 
Evaluating Target Date Funds
Evaluating Target Date FundsEvaluating Target Date Funds
Evaluating Target Date Funds
 

Plus de Multnomah Group, Inc.

Top Common Code Section 403(b) Problems and Solutions
Top Common Code Section 403(b) Problems and SolutionsTop Common Code Section 403(b) Problems and Solutions
Top Common Code Section 403(b) Problems and SolutionsMultnomah Group, Inc.
 
Retirement Plan Fees: Best Practices for Plan Sponsors
Retirement Plan Fees: Best Practices for Plan SponsorsRetirement Plan Fees: Best Practices for Plan Sponsors
Retirement Plan Fees: Best Practices for Plan SponsorsMultnomah Group, Inc.
 
Plan Design Trends in Higher Education
Plan Design Trends in Higher EducationPlan Design Trends in Higher Education
Plan Design Trends in Higher EducationMultnomah Group, Inc.
 
The Future of Low Risk Options in Defined Contribution Plans
The Future of Low Risk Options in Defined Contribution PlansThe Future of Low Risk Options in Defined Contribution Plans
The Future of Low Risk Options in Defined Contribution PlansMultnomah Group, Inc.
 
FAQ: ERISA's Fidelity Bonding Requirement
FAQ: ERISA's Fidelity Bonding RequirementFAQ: ERISA's Fidelity Bonding Requirement
FAQ: ERISA's Fidelity Bonding RequirementMultnomah Group, Inc.
 
Evaluating Target Date Fund Structure
Evaluating Target Date Fund StructureEvaluating Target Date Fund Structure
Evaluating Target Date Fund StructureMultnomah Group, Inc.
 
Best Practices for Ensuring Retirement Plan Fee Reasonableness
Best Practices for Ensuring Retirement Plan Fee ReasonablenessBest Practices for Ensuring Retirement Plan Fee Reasonableness
Best Practices for Ensuring Retirement Plan Fee ReasonablenessMultnomah Group, Inc.
 
Understanding Retirement Plan Fees & Expenses
Understanding Retirement Plan Fees & ExpensesUnderstanding Retirement Plan Fees & Expenses
Understanding Retirement Plan Fees & ExpensesMultnomah Group, Inc.
 
Improving Participant Outcomes Through Investment Menu Design
Improving Participant Outcomes Through Investment Menu DesignImproving Participant Outcomes Through Investment Menu Design
Improving Participant Outcomes Through Investment Menu DesignMultnomah Group, Inc.
 

Plus de Multnomah Group, Inc. (16)

Top Common Code Section 403(b) Problems and Solutions
Top Common Code Section 403(b) Problems and SolutionsTop Common Code Section 403(b) Problems and Solutions
Top Common Code Section 403(b) Problems and Solutions
 
Addressing Retirement Readiness
Addressing Retirement ReadinessAddressing Retirement Readiness
Addressing Retirement Readiness
 
Retirement Plan Fees: Best Practices for Plan Sponsors
Retirement Plan Fees: Best Practices for Plan SponsorsRetirement Plan Fees: Best Practices for Plan Sponsors
Retirement Plan Fees: Best Practices for Plan Sponsors
 
Plan Design Trends in Higher Education
Plan Design Trends in Higher EducationPlan Design Trends in Higher Education
Plan Design Trends in Higher Education
 
Investment Manager Selection
Investment Manager SelectionInvestment Manager Selection
Investment Manager Selection
 
The Future of Low Risk Options in Defined Contribution Plans
The Future of Low Risk Options in Defined Contribution PlansThe Future of Low Risk Options in Defined Contribution Plans
The Future of Low Risk Options in Defined Contribution Plans
 
457(f) Plans Overview
457(f) Plans Overview457(f) Plans Overview
457(f) Plans Overview
 
FAQ: Forfeiture Accounts
FAQ: Forfeiture AccountsFAQ: Forfeiture Accounts
FAQ: Forfeiture Accounts
 
FAQ: Fee Reasonableness
FAQ: Fee ReasonablenessFAQ: Fee Reasonableness
FAQ: Fee Reasonableness
 
FAQ: ERISA's Fidelity Bonding Requirement
FAQ: ERISA's Fidelity Bonding RequirementFAQ: ERISA's Fidelity Bonding Requirement
FAQ: ERISA's Fidelity Bonding Requirement
 
FAQ: Roth 403(b)
FAQ: Roth 403(b)FAQ: Roth 403(b)
FAQ: Roth 403(b)
 
FAQ: Roth 401(k)
FAQ: Roth 401(k)FAQ: Roth 401(k)
FAQ: Roth 401(k)
 
Evaluating Target Date Fund Structure
Evaluating Target Date Fund StructureEvaluating Target Date Fund Structure
Evaluating Target Date Fund Structure
 
Best Practices for Ensuring Retirement Plan Fee Reasonableness
Best Practices for Ensuring Retirement Plan Fee ReasonablenessBest Practices for Ensuring Retirement Plan Fee Reasonableness
Best Practices for Ensuring Retirement Plan Fee Reasonableness
 
Understanding Retirement Plan Fees & Expenses
Understanding Retirement Plan Fees & ExpensesUnderstanding Retirement Plan Fees & Expenses
Understanding Retirement Plan Fees & Expenses
 
Improving Participant Outcomes Through Investment Menu Design
Improving Participant Outcomes Through Investment Menu DesignImproving Participant Outcomes Through Investment Menu Design
Improving Participant Outcomes Through Investment Menu Design
 

Dernier

Uneak White's Personal Brand Exploration Presentation
Uneak White's Personal Brand Exploration PresentationUneak White's Personal Brand Exploration Presentation
Uneak White's Personal Brand Exploration Presentationuneakwhite
 
Falcon's Invoice Discounting: Your Path to Prosperity
Falcon's Invoice Discounting: Your Path to ProsperityFalcon's Invoice Discounting: Your Path to Prosperity
Falcon's Invoice Discounting: Your Path to Prosperityhemanthkumar470700
 
Cracking the Cultural Competence Code.pptx
Cracking the Cultural Competence Code.pptxCracking the Cultural Competence Code.pptx
Cracking the Cultural Competence Code.pptxWorkforce Group
 
Phases of Negotiation .pptx
 Phases of Negotiation .pptx Phases of Negotiation .pptx
Phases of Negotiation .pptxnandhinijagan9867
 
Malegaon Call Girls Service ☎ ️82500–77686 ☎️ Enjoy 24/7 Escort Service
Malegaon Call Girls Service ☎ ️82500–77686 ☎️ Enjoy 24/7 Escort ServiceMalegaon Call Girls Service ☎ ️82500–77686 ☎️ Enjoy 24/7 Escort Service
Malegaon Call Girls Service ☎ ️82500–77686 ☎️ Enjoy 24/7 Escort ServiceDamini Dixit
 
Chandigarh Escorts Service 📞8868886958📞 Just📲 Call Nihal Chandigarh Call Girl...
Chandigarh Escorts Service 📞8868886958📞 Just📲 Call Nihal Chandigarh Call Girl...Chandigarh Escorts Service 📞8868886958📞 Just📲 Call Nihal Chandigarh Call Girl...
Chandigarh Escorts Service 📞8868886958📞 Just📲 Call Nihal Chandigarh Call Girl...Sheetaleventcompany
 
Organizational Transformation Lead with Culture
Organizational Transformation Lead with CultureOrganizational Transformation Lead with Culture
Organizational Transformation Lead with CultureSeta Wicaksana
 
Value Proposition canvas- Customer needs and pains
Value Proposition canvas- Customer needs and painsValue Proposition canvas- Customer needs and pains
Value Proposition canvas- Customer needs and painsP&CO
 
The Path to Product Excellence: Avoiding Common Pitfalls and Enhancing Commun...
The Path to Product Excellence: Avoiding Common Pitfalls and Enhancing Commun...The Path to Product Excellence: Avoiding Common Pitfalls and Enhancing Commun...
The Path to Product Excellence: Avoiding Common Pitfalls and Enhancing Commun...Aggregage
 
Eluru Call Girls Service ☎ ️93326-06886 ❤️‍🔥 Enjoy 24/7 Escort Service
Eluru Call Girls Service ☎ ️93326-06886 ❤️‍🔥 Enjoy 24/7 Escort ServiceEluru Call Girls Service ☎ ️93326-06886 ❤️‍🔥 Enjoy 24/7 Escort Service
Eluru Call Girls Service ☎ ️93326-06886 ❤️‍🔥 Enjoy 24/7 Escort ServiceDamini Dixit
 
Business Model Canvas (BMC)- A new venture concept
Business Model Canvas (BMC)-  A new venture conceptBusiness Model Canvas (BMC)-  A new venture concept
Business Model Canvas (BMC)- A new venture conceptP&CO
 
FULL ENJOY Call Girls In Mahipalpur Delhi Contact Us 8377877756
FULL ENJOY Call Girls In Mahipalpur Delhi Contact Us 8377877756FULL ENJOY Call Girls In Mahipalpur Delhi Contact Us 8377877756
FULL ENJOY Call Girls In Mahipalpur Delhi Contact Us 8377877756dollysharma2066
 
Russian Call Girls In Gurgaon ❤️8448577510 ⊹Best Escorts Service In 24/7 Delh...
Russian Call Girls In Gurgaon ❤️8448577510 ⊹Best Escorts Service In 24/7 Delh...Russian Call Girls In Gurgaon ❤️8448577510 ⊹Best Escorts Service In 24/7 Delh...
Russian Call Girls In Gurgaon ❤️8448577510 ⊹Best Escorts Service In 24/7 Delh...lizamodels9
 
👉Chandigarh Call Girls 👉9878799926👉Just Call👉Chandigarh Call Girl In Chandiga...
👉Chandigarh Call Girls 👉9878799926👉Just Call👉Chandigarh Call Girl In Chandiga...👉Chandigarh Call Girls 👉9878799926👉Just Call👉Chandigarh Call Girl In Chandiga...
👉Chandigarh Call Girls 👉9878799926👉Just Call👉Chandigarh Call Girl In Chandiga...rajveerescorts2022
 
RSA Conference Exhibitor List 2024 - Exhibitors Data
RSA Conference Exhibitor List 2024 - Exhibitors DataRSA Conference Exhibitor List 2024 - Exhibitors Data
RSA Conference Exhibitor List 2024 - Exhibitors DataExhibitors Data
 
Mysore Call Girls 8617370543 WhatsApp Number 24x7 Best Services
Mysore Call Girls 8617370543 WhatsApp Number 24x7 Best ServicesMysore Call Girls 8617370543 WhatsApp Number 24x7 Best Services
Mysore Call Girls 8617370543 WhatsApp Number 24x7 Best ServicesDipal Arora
 
FULL ENJOY Call Girls In Majnu Ka Tilla, Delhi Contact Us 8377877756
FULL ENJOY Call Girls In Majnu Ka Tilla, Delhi Contact Us 8377877756FULL ENJOY Call Girls In Majnu Ka Tilla, Delhi Contact Us 8377877756
FULL ENJOY Call Girls In Majnu Ka Tilla, Delhi Contact Us 8377877756dollysharma2066
 
Famous Olympic Siblings from the 21st Century
Famous Olympic Siblings from the 21st CenturyFamous Olympic Siblings from the 21st Century
Famous Olympic Siblings from the 21st Centuryrwgiffor
 
BAGALUR CALL GIRL IN 98274*61493 ❤CALL GIRLS IN ESCORT SERVICE❤CALL GIRL
BAGALUR CALL GIRL IN 98274*61493 ❤CALL GIRLS IN ESCORT SERVICE❤CALL GIRLBAGALUR CALL GIRL IN 98274*61493 ❤CALL GIRLS IN ESCORT SERVICE❤CALL GIRL
BAGALUR CALL GIRL IN 98274*61493 ❤CALL GIRLS IN ESCORT SERVICE❤CALL GIRLkapoorjyoti4444
 

Dernier (20)

Uneak White's Personal Brand Exploration Presentation
Uneak White's Personal Brand Exploration PresentationUneak White's Personal Brand Exploration Presentation
Uneak White's Personal Brand Exploration Presentation
 
Falcon's Invoice Discounting: Your Path to Prosperity
Falcon's Invoice Discounting: Your Path to ProsperityFalcon's Invoice Discounting: Your Path to Prosperity
Falcon's Invoice Discounting: Your Path to Prosperity
 
Cracking the Cultural Competence Code.pptx
Cracking the Cultural Competence Code.pptxCracking the Cultural Competence Code.pptx
Cracking the Cultural Competence Code.pptx
 
Phases of Negotiation .pptx
 Phases of Negotiation .pptx Phases of Negotiation .pptx
Phases of Negotiation .pptx
 
Malegaon Call Girls Service ☎ ️82500–77686 ☎️ Enjoy 24/7 Escort Service
Malegaon Call Girls Service ☎ ️82500–77686 ☎️ Enjoy 24/7 Escort ServiceMalegaon Call Girls Service ☎ ️82500–77686 ☎️ Enjoy 24/7 Escort Service
Malegaon Call Girls Service ☎ ️82500–77686 ☎️ Enjoy 24/7 Escort Service
 
Chandigarh Escorts Service 📞8868886958📞 Just📲 Call Nihal Chandigarh Call Girl...
Chandigarh Escorts Service 📞8868886958📞 Just📲 Call Nihal Chandigarh Call Girl...Chandigarh Escorts Service 📞8868886958📞 Just📲 Call Nihal Chandigarh Call Girl...
Chandigarh Escorts Service 📞8868886958📞 Just📲 Call Nihal Chandigarh Call Girl...
 
Organizational Transformation Lead with Culture
Organizational Transformation Lead with CultureOrganizational Transformation Lead with Culture
Organizational Transformation Lead with Culture
 
Value Proposition canvas- Customer needs and pains
Value Proposition canvas- Customer needs and painsValue Proposition canvas- Customer needs and pains
Value Proposition canvas- Customer needs and pains
 
The Path to Product Excellence: Avoiding Common Pitfalls and Enhancing Commun...
The Path to Product Excellence: Avoiding Common Pitfalls and Enhancing Commun...The Path to Product Excellence: Avoiding Common Pitfalls and Enhancing Commun...
The Path to Product Excellence: Avoiding Common Pitfalls and Enhancing Commun...
 
Eluru Call Girls Service ☎ ️93326-06886 ❤️‍🔥 Enjoy 24/7 Escort Service
Eluru Call Girls Service ☎ ️93326-06886 ❤️‍🔥 Enjoy 24/7 Escort ServiceEluru Call Girls Service ☎ ️93326-06886 ❤️‍🔥 Enjoy 24/7 Escort Service
Eluru Call Girls Service ☎ ️93326-06886 ❤️‍🔥 Enjoy 24/7 Escort Service
 
Business Model Canvas (BMC)- A new venture concept
Business Model Canvas (BMC)-  A new venture conceptBusiness Model Canvas (BMC)-  A new venture concept
Business Model Canvas (BMC)- A new venture concept
 
FULL ENJOY Call Girls In Mahipalpur Delhi Contact Us 8377877756
FULL ENJOY Call Girls In Mahipalpur Delhi Contact Us 8377877756FULL ENJOY Call Girls In Mahipalpur Delhi Contact Us 8377877756
FULL ENJOY Call Girls In Mahipalpur Delhi Contact Us 8377877756
 
Russian Call Girls In Gurgaon ❤️8448577510 ⊹Best Escorts Service In 24/7 Delh...
Russian Call Girls In Gurgaon ❤️8448577510 ⊹Best Escorts Service In 24/7 Delh...Russian Call Girls In Gurgaon ❤️8448577510 ⊹Best Escorts Service In 24/7 Delh...
Russian Call Girls In Gurgaon ❤️8448577510 ⊹Best Escorts Service In 24/7 Delh...
 
👉Chandigarh Call Girls 👉9878799926👉Just Call👉Chandigarh Call Girl In Chandiga...
👉Chandigarh Call Girls 👉9878799926👉Just Call👉Chandigarh Call Girl In Chandiga...👉Chandigarh Call Girls 👉9878799926👉Just Call👉Chandigarh Call Girl In Chandiga...
👉Chandigarh Call Girls 👉9878799926👉Just Call👉Chandigarh Call Girl In Chandiga...
 
RSA Conference Exhibitor List 2024 - Exhibitors Data
RSA Conference Exhibitor List 2024 - Exhibitors DataRSA Conference Exhibitor List 2024 - Exhibitors Data
RSA Conference Exhibitor List 2024 - Exhibitors Data
 
Mysore Call Girls 8617370543 WhatsApp Number 24x7 Best Services
Mysore Call Girls 8617370543 WhatsApp Number 24x7 Best ServicesMysore Call Girls 8617370543 WhatsApp Number 24x7 Best Services
Mysore Call Girls 8617370543 WhatsApp Number 24x7 Best Services
 
Falcon Invoice Discounting platform in india
Falcon Invoice Discounting platform in indiaFalcon Invoice Discounting platform in india
Falcon Invoice Discounting platform in india
 
FULL ENJOY Call Girls In Majnu Ka Tilla, Delhi Contact Us 8377877756
FULL ENJOY Call Girls In Majnu Ka Tilla, Delhi Contact Us 8377877756FULL ENJOY Call Girls In Majnu Ka Tilla, Delhi Contact Us 8377877756
FULL ENJOY Call Girls In Majnu Ka Tilla, Delhi Contact Us 8377877756
 
Famous Olympic Siblings from the 21st Century
Famous Olympic Siblings from the 21st CenturyFamous Olympic Siblings from the 21st Century
Famous Olympic Siblings from the 21st Century
 
BAGALUR CALL GIRL IN 98274*61493 ❤CALL GIRLS IN ESCORT SERVICE❤CALL GIRL
BAGALUR CALL GIRL IN 98274*61493 ❤CALL GIRLS IN ESCORT SERVICE❤CALL GIRLBAGALUR CALL GIRL IN 98274*61493 ❤CALL GIRLS IN ESCORT SERVICE❤CALL GIRL
BAGALUR CALL GIRL IN 98274*61493 ❤CALL GIRLS IN ESCORT SERVICE❤CALL GIRL
 

Summary of ERISA 404(c) Requirements

  • 1. SUMM ARY OF ERISA SECTION 404(C) REQUIREMENTS Introduction ERISA section 404(c) (“404(c)”) applies to individual benefit account plans that are covered by Title I of ERISA. Should an employer choose to comply with 404(c), plan fiduciaries will not be liable for any losses on individual investments so long as: • The participant exercised control with respect to the transaction; and, • The investment losses were a result of investment instructions given by the participant. The 404(c) requirements can be met even if: • Only certain participants are able to exercise investment control (assuming this is not discriminatory); or, • Participants may only exercise investment control over a portion of their account balance. What follows below is a description of the 404(c) requirements and the information that either must be provided automatically or at the participant’s request. Requirements To be deemed to exercise investment control, the participant must give investment allocation instructions. The participant must also receive written confirmation of investment transactions, including investment allocation instructions. Allocation instructions must be given to an identified plan fiduciary. In turn, the plan fiduciary must give certain information to participants as follows. To avail themselves of 404(c) relief, plan fiduciaries must provide information that is sufficient to enable the participant to make informed investment decisions. The information that must be provided to participants includes: • A statement that the plan intends to follow 404(c). • An explanation that the plan fiduciaries may be relieved of liability as a result of their compliance.
  • 2. A description of each available investment alternative, preferably encouraging participants to review investment information. • A description of the investment objectives and risk and return characteristics of each investment, and information regarding the type and diversification of assets in the portfolio of the designated alternative. • The identity of all designated investment managers. • An explanation of how participants may give investment instructions, including limitations, restrictions, penalties or adjustments related to investment transfers. • A description of transaction fees charged to participants. • Information on indemnification of the plan fiduciary responsible for giving information on request. • Company stock information, if applicable. • A copy of the most recent prospectus. • Information related to the exercise of voting, tender, or similar rights to be executed by participants. These items must be provided before participants direct their investments. Participants must also be provided with certain information on request. This information includes: • A statement of the annual operating expenses of each designated investment alternative, including fees that reduce the rate of return expressed as a percentage of average net assets of the designated investment alternative. The prospectus may be sufficiant. • Copies of prospectuses, financial statements and reports related to the investment alternatives to the extent that this information has been provided to the plan. • A list of assets comprising the investment alternative portfolio, including plan assets and their value. If the investment has a fixed rate of return, the name of the issuer, the contact term and the rate of return must also be made available upon request. • The value of shares or units and past and current investment performance of each available alternative, minus expenses.
  • 3. The value of the shares or units held in the particular participant's account. These items must provided upon request with sufficient time for the participant to weigh it prior to making an investment decision. Even where 404(c) requirements are otherwise met, the plan fiduciary will not be relieved of investment liability when a participant’s investment direction would: • Violate the terms of the plan document. • Cause plan assets to be owned outside the United States. • Jeopardize tax qualified status of the plan. • Result in a loss in excess of the entire participant account balance. • Constitute or result in a prohibited transaction. Plan sponsors may decide not to implement a participant’s investment instructions that would cause these circumstances to arise and remain protected under 404(c). Additionally, participants must be given the opportunity to make changes their investment directives as often as the investment volatility may require. This principle is known as the “general volatility rule.” Specifically, participants must be able to change core investment alternatives (those that constitute a broad range of investment alternatives) at least every three months, subject to the general volatility rule. If an investment alternative permits changes more frequently than once every three months, at least one core investment must permit the same frequency of change. The investment alternative into which participants transfer must be income producing, low risk and liquid. Non-core investments are not subject to this three month requirement, but they are subject to general volatility rule. Finally, investment alternatives must be sufficiently diverse to permit participants a broad range of investment alternatives that provide participants the opportunity to affect the potential return and risk on their investments. Under this requirement, participants must be able to choose from at least three diversified investments that: • Have materially different risk and return characteristics. • Enable the participant to achieve appropriate relative aggregate risk and return.
  • 4. Tends to minimize the overall risk of the portfolio when combined with the other available alternatives. Participants must be given the opportunity to diversify the investments to minimize the risk of large losses, taking into account the nature of the plan and the size of participant accounts. Conclusion ERISA section 404(c) provides electing plan sponsors with a fiduciary liability shield against participant investment decisions so long as the requirements outlined above are met. The attached checklist may be used as a tool to assist plan sponsors in determining whether their plans are in proper compliance with 404(c).
  • 5. ERISA 404(C) COMPLI ANCE CHECKLIST The ERISA Section 404(c) Checklist below will help to ensure that your plan is complying with ERISA section 404(c). To the extent that your plan permits participants to exercise control over the assets in their individual accounts, you will not be liable for losses resulting from investment choices made by a participant if your plan elects to comply with ERISA section 404(c) and certain information is provided to participants. This protection does not extend to the selection of the investment lineup, default fund or to transactions involving voting, tender and similar rights to the extent those rights are not passed through to plan participants. Plan Requirements  The plan offers three or more funds that are diversified, have materially different risk and return characteristics, enable the participants to achieve aggregate risk and return characteristics within the range normally appropriate for each participant and enable participants to minimize risk through diversification.  Plan participants are given the opportunity to give investment instructions to an identified plan fiduciary who is obligated to comply with such instructions.  Plan participants are given the opportunity to make investment changes at least quarterly and with a frequency that is appropriate in light of market volatility. Disclosure Requirements The following information is provided to participants automatically:  An explanation that the plan is intended to be a section 404(c) plan;  An explanation that plan fiduciaries may be relieved of liability for any loss that is the direct and necessary result of investment instructions given by the participant.  An explanation of how participants may give investment instructions and any limitations on those instructions including restrictions on transfers and restrictions on the exercise of voting, tender, and similar rights.  A description of each of the investment alternatives including the type and diversification of assets, investment objectives and risk and return characteristics.  The identity of any designated investment managers.
  • 6. A description of any transaction fees and expenses chargeable against the participant’s account.  The name, address, and phone number of the plan fiduciary responsible for giving information upon request and a description of the information available upon request (see below).  A copy of the most recent prospectus provided to the plan for investment alternatives subject to the Securities Act of 1933 (this must be given immediately before or after an initial investment). The following information is being provided to participants upon request:  A description of the annual operating expenses of each investment alternative that reduces the participant’s rate of return and the aggregate amount of such expenses expressed as a percentage of average net assets of the investment alternative.  A copy of any prospectuses, financial statements and reports and materials relating to the available investment alternatives to the extent the information is provided to the plan.  A list of assets comprising the portfolio of each investment alternative, the value of each such asset and, if the asset is a fixed rate investment contract, the name of the issuer, the term and the contract’s rate of return.  Information on the value of shares or units held in the participant’s own account.  Information on the value of shares or units in available investment alternatives and the past and current investment performance of the investment alternatives, net of expenses. Multnomah Group, Inc. Phone: (888) 559-0159 Fax: (800) 997-3010 www.multnomahgroup.com