Site icon LoupedIn

Pension Schemes Act 2021 and increased regulatory powers

Man in business shirt playing with toy blocks on wood desk. There are compliance related words printed on the blocks

Key points

The Pension Regulator’s new powers in more detail

The PSA 2021 introduces significant criminal and financial penalties for actions relating to defined benefit pension schemes. The new offences are punishable by unlimited fines, and, in, the most serious criminal cases, prison sentences of up to seven years. In addition, TPR now has the power to impose a civil penalty of up to £1 million in across a range of breaches. Taken together, this represents a material step up in TPR’s powers.

In addition, the PSA 2021 expands the circumstances in which TPR can issue a contribution notice requiring the target of that notice to pay cash to a pension scheme. These powers will be extended by the PSA 2021 to scenarios where action or inaction results in a weakening of the sponsor’s covenant supporting the scheme, specifically, the new ’employer solvency test’ and the new ’employer resources test’.

TPR will also be given increased powers to gather information, to summon for interview relevant persons involved with DB schemes and to inspect premises without notice.

Finally, secondary legislation is expected in 2021, placing new notification obligations on parties where certain corporate transactions involving DB pension schemes are proposed, as an extension of the existing notifiable events framework.

“We have changed as a regulator; we are being clearer with those we regulate, quicker to act where our expectations are not being met and tougher on those that do not act in the interests of members”


Mark Boyle, Chairperson of The Pensions Regulator

More of the detail sitting behind these bolstered TPR powers is expected to be clarified in secondary legislation, and accompanying TPR guidance. Both the secondary legislation and guidance will be important for trustees and employers to understand how the provisions will work in practice and which scenarios TPR intends to focus its attention on.

What does this mean for scheme sponsors?

What does this mean for trustees?

Download our one-page overviews of the Pension Schemes Act 2021

Gowling WLG is an international law firm operating across an array of different sectors and services. Our LoupedIn blog aims to give readers industry insight, technical knowledge and thoughtful observations on the legal landscape and beyond.

Exit mobile version