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Extending TPR’s powers and A Single Code to guide them all

1 October 2021 saw a material extension in The Pension Regulator’s (TPR) powers. In the coming year, TPR will:

Extending the notifiable events regime to cover certain corporate transactions

A new notifiable events regime went into force on 1 October 2021. From this date, TPR was given additional powers to ensure compliance with the existing notifiable events regime. Next year will see an extension of the notifiable events regime that is likely to be of even greater consequence for those involved in defined benefit pension provision (especially scheme sponsors and their advisers).

New notifiable events in relation to certain corporate activities

On 6 April 2022, events in relation to certain corporate transactions will become notifiable to TPR. This broader notifiable events regime will require sponsoring employers to notify TPR when a ‘decision in principle’ is made in relation to certain key corporate transactions. These include:

New ‘notice and statement’ obligations on scheme sponsors

There will be a new duty on employers to give notices and statements to TPR that set out:

The notice and statement will be required at a later point in a corporate transaction than the notifiable event notification. It will apply when there is greater certainty as to:

Click here for more on the new notifiable events regime in our Insight ‘Will your corporate activity be captured by new pensions notification requirements (23 September 2021)’.

Finalisation of TPR’s criminal sanctions and enforcement policies

In advance of the extension of TPR’s powers on 1 October 2021, TPR published the finalised version of its overarching policy on its criminal sanctions powers (click here for ‘TPR’s Criminal offences policy (29 September 2021)’). This was followed by consultations on four more detailed policies covering different aspects of TPR’s criminal sanctions and enforcement work:

The policy also sets out a range of mitigating and aggravating factors that would determine the level of a fine within those bands.

It is expected that final versions of these policies will come into force in Q1 2022.

TPR’s single code of practice comes into force

TPR currently has 15 codes of practice. The codes set out the Regulator’s expectations of the conduct and practice trustees should meet to comply with their duties in pensions legislation. The existing codes of practice are in the process of being turned into a single code of practice. TPR believes this will makes its code of practice clearer, more accessible and easier to update. Once complete, the single code of practice promises to provide an up to date and consistent source of information on scheme governance and management.

Over summer 2021, TPR consulted on a draft single code of practice covering 10 of the 15 existing code of practice.  It received a total of 10,000 answers from over 103 respondents. Since then, TPR has been working on a final draft that would be laid before Parliament. It is expected that this will happen in spring 2022. The single code of practice would then come into force in summer 2022. The remaining five existing codes of practice are expected to be incorporated into the single code of practice in due course.

Ian is a London-based professional support lawyer (PSL) legal director. Ian is a member of our pensions and combined human resource solutions (CHRS) teams. He works with clients to solve their employment and pensions law issues. Ian maintains a particular focus on 'crossover' issues that benefit from his understanding of both areas of law.

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