{"id":2294,"date":"2023-05-19T12:50:47","date_gmt":"2023-05-19T12:50:47","guid":{"rendered":"https:\/\/www.amalgamatedbenefits.com\/amalgamated-employee-benefits-administrators\/?p=2294"},"modified":"2023-05-19T12:50:48","modified_gmt":"2023-05-19T12:50:48","slug":"dol-irs-and-pbgc-announced-final-rules-on-changes-to-2023-form-5500-and-5500-sf-employee-benefit-plan-reports","status":"publish","type":"post","link":"https:\/\/www.amalgamatedbenefits.com\/amalgamated-employee-benefits-administrators\/dol-irs-and-pbgc-announced-final-rules-on-changes-to-2023-form-5500-and-5500-sf-employee-benefit-plan-reports\/","title":{"rendered":"DOL, IRS and PBGC Announced Final Rules on Changes to 2023 Form 5500 and 5500-SF Employee Benefit Plan Reports"},"content":{"rendered":"
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On February 23, 2023, the U.S. Department of Labor (DOL), Internal Revenue Service (IRS) and the Pension Benefit Guaranty Corporation (PBGC) released Federal Register notices in which they announced the final rules on changes to the 2023 FORM 55 Annual Return\/Report of Employee Benefit Plan and Form 5500 SF Short Form. Their goal in making these changes is to reduce overall filing costs for employee benefit plans by $95 million annually.<\/p>\n

These recent changes feature a Notice of Final Forms Revision for the 2023 plan year forms, along with instructions and a Notice of Final Rulemaking that relate to corresponding changes to annual reporting regulations under Title 1 of the Employee Retirement Income Security Act of 1974 (ERISA).<\/p>\n

According to Assistant Secretary for Employee Security Lisa M. Gomez, \u201cThe form changes and regulatory amendments, especially those on multiple-employer plan reporting, improve the Form 5500 as critical management, public disclosure and policy data tool.\u201d<\/p>\n

The final changes for 2023 plan year reports, which would typically be filed at the beginning of July 2024 for calendar year plans, include:<\/p>\n