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The IRS Wants You! Are You in Compliance? prepared for Pennsylvania Association of Public Employees Retirement Systems - 12 th Annual Fall Workshop November 2018 presented by John A. Nixon, Partner 2010 Duane Morris LLP. All Rights Reserved. Duane Morris is a registered service mark of Duane Morris LLP. Duane Morris Firm and Affiliate Offices New York London Singapore Los Angeles Chicago Houston Hanoi Philadelphia San Diego San Francisco Baltimore Boston Washington, D.C. Las Vegas Atlanta Miami Pittsburgh Newark Boca Raton Wilmington Cherry Hill Princeton Lake Tahoe Ho Chi Minh City Duane Morris LLP A Delaware limited liability partnership DM2/9409452.1

IRS Plan Audit - Why Us Adverse Press Reports Member Requests - Retiree Association - Represented Members No Determination Letter 1

What are the Stakes? Disqualification Political Embarrassment Penalties via Audit Cap under Employee Plan Compliance Resolution System, IRS Rev. Proc. 2016-56 2

EPCRS Audit Cap/VCP Fee Under the old EPCRS the penality used to be calculated based on Maximum Payment Amount. The term "Maximum Payment Amount is defined as a monetary amount that is approximately equal to the tax the Service could collect upon plan disqualification and is the sum for the open taxable years of the: - tax on the trust... - additional income tax resulting from income inclusion for participants in the plan and (including the tax on plan rollovers) and any interest or penalties applicable to the participants returns, Sec. 5.01(5), Rev. Proc. 2008-50 Floor is typically VCP Fees Schedule, Sec. 14.01, Rev. Proc. 2016-51 3

Under Rev. Proc. 2015-51, penalties are lowered. Penalty is based on facts and circumstances taking into account the following factors: the steps taken by the Plan Sponsor to ensure that the plan had no failures; the steps taken by the Plan Sponsor to identify failures that may have occurred; the extent to which correction had progressed before the examination was initiated, including full correction; the number and type of employees affected by the failure; 4

the number of nonhighly compensated employees who would be adversely affected if the plan disqualified; whether the failure is solely an Employer Eligibility Failure; the period over which the failure occurred (for example, the time that has elapsed since the end of the applicable remedial amendment period under 401(b) for a Plan Document Failure); the reason for the failure (for example, data errors such as errors in transcription of data, the transposition of numbers, or minor arithmetic errors), and the Maximum Payment Amount. Sec. 14.02, Rev. Proc. 2016-51 5

Additional factors for Nonamender Failures in Qualified Plans. The factors considered for Nonamender Failures in Qualified Plans also include: whether the plan is the subject of a Favorable Letter; the internal controls implemented by the Plan Sponsor to ensure the timely adoption of required amendments; the extent to which the Plan Sponsor had adopted a timely plan amendment which later is found not to satisfy the qualification requirements of the Code; the extent to which the Plan Sponsor had otherwise adopted applicable amendments identified; or determined that such amendments were not necessary. Rev. Proc. 2016-51 Sec. 14.02 6

Process Initial Letter (Exhibit A) Develop Strategy Meeting with the IRS Representatives Information Document Requests ( IDRs ) Q & As; Preliminary findings; Discussion; Negotiation Resolution 7

Strategy Cooperation, Compromise or Conflict Identify contact points The Information Document Request ( IDR ) Interaction with the Agent Communications with Interested Parties - to sponsor - to board - to membership 8

Contact Points IRS Examiner Regional Coordinator Legal Actuary Computer Audit Specialist Fund Executive Director Benefits Administrator General Counsel Outside Counsel Actuary Information Services 9

Information Document Requests IRS Form 4564 - Key to the Audit Process The IDR is the IRS s primary information gathering tool (Exhibit B) Response time is typically two weeks. Initial information may be provided in an onsite document room IDRs will seek specific documents, data responses to specific questions 10

Responding to IDRs Plan documents - ANYTHING that governs the terms of the plan; statute, regulations, resolutions, actuarial assumptions Plan data Benefit calculations, distribution data and forms, participant information, comp data, etc. Process data how is information communicated from employer to fund, from fund to member Respond in Writing, ALWAYS 11

Responding to IDRs But note, Audit Examinations differ from Qualification Examination. Counsel can refuse to respond to certain requests based on: Attorney-Client Privilege Attorney work doctrine Outside of Scope of IRS Authority (Exhibit D) - Information regarding Trustees - Investment Documents Unreasonable Requests Legal Arguments 12

Dealing with the Agent Respect, Respect, Respect!! Remember, you both want this to end soon. Contact points: Good Cop - Exec. Director, Benefits Administrator Bad Cop Outside Counsel Counsel must frame a narrative and ADVOCATE, not merely respond to requests 13

Communication with Interested Parties Notifying your Board Executive Session Is examination subject to Sunshine? Give complete picture of potential exposure Notifying the Sponsor Notifying the Members Who is the Client? 14

Areas of Potential Exposure Required Minimum Distributions Compensation in excess of 401(a)(17) limits Eligibility problems 415(b) violations Improper cash or deferred arrangements Normal Retirement Age definitions Overpayments or Underpayments 15

Resolution EPCRS sets the floor and under the VCP fee schedule, the best case scenario unless there is a finding of compliance. VCP Fees Under $500,000 in plan assets - $1,500 Between $500,000 and $10,000 - $3,000 Over $10,000,000 - $3,500. Rev. Proc. 2018-04. 16