What You Should Be Doing to Prepare for the October 15 Form 5500 Filing Deadline

As the October 15 Form 5500 filing deadline quickly approaches, there are some important items you should address sooner rather than later:

  1. Contact your service provider. If your service provider agreement states that non-discrimination testing will be performed ensure that it has been completed and any corrective actions have been executed. Year-end plan reporting prepared by the service provider should be reviewed by the plan sponsor for any discrepancies or significant changes in the accounts.
  2. Contact your auditor and Form 5500 preparer (if separate from your service provider). Make sure your auditors and Form 5500 preparers are on time with their procedures to meet the filing deadline. Often, auditors will need to work with the Form 5500 preparer to reconcile the amounts reported on the Form 5500 to the amounts reported in the financial statements. Finally, confirm the timing of the auditors’ presentation of their results to the Plan’s oversight committee.
  3. Schedule a meeting of the Plan’s oversight committee. The communication of the audit results is an important discussion between the plan auditors and the oversight committee. While the committee should be meeting regularly throughout the year, this is also an ideal time to revisit plan provisions and confirm that the Plan is operating as intended. At the conclusion of the audit, if any significant deficiencies or material weaknesses are identified in the audit, the auditor will communicate these to the committee. Remediation plans can also be determined with the committee at this time. Your auditors should also provide you with potential process improvements that you can review and use to re-evaluate processes and controls.

The fines for missing this filing deadline can be significant. Follow the steps noted above to verify that your company is on track to avoid any penalties. 

Please contact us if you have any questions about the Form 5500 deadline and visit our employee benefit plan audit practice for more information.

You’ve heard our thoughts… We’d like to hear yours

The Schneider Downs Our Thoughts On blog exists to create a dialogue on issues that are important to organizations and individuals. While we enjoy sharing our ideas and insights, we’re especially interested in what you may have to say. If you have a question or a comment about this article – or any article from the Our Thoughts On blog – we hope you’ll share it with us. After all, a dialogue is an exchange of ideas, and we’d like to hear from you. Email us at [email protected].

Material discussed is meant for informational purposes only, and it is not to be construed as investment, tax, or legal advice. Please note that individual situations can vary. Therefore, this information should be relied upon when coordinated with individual professional advice.

© 2022 Schneider Downs. All rights-reserved. All content on this site is property of Schneider Downs unless otherwise noted and should not be used without written permission.

our thoughts on
2023 Cost-of-Living Adjustments for Retirement Plans and IRAs
Audit, Retail BY Jack Steve
Current E-commerce and Brick-and-Mortar Trends
Audit BY Tarun Reddy
Consumer Spending as Impacted by Increased Gas Prices
Audit, ERISA BY Patti Giudici
IRS Notice 2022-33 – Extensions for Certain Provisions of the SECURE Act, CARES Act, and Miners Act
Complexities with Funding for Start-Ups
Real Estate and the Impact of ESG
Register to receive our weekly newsletter with our most recent columns and insights.
Have a question? Ask us!

We’d love to hear from you. Drop us a note, and we’ll respond to you as quickly as possible.

Ask us
contact us

This site uses cookies to ensure that we give you the best user experience. Cookies assist in navigation, analyzing traffic and in our marketing efforts as described in our Privacy Policy.