308 Floral Vale Blvd.
Our mission is to assist you in your quest for a plan that achieves your company’s goals
A retirement plan sponsor must act as a prudent expert under the Employee Retirement Income Act of 1974 (ERISA), and is held to a fiduciary standard of care on plan-related decisions about investments, service providers, plan administration, and general ERISA compliance issues. We help plan sponsors fulfill their ERISA fiduciary obligations.
Plans come in many types. Our mission is to assist you in your quest for a plan that achieves your company’s goals. Whether your primary objective is to reward key employee performance or provide a comprehensive benefit for all employees, we are available to review various design and administration alternatives, including:
We also provide information and resources to guide you in solving important plan design challenges such as elective and matching contributions, vesting, Qualified Default investment options, and voluntary and automated enrollment. When a custom plan design is desired, we provide a menu of unaffiliated third party service providers whom you may screen and select to assist you in creating a plan that meets the needs of your participants and to provide plan administration services.
Selecting a suitable investment provider for your plan is important. Evaluating the services and expenses of multiple providers can be complicated and overwhelming.Let us streamline the process with our powerful search engine, which provides:
If you decide to convert your plan to a new vendor platform, we can:
An established investment strategy is critical for a retirement plan. A written Investment Policy Statement (IPS) will assist you in fulfilling your duties as a plan fiduciary. Our analytical tools, including Plan Investigator, are available to help you determine whether you are meeting your obligation as a plan fiduciary by evaluating, selecting, monitoring and replacing investment options to meet the plan’s investment policy requirements. These tools include:Fiduciary Guide and Introductory ReportSample IPSInvestment Fund Performance ReportWe also make available the following investment-related educational services:Asset allocation: Educational tools and resources so you can set your own appropriate mix of asset classes and investment styles to address your investment goals and life-stage challenges.Manager evaluation and selection: Third party tools to help research, evaluate and select a diversified, cost-effective lineup of active and passive investment options. We make available third-party ERISA 3(21) co-fiduciary support as needed or desired.Qualified Default Investment Alternative (QDIA) evaluation: Research assistance and information to help you evaluate QDIA options available under your investment platform so you may select QDIA options which meet the suitability requirements for participants who either do not make investment elections or enroll automatically.Investment Reviews: Quarterly or annual reviews of the plan’s investments so, you can evaluate performance, risk characteristics and expenses of such investment options, and provide information on alternative funds selected by you to assist in determining whether changes may be appropriate.Managed portfolios: Diversified portfolios of investments for participants using off-the-shelf or customized asset allocation models created and managed by ERISA 3(38) investment managers to help fulfill your fiduciary obligation regarding those portfolios.Retirement income planning: Investment education and tools to pre-retirees or those approaching age 70½ to help evaluate their retirement-income needs and implement strategies for managing, spending, and investing voluntary or mandatory distributions from their retirement accounts.Participant-level services: Investment education and tools for participants to help evaluate their retirement savings goals and implement appropriate contribution and investment decisions.
Fiduciary audits: Assist with your review of the plan so you may assess whether you are in compliance with ERISA’s fiduciary requirements and help identify areas requiring attention.Documentation: Help establish an Inspection Ready ERISA file to properly store appropriate files and document specific decisions about their retirement plans.Plan benchmarking: Comparison of a plan’s services, investments, features, and fees versus those of comparable plans in similar-sized organizations.Fiduciary education: Educational resources to help you i.) understand and meet your fiduciary obligation for reviewing fees and services, ii.) identify procedures for tracking the receipt and evaluation of ERISA 408(b)(2) disclosures, and iii.) meet the plan participant 404(a)(5) fee disclosure requirements.Participation communication requirements: Help develop procedures to satisfy your obligation to respond to participant requests for additional information.Fee reporting and analysis: Detailed listings and explanations of all fees paid by the plan and participants to all service providers, advisors, and investment companies, and identification of appropriate opportunities for cost savings.ERISA 404(c) compliance review: Help transfer liability and responsibility of investment decisions to plan participants by guiding the development of appropriate participant education and communication strategy to comply with 404(c).ERISA 3(21) investment advice: Availability of third-party fiduciaries to advise plan sponsors on evaluating, selecting, monitoring, and replacing plan investments on a continuous basis.ERISA 3(38) investment management: Availability of third-party fiduciaries to manage participant investments for those participants choosing to contract for those services.
1 There may be implications under the Employment Retirement Income Security Act (ERISA) depending on how certain types of insurance policies are made available to employees and whether such an arrangement constitutes an "employee benefit plan" under ERISA. Employers should consult their own tax and legal advisors for further information on potential ERISA implications.
2 Distributions under the policy (including cash dividends and partial/full surrenders) are not subject to taxation up to the amount paid into the policy (the cost basis). If the policy is a Modified Endowment Contract, policy loans and/or distributions are taxable to the extent of gain and are subject to a 10% tax penalty. Access to cash values through borrowing or partial surrenders can reduce the policy’s cash value and death benefit, increase the chance the policy will lapse, and may result in a tax liability if the policy terminates before the death of the insured.