This month, we consider potential changes to the State pension from 1 January 2024, emerging details concerning auto-enrolment and media coverage of the Standard Fund Threshold.
From 1 January 2024, changes are expected to the contributory State pension to facilitate greater flexibility, improved access and changes to how it is calculated. The Social Welfare (Amendment) Bill 2023 is currently in pre-legislative scrutiny. Below, we outline the provisions contained in it.
There will be an ability to take the State pension at any age between 66 and 70, with an actuarially increased rate to reflect the later payment commencement date. There will also be an ability to make additional PRSI contributions after age 66 to increase the level of State pension, but there will remain an overall cap of 40 years of PRSI contributions.
This increased flexibility is in recognition of workforce, retirement and longevity trends. People are living longer, and there is increased demand to work longer and take phased retirement.
The recent Budget announced a 0.1% per annum increase in PRSI from next October, which is part of steps to manage the long-term sustainability challenges associated with State pension provision.
There is currently a “yearly average method” approach to calculating the level of State pension, which is inherently complex. From January 2025, there will be a ten-year phasing-in of a “total contributions approach” (TCA), with a target implementation date of 2034. This will recognise contributions (earned or credited) and home caring periods, up to 40 years to be entitled to the full State pension. Between 2025 and 2034, a hybrid of both approaches will be used.
The TCA aims to bring greater fairness in who receives a State pension and at what level, where contributions can be both earned and credited.
Those who have spent more than 20 years providing full-time care for an incapacitated person may be entitled to an enhanced State pension from 2024. Credits will be given for periods greater than 20 years where there is a gap in the level of contributions due to caring.
These measures are all welcome changes to the State pension.
Individuals will be able to request a contribution statement from the Department of Social Welfare (through a MyGovID account) to help ascertain contributions made and any shortfall in those contributions.
For employers, these changes may mean further employee demand for both later and phased retirements. Rather than treat each case on its own merit, having a suitable retirement framework for employees (covering early, normal and late retirement and the benefits provided) will clarify your retirement policies and procedures. It will also support future workforce planning.
Auto-enrolment (AE) legislation is expected in the coming weeks, with an anticipated introduction in late 2024. Stakeholders in the pensions industry have been liaising with the Department of Social Protection to understand the practical aspects employers will need to be aware of.
Notable aspects include the following:
With another pension system due to come into force in 2024, employers should consider their wider pension strategy carefully to avoid any unintended consequences.
The impact of the Standard Fund Threshold’s €2m cap on retirement savings has gained publicity recently. It causes a barrier for senior gardaí promotions where they would face a significant tax bill for excess pension savings above the €2m limit.
This €2m limit has been in place since January 2014 and has not been indexed. As a result, more employees are breaching or are at risk of breaching this limit and face the prospect of a significant tax bill.
In the context of AE, it is unlikely that employers will have the freedom to exclude members who may have ceased contributions due to reaching the Standard Fund Threshold.
It is good practice for employers to monitor those at risk of breaching the limit and identify a suitable strategy for dealing with impacted employees (more so in the context of AE).
A recent move by central banks to pause the continued increase in interest rates has led to a change in the market expectation of future interest rate movements. For employers sponsoring defined benefit pension schemes, this may present a window of opportunity to consider the full or partial settlement of its defined benefit pension scheme liabilities in the near-term.
Given the economic backdrop many sponsoring employers are now exploring the feasibility of partial/full buy-outs. Insurers are also in the market, offering strong commercial terms to take on the liabilities. It would be sensible for employers to at least consider their long-term objective and potential readiness for settlement in 2024.
We will explore this issue further in December’s Pension Pulse.
The Irish pensions landscape is undergoing unprecedented change. 2024 will be an important year for employers to define their organisation’s future pension and retirement strategy. Our pensions team can provide an independent market perspective and expert advice to help you identify a sustainable way forward.
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