|
Alert
|
September 17, 2009
New Guidance on Department of Labor Enforcement Priorities for Employee Benefits
In a September 14, 2009 speech, the Assistant Secretary of the US Labor Department’s Employee Benefits Security Administration (EBSA), Phyllis C. Borzi, laid out some of EBSA’s enforcement priorities in the new Administration. She also described a new initiative to pursue criminal charges against serious violators of ERISA. All plan sponsors, administrators and other fiduciaries should be aware of these enforcement priorities. Assistant Secretary Borzi announced that EBSA has initiated a criminal project to prosecute what she referred to as “the most egregious and persistent violations” of ERISA. As an example, Borzi identified embezzlement of plan assets, such as amounts withhold from employees’ paychecks and intended as contributions to 401(k) plans or as payment for health insurance premiums, which never reach their intended destination. She also identified individuals who knowingly file false 5500 forms – the annual reports that all plans are required to file with the government – as targets for possible criminal prosecution. This new focus on criminal charges, which could be brought against individuals as well as corporations, is in addition to the Labor Department’s ongoing efforts to address delinquent participant contributions, which Borzi said continues to be a priority. Borzi also announced that EBSA will focus its enforcement efforts on several additional initiatives covering a wide range of issues. These include:
Borzi noted that other regulatory activities were also underway. She said the Labor Department is working on the investment advice rule-making begun during the previous Administration, and hoped to issue a new proposed rule, with a short comment period, soon. EBSA also plans to complete its review of two plan fee/expense disclosure rulemakings in the “near future,” and by the end of 2009, to decide what action it should take with respect to target date funds. All of these matters bear close watching by employers, plans and fiduciaries. If you would like additional information or guidance about these matters, members of Arent Fox’s ERISA Litigation Practice Group can help you. |
|
|
1050 Connecticut Avenue, NW
Washington, DC 20036-5339
T202.857.6000 F202.857.6395
1675 Broadway
New York, NY 10019-5820
T212.484.3900F212.484.3990
555 West Fifth Street, 48th Floor
Los Angeles, CA 90013-1065
T213.629.7400F213.629.7401
|
||