Jump to content

Recommended Posts

Posted

What are the thoughts on this scenario - a plan sponsor sends out a fee disclosure as they are switching to a fixed recordkeeping fee. After the notice is distributed its realized that the fee is actually going to be less than what's reflected on the notice. Can a revised notice be sent out with less than 30 days notice, given that its a benefit to participants?

Create an account or sign in to comment

You need to be a member in order to leave a comment

Create an account

Sign up for a new account in our community. It's easy!

Register a new account

Sign in

Already have an account? Sign in here.

Sign In Now
×
×
  • Create New...

Important Information

Terms of Use