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Fiduciary Responsibilities And Risks — Presentation Transcript
1. Fiduciary Responsibilities and RiskMark D. Mensack, AIFA®Piedmont
Independent FiduciariesJoanne Szupka, CPARoland J. O’Brien, CPARobert A.
Lavenberg, CPA, JD, LL.MBDO USA, LLP
2. AGENDAFiduciary Risks & ResponsibilitiesChallenges to fulfilling
fiduciary obligationsTechniques to overcome these challenges
3. Who is a Fiduciary?“A fiduciary is someone who has undertaken to act for
and on behalf of another in a particular matter in circumstances which give rise
to a relationship of trust and confidence.” Bristol & West Building Society v
MathewA fiduciary is anyone “exercising any discretionary authority or control
regarding the management or disposition of plan assets…” ERISA §3(21)(A)
Fiduciary Responsibilities And Risksby Mensack on Feb 05, 2011
788views
An overview of the fiduciary responsibilities and risks facing 401k plan sponsors.
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4. Two General Types of FiduciariesNamed Fiduciary- Someone specifically
named in the plan document, or appointed by the plan sponsor.Functional
Fiduciary– Someone who acts in a fiduciary capacity based on their job duties
or responsibilities with respect to a plan.Individuals serving on investment
committees, selecting service providers to a plan, and/or having influence or
any discretionary authority over a plan are typically considered to be Functional
Fiduciaries.
5. Are you a Functional Fiduciary?Do you exercise authority, control, or
influence in managing the plan?Who chose the salesperson?Who chose the
product or service provider?Who chose the investment options in the plan?Who
selects, monitors, or replaces investment options?Do you ever tell a participant
how to invest their 401k?Do you ever approve a broker’s recommendations?
6. A FiduciaryFiduciary status is determined either:intentionally by being
specifically named or appointed; or unintentionally by the functions one
performsFunctions whereby one exercises authority, control or influence over
the plan are fiduciary functions:Hiring or firing service providersSelecting or
changing investment optionsMaking decisions, including approval of
recommendations
7. The ORC/Infogroup Survey August 19-23, 2010 60% of U.S. investors
mistakenly think that “insurance agents” have a fiduciary duty to their
clients.66% of U.S. investors are incorrect in thinking that stockbrokers are held
to a fiduciary duty.76% of investors are wrong in believing that “financial
advisors” – a term used by brokerage firms to describe their salespeople - are
held to a fiduciary duty.
8. Non-Fiduciary Service ProvidersRecord-keepersThird-Party Administrators
(TPA)AuditorsCPA’sStock Brokers = “Financial
Advisors/Consultants”Insurance Agents
9. Fiduciary Service ProvidersTrust CompanyRegistered Investment
AdvisorsNecessarily assumes non-ERISA fiduciary status under the Investment
Advisor’s Act of 1940Independent Fiduciaries who by contract assume:ERISA
3(21) Fiduciary StatusERISA 3(38) Fiduciary Status
10. Personal Liability IA fiduciary is personally liable for any losses the plan
incurs by reason of its breach. A fiduciary who has breached its duty is liable to
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restore to the plan any profits the fiduciary made through its use of plan assets
and for any other equitable or remedial relief deemed appropriate by the court,
including removal of the fiduciary. ERISA § 409The DOL can also access a
civil penalty against a fiduciary who breached its duty or any person who
knowingly participated in a breach in the amount of 20% of the amount
recovered in a settlement with the DOL or awarded in a civil suit. ERISA § 502
(l)
11. Personal Liability IILaRue vs. DeWolfe – February 20th, 2008 the Supreme
Court decided that individual employees can sue their employer for breach of
fiduciary responsibility.“The threat to employers from an explosion of suits is
real…I think it's meaningful for employers because it will open up the
flood gates with respect to litigation." Ken Raskin, White & CaseThe relative
benefit to a participant is small but meaningful and the plaintiff attorney stands
to reap a substantial pay day for his or her efforts especially with the courts
poised to award reasonable attorney's fees and costs according to ERISA
502(g)(1) regardless of the size of the claim. Fred Barstein, CEO of
401kExchange, Inc.
12. Newark Star-Ledger August 28th, 2010
13. A Breach of Fiduciary Responsibility could result in:Extinction-level event
for your firmNegative impact on the retirement security of your
employeesFinancial ruin for you and other firm leadershipCriminal penalties
including imprisonment:ERISA Section 501 contains criminal fines of up to
$5,000 with potential imprisonment of up to a year.Sarbanes-Oxley increased
these to a maximum of $100,000 with potential imprisonment of 10 years.
14. Fiduciary RiskFiduciary responsibility carries personal liability.There is no
“corporate veil” for fiduciaries.DOL Sanctions can be between 20%-50% of
plan assets.The 2008 LaRue decision permits individual participants to sue plan
sponsors for fiduciary breaches.The Plaintiff’s Bar sees over $3 trillion in US
401k assets.There are potential criminal penalties including imprisonment
15. What is Fiduciary Responsibility?Act solely in the interest of plan
participants and their beneficiaries and with the exclusive purpose of providing
benefits to them;Carry out your duties prudently;Follow the plan documents
(unless inconsistent with ERISA);Diversify plan investments; andPay only
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reasonable plan expenses. Fiduciary obligations are among the “highest known
to the law.” Brussian v. RJR Nabisco, 5th Circuit Court, 2000
16. ERISA Fiduciary Responsibility OverviewDuty of Prudence– A fiduciary
shall discharge his duties with respect to a plan solely in the interest of the
participants and beneficiaries :-with the care, skill, prudence, and diligence
under the circumstances then prevailing that a prudent man acting in a like
capacity and familiar with such matters would use in the conduct of an
enterprise of a like character and with like aims;ERISA § 404 (a)(i)(b)Duty of
Exclusive Purpose - “A fiduciary shall discharge his duties . . for the exclusive
purpose of:(i) providing benefits to participants and their beneficiaries; and(ii)
defraying reasonable expenses of administering the plan. . . .” ERISA §404(a)
(1)(A)
17. ERISA Fiduciary Responsibility OverviewDuty to Diversify – A fiduciary
must diversify investments so as to minimize the risk of large losses. Where
participants make the investment decisions, at least three diversified investment
option with materially different potential risk and reward characteristics must be
available. ERISA § 404 (a)(1)(C)Duty to follow plan documents unless contrary
to ERISA - A fiduciary must discharge his/her “duties in accordance with the
documents and instruments governing the plan insofar as such documents and
instruments are consistent with the provisions of Titles I and IV of
ERISA.ERISA §404(a)(1)(D)
18. ERISA Fiduciary Responsibility OverviewDuty to avoid Prohibited
Transactions ERISA 406 (a)(1)(c) prohibits all transactions between a plan and
a party in interest, and lists several specific transactions that constitute self-
dealing or a conflict of interest. Existing ERISA 408(b)(2) provides exemptions
to ERISA 406 (a)(1)(c) if three requirements are met:The service must be
necessary for the establishment or operation of the plan.The service must be
furnished under a contract that is reasonable.No more than reasonable
compensation may be paid for the service.
19. Reasonable Fees & Compensation“assure that the compensation paid
directly or indirectly by [a plan to a service provider] is reasonable, taking into
account the services provided to the plan as well as any other fees or
compensation received by [the service provider] in connection with the
investment of plan assets. The responsible plan fiduciaries therefore must obtain
sufficient information regarding any fees or other compensation that [the
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service provider] receives with respect to the plans investments….to make an
informed decision whether the [service providers] compensation for services is
no more than reasonable.” DOL - Frost (97-15A) and Aetna (97-16A)“engage
in an objective process designed to elicit information necessary to assess the
qualifications of the provider, the quality of services offered, and the
reasonableness of the fees charged in light of the services provided. . . such
process should be designed to avoid self-dealing, conflicts of interest or other
improper influence.”DOL Field Assistance Bulletin 2002-3 (Nov. 5, 2002)
20. Self-dealing, Conflicts of Interest or Other Improper Influence Affect
ExpensesPlan Sponsor – “We aren’t changing our service provider; we’re with
ABC Bank and we have our lending relationship there.”Firm selling 401k
products – We only provide our clients with 401k products that pay us for
“shelf space.”401k Product Provider – We only include mutual fund options on
our platform that pay us for “shelf space.”TPA – I recommend XYZ 401ks;
once we have $25 million with them they pay us an additional 10 bps
overrideSalesperson – I recommend investment options that pay me a higher
12b-1 fee.
21. Effect of Fees & CompensationAssume that you are an employee with 35
years until retirement and a current 401(k) account balance of $25,000. If
returns on investments in your account over the next 35 years average 7 percent
and fees and expenses reduce your average returns by 0.5 percent, your account
balance will grow to $227,000 at retirement, even if there are no further
contributions to your account. If fees and expenses are 1.5 percent, however,
your account balance will grow to only $163,000.The 1 percent difference in
fees and expenses would reduce your account balance at retirement by 28
percent.A Look at 401(k) Plan Fees, DOL,Employee Benefits Security
Administration
22. Rule 408(b)(2) Interim Final Service Provider DisclosureService providers
receiving at least $1,000 must:Disclose all direct and indirect compensation it,
or its affiliates or subcontractors, receives. Provide a description of the services
to be provided.Disclose whether they are providing any fiduciary services.Final
regulation is effective as of July 16, 2011 It also includes a class exemption
from the prohibited transaction provisions for a fiduciary who enters into a
contract without knowing that the service provider has failed to comply with its
disclosure obligations.
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23. Form 5500 Schedule CApplies to “large plans.” (100+ eligible Participants)
Compensation above $5000 is reportableCompensation TypesDirect – Paid
directly from the planIndirect – “Revenue Sharing,” investment management
fees, finder’s fees, float revenue, brokerage commissions, securities lending
revenue, etc.See section on Moral Hazard/Fallacy of Disclosure
24. Challenges to FulfillingFiduciary ObligationsFiduciary ExpectationMoral
Hazard / Fallacy of DisclosureRevenue Sharing
25. Fiduciary ExpectationAuditor says:There were no noteworthy issues found
during our audit.TPA says: You’ve passed your ADP & ACP testingBroker
says: Morningstar gives all of the plan’s funds at least three starsEmployees
say: We have no complaints about our 401kPlan Sponsor hears: I am fiduciarily
squared-away!
26. Fiduciary ExpectationFiduciary Non-fiduciaryTPA(service provider)Plan
SponsorHas all fiduciary responsibility and all potential liability.Recordkeeper
(service provider)CPA/Attorney(service provider)Consultant(s)(service
provider)Custodian(service provider)
27. Moral HazardMany types of 401k sales people offer fiduciary education,
advice or assistance, but then deny in writing fiduciary responsibility. For
example:ABC Firm and ABC Firm Financial Advisors do not provide tax or
legal advice, are not “fiduciaries” (under ERISA, the Internal Revenue Code or
otherwise) with respect to the services or activities described herein, and this
material was not intended or written to be used for the purpose of avoiding tax
penalties that may be imposed on the taxpayer. Individuals are urged to consult
their tax or legal advisor before establishing a retirement plan or to understand
the tax, ERISA and related consequences of any investments made under such
plan.The fine print on the “Fiduciary Warranties” offered by many 401k sales
people is similarly eviscerated, and provides little, if any, fiduciary protection.
Moral Hazard QUIZ
How many documents must a plan sponsor review in order to read all of the available information before adopting a group
annuity 401(k) plan?
(Lets assume there is just one mutual fund in the plan!)
What are the total number of pages in all of these documents?
How many of these pages address fees, compensation or potential conflicts of interest?
a) 2 / 127 / 6 b) 7 / 542 /56 c) 34 / 827 / 99
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Moral Hazard Quiz Answer: B
Prospectus – 72 pgs
9 pgs reference fees, compensation or conflicts of interests
SAI– 285 pgs
17 pgs reference fees, compensation or COIs
Annual Report – 44 pgs
6 pgs reference fees, compensation or COIs
Semi-Annual Report – 36 pgs
8 pgs reference fees, compensation or COIs
Group Annuity Contract – 33 pgs
5 pgs reference fees, compensation or COIs
Plan Level Documents – 58 pgs
9 pgs reference fees, compensation or COIs
Adm Service Agreement – 11 pgs
2 pgs reference fees, compensation or COIs
7 Documents
542 Pages
Moral Hazard
Found on one of 542 pages. Your plan assets spent on:
Payments for placement of funds on a Financial Intermediary’s list of mutual funds available for purchase by its
customers or for including funds within a group that receives special marketing focus or are placed on a “preferred list”;
“Due diligence” payments for a Financial Intermediary’s examination of the funds and payments for providing extra
employee training and information relating to the funds;
“Marketing support fees” for providing assistance in promoting the sale of fund shares;
Sponsorships of sales contests and promotions where participants receive prizes such as travel awards, merchandise, cash
or recognition; etc.
SAI Page 180 of 285
Revenue Sharing I
Revenue Sharing generally refers to a compensation practice in which money is paid to plan service providers out of the
401(k) investments, or by their managers (and affiliates.) It can be straightforward, hard to find, or hidden. Here are just
two types, the first of which is straightforward, and the second of which is sometimes harder to find:
12(b)(1) fees - Ongoing “trail” commission paid to sales company for distribution and service. Typically range between
0.25% - 1% and deducted from fund assets.
Sub-TA fees (Sub-Transfer Agency) – Asset-based fee and/or a per head fee and deducted from plan/fund assets. Intended
to pay for administration performed by an intermediary; e.g. record keeper or TPA.
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Revenue Sharing I
Mutual Fund Share Class
Revenue Sharing I
$11,141.18 $3,941.08
Revenue Sharing I
$7,726.30 Hard Dollar
$11,141.38 12(b)(1) fees
$3,941.08 Sub-TA fees
$22,808.76 Total (67.7% higher )
$15,082.46 Undisclosed by service provider
Revenue Sharing IIGroup Annuity Separate Accounts
“Insurance-company charges sometimes range as high as two to four percentage points annually. Added to management
fees of the underlying investments, typically mutual funds, "You can be looking at annual charges of 3% to 5.5%...”
Matthew D. Hutcheson
Keller Rohrback is investigating 401(k) and 403(b) variable annuity plans for charging excessive and unreasonable fees,
and engaging in self-dealing through revenue sharing kickback schemes with the mutual funds providers selected for the
plans.
www.erisafraud.com
Revenue Sharing II
Revenue Sharing IIGroup Annuity Separate Accounts
Expense Ratio of underlying fund* 0.26
Administrative Maintenance Charge 0.50
Sales & Service Fee 0.25
= Expense Ratio of Separate Account 1.01
Base Charge 0.60
Participant Fee 1.00
Total Cost 2.61%
*Vanguard Value Index Fund, Investor Share
Info provided by: David Wade, 401k Direct. Uncovering Hidden Fees in Insurance Company 401ks
Techniques to Overcome These Challenges
Prudent Process
Prudent Expert
Delegation – Fiduciary Line of Defense
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Finding Fiduciaries
Benchmarking
Total Retirement Outsourcing
Prudent ProcessInvestment Policy Statement
First step in Prudent Process
Most Fundamental Fiduciary Function
Supports the “paper trail.”
Keeps investment process intact during market volatility.
Provides working framework for fiduciaries
Sets guidelines for making investment decisions.
Negates “Monday morning quarterbacking.”
Prudent Process - Monitoring
Prudent Expert
“Unless they possess the necessary expertise to evaluate such factors, fiduciaries would need to obtain the advice of a
qualified, independent expert.”
DOL Reg. § 2509.95-1(c)(6)
“…where the trustees lack the requisite knowledge, experience and expertise to make the necessary decisions with respect
to investments, their fiduciary obligations require them to hire independent professional advisors.”
Liss v. Smith, 991 F.Supp. 278, 297 (S.D.N.Y. 1998)
Prudent ExpertERISA 3(21)(A)(ii)
Plan Sponsor
Recordkeeper
(service provider)
CPA/Attorney
(service provider)
TPA
(service provider)
Fiduciary Advisor
ERISA 3(21)(a)(ii)
Custodian
(service provider)
Fiduciary Delegation
ERISA section 402(c) allows for a plan sponsor to delegate fiduciary responsibility. A prudently selected and appointed
fiduciary can alleviate a plan sponsor from nearly all fiduciary liability. The one residual fiduciary responsibility is to
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monitor the performance of the appointed fiduciaries.
An Investment Manager under ERISA 3(38)
An Independent Fiduciary under ERISA 3(21)
Fiduciary DelegationERISA 3(38)
Plan Sponsor Fiduciary Line Non-Fiduciary
of Defense Service Providers
Plan Sponsor
Recordkeeper
(service provider)
CPA/Attorney
(service provider)
TPA
(service provider)
Formal Appointment
ERISA 3(38)
Investment Fiduciary
Custodian
(service provider)
Fiduciary DelegationERISA 3(21) Full Scope
Plan Sponsor Fiduciary Line Non-Fiduciary
of Defense Service Providers
ERISA 3(21)
Full Scope
Fiduciary
Plan Sponsor
Recordkeeper
(service provider)
CPA/Attorney
(service provider)
Formal Appointment
TPA
(service provider)
Formal Appointment
ERISA 3(38)
Investment Manager
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Custodian
(service provider)
Fiduciary Resources
www.e-Luminary.com
www.BrightScope.com
www.MyNRSP.com
SUMMARY
Identify & educate plan fiduciaries
Confirm in writing fiduciary & non-fiduciary service providers
Maintain a “Prudent Process”
Discover & evaluate all fees & compensation
Retain a Prudent Expert
Delegate to an Independent ERISA 3(38) or 3(21) Fiduciary
Monitor & Document
Fulfilling one’s fiduciary duties enhances the probability of retirement income security for one’s participants
Failure in fulfilling one’s fiduciary duties could be an extinction-level event for one’s firm, and financial ruin for the
fiduciary
Mark D. Mensack, AIFA®
Mark is a Managing Director and the Chief Ethics Officer of Piedmont Independent Fiduciaries, a Fee-only SEC
Registered Investment Advisory firm. With more than 15 years experience in financial services and a background in
ethical philosophy, Mark focuses on the ethical imperative of fiduciary responsibility to educate plan sponsors and other
fiduciaries on their fiduciary duties. As an independent fiduciary, Mark assumes ERISA 3(21)(a)(ii) and/or ERISA 3(38)
status in order to protect and enhance the retirement income security of retirement plan participants.
Piedmont Independent Fiduciaries
Managing Director,
Chief Ethics Officer
T: 856 528 9524
Joanne Szupka, CPA
Joanne Szupka has over 13 years of accounting experience with regional and national public accounting firms in areas of
employee benefit plans. She has been responsible for all areas related to audits and reviews of single employer,
multiemployer and multiple-employer sponsored plans, including defined benefit, defined contribution and health and
welfare benefit plans.
BDO USA, LLP
Assurance Manager,
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Employee Benefit Plan Specialist
T: (215) 636 – 5591
Roland J. O’Brien, CPA
Roland O’Brien has over 25 years of accounting experience with local, regional and national public accounting firms. He
has been responsible for all areas related to the audits and reviews of single employer, multiemployer and multiple-
employer sponsored plans, including employee benefits, qualified retirement, health and welfare and fringe benefits plans.
Roland has been responsible for creating and presenting technical training programs, as well as providing quality
assurance services related to employee benefit plans.
BDO USA, LLP
Director,
Employee Benefit Plan Practice
T: (215) 636-5778
Robert Lavenberg, CPA, JD, LL.M
Bob Lavenberg has more than 25 years of experience with the Employee Retirement Income Security Act of 1974
(ERISA) and related business advisory services. His expertise spans reporting, government compliance and assessment of
tax implications for plans, including employee benefits, qualified retirement, health, welfare, and fringe benefits. Bob
currently serves as the Chair of the AICPA Employee Benefit Plan Audit Quality Center Executive Committee and is a
former member of the AICPA Employee Benefit Plan Audit Expert Panel.
BDO USA, LLP
National Partner in Charge of Employee Benefit Plan Audit Quality, Chair of AICPA’s 403(b) Plan Audit Task Force
T: (212) 885-8313
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