Was Your Employee Benefit Plan Selected for an Audit? Don’t Panic!

If you need more time to respond to a document request, ask for it

By Monique Warren © Jackson Lewis April 2, 2018
Was Your Employee Benefit Plan Selected for an Audit? Don’t Panic!

Each year, a number of employee benefit plans are audited by the Internal Revenue Service (IRS) and Department of Labor (DOL) for compliance with statutes and regulations for which these agencies have enforcement authority.

The agencies are particularly focused on compliance issues that pose the greatest potential risk to the largest numbers of employees. In particular, the DOL has increased its examinations of group health plans in recent years in connection with the Employee Benefit Security Administration's Health Benefits Security Project.

Be Prepared

With enough preparation, even your worst expectations shouldn't be so bad. A significant element of being prepared is self-auditing. Regularly.

Focus particularly on the most common compliance issues. For tax-qualified retirement plans audited by the IRS, these tend to involve failures related to (among other things):

  • Timely amending plan documents.
  • Administering compensation and eligibility rules consistent with plan terms.
  • Making impermissible distributions.

Even if your plan financials are audited annually by a third party—for example, retirement plans covered by the Employee Retirement Income Security Act (ERISA) —do your own spot-checking for common trouble-makers such as:

  • Misinterpretations of eligibility rules.
  • Misapplication of the definition of compensation.

Both the IRS and the DOL publish self-audit tools. The IRS' compliance checklists, guide to common plan requirements, and "fix-it" guides are practical resources for 401(k) and 403(b) plan sponsors. These include lists and explanations of specific Internal Revenue Code requirements for retirement plan tax-qualification and step-by-step ways to correct certain mistakes that could otherwise cause a plan to be disqualified.

The DOL's self-compliance tool for group health plans may be especially helpful for plan sponsors who've not had a group health plan audited in the last couple of years.

Understand the Examination Process

Both the IRS and DOL publish guides that explain plan compliance audits:

  • The IRS' examination process guide includes links to fairly detailed explanations of each of eleven stages of a typical examination.

Depending on whether your plan was selected for examination based on purely random chance, participant complaints, referral from another government agency, an anomaly in the plan's annual report, or a particular market segment focus the agency's national office has at the time, the examination process might veer significantly from the usual.

If your plan has previously corrected failures under the IRS's Employee Plans Compliance Resolution Program, be prepared to demonstrate that the full correction was made, including corrective action taken to prevent recurrence of the same failure.

Some examinations will involve onsite visits and others will not. Also, some agents will want to communicate solely via fax or regular mail and others will permit e-mail communication.

Many agents do not work out of an office every day and, therefore, will be difficult to reach by telephone. Be prepared to be flexible and accommodating but do not hesitate to ask for the same from your assigned agent—for example, if you need more time to respond fully to an information or document request.

The examination will conclude with either a clean bill of health or (more likely) identification of one or more errors that need to be corrected. Make sure you fully understand the errors identified as well as the proposed corrections and any penalties. If you disagree with the agent's conclusions, understand your appeal rights and those procedures.

Keep It in Perspective

The government's objective in any plan compliance audit is to identify compliance failures. It never pays to deliberately ruffle the feathers of a public servant whose job it is to find your mistakes. Be professional and considerate and expect the same conduct from the agent. Among other things, this means responding by whatever deadline is given (extended or otherwise) with documents and information organized in a way that makes it easy for the agent to do his or her job.

In any event, keep in mind that total compliance is virtually unheard of and every failure has a resolution.

Monique Warren is a principal in the White Plains, N.Y. office of Jackson Lewis P.C., where she counsels employers on employee benefits compliance and administrative matters. © 2018 Jackson Lewis. All rights reserved. Reposted with permission.


Related SHRM Articles:

Open Enrollment and Year-Round Compliance: How to Avoid a DOL Audit, SHRM Online Benefits, June 2017

What to Expect from a Health Plan Audit, SHRM Online Employment Law, October 2016

Render Retirement Plan Audits Painless, SHRM Online Benefits, April 2013

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