This is the accessible text file for GAO report number GAO-11-333 
entitled Private Pensions: Some Key Features Lead to an Uneven 
Distribution of Benefits' which was released on April 29, 2011. 

This text file was formatted by the U.S. Government Accountability 
Office (GAO) to be accessible to users with visual impairments, as 
part of a longer term project to improve GAO products' accessibility. 
Every attempt has been made to maintain the structural and data 
integrity of the original printed product. Accessibility features, 
such as text descriptions of tables, consecutively numbered footnotes 
placed at the end of the file, and the text of agency comment letters, 
are provided but may not exactly duplicate the presentation or format 
of the printed version. The portable document format (PDF) file is an 
exact electronic replica of the printed version. We welcome your 
feedback. Please E-mail your comments regarding the contents or 
accessibility features of this document to Webmaster@gao.gov. 

This is a work of the U.S. government and is not subject to copyright 
protection in the United States. It may be reproduced and distributed 
in its entirety without further permission from GAO. Because this work 
may contain copyrighted images or other material, permission from the 
copyright holder may be necessary if you wish to reproduce this 
material separately. 

United States Government Accountability Office: 
GAO: 

Report to Congressional Requesters: 

March 2011: 

Private Pensions: 

Some Key Features Lead to an Uneven Distribution of Benefits: 

GAO-11-333: 

GAO Highlights: 

Highlights of GAO-11-333, a report to congressional requesters. 

Why GAO Did This Study: 

Despite sizeable tax incentives, private pension participation has 
remained at about 50 percent of the workforce. For those in a pension 
plan, there is concern that these incentives accrue primarily to 
higher income employees and do relatively little to help lower income 
workers save for retirement. The financial crisis and labor-market 
downturn may have exacerbated these difficulties. Therefore, we 
examined (1) recent trends in new private pension plan formation, (2) 
the characteristics of defined contribution plan participants 
contributing at or above statutory limits, (3) how suggested options 
to modify an existing credit for low-income workers might affect their 
retirement income, and (4) the long-term effects of the recent 
financial crisis on retirement savings. 

To answer these questions, GAO reviewed reports, federal regulations, 
and laws, and interviewed academics, agency officials, and other 
relevant experts. We also analyzed Department of Labor and 2007 Survey 
of Consumer Finance (SCF) data, and used a microsimulation model to 
assess effects of modifying tax incentives for low-income workers.
We incorporated technical comments from the departments of Labor and 
Treasury, the Internal Revenue Service, and the Pension Benefit 
Guaranty Corporation as appropriate. 

What GAO Found: 

Net new plan formation in recent years has been very small, with the 
total number of single employer private pension plans increasing about 
1 percent from about 697,000 in 2003 to 705,000 in 2007. Although 
employers created almost 180,000 plans over this period, this 
formation was largely offset by plan terminations or mergers. About 92 
percent of newly formed plans were defined contribution (DC) plans, 
with the rest being defined benefit (DB) plans. New plans were 
generally small, with about 96 percent having fewer than 100 
participants. Regarding the small percentage of new DB plans, 
professional groups such as doctors, lawyers, and dentists sponsored 
about 43 percent of new small DB plans, and more than 55 percent of 
new DB plan sponsors also sponsored DC plans. The low net growth of 
private retirement plans is a concern in part because workers without 
employer-sponsored plans do not benefit as fully from tax incentives 
as workers that have employer-sponsored plans. Furthermore, the 
benefits of new DB plans disproportionately benefit workers at a few 
types of professional firms. 

Most individuals who contributed at or above the 2007 statutory limits 
for DC contributions tended to have earnings that were at the 90th 
percentile ($126,000) or above for all DC participants, according to 
our analysis of the 2007 SCF. Similarly, consistent with findings from 
our past work, high-income workers have benefited the most from 
increases in the limits between 2001 and 2007. Finally, we found that 
men were about three times as likely as women to make so-called catch-
up contributions when DC participants age 50 and older were allowed to 
contribute an extra $5,000 to their plans. 

We found that several modifications to the Saver’s Credit—a tax credit 
for low-income workers who make contributions to a DC plan—could 
provide a sizeable increase in retirement income for some low wage 
workers, although this group is small. For example, under our most 
generous scenario, Saver’s Credit recipients who fell in the lowest 
earnings quartile experienced a 14 percent increase in annual 
retirement income from DC savings, on average. 

The long-term effects of the financial crisis on retirement income are 
uncertain and will likely vary widely. For those still employed and 
participating in a plan, the effects are unclear. Data are limited, 
and while financial markets have recovered much of their losses from 
2008, it is not fully known yet how participants will adjust their 
contributions and asset allocations in response to market volatility 
in the future. In contrast, although data are again limited, the 
unemployed, especially the long-term unemployed, may be at risk of 
experiencing significant declines in retirement income as 
contributions cease and the probability of drawing down retirement 
accounts for other needs likely increases. The potential troubling 
consequences of the financial crisis may be obscuring long standing 
concerns over the ability of the employer-provided pension system in 
helping moderate and low-income workers, including those with access 
to a plan, save enough for retirement. 

View [hyperlink, http://www.gao.gov/products/GAO-11-333] or key 
components. For more information, contact Charles A. Jeszeck at (202) 
512-7215 or jeszeckc@gao.gov. 

[End of section] 

Contents: 

Letter: 

Background: 

Total Number of Tax-Qualified Plans Remains Relatively Unchanged as 
Plan Terminations Largely Offset New, Mostly Small Plan Formation: 

DC Participants with High-Incomes and Other Assets Benefited the Most 
from Increases in Contribution Limits: 

Modifications to the Saver's Credit Could Improve Retirement Income 
for Some Low-Income Workers: 

The Long-Term Effects of the Recent Financial Crisis on Retirement 
Income Security Remain Uncertain and Will Vary Widely Among 
Individuals: 

Concluding Observations: 

Agency Comments: 

Appendix I: Methodology: 

Appendix II: GAO Contact and Staff Acknowledgments: 

Related GAO Products: 

Tables: 

Table 1: Select Statutory Limits for Defined Contribution Plans, 2001, 
2007, and 2011: 

Table 2: Saver's Credit Rates and AGI limits in 2010 by Tax Filing 
Status: 

Table 3: Estimated Mean Value of Household Assets by Contribution 
Levels: 

Table 4: Median Account Balances for DC Participants by Whether Their 
2007 Contributions were below, and at or above the Statutory Limits We 
Analyzed: 

Table 5: Projected Mean DC Annuity Payments for Saver's Credit 
Recipients under Different Scenarios, by Earnings Quartiles: 

Table 6: Projected Mean DC Annuity Payments for Saver's Credit 
Recipients under Different Scenarios Using Alternate Rate of Return: 

Table 7: Projected Mean DC Annuity Payments for Saver's Credit 
Recipients Under Different Scenarios Using Alternative Take-Up Rate: 

Table 8: Percent of DC Annuity Recipients Who Had Received the Saver's 
Credit: 

Table 9: Aggregate Cost of the Saver's Credit to the Federal 
Government, 2016: 

Table 10: Sample Summary Statistics at age 70, 1995 PENSIM Cohort: 

Table 11: Medians at age 70, 1995 PENSIM Cohort: 

Table 12: Cross-Sectional Pension Characteristics of Sample: 

Figures: 

Figure 1: The Estimated Number of All, New, and Terminated Plans, 2003-
2007: 

Figure 2: Newly-Formed Private Plans by Size and Type, 2003-2007: 

Figure 3: New Small DB Plans Sponsored by Different Business Types, 
2003-2007: 

Figure 4: Earnings of DC Participants Contributing below and at or 
above the Statutory Limits: 

Figure 5: Estimated Percentage of DC Participants Whose Households Own 
Various Assets: 

Figure 6: Estimated Percentage of DC Participants by Earnings for 
Participants Whose Total Contributions Were below the 2007 Limits but 
Would Have Been at or above the Limits If the 2001 Limits Were Applied 
to 2007 Contributions: 

Figure 7: DC Participants Making Catch-Up Contributions by Gender and 
Compared to the Limits: 

Abbreviations: 

AGI: adjusted gross income: 

DB: defined benefit: 

DC: defined contribution: 

EGTRRA: Economic Growth and Tax Relief Reconciliation Act of 2001: 

IRA: individual retirement account: 

Labor: Department of Labor: 

PBGC: Pension Benefit Guaranty Corporation: 

PENSIM: Pension Simulator: 

PSG: Policy Simulation Group: 

SCF: Survey of Consumer Finances: 

[End of section] 

United States Government Accountability Office: 
Washington, DC 20548: 

March 30, 2011: 

The Honorable Sander M. Levin:
Ranking Member:
Committee on Ways and Means:
House of Representatives: 

The Honorable Richard E. Neal:
Ranking Member:
Subcommittee on Select Revenue Measures:
Committee on Ways and Means:
House of Representatives: 

The Honorable Charles B. Rangel:
Committee on Ways and Means:
House of Representatives: 

For nearly a century, qualified pension and retirement plans meeting 
certain qualifications have received favorable federal tax treatment 
with deferral of taxes on contributions and investment earnings until 
benefits are received in retirement. Today, these pension tax 
incentives are the second largest tax expenditure and the associated 
income tax revenue losses are estimated to amount to approximately 
$105.1 billion in fiscal year 2011 and a total of $602.2 billion from 
fiscal years 2012 to 2016.[Footnote 1] The purpose of favoring private 
pensions through the tax code is to encourage employers to form new 
plans or maintain existing plans for their employees and to encourage 
workers to save for retirement. At the same time, the favorable tax 
treatment includes requirements to help ensure that the accrual of 
benefits would be broadly based among their workforce and not accrue 
solely to higher income employees.[Footnote 2] 

Yet, there has been growing concern that many millions of working 
Americans remain largely outside the private pension system. The 
percentage of workers participating in employer-sponsored plans has 
peaked at about 50 percent of the private sector workforce for most of 
the past two decades. Many employers--often those of lower income 
workers--continue to choose not to offer a pension or other retirement 
savings plan to their employees. For those fortunate enough to be 
covered by a pension, there is a concern that much of the tax benefits 
flow to higher income employees, and in many instances the financial 
constraints on lower wage workers limit their ability to contribute to 
tax-qualified plans and thus, to benefit from those subsidies. 

Since 2001, additional tax-related incentives have been enacted that 
could help encourage retirement savings and address these 
distributional issues, including a tax credit--the Saver's Credit--to 
encourage those with low earnings to contribute to a retirement plan 
or an individual retirement account (IRA) and a "catch-up" provision 
permitting those employees more than 50 years of age to make 
additional tax-deferred contributions. Also enacted were provisions 
increasing the limits on the annual contribution to qualified defined 
contribution (DC) plans that are tax deferrable, a step that some 
hoped might spur employers to form new plans. 

The distributional issues concerning the pension tax expenditure have 
become more salient in light of the recent financial crisis, 
subsequent recession, and continued high unemployment. These difficult 
economic conditions have heightened worries as to whether workers, 
particularly lower income workers, will have the resources they need 
to save for retirement. Thus, given the limits of private pension 
coverage, the cost of tax incentives to promote retirement saving, and 
the effects of the recent recession on long term retirement security, 
this report addresses the following questions: 

1. What has been the trend in new private pension plan formation in 
recent years? 

2. What are the characteristics of DC participants contributing at or 
above the statutory DC contribution limits and how might this have 
changed as the limits have increased? 

3. How might incentives to increase retirement saving by low-income 
workers through modifications of the Saver's Credit affect retirement 
income? 

4. What might be the long-term effect of the recent financial crisis 
on retirement savings for U.S. workers? 

To address our objectives we employed a variety of methods, including 
interviewing pension and retirement experts, reviewing and analyzing 
databases, and reviewing relevant studies. We used the Department of 
Labor's data from the Form 5500[Footnote 3] as well as published data 
from the Pension Benefit Guaranty Corporation (PBGC) on plan 
formation. We also used data from the 2007 Survey of Consumer Finances 
(SCF) to examine characteristics of DC participants.[Footnote 4] We 
used a microsimulation model to assess the possible effects of 
modifying existing tax incentives for low-income workers.[Footnote 5] 
To evaluate the effects of the financial crisis on retirement savings, 
we reviewed and synthesized recent studies and interviewed retirement 
and financial experts. We also reviewed relevant federal laws and 
regulations. 

We conducted our work from February 2010 to March 2011 in accordance 
with all sections of GAO's Quality Assurance Framework that are 
relevant to our objectives. The framework requires that we plan and 
perform the engagement to meet our stated objectives and to discuss 
any limitations in our work. We believe that the information and data 
obtained, and the analysis conducted, provide a reasonable basis for 
any findings and conclusions in this product. 

Background: 

Pension tax preferences are structured to provide incentives for 
employers to start and maintain voluntary, tax-qualified pension plans 
and to ensure that participants receive an equitable share of the tax- 
favored benefits. The tax treatment for DC and defined benefit (DB) 
plans are similar.[Footnote 6] However, DC plan contributions are 
subject to specific limits and DB plans allow deductions[Footnote 7] 
for contributions to fund future benefits (plus a cushion amount 
[Footnote 8]), which may total several times the DC tax-deferred 
contribution dollar limit. Importantly, such benefits cannot exceed 
the maximum yearly benefit--which is $195,000 per participant per year 
[Footnote 9]--and the allowable contribution in any year also depends 
on a variety of actuarial factors, including the ages of the 
participants and the funded status of the plan. (See table 1 for a 
summary of DC contribution limits.) 

Table 1: Select Statutory Limits for Defined Contribution Plans, 2001, 
2007, and 2011: 

Statutory limit: § 402(g)(1) Limit on elective deferrals made by 
employees; 
2001: $10,500; 
2007: $15,500; 
2011: $16,500. 

Statutory limit: § 415(c)(1)(A) Limit on combined employer and 
employee contributions; 
2001: $35,000; 
2007: $45,000; 
2011: $49,000. 

Statutory limit: § 414(v)(2)(B)(i) Limit on catch-up contributions for 
DC participants aged 50 and older; 
2001: n/a[A]; 
2007: $5,000; 
2011: $5,500. 

Source: Internal Revenue Service publications. 

Notes: Section 415 of the Internal Revenue Code provides for dollar 
limitations on contributions and benefits under qualified retirement 
plans. Section 415(d) requires that the Commissioner of Internal 
Revenue annually adjust these limits for cost of living increases in 
perpetuity. Other limitations applicable to deferred compensation 
plans are also affected by these adjustments under section 415. Under 
section 415(d), the adjustments are to be made pursuant to adjustment 
procedures which are similar to those used to adjust benefit amounts 
under section 215(i)(2)(A) of the Social Security Act. 

[A] There was no catch-up contribution provision in 2001. N/a means 
not applicable. 

[End of table] 

One important requirement for tax-qualified pension plans of private 
employers is that contributions or benefits be apportioned in a 
nondiscriminatory manner between highly compensated employees or other 
workers.[Footnote 10] There are standard off-the-shelf plan designs, 
termed "safe harbors," which allow employers to easily comply with 
this requirement. Alternatively, employers can develop a custom-
tailored plan design and apply general testing methods (as required by 
law) to a plan's apportionment of contributions or benefit accruals 
each year. These methods for custom-tailored plan designs are complex, 
but they generally require the employer to provide both coverage and 
contributions or benefits for employees other than the most highly 
compensated at rates that do not differ too greatly from the rates at 
which the employer provides coverage and contributions or benefits for 
its most highly compensated employees.[Footnote 11] 

The purpose of the legal limits that constrain tax-deferred 
contributions to tax-qualified retirement plans is to prevent tax 
preferences from being used to subsidize excessively large pension 
benefits. Tax-deferred pension contributions are also limited by the 
application of other statutory limits.[Footnote 12] In addition to the 
legal limits, some plans set their own limits on contributions. In DC 
plans with plan-specific contribution limits, tax-deferred 
contributions are limited to the statutory limit or the plan specific 
limit, whichever is smaller. Employers set plan-specific limits, in 
part, to ensure that the plans they sponsor pass statutory and 
regulatory requirements, such as the requirement that contributions or 
benefits not be skewed too heavily in favor of highly compensated 
employees. 

The Employee Retirement Income Security Act of 1974[Footnote 13] 
imposed dollar and percentage-of-compensation limitations on combined 
employer and employee tax-deferred contributions.[Footnote 14] 
Subsequently, the Revenue Act of 1978[Footnote 15] included a 
provision that became Internal Revenue Code section 401(k), under 
which employees are not taxed on the portion of income they elect to 
receive as deferred compensation. The Tax Reform Act of 1986 
introduced a dollar limitation (i.e., a maximum dollar contribution) 
on employees' tax-deferred contributions to DC plans.[Footnote 16] In 
2001, the Economic Growth and Tax Relief Reconciliation Act of 2001 
(EGTRRA)[Footnote 17] permitted greater contributions to such tax-
advantaged savings plans beginning in 2002. The scheduled increases 
were to be fully implemented by 2006 and expire at the close of 2010. 
[Footnote 18] At the time, some asserted that increasing these limits 
would enhance employer incentives to start new plans and improve 
existing plan coverage, especially for employees of small businesses. 

EGTRRA also allowed a so-called catch-up provision, where persons aged 
50 or older are permitted to make additional tax-deferred 
contributions, in excess of other applicable statutory limits, to 
401(k) and similar DC plans.[Footnote 19] The provision is intended to 
encourage older workers who had not previously been able to save 
sufficiently to make larger catch-up contributions in order to reach 
more adequate levels of retirement savings. (See table 1.) However, 
these EGTRRA provisions had also been scheduled to expire on December 
31, 2010. In 2006, the Pension Protection Act[Footnote 20] made 
permanent the higher benefit limits in DB plans, higher contribution 
limits for IRAs and DC plans, and catch-up contributions for workers 
50 and older that were included in EGTRRA. 

Additionally, in order to encourage low-and middle-income individuals 
and families to save for retirement, EGTRRA authorized a nonrefundable 
tax credit[Footnote 21] (the Saver's Credit) of up to $1,000 against 
federal income tax.[Footnote 22] Eligibility for the Saver's Credit is 
based on workers' adjusted gross income (AGI) and contributions to 
401(k) and other retirement savings plans and IRAs. The Saver's Credit 
phases out as AGI increases so that eligible tax filers with higher 
AGI receive a lower credit rate (see table 2). The credit amount is 
equal to the amount of contributions to a qualified retirement plan or 
IRA (up to $2,000 for individuals and $4,000 for households) 
multiplied by the credit rate. Federal revenue losses for the Saver's 
Credit are estimated to amount to $1.4 billion in fiscal year 2011 and 
$6.5 billion for fiscal years 2012-2016.[Footnote 23] 

Table 2: Saver's Credit Rates and AGI limits in 2010 by Tax Filing 
Status: 

Single, married filing separately, or widow(er): 

Credit rate: 50%; 
AGI limit: Single, married filing separately, or widow(er): $16,750; 
Maximum available credit: Single, married filing separately, or 
widow(er): $1,000. 

Credit rate: 20%; 
AGI limit: Single, married filing separately, or widow(er): $18,000; 
Maximum available credit: Single, married filing separately, or 
widow(er): $400. 

Credit rate: 10%; 
AGI limit: Single, married filing separately, or widow(er): $27,750; 
Maximum available credit: Single, married filing separately, or 
widow(er): $200. 

Head of household: 

Credit rate: 50%; 
AGI limit: Single, married filing separately, or widow(er): $25,125; 
Maximum available credit: Single, married filing separately, or 
widow(er): $1,000. 

Credit rate: 20%; 
AGI limit: Single, married filing separately, or widow(er): $27,000; 
Maximum available credit: Single, married filing separately, or 
widow(er): $400. 

Credit rate: 10%; 
AGI limit: Single, married filing separately, or widow(er): $41,625; 
Maximum available credit: Single, married filing separately, or 
widow(er): $200. 

Married filing jointly: 

Credit rate: 50%; 
AGI limit: Single, married filing separately, or widow(er): $33,500; 
Maximum available credit: Single, married filing separately, or 
widow(er): $2,000. 

Credit rate: 20%; 
AGI limit: Single, married filing separately, or widow(er): $36,000; 
Maximum available credit: Single, married filing separately, or 
widow(er): $800. 

Credit rate: 10%; 
AGI limit: Single, married filing separately, or widow(er): $55,500; 
Maximum available credit: Single, married filing separately, or 
widow(er): $400. 

Source: Department of the Treasury, Internal Revenue Service, Form 
8880. 

[End of table] 

Over the last three decades, DC plans have replaced DB plans as the 
dominant type of private-sector employer pension plan and, by almost 
any measure, have taken on a primary role in how workers save for 
retirement.[Footnote 24] By 2007 (the most recent year with available 
data), DC plans comprised 93.1 percent of all plans and active DC 
participants in the private sector outnumbered those in DB plans 66.9 
million to 19.4 million. 

Meanwhile, participation in employer-sponsored plans has stayed fairly 
constant in the past few years. Data from the Department of Labor's 
Current Population Survey[Footnote 25] show that in 2008 about 53 
percent of private-sector wage and salary workers, aged 25-64, worked 
for employers that sponsored a retirement plan and about 44 percent 
participated in a plan.[Footnote 26] The Current Population Survey 
data show that while each of those percentages were about 2 percentage 
points lower than in 2007, they are indicative of the overall decline 
in plan coverage and participation since 2000. For instance, the 
percentage of private-sector wage and salary workers, aged 25-64, who 
worked for employers that sponsored a retirement plan in 2008 was more 
than 8 percentage points lower than it had been in 2000 (about 61 
percent). Likewise, the percentage of private-sector wage and salary 
workers, aged 25-64 participating in a plan fell from more than 50 
percent in 2000 to 44 percent in 2008. 

Similar trends are evident when looking at such percentages by full-
and part-time employment status. The Current Population Survey data 
also show that full-time workers are more likely than part-time 
workers to have access to and participate in a pension plan. Moreover, 
the data indicate there is substantial disparity in sponsorship of 
retirement plans between large and small employers. Workers at 
establishments with fewer than 100 employees are much less likely to 
have access to an employer-sponsored retirement plan than workers at 
larger establishments. 

The U.S. economy went into recession in December 2007 and major stock 
indexes fell more than 50 percent from their peaks in October of that 
year until hitting their lows in March 2009. These economic conditions 
have not been beneficial to retirement savings, particularly given the 
fact that stocks have been a major type of investment for pension 
plans. 

Total Number of Tax-Qualified Plans Remains Relatively Unchanged as 
Plan Terminations Largely Offset New, Mostly Small Plan Formation: 

Each year, from 2003 to 2007 (the most recent data available), private 
employers created thousands of new retirement plans.[Footnote 27] 
However, the total number of private employer-sponsored retirement 
plans has increased only slightly because the gains from these newly 
formed plans were largely offset by other plan terminations. Even 
though employers created more than 179,000 new plans from 2003 to 
2007, the Department of Labor estimates a slight increase overall in 
the total number of plans from about 697,000 to only about 705,000 in 
the same period (see figure 1). It is important to note that some plan 
formations and terminations are linked as sponsors may terminate plans 
because of company mergers or acquisitions, and then cover the 
participants with other newly started or existing plans. 

Figure 1: The Estimated Number of All, New, and Terminated Plans, 2003-
2007: 

[Refer to PDF for image: vertical bar and line graph] 

Year: 2003; 
Total number of single employer plans: 697,075; 
New plans: 32,219; 
Terminated plans: -65,491. 

Year: 2004; 
Total number of single employer plans: 680,165; 
New plans: 33,531; 
Terminated plans: -50,441. 

Year: 2005; 
Total number of single employer plans: 676,151; 
New plans: 35,888; 
Terminated plans: -39,902. 

Year: 2006; 
Total number of single employer plans: 691,513; 
New plans: 38,219; 
Terminated plans: -22,857. 

Year: 2007; 
Total number of single employer plans: 704,818; 
New plans: 39,377; 
Terminated plans: -26,072. 

Source: Department of Labor Private Pension Plan Bulletin and GAO 
analysis of Form 5500 filings. 

Notes: The estimated total number of single employer plans is based on 
published Department of Labor estimates in the Private Pension Plan 
Bulletin Historical Tables and Graphs derived from the number of 
filers and historical estimate of nonfilers. New plans are based on 
our analysis of Form 5500 filings; see appendix I for more 
information. The estimated number of terminated plans is based on our 
calculation: the estimated total number of plans in a given year 
subtracted from estimated total number of plans in the previous year 
plus the new plans in the current year. This estimate of terminated 
plans is higher than the count of plans that submit a final filing 
indicating they were terminating or merging their plan, which may be 
because some sponsors of terminated plans fail to submit a final Form 
5500 filing. While at least 174,000 sponsors terminated a plan and 
submitted a plan termination, we estimate that about 205,000 plans 
were actually terminated from 2003 to 2007. 

[End of figure] 

Most of the new plans private employers created were small--about 
173,000 new plans had fewer than 100 participants (about 96 percent of 
plans) and only about 6,000 plans had 100 participants or more (see 
figure 2).[Footnote 28] Most new DB plans were even smaller than new 
DC plans. The median number of participants for new DB plans was just 
four, compared to eight members for new DC plans. However, some larger 
DB plans raised the average size of new DB plans (about 43 
participants) above that of the average size of new DC plans (about 34 
participants). 

Figure 2: Newly-Formed Private Plans by Size and Type, 2003-2007: 

[Refer to PDF for image: pie-chart] 

DB plans with 100 members or more: Less than 1% (391); 
DC plans with 100 members or more: 3% (6,017); 
DB plans with fewer than 100 members: 8% (14,150); 
DC plans with fewer than 100 members: 89% (158,571). 

Plans with 100 or more members: 4% (6,408); 
Plans with fewer than 100 members: 96% (172,721). 

Source: GAO analysis of Form 5500 filings. 

Note: The percent of DB plans with fewer than 100 members and percent 
of DC plans with fewer than 100 members adds up to slightly more than 
the total percent of plans with fewer than 100 members because of 
rounding. 

[End of figure] 

Despite the approximately 173,000 new plans with fewer than 100 
members, the total number of these small plans actually declined 
slightly from about 630,000 in 2003 to about 626,000 in 2007, 
according to Department of Labor estimates.[Footnote 29] Over that 
time period, many plans with fewer than 100 members either terminated 
or, in some cases, grew to 100 or more members. However, about 98 
percent of sponsors that indicated they were terminating their plans 
in official filings from 2003 to 2007 terminated plans with fewer than 
100 members. 

Moreover, workers at small companies are much less likely to have an 
employer-sponsored pension plan than workers at large employers. 
[Footnote 30] In 2008, only 45 percent of employees working at private 
employers with fewer than 100 employees were offered retirement plans, 
while 79 percent of employees working at private employers with 100 or 
more employees were offered a retirement plan, according to the Bureau 
of Labor Statistics' National Compensation Survey. In surveys, small 
employers have cited uncertain revenue, company contributions that are 
too expensive, and employees that prefer higher wages or other 
benefits instead of a retirement plan as key reasons for not offering 
a plan.[Footnote 31] As small employers become more stable and grow, 
they may be more likely to begin to offer benefits, including 
retirement plans. 

With respect to the 8 percent of new plans that were small DB, many 
were sponsored by just four kinds of professional businesses--doctor's 
offices, dentist's offices, lawyer's offices, and noncategorized 
professional services (see figure 3)[Footnote 32]--and many of these 
new DB plan sponsors also offered a DC plan. Together, these four 
business types sponsored 43 percent of new DB plans with fewer than 
100 participants. Furthermore, more than 55 percent of new DB plan 
sponsors from 2003 to 2007 and about 62 percent of the sponsors from 
the four business types also sponsored a DC plan.[Footnote 33] 

Figure 3: New Small DB Plans Sponsored by Different Business Types, 
2003-2007: 

[Refer to PDF for image: pie-chart] 

Doctor’s offices: 20% (2,900); 
Dentist’s offices: 11% (1,600); 
Lawyer’s offices: 7% (1,000); 
Noncategorized professional services: 5% (700); 
Business types that sponsored fewer than 3 percent of new plans: 57% 
(8,000). 

Source: GAO analysis of Form 5500 filings. 

Notes: "Small" indicates plans with fewer than 100 participants. 
Amounts have been rounded to the nearest hundreds. 

[End of figure] 

Survey evidence and expert interviews suggest that many firms start 
new DB plans principally because of the tax benefits for workers. A 
majority of the sponsors of newly formed DB plans reported that they 
set up their plans to make large tax-deductible contributions, 
according to a PBGC inquiry.[Footnote 34] This may indicate that the 
employer and employees are using a DB plan as a mechanism to 
contribute additional money with taxes deferred. Additionally, 
comments from officials at the Department of Labor and PBGC, as well 
as from other experts, suggest that most new DB plans were started by 
highly paid, middle-aged professionals who run small businesses and 
were looking for ways to put as much tax-deferred income aside for 
retirement as possible. 

In the few instances where employers created new large DB plans, these 
plans were probably not unique plans that covered new participants, 
but instead likely replaced existing DB plans. These plans may have 
been the result of a company merger or acquisition or of a plan 
sponsor changing a plan's benefit structure by freezing an old plan 
and starting a new one. For example, a PBGC study found that of the 
116 new DB plans in 2006 with more than 100 participants, 105 had ties 
to previous DB plans.[Footnote 35] Furthermore, the same study found 
that every new DB plan with 1,000 or more members had ties to a 
previous plan. In contrast, most plans with fewer than 100 members did 
not have ties to previous plans. 

Figure: Advantages to a Small Employer of Sponsoring a DB Plan: 

[Refer to PDF for image: text box with table] 

In a small business with one or a few highly paid principal owners 
there may be an advantage to starting a DB instead of, or in addition 
to, a DC plan. If the principal owners of a small firm wanted to 
contribute more than the DC limits allow to a retirement plan, they 
could personally see a large tax benefit by designing their total 
compensation package to include contributions to a DB plan in lieu of 
a higher salary. Although tax-qualified plans must be designed to 
ensure that lower income rank and file employees also receive benefits 
from a firm's retirement plan, the tax benefit for principal employees 
of a DB plan at a small firm with a few highly paid employees and a 
few lower-paid employees could still make it desirable to the 
principals to set up a DB plan. (For more information on these 
nondiscrimination rules, see 26 U.S.C. § 401 et. al.). 

The tax advantages for contributions to a tax-qualified plan compared 
to taxable compensation can be large because contributions and 
investment growth are tax-deferred, and hence the earnings compound 
tax-free, although benefits paid in retirement are taxed. In contrast, 
if an employee received compensation as salary, he or she would pay 
taxes on the income before investing it and would pay taxes on 
investment gains. For example, assuming a rate of return of 5 percent 
on a 10 year investment and a 35 percent tax rate on salary, a worker 
could see an 18 percent increase in retirement income for every dollar 
he or she received from a retirement plan instead of as normally taxed 
wages invested and later used during retirement, see table below. 

Table: Advantage for Investment in a Tax Deferred Retirement Plan 
Compared to Regular Compensation: 

Tax rate: 
Compensation as regular salary: 35%; 
Compensation in tax deferred retirement plan: 35%. 

After-tax contribution for every dollar: 
Compensation as regular salary: $0.65; 
Compensation in tax deferred retirement plan: $1. 

Annual investment growth: 
Compensation as regular salary: 5%; 
Compensation in tax deferred retirement plan: 5%. 

Increase in value for tax-deferred plan (after final taxes): 10 year 
investment; 
Compensation in tax deferred retirement plan: 18%. 

Increase in value for tax-deferred plan (after final taxes): 20 year 
investment; 
Compensation in tax deferred retirement plan: 40%. 

Notes: For the purposes of this analysis we assume the worker's tax 
rate does not change over the period of time of the investment, nor 
once the worker begins retirement. We also assume that the money is 
invested in assets whose growth is taxed at the same rate as income. 
Altering these assumptions could lead to different results. For 
example, although interest income is taxed at the marginal income tax 
rate, the tax rate is generally lower for capital gains, reducing the 
advantage of an investment in a tax-deferred retirement plan. We only 
show a one-time investment of $1 held for 10 or 20 years, and not the 
participant making contributions over multiple years. 

Therefore, if a firm had reached the maximum contribution for a DC 
plan and set up a DB plan in order to allow additional tax-deferred 
contributions, the firm's employees could continue to receive the 
substantial benefit of a tax-qualified retirement plan. 

Source: GAO analysis. 

[End of table] 

[End of figure] 

DC Participants with High-Incomes and Other Assets Benefited the Most 
from Increases in Contribution Limits: 

High Earners More Likely to Make DC Contributions above Statutory 
Limits: 

Based on the 2007 SCF, about 5 percent of more than 40 million DC 
participants contributed at or above the statutory limits for tax 
deferred contributions.[Footnote 36] Most of these participants whose 
contributions were at or above the limits were high-earners (see 
figure 4). We estimated that about 72 percent of them had individual 
earnings at the 90th percentile ($126,000) or above for all DC 
participants.[Footnote 37] In comparison, only 7 percent of the DC 
participants contributing below the limits had individual earnings at 
the 90th percentile or above.[Footnote 38] 

Figure 4: Earnings of DC Participants Contributing below and at or 
above the Statutory Limits: 

[Refer to PDF for image: pie-chart with 2 associated vertical bar 
graphs] 

DC participants contributing below all three statutory limits: 95%; 
DC participants contributing at or above any of the statutory limits: 
5%. 

DC participants contributing below all three statutory limits: 
Earnings groups: 
$180,000 or more: 3%; 
$126,000–$179,999: 4%; 
$52,000–$125,999: 41%; 
$51,999 or less: 52%. 

DC participants contributing at or above any of the statutory limits: 
Earnings groups: 
$180,000 or more: 46%; 
$126,000–$179,999: 27%; 
$52,000–$125,999: 27%; 
$51,999 or less: 0.6%. 

Source: GAO analysis of 2007 SCF. 

Notes: Earnings categories are based on the median ($52,000), 90th 
percentile ($126,000), and 95th percentile ($180,000) of earnings for 
all DC participants. Analysis based on the 402(g), 415(c), and 414(v) 
limits on contributions to DC plans. DC participants may be limited by 
other statutory limits or rules specific to their plan. Estimated 
percentages based on all DC participants have 95 percent confidence 
intervals of plus or minus 1 percentage point or less. Percentage 
estimates based on participants contributing below the limits have 95 
percent confidence intervals within plus or minus 3 percentage points 
of the percentage estimate itself. Percentages based on participants 
at or above the limits have confidence intervals within plus or minus 
12 percentage points of the estimate itself. 

[End of figure] 

We also found that most DC participants who made contributions at or 
above the 2007 statutory limits came from households with other assets 
in addition to their DC accounts.[Footnote 39] Assets commonly held by 
the households of such participants included checking accounts, 
savings accounts, houses, IRAs, and stocks (see figure 5).[Footnote 
40] For example, 90 percent of these participants came from households 
that owned a home and 60 percent came from households holding stocks. 
DC participants contributing at or above the limits were more likely 
to come from households holding these assets than were DC participants 
contributing below the limits. For example, 65 percent of those 
contributing at or above the limits lived in households with an IRA, 
compared to only 29 percent of those contributing below the limits. 

Figure 5: Estimated Percentage of DC Participants Whose Households Own 
Various Assets: 

[Refer to PDF for image: horizontal bar graph] 

Asset: IRA; 
DC participants whose households contributed at or above the 2007 
statutory limits: 65%; 
DC participants whose households contributed below the 2007 limits: 
29%. 

Asset: Home; 
DC participants whose households contributed at or above the 2007 
statutory limits: 90%; 
DC participants whose households contributed below the 2007 limits: 
79%. 

Asset: Checking accounts; 
DC participants whose households contributed at or above the 2007 
statutory limits: 100%; 
DC participants whose households contributed below the 2007 limits: 
98%. 

Asset: Savings accounts; 
DC participants whose households contributed at or above the 2007 
statutory limits: 65%; 
DC participants whose households contributed below the 2007 limits: 
71%. 

Asset: Publicly-traded stock; 
DC participants whose households contributed at or above the 2007 
statutory limits: 60%; 
DC participants whose households contributed below the 2007 limits: 
25%. 

Source: GAO analysis of 2007 SCF. 

Notes: The difference for savings accounts is not statistically 
significant at the 5 percent level. Percentage estimates based on 
participants contributing below the limits have 95 percent confidence 
intervals within plus or minus 2 percentage points of the percentage 
estimate itself. Percentages based on participants at or above the 
limits have confidence intervals within plus or minus 10 percentage 
points of the estimate itself. 

[End of figure] 

In addition, according to our estimates, the value of household assets 
for DC participants contributing at or above the 2007 statutory limits 
tended to be higher, on average, than the value of household assets 
for participants contributing below the limits (see table 3). For 
example, the average value of stock for the former was about $228,000 
in 2007, compared to about $32,000 for the latter. Further, 
participants contributing at or above the limits lived in households 
with an aggregate savings account balance of around $59,000, on 
average, while those contributing below the limits lived in households 
with an average aggregate savings account balance of about $15,000. 

Table 3: Estimated Mean Value of Household Assets by Contribution 
Levels: 

Financial asset: IRA or Keogh; 
Households of DC participants contributing at or above the statutory 
limits: $103,000; 
Households of DC participants contributing below the statutory limits: 
$21,000. 

Financial asset: Home; 
Households of DC participants contributing at or above the statutory 
limits: $729,000; 
Households of DC participants contributing below the statutory limits: 
$260,000. 

Financial asset: Checking accounts; 
Households of DC participants contributing at or above the statutory 
limits: $37,000; 
Households of DC participants contributing below the statutory limits: 
$8,000. 

Financial asset: Savings accounts; 
Households of DC participants contributing at or above the statutory 
limits: $59,000; 
Households of DC participants contributing below the statutory limits: 
$15,000. 

Financial asset: Publicly-traded stock; 
Households of DC participants contributing at or above the statutory 
limits: $228,000; 
Households of DC participants contributing below the statutory limits: 
$32,000. 

Source: GAO analysis of 2007 SCF. 

Notes: Dollar amounts have been rounded to the thousands. Assets of 
households containing a DC participant contributing at or above the 
limit and a participant contributing below the limit are reflected in 
averages of both columns above. Estimates for households of DC 
participants contributing at or above the limit have 95 percent 
confidence intervals that are within plus or minus 39 percent of the 
estimate itself. Estimates for households of DC participants 
contributing below the limit have 95 percent confidence intervals that 
are within plus or minus 26 percent of the estimate itself. 

[End of table] 

Increases in the Limits Have Primarily Benefited High-Income Workers: 

High-income workers have been the primary beneficiaries of recent 
increases in the limits on both individual employee contributions and 
combined employer and employee contributions, as well as the 
introduction of the catch-up contribution provision. When we compared 
2007 contributions to the lower 2001-level limits, we found that about 
14 percent of all DC participants would have been contributing at or 
above the 2001-level limits.[Footnote 41] In comparison, about 5 
percent of DC participants made contributions that were at or above 
the limits in 2007. Thus, about 8 percent of all DC participants made 
contributions that were below the actual 2007 limits but would have 
been at or above the limits if the 2001 limits had still been in 
place.[Footnote 42] Therefore, these participants likely benefited 
from the increases in the limits because all of their 2007 
contributions would have been tax-deferred while only a portion of 
their contributions would have been tax deferred had the 2001 limits 
been in place.[Footnote 43] Thirty-eight percent of these participants 
had individual earnings at the 90th percentile ($126,000) or above and 
20 percent had individual earnings at the 95th percentile or above 
($180,000).[Footnote 44] (See figure 6.) 

Figure 6: Estimated Percentage of DC Participants by Earnings for 
Participants Whose Total Contributions Were below the 2007 Limits but 
Would Have Been at or above the Limits If the 2001 Limits Were Applied 
to 2007 Contributions: 

[Refer to PDF for image: pie-chart] 

$180,000 or more: 20%; 
$126,000–179,999: 18%; 
$52,000–125,999: 55%; 
$51,999 or less: 7%. 

Source: GAO analysis of 2007 SCF. 

Notes: Earnings categories are based on the median ($52,000), 90th 
percentile ($126,000), and 95th percentile ($180,000) of earnings for 
all DC participants. Analysis based on the 402(g), 415(c), and 414(v) 
limits on contributions to DC plans. DC participants may be limited by 
other statutory limits or rules specific to their plan. Percentage 
estimates have 95 percent confidence intervals that are within plus or 
minus 8 percentage points of the percentage itself. 

[End of figure] 

Regarding the catch-up contribution provision of EGTRRA, although it 
was intended to help older workers, particularly women, catch up in 
saving for retirement, a higher percentage of men than women made 
catch-up contributions. Further, a higher percentage of men also 
contributed at or above the statutory limit on these contributions. 
Specifically, among the 10 percent of eligible DC participants making 
catch-up contributions in 2007, 77 percent were men and 23 percent 
were women. Further, men made up 74 percent of those contributing at 
or above the catch-up contribution limit, while women made up only 26 
percent (see figure 7). 

Figure 7: DC Participants Making Catch-Up Contributions by Gender and 
Compared to the Limits: 

[Refer to PDF for image: pie-chart and 2 associated vertical bar 
graphs] 

All DC participants making catch-up contributions: 
DC participants contributing below the catch-up contribution limit: 
51%; 
DC participants contributing at or above the catch-up contribution 
limit: 49%. 

DC participants contributing below the catch-up contribution limit: 
Women: 20%; 
Men: 80%. 

DC participants contributing at or above the catch-up contribution 
limit: 
Women: 26%; 
Men: 74%. 

Source: GAO analysis of 2007 SCF. 

Notes: Analysis based on the 414(v) limit on catch-up contributions to 
DC plans. DC participants aged 50 and older are eligible to make catch-
up contributions. These participants may be limited by other statutory 
limits or rules specific to their plan. Estimated percentages have 95 
percent confidence intervals within plus or minus 18 percentage points 
of the percentages themselves. 

[End of figure] 

In addition, many participants making catch-up contributions at or 
above the statutory limit already had relatively high account 
balances. The median account balance for those contributing at or 
above the catch-up contribution limit in 2007 was $340,000.[Footnote 
45] In comparison, the median account balance for all DC participants 
aged 50 and older was about $51,000.[Footnote 46] 

When we looked at total DC savings, we found that the savings of those 
who made contributions at or above the limits represented a 
substantial portion of all savings among DC participants, regardless 
of whether the 2001 or 2007 limits are applied to 2007 contributions. 
When we compared 2007 contributions to the 2001 limits, we found that 
an estimated 14 percent of participants in 2007 contributed at or 
above the 2001 limits and these participants held an estimated 41 
percent of all DC savings in 2007.[Footnote 47] Under the 2007 limits, 
although a smaller percentage of participants (5 percent) contributed 
at or above the limits, these participants still held a substantial 
portion of all DC savings, about 23 percent.[Footnote 48] In addition, 
according to our estimates, the median account balance for those 
contributing at or above either the 2001 or 2007 limits was 
significantly higher than the median account balance for those 
contributing below the limits (see table 4). 

Table 4: Median Account Balances for DC Participants by Whether Their 
2007 Contributions were below, and at or above the Statutory Limits We 
Analyzed: 

DC participants: Contributions were below the limits; 
2001 limits: $19,000; 
2007 limits: $23,000. 

DC participants: Contributions were at or above the limits; 
2001 limits: $150,000; 
2007 limits: $175,000. 

Source: GAO analysis of 2007 SCF. 

Notes: Analysis based on the 402(g), 415(c), and 414(v) limits on 
contributions to DC plans. Dollar amounts have been rounded. Estimated 
medians have 95 percent confidence intervals that are within plus or 
minus 11 percent of the estimates themselves. 

[End of table] 

Some industry groups have suggested that the increases in the 
contribution limits could motivate employers to sponsor new pension 
plans, according to our past work.[Footnote 49] While the number of 
new plans formed has risen since 2003--the year after the new higher 
limits began--the rate of increase has been small overall, and the 
total number of plans actually declined from 2003 to 2005 (see figure 
2). Further, from 2003 to 2007, the total number of pension plans has 
remained relatively constant at about 700,000 plans, suggesting that 
there is no net increase in plans.[Footnote 50] Other factors may have 
been at work, but at a minimum, the number of pension plans and the 
number of workers covered by pension plans has remained relatively 
steady. It is possible that the higher limits may have had little or 
no effect. However, it would be hard to disentangle the possible 
effects of the financial crisis and recent recession on plan formation 
in recent years. 

Modifications to the Saver's Credit Could Improve Retirement Income 
for Some Low-Income Workers: 

Incentives to Help Low-Income Workers That Could Be Implemented 
through the Saver's Credit: 

Experts we spoke with cited several options that could further 
encourage low-income workers to save for retirement, although each of 
them would create additional cost for the federal government. We found 
that most of these options could be implemented by modifying the 
existing Saver's Credit. 

Provide a refundable tax credit. Expert commentary indicates that 
providing a refundable Saver's Credit would allow low-income workers 
to receive the full amount of the credit for which they qualify, 
providing more of an incentive for them to save for retirement. Expert 
commentary also indicates that not only might this increase saving by 
those already taking advantage of the credit, but it might also 
encourage more individuals to utilize the credit. While eligible tax 
filers may qualify for the credit based on their AGI, they may gain 
little or no tax benefit from the credit because their tax liabilities 
are low. For example, if a household earned $20,000 in 2010 and 
contributed $2,000 to an IRA or DC plan, the household qualified for a 
$1,000 tax credit. However, the household will only receive the full 
amount of the credit if its federal tax liability is $1,000 or more. 
Several studies have found that low-income workers with limited tax 
liability may not be able to take full advantage of the current 
Saver's Credit because it is nonrefundable.[Footnote 51] One study 
concluded that as little as 14 percent of taxpayers eligible for the 
50 percent rate could benefit from the credit because of its 
nonrefundable nature.[Footnote 52] Further, a 2005 study estimated the 
take-up rate for the Saver's Credit to be only 66 percent.[Footnote 53] 

Provide a credit that covers all low-income and some middle-income 
workers. Some experts told us that more low-and middle-income workers 
should be offered a tax credit for retirement savings. They suggested 
that the limits on AGI under the current Saver's Credit could be 
increased to make more workers eligible and could have a larger effect 
on retirement saving. The Retirement Security Project and recent 
presidential budget proposals have called for increasing the AGI 
limits so that more low-and middle-income households would qualify for 
the credit.[Footnote 54] 

Eliminate the phase-out of the credit and apply the full credit rate 
for all eligible income levels. Some experts have suggested that all 
recipients of the Saver's Credit should receive the 50 percent credit 
rate to better motivate low-and middle-income households to save for 
retirement. They explained that under the current structure of the 
Saver's Credit, which phases out the credit rate as AGI increases, the 
10 and 20 percent credit rates that some Saver's Credit recipients 
receive may not be sufficient motivation to save for retirement. For 
joint filers in 2010, the 50 percent credit applied to those with AGI 
of $33,500 or less, the 20 percent credit applied to those with AGI 
between $33,501 and $36,000, and the 10 percent credit applied to 
those with AGI between $36,001 and $55,000. Further, several experts 
said that eliminating the different crediting rates could improve the 
understanding and appeal of tax incentives for low-income workers, 
making it more likely that they would take advantage of the credit. 
Some believe that the current phase-out is difficult to understand and 
can make the credit difficult to use. A 2005 analysis of the Saver's 
Credit found that one-third of those eligible for the credit failed to 
take advantage of it.[Footnote 55] 

Deposit any tax credit directly into retirement savings accounts. One 
expert we spoke with said that depositing a tax credit for retirement 
saving directly into an IRA or DC account would encourage retirement 
saving for all ages and income levels because direct deposit provides 
a tangible reinforcement since workers can see their accounts grow. 
The current Saver's Credit, in comparison, either reduces the amount 
of tax owed or is part of the household's tax refund. Because the 
money does not go directly into a retirement account, the recipient 
can use the money for any purpose and the credit might not provide the 
same benefits as it would if deposited directly into a retirement 
account. Additionally, the expert we spoke with said a credit directly 
deposited into an account could replace the employer match and provide 
additional flexibility to meet future needs because saving has 
increased. This could be particularly effective for young workers 
because it encourages them to start saving for retirement early. 

Provide a government match for employees' retirement contributions. A 
government match for retirement contributions could be another option 
for increasing retirement saving among low-income workers, according 
to the Retirement Security Project, President's Economic Recovery 
Advisory Board, and Economic Policy Institute.[Footnote 56] 
Researchers have found that presenting the Saver's Credit as a match, 
rather than a credit, improves the take-up rate.[Footnote 57] A match 
could replace the existing Saver's Credit or it could be implemented 
as part of a broader reform proposal.[Footnote 58] 

Saver's Credit Modifications Could Increase Retirement Income for Some 
Workers: 

Several options for revising the Saver's Credit could provide a 
sizable increase in retirement savings for some low-income workers. 
(See Modeling Scenarios and Assumptions and appendix I for detailed 
descriptions of the scenarios and assumptions.) We simulated the 
effects on retirement income from DC accounts using three policy 
scenarios (see table 5). Each of these options would have a tradeoff 
in that they would increase federal costs for the Saver's Credit. For 
information on the potential cost of these scenarios to the federal 
government, see appendix I. 

* Policy scenario 1: refundable Saver's Credit. On average, Saver's 
Credit recipients would receive $322 more in annual retirement income 
than they would have without a Saver's Credit. Saver's Credit 
recipients in the second-lowest earnings quartile would receive the 
greatest benefit from the credit, with an additional $411 in annual 
income. We projected that 52 percent of those receiving annuity income 
from a DC plan at age 70 would have received the credit at some point 
over their career.[Footnote 59] 

* Policy scenario 2: refundable Saver's Credit with an increase in the 
AGI limits. Saver's Credit recipients would receive an additional $491 
in annual income, on average. Saver's Credit recipients in the second- 
lowest earnings quartile would experience the biggest increase in 
income, $591 a year. We projected that the percentage of DC annuitants 
who would have received the Saver's Credit at some point over their 
career increased to 72 percent. 

* Policy scenario 3: refundable Saver's Credit with an increase in the 
AGI limits, and automatic enrollment. Under this scenario, the average 
increase in annual income for Saver's Credit recipients would be $917. 
Saver's Credit recipients in the highest earnings quartile would 
receive the biggest increase in income, experiencing an increase in 
annual income of $1,181. As with scenario 2, we projected that 72 
percent of DC annuitants would have received the Saver's Credit at 
some point over their career. 

Figure: Modeling Scenarios and Assumptions: 

[Refer to PDF for image: text box] 

Policy scenarios: 

Since many of the options experts suggested could be implemented 
through modifying the Saver's Credit, we modeled three potential 
modifications to the Saver's Credit for a cohort of workers born in 
1995. These three scenarios do not reflect any one particular proposal 
but incorporate some of the options experts suggested. We compared 
retirement income for workers by earnings quartile under the three 
scenarios, assuming that workers have access to a DC plan only and 
that they fully annuitize their DC accounts at retirement. Because we 
were unable to model the current scenario of a nonrefundable Saver's 
Credit given the structure of the microsimulation model, we used a 
scenario of no Saver's Credit as our baseline. Although these 
assumptions reflect stylized scenarios, they illustrate the potential 
effect of such changes on retirement income for workers with low 
lifetime earnings. 
* Refundable Saver's Credit. Introduced a refundable Saver's Credit 
starting in 2011 for up to $1,000 of DC contributions per person. All 
tax filers eligible for the Saver's Credit received a 50 percent 
credit rate. Credits were automatically deposited into the recipient's 
DC account. AGI limits remained as they were in 2010. The AGI limits 
were $27,750 for individuals with a filing status of single, married 
filing separately, or widow(er); $41,625 for individuals with a filing 
status of head of household, and $55,500 for individuals with a filing 
status of married filing jointly.[A] Limits in subsequent years were 
indexed to inflation; 
* Refundable Saver's Credit with an increase in the AGI limits. In 
addition to a refundable Saver's Credit, AGI limits were increased to 
include all low-and some middle-income workers. The 2011 AGI limits 
were $50,000 for individuals with a filing status of single, married 
filing separately, or widow(er); $75,000 for individuals with a filing 
status of head of household; and $100,000 for individuals with a 
filing status of married filing jointly. Limits in subsequent years 
were indexed to inflation, as under current law; 
* Refundable Saver's Credit with an increase in the AGI limits and 
automatic enrollment.[B] In addition to a refundable Saver's Credit 
and an increase in the AGI limits, all employers automatically 
enrolled all workers eligible to participate in the employer's DC 
plan, unless the worker chose to opt-out. 

Assumptions: 

We used the 1995 birth cohort for our simulation so that the reform 
scenarios would be effective for this cohort's entire working life. 
Our projections assume that 100 percent of tax filers for the Saver's 
Credit take the credit and the credit is automatically deposited into 
a recipient's DC account. Research suggests that the aggregate 
utilization rate for the current nonrefundable Saver's Credit may be 
closer to two-thirds. In an alternate simulation, we assume an 
aggregate utilization rate of 67 percent (see appendix I, table 8). 
Our projections also assume an annual nonstochastic real rate of 
return of 6.4 percent for stocks and 2.9 percent for government bonds. 
We also ran an alternate simulation in which we assumed the real rate 
of return for both stocks and government bonds was 2.9 percent (see 
appendix I, table 7). Using different rates of return reflects 
assumptions used by the Social Security Administration's Office of the 
Chief Actuary in some of its analyses of trust fund investment. We 
held stock returns for employee and employer contributions to DC plans 
constant. Low-income workers are those whose steady lifetime earnings 
fall in the lowest lifetime earnings quartile for all workers. 

Source: GAO analysis. 

Note: For information on the potential cost of these scenarios to the 
federal government, see appendix I. 

[A] At the time of our analysis, the 2011 limits had not been 
announced, so we maintained the 2010 limits. 

[B] We have previously reported that automatic enrollment can have a 
significant effect on the participation rates of lower income workers. 
See GAO-10-31. 

[End of figure] 

Table 5 Projected Mean DC Annuity Payments for Saver's Credit 
Recipients under Different Scenarios, by Earnings Quartiles: 

In 2010 dollars: 

Refundable Saver's Credit: 

Percent change in annuity equivalent[A]; 
Mean for Saver's Credit recipients by earnings quartiles for all 
workers: 
$200-25,933: 8.7%; 
$25,935-50,438: 4.4%; 
$50,439-98,231: 1.3%; 
$98,242-2,203,300: 0.4%; 
Mean for all Saver's Credit recipients: 1.8%. 

Change in annuity equivalent: 
Mean for Saver's Credit recipients by earnings quartiles for all 
workers: 
$200-25,933: $348; 
$25,935-50,438: $411; 
$50,439-98,231: $267; 
$98,242-2,203,300: $204; 
Mean for all Saver's Credit recipients: $322. 

Annuity equivalent: 
Mean for Saver's Credit recipients by earnings quartiles for all 
workers: 
$200-25,933: $4,327; 
$25,935-50,438: $9,687; 
$50,439-98,231: $21,342; 
$98,242-2,203,300: $50,280; 
Mean for all Saver's Credit recipients: $18,483. 

Refundable Saver's Credit with an increase in the AGI limits: 

Percent change in annuity equivalent; 
Mean for Saver's Credit recipients by earnings quartiles for all 
workers: 
$200-25,933: 10.7%; 
$25,935-50,438: 6.4%; 
$50,439-98,231: 2.5%; 
$98,242-2,203,300: 0.7%; 
Mean for all Saver's Credit recipients: 2.3%. 

Change in annuity equivalent: 
Mean for Saver's Credit recipients by earnings quartiles for all 
workers: 
$200-25,933: $425; 
$25,935-50,438: $591; 
$50,439-98,231: $530; 
$98,242-2,203,300: $379; 
Mean for all Saver's Credit recipients: $491. 

Annuity equivalent: 
Mean for Saver's Credit recipients by earnings quartiles for all 
workers: 
$200-25,933: $4,376; 
$25,935-50,438: $9,784; 
$50,439-98,231: $21,637; 
$98,242-2,203,300: $52,214; 
Mean for all Saver's Credit recipients: $22,319. 

Refundable Saver's Credit with an increase in the AGI limits and 
automatic enrollment: 

Percent change in annuity equivalent: 
Mean for Saver's Credit recipients by earnings quartiles for all 
workers: 
$200-25,933: 14.0%; 
$25,935-50,438: 9.5%; 
$50,439-98,231: 4.6%; 
$98,242-2,203,300: 2.3%; 
Mean for all Saver's Credit recipients: 4.2%. 

Change in annuity equivalent: 
Mean for Saver's Credit recipients by earnings quartiles for all 
workers: 
$200-25,933: $559; 
$25,935-50,438: $876; 
$50,439-98,231: $965; 
$98,242-2,203,300: $1,181; 
Mean for all Saver's Credit recipients: $917. 

Annuity equivalent: 
Mean for Saver's Credit recipients by earnings quartiles for all 
workers: 
$200-25,933: $4,549; 
$25,935-50,438: $10,083; 
$50,439-98,231: $22,075; 
$98,242-2,203,300: $53,021; 
Mean for all Saver's Credit recipients: $22,989. 

Source: GAO calculations of PENSIM simulation. 

Notes: Some of the model assumptions include: (1) workers use all 
accumulated DC plan balances to purchase an inflation-adjusted annuity 
at retirement, between ages 62 and 70; (2) participants invest all 
plan assets in target-date funds; (3) the credit(s) are directly 
deposited into a DC participant's account; (4) stocks earn an average 
6.4 percent real return; and (5) 100 percent of workers eligible for 
the Saver's Credit take it. Earnings quartiles are calculated based on 
a measure of steady earnings over a worker's lifetime. No default or 
minimum contribution rates were defined for the scenario with 
automatic enrollment, rather the contribution rates are produced by 
PENSIM. We have no evidence on what contribution rates new 
participants would choose under automatic enrollment, but it may be 
lower than the contribution rates chosen by those that voluntarily 
participate. We compared each of the scenarios to a baseline scenario 
of no Saver's Credit. Our analysis includes only those people who both 
received the Saver's Credit at some point during their lifetime and 
have positive DC annuity income at age 70. See appendix I for more 
details. 

[A] Annuity equivalents are our projection of annual income produced 
by an individual's DC savings. Annuity equivalents are calculated by 
converting DC-derived account balances at retirement into inflation- 
indexed retirement annuity payments using annuity prices that are 
based on projected mortality rates for the 1995 birth cohort and 
annuity price loading factors that ensure that the cost of providing 
these annuities equals the revenue generated by selling them at those 
prices. 

[End of table] 

Under our three scenarios, the average increases for all Saver's 
Credit recipients were not substantial. For example, for all of the 
scenarios, the average replacement rate provided by income from 
annuitizing DC savings at retirement does not increase by more than 
about 3 percentage points.[Footnote 60] In addition, under our most 
generous scenario, on average, Saver's Credit recipients could only 
expect to see an additional $17,562 in income over their lifetime, 
which is an increase of slightly more than 4 percent. 

Nevertheless, for some low-income workers, the increase in income due 
to any Saver's Credit could be sizeable given their relatively low 
level of income from DC savings in retirement. For example, Saver's 
Credit recipients in the lowest earnings quartile would experience, on 
average, an 8.7 percent increase in their annuity under the first 
scenario and an increase of 14 percent under the third scenario. This 
amounts to an additional $348-559 of retirement income, on average, 
each year. For low-income workers, this could be an important increase 
in income. Further, these numbers reflect averages; some low-income 
workers will experience an even greater increase in annual income. 

Figure: Examples of Two Individuals Who Benefit from the Saver's 
Credit: 

[Refer to PDF for image: text box with associated table] 

We profiled two hypothetical low-income men who work full-time at ages 
21 and 25 and take the Saver's Credit. At retirement, they both 
converted their DC savings into lifetime annuities. We compared their 
annuity equivalent under a scenario with no Saver's Credit and one 
with a refundable Saver's Credit, an increase in the AGI limits, and 
all employers automatically enrolling those eligible to participate in 
a DC plan. Individual 1 had very low steady lifetime earnings, 
received more from Saver's Credit than individual 2, retired 7 years 
later, and experienced a large increase in retirement income after the 
Saver's Credit modifications were implemented. Individual 2 had 
slightly higher steady lifetime earnings, received less from the 
Saver's Credit than individual 1, and only received a modest benefit 
increase. 

Table: Amount of Saver's Credit Received and Retirement Income for Two 
Individuals from the 1995 Cohort: 

Demographic characteristics at age 70: 

Highest level of education achieved over lifetime; 
high school graduate; 
high school graduate. 

Retirement age; 
Individual 1: 69; 
Individual 2: 62. 

Steady lifetime earnings at age 70; 
Individual 1: $24,318; 
Individual 2: $35,374. 

Annual earnings and Saver's Credit at age 21: 

Annual earnings (2010 dollars); 
Individual 1: $22,890; 
Individual 2: $12,252. 

Saver's Credit received (2010 dollars); 
Individual 1: $860; 
Individual 2: $180. 

Annual earnings and Saver's Credit at age 25: 

Annual earnings (2010 dollars); 
Individual 1: $18,392; 
Individual 2: $11,719. 

Saver's Credit received (2010 dollars); 
Individual 1: $770; 
Individual 2: $180. 

Retirement income at age 70; 
Individual 1: [Empty]; 
Individual 2: [Empty]. 

Total amount of Saver's Credit received over working years (2010 
dollars); 
Individual 1: $12,300; 
Individual 2: $5,100. 

Annuity equivalent (2010 dollars): 

No Saver's Credit; 
Individual 1: $13,615; 
Individual 2: $18,977. 

Refundable Saver's Credit with an increase in AGI limits and automatic 
enrollment; 
Individual 1: $17,403; 
Individual 2: $19,970. 

Replacement rate at age 70: 

No Saver's Credit; 
Individual 1: 56%; 
Individual 2: 54%. 

Refundable Saver's Credit with an increase in AGI limits and automatic 
enrollment; 
Individual 1: 72%; 
Individual 2: 56%. 

Source: GAO calculations of PENSIM simulation. 

[End of table] 

[End of figure] 

There are several possible explanations for why the additional annual 
income provided by the Saver's Credit would be small for many workers. 
First, we projected that Saver's Credit recipients tended to make 
lower dollar contributions to their DC plans over their working years 
than higher-income workers. Because contributions were lower, account 
balances also tended to be lower, even with the Saver's Credit. The 
lower the account balance, the more likely the account would be cashed-
out when a worker changed jobs, decreasing DC savings.[Footnote 61] 
Second, we found that, for some workers, the Saver's Credit would make 
the difference between having and not having savings at retirement. 
Therefore, the annuity for these individuals would be low, pulling 
down the average dollar increase in income that resulted from the 
Saver's Credit. Third, our scenarios did not account for any 
behavioral effects that may result from modifying the Saver's Credit 
and having all employers offer automatic enrollment. For example, a 
more generous credit might motivate more workers to save more because 
they would receive a larger credit. We did not include this 
possibility in our projections. Further, automatically enrolling 
employees would increase the number of people eligible for the credit 
because more workers would be participating in DC plans and some would 
be eligible to claim the Saver's Credit. Finally, in our projections, 
we assumed that annuities were inflation-adjusted. Inflation-adjusted 
annuities are initially smaller than nonadjusted annuities of the same 
account balance because they are more costly. 

The Long-Term Effects of the Recent Financial Crisis on Retirement 
Income Security Remain Uncertain and Will Vary Widely Among 
Individuals: 

The long-term effects of the recent financial crisis on retirement 
income security are uncertain, but research suggests that the effects 
will vary widely for individuals based on factors such as age, type of 
pension plan, and employment status. Relevant and up-to-date data on 
the effect of the financial crisis on retirement saving are limited 
and analyses to date have drawn varied conclusions. For those who have 
been able to participate in an employer-sponsored pension plan 
throughout the financial crisis and recession, their benefit or 
accounts at retirement may or may not be significantly affected. 
However those who are out of work for any significant length of time 
are much more likely to have reduced retirement savings. The current 
slow recovery further adds to the uncertainty. Many economists project 
only modest economic growth in the near term and some remain concerned 
that unemployment will remain high for years to come. 

Impact on DC Plans: 

While both stock markets and many DC plan account balances have 
regained some of their value since 2008, there is no consensus among 
analysts as to the ultimate effect of the financial crisis on 
retirement savings. The decline in the major stock market indexes in 
2008 significantly reduced the value of many DC plan accounts. 
According to the Board of Governors of the Federal Reserve System, 
total assets held in DC plans fell from $3.81 trillion at the end of 
2007 to $2.7 trillion at the end of 2008. However, as of January 2011 
the major stock market indexes have regained more than 80 percent of 
their value from the October 2007 peak. As for plan balances, the 
Employee Benefits Research Institute (EBRI) reported that the average 
401(k)[Footnote 62] account balance rose by 31.9 percent in 2009. 
[Footnote 63] Some plan managers we interviewed suggested that given 
these recent gains, there would not be a significant effect on 
retirement savings from the market decline. Others, however, assert 
that the prior losses ultimately will have a negative effect on the 
retirement income of many. 

Plan managers we spoke with conclude that the relative stability they 
saw in both employee deferral rates and asset allocations has helped 
fuel the regrowth in plan balances for many DC plan participants. 
Fidelity Investments reports that in the first quarter of 2010 the 
percentage of participants who have decreased their deferrals was 3.5 
percent. While this was higher than in the prior three quarters, it 
was down almost 50 percent from its peak of 6.4 percent in the first 
quarter of 2009.[Footnote 64] In addition, plan managers told us that 
most of their participants have maintained the same asset allocation 
that they had prior to the financial crisis, including allocations of 
assets in equities.[Footnote 65] These findings are consistent with 
past research that indicates that households rarely rebalance 
retirement savings portfolios. Nevertheless, the degree to which 
subsequent gains due to continued contributions and investment returns 
can offset earlier losses depends in part on the value of the account 
prior to the crisis and the number of years a worker has to restore 
the wealth lost. Consequently, some analyses have found that older 
workers with substantial investment in equities may be more negatively 
impacted as they were more likely to have had higher account balances 
prior to the downturn and thus to have suffered greater absolute 
losses than younger workers. Further, with fewer years left in the 
workforce they may be unable to recoup these losses through additional 
saving and investment. 

Other research, however, suggests that portfolio reallocations may 
have been more frequent during the last several years than otherwise 
believed. Data from a February 2009 household survey found that 21 
percent of those with retirement savings reported that they had made 
"active changes to how retirement savings are invested" since a prior 
survey the previous November. A follow-up survey in May 2009 found 
that 28.6 percent of those with retirement savings had made a change 
in the investment of new funds or the allocation of old balances since 
October 2008.[Footnote 66] Although estimates differ on the number of 
participants who have not maintained their prior deferral rates and 
asset allocations, the effects such changes can have on retirement 
saving could be harmful, especially for those who reduce or cease 
contributions. Plan managers report that stopping contributions even 
temporarily can adversely impact account balances. In addition to the 
account losses suffered when the market declined, those who reduce or 
stop deferrals will forgo both the amount of the contribution and any 
associated employer matching contributions, as well as the investment 
income that would have been earned on those contributions. Besides 
concerns about the safety of the market, job loss, a reduction in pay 
or hours, or other financial shocks are all events that could induce 
an individual to reduce contributions to a pension plan. 

As a result of the financial crisis and economic downturn some plan 
sponsors reduced or suspended employer matching contributions and a 
large number of employees have been affected by these reductions. In 
addition to losing the matching contributions, a participant forgoes 
the investment income on those contributions. Surveys of plan sponsors 
indicate that between 40-50 percent of plans that had previously 
suspended employer matching contributions, particularly those at large 
firms, have more recently reinstated their matches, and a report from 
the Center for Retirement Research at Boston College concluded that to 
the extent that the match is quickly restored, little harm may have 
been done--especially compared with the alternative of laying off 
workers.[Footnote 67] However, for those employees still not receiving 
a matching contribution or receiving a reduced match, the long-term 
impact is difficult to measure as it is unclear whether the employer 
suspensions are temporary or permanent. Furthermore, everything else 
equal, unless the reinstituted match is larger than it had been 
previously, a reduced or suspended match means lower contributions now 
and lower account balances at retirement.[Footnote 68] 

The primary effects of the economic recession on individuals and 
families--unemployment or reduced wages--could induce plan 
participants to use retirement assets for nonretirement related 
purposes. Retirement plan participants can often access accrued assets 
by borrowing against plan assets, by taking hardship withdrawals from 
the plan prior to retirement, or even by cashing out plan assets upon 
separation from employment. The impact of this leakage on retirement 
savings can be costly. We have previously reported that retirement 
assets can be eroded as a result of loans or withdrawals.[Footnote 69] 
Data, including some plan data, indicate that while the percentage of 
participants taking out loans or hardship withdrawals from DC plans 
remains relatively small, it has increased in the past couple of years 
since the financial crisis.[Footnote 70] 

While the rates of loans and hardship withdrawals may not have 
increased sharply after the financial crisis, if the economy is slow 
to recover and unemployment stays high, this type of leakage may 
increase if participants experiencing reduced wages or facing other 
personal difficulties need access to any available financial 
resources. Participants may view loans or withdrawals as a necessity 
to help meet critical preretirement financial needs when faced with 
serious personal financial catastrophes, even if it may mean a 
potential reduction in future retirement income. Furthermore, in 
addition to eroding retirement savings, withdrawals from a DC plan or 
other retirement account prior to age 59 ½ generally incur a tax 
penalty, an additional financial burden to bear.[Footnote 71] A study 
published by the Urban Institute found that withdrawals can represent 
a significant loss to retirement savings.[Footnote 72] Finally, we 
have previously reported that DC plan loans may affect retirement 
savings balances less than withdrawals, as borrowers must pay the loan 
amount and interest back to the plan account; however, not all plans 
permit loans.[Footnote 73] 

Impact on DB Plans: 

The effects of the financial crisis and recession are different for DB 
plan participants than for DC plan participants, but also pose 
challenges to retirement security. DB plan assets were also hit hard 
by the financial crisis. While data show that many DB plans entered 
the financial crisis more than sufficiently funded, a number of plans 
had very low funding ratios.[Footnote 74] 

For DB plans, the risk of declining asset values falls initially on 
employers,[Footnote 75] as they bear the burden of funding the plan up 
to legal requirements. However, the combination of a weak economy and 
an underfunded pension plan can put greater pressure on a firm's 
financial resources, possibly leading the sponsor to freeze the plan, 
limiting the future benefit accruals of employees.[Footnote 76] 
Additionally, these financial demands might lead firms that no longer 
wish to carry the burden of risk associated with a DB plan into 
freezing or terminating their plans.[Footnote 77] 

DB plan participants are somewhat sheltered from the impact of the 
decline in assets, as promised benefits--based on years of service and 
earnings--must be paid regardless of any decline in plan assets. 
Nevertheless, they still bear some risk for reduced pension income in 
retirement, for example, if they become unemployed or if the plan is 
terminated while underfunded and benefits exceed the PBGC guarantee 
limits. 

Unemployment and Retirement Savings: 

Although current and relevant data concerning the full impact of the 
financial crisis on retirement saving is limited, extended 
unemployment almost certainly has a negative effect on an individual's 
retirement income. The extent of the damage will vary, but whether 
through cessation of employee or employer contributions or even 
tapping into pension assets for near term needs, being out of work for 
any length of time is likely to affect a person's ability to save and 
perhaps even the ability to preserve accrued retirement savings. This 
is of increasing concern as unemployment has increased dramatically in 
the past few years. As of February 2011, the unemployment rate was 8.9 
percent, representing nearly 14 million people out of work, and 
millions more have dropped out of the workforce--so called discouraged 
workers--or are working part-time involuntarily. Long-term 
unemployment has increased significantly as well. As of February 2011, 
the share of workers unemployed for 27 weeks or more was nearly 42 
percent of the total unemployed population. 

In addition to the loss of income, the unemployed will forgo 
additional contributions to, and the resultant investment gains from, 
employer-sponsored pension plans. To the extent that unemployed 
persons have retirement savings accounts, the longer they are out of 
work--possibly long enough to have exhausted unemployment insurance 
benefits--the greater the potential that they may tap into those 
assets. Though little data are currently available to assess the 
account behavior of terminated employees, Fidelity Investments has 
looked at the behavior of terminated employees over the course of a 1-
year period and found that 7 in 10 kept their money in their workplace 
savings plan or rolled it over to another tax-deferred retirement 
savings vehicle. That means, however, that almost a third of 
participants cashed-out some or all of their DC plan assets.[Footnote 
78] With a significant number of workers being unemployed during the 
recession for more than 1 year, it is possible that such cash-outs 
might continue or even escalate. We have previously reported that cash-
outs of any amount at job separation have a greater effect on an 
individual's account balance than loans or hardship withdrawals. 
[Footnote 79] However, while loans may generally affect retirement 
saving balances less than withdrawals or cash-outs, if a borrower 
loses his or her job, the loan amount often becomes due immediately, 
creating either a burden to repay the loan at a dire financial time 
or, if the worker cannot pay the amount due, an unplanned drain on 
retirement savings.[Footnote 80] 

The biggest risk DB plan participants face with regard to retirement 
income is likely from unemployment. When a worker with a DB plan is 
laid off, accruals cease and the pension benefit they receive will be 
based on current salary levels and current service (rather than what 
salary and service would have been at the time of retirement), and 
future benefits will be lower than they would have been otherwise. To 
the extent that sponsors of underfunded DB plans go bankrupt and 
terminate their plans, participants of many plans will receive insured 
benefits from the PBGC, but some will not get their full benefit. 
[Footnote 81] Additionally, the PBGC itself--and by extension insured 
beneficiaries or taxpayers--faces greater risks as the PBGC's funding 
status has declined markedly in recent years, raising questions about 
its long term ability to insure promised benefits.[Footnote 82] 

Concluding Observations: 

Longstanding concerns about the current voluntary, tax subsidized 
framework for fostering private pension formation have been raised. On 
one hand, the existing system of tax preferences for pensions has 
played at least a supporting role in fostering current levels of 
pension plan coverage. Despite these tax incentives, private plan 
participation remains stalled at roughly 50 percent of the private 
sector workforce. Recent trends demonstrate that the slow growth in 
the number of retirement plans--as new plan formation barely exceeds 
plan terminations--may continue to lead to many workers continuing to 
work at employers that do not offer a plan and thus remain without 
access to the associated tax benefits of employer-sponsored pension 
plans. Furthermore, recent initiatives, such as automatic enrollment, 
may increase participation; however, even if this dramatically raises 
participation rates for those who work for an employer that sponsors a 
plan, millions of prime age private-sector workers would remain 
without access to a plan. 

Even for the 50 percent of the private sector workforce that does 
participate in a plan there are concerns about the distribution of 
pension tax benefits estimated to cost the federal government more 
than $100 billion per year. For DC plans, a disproportionate share of 
these tax incentives accrues to higher income earners. While 72 
percent of those who make tax-deferred contributions at the maximum 
limit earned more than $126,000 annually in 2007, less than 1 percent 
of those who earned less than $52,000 annually were able to do so. 
Also, even the additional $5,500 contribution permitted to 
participants 50 and older may not allow moderate income workers to 
catch up anytime soon. 

Some options have been proposed to narrow this disparity by enhancing 
the ability of low-and middle-income workers to save more for 
retirement. We have demonstrated that different Saver's Credit 
modifications could lead to improvements in retirement security for 
some lower income workers. However, we also illustrate the formidable 
challenge of achieving increased retirement income for this at risk 
group. For many American workers and their families, the challenges to 
retirement security are very real. Fostering retirement income 
security, especially for low-and middle-income workers, may require a 
serious review of current government efforts to assist workers in 
achieving adequate retirement income. 

Agency Comments: 

We provided a draft of this report to the Department of Labor, the 
Department of the Treasury, the Internal Revenue Service, and the 
Pension Benefit Guaranty Corporation for review and comment. Each 
provided technical comments which we incorporated as appropriate. 

As agreed with your office, unless you publicly announce its contents 
earlier, we plan no further distribution until 30 days after the date 
of this letter. At that time, we will send copies of this report to 
the Secretary of Labor, the Commissioner of Internal Revenue, the 
Secretary of the Treasury, the Director of the Pension Benefit 
Guaranty Corporation, appropriate congressional committees, and other 
interested parties. We will also make copies available to others on 
request. In addition, the report will be available at no charge on the 
GAO Web site at [hyperlink, http://www.gao.gov]. 

If you or your staff have any questions about this report, please 
contact me at (202) 512-7215 or jeszeckc@gao.gov. Contact points for 
our Offices of Congressional Relations and Public Affairs may be found 
on the last page of this report. GAO staff who made contributions to 
this report are listed in appendix II. 

Signed by: 

Charles A. Jeszeck: 
Acting Director, Education, Workforce, and Income Security Issues: 

[End of section] 

Appendix I: Methodology: 

To analyze trends in new private pension plan formation in recent 
years, we analyzed Form 5500 filings, which the Internal Revenue 
Service, Department of Labor (Labor), and the Pension Benefit Guaranty 
Corporation require most private tax-qualified pension plan sponsors 
to file. Labor collects the Form 5500 filings and makes the filing 
data publicly available on their Web site. We used the five most 
recent years (2003-2007) of Form 5500 filing data available when we 
started our analysis.[Footnote 83] For our analysis, we only included 
single employer plans and multiple-employer, noncollectively bargained 
plans. Additionally, we did not include employer-sponsored retirement 
plans not required to file a Form 5500, such as simplified employee 
pension, Savings Incentive Match Plan for Employees of Small 
Employers, and excess benefit plans, which are not tax-qualified. If a 
plan had more than one valid filing during the year, we picked the one 
that Labor identified as the "best" for the purpose of counting plans, 
participants, and end of year assets.[Footnote 84] 

To identify plans as new we used two information fields on the Form 
5500: one in which sponsors report if the filing is the first for a 
given plan and one in which sponsors report the effective year of the 
plan. In general, we included a plan as new if it reported a first 
year as the same as the filing year or if it indicated that this was 
the first filing for the plan. However, to account for errors in the 
filings, we did not include any plan as new that had filed a Form 5500 
in a previous year. We also eliminated any plan for which the sponsor 
indicated it was the first filing, but the effective year was more 
than 2 years prior. Note that new plans include plans created from 
mergers and acquisitions that do not cover new plan participants. To 
identify if a new defined benefit (DB) plan sponsor also offered a 
defined contribution (DC) plan, we used the plan sponsors' employer 
identification numbers. To identify the total number of plans in any 
given year, we used a Labor publication, Private Pension Plan Bulletin 
Historical Tables and Graphs, which adjusts the number of plans upward 
from the total number of filings based on the historical number of 
nonfilers. Labor estimates the number of nonfilers based on historical 
experience with the number of plans that do not file in a particular 
year but filed in the year prior and the year after and the number of 
sponsors that file a final return, indicating they are terminating 
their plan. 

To assess the reliability of the Form 5500 dataset, we interviewed 
agency officials knowledgeable about the data and reviewed relevant 
documentation of their internal reliability checks as well as 
methodology for selecting "best" filings. We also conducted electronic 
data testing to assess missing data and other potential problems. We 
determined the data were sufficiently reliable for the purposes of 
this report. 

To analyze contributions to DC plans, we used the Board of Governors 
of the Federal Reserve System's Survey of Consumer Finances (SCF) to 
identify characteristics of individuals participating in DC plans and 
their households. This triennial survey asks extensive questions about 
household income and wealth components. We used the latest available 
survey from 2007. The SCF is widely used by the research community, is 
continually vetted by the Board of Governors of the Federal Reserve 
System and users, and is considered to be a reliable data source. The 
SCF is believed by many to be the best source of publicly available 
information on household finances. Because of the widespread reliance 
on SCF data and the assessments of others, we determined the SCF data 
to be appropriate for the purposes of this report. Further information 
about our use of the SCF, including sampling errors, as well as 
definitions and assumptions we made in our analysis are detailed below. 

To analyze how suggested incentives to increase retirement saving by 
low-income workers might affect retirement income, we used the Policy 
Simulation Group's (PSG) microsimulation models to run various 
simulations of workers saving in DC plans over a career, changing 
various inputs to model different scenarios for modifying the Saver's 
Credit. PSG's Pension Simulator (PENSIM) is a pension policy 
simulation model that has been developed for Labor to analyze lifetime 
coverage and adequacy issues related to employer-sponsored pensions in 
the United States. We, along with the Department of Labor, other 
government agencies, and private organizations, have used it to 
analyze lifetime coverage and adequacy issues related to employer-
sponsored pensions in the United States.[Footnote 85] We projected 
annuity income from DC accounts at age 70 for PENSIM-generated workers 
under different scenarios representing different pension features and 
market assumptions. We assessed the reliability of PENSIM and found it 
to be sufficiently accurate for our purposes. See below for further 
discussion of PENSIM and our assumptions and methodologies. 

To analyze the long-term effect of the recent financial crisis on 
retirement savings for U.S. workers, we reviewed recent studies and 
interviewed retirement and financial experts. Among the studies we 
reviewed, several were conducted by large plan administrators that 
analyzed the records of their respective DC plan sponsors and 
participants. Additionally, we reviewed studies from an industry 
association based on survey data of plan administrators. While the 
findings of these studies provide valuable insight into the activities 
of many plan sponsors and plan participants, they are not necessarily 
representative of the universe of DC plans and, with regard to 
workers, they do not reflect the population as a whole. 

We conducted interviews with officials at the departments of the 
Treasury and Labor and the Pension Benefit Guaranty Corporation, as 
well as academic experts from the Employee Benefits Research 
Institute, Brookings Institution, Heritage Foundation, New School for 
Social Research, Urban Institute, Center for Retirement Research at 
Boston College, and Syracuse University. We also interviewed plan 
administrators, providers, and consultants including Fidelity 
Investments, Vanguard, and Towers Watson. Finally we interviewed 
industry and research organizations such as the Investment Company 
Institute, AARP, and American Society of Pension Professionals and 
Actuaries. In addition, for this and all of the objectives we reviewed 
relevant federal laws and regulations. 

2007 Survey of Consumer Finances: 

The 2007 SCF surveyed 4,418 households about their pensions, incomes, 
labor force participation, asset holdings and debts, use of financial 
services, and demographic information. The SCF is conducted using a 
dual-frame sample design. One part of the design is a standard, 
multistage area-probability design, while the second part is a special 
over-sample of relatively wealthy households. This is done in order to 
accurately capture financial information about the population at large 
as well as characteristics specific to the relatively wealthy. The two 
parts of the sample are adjusted for sample nonresponse and combined 
using weights to make estimates from the survey data representative of 
households overall. In addition, the SCF excludes people included in 
the Forbes Magazine list of the 400 wealthiest people in the United 
States. Furthermore, the 2007 SCF dropped four observations from the 
public data set that had net worth at least equal to the minimum level 
needed to qualify for the Forbes list. 

Although the SCF was designed as a household survey, it also provides 
some detailed individual-level economic information about an 
economically dominant single individual or couple in the household 
(what the SCF calls a primary economic unit), where the individuals 
are at least 18 years old. We developed individual level estimates of 
this population consisting of the economically dominant individual and 
their partner or spouse in each household. We created an additional 
sample containing information on 7,368 individuals by separating 
information about the respondents and their spouses or partners and 
considering them separately. When we refer to all workers, we are 
referring to a population of adult workers that is comprised of no 
more than two persons from each household and whose earnings can be 
expressed as an annual amount. By definition, this will differ 
somewhat from the entire population of workers. In households where 
there are additional adult workers, beyond the respondent and the 
spouse or partner, who may also have earnings and a retirement plan, 
information about these additional workers is not captured by the SCF 
and is therefore not part of our analysis. Because of this, estimates 
of total workers based on the SCF would likely understate the actual 
population and such estimates are generally not included in this 
report. We do, however, report estimates of percentages and 
percentiles at the individual level. 

Our analysis focused on estimating the characteristics of DC plan 
participants contributing at or above three statutory limits: (1) the 
402(g) limit on individual employee contributions, (2) the 415(c) 
limit on combined employer and employee contributions, and (3) the 
414(v) limit on catch-up contributions. Tax-deferred DC plan 
contributions may also be limited by the application of other 
statutory or plan-specific limits that we did not analyze in this 
report because of data limitations in the 2007 SCF. For example, there 
is a statutory limit on the amount of compensation that can be taken 
into account in determining the qualified pension plan contributions 
or benefits (26 U.S.C. § 401(a)(17)). There is also a statutory limit 
on the total amount of tax-deductible contributions that an employer 
may make to certain types of plans (26 U.S.C. §§ 404 and 4972). In 
addition, the SCF does not distinguish between tax-deferred and non-
tax-deferred pension plan contributions or between qualified and 
nonqualified pension plans. Therefore, we were unable to identify DC 
participants whose tax-deferred contributions were equal to the 
statutory limits. DC plan contributions may also be subject to plan-
specific limits. We were not able to identify whether participants 
were in DC plans that allowed them to make tax-deferred contributions, 
nor were we able to identify DC plan participants whose contributions 
were limited by plan-specific rules. 

We defined "workers" as individuals in the sample who were at least 18 
years old, working at the time of the survey, and whose earnings could 
be expressed as an annual dollar amount. This definition included both 
public-and private-sector workers. We defined pension plan 
participants as workers who were included in any type of pension plan 
through their job. We defined eligible DC participants as workers who 
participated in a plan in which money is accumulated in an account. We 
did not include personal contributions to individual retirement 
accounts for any person in our sample, including persons who may be 
self-employed, nor did we consider Keogh plans in our analysis because 
of the scope of this report. Our definition of DC plans includes: 
401(k), thrift or savings, profit-sharing, supplemental retirement 
annuity (including 403(b)s), or other account-based plans. We did not 
include Simplified Employee Pensions, Simplified Incentive Match Plans 
for Employers, or Salary Reduction Simplified Employee Pensions, as 
these plans are subject to different statutory limits. 

We classified individuals by gender, individual earnings, and 
household assets. We defined earnings as the sum of wage and salary 
income from a worker's job(s) and business income (if any) from that 
job. For workers who did not report their earnings as annual amounts, 
we used information about hours worked per week and weeks worked per 
year to express earnings as an annual amount. Our analyses excluded 
individuals whose earnings could not be expressed as an annual amount. 
For all analyses, we used four earnings categories: less than $52,000 
per year, $52,000-125,999 per year, $126,000-179,999 per year, and 
$180,000 or more per year. We chose the income cutoffs that were the 
median ($52,000), 90th percentile ($126,000), and 95th percentile 
($180,000) for all DC participants in 2007. 

The SCF is a probability sample based on random selections, so the 
2007 SCF sample is only one of a large number of samples that might 
have been drawn. Since each sample could have provided different 
estimates, we express our confidence in the precision of our 
particular sample's results as a 95 percent confidence interval (e.g., 
plus or minus 4 percentage points). This is the interval that would 
contain the actual population value for 95 percent of the samples we 
could have drawn. As a result, we are 95 percent confident that each 
of the confidence intervals in this report will include the true 
values in the study population. 

In this report, all estimated percentages based on all DC participants 
have 95 percent confidence intervals of plus or minus 1 percentage 
point or less. Percentage estimates based on participants contributing 
below statutory limits have 95 percent confidence intervals within 
plus or minus 3 percentage points of the percentage estimate itself. 
Percentages based on participants at or above statutory limits have 
confidence intervals within plus or minus 12 percentage points of the 
estimate itself. Other numerical estimates (such as means, medians, or 
ratios) based on the 2007 SCF data are presented in this report along 
with their 95 percent confidence intervals. 

The SCF and other surveys that are based on self-reported data are 
subject to several other sources of nonsampling error, including the 
inability to get information about all sample cases; difficulties of 
definition; differences in the interpretation of questions; 
respondents' inability or unwillingness to provide correct 
information; and errors made in collecting, recording, coding, and 
processing data. These nonsampling errors can influence the accuracy 
of information presented in the report, although the magnitude of 
their effect is not known. 

As part of the effort to maintain the confidentiality of survey 
respondents, most dollar amounts reported in the SCF, including the 
dollar amount of DC plan contributions, are rounded. The rounding 
scheme is designed to preserve the population mean, on average, and 
rounds some estimates down and some estimates up. For example, if the 
survey respondent reported making monthly DC plan contributions of 
$1,292, the contribution was rounded to either $1,200 or $1,300 based 
on the results of the rounding algorithm. This rounding scheme makes 
it difficult to precisely estimate whether survey respondents are at 
or above the statutory limits on DC plan contributions if annual 
contributions are close to the statutory limit. Therefore, our 
estimates of those contributing at or above the limit are approximate. 
Similarly, our estimates of those contributing below the limits are 
also approximate. 

Methodology and Assumptions Using PENSIM Microsimulation Model: 

To project lifetime income from DC pensions and to identify the 
effects of certain changes in policies, we used the PENSIM 
microsimulation model.[Footnote 86] PENSIM is a dynamic 
microsimulation model that produces life histories for a sample of 
individuals born in the same year.[Footnote 87] The life history for a 
sample individual includes different life events, such as birth, 
schooling events, marriage and divorce, childbirth, immigration and 
emigration, disability onset and recovery, and death. In addition, a 
simulated life history includes a complete employment record for each 
individual, including each job's starting date, job characteristics, 
pension coverage and plan characteristics, and job ending date. The 
model has been developed by PSG since 1997 with funding and input by 
Labor's Office of Policy and Research at the Employee Benefits 
Security Administration and with recommendations from the National 
Research Council panel on retirement income modeling. 

PENSIM simulates the timing for each life event by using data from 
various longitudinal data sets to estimate a waiting-time model (often 
called a hazard function model) using standard survival analysis 
methods. PENSIM incorporates many such estimated waiting-time models 
into a single dynamic simulation model. This model can be used to 
simulate a synthetic sample of complete life histories. PENSIM employs 
continuous-time, discrete-event simulation techniques, such that life 
events do not have to occur at discrete intervals, such as annually on 
a person's birthday. PENSIM also uses simulated data generated by 
another PSG simulation model, Social Security and Accounts Simulator, 
which produces simulated macro-demographic and macroeconomic variables. 

PENSIM imputes pension characteristics using a model estimated with 
1996--1998 establishment data from the Bureau of Labor Statistics 
Employee Benefits Survey (now known as the National Compensation 
Survey). Pension offerings are calibrated to historical trends in 
pension offerings from 1975 to 2005, including plan mix, types of 
plans, and employer matching. Further, PENSIM incorporates data from 
the 1996--1998 Employee Benefits Survey to impute access to and 
participation rates in DC plans in which the employer makes no 
contribution, which the Bureau of Labor Statistics does not report as 
pension plans in the National Compensation Survey. The inclusion of 
these "zero-matching" plans enhances PENSIM's ability to accurately 
reflect the universe of pension plans offered by employers. The 
baseline PENSIM assumption, which we adopted in our analysis, is that 
2005 pension offerings, including the imputed zero-matching plans, are 
projected forward in time. 

PSG has conducted validation checks of PENSIM's simulated life 
histories against both historical life history statistics and other 
projections. Different life history statistics have been validated 
against data from the Survey of Income and Program Participation, the 
Current Population Survey, Modeling Income in the Near Term, the Panel 
Study of Income Dynamics, and the Social Security Adminstration's 
Trustees Report. PSG reports that PENSIM life histories have produced 
similar annual population, taxable earnings, and disability benefits 
for the years 2000 to 2080 as those produced by the Congressional 
Budget Office's long-term social security model and as shown in the 
Social Security Administration's 2004 Trustees Report. According to 
PSG, PENSIM generates simulated DC plan participation rates and 
account balances that are similar to those observed in a variety of 
data sets. For example, measures of central tendency in the simulated 
distribution of DC account balances among employed individuals is 
similar to those produced by an analysis of the Employee Benefit 
Research Institute-Investment Company Institute 401(k) database and of 
the 2004 SCF. We performed no independent validation checks of 
PENSIM's life histories or pension characteristics. 

In 2006, the Employee Benefits Security Administration submitted 
PENSIM to a peer review by three economists. The economists' overall 
reviews ranged from highly favorable to highly critical. While the 
economist who gave PENSIM a favorable review expressed a "high degree 
of confidence" in the model, the one who criticized it focused on 
PENSIM's reduced form modeling. This means that the model is grounded 
in previously observed statistical relationships among individuals' 
characteristics, circumstances, and behaviors, rather than on any 
underlying theory of the determinants of behaviors, such as the common 
economic theory that individuals make rational choices as their 
preferences dictate and thereby maximize their own welfare. The 
reduced form modeling approach is used in pension microsimulation 
models and the feasibility of using a nonreduced form approach to 
build such a model may be questionable given the current state of 
economic research. The third reviewer raised questions about specific 
modeling assumptions and possible overlooked indirect effects. 

Assumptions Used in Projecting DC Plan Balances at Retirement: 

PENSIM allows the user to alter one or more inputs to represent 
changes in government policy, market assumptions, or personal 
behavioral choices and analyze the subsequent impact on pension 
benefits. Starting with a 2 percent sample of a 1995 cohort, totaling 
120,608 people at birth, our baseline simulation includes some of the 
following key assumptions and features: 

* Workers accumulate DC pension benefits from past jobs in one 
rollover account, which continues to receive investment returns, along 
with any benefits from a current job. At retirement, these are 
combined into one account. Because we focus on DC plan balances only, 
we do not track Social Security benefits or benefits from DB plans. 
Our reported benefits and replacement rates therefore capture just one 
source of potential income available to a retiree. 

* Plan participants invest all assets in their accounts in target-date 
funds, a type of life-cycle fund which adjusts the mix of assets 
between stocks and government bonds as the individual ages and 
approaches a target date in time. Stocks return an annual 
nonstochastic real rate of return of 6.4 percent and government bonds 
return a real rate of return of 2.9 percent.[Footnote 88] In an 
alternate simulation, we assume that stocks and government bonds earn 
an equivalent annual nonstochastic rate of return of 2.9 percent and 
find similar effects for each scenario (see table 7).[Footnote 89] 
Using different rates of return reflect assumptions used by the Social 
Security Administration's Office of the Chief Actuary in some of its 
analyses of trust fund investment. 

Table 6: Projected Mean DC Annuity Payments for Saver's Credit 
Recipients under Different Scenarios Using Alternate Rate of Return: 

In 2010 dollars: 

Refundable Saver's Credit: 

Percent change in annuity equivalent[A]; 
Mean for Saver's Credit recipients by earnings quartiles for all 
workers: 
$200-25,933: 8.4%; 
$25,935-50,438: 3.7%; 
$50,439-98,231: 0.8%; 
$98,242-2,203,300: 0.1%; 
Mean for all Saver's Credit recipients: 1.3%. 

Change in annuity equivalent: 
Mean for Saver's Credit recipients by earnings quartiles for all 
workers: 
$200-25,933: $227; 
$25,935-50,438: $244; 
$50,439-98,231: $122; 
$98,242-2,203,300: $40; 
Mean for all Saver's Credit recipients: $172. 

Annuity equivalent: 
Mean for Saver's Credit recipients by earnings quartiles for all 
workers: 
$200-25,933: $2,940; 
$25,935-50,438: $6,759; 
$50,439-98,231: $15,197; 
$98,242-2,203,300: $36,614; 
Mean for all Saver's Credit recipients: $13,238. 

Refundable Saver's Credit with an increase in the adjusted gross 
income limits: 

Percent change in annuity equivalent: 
Mean for Saver's Credit recipients by earnings quartiles for all 
workers: 
$200-25,933: 10.3%; 
$25,935-50,438: 5.4%; 
$50,439-98,231: 2.1%; 
$98,242-2,203,300: 0.8%; 
Mean for all Saver's Credit recipients: 2.0%. 

Change in annuity equivalent: 
Mean for Saver's Credit recipients by earnings quartiles for all 
workers: 
$200-25,933: $280; 
$25,935-50,438: $353; 
$50,439-98,231: $326; 
$98,242-2,203,300: $297; 
Mean for all Saver's Credit recipients: $318. 

Annuity equivalent: 
Mean for Saver's Credit recipients by earnings quartiles for all 
workers: 
$200-25,933: $3,001; 
$25,935-50,438: $6,905; 
$50,439-98,231: $15,588; 
$98,242-2,203,300: $37,871; 
Mean for all Saver's Credit recipients: $16,087. 

Refundable Saver's Credit with an increase in the adjusted gross 
income limits and automatic enrollment: 

Percent change in annuity equivalent: 
Mean for Saver's Credit recipients by earnings quartiles for all 
workers: 
$200-25,933: 13.2%; 
$25,935-50,438: 8.3%; 
$50,439-98,231: 3.9%; 
$98,242-2,203,300: 2.1%; 
Mean for all Saver's Credit recipients: 3.6%. 

Change in annuity equivalent; 
Mean for Saver's Credit recipients by earnings quartiles for all 
workers: 
$200-25,933: $362; 
$25,935-50,438: $546; 
$50,439-98,231: $594; 
$98,242-2,203,300: $773; 
Mean for all Saver's Credit recipients: $581. 

Annuity equivalent; 
Mean for Saver's Credit recipients by earnings quartiles for all 
workers: 
$200-25,933: $3,112; 
$25,935-50,438: $7,110; 
$50,439-98,231: $15,860; 
$98,242-2,203,300: $38,372; 
Mean for all Saver's Credit recipients: $16,532. 

Source: GAO calculations of PENSIM simulation. 

Notes: Some of the model assumptions include the following: (1) 
workers use all accumulated DC plan balances to purchase an inflation-
adjusted annuity at retirement, between ages 62 and 70; (2) 
participants invest all plan assets in target-date funds; (3) the 
credit(s) are directly deposited into a DC participant's account; (4) 
stocks earn an average 2.9 percent real return; and (5) 100 percent of 
workers eligible for the Saver's Credit take it. Earnings quartiles 
are calculated based on a measure of steady earnings over a worker's 
lifetime. No default or minimum contribution rates were defined for 
the scenario with automatic enrollment, rather the contribution rates 
are produced by PENSIM. We have no evidence on what contribution rates 
new participants would choose under automatic enrollment, but it may 
be lower than the contribution rates chosen by those that voluntarily 
participate. Our analysis includes only those people who both received 
the Saver's Credit at some point during their lifetime and have 
positive DC annuity income at age 70. We compared each of the 
scenarios to a baseline scenario of no Saver's Credit. 

[A] Annuity equivalents are our projection of annual income produced 
by an individual's DC savings. Annuity equivalents are calculated by 
converting DC-derived account balances at retirement into inflation- 
indexed retirement annuity payments using annuity prices that are 
based on projected mortality rates for the 1995 birth cohort and 
annuity price loading factors that ensure that the cost of providing 
these annuities equals the revenue generated by selling them at those 
prices. 

[End of table] 

* Workers purchase a single, inflation-adjusted life annuity at 
retirement, which occurs between the ages of 62 and 70.[Footnote 90] 
Anyone who becomes permanently disabled at age 45 or older also 
purchases an immediate annuity at their disability age.[Footnote 91] 
We eliminated from the sample cohort members who: (1) die before they 
retire or before age 70, (2) immigrate into the cohort at an age older 
than 25, (3) emigrate prior to age 70, or (4) become permanently 
disabled prior to age 45.[Footnote 92] 

* Stock returns on employer and employee contributions to DC plans are 
constant across scenarios. 

* Because we were unable to model the current scenario of a 
nonrefundable Saver's Credit given the structure of the 
microsimulation model, we used a scenario of no Saver's Credit as our 
baseline. 

Starting with this baseline model, we vary key inputs and assumptions 
to see how these variations affect pension coverage and benefits at 
age 70. Policy scenarios we analyzed include: 

* Refundable Saver's Credit. A refundable Saver's Credit was 
introduced in 2011 for up to $1,000 of DC contributions per person. 
All eligible tax filers received a 50 percent credit rate and the 
credit was deposited directly into the worker's DC account. The 
adjusted gross income (AGI) limits remained as they were in 
2010.[Footnote 93] The AGI limits were $27,750 for individuals with a 
filing status of single, married filing separately, or widow(er); 
$41,625 for individuals with a filing status of head of household; and 
$55,500 for individuals with a filing status of married filing 
jointly. Limits in subsequent years were indexed to inflation. 

* Refundable Saver's Credit with an increase in the AGI limits. A 
refundable Saver's Credit was introduced in 2011 for up to $1,000 of 
DC contributions per person. AGI increased to $50,000 for individuals 
with a filing status of single, married filing separately, or 
widow(er); $75,000 for individuals with a filing status of head of 
household; and $100,000 for individuals with a filing status of 
married filing jointly. Limits in subsequent years were indexed to 
inflation, as under current law. All eligible tax filers received a 50 
percent credit rate and the credit was deposited directly into the 
worker's DC account. 

* Refundable Saver's Credit with an increase in the AGI limits and 
automatic enrollment. A refundable Saver's Credit was introduced in 
2011 for up to $1,000 of DC contributions per person. AGI increased to 
$50,000 for individuals with a filing status of single, married filing 
separately, or widow(er); $75,000 for individuals with a filing status 
of head of household; and $100,000 for individuals with a filing 
status of married filing jointly. Limits in subsequent years were 
indexed to inflation, as under current law. All employers sponsoring a 
DC plan automatically enrolled workers eligible to participate in the 
plan. All eligible tax filers received a 50 percent credit rate and 
the credit was deposited directly into the worker's DC account. 

For each of these scenarios, we assume the utilization, or take-up 
rate, for the Saver's Credit is 100 percent, presenting a best case 
scenario. In alternative simulations, we assume an aggregate take-up 
rate of 67 percent and find effects similar, but slightly lower, to 
those when the take-up rate is 100 percent (see table 8). One study 
found that the actual take-up rate may be about two-thirds because not 
all eligible tax filers are aware of the credit or choose to take it. 
In addition, studies have noted that tax filers are limited by the 
nonrefundable nature of the credit. 

Table 7: Projected Mean DC Annuity Payments for Saver's Credit 
Recipients Under Different Scenarios Using Alternative Take-Up Rate: 

In 2010 dollars: 

Refundable Saver's Credit: 

Percent change in annuity equivalent[A]: 
Mean for Saver's Credit recipients by earnings quartiles for all 
workers: 
$200-25,933: 7.2%; 
$25,935-50,438: 3.6%; 
$50,439-98,231: 1.1%; 
$98,242-2,203,300: 0.4%; 
Mean for all Saver's Credit recipients: 1.6%. 

Change in annuity equivalent: 
Mean for Saver's Credit recipients by earnings quartiles for all 
workers: 
$200-25,933: $288; 
$25,935-50,438: $340; 
$50,439-98,231: $232; 
$98,242-2,203,300: $189; 
Mean for all Saver's Credit recipients: $275. 

Annuity equivalent: 
Mean for Saver's Credit recipients by earnings quartiles for all 
workers: 
$200-25,933: $4,295; 
$25,935-50,438: $9,703; 
$50,439-98,231: $21,397; 
$98,242-2,203,300: $50,145; 
Mean for all Saver's Credit recipients: $17,820. 

Refundable Saver's Credit with an increase in the AGI limits: 

Percent change in annuity equivalent: 
Mean for Saver's Credit recipients by earnings quartiles for all 
workers: 
$200-25,933: 8.4%; 
$25,935-50,438: 4.8%; 
$50,439-98,231: 1.8%; 
$98,242-2,203,300: 0.6%; 
Mean for all Saver's Credit recipients: 1.8%. 

Change in annuity equivalent: 
Mean for Saver's Credit recipients by earnings quartiles for all 
workers: 
$200-25,933: $332; 
$25,935-50,438: $444; 
$50,439-98,231: $389; 
$98,242-2,203,300: $301; 
Mean for all Saver's Credit recipients: $374. 

Annuity equivalent: 
Mean for Saver's Credit recipients by earnings quartiles for all 
workers: 
$200-25,933: $4,298; 
$25,935-50,438: $9,725; 
$50,439-98,231: $21,689; 
$98,242-2,203,300: $52,127; 
Mean for all Saver's Credit recipients: $21,477. 

Refundable Saver's Credit with an increase in the AGI limits and 
automatic enrollment: 

Percent change in annuity equivalent: 
Mean for Saver's Credit recipients by earnings quartiles for all 
workers: 
$200-25,933: 11.5%; 
$25,935-50,438: 7.8%; 
$50,439-98,231: 3.9%; 
$98,242-2,203,300: 2.2%; 
Mean for all Saver's Credit recipients: 3.8%. 

Change in annuity equivalent: 
Mean for Saver's Credit recipients by earnings quartiles for all 
workers: 
$200-25,933: $463; 
$25,935-50,438: $728; 
$50,439-98,231: $838; 
$98,242-2,203,300: $1,160; 
Mean for all Saver's Credit recipients: $806. 

Annuity equivalent: 
Mean for Saver's Credit recipients by earnings quartiles for all 
workers: 
$200-25,933: $4,486; 
$25,935-50,438: $10,001; 
$50,439-98,231: $22,153; 
$98,242-2,203,300: $52,814; 
Mean for all Saver's Credit recipients: $22,132. 

Source: GAO calculations of PENSIM simulation. 

Notes: Some of the model assumptions include the following: (1) 
workers use all accumulated DC plan balances to purchase an inflation-
adjusted annuity at retirement, between ages 62 and 70; (2) 
participants invest all plan assets in target-date funds; (3) the 
credit(s) are directly deposited into a DC participant's account; (4) 
stocks earn an average 6.4 percent real return; and (5) 67 percent of 
workers eligible for the Saver's Credit take it. Earnings quartiles 
are calculated based on a measure of steady earnings over a worker's 
lifetime. No default or minimum contribution rates were defined for 
the scenario with automatic enrollment, rather the contribution rates 
are produced by PENSIM. We have no evidence on what contribution rates 
new participants would choose under automatic enrollment, but it may 
be lower than the contribution rates chosen by those that voluntarily 
participate. Our analysis includes only those people who both received 
the Saver's Credit at some point during their lifetime and have 
positive DC annuity income at age 70. We compared each of the 
scenarios to a baseline scenario of no Saver's Credit. 

[A] Annuity equivalents are our projection of annual income produced 
by an individual's DC savings. Annuity equivalents are calculated by 
converting DC-derived account balances at retirement into inflation- 
indexed retirement annuity payments using annuity prices that are 
based on projected mortality rates for the 1995 birth cohort and 
annuity price loading factors that ensure that the cost of providing 
these annuities equals the revenue generated by selling them at those 
prices. 

[End of table] 

We projected the percent of DC annuity recipients who had received the 
Saver's Credit at some point over their working years (see table 9). 
Overall, 52-72 percent of DC annuity recipients had received the 
Saver's Credit under our three scenarios. For annuity recipients in 
the lowest earnings quartile, the range was 75-81 percent. 

Table 8: Percent of DC Annuity Recipients Who Had Received the Saver's 
Credit: 

Percent of all DC annuity recipients: Refundable Saver's Credit: 
[Empty]. 

Scenario: Refundable Saver's Credit; 
Percent of DC annuity recipients by earnings quartile: 
$200-25,933: 75%; 
$25,935-50,438: 70%; 
$50,439-98,231: 51%; 
$98,242-2,203,300: 29%; 
Percent of all DC annuity recipients: 52%. 

Scenario: Refundable Saver's Credit with an increase in the AGI limits; 
Percent of DC annuity recipients by earnings quartile: 
$200-25,933: 81%; 
$25,935-50,438: 85%; 
$50,439-98,231: 77%; 
$98,242-2,203,300: 56%; 
Percent of all DC annuity recipients: 72%. 

Scenario: Refundable Saver's Credit with an increase in the AGI limits 
and automatic enrollment; 
Percent of DC annuity recipients by earnings quartile: 
$200-25,933: 81%; 
$25,935-50,438: 85%; 
$50,439-98,231: 78%; 
$98,242-2,203,300: 58%; 
Percent of all DC annuity recipients: 72%. 

Source: GAO calculations of PENSIM simulation. 

Notes: Some of the model assumptions include the following: (1) 
workers use all accumulated DC plan balances to purchase an inflation-
adjusted annuity at retirement, between ages 62 and 70; (2) 
participants invest all plan assets in target-date funds; (3) the 
credit(s) are directly deposited into a DC participant's account; (4) 
stocks earn an average 6.4 percent real return; and (5) 67 percent of 
workers eligible for the Saver's Credit take it. Earnings quartiles 
are calculated based on a measure of steady earnings over a worker's 
lifetime. No default or minimum contribution rates were defined for 
the scenario with automatic enrollment, rather the contribution rates 
are produced by PENSIM. We have no evidence on what contribution rates 
new participants would choose under automatic enrollment, but it may 
be lower than the contribution rates chosen by those that voluntarily 
participate. We compared each of the scenarios to a baseline scenario 
of no Saver's Credit. Dollar amounts are reported in 2010 dollars. 

[End of table] 

We projected the aggregate cost to the federal government of providing 
the Saver's Credit for the year 2016.[Footnote 94] By this time, the 
modified credits in our scenarios would have been in place for 5 years 
and members of the 1995 cohort would be age 21, although our 
projection includes the cost for all eligible tax filers of any age--
not simply those born in 1995. We found that the cost to the federal 
government of providing the credit for all qualified contributions to 
DC plans ranged from $6.7 billion to $14.8 billion under our three 
scenarios (see table 10). While the aggregate cost to the government 
of the refundable Saver's Credit scenario was about $6.7 billion, the 
cost more than doubled when the AGI limits were increased and 
automatic enrollment was added. 

Table 9: Aggregate Cost of the Saver's Credit to the Federal 
Government, 2016: 

Scenario: Refundable Saver's Credit; 
Aggregate cost of the Saver's Credit to the federal government[A]: 
$6.7 billion. 

Scenario: Refundable Saver's Credit with an increase in the AGI limits; 
Aggregate cost of the Saver's Credit to the federal government[A]: 
$13.8 billion. 

Scenario: Refundable Saver's Credit with an increase in the AGI limits 
and automatic enrollment; 
Aggregate cost of the Saver's Credit to the federal government[A]: 
$14.8 billion. 

Source: GAO calculations of PENSIM simulation. 

Notes: Some of the model assumptions include the following: (1) 
participants invest all plan assets in target-date funds, (2) stocks 
earn an average of 6.4 percent real return, (3) 100 percent of workers 
eligible for the Saver's Credit take it, and (4) stock returns on 
employee and employer contributions are constant across the scenarios. 
No default or minimum contribution rates were defined for the scenario 
with automatic enrollment; rather the contribution rates are produced 
by PENSIM. We have no evidence on what contribution rates new 
participants would choose under automatic enrollment, but it may be 
lower than the contribution rates chosen by those that voluntarily 
participate. Because we were unable to model the current scenario of a 
nonrefundable Saver's Credit given the structure of the 
microsimulation model, we were not able to project the cost of the 
current, nonrefundable Saver's Credit. Therefore, we compared the cost 
of each scenario to a baseline scenario of no Saver's Credit. 

[A] Aggregate cost sums the amount of Saver's Credit received by DC 
participants. It does not include any administrative costs that may be 
associated with the credit or the costs associated with taking the 
Saver's Credit for contributions made to individual retirement 
accounts. 

[End of table] 

PENSIM Cohort Summary and Cross-Sectional Statistics: 

Lifetime summary statistics of the simulated 1995 cohort's workforce 
and demographic variables give some insight into the model's projected 
income from DC plans we report (see tables 11 and 12). By restricting 
the sample to those who have some earnings, do not immigrate into the 
cohort after age 25, do not emigrate or die prior to age 70, and do 
not become disabled before age 45, we reduce the full sample of 
120,608 individuals to a sample of 70,110 individuals. 

Table 10: Sample Summary Statistics at age 70, 1995 PENSIM Cohort: 

Demographic variables: Total at age 70; 
Full sample: 70,110; 
By income quartile: 
$200-25,933: 17,527; 
$25,935-50,438: 17,528; 
$50,439-98,231: 17,527; 
$98,242-2,203,300: 17,528. 

Demographic variables: Percent female (average); 
Full sample: 51%; 
By income quartile: 
$200-25,933: 75%; 
$25,935-50,438: 54%; 
$50,439-98,231: 46%; 
$98,242-2,203,300: 29%. 

Demographic variables: Percent who work for at least one DC sponsor 
over their career; 
Full sample: 90%; 
By income quartile: 
$200-25,933: 83%; 
$25,935-50,438: 90%; 
$50,439-98,231: 94%; 
$98,242-2,203,300: 95%. 

Demographic variables: Percent whose longest-held job offered a DC 
plan; 
Full sample: 73%; 
By income quartile: 
$200-25,933: 56%; 
$25,935-50,438: 71%; 
$50,439-98,231: 79%; 
$98,242-2,203,300: 87%. 

Source: GAO calculations of PENSIM simulation. 

Note: Sample excludes cohort members who have no lifetime earnings, 
immigrate after age 25, emigrate or die prior to age 70, or become 
disabled prior to age 45. This table is for our baseline run of no 
Saver's Credit. 

[End of table] 

Table 11: Medians at age 70, 1995 PENSIM Cohort: 

Demographic variables: Education; 
Full sample: attended some college; 
By income quartile: 
$200-25,933: high school graduate; 
$25,935-50,438: high school graduate; 
$50,439-98,231: attended some college; 
$98,242-2,203,300: college graduate. 

Demographic variables: Annual steady earnings (2010 dollars); 
Full sample: $50,439; 
By income quartile: 
$200-25,933: $16,345; 
$25,935-50,438: $36,693; 
$50,439-98,231: $69,444; 
$98,242-2,203,300: $152,755. 

Demographic variables: Years working full-time; 
Full sample: 29; 
By income quartile: 
$200-25,933: 16; 
$25,935-50,438: 29; 
$50,439-98,231: 31; 
$98,242-2,203,300: 34. 

Demographic variables: Years working part-time; 
Full sample: 2; 
By income quartile: 
$200-25,933: 8; 
$25,935-50,438: 2; 
$50,439-98,231: 1; 
$98,242-2,203,300: 1. 

Demographic variables: Number of jobs held over lifetime; 
Full sample: 5; 
By income quartile: 
$200-25,933: 5; 
$25,935-50,438: 5; 
$50,439-98,231: 5; 
$98,242-2,203,300: 5. 

Demographic variables: Duration of longest job, years; 
Full sample: 17; 
By income quartile: 
$200-25,933: 14; 
$25,935-50,438: 17; 
$50,439-98,231: 18; 
$98,242-2,203,300: 19. 

Demographic variables: Retirement age; 
Full sample: 62; 
By income quartile: 
$200-25,933: 62; 
$25,935-50,438: 62; 
$50,439-98,231: 62; 
$98,242-2,203,300: 62. 

Demographic variables: Years eligible for a DC plan; 
Full sample: 19; 
By income quartile: 
$200-25,933: 9; 
$25,935-50,438: 17; 
$50,439-98,231: 21; 
$98,242-2,203,300: 25. 

Demographic variables: Number of jobs on which eligible for a DC plan; 
Full sample: 2; 
$200-25,933: 2; 
$25,935-50,438: 2; 
$50,439-98,231: 2; 
$98,242-2,203,300: 1. 

Source: GAO calculations of PENSIM simulation. 

Note: Sample excludes cohort members who have no lifetime earnings, 
immigrate after age 25, emigrate or die prior to age 70, or become 
disabled prior to age 45. This table is for our baseline run of no 
Saver's Credit. 

[End of table] 

Cross-sectional results of the sample cohort also provide some 
insights into the demographic, workforce, and pension participation 
characteristics of individuals in the 1995 cohort (see table 13). 
These statistics describe characteristics for individuals at ages 21 
and 25 in order to provide a snapshot of pension plan participation 
and contributions for most of the sample during their early working 
years. Given that younger workers are more likely to be low-income, 
they are also more likely to be eligible for the Saver's Credit. 

Table 12: Cross-Sectional Pension Characteristics of Sample: 

Highest level of schooling: 
Age 21: Average: n/a; 
Age 21: Median: High school graduate; 
Age 25: Average: n/a; 
Age 25: Median: High school graduate. 

Percentage of sample employed: 
Age 21: Average: 67.8%; 
Age 21: Median: n/a; 
Age 25: Average: 72.5%; 
Age 25: Median: n/a. 

Percentage of workers who are working part-time:
Age 21: Average: 34.0%: 
Age 21: Median: n/a; 
Age 25: Average: 27.7%; 
Age 25: Median: n/a. 

Percentage of workers who participate in a DC plan: 
Age 21: Average: 21.3%; 
Age 21: Median: n/a; 
Age 25: Average: 29.9%; 
Age 25: Median: n/a. 

Percentage of workers who actively participate in a DC plan: 
Age 21: Average: 14.4%; 
Age 21: Median: n/a; 
Age 25: Average: 24.4%; 
Age 25: Median: n/a. 

Among DC participants, employee's annual contributions to DC plan 
(percentage of earnings): 
Age 21: Average: 4.2%; 
Age 21: Median: 3.4%; 
Age 25: Average: 4.9%; 
Age 25: Median: 4.5%. 

Among DC participants, employer's annual contributions to DC plan 
(percentage of earnings): 
Age 21: Average: 4.6%; 
Age 21: Median: 2.0%; 
Age 25: Average: 4.8%; 
Age 25: Median: 2.0%. 

Among DC participants, total contributions (percentage of earnings): 
Age 21: Average: 8.8%; 
Age 21: Median: 6.0%; 
Age 25: Average: 9.8%; 
Age 25: Median: 7.3%. 

Among DC participants, employee's annual contributions to DC plan: 
Age 21: Average: $885; 
Age 21: Median: $560; 
Age 25: Average: $2,283; 
Age 25: Median: $1,210. 

Among DC participants, employer's annual contributions to DC plan: 
Age 21: Average: $848; 
Age 21: Median: $300; 
Age 25: Average: $1,772; 
Age 25: Median: $590. 

Among DC participants, total contributions: 
Age 21: Average: $1,733; 
Age 21: Median: $1,000; 
Age 25: Average: $4,055; 
Age 25: Median: $2,190. 

Source: GAO calculations of PENSIM simulation. 

Note: This table is for our baseline run of no Saver's Credit. N/a 
means not available. 

[End of table] 

[End of section] 

Appendix II: GAO Contact and Staff Acknowledgments: 

GAO Contact: 

Charles A. Jeszeck, (202) 512-7215 or jeszeckc@gao.gov: 

Staff Acknowledgments: 

Individuals making key contributions to this report include Michael 
Collins, Assistant Director; Melinda Bowman, Analyst-in-Charge; 
Jennifer Gregory; and Aron Szapiro. Joseph Applebaum, Susan Bernstein, 
Bethany Boland, Edward Nannenhorn, Mimi Nguyen, Jeremy Ollayos, Mark 
Ramage, Carl Ramirez, Roger Thomas, and Frank Todisco also provided 
valuable assistance. Michael Hartnett, Sharon Hermes, Dana Hopings, 
and Gene Kuehneman Jr. verified our report findings. 

[End of section] 

Related GAO Products: 

Social Security Reform: Raising the Retirement Ages Would Have 
Implications for Older Workers and SSA Disability Rolls. [hyperlink, 
http://www.gao.gov/products/GAO-11-125]. Washington, D.C.: November 
18, 2010. 

Retirement Income: Challenges for Ensuring Income Throughout 
Retirement. [hyperlink, http://www.gao.gov/products/GAO-10-632R]. 
Washington, D.C.: April 28, 2010. 

401(k) Plans: Several Factors Can Diminish Retirement Savings, but 
Automatic Enrollment Shows Promise for Increasing Participation and 
Savings. [hyperlink, http://www.gao.gov/products/GAO-10-153T]. 
Washington, D.C.: October 28, 2009. 

Retirement Savings: Automatic Enrollment Shows Promise for Some 
Workers, but Proposals to Broaden Retirement Savings for Other Workers 
Could Face Challenges. [hyperlink, 
http://www.gao.gov/products/GAO-10-31]. Washington, D.C.: October 23, 
2009. 

401(k) Plans: Policy Changes Could Reduce the Long-term Effects of 
Leakage on Workers' Retirement Savings. [hyperlink, 
http://www.gao.gov/products/GAO-09-715]. Washington, D.C.: August 28, 
2009. 

Private Pensions: Alternative Approaches Could Address Retirement 
Risks Faced by Workers but Pose Trade-offs. [hyperlink, 
http://www.gao.gov/products/GAO-09-642]. Washington, D.C.: July 24, 
2009. 

Defined Benefit Pensions: Survey Results of the Nation's Largest 
Private Defined Benefit Plan Sponsors. [hyperlink, 
http://www.gao.gov/products/GAO-09-291]. Washington, D.C.: March 30, 
2009. 

Private Pensions: Low Defined Contribution Plan Savings May Pose 
Challenges to Retirement Security, Especially for Many Low-Income 
Workers. [hyperlink, http://www.gao.gov/products/GAO-08-8]. 
Washington, D.C.: November 29, 2007. 

Private Pensions: Issues of Coverage and Increasing Contribution 
Limits for Defined Contribution Plans. [hyperlink, 
http://www.gao.gov/products/GAO-01-846]. Washington, D.C.: September 
17, 2001. 

Private Pensions: "Top Heavy" Rules for Owner-Dominated Plans. 
[hyperlink, http://www.gao.gov/products/GAO/HEHS-00-141]. Washington, 
D.C.: August 31, 2000. 

[End of section] 

Footnotes: 

[1] Office of Management and Budget, Executive Office of the 
President, Budget of the United States Government, Fiscal Year 2012 
(Washington, D.C., February 2011). The tax expenditure is measured as 
the tax revenue that the government does not currently collect on 
contributions and earnings amounts, offset by the taxes paid on 
pensions by those who are currently receiving retirement benefits. For 
fiscal year 2011, the revenue loss estimate includes $62.9 billion for 
401(k) defined contribution plans and $42.2 billion for defined 
benefit plans. In fiscal year 2011, the federal government will also 
forgo $15 billion due to Keogh plans and $13.9 billion for individual 
retirement accounts. 

[2] 26 U.S.C. § 401 et. seq. 

[3] The Employee Retirement Income Security Act of 1974 and the 
Internal Revenue Code require administrators of pension and welfare 
benefit plans (collectively referred to as employee benefit plans) to 
file annual reports concerning, among other things, the financial 
condition and operation of plans. The Department of Labor, Internal 
Revenue Service, and Pension Benefit Guaranty Corporation jointly 
developed the Form 5500 so employee benefit plans could satisfy annual 
reporting requirements. 

[4] See appendix I for detailed description of the analyses of Form 
5500 and SCF data. 

[5] Policy Simulation Group's Pension Simulator (PENSIM) is a pension 
policy simulation model that has been developed for the Department of 
Labor to analyze lifetime coverage and adequacy issues related to 
employer-sponsored pensions in the United States. See appendix I for 
detailed information about the projections and input assumptions used 
to produce the results in this report. 

[6] Pension contributions that fall within certain statutory limits, 
as well as investment earnings on pension assets, are not taxed until 
benefits are paid to participants. DB plans typically provide benefits 
as periodic payments over a specified period beginning at retirement 
age. These benefits are generally based on employees' salaries and 
years of service. DB plan sponsors are required to offer participants 
benefit payments in the form of an annuity. Typically, DB annuity 
payments are received on a monthly basis by the retired participant 
and continue as long as the recipient lives. DC plans are individual 
accounts to which employers and employees can make contributions. DC 
plan benefits are thus based on the contributions and investment 
returns in those individual accounts. For each participant, typically 
the plan sponsor may periodically contribute a specific dollar amount 
or percentage of pay into each participant's account. 

[7] Deductions are limited by Internal Revenue Code Sections 404 and 
4972. 

[8] The cushion amount allows deductible contributions for a year (to 
the extent not funded by plan assets) up to 150 percent of the funding 
target plus an amount for future compensation increases. 

[9] This limit is actuarially adjusted for pensions commencing before 
age 62 or after age 65, as well as for certain optional forms of 
payment. Both the DB and DC dollar limits are indexed for inflation. 

[10] 26 U.S.C. §§ 401(a)(4), 401(a)(5), 414(q). 

[11] In addition, plans that adopt automatic enrollment may be exempt 
from required annual testing to ensure that the plan does not 
discriminate in favor of highly compensated employees. To obtain such 
safe harbor protection, plans must adopt automatic enrollment as well 
as other plan features and policies. For example, the plan must notify 
affected employees about automatic contributions; defer at least 3 
percent of pay in the first year; automatically increase contributions 
by 1 percent each subsequent year to a minimum of 6 percent and a 
maximum of 10 percent; invest savings in a type of investment vehicle 
identified in Department of Labor regulations as a Qualified Default 
Investment Alternative (QDIA); and match 100 percent of the first 1 
percent of employee contributions and 50 percent of contributions 
beyond 1 percent, up to 6 percent of wages. Final regulations issued 
by the Department of Labor specify four categories of QDIAs. 29 C.F.R. 
§ 2550.404c-5(e)(4). For more information see GAO, Retirement Savings: 
Automatic Enrollment Shows Promise for Some Workers, but Proposals to 
Broaden Retirement Savings for Other Workers Could Face Challenges, 
[hyperlink, http://www.gao.gov/products/GAO-10-31] (Washington, D.C.: 
Oct. 23, 2009) and Defined Contribution Plans: Key Information on 
Target Date Funds as Default Investments Should Be Provided to Plan 
Sponsors and Participants, [hyperlink, 
http://www.gao.gov/products/GAO-11-118] (Washington, D.C.: Jan. 31, 
2011). 

[12] For example, there is a statutory limit on the amount of 
compensation ($245,000 for 2011) that can be taken into account in 
determining qualified pension plan contributions or benefits (26 
U.S.C. § 401(a)(17)). There is also a statutory limit on the total 
amount of tax-deductible contributions that an employer may make to 
certain types of plans (26 U.S.C. §§ 404 and 4972). 

[13] Pub. L. No. 93-406, 88 Stat. 829. 

[14] 26 U.S.C. § 415(c)(1). The dollar limit was initially indexed for 
inflation but was reduced during the early 1980s and did not increase 
again until 2001. 

[15] 26 U.S.C. § 401(k). Pub. L. No. 95-600, 92 Stat. 2763. 

[16] 26 U.S.C. § 402(g)(1). The Tax Reform Act of 1986 limited 
employees' tax-deferred contributions to a dollar amount that is 
indexed for inflation. In addition, the act limited deductions for 
Individual Retirement Account contributions by high earners. Pub. L. 
No. 99-514, 100 Stat. 2085. 

[17] 26 U.S.C. § 402(g). Pub. L. No. 107-16, 115 Stat. 38. 

[18] The Worker, Retiree and Employer Recovery Act of 2008 extended 
and increased the 402(g) limits for 2009 and thereafter, Pub. L. No. 
110-458, 122 Stat. 5092. 

[19] 26 U.S.C. § 414(v). This provision was designed to help workers 
with brief or intermittent work histories, such as nonworking spouses. 

[20] 26 U.S.C. §§ 402(g)(2), 415(c)(1), and 414(v). Pub. L. No. 109- 
280, 120 Stat. 780. 

[21] A nonrefundable tax credit can reduce tax owed to zero, but it 
cannot be used to generate a refund payment to the filer in excess of 
taxes paid. Internal Revenue Code § 25B. 

[22] The retirement savings credit became available in 2002 and 
allowed eligible taxpayers who contributed to an IRA or to an employer-
sponsored plan qualified under § 401, § 403, or governmental § 457(b) 
of the tax code to receive a nonrefundable tax credit of up to $1,000. 
As enacted in 2001, the credit would have expired after the 2006 tax 
year, however the Pension Protection Act made the retirement savings 
tax credit permanent. The Pension Protection Act also provided that 
for years after 2006, the eligible income brackets will be indexed to 
inflation in increments of $500. 26 U.S.C. § 25B. 

[23] Office of Management and Budget, Budget of the United States 
Government, Fiscal Year 2012. 

[24] For instance, in 1995 assets in all DB plans exceeded those in DC 
plans, but by 2009 assets in private DC plans totaled $3.4 trillion, 
while private DB plans had $2.1 trillion and 2009 IRA assets were 
about $4.3 trillion. 

[25] John J. Topoleski, Pension Sponsorship and Participation: Summary 
of Recent Trends, Congressional Research Service (Washington, D.C., 
September 2009). The Current Population Survey does not ask 
respondents about type of pension plan, thus the data reflect both DC 
and DB plans. For DB plans, coverage and participation are usually 
synonymous, whereas for DC plans participation is voluntary, so 
coverage and participation rates often vary. 

[26] In order to encourage greater participation by employees with 
access to an employer-sponsored pension plan, provisions of the 
Pension Protection Act of 2006 and subsequent regulations have 
facilitated the adoption of automatic enrollment policies in DC plans 
by providing incentives for doing so and by protecting plans from 
fiduciary and legal liability if certain conditions are met. With such 
policies, new hires and existing employees who are not contributing to 
their 401(k) plan would be automatically enrolled and contributing 
unless they affirmatively take action to stop those contributions. 
Although some experts expect automatic enrollment to significantly 
increase plan participation, the long term behavior of auto enrolled 
employees is not yet known. Further, automatic enrollment will have no 
effect on the many millions of employees who work for firms that do 
not offer any retirement plan. Also, while automatic enrollment is 
growing, it is unclear what is happening with automatic escalation, 
thus many employees simply put in the minimum defaulted contribution. 

[27] Our analysis is based on Form 5500 filings, which private plan 
sponsors are required to submit. For our analysis, we only included 
single employer plans and multiple-employer noncollectively bargained 
plans. Additionally, we do not include employer-sponsored retirement 
plans not required to file a Form 5500, such as simplified employee 
pension, Savings Incentive Match Plan for Employees of Small 
Employers, and excess benefit plans, which are not tax-qualified. 
Please see appendix I for more information on our methodology. The 
Department of Labor released 2008 Form 5500 datasets as we completed 
our work. 

[28] The Department of Labor generally defines plans with fewer than 
100 participants as small and these plans have different filing 
requirements. Participants consist of active, retired, and separated 
plan members. The total number of plan participants includes employees 
that are eligible to contribute to a DC plan even if they do not 
contribute. 

[29] These numbers may overstate the decline because the Department of 
Labor excluded participants that were eligible but did not contribute 
to DC plans prior to 2005. This change means that some plans might 
qualify as small using the 2004 methodology but would not qualify as 
small using the 2005 methodology. 

[30] The size of a plan may not be a reliable indicator of the exact 
size of a business for comparative purposes. However, employers may 
not exclude most types of employees per Internal Revenue Service 
rules. Therefore, small plans are likely sponsored by small businesses. 

[31] GAO, Private Pensions: "Top Heavy" Rules for Owner-Dominated 
Plans, [hyperlink, http://www.gao.gov/products/GAO/HEHS-00-141] 
(Washington, D.C.: Aug. 31, 2000), 27-28. 

[32] Of the remaining business types that sponsored a new DB plan, 
none sponsored more than 3 percent of new DB plans over that time 
period. Business types used as classifications on the Form 5500 are 
based on the North American Industry Classification System and include 
a range of businesses from art dealers to taxi services to wineries. 
The top sponsors of new DB plans appear to be over-represented 
relative to firms generally, as doctor's offices make up about 3 
percent of all U.S. firms, dentist's offices about 2 percent, and 
lawyer's offices about 3 percent, according to the U.S. Census 2008 
Statistics of U.S. Businesses. 

[33] The business may have previously offered a DC plan or may have 
started the DC plan the same year as the DB plan. 

[34] Sixty-six of 126 respondents cited the ability to contribute more 
to a DB than a DC as a reason they created a DB plan. More than two- 
thirds of respondents also cited the ability to contribute a large 
amount of money as the most important reason they created the DB plan. 
The survey was based on a probability sample and had about a 31.5 
percent response rate. 

[35] See, Pension Benefit Guaranty Corporation, Pension Insurance Data 
Book 2008 (Washington, D.C., Summer 2009), 3-16. 

[36] We analyzed (1) the 402(g) limit on individual employee 
contributions, (2) the 415(c) limit on combined employee and employer 
contributions and (3) the 414(v) limit on catch-up contributions for 
workers aged 50 and older. Tax-deferred DC plan contributions may also 
be limited by the application of other statutory or plan-specific 
limits that we did not analyze in this report because of data 
limitations in the 2007 SCF (see appendix I). DC participants whose 
contributions exceed statutory limits on tax-deferred contributions 
are subject to tax on amounts contributed in excess of the limits. 
Estimates of characteristics of participants of DC plans in this 
report are based on the 2007 SCF. The most recently available SCF data 
are from 2007 and, therefore, do not reflect the financial crisis and 
recent recession. To protect the privacy of survey respondents, the 
Board of Governors of the Federal Reserve System rounds reported 
dollar amounts in the public SCF dataset. This rounding scheme makes 
precisely estimating whether certain survey respondents are at or 
above the statutory limits difficult. Therefore, when we say "at or 
above the limit" in this report, we mean "approximately at or above 
the limit." For more information, see appendix I. Because these 
estimates are based on a probability sample, they are subject to 
sampling error. We are 95 percent confident that the total number of 
DC participants exceeds 40 million. The 95 percent confidence interval 
for the percentage of DC participants contributing at or above the 
limits is 4 to 6 percent. Unless otherwise noted, all SCF percentage 
estimates based on all DC participants have 95 percent confidence 
intervals within plus or minus 1 percentage point of the estimate 
itself. 

[37] The 95 percent confidence interval for this estimate is from 62 
to 83 percent. Unless otherwise noted, all SCF percentage estimates 
based on DC participants at or above the limit have 95 percent 
confidence intervals within plus or minus 12 percentage points of the 
estimate itself. 

[38] The 95 percent confidence interval for this estimate is from 5 to 
8 percent. Unless otherwise noted, all SCF percentage estimates based 
on DC participants below the contribution limit have 95 percent 
confidence intervals within plus or minus 3 percentage points of the 
estimate itself. 

[39] With the exception of a few assets, such as pension plans and 
IRAs, the SCF reports asset holdings for the household rather than the 
individual survey respondent. 

[40] Our analysis considers the market value of DC participants' 
houses. 

[41] We compared the nominal 2001 402(g) limit on individual employee 
contributions and the 415(c) limit on combined employer and employee 
contributions to the actual contributions made by DC participants in 
2007. The 414(v) provision allowing catch-up contributions did not 
exist in 2001. We did not account for any behavioral response that 
increases in the limits between 2001 and 2007 may have created. The 
increases in the limits may have encouraged DC participants to 
contribute more. For more details on our methodology, see appendix I. 

[42] Estimate of 8 percent, rather than 9 percent, is due to rounding. 

[43] Any DC participant whose contributions in 2007 were above the 
2001-level limits may have benefited from the increase in the limits 
because, given the higher limits, at least some portion of their 
contributions above the 2001 limits may now be tax-deferred. Our 
analysis focused on DC participants whose contributions were 
approximately below the 2007 402(g), 415(c), and 414(v) limits. We say 
that these DC participants have likely benefited because we do not 
know if they were making contributions to a tax-qualified plan nor do 
we know if they were subject to any other statutory limits. 

[44] These findings are similar to those in a 2001 report where we 
used the 1998 SCF to estimate likely direct beneficiaries of 
increasing the 402(g) and 415(c) statutory limits. We found that about 
8 percent of all DC participants were likely direct beneficiaries of 
an increase in the statutory contribution limits. We also found that 
higher earners were more likely than low or moderate earners and men 
were more likely than women to benefit directly from such an increase. 
See GAO, Private Pensions: Issues of Coverage and Increasing 
Contribution Limits for Defined Contribution Plans, GAO-01-846 
(Washington, D.C.: Sept. 17, 2001). 

[45] The 95 percent confidence interval for this estimated median is 
between $174,000 and $506,000. 

[46] The 95 percent confidence interval for this estimated median is 
between $46,000 and $56,000. Some of these findings are similar to 
those discussed in our 2001 report on likely direct beneficiaries of 
increasing the contribution limits. For example, in 2001, we found 
that few DC participants--about 11 percent--would benefit from catch-
up contributions. In 2007, only 10 percent of eligible DC participants 
made catch-up contributions. See GAO-01-846. 

[47] The 95 percent confidence interval for this estimate is 31-52 
percent. 

[48] The 95 percent confidence interval for this estimate is 14-31 
percent. 

[49] See [hyperlink, http://www.gao.gov/products/GAO-01-846]. 

[50] Data for 2008 and 2009 were not available at the time of our 
analysis. 

[51] Benjamin H. Harris and Rachel M. Johnson, Automatic Enrollment in 
IRAs: Costs and Benefits, Tax Notes Special Report (Aug. 31, 2009); 
William G. Gale, Jonathan Gruber, and Peter R. Orszag, Improving 
Opportunities and Incentives for Saving by Middle-and Low-Income 
Households, The Brookings Institution, Discussion Paper 2006-02 
(Washington, D.C., April 2006); Gary Koenig and Robert Harvey, 
"Utilization of the Saver's Credit: An Analysis of the First Year," 
National Tax Journal, vol. 58 no. 4 (December 2005), 787-806; William 
G. Gale, J. Mark Iwry, and Peter R. Orszag, The Saver's Credit: 
Expanding Retirement Savings for Middle-and Lower-Income Americans, 
Retirement Security Project, no. 2005-2 (Washington, D.C., March 
2005); and William G. Gale, J. Mark Iwry, and Peter R. Orszag, The 
Saver's Credit: Issues and Options, Brookings Institution and 
Retirement Security Project (Washington, D.C., April 2004). 

[52] Gale, Iwry, and Orszag, The Saver's Credit: Expanding Retirement 
Savings for Middle-and Lower-Income Americans. 

[53] Koenig and Harvey, "Utilization of the Saver's Credit: An 
Analysis of the First Year." 

[54] Office of Management and Budget, Budget of the U.S. Government: 
Fiscal Year 2011 (Washington, D.C., Feb. 1, 2010) and A New Era of 
Responsibility: Renewing America's Promise, (Washington, D.C., Feb. 
26, 2009); and Gale, Iwry, and Orszag, The Saver's Credit: Issues and 
Options. The fiscal year 2011 budget proposed expanding the Saver's 
Credit by making the credit refundable and providing a 50 percent 
match on retirement contributions of up to $1,000 for families earning 
$85,000 or less. The estimated cost of this expansion was $323 million 
for fiscal year 2011 and $29.8 billion for fiscal years 2011-2020. 

[55] Koenig and Harvey, "Utilization of the Saver's Credit: An 
Analysis of the First Year." 

[56] The President's Economic Recovery Advisory Board, The Report on 
Tax Reform Options: Simplification, Compliance, and Corporate Taxation 
(Washington, D.C., August 2010); Gale, Gruber, and Orszag, Improving 
Opportunities and Incentives for Saving by Middle-and Low-Income 
Households; and Teresa Ghilarducci, Guaranteed Retirement Accounts: 
Toward Retirement Income Security, Economic Policy Institute 
(Washington, D.C., Nov. 20, 2007). 

[57] Esther Duflo, William Gale, Jeffrey Liebman, Peter Orszag, and 
Emmanuel Saez, "Saving Incentives for Low-and Middle-Income Families: 
Evidence from a Field Experiment with H&R Block," The Quarterly 
Journal of Economics, vol. CXXI no. 4 (November 2006), 1311-1346. 

[58] For example, the Economic Policy Institute's Guaranteed 
Retirement Accounts proposal calls for replacing all existing tax 
incentives for pension plans with a flat $600 refundable credit for 
contributions to a new retirement savings vehicle, called a guaranteed 
retirement account. See Ghilarducci, Guaranteed Retirement Accounts: 
Toward Retirement Income Security. For GAO analysis of this proposal, 
see GAO, Private Pensions: Alternative Approaches Could Address 
Retirement Risks Faced by Workers but Pose Trade-offs, [hyperlink, 
http://www.gao.gov/products/GAO-09-642] (Washington, D.C.: July 24, 
2009). 

[59] For more information on the percentage of DC annuity recipients 
who had received the Saver's Credit at some point over their working 
years, see appendix I. 

[60] The replacement rate generally refers to the ratio of retirement 
income to preretirement income, but specific calculations of 
replacement rates can vary. Our projection of preretirement income is 
based on a "steady earnings" index. This index reflects career 
earnings, calibrated to the Social Security Administration's age-65 
average wage index. In addition, our analysis only considers DC 
annuities in calculating the replacement rate. DB benefits and Social 
Security will be an important source of retirement income for many 
workers and taking these two sources of income into account will 
increase the replacement rate for many workers. Social Security 
benefits, in particular, can replace a large amount of preretirement 
income for low-income workers. 

[61] When employees leave their jobs, employers may cash-out DC 
participants' account balances under $5,000 without the participants' 
consent. They may compel cash-outs of balances under $1,000, but are 
required to roll over cash-outs between $1,000 and $5,000 into an IRA. 
Generally, if the account balance exceeds $5,000, then the 
participants' consent must be obtained before the account can be 
cashed-out. 

[62] 401(k) plans are not the only type of DC plan, but, according to 
the Congressional Research Service, they hold about two-thirds of all 
DC plan assets. According to ICI, 401(k) plans held assets worth $2.9 
trillion at the end of September 2010. Other DC plans include 403(b) 
plans for nonprofit employers, 457 plans for state and local 
governments, and miscellaneous other private DC plans, such as money 
purchase plans. 

[63] Jack Vanderhei, Sarah Holden, and Luis Alonso, "401(k) Plan Asset 
Allocation, Account Balances, and Loan Activity in 2009," EBRI Issue 
Brief, no. 350 (Washington, D.C., November 2010), and the Investment 
Company Institute Perspective, vol. 16, no. 3 (Washington, D.C., 
November 2010). 

[64] Fidelity Investments, Holding Ground Improves Likelihood of 
Yielding Positive Outcomes (Smithfield, R.I., May 2010). 

[65] For example, Fidelity Investments reported that the percentage of 
participants who dropped their equity allocation to 0 in the fourth 
quarter of 2008 or first quarter of 2009 was quite small at fewer than 
2 percent. Fidelity Investments, Holding Ground Improves Likelihood of 
Yielding Positive Outcomes. 

[66] Michael D. Hurd and Susann Rohwedder, "Effects of the Financial 
Crisis and Great Recession on American Households," National Bureau of 
Economic Research, Working Paper 16407 (Cambridge, Mass., September 
2010). 

[67] Alicia H. Munnell and Laura Quinby, "Why Did Some Employers 
Suspend Their 401(k) Match?," Center for Retirement Research at Boston 
College, no. 10-2 (Chestnut Hill, Mass., February 2010). 

[68] The purpose of the employer match is to encourage participation 
and to encourage employees to contribute at the limit as they receive 
additional compensation from the employer. Research has shown that in 
many cases employer matches do result in increased participation and 
contributions; therefore, in addition to reducing total plan 
contributions, a reduced or suspended match could also lead to a 
reduction in employee contributions. 

[69] In 2009, we reported on the long-term effects of leakage on 
workers' retirement savings. See GAO, 401(k) Plans: Policy Changes 
Could Reduce the Long-term Effects of Leakage on Workers' Retirement 
Savings, [hyperlink, http://www.gao.gov/products/GAO-09-715] 
(Washington D.C.: Aug. 28, 2009). 

[70] Fidelity Investments, Holding Ground Improves Likelihood of 
Yielding Positive Outcomes; Investment Company Institute, DC Plan 
Participants' Activities First Half 2010 (Washington, D.C., 2010); and 
Vanguard, How America Saves 2010: A Report on Vanguard 2009 Defined 
Contribution Plan Data (Valley Forge, Pa., July 2010). These reports 
are based on data from plan managers and surveys of plan 
administrators. 

[71] 26 U.S.C. § 72(t). The Internal Revenue Code exempts 
distributions from DC plans from an additional 10 percent tax if taken 
for certain purposes. 26 U.S.C. § 72(t)(2). For example, if the 
employee becomes disabled, needs funds for medical purposes, or if the 
distribution is taken upon separation of service at age 55, the 
additional tax does not apply. 

[72] Barbara A. Butrica, Sheila R. Zedlewski, and Philip Issa, 
"Understanding Early Withdrawals from Retirement Accounts," Urban 
Institute (Washington, D.C., May 2010). 

[73] See [hyperlink, http://www.gao.gov/products/GAO-09-715]. 

[74] Alicia H. Munnell, Jean-Pierre Aubry, and Dan Muldoon, "The 
Financial Crisis and Private Defined Benefit Plans," Center for 
Retirement Research at Boston College, no. 8-18 (Chestnut Hill, Mass., 
November 2008). State and local government pension plans were also 
affected by the financial crisis, declining asset values and 
recession. Also, many public employers face serious budgetary 
problems, making it difficult to make contributions to their 
underfunded plans. For more information see Alicia H. Munnell, Jean-
Pierre Aubry, and Dan Muldoon, "The Financial Crisis And State/Local 
Defined Benefit Plans," Center for Retirement Research at Boston 
College, no. 8-19 (Chestnut Hill, Mass., November 2008). 

[75] Significant secondary risks are borne by the PBGC, which insures 
benefits up to certain limits; by plan participants, to the extent 
that promised benefits exceed the PBGC limits; and by taxpayers, to 
the extent that additional resources ever have to be provided to the 
PBGC. 

[76] If a plan is frozen participants are still entitled to accrued 
benefits based on current salary and service levels, but future 
benefits will be lower than they would have been otherwise. The effect 
of a plan freeze or termination may be less damaging to older workers. 
Older workers are often exempt from plan changes and, except in the 
case of a terminated underfunded plan with benefits that exceed PBGC 
guarantees, benefits cannot be reduced below the levels promised on 
the basis of work to date. 

[77] An employer may voluntarily terminate its pension plan under 
certain circumstances depending on the funded status of the plan. A 
plan that has enough money to pay all benefits owed participants and 
beneficiaries may terminate in a standard termination. For more 
information see GAO, Answers to Key Questions About Private Pension 
Plans, [hyperlink, http://www.gao.gov/products/GAO-02-745SP] 
(Washington, D.C.: Sept. 18, 2002). 

[78] Fidelity Investments, Plugging the Leaks in the DC System: 
Bridging the Gap to a More Secure Retirement (Smithfield, R.I., Summer 
2010). Terminated in this case refers to anyone who is no longer 
employed by the plan sponsor for any reason. 

[79] See [hyperlink, http://www.gao.gov/products/GAO-09-715]. 

[80] See [hyperlink, http://www.gao.gov/products/GAO-09-715]. 

[81] In the event of bankruptcy, PBGC would pay the benefits promised 
to plan participants up to about $54,000 per year (2011 level) for a 
participant who retires at age 65, but with significantly reduced 
guarantees for early retirement. See GAO, Pension Benefit Guaranty 
Corporation: More Strategic Approach Needed for Processing Complex 
Plans Prone to Delays and Overpayments, GAO-09-716 (Washington, D.C.: 
Aug. 17, 2009). 

[82] We first designated the PBGC's single-employer program as a high 
risk area in July 2003 because of concern about the program's long-
term net financial position. For more information see GAO, High-Risk 
Series: An Update, [hyperlink, http://www.gao.gov/products/GAO-09-271] 
(Washington, D.C.: Jan. 22, 2009). 

[83] After we started our analysis, Labor released 2008 Form 5500 
datasets, but had not yet updated their estimates of the total numbers 
of plans in the Private Pension Plan Bulletin. 

[84] These best filing tables from Labor generally pointed to publicly 
available filings, but in a small number of cases they pointed to 
filings that were excluded from publicly available data. Labor 
provided these filings separately. 

[85] See, for example, [hyperlink, 
http://www.gao.gov/products/GAO-09-642] and GAO, Private Pensions: Low 
Defined Contribution Plan Savings May Pose Challenges to Retirement 
Security, Especially for Many Low-Income Workers, [hyperlink, 
http://www.gao.gov/products/GAO-08-8] (Washington, D.C.: Nov. 29, 
2007). 

[86] For more information on PSG microsimulation models, see 
[hyperlink, http://www.polsim.com] (accessed on March 18, 2011). For 
more details on PENSIM, see Martin Holmer, Asa Janney, and Bob Cohen, 
PENSIM Overview, available at [hyperlinmk, 
http://www.polsim.com/documentation.html] (accessed on March 18, 2011). 

[87] While these models use sample data, our report, like others using 
these models, does not address the issue of sampling errors. The 
results of the analysis reflect outcomes for individuals in the 
simulated populations and do not attempt to estimate outcomes for an 
actual population. 

[88] The difference between the return on equities and Treasury bonds 
represents the compensation that individuals require for the higher 
risk of holding equities. 

[89] Since our projections do not stochastically model stock returns, 
assuming a rate of return on assets equal to the historical return on 
stocks does not capture the risks associated with stock returns; we 
therefore also model DC savings under a scenario in which all assets 
return the government bond rate of return. For more discussion of the 
appropriate use in projections, see Congressional Budget Office, 
Analysis of H.R. 3304, Growing Real Ownership for Workers Act of 2005 
(Washington, D.C., Sept. 13, 2005), 63-65. 

[90] Annuity equivalents are calculated by converting DC-derived 
account balances at retirement into inflation-indexed retirement 
annuity payments using annuity prices that are based on projected 
mortality rates for the 1995 birth cohort and annuity price loading 
factors that ensure that the cost of providing these annuities equals 
the revenue generated by selling them at those prices. 

[91] We classify as retired those workers who become disabled at or 
after age 62. We do not classify as disabled those workers who recover 
from disability prior to age 62. 

[92] We drop cohort members who die before retiring because we assume 
annuitization at retirement, but someone who dies before retiring 
would never annuitize his DC savings. We apply the other conditions 
because such cohort members are likely to have fewer years in the 
workforce to accumulate DC plan savings. 

[93] At the time of our analysis, the 2011 limits had not been 
announced, so we maintained the 2010 limits. 

[94] We were not able to include all of the key factors influencing 
the aggregate cost of the Saver's Credit for any given year. Our 
estimate does not include any administrative costs that may be 
associated with the credit or the costs associated with taking the 
Saver's Credit for contributions made to individual retirement 
accounts. Further, the cost will depend on the number of people who 
take advantage of the Saver's Credit. How the modified Saver's Credit 
would affect utilization is unknown. Our cost assumptions assume that 
100 percent of those eligible for the credit take it. 

[End of section] 

GAO's Mission: 

The Government Accountability Office, the audit, evaluation and 
investigative arm of Congress, exists to support Congress in meeting 
its constitutional responsibilities and to help improve the performance 
and accountability of the federal government for the American people. 
GAO examines the use of public funds; evaluates federal programs and 
policies; and provides analyses, recommendations, and other assistance 
to help Congress make informed oversight, policy, and funding 
decisions. GAO's commitment to good government is reflected in its core 
values of accountability, integrity, and reliability. 

Obtaining Copies of GAO Reports and Testimony: 

The fastest and easiest way to obtain copies of GAO documents at no 
cost is through GAO's Web site [hyperlink, http://www.gao.gov]. Each 
weekday, GAO posts newly released reports, testimony, and 
correspondence on its Web site. To have GAO e-mail you a list of newly 
posted products every afternoon, go to [hyperlink, http://www.gao.gov] 
and select "E-mail Updates." 

Order by Phone: 

The price of each GAO publication reflects GAO’s actual cost of
production and distribution and depends on the number of pages in the
publication and whether the publication is printed in color or black and
white. Pricing and ordering information is posted on GAO’s Web site, 
[hyperlink, http://www.gao.gov/ordering.htm]. 

Place orders by calling (202) 512-6000, toll free (866) 801-7077, or
TDD (202) 512-2537. 

Orders may be paid for using American Express, Discover Card,
MasterCard, Visa, check, or money order. Call for additional 
information. 

To Report Fraud, Waste, and Abuse in Federal Programs: 

Contact: 

Web site: [hyperlink, http://www.gao.gov/fraudnet/fraudnet.htm]: 
E-mail: fraudnet@gao.gov: 
Automated answering system: (800) 424-5454 or (202) 512-7470: 

Congressional Relations: 

Ralph Dawn, Managing Director, dawnr@gao.gov: 
(202) 512-4400: 
U.S. Government Accountability Office: 
441 G Street NW, Room 7125: 
Washington, D.C. 20548: 

Public Affairs: 

Chuck Young, Managing Director, youngc1@gao.gov: 
(202) 512-4800: 
U.S. Government Accountability Office: 
441 G Street NW, Room 7149: 
Washington, D.C. 20548: