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Oklahoma City Community College 403b Update

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Oklahoma City Community College 403(b) Update. J. Dudley Hyde ... 211 N. Robinson, Two Leadership Square, 10th Floor. Oklahoma City, OK 73102. www.mcafeetaft.com ... – PowerPoint PPT presentation

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Title: Oklahoma City Community College 403b Update


1
Oklahoma City Community College 403(b) Update
  • J. Dudley Hyde
  • McAfee Taft A Professional Corporation
  • 211 N. Robinson, Two Leadership Square, 10th
    Floor
  • Oklahoma City, OK 73102
  • www.mcafeetaft.com
  • dudley.hyde_at_mcafeetaft.com
  • Direct dial (405) 552-2229 Direct fax (405)
    228-7429

2
Discussion Topics
  • Overview of the relevant changes imposed by the
    403(b) Final Regulations
  • Explanation of the Proposed Restructuring of the
    Oklahoma City Community College Employees
    Retirement Plan

3
Final 403(b) Regulations
4
Effective Date
  • The final regulations are generally applicable
    for taxable years beginning after December 31,
    2008.

5
General Purpose
  • To diminish the extent to which 403(b) plans
    differ from other salary reduction arrangements
    such as 401(k) and 457(b) plans.

6
Plan Document Requirement
  • All 403(b) programs must be maintained pursuant
  • to a written plan document that
  • Satisfies, in form and operation, the regulatory
    requirements of the 403(b) rules and
  • Contains all material terms and conditions for
    eligibility, benefits, applicable limitations,
    the contracts available under the plan, and the
    time and form under which benefit distributions
    will be made.

7
Contract Exchanges
  • A 403(b) contract may be exchanged for another
  • section 403(b) contract under the same 403(b)
  • plan if
  • The plan provides for the exchange,
  • The accumulated benefit immediately after the
    exchange is at least equal to such benefit
    immediately before the exchange,
  • The other contracts distribution restrictions
    are not less stringent than the contract being
    exchanged, and
  • The employer enters into an information sharing
    agreement with the issuer of the other contract .

8
Information Sharing Agreement
  • Under this agreement the employer and the issuer
  • will from time to time provide each other with
  • information necessary for the resulting contract
    to
  • satisfy section 403(b) and other tax
    requirements,
  • such as information regarding
  • The participants employment.
  • Whether a severance from employment has occurred.
  • Whether hardship withdrawal rules are satisfied.
  • Whether a plan loan constitutes a deemed
    distribution.

9
Grandfathered Period
  • The final regulations provide a
  • grandfathered period for contract exchanges
  • which
  • Satisfied the Rev. Rul. 90-24 rules at the time
    it was exchanged, and
  • Occurred on or before September 24, 2007.

10
Permissive Service Credit
  • A 403(b) plan may transfer assets to a
  • qualified defined benefit plan that is a
  • governmental plan if it is either
  • For the purchase of permissive service credit
    under the receiving defined benefit plan or
  • A repayment to which section 415 does not apply
    by reason of section 415(k)(3).

11
403(b) and 401(k)
  • The final regulations do not fundamentally
    change the current distribution rules, but they
    try to conform the 403(b) distribution events to
    those applicable under section 401(k)

12
Failure to Satisfy 403(b)
  • If a contract purchased by an employer for an
    employee fails to satisfy 403(b) requirements,
    that contract and any other contract purchased
    for that employee is not a 403(b) contract.
  • However, operational failures within one contract
    will not adversely affect any other contracts
    purchased by that employer for other employees.

13
Increased Employer Responsibility
  • Requirement that written plan comply in both form
    and operation increases administrative and
    compliance oversight responsibilities associated
    with maintaining a 403(b) plan
  • Additionally, the IRS is expected to increase its
    scrutiny and auditing of 403(b) plans as part of
    the release of the regulations

14
Oklahoma City Community College Employees
Retirement Plan
15
The Current 403(b) Plan
  • To the extent an employee contributes 1.5 of
    compensation, the College contributes 4.5 into
    an account.
  • The 403(b) Plan allows participants to direct
    their accounts into separate 403(b) annuities or
    custodian accounts.
  • There are currently about 46 separate vendors
  • Approximately 89 of all College employees
    currently participate in 403(b) Plan

16
Proposed Changes
  • Reduce the number of vendors from 46 to no more
    than 12 to facilitate control and ease of
    administration
  • Current accounts in that plan will remain in the
    403(b) plan or can be transferred directly to
    403(b) annuities and custodial accounts offered
    by the 12 remaining vendors

17
Purpose of Changes
  • Better pricing with regard to investment options
    and additional services, e.g. educational/investme
    nt advice
  • Improved ability to monitor the investment
    performance of the options in the 403(b) plan.
  • Simplified communications regarding investments

18
Additional Recommendations
  • Hire an independent investment consultant to
    assist in implementing the RFP process and
    evaluating responses
  • Establish a retirement/investment committee to
    provide fiduciary oversight of the plans
  • Adopt an investment policy statement to govern
    the types of investments offered under the plans

19
Why use a Consultant?
  • Plan fiduciaries may not have the expertise to
    adequately analyze investment options
  • Have qualifications to be an expert
  • Independent of providers of investment options to
    the plan
  • May relieve plan fiduciaries of some
    responsibility/liability in selecting and
    monitoring investment options

20
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