The Employee Retirement Income Security Act requires 401(k) plans to undergo annual nondiscrimination testing to ensure the plan benefits all employees, not just highly compensated employees (HCEs).
To determine whether the 401(k) plan is treating everyone fairly, nondiscrimination tests examine:
The IRS defines an HCE as an employee who:
There are two standard nondiscrimination tests: Actual Deferral Percentage (ADP) and Actual Contribution Percentage (ACP):
To pass the ADP/ACP tests, the HCE salary deferrals and employer contributions cannot exceed the IRS’ thresholds for both tests.
As noted earlier, the IRS also looks at the amount of plan assets belonging to HCEs. This is done via top-heavy testing. For the plan to pass the top-heavy test, the account balances for key employees cannot collectively exceed 60% of the total plan assets.
The IRS defines a key employee as someone who meets at least one of the following criteria:
These amounts may be adjusted annually.
If your plan fails the ADP/ACP tests, you must take corrective action, which can be done in several ways. The most common — and typically least expensive — solution is to refund the excess contributions to HCEs in the amount needed to pass the test. If the plan is deemed top-heavy, you will need to bring the plan into balance by making the necessary allocations to non-key employees.
Plan sponsors can bypass annual nondiscrimination tests by adopting a safe harbor 401(k) design. To qualify for a safe harbor plan, you must commit to making guaranteed matching contributions up to the IRS-defined limits.
Your safe harbor plan will automatically satisfy the ADP/ACP tests and is exempt from top- heavy rules so long as it meets the IRS’ requirements. Note that small businesses with 401(k) plans tend to use a safe harbor design because it saves them from having to do compliance testing every year — and having to make corrections if the plan fails.
This is just an introduction to a complex, technical topic. So be sure to consult with a 401(k) plan expert for further details.