Plan Sponsors Can Reset Disclosure Date

July 22, 2013 ( – Retirement plan sponsors can reset their annual due date for providing participant fee disclosures under relief provided by the U.S. Department of Labor.

A temporary enforcement policy will allow plan sponsors to reset the timing for the annual distribution of the investment comparative chart that they are required to furnish to plan participants. Most plans must furnish this year’s annual comparative chart no later than August 30, 2013. 

Under the enforcement policy contained in Field Assistance Bulletin 2013-02, plan administrators may reset the deadline one time, for either the 2013 or the 2014 comparative chart, if the responsible plan fiduciary determines that doing so will benefit the plan’s participants and beneficiaries and provided that no more than 18 months may pass before participants receive their next comparative chart. This enforcement policy does not alter a plan administrator’s obligations under the regulation to timely update the investment information that is available at the plan’s internet address or to notify participants about changes to investment information, such as a new plan investment option. 

“We are announcing this policy in response to requests from a number of employers who say it will be better for their workers if the comparative chart could be mailed out a little later in the year along with other disclosures (see “Guidance Requested for Fee Disclosure Deadlines”). But, otherwise, all the protections in the rule stay in place,” said Assistant Secretary for Employee Benefits Security Phyllis C. Borzi.

The department’s participant-level fee disclosure regulation—implemented last year—requires that administrators of defined contribution retirement plans disclose information about plan investment options, such as fee and performance information, to participants and beneficiaries at least annually. Plans operating on a calendar year had to furnish their first chart no later than August 30, 2012, and their second chart is due no later than August 30, 2013. Many other plan disclosures, however, such as pension benefit statements, are disclosed later in the calendar year. Permitting a one-time “re-set” of the deadline will allow plan administrators to align the comparative chart with other participant disclosures.

Read FAB 2013-02 at