The 401(k) plan has emerged
as the most popular form of retirement plan in the United States. This
trend will likely continue for some time for a number of reasons. One is
the cost savings to employers, since deferral contributions are paid by
employees. Another is the fact that 401(k) plans are more easily
understood than traditional retirement plans and consequently more
appreciated by employees.
One aspect of 401(k) plans that is not so easily understood is the
annual contribution nondiscrimination testing. This article will review
the mechanics of this required testing and correction methods for failed
tests.
Highly Compensated Employees
Every 401(k) plan, other than "SIMPLE" plans, "Safe Harbor" plans or
"Qualified Automatic Contribution Arrangements," requires an annual test
to prevent discrimination in favor of the group of employees referred to
as "highly compensated employees" (HCEs). Employees who fall into the
following two categories are considered to be HCEs:
- An owner of more than 5% of the employer in the testing year or the
previous year (family stock attribution rules apply which treat an
individual as owning stock owned by his spouse, children, grandchildren
or parents), or
- An employee who received compensation in excess of a specified limit
from the employer in the previous year (e.g., employees who earned more
than $100,000 in 2007 will be considered HCEs in 2008). The employer may
elect that this group be limited to the top 20% of employees based on
compensation.
401(k) Nondiscrimination Testing
The nondiscrimination rules require average deferrals and average
contributions for the HCE group to be within a certain range of the
average deferrals and contributions for the "non-highly compensated
employee" (NHCE) group.
Testing of employee deferrals is referred to as the ADP test (Average
Deferral Percentage). The ACP test (Average Contribution Percentage)
includes the employer match contributions, employee voluntary after-tax
contributions and certain forfeitures allocated on the basis of deferrals
or matching contributions.
Each participant’s deferral or contribution percentage is determined by
dividing the applicable deferral or contributions by the compensation
defined in the plan document. Averages are then determined for the HCE and
NHCE groups by dividing the sum of the deferral or contribution
percentages by the number of employees in the group. Below is an example
of the ADP determination:
| Employee |
Compensation |
Deferral |
ADP |
| HCE 1 |
$200,000 |
$12,000 |
6.00% |
| HCE 2 |
110,000 |
5,500 |
5.00% |
| HCE Total: |
11.00% |
| HCE Average (11.00% ÷
2): |
5.50% |
| NHCE 1 |
50,000 |
4,000 |
8.00% |
| NHCE 2 |
40,000 |
2,000 |
5.00% |
| NHCE 3 |
30,000 |
0 |
0.00% |
| NHCE 4 |
20,000 |
800 |
4.00% |
| NHCE Total: |
17.00% |
| NHCE Average (17.00%
÷ 4): |
4.25% |
The HCEs’ average may only exceed the NHCEs’ average (for both the ADP
and ACP tests) by specific limits summarized as follows:
NHCE Percentage |
|
Maximum HCE
Percentage |
| 2% or less |
|
NHCE % x 2 |
| 2% - 8% |
|
NHCE % + 2 |
| more than 8% |
|
NHCE % x
1.25 |
In the above example, the maximum ADP of the HCE group is 6.25% (the
NHCE average of 4.25% plus 2%). The test passes since the ADP of the HCE
group is 5.50% which is less than the 6.25% maximum.
Catch-up contributions (available to participants who are age 50 or
older if permitted by the plan) that exceed a statutory limit or
plan-imposed limit are not included in performing the ADP test. Also,
compensation for plan purposes is subject to an annual limit ($225,000 for
2007 and $230,000 for 2008). For example, assume Harry earned $300,000 in
2007 and deferred $20,500 (the maximum deferral of $15,500 for 2007 plus
the maximum catch-up contribution of $5,000). His deferral percentage is
calculated by dividing $15,500 (his deferral without the catch-up
contribution) by $225,000 (the compensation limit for 2007).
Employees Included in Testing
In performing the ADP test, all active and terminated employees
eligible to defer at any time during the plan year are included, whether
or not they actually made a deferral.
The following employees are included in the ACP test, regardless of
whether they received matching contributions or made after-tax
contributions:
- Active employees who have met the plan’s requirements to receive a
match as of the plan year-end being tested (e.g., if the plan requires
active employees to have more than 500 hours of service during the plan
year in order to receive matching contributions, employees with less
than 501 hours are not included);
- Employees who terminated during the plan year being tested if they
met the plan’s requirements to receive a match (e.g., if the plan
requires 1,000 hours of service and/or employment on the last day of the
plan year, employees who have not met these requirements are not
included); and
- All employees eligible to make voluntary after-tax contributions at
any time during the plan year.
Plans that allow employees to participate before they reach age 21 or
complete one year of service are permitted to exclude such employees from
the test if they are NHCEs.
If the plan covers both union and non-union employees, each group must
be tested separately.
Related Companies
Employees who work for a "related" company may also have to be
considered. Related companies are either part of a "controlled group of
corporations" or an "affiliated service group." Whenever an individual who
owns any portion of the sponsoring employer buys into another business,
the plan’s advisors should be notified so a controlled group determination
can be made. The same applies if another company works together with the
employer to provide services to each other or to third parties which could
constitute an affiliated service group. These circumstances create
important issues that could affect the qualification of the plan.
Testing Methods
Two testing methods are permitted. The first method is current year
testing where current year deferral and contribution percentages are used
to compare the percentages of both HCEs and NHCEs.
The other method is prior year testing where the deferral and
contribution percentages for NHCEs in the prior year are compared with HCE
deferral and contribution percentages in the current year. The prior year
testing method gives employers the ADP and ACP limits for the HCEs in
advance, which reduces the chance of a failed test at year-end and the
need for taxable refunds or other corrective measures.
Whichever testing method is chosen, regulations require it to be
specified in the plan document. The testing method may only be changed by
amendment, subject to certain restrictions on changing from current year
to prior year testing.
Mechanics of Prior Year Testing
In the first year of a 401(k) plan, or the first year 401(k) provisions
are effective in an existing plan, a special rule applies since there are
no prior year percentages to use for the test. The employer can assume a
prior year percentage for the NHCEs of 3% for both the ADP and ACP tests
or use the actual results of the first year’s test.
The second year, the maximum HCE percentage will be based on the NHCE
percentage from the first year. At the end of the second year the test
will be performed which will be used for two purposes:
- The average HCE percentage will be compared to the maximum permitted
average percentage (based on the NHCE percentage from the first year) to
verify that the maximum was not exceeded, and
- The NHCE average percentage will be used to determine the maximum
average HCE percentage for the third year.
Correcting Test Failures
Plans that do not pass the ADP and/or ACP tests must take some action,
such as making corrective distributions or additional employer
contributions.
Refund Deferrals/Matching Contributions
The most common method used to correct a failed ADP or ACP test is to
make corrective distributions of the excess deferrals or contributions,
plus earnings (in some cases, forfeiture of matching contributions may be
required).
Corrective distribution amounts (determined by a required leveling
method) are allocated among the HCEs based on the dollar amount of their
deferrals or contributions. If the plan permits catch-up contributions and
the participant is 50 or older and has unused catch-up contributions
remaining, the ADP refund is first offset by the unused catch-up
contributions.
These distributions must be made within 2½ months of the plan year-end
in order to avoid a 10% penalty (this deadline is extended to six months
for plans that meet the eligible automatic contribution arrangement
requirements). The final deadline for making corrective distributions with
the penalty is the last day of the following plan year. For plan years
beginning on or after January 1, 2008, these distributions are taxable in
the year in which they are distributed (for plan years prior to 2008,
distributions made before the 2½-month period are taxable in the prior
year).
QNECs and QMACs
In some situations, a failed nondiscrimination test can be corrected by
having the employer make a "qualified nonelective contribution" (QNEC) or
"qualified matching contribution" (QMAC). These additional employer
contributions are made to NHCEs to increase their ADP or ACP to the level
needed for the HCEs to pass the test. QNECs and QMACs are required to be
immediately 100% vested and subject to withdrawal restrictions. These
contributions must be deposited by the last day of the following plan
year.
Conclusion
Nondiscrimination testing sounds complex--and it is. Gaining a better
understanding of this testing should help plan sponsors appreciate the
importance of providing complete and accurate census data to their
advisors.
Census information, including all employees, should be compiled as soon
as possible after the plan year ends so that nondiscrimination testing can
be performed accurately and any corrective distributions can be made in a
timely manner in order to avoid the 10% penalty.
It is also important for business owners to be aware that related
companies may impact nondiscrimination testing and to disclose to their
advisors any and all ownership interests or service affiliations. This
will help ensure that the plan maintains its qualified status.
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