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Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012 Tonya B. Manning, FSA IRS Actuary Employee Plans Jim O’Neill PBGC Actuary Corporate Finance and Restructuring Department (‘CFRD’)

Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

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Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012. Jim O’Neill PBGC Actuary Corporate Finance and Restructuring Department (‘CFRD’). Tonya B. Manning, FSA IRS Actuary Employee Plans. Update on Guidance & Review of Notice 2012-61. Update on Guidance. - PowerPoint PPT Presentation

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Page 1: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

Late Breaking Pension Developments2:00 – 3:00

MAAC Meeting – September 13, 2012

Tonya B. Manning, FSA

IRS Actuary

Employee Plans

Jim O’Neill

PBGC Actuary

Corporate Finance and Restructuring Department (‘CFRD’)

Page 2: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

Update on Guidance & Review of Notice 2012-61

Page 3: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

3

Update on Guidance

• Final § 430 regulations in clearance• Quarterly contributions

• Proposed § 430 / § 436 regulations have been

on hold; will begin working on these again• WRERA assets• Responses to comments• Mergers & spinoffs

• PRA 2010 2nd single-employer notice in

clearance• Delayed effective date plans• Benefit restrictions / frozen plan relief

Page 4: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

4

Update on Guidance

• Still working on Hybrid Plan regulations

• Working through difficult issues

• Regulations described in Notice 2011-85

regarding market rate of return not

effective for plan years beginning before

1-1-2014 (see Notice 2012-61)

• Finalizing Section 417(e) regulations

proposed in February 2012

Page 5: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

5

MAP-21 Key Provisions

• § 430(h)(2) provides two options for interest

rates:• Set of three segment rates described in § 430(h)(2)

(C)(i), (ii), and (iii), or

• A full yield curve described in § 430(h)(2)(D)(ii)

• MAP-21 adds § 430(h)(2)(C)(iv), which

establishes a corridor for the segment interest

rates

• The full yield curve is not adjusted for a

corridor (more later)

Page 6: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

6

Segment Rate Corridor

• Each segment rate described in

§ 430(h)(2)(C) is adjusted so that it

falls within a specified range

• Range based on an average of the

corresponding segment rates for the

25-year period ending on September

30 of the calendar year preceding the

first day of that plan year

Page 7: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

7

Segment Rate Corridor

If the plan year

begins in

Minimum

percentage

Maximum

percentage

2012 90% 110%

2013 85% 115%

2014 80% 120%

2015 75% 125%

2016+ 70% 130%

Page 8: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

8

Notice 2012-61

• Issued September 11, 2012

• Provides guidance on the special

rules relating to pension funding

stabilization for single-employer

defined benefit plans made by

MAP-21

Page 9: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

9

Where do MAP-21 Rates Apply?

• Calculation of minimum required contribution (MRC) under § 430:• Target normal cost and funding target

• Calculation of the present value of remaining shortfall and waiver amortization installments for purposes of determining any shortfall amortization base for plan year

• Determination of shortfall and waiver amortization installments, and

• Limitation on the assumed rate of return for purposes of determining the average value of assets under § 430(g)(3)(B)

Page 10: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

10

Where do MAP-21 Rates Apply?

• Applying the benefit restrictions under § 436:• Adjusted funding target

• Adjusted plan assets

• Resulting adjusted funding target attainment percentage (AFTAP)

• MRC for plans subject to sections 104 or 105 of PPA ’06 • Determined reflecting MAP-21 adjustments to 3rd

segment rate (§ 430(h)(2)(C)(iv))

Page 11: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

11

Where do MAP-21 Rates NOT Apply?

• Maximum deductible amount under § 404(o)

• Minimum present value (including lump sums)

under § 417(e)(3)

• Amount of excess assets that can be

transferred to retiree health accounts under

§ 420

• Calculation of FTAP to determine if

information must be reported to PBGC under

§ 4010 of ERISA

Page 12: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

12

Determination of At-Risk Status

• The determination of whether a plan is in

at-risk status is made separately for purposes

for which MAP-21 segment rates do and

do not apply• Determination based on interest rates used to

calculate the funding target for that specific purpose for the preceding plan year

• Possible result: • Plan may be in at-risk status for calculations under

404(o), but • Plan may NOT be in at-risk status for determining

the MRC

Page 13: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

13

Annuity Substitution Rule

• Annuity substitution rule under

§ 1.430(d)-1(f)(4)(iii)

• Requires lump sums which are

based on § 417(e) minimum present

value requirements to generally be

valued as the present value of the

underlying annuity

• Underlying annuities are valued

using § 430 rates

Page 14: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

14

Annuity Substitution Rule

• Although the application of the MAP-21

corridors increases the difference between

the § 417(e) interest rates and § 430 segment

rates in the short term, the annuity

substitution rule for valuing lump sums is

unchanged

Page 15: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

15

How MAP-21 Affects Assets

• Adjusting contributions receivable discounted using prior year’s effective interest rate• If MAP-21 first applies for 2012, then affects assets

for 2013+

• Determination of average value of assets (AVA) • May be affected MAP-21 due to cap on expected

return by the 3rd segment rate

• Can affect AVA, even if the funding target is calculated using the full yield curve

Page 16: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

16

How MAP-21 Affects Assets

• Option for § 404(o) asset value

• If 3rd segment rate (after application

of MAP-21 collar) > unadjusted 3rd

segment rate, plan may elect to use

§ 430 asset value for § 404(o)

calculations

• No similar rule for asset value for

§ 420 purposes

Page 17: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

17

Hybrid Plans

• Hybrid plan regulations regarding

market rate of return are not yet final

• The IRS has not yet decided which

rate should apply if currently use

segment rates as rate of return:• Segment rates ignoring MAP-21, or• MAP-21 segment rates (rates after

reflecting MAP-21 corridor)

Page 18: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

18

Hybrid Plans

• No guidance expected until hybrid plan regulations are finalized • Final regulations will not be effective for plan years

beginning before January 1, 2014

• If final regulations provide that the MAP-21 rates exceed a market rate of return• Plan will have to change back to rates ignoring

MAP-21

• May raise § 411(d)(6) issues

Page 19: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

19

Section 436 Issues

• Presumption rules not changed

• If AFTAP has not yet been certified, just

certify with MAP-21 rates (unless elected to

delay MAP-21 for § 436 until 2013)

• If AFTAP already certified before MAP-21,

may re-certify:• Retroactively to the date of the original certification,

or• Prospectively, to the earlier of October 1, 2012, or

the date of the re-certification

Page 20: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

20

Section 436 Issues

• Initial certifications made after

9/30/2012:

• Are presumed to be done with

knowledge of MAP-21 and Notice

2012-61, and

• Material change and irrevocability

rules apply

Page 21: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

21

Section 436 Issues

• Retroactive Application / Recertification• Correct distributions back to first

certification• May reverse credit balance elections that

were made by 9/30/2012 if it does not cause an unpaid MRC or unpaid required quarterly contribution

• § 436 contributions that are no longer needed due to application of MAP-21 are applied to MRC

Excess may be added to the prefunding balance

Page 22: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

22

Section 436 Issues

• Prospective Application / Recertification

• Only change operations going forward,

beginning with the earlier of date of

re-certification or 10/1/2012

• For certifications made before 9/30/2012

and re-certified before 12/31/2012,

deemed immaterial regardless of plan year

Page 23: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

23

Section 436 Issues

• Prospective Application / Recertification

• If UCEB or plan amendments were not initially allowed, but AFTAP increases later in the plan year so that they are, they must be retroactively allowed

• May NOT reverse credit balance elections previously made

• May NOT apply § 436 contributions already made to cover the MRC

Page 24: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

24

Elections

• Election to delay effective date to 2013 not

required until filing due date (with extensions) of

2012 Form 5500

• Same timing requirement for election to change

designation of contributions from 2011 to 2012

• But, may need to make decisions earlier if• Decision would affect operation under § 436, or• Need to recertify by 12/31/2012 to use “deemed

immaterial” rule

• Elections to reverse funding balance elections

must be made by the end of the plan year

Page 25: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

25

Election to Change from Full Yield Curve to Segment Rates

• Plans using the full yield curve do not

receive ‘funding relief’ under MAP-21

• Such plans, however, may change

from the full yield curve to segment

rates (and thus, obtain relief under

MAP-21) without requiring approval

• Election must be made for the “first year”

MAP-21 applies in order to be eligible for

‘automatic approval’

Page 26: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

26

Election to Change from Full Yield Curve to Segment Rates

• Election must be made in writing to the EA and plan administrator by July 5, 2013, regardless of whether 2012 or 2013 is the “first year” MAP-21 applies

• If election to change to segment rates is made and MAP-21 first applies for § 430 in 2012, but does not apply until 2013 for § 436, then for 2012:• Segment rates are used for § 430• The full yield curve is used for § 436

Page 27: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

27

Transition Issues

• Application of MAP-21 may retroactively

change quarterly contributions

• Can change contributions originally

designated for 2011 plan year that were

made in the 2012 plan year to be

designated for the 2012 plan year

• NOTE: This is an exception to the

general position of the IRS

Page 28: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

28

Transition Issues

• May reverse elections to reduce

credit balances as long as this

does not

• Result in new restrictions under

§ 436, or

• Result in an unpaid MRC

• May not change elections already

made to USE credit balances

Page 29: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

29

Strange, but True

• MAP-21 may actually increase the MRC

• Happens if the resulting decrease in the funding target causes the plan to be exempt from establishing a shortfall amortization (gain) base

Page 30: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

30

Other Issues

• Must recalculate AFTAP for plan

years beginning in 2012 unless

MAP-21 is deferred to 2013 for

§ 436

Page 31: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

Page 31

Late Breaking Pension Developments

Page 32: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

Page 32

Agenda

• MAP-21 Changes to PBGC Premiums

• MAP-21 Changes to PBGC Governance

• Recent Technical Guidance on MAP-21

• Brief Introduction to CFRD and the Role of PBGC Actuaries

Page 33: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

Page 33

PBGC Premiums

• No Changes in Flat or Variable Premium Rates for 2012

• Flat-rate premiums Increase for 2013– Single-employer plans - $42 per participant (increased from $35)– Multiemployer plans - $12 per participant (increased from $9)

• Flat-rate premiums Increase for 2014– Single-employer plans - $49 per participant– Multiemployer plans – 2013 premium rate indexed for inflation• Flat-rate premiums Increased for Increases in National Average

Wages (‘NAW’) for 2015 and beyond

Page 34: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

Page 34

PBGC Premiums

• Current Variable Rate Premium is $9 per $1,000 of unfunded vested benefits (UVBs). Changes for 2013 and beyond:

• Indexing– Rate will be indexed similar to how flat-rate premiums are already indexed.– First possible increase due to indexing in VRP is 2013

• Variable-rate premiums Increase for 2014 and 2015– For 2014, the $9 base rate gets 2 years of indexing adjustment and then it is

increased by $4.– For 2015, the 2014 rate gets 1 year of indexing adjustment and then it is

increased by $5.• Maximum VRP is $400 times the # of participants. The $400 rate

is also indexed after 2013.

Page 35: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

Page 3535

PBGC Premiums

• Summary of MAP-21 changes to Single-Employer Premiums (assuming no indexing)

Current Law MAP-21

Flat VRP Flat VRP

2012 $35 $9 per $1,000 UVB $35 $9 per $1,000 UVB

2013 $35 $9 per $1,000 UVB $42$9 per $1,000 UVBcapped at $400 x P-

count

2014 $35 $9 per $1,000 UVB $49$13 per $1,000 UVB capped at $400 x P-

count

2015 $35 $9 per $1,000 UVB $49 $18 per $1,000 UVBcapped at $400 x P-

count

Page 36: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

Page 3636

PBGC Premiums

• Single-employer premium rates assuming 3% increase in NAW:

YearFlat-rate Premium Variable-Rate Premium

Rate per Participant Rate per $1,000 of unfunded vested benefits Per participant cap

2012 $35 $9 N/A

2013 $42 $9 $400

2014 $49 $14 $412

2015 $50 $19 $424

2016 $52 $20 $437

2017 $54 $21 $450

2018 $55 $21 $464

2019 $57 $22 $478

2010 $59 $23 $492

2011 $60 $23 $507

Page 37: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

Page 37

PBGC Governance Changes

• Specified Board meeting frequency and procedures.

• Authorizes Board to hire own staff or consultants– National Academy of Public Administration to make recommend

Board composition , procedures and policies to enhance Congressional oversight.

• Gives PBGC inspector general direct access to the Board

• Clarifies the role of the PBGC General Counsel

• Establishes a PBGC risk-management officer

• Sets rules on conflict of interest with respect to the Board and Director

• Places a maximum five year limit on Director’s term

Page 38: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

Page 38

PBGC Governance Changes

• Participant and Plan Sponsor Advocate– Liaison between PBGC, plan sponsors and participants– Must report to Congress annually

• Independent Peer Review of PBGC single-employer and multiemployer insurance modeling systems

– SSA is a possible independent reviewer– Provide written review policies and procedures for all modeling and

actuarial work and conduct a record management review.• Repeals PBGC’s $100 Million line of credit

Page 39: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

Page 39

Recent PBGC Guidance

• PBGC has recently released the following guidance;– PBGC Technical Update 12-1 (Premiums)– PBGC Technical Update 12-2 (4010 filing)

• PBGC Technical Update 12-1– MAP-21 Stabilized Rates do not apply to Variable-Rate Premium– Both standard and alternate premium funding target must use the pre-

stabilized rates.– Only use at-risk assumptions for premium funding target purposes if plan

is at-risk for minimum funding purposes– Assets used for variable-rate premium are market value of assets with

prior plan year contributions discounted as done for minimum funding purposes.

Page 40: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

Page 40

Recent PBGC Guidance

• PBGC Technical Update 12-2– MAP-21 Stabilized Rates do not apply for 4010 gateway test per IRS

notice 2012-61. However, PBGC has waived reporting requirement in cases where FTAP is greater than 80% if assets used for minimum funding purposes are used in numerator to determine FTAP

– Under § 4010.11(a), reporting triggered by having an FTAP below 80 percent is waived if the aggregate 4010 funding shortfall for the controlled group does not exceed $15 million. This shortfall is determined using same assumptions and asset value as for minimum funding purposes.

– Under § 4010.8(c), a plan is exempt from reporting actuarial information if, among other criteria, it has a 4010 funding shortfall that does not exceed $15 million. This shortfall is also determined using same assumptions and asset value as for minimum funding purposes.

– The data to be reported under § 4010.8(a)(11) are the amounts used to determine the minimum funding requirement for the plan year ending within the information year.

Page 41: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

Page 41

Introduction to CFRD

The Corporate Finance and Restructuring Department (“CFRD”) has two main mission objectives:

MITIGATE RISK Promptly identify and

monitor risks to the pension insurance

program and obtain protection as appropriate

MAXIMIZE RECOVERY

Maximize recoveries from failed companies

for the liability that arises when a pension

plan terminates

Page 42: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

Page 42

Tools for Mitigating Risk

• CFRD focuses efforts on risk mitigation to obtain protection for pension plans in order to prevent plan terminations

• We strive to protect the promised benefits to participants (both guaranteed and non-guaranteed)

• Tools for mitigating risk include:– Early Warning Program

– Participant Reductions Due to Cessation of Operations

– Statutory Liens for Missed Contributions

– Minimum Funding Waivers

Page 43: Late Breaking Pension Developments 2:00 – 3:00 MAAC Meeting – September 13, 2012

Page 43

Role of PBGC Actuaries

• Risk Mitigation– Measurement of PBGC exposure

– 4062(e) liability estimation

– Funding waiver analysis

– Negotiations with Plan Sponsor

• Recovery Maximization– Bankruptcy claim calculations

– Statutory Lien calculations

– Negotiations with Plan Sponsor