Definition of Compensation
A Segment in Our Retirement Rescue Series
A Segment in Our Retirement Rescue Series
One of the most common errors submitted to the IRS Voluntary Correction Program (VCP) involves the Plan’s Definition of Compensation. If the definition used in operation does not match the definition stated in the Plan Document, a failure has occurred.
The Definition of Compensation is critical to a Plan’s design because it directly impacts:
If this definition is incorrect or inconsistent, it can result in errors in how deferrals and contributions are calculated, which can lead to penalties or the need for correction.
Errors related to the Definition of Compensation can arise from a variety of reasons:
Plan Amendments: If a Plan Amendment changes the definition but the operations of the Plan are not updated accordingly, this can lead to discrepancies.
Incorrect Adoption Agreement Selections: An incorrectly marked box or misinterpretation on the Plan’s Adoption Agreement may also lead to the wrong definition being used.
Misunderstanding the Plan Document: A lack of understanding of the Plan Document or Adoption Agreement can result in the application of an incorrect definition.
Operational Failure: The Plan’s operational practices may not reflect the definition set forth in the Plan Document, which could lead to errors in calculating deferrals or contributions.
In short, any time the Definition of Compensation used in Plan operations does not match what is dictated by the Plan Document, an error has occurred. Because of this failure, types of compensation may have been incorrectly excluded or included which could require corrective contributions or distributions.
When an error in the Definition of Compensation occurs, it’s crucial for the Plan Sponsor to address it in a timely manner. There are two main correction methods, depending on the nature of the error:
Situation: If the definition used in operation aligns with participant expectations but differs from the written Plan Document, a retroactive amendment may be allowed under EPCRS.
Correction Process: The Plan Sponsor would:
No Corrective Contributions Needed: Since participants were expecting the operations to reflect the incorrect definition, corrective contributions or distributions are not necessary under this method.
Situation: If the definition used in operation was not in line with the Plan Document or what participants reasonably expected, corrective contributions or distributions are needed.
Correction Process: The Plan Sponsor must restore any missed contributions, or over-contributions, and include earnings on those amounts. For example:
Goal: To place participants in the position they would have been in had the error not occurred.
If the error has caused significant discrepancies and cannot be corrected through the Self-Correction Program (SCP), the IRS will require a VCP submission to fix the issue. The submission involves providing the IRS with a detailed proposal of the correction method and any necessary adjustments to the Plan’s operations and participant accounts. VCP submissions are made through Pay.gov using Form 14568. Fees are based on plan size and outlined in the current version of Rev. Proc. 2022-4.
To avoid errors related to the Definition of Compensation in the future, Plan Sponsors should:
If you need help, contact Ekon Benefits at (314) 367-6555 or info@ekonbenefits.com.
401(k) Plan Fix-It Guide- You didn’t use the plan definition of compensation correctly for all deferrals and allocations: https://www.irs.gov/retirement-plans/401k-plan-fix-it-guide-you-didnt-use-the-plan-definition-of-compensation-correctly-for-all-deferrals-and-allocations
Rev. Proc. 2021-30 – EPCRS: https://www.irs.gov/pub/irs-drop/rp-21-30.pdf