Ian Chapman-Curry
Legal Director
PSL legal director
Article
7
The statutory regime covering workplace pensions will be transformed in April 2015. This is the culmination of sweeping reforms to defined contribution (DC) pensions aimed at providing savers with flexible access to their pension savings and changes to the DC governance and charges regime.
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In this second alert in our four-part series on the reforms, our pensions experts focus on the impact for Defined Benefit (DB) occupational schemes - in particular, the issues trustees will need to consider around transfers from DB to DC schemes. Over the coming days we will take a closer look at what the future holds for the DC governance and charges regime, and also workplace pension reform.
Members (and beneficiaries) in unfunded public sector DB pension schemes (e.g. NHSPS and Civil Service Pensions) will not be able to transfer to DC arrangements.
Members of private sector and funded public sector (e.g. LGPS) DB pension schemes will be able to transfer to DC arrangements subject to complying with a new safeguarding regime.
For transfer requests made on and after 6 April 2015, the trustees or managers of such schemes will need to consider the following questions:
1. Does the transfer request apply to 'safeguarded benefits'?
This covers all non-money purchase benefits. This includes defined benefits but does not include money purchase AVCs.
2. Will the transfer request give the member a right or entitlement to 'flexible benefits'?
Flexible benefits include money purchase benefits and cash balance benefits.
3. Does the value of the transferee's total subsisting rights to safeguarded benefits exceed £30,000?
The requirement to obtain 'appropriate independent advice' (see question four below) does not apply if the transferee's total subsisting rights to safeguarded benefits is less than £30,000.
4. If the answer to questions one to three is yes, has the trustee checked whether the member has received 'appropriate independent advice'?
The trustees must check that a member seeking to transfer 'safeguarded benefits' in excess of £30,000 to an arrangement that will give them a right or entitlement to 'flexible benefits' has received 'appropriate independent advice'. Trustees should not proceed on a transfer request until all of the checks have been carried out, confirmed and recorded.
Appropriate independent advice must:
The trustees need to check that the advice contains a signed written confirmation from the advisor confirming:
The trustees also need to:
Because of the importance of these new checks, it is important for trustees to put a process in place to ensure these steps are carried out properly and recorded. We advise vigilance over the risk of pension liberation schemes and other scams. Trustees should seek legal advice if they have any questions.
Although the Budget 2014 pension reforms were focused on flexible access to DC pension savings, there are issues that DB scheme trustees should think about.
As well as implementing a compliant DB to DC transfer process (see above), DB scheme trustees should:
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