BENEFITS DIGEST

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SECURE 2.0 Implementation

37 item(s) · sort: newest first · title A–Z

Plan Sponsors Offer Some Perspectives on the Saver's Match
NAPA Net Daily 2026-09-04 · issue № 47

The Plan Sponsor Council of America asked sponsors whether they will amend their plans to accept Saver's Match contributions when the federal match arrives for tax year 2027. About 36% are considering it, 47% say no, mostly because their workforces out-earn the income caps, and 16% had never heard of it.

Monthly Roundup, August 2026
Groom Law Group 2026-09-02 · issue № 45

Groom collects its August publications in one place, spanning DB plan funding rules, 45S credit and Saver's Match guidance, dependent care nondiscrimination, the wellness program enforcement relief, the e-delivery proposal, and the tobacco surcharge litigation.

Will 403(b) Plans Have to Allow for Saver's Match Contributions in 2027?
PLANSPONSOR 2026-09-01 · issue № 44

Groom Law Group and CAPTRUST experts answer the question. The Saver's Match is voluntary for 403(b) plans, not required. Eligible low- and moderate-income savers can receive a federal matching contribution of up to $1,000 for taxable years beginning after December 31, 2026, and plans that choose to accept the deposits will need amendments and new administrative procedures under Notice 2026-48.

New Saver's Match, New Plan Sponsor Decisions
Seyfarth Shaw · Beneficially Yours 2026-09-01 · issue № 44

Section 103 of SECURE 2.0 replaces the Saver's Credit with a matching contribution from the federal government, and its implementation raises a series of decisions for plan sponsors. Seyfarth surveys the open questions about how the new match will operate.

Benefits Monthly Minute - August 2026
Keating Muething & Klekamp · via JD Supra 2026-08-28 · issue № 41

The August Monthly Minute reminds plan sponsors of the upcoming SECURE 2.0 plan amendment deadline and highlights a Fourth Circuit decision reflecting the litigation impact of a delayed ERISA appeal determination.

Roth Distribution Rules: IRAs vs. Plans
Slott Report 2026-08-19 · issue № 35

The Slott Report maps the fork in the road between Roth IRA and Roth 401(k) distribution rules, a useful desk reference as mandatory Roth catch-ups push more plan money into Roth accounts.

You Discovered a Roth Catch-Up Error for a High Earner. Now What?
Bricker Graydon 2026-08-17 · issue № 34

With the mandatory Roth catch-up regime live for participants who earned over $150,000 in prior-year FICA wages, Lyndsey Barnett walks through the correction framework when a high earner's catch-up contributions land pre-tax by mistake. Timing matters: errors caught before W-2 filing are fixed by transferring the funds and correcting wage reporting, later discoveries require an in-plan Roth rollover with 2026 errors corrected by December 31, 2027, and no correction is generally required if the erroneous amount is $250 or less.

Benefits Catch-Up – Q2 2026
Eversheds Sutherland · via JD Supra · Eversheds Sutherland's quarterly roundup of second-quarter benefits developments 2026-08-14 · issue № 31

a useful one-stop review for anyone catching up after a summer vacation.

Notice 2026-49: IRS Proposes Simplified Rollover Procedures and Sample Forms
IRSDeadline 2026-08-12 · issue № 30

Implementing SECURE 2.0 section 324, the IRS proposes four optional sample forms and standardized procedures for rollovers between employer plans or between a plan and an IRA, aiming to replace today's paper-check-and-fax friction with a predictable process. Use of the forms would be optional and no safe harbor attaches yet; comments are due October 23, 2026.

Notice 2026-48: Treasury and IRS Announce Intent to Propose Saver's Match Regulations
IRS 2026-08-07 · issue № 27

Treasury and the IRS announce their intent to propose regulations implementing the Saver's Match program under section 6433, the SECURE 2.0 provision paying federal matching contributions of up to $1,000 directly into the retirement accounts of eligible low- and moderate-income savers for tax years beginning after December 31, 2026. The notice requests comments by October 5, 2026 on eligibility, claiming and payment mechanics, financial-institution reporting, and treatment of erroneous payments.

Defined Benefit Plan RMD Rules After SECURE 2.0: Should Plan Sponsors Keep an Earlier Required Start Date?
MillimanDeadline 2026-08-05 · issue № 26

As the December 31, 2026 deadline approaches for adopting SECURE and SECURE 2.0 amendments, Milliman examines a key decision for defined benefit plan sponsors: whether to retain a required start date for benefit distributions that is earlier than the new later statutory required beginning date for RMDs, which has been raised to age 72, 73, and 75 depending on the participant's birth year.

Auto-Enrollment Is Easy—Until It Isn’t
The Rosenbaum Law Firm P.C · via JD Supra 2026-07-07 · issue № 4

Auto-enrollment is one of those retirement plan features that sounds wonderfully simple in a sales presentation. “We’ll automatically enroll employees, boost participation, and help people save.”

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