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All lobbying filings

PRIMACY STRATEGY GROUP

Lobbying for HEALTH&PENSIONWORKS (FKA HEALTHWORKS) · Advocacy Coalition

 Filing 4th Quarter - Report
4th Quarter (Oct 1 - Dec 31) 2025 · Minnesota · House · Senate · $15,625.00 income · posted Jan 20, 2026

Official filing document

 Bills named in this filing 2
  • S 3615
    Multiemployer Plan Relief Act
  • HR 6685
    To amend the Internal Revenue Code of 1986 to establish an exception for multiemployer plan participants to the require…
 Lobbying activity 3
Retirement

Multiemployer Pension Reform: S.3615/H.R.6685 Multiemployer Plan Relief Act FY2025 Authorizations, Appropriations, and Budget Policy Section 101 of the SECURE 2.0 Act requires employers with more than 10 employees to automatically enroll new employees at 3% of pay, increasing annually by 1% up to at least 10% but no more than 15% of pay. The 401(k) automatic enrollment provision presents a unique and increased set of challenges for Taft-Hartley plans that do not encumber single-employer plans in the same manner and that require further legislative reforms. Put simply, these automatic enrollment and auto-escalation provisions would dramatically increase the administrative complexity of 401(k) deferrals for multiemployer plans. While SECURE 2.0 was intended to promote retirement savings, the added complexity of administering the automatic enrollemt and escalation provisions will undermine that objective because existing multiemployer DC plans will likely not add a 401(k) feature to their plans and very few (if any) new 401(k) plans will be established in the multiemployer space.

Health Issues

Multiemployer Pension Reform FY2026 Authorizations, Appropriations, and Budget Policy Section 101 of the SECURE 2.0 Act requires employers with more than 10 employees to automatically enroll new employees at 3% of pay, increasing annually by 1% up to at least 10% but no more than 15% of pay. The 401(k) automatic enrollment provision presents a unique and increased set of challenges for Taft-Hartley plans that do not encumber single-employer plans in the same manner and that require further legislative reforms. Put simply, these automatic enrollment and auto-escalation provisions would dramatically increase the administrative complexity of 401(k) deferrals for multiemployer plans. While SECURE 2.0 was intended to promote retirement savings, the added complexity of administering the automatic enrollemt and escalation provisions will undermine that objective because existing multiemployer DC plans will likely not add a 401(k) feature to their plans and very few (if any) new 401(k) plans will be established in the multiemployer space.

Labor Issues/Antitrust/Workplace

Multiemployer Pension, Health & Welfare Reform

Source: federal Lobbying Disclosure Act filing. Bills are parsed from the activity descriptions.

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