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RETIREMENT PLAN INVESTOR

Use your plan ID (available on your account statement) to determine which employer-sponsored retirement plan website to use:

IF YOUR PLAN ID BEGINS WITH IRK, BRK, 754, 1 OR 2

Visit americanfunds.com/retire

IF YOUR PLAN ID BEGINS WITH 34 OR 135

Visit myretirement.americanfunds.com

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News & Announcements

April 1, 2024

Status of recordkeeping support for SECURE 2.0 Act provisions

The SECURE 2.0 Act marked a significant step toward enabling more small business owners and employees to pursue retirement stability.

Outlined below is the status of our recordkeeping support for some key SECURE 2.0 provisions for our PlanPremier® and RecordkeeperDirect® retirement plan solutions. You can share this information with your clients ― whether they have an existing retirement plan or they’re considering starting one ― to help them take advantage of the benefits from this legislation.

For a better understanding of these provisions, including our perspective on the potential impacts, refer to SECURE 2.0 ― More of a good thing (PDF).

Provision

Effective date 

Recordkeeping status

Employer Roth contribution option

Section 604 (optional)

Effective for contributions made after December 29, 2022

Evaluating

We’re evaluating solutions based on IRS guidance.

Fewer notices for unenrolled employees

Section 320 (optional)

Plan years beginning after 

December 31, 2022 

In progress

We plan on developing a new notice template to assist plan sponsors in preparing the required participant notification for those who decide to take advantage of this change. We’re also evaluating our automated notice delivery process to potentially incorporate this notice type.

Relaxed required minimum distribution (RMD) rules ― age and penalty adjustments

Section 107 (mandatory)

Effective for RMDs required to be made after 2022 for individuals who turn age 73 after December 31, 2022

Ready to support

You can use the following sample notification to inform  participants about this provision:

Changes to RMD rules sample notice

Self-certification for hardship withdrawals

Section 312 (optional)

Plan years beginning in 2023

In progress

We’re developing a solution to accommodate plans that decide to offer self-certification hardship withdrawals. More information will be communicated on this process in the near future.

Emergency Roth savings accounts

Section 127 (optional)

Plan years beginning after December 31, 2023

Evaluating

We’re monitoring the demand for in-plan emergency savings accounts. Our early research and surveys indicate that there is not a high level of interest.

High-dollar limit for mandatory distributions

Section 304 (optional)

Distributions made after December 31, 2023

Ready to support soon

The higher limit will be supported beginning July 1, 2024. Watch for communication in the second quarter of 2024.

RMD treatment of Roth amounts ― Roth balance exclusion

Section 325 (mandatory)

Taxable years beginning after December 31, 2023, but not to distributions which are required with respect to years beginning before January 1, 2024, but are permitted to be paid after such date

Ready to support

You can use the following sample notification to inform  participants about this provision:

Changes to RMD rules sample notice

Student loan payments as elective deferrals

Section 110 (optional)

Plan years beginning after December 31, 2023 

In progress

We’re evaluating what’s needed to facilitate student loan matching. Our existing functionality allows plan sponsors to remit matching contributions when they independently verify that student loan payments have been made.

Required automatic enrollment and auto escalation

Section 101 (mandatory)

Plan years beginning after December 31, 2024

Ready to support

Wider plan eligibility for part-time workers

Section 125 (mandatory) 

Plan years beginning after December 31, 2024

Ready to support

Note: This provision doesn’t supersede SECURE 1.0’s eligibility rules for 401(k) plans, so workers may qualify for plan eligibility under the three-year rule as soon as 2024 or the two-year rule in 2025.

Required Roth catch-up contributions for high-income earners

Section 603 (mandatory) 

Taxable years beginning after 2025

Ready to support soon

IRS guidance has delayed this provision from 2024 to 2026. Plans will have future opportunities to make changes if they haven’t already acted.

We’ll also offer warnings during payroll processing for age 50 participants who are high earners and approaching the 402(g) contribution limit.

You can use the following sample notifications to inform participants about related changes that you’ve made to your plan:

Provision

Effective date 

Recordkeeping status

Employer Roth contribution option

Section 604 (optional)

Effective for contributions made after December 29, 2022

Evaluating

We’re evaluating solutions based on IRS guidance.

Fewer notices for unenrolled employees

Section 320 (optional)

Plan years beginning after December 31, 2022

In progress

We plan on developing a new notice template to assist plan sponsors in preparing the required participant notification for those who decide to take advantage of this change.

Relaxed required minimum distribution (RMD) rules ― increased age triggering required beginning date

Section 107 (mandatory)

Effective for RMDs required to be made after 2022 for individuals who turn age 73 after December 31, 2022

Ready to support

You can use the following sample notification to inform  participants about this provision:

 

Changes to RMD rules sample notice

Self-certification for hardship withdrawals

Section 312 (optional)

Plan years beginning in 2023

In progress

We’re developing a solution to accommodate plans that decide to offer self-certification hardship withdrawals. More information will be communicated on this process in the near future.

Emergency Roth savings accounts

Section 127 (optional)

Plan years beginning after December 31, 2023

Evaluating

We’re monitoring the demand for in-plan emergency savings accounts. Our early research and surveys indicate that there is not a high level of interest.

High-dollar limit for mandatory distributions

Section 304 (optional)

Distributions made after December 31, 2023

In progress

We’re in the process of updating our Automatic IRA agreement to reflect the higher limit and expect to support this new limit. 

RMD treatment of Roth amounts ― Roth balance exclusion

Section 325 (mandatory) 

Taxable years beginning after December 31, 2023, but not to distributions which are required with respect to years beginning before January 1, 2024, but are permitted to be paid after such date

Ready to support.

You can use the following sample notification to inform  participants about this provision:

Changes to RMD rules sample notice

Student loan payments as elective deferrals

Section 110 (optional)

Plan years beginning after December 31, 2023

In progress

We’re evaluating what’s needed to facilitate student loan matching. Our existing functionality allows plan sponsors to remit matching contributions when they independently verify that student loan payments have been made.

Required automatic enrollment and auto escalation

Section 101 (mandatory)

Plan years beginning after December 31, 2024

Ready to support

Wider plan eligibility for part-time workers

Section 125 (mandatory)

Plan years beginning after December 31, 2024

Ready to support

 

Required Roth catch-up contributions for high-income earners

Section 603 (mandatory)

Taxable years beginning after 2025

Ready to support soon

We encourage your clients to have a conversation with their payroll provider to ensure they’re prepared for Roth contributions and talk to their TPA about any necessary plan document amendments.

You can use the following sample notifications to inform participants about related changes that you’ve made to your plan:

RETIREMENT RESOURCES

Start a client conversation

Use SECURE 2.0 Act of 2022 ― A boost to retirement saving (PDF) to highlight key provisions that could benefit your clients. 


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This content, developed by Capital Group, home of American Funds, should not be used as a primary basis for investment decisions and is not intended to serve as impartial investment or fiduciary advice.