The Form 5500 is the primary source of information for both the
federal government and the private sector regarding the operation,
funding, assets, and investments of private pension and other employee
benefit plans. Currently, the Department of Labor (Labor) requires
about 3 years to provide certain usable Form 5500 information to the
public, leading to complaints that the information is not timely. We
have prepared this report under the Comptroller General's authority,
and it is intended to assist Congress in improving the timeliness and
content of Form 5500 information. This report is addressed to the
congressional committees of jurisdiction. It examines: (1) the
information reported on the form and how it is used, (2) factors that
affect the timeliness of Form 5500 information, and (3) issues
affecting the content of the form.
Detailed information on private pension plans is reported on the Form 5500, and Labor, the
Internal Revenue Service (IRS), and the Pension Benefit Guaranty
Corporation (PBGC) use the information for compliance, research, and
public disclosure purposes. Information collected on the form includes
basic plan identifying information as well as detailed information
including assets and liabilities, insurance, and financial
transactions. The principal users of Form 5500 Reports--Labor, IRS, and
PBGC--use the reports primarily as a compliance tool to identify actual
and potential violations of the Employee Retirement Income Security Act
of 1974 and the Internal Revenue Code. Other federal agencies and
policy researchers also use Form 5500 information. Statutory reporting
requirements, processing issues, and current Labor practices affect the
timeliness of the release of Form 5500 information, resulting in a 3
year lag, in some cases, in releasing certain usable computerized Form
5500 information to the non-principal federal agencies and others.
First, under the current statutory reporting requirements, filers can
have up to 285 days after the end of the plan year to file their Form
5500. Second, 98 percent of filings are in a paper format. These take
more than three times as long as electronic filings to process and have
twice as many errors. Third, the release of the Form 5500 information
in the research file--the Form 5500's most practical form--is further
delayed because Labor waits until all filings for that plan year are
processed, which can take up to 2 years. Despite the efforts of Labor,
IRS, and PBGC to improve its content, the Form 5500 lacks key
information. These agencies have taken certain steps to improve the
content of the Form 5500, such as reviewing the Form 5500 annually to
ensure that the form is collecting all the information required by law.
However, the form still lacks key information that could better assist
Labor, IRS, and PBGC in identifying and tracking all plans over time
and monitoring multiemployer plans. Federal and private sector
researchers also told us the form could collect better plan financial
information, such as 40l(k) plan fees. In addition, federal agency
officials told us certain information could be reported earlier than
the current filing deadline, such as information on a plan's funding
status, as well as its assets and liabilities.
Click here for the full GAO Report, PDF Version