Plan Audits
A Segment in Our Retirement Rescue Series
A Segment in Our Retirement Rescue Series
It may be a Plan Sponsors’ worst nightmare. You are contacted by the IRS or DOL and your Plan is being audited. Now what? Plan Audits happen to even the best Plan Sponsors. Understanding the agency’s focus and what they might be looking for will help you plan for and experience a successful Plan Audit.
Employer sponsored retirement plans can be audited by either the IRS and DOL, depending on the type of compliance review. While the IRS and DOL have different areas of focus, both routinely examine plan operations, documentation, and internal controls. Here are common areas of emphasis during audits by each agency:
The IRS has jurisdiction over a Plan’s tax qualified status. IRS audits focus on compliance with the Internal Revenue Code and ensure proper internal controls are in place to maintain compliance. The top areas investigated during the IRS audits include:
The DOL has jurisdiction over Fiduciary standards as well as reporting and disclosure requirements. DOL audits focus on compliance with the Employee Retirement Income Security Act (ERISA) and ensure that procedures and processes are followed. The top areas investigated during DOL audits include:
Plan Audits can elicit feelings of fear and worry in Plan Sponsors. Understanding each agency’s focus and jurisdiction allows Plan Sponsors to concentrate their preparation efforts.
Do NOT disregard the Audit Notice.
Whether it is from the IRS or DOL, an audit notice should not be ignored. Pay special attention to the deadline for submitting data to the respective agency. Deadlines may be extended if requested and deemed necessary.
Service Providers that assist with the Plan’s compliance efforts should be contacted immediately. These providers may be able to supply many of the documents requested by the agency. Alerting Service Providers early in the process will give them time to prepare. Additionally, notify any individuals who are key to Plan operations. These individuals will likely be called upon to explain administrative processes.
The audit notice should contain a list of requested documents. Typically, the request includes, but is not limited to:
During the audit, you will be expected to explain Plan terms and operations, internal controls, testing results, and more. To better prepare for the actual audit, conduct a self-audit by reviewing Plan Records and Operations for each year under audit.
A self-audit also provides an opportunity to identify and correct any errors. If a compliance failure is discovered, do not attempt to conceal it from the auditor. Instead, review potential correction options under the Employee Plans Compliance Resolution System (EPCRS). Voluntarily disclosing and correcting known issues may reduce penalties or qualify the plan for reduced sanctions under Audit CAP.
The bottom line when it comes to DOL or IRS audits is that preparation is key. It is much better to be proactive than reactive!
This information reflects current guidance from the IRS, DOL, and EPCRS.
IRS: What if You Are Audited? https://www.irs.gov/retirement-plans/plan-sponsor/401k-resource-guide-plan-sponsors-what-if-you-are-audited