Civil Servant restitution for Capita pension cock up.

Emergency payments scheme launched

This article is from the Public and Services Commercial Union and can be found on its website


Interest free loans are now available for pension scheme members awaiting payment of their civil service pensions.

The introduction of interest free loans of £5000 for pension scheme members, instead of the payments due to them from their civil service pensions, will hopefully alleviate the financial distress the Capita crisis is causing.

PCS has been working with our PCS parliamentary group on behalf of more than 8,000 members with delayed pension payments.

Particular thanks go to Lorraine Beavers, MP for Blackpool North and Fleetwood for securing a Westminster Hall Debate, carried without opposition on Wednesday, which was well attended. Lord Davies of Brixton followed this up with a parliamentary question on Thursday.

Responding from the front bench, Baroness Anderson described the payments as bridging loans of £5000, or exceptionally £10,000, to get money into people’s bank accounts within days, not weeks or months.

Members are reporting to us that they are being asked for financial information in a humiliating telephone interview and then told a decision will be given in five days, but with a potential wait of 28 days to receive the payment.

In a meeting with the Cabinet Office on Thursday  the question was asked whether the measure is a bridging loan or a hardship payment. In response, we were told that the measure is intended to provide payment where pension benefits are overdue and that proof of hardship would not be required. PCS is monitoring this closely and, based on the intention set out by the Cabinet Office, our advice is not to accept decisions where the application is declined unless it is because your pension is not yet overdue.

As the emergency payments are being processed as employer loans, pensioners are being directed to contact their former employer. If your employment ended more than 12 months ago, and for payments to beneficiaries, this facility cannot be provided by the employer and people should contact Capita direct.

Capita can be contacted via their website or on 0300 123 6666. The postal address is Capita Pensions Solutions, PO Box 713, Darlington DL1 9JZ.

It is not just the unions who have been helping out


Civil Service Pension Scheme: Advice from a barrister on compensation and redress

Here’s a barrister, Paul Newman doing his best to help out; this post addressed to civil servants affected.

The dos and don’ts to protect your position and preserve your right to redress, according to pensions barrister  Paul Newman 

Civil service pension delays and errors can have immediate consequences: retirement may be postponed, household finances can come under pressure, and members may spend weeks or months chasing answers. Although official updates have acknowledged serious administration problems and a recovery plan is under way, that does not resolve any individual member’s case. If you are affected, it is important to deal with the problem in a way that protects your position and preserves your right to redress.

A recovery plan does not answer your individual case

A scheme-wide recovery plan may improve service levels over time and include priority handling or hardship support. But members still need answers on their own files. In practice, the key questions are:

  • What is my correct pension position?
  • What is outstanding, and when will it be paid?
  • Is anything missing from my record?
  • What impact has this had on me?
  • What redress is available?

A general update can explain what is being done across the system. It cannot answer those questions for any one member.

What problems are members typically facing?

The most common issues are:

  • Delays (relating to quotations, calculations, pension payments, lump sums, responses and corrections)
  • Incomplete or inaccurate information (such as missing service history, changing figures, delayed record updates)
  • Poor communication (involving long waits, repeated chasing, inconsistent answers, no clear timetable)
  • Poor communication can turn a manageable delay into a much more stressful problem.

What redress may be available?

It is natural to focus first on: “When will I be paid?” That is the right starting point, but it is often not the whole issue.

In many pension administration cases, there are two separate questions: putting the pension right, and redress for what went wrong. The former may include correcting records and calculations, paying arrears, and confirming future payments on the correct basis. The latter, depending on the facts, may include:

  • Interest for delay
  • Compensation for distress and inconvenience
  • Reimbursement of financial loss (if evidenced)
  • A written explanation and apology
  • Fair treatment in any overpayment recovery case

A common mistake is to pursue the correction but never ask about redress.


Capita’s explanation of their failure makes no sense.

Capita complain here that they were not given the full state of affairs with Civil Servant Pensions and that only a proportion of the problems are down to them. Why was the problem given to Capita to sort things out?

At a session of parliament’s Public Accounts Committee yesterday, chief executive of Capita Public Services Richard Holroyd and Capita Pension Solutions managing director Chris Clements insisted the scale of the workload was not made clear.

MPs heard that there is now a backlog of around 120,000 cases, up from 86,000 when Capita formally took on administration of the pension scheme on 1 December last year. Thousands of newly-retired scheme members are still waiting to receive lump-sum payments and their regular pensions.


Some perspective – civil servants are relatively well off

It’s a nightmare for retiring civil servants. It is  good to see MPs looking at this . But there are plenty of people not so lucky that need parliament’s attention too.

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The dark side of auto-enrolment for small businesses

Cara Mackay builds sheds in Perth

You may find this distasteful. But  I know that it’s how  many small business owners feel about having to deal with workplace pension providers. AE for them is a tax and AE providers an extension of HMRC’s assault on them for trying to build businesses.

If you think that it’s easy for a small business to deal with Nest (relative to Starling or Revolut) then you don’t run for a small business locked in to Nest. Please don’t think that because it has £40bn of saver’s money , that People’s Pension is well loved by the employers that use it. Relative to what came before it may be working well but it is not universally loved, nor is any workplace pension , nor will CDC pensions for that matter. Small businesses smoulder with indignation that they are an extension of Government’s plan not to support people though a state pension and national insurance.

They may not matter to large pension providers, but to suppose they don’t exist is to live in lah lah land, I wish that Cara’s voice could be heard at events such as this one held this week by an offshoot of Phoenix.

Standard Life is just down the road from Perth in Edinburgh but…


Comments not on Phoenix but on Cara Mackay’s comments

Some see this as an opportunity to sell their wares, but I think most of us react most warmly to the later comments. Auto-enrolment is bad news for small businesses and no-one speaks for them.

You might want to chat with Boring Money Insights to find out how to cut through the bureaucracy and nonsense


Hi Cara You seem stressed. Just tell them all where to stick it!!! I get monthly letters of “you have been reported to the pensions regulator” by Nest Pensions, have well over 500 emails in their stupid portal that im not going to open individually, and never missed a payment. Same stress here. They are all useless.


Nest is actually the most PAINFUL and horrendous system on the planet.


I don’t have a strong view on the topic you wrote about, however I wanted to say I found it refreshing to read your post on LinkedIn. I particularly enjoyed the expressive tone (aka swearing) and the fact that you actually are representing a real reaction. At a time when almost every other LinkedIn post seems to be so contrived, manufactured, or just plain “did not happen” your post brought a smile to my face. Thanks 👍

I am not against auto-enrolment. I have operated it for the companies I’ve run. But it has it’s dark side. I have a few stories I could tell (but won’t). The providers who do the AE job aren’t trying to cause small businesses trouble. Being big and spending their time congratulating themselves, they have forgotten the pain of their dark side.

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If I was a strategist for an asset manager- I’d be interested in UK CDC

Let’s not forget just what a chance CDC is to fund managers in the UK. At a time when DB schemes are hunkering down into end-games and DC schemes are consolidating into a few schemes which still are primarily focussing on cost and passive exposure to assets that they can afford within the AMC agreements between them and their clients, CDC is rather more of an opportunity.

Here is an excellent article from Holly Roach of Professional Pensions.

Most of the pension provided by a collective defined contribution (CDC) scheme is expected to be driven by investment strategy, according to LCP.

Modelling by the consultancy revealed it is expected around 70% of CDC provision will come from investment strategy, with 30% coming from contributions.

As such, the firm warned investment strategy “should be considered sooner, rather than later”.

LCP said investment strategy “impacts everything” for a CDC scheme, noting small differences in returns “magnify over time“. It also urged the sector to consider reputation, resource and cost – whether a provider or an individual scheme launching a CDC structure – as the trio are “all impacted by investment strategy“.

The firm added CDC can “offer better outcomes” compared to defined benefit and defined contribution because “it can invest in growth assets for much longer” and can “sustain growth exposure“.

LCP said CDC is “structurally better able” to remain invested in growth assets because it pools longevity risk across members, shares investment and sequencing risk collectively, and avoids the need for individuals to self-insure through early de-risking.

Source: LCP

LCP added inflation linkage will be “key” to CDC and warned the interaction of investments and pension promises will “impact generational fairness“.

Partner Mary Spencer said:

“Our analysis shows just how important getting the investment strategy right is for a CDC scheme. Well-designed investment strategies will be central to determining which CDC schemes deliver the best outcomes for their members.”

Principal Andrew Linz added:

“CDC’s ability to remain invested in growth assets is a key driver of strong expected outcomes, but this is not automatic. Outcomes will depend on the quality of investment strategy design; how risks are managed and communicated; and how liquidity is managed over time.”


Some thinking about investment of a CDC investment fund

I have been using a very similar chart for several years, invented by the doyen of CDC design, Derek Benstead

The opportunity to excel exists for asset managers within CDC  in a way that it doesn’t elsewhere in UK pensions.

This means that any proprietor of a CDC scheme must put investment at the top of its priority list when designing its UMES multi-employer CDC scheme.

So far we have not heard much from the asset managers and  a lot from administrators, actuaries and lawyers. If I was in the strategic part of an asset management looking for growth in UK pension investments, I would be getting very excited about CDC.

Thanks to LCP and Professional Pensions for explaining where that “up to 60% better pensions” that the Government quotes- comes from. It’s getting a lot of employers quite excited and I’m quite excited too!


Footnote; here is the DWP’s announcement last October

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For millions of people, Nest’s the only investment they’ve made

I’m a Nest investor and though I’ve been an investor all my adult life , I don’t get as much fun out of it as I ought. I’ve been enjoying getting insights into what Nest do with my money and how they go about getting a return on my money. This is the latest of a series of posts all of which I’ve enjoyed (so far).

 

I have to say , it’s only through social media that I get to see these little gems. There is a lot of decent informative stuff on Nest’s public site and I use my personal site to find out what is going on with my money, but I’m one of 13m people who have skin in Nest’s game and I hope that I’m not the only one enjoying what I’m gettting.

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More trustee responsibility for admin standards (not increased regulation).

I came across this press release from Lumera, a Swedish pension software supplier who recently bought ITM and are making waves with their thinking.

It made waves with me yesterday as I think about the challenge of our administrators of offering CDC to millions of British workers wanting pensions. You can read the original announcement here.


DWP should empower trustees to enforce minimum standards rather than extend direct regulation and build a new authorisation regime. 

Lumera, a leading insurtech company dedicated to the digital transformation of the European Life and Pensions industry, provides its views on the Department for Work and Pensions (DWP) consultation on trustees and governance.

As part of the consultation, which closes on 6 March, DWP is seeking feedback on the benefits of introducing new minimum standards as part of its objectives to raise standards in trusteeship, governance and administration of trust-based workplace pension schemes.

In Lumera’s view, minimum standards could drive a step-change in quality across areas such as administration platforms and integrated service providers (ISPs) as well as data quality and management standards. It would enable the industry to build on the ‘good practice’ standards that are already in place across the market.

However, it would be better for DWP to concentrate on enabling existing regulated entities – primarily trustees – to enforce minimum standards rather than building new authorisation regimes.

With regard to ISPs in particular, minimum standards could go further than existing guidance on good practice, such as that issued by the Pensions Administration Standards Association (PASA), in areas like the technology offering for carrying out ‘matching.’ For example, a minimum standard for ‘matching’ could ensure that specific schemes do not flood the dashboards universe with bad responses and data, hampering the user experience for all.

In a wider sense, minimum standards can mitigate the significant data risks that administration service providers face from increased levels of consolidation activity. Safe data migration during the transition of administration services is critical, especially in a Defined Contribution (DC) market where historic issues with administration sometimes only come to light during consolidation execution. Minimum standards for consolidation readiness that take account not only of data quality, but also administration processes and reconciliation of member holdings with fund managers, would again minimise the risks from consolidation.

Maurice Titley, Commercial Director, Data & Dashbaords, at Lumera, commented:

“The DWP’s proposals on mandatory minimum standards for integrated service providers (ISPs) come at a critical period of evolution for the sector.

“By focusing on minimum standards, rather than adding layers of regulation that could inadvertently slow down progress, we can ensure a more effective and streamlined approach to this new but critical area of pensions administration.

“This is all part of a direction of travel that requires an acceleration in investment in technology-driven solutions and secure data management processes to put trustees and administrators in a strong position to meet all the upcoming regulatory requirements.”


My comment

We have come from a pensions world of 5,000 DB schemes and 40,000 DC plans (regulated by the Pensions Regulator). Consolidation will lead to a handful of DB schemes and a handful of DC plans. There will be a few  CDC plans and some of the above will be hybrid. But British pension regulation will become much simpler in terms of numbers.

A few schemes and a few trustees who will become the guardians of best endeavours  choosing and monitoring software of the humans to deal with issues that can’t be dealt with by artificial intelligence. That means more responsibility on trustees and less work for the Regulator.

 

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LGPS must stop sitting on its surplus or it will be changed by popular demand

Yesterday I blogged about the failure of LGPS to win the hearts and minds of many in Birmingham, Wolverhampton and West Midlands in general by sharing their £11bn pension fund surplus with the councils and council tax payers. The West Midlands LGPS scheme is run out of Wolverhampton (referred to as the Wolverhampton hoard)

I shared some of the blogs and Linked in Blogs from the Blackstuff.

 

I did not know that Reform UK would use the anger of many outside the pension bubble to launch a proposal to convert the £500bn LGPS into a wealth fund by Reform UK.

But I had warned LGPS last summer that it needed to work hard to avoid just this happening. Last June I was at the Pensions UK Conference of LGPS folk and there was talk amongst the Reform UK councillors recently elected to post and to office at LGPS that things were going to have to change.

I argued then that LGPS could not sit back on dormant assets and would have to get on the front foot, offering their expertise in investment and administration to the private sector. I also argued that the LGPS could act as a DC consolidator, converting DC pots into LGPS index linked pension using a facility it had in place but did too little advertising.

There were one or two people I spoke to who I have met since but no enthusiasm for change. Why should the LGPS change, it was sitting in such a comfortable position with huge surplus and jobs for lives.

Pensions UK, who are major beneficiaries of LGPS support and who run these conferences have sprung to action within hours of this news

When the news broke, I was with Unison’s pension people (who I have considerable respect for). We were exploring how LGPS could take on new workers and pay them DB pensions , agreeing that some employers can enter LGPS but have not the strength to do so. Ironically we were thinking about a CDC scheme for some workers. I was not aware of Reform’s plans at that time, here laid out by the FT

As part of the pension plans, Reform said that new workers joining the LGPS would be offered a defined contribution pension, with the defined benefit element to be closed to new members. The pensions of existing council fund members would be unaffected.

These changes are part of a range of changes, including the “de-woking” of the £500bn fund in a language that reminds me of Donald Trump. Unsurprisingly, the Pensions UK has now jumped into action.

No doubt we will not have to wait till June when the next LGPS conference organised by the Pensions UK for LGPS to discuss the threat to it. They will have several sections in Edinburgh at the Pensions UK Conference in March.

The reality that Pensions UK and the pensions bubble see is not the reality which Reform councillors and the millions who have voted for them so far see. In May there are more elections and Reform are predicted to take a number of Local Authorities and with them power in the management of LGPS. If Reform were to become our next Government it is clear that change will not be from within but exposed from outside the bubble.

I do not agree that LGPS should be converted from what it is , because it is a success and as Glyn Jenkins of Unison described pension reform

“change is rarely beneficial and very expensive to implement”

I think that LGPS has been complacent and frankly lazy in its working with the employers and most of all the councils that have paid heavily into it when liabilities appeared  expensive and contribution rates were demanded that crippled councils and participating employers in it.

It was eager to demand money to get out of deficit but LGPS in its 100+ schemes (if you include Scotland) is not showing the same vigour in keeping the employers and councils out of deficit. It can and it doesn’t and that is what has allowed Reform UK to make political capital out of demanding that LGPS ceases to be DB for new entrants and stops providing support for what it terms “woke” investment measures.

I don’t support Richard Tice but I admire his populism. Reform UK are popular among working people who don’t get pensions (just pots) and who see LGPS as a gravy train for those who run it. It is time for LGPS to show some leadership and engage with the country Reform’s Richard Tice points out Reform’s proposal

 would enable councils to cut existing employer contributions to about 10 per cent, “saving councils millions and millions every year”.

The average employer contribution in the LGPS is about 21 per cent of pay.

The  pooling structure of LGPS would be scrapped and LGPS managed as one fund

The reform of LGPS proposed by Reform UK will be very popular with the country though not with the pension industry. It is what I warned would come, now LGPS must get out of its comfort zone and prove it is worth the money it has demanded and now sits on.

 

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Sharon Bowles and Ros Altmann continue to make sense with amendments to the Pension Schemes Bill

I agree with William Macleod.

I agree with Sharon Bowles above and Ros Altmann below.

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Administration as Critical Infrastructure -KGC Associates (pt. 4)

This is the fourth of a series of articles from KGC Associates. Once again thanks to Hayley Mudge.


What consolidation means for system-wide resilience

Across the UK pensions industry, administration has historically been treated as a supporting function, essential, but largely invisible when it works well. Structural change in the administration market is challenging this assumption. As providers consolidate, platforms concentrate and capacity tightens, member outcomes are increasingly exposed to the shared dependencies within administration across the system.

These developments matter beyond individual schemes or providers. Consolidation and exit have concentrated operational risk within a smaller set of organisations. At the same time, the people, processes and transition capability required to deliver administration are increasingly shared across the market. This means disruption in one part of the system can have indirect consequences elsewhere, even where direct relationships remain unchanged.

From an industry perspective, this raises questions about resilience, sequencing of change and collective capacity. The issue is not whether consolidation is rational, in many cases it clearly is, but whether the market as a whole retains sufficient ability to absorb change without increasing risk to service continuity, member confidence and industry reputation.

This section considers what it means to view pensions administration as critical infrastructure rather than a routine outsourced service. It explores why operational risk has become more concentrated, how regulatory interest is beginning to reflect this shift, and why resilience now depends as much on coordination and governance across the market as it does on the performance of individual firms.

Article content

Administration has become a control point in the pensions ecosystem

Administration now sits at the intersection of:

  • data custody
  • member experience
  • regulatory compliance
  • scheme decision-making

It’s no longer about retirement calculations or transfer quotes, administrators have needed to diversify their skillsets away from following processes and calculations to being a sympathetic ear to a bereavement case, understanding how to deal with a pensions scam and being able to interrogate data alongside trustees. Administration has earnt its place at the table and is finally being valued in line with investment decisions and advice from the Scheme Actuary.


KGC insight:

This elevates administration from a back-office function to systemically important operational infrastructure, requiring a corresponding shift in trustee governance, sponsor oversight and regulatory focus.

Considerations for trustees:

If administration is critical infrastructure, then it must be governed, invested in and overseen differently than routine business process outsourcing:

  • Administration risk is no longer just a supplier-management issue, it’s a core governance risk, alongside funding, covenant and investment
  • Trustees should treat administrator stability and capacity as standing agenda items, govern ownership change, platform change and transitions proactively and be more strategic in their questioning. For example, instead of ‘are we getting good service?’ ask ‘is our administrator structurally resilient?’
  • Scenario plan the consequences of administrator ownership change, restructuring or exit for them, the sponsor and their members

Considerations for sponsors:

This reframes administration from an outsourced cost to a critical operational dependency. Administration failure is no longer an operational inconvenience, it’s a business and reputational risk, sponsors need to:

  • Understand how administration failure or instability affects payroll, member trust and reputational risk
  • Scenario plan the consequences of administrator ownership change, restructuring or exit for them, their trustees and members

Considerations for Regulators

As pensions administration underpins benefit accuracy, payment continuity and member outcomes, disruption increasingly has cross-scheme consequences rather than isolated impact. Regulatory interest is already beginning to reflect this shift. There is growing recognition:

  • Provider exits and consolidation concentrate operational risk
  • Large-scale migrations amplify delivery and data risk
  • Capacity constraints limit the pensions ecosystem’s ability to absorb change

Regulatory focus is moving beyond individual service failures, towards the resilience of the administration ecosystem supporting member outcomes.


New entrants only emerge from disruption, but there is interest from overseas

Alongside disruption-driven entry, we continue to see interest from overseas-owned groups seeking to access the UK pensions administration market, either through acquisition or direct entry. However, there are high barriers to entry in modern administration.

In practice, many prospective entrants underestimate the structural complexity of the UK environment, particularly the deep operational interdependence between DB and DC administration. For organisations accustomed to more homogeneous, DC-only markets, the UK’s long tail of DB schemes, with benefit-specific rules, historic data challenges and scheme-by-scheme customisation presents a material barrier to scale, operational clarity and risk control. This has historically constrained successful greenfield entry.

As the market continues to tilt towards larger-scale DC arrangements and master trust administration, there are early indications some of these barriers may be weakening. Platform-led propositions, including newer administration platforms entering the UK market suggest prospective entrants are seeking to decouple technology from legacy UK operating models, rather than replicate traditional administration structures wholesale. Whether this approach can translate into sustained competitive entry remains to be seen, but it indicates a gradual shift in the structural dynamics historically limiting overseas participation.

As DB becomes a smaller proportion of new business, future entrants may find the market more accessible. Sustainable participation in the UK market currently still depends on:

  • demonstrable DB capability
  • disciplined migration and transition governance
  • experienced people and resilient delivery models

KGC insight:

The market is mature and operationally complex. Innovation tends to come from restructuring existing capability rather than genuine greenfield entry. The UK administration market has not lacked overseas interest. It’s lacked operating models capable of absorbing DB complexity at scale. Although technology may lower barriers to entry, it does not remove multi-layered operational demands.

In our experience, increased overseas and platform-led interest does not reduce procurement risk, it changes its shape. Selection decisions with over-weighting on technology or price, without evidence of delivery through UK-specific change and complexity, could materially increase transition and service risk.


Risk has concentrated, not disappeared

While the number of providers has reduced, the scale of individual administrators has increased significantly, each one:

  • supports more members
  • holds more legacy data
  • runs more migration simultaneously

Systemic risk is now concentrated, a major platform and/or business failure would affect:

  • hundreds of schemes
  • millions of members
  • multiple trustees at once

KGC insight:

From a system-wide governance perspective, the industry now carries more concentrated operational dependency than it did a decade ago. Resilience depends not just on individual organisation performance, but on collective standards, transparency and operational discipline.


Bringing this together: resilience at system level

Viewed through an industry lens, the evolution of the administration market points to a clear shift in where operational risk now sits. Administration has moved from a largely invisible supporting function to a central control point within the pensions ecosystem, underpinning data integrity, regulatory compliance, member experience and scheme decision-making.

Consolidation, exit and platform concentration have not eliminated risk, they have redistributed it. As providers grow in scale and complexity, and as capacity, skills and transition capability become increasingly shared, the consequences of disruption extend beyond individual schemes or organisations. The ecosystems resilience now depends not only on the performance of individual administrators, but on how change is sequenced, governed and absorbed across the market as a whole.

As regulatory interest continues to evolve in this direction, and as trustees and sponsors reassess their own dependencies, the focus increasingly shifts from isolated service outcomes to system-wide resilience. The question for the industry is no longer whether administration can scale, but whether it can do so in a way that sustains confidence, continuity and member outcomes over time.


The Bigger Picture: The next phase of market evolution

The UK pensions administration market has consolidated structurally but we believe it remains operationally fragile during periods of change. While the number of providers has reduced, the complexity, scale and interdependence of administration activity has increased. Risk has not been removed; it has become more concentrated and, in some cases, less visible.

Consolidation has brought clear benefits. It has enabled greater professionalisation, investment in systems and controls, and the development of specialist capability. At the same time, it has increased reliance on a smaller number of delivery platforms and organisations, each supporting larger member populations, holding more legacy data and managing multiple, overlapping transitions. This concentration is largely unproblematic when change is limited, but it becomes more exposed when the market is absorbing exits, migrations or operating-model redesign.

For trustees, this elevates administration oversight from a supplier-management activity to a core governance responsibility. The quality of BAU remains important, but it’s no longer sufficient as a proxy indicator for long-term resilience. Administration risk now has a direct bearing on member outcome and scheme risk.

For administrators, consolidation sharpens the importance of strategic clarity and operating discipline. Scale alone does not guarantee stability. Resilience appears more closely linked to how clearly administration is positioned within the business, how consistently investment is sustained, and how deliberately change is governed and absorbed over time.

For the industry, these dynamics underline the extent to which administration now functions as critical operational infrastructure. Disruption no longer affects individual schemes in isolation. Capacity constraints, large-scale migrations and provider exits have cross-scheme consequences. There should be an appreciation of shared dependencies and standards across the market.


In our view, the next phase of market evolution will be defined less by the pace of further consolidation and more by how effectively the industry governs and absorbs change

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CDC’s been declared unfair; we say it’s up to 60% fairer for everyone!

This article, written by my colleague Chris Burford and me is a defence of CDC from accusations that it simply redistributes the same amount of money away from one group (the young) to another (the old). Our argument is that by investing over the whole of our lives in growth assets we create more money for distribution. CDC does not hold buffers against failure but, as we show, it has inbuilt protection to ensure everyone is treated fairly all the time.

It first appeared in Professional Pensions


 

As CDC enthusiasts and people who are committed to finding a way for pensioners to enjoy a substantial annual income in retirement without making complex investment decisions, we are delighted that the pensions industry seems unified on the CDC performance debate.  Whether CDC schemes outperform standard DC by 20% or 60% is a matter of assumptions and perspective, but it’s generally agreed that

Through pooling of longevity risk, and adopting a higher return-seeking investment strategy, CDC can offer a higher expected income for life than alternative approaches.” 

Those are the words of John Southall of L&G in his recent Professional Pensions article.

With the superior pensions that come from CDC accepted by Government, some are asking questions regarding other aspects of CDC design, in particular the volatility of future outcomes and the fairness of various designs with a focus on “intergenerational fairness”.

We also think there is confusion between flexibility that a DC pot offers and a retirement income for life – we cannot make a pension as flexible as a pot of money but we have been paying pensions for over a century and people seem to want them!

We are working hard to bring a whole-of-life CDC design that is a UMES (Unconnected Multiple-Employer Scheme) into the world and have considered carefully the impact of design features on both volatility of outcomes and fairness between different employers and between the memberships of those employers.  We outline below the key design aspects we believe can make CDC fair for every generation.

Contributions converted to CDC pension on cost-neutral terms

The Royal Mail CDC scheme can afford a level of cross-subsidy between its members, with a single contribution rate earning a 60th of pensionable salary. The pension accrual works as it does for DB schemes – the young overpay to begin with but get a good deal out of later life contributions. It’s a whole career approach which is right for Royal Mail but not for multi-employer schemes where one employer will not wish to subsidise another employer’s membership.

To ensure fairness between our unconnected employers we intend to employ a more dynamic approach to pricing.  Contributions will be converted into CDC pension on terms which are:

  • Age-related – it is cheaper to provide a pension to a younger member than an older member, as their funds will be invested for a longer period before pension is paid. Fairness dictates that this difference is reflected in the pricing.
  • Gender-neutral – it could be argued that because women on average live longer than men then a male contribution of £1,000 should buy a higher pension than a £1,000 contribution from the same aged female. The employers we have spoken to are generally keen that £1,000 of contribution buys the same pension for all members of the same age, and therefore gender-neutral conversion factors will be adopted.
  • Fully reflective of the scheme experience (level of pension increases) to date -the pricing will fully reflect the level of future pension increases expected. This won’t just be reflective of the increases calculated at the last annual actuarial valuation, but will include more recent experience to ensure some members cannot “game” recent market movements.

Regular changes to conversion factors to reflect up-to-date experience are what we refer to as “dynamic pricing”.

Investment strategy is pre-determined

We hear a lot of people suggesting CDC schemes need a constant flow of younger new members to be able to maintain the returns-seeking investment strategy that produces the superior member outcomes.  Whilst we can see why people might suggest that, it’s not true.  Members’ expected pensions don’t fall if the scheme accepts no future members or contributions.

This is because the broad investment strategy is pre-determined, and whilst the Trustees will be able to adjust the individual investments as they see fit the overarching strategy will remain unchanged.

A potential CDC investment strategy is outlined above.  When members’ contributions are converted to CDC pension, they are converted on the basis that the funds invested on behalf of the member will move over time in line with the prescribed strategy above.

This strategy can’t significantly change – CDC regulations will require a new section be opened if that were to happen.  So, if the scheme were to close to new members or contributions then the scheme would end up invested more in matching assets, but that would be planned and not change the benefit expectations of the existing membership.

There are other issues a CDC scheme would face if it closed to new members or contributions, including having to sell assets to pay benefits and ensuring that the charges on funds were sufficient to continue paying the administrative expenses of the scheme; but there is no fundamental change in the expected benefits of the existing membership.

As time goes by, we suspect there will be no need for CDC schemes to continue running on with older memberships – it should be possible to transfer a closed CDC scheme into a continuing open CDC scheme.

An indexation approach to adjustments (where possible)

UMES CDC legislation requires adjustments for experience to be made to future pension increases within certain bounds, and if the experience is outside of those bounds then one-off increases or reductions in benefits are permitted.

The benefit of spreading experience across all future increases is a significantly reduced volatility of member experience – members’ pensions don’t increase far from the expected level except in times of significant divergence from expectation.  One-off increases or reductions are highly unlikely.

If you still think intergenerationally unfair – in which direction?

The debate surrounding intergenerational fairness in CDC schemes reminds us of the time that employer covenant was first intended to impact the level of deficit-reduction contributions DB Trustees asked of a sponsoring employer.  It could be argued both ways whether a strong employer covenant was meant to imply a higher level of employer contributions (because they could be afforded) or a lower level of employer contributions (because employer support could be relied on for longer). Somebody asked this at a pension talk and the speaker was unable to give a definitive answer.

There are those that think older members are benefitting from, and maybe even exploiting, the existence of younger members in the scheme.  There’s no doubt that older members will get a great pension from CDC schemes, but there’s plenty to suggest that younger members will get an even better deal from joining a CDC scheme:

  • The low cost of CDC pension for younger members – Conversion factors will fully reflect young members’ term to retirement, and we could easily see younger members getting 4x or 5x as much CDC pension for the same contribution as older members;
  • A longer period of CDC “accrual” – whereas older members are likely to have been invested in a DC scheme for a significant portion of their working lives, younger members will benefit from earning CDC benefits (and the additional 30% – 60% pension without difficult investment decisions that represents) for longer.
  • The benefits of time diversification – older members benefit from the experience affecting their pension being spread over a number of years, but younger members benefit from experience over a greater number of years being spread across the scheme’s lifetime. This can be illustrated with the example of each year’s investment returns represented by the roll of a dice.  If you throw one dice, there’s a reasonable chance your average score will be 1 or 6.  If you throw 50 dice, the “law of large numbers” means the average will almost certainly be close to 5[1].  Younger members have a longer time to experience highs and lows in investment returns meaning their annual return is more likely to be closer to the average than older members.

In a world where house prices, university fees and student debts, climate change and AI ( “taking their jobs” ) are all against our young people, let’s recognise CDC pensions as the incredible benefit that could be for their generation.

Let’s keep educating people on pensions and supporting CDC

The shift in CDC conversation, from “if” to “when will we see mass CDC membership”, has been exciting to see.  Greater understanding of CDC schemes within the pensions industry is the first port of call.

It means that the benefits and risks can be discussed knowledgably by the professionals that company leaders and pension scheme members trust. HR departments will need answers.

You can try to swim against the tide, but sooner rather than later HR leaders will be coming under intense scrutiny from their pension members.  Members in DC schemes will be asking why their pension contributions are not working as hard as CDC schemes do.

There is only so far you can go by arguing for the flexibility of drawdown and of cashing out; we hear people asking for a pension from the pension scheme they’ve been saving into!


Chris Bunford and Henry Tapper of Pensions Mutual

[1] We note that annual investment returns are not wholly independent of each other, but the basic principle holds

People want to read good news stories about CDC. That’s because CDC is good news!

 

 

 

 

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Wolverhampton folk demand LGPS returns £11bn surplus it’s sitting on.

John Clancy and David Bailey have blogged about the enormity of the wrong to the West Midlands council tax-payer by the LGPS.

Their latest blog says that money returned to Birmingham is not enough and that Wolverhampton has the same problem


Mike Olley

This is not news to this blog, it’s a smouldering issue that’s not going on; it’s a big scandal that has not been addressed and infuriates people outside the pension bubble.

The LGPS needs to get a grip on its responsibilities and return un-needed money to councils so council tax payers get the services they have paid for. The LGPS pension fund does not need to be over-funded, indeed it is a scandal that the Wolverhampton is bust while its pension scheme has an £11bn surplus (see blog by  Clancy and Bailey).

Surpluses and deficits are immediate for council treasurers but abstract for the LGPS who can and should  manage its finances over generations.

How Clancy and Bailey see the LGPS

Clancy and Bailey may be a bit harsh for pension folk.  They are followed up by  Mike Olley on Linked in who writes to pension people- with the same message

There is no “prudence” in holding back money that has been paid into a pension scheme unnecessarily by ordinary people though high council taxes. That high council taxes leave Birmingham bereft of the services council tax payers rightfully expect is shameful. But when the shame of lack of services could be righted by the return of money that should not have been taken and is not needed by the pension funds,  then there is a scandal.

Professional Pensions is right to pick up on this and pension people have a chance to have their say to ensure that the LGPS do not continue to sit on dead money.

In this week’s Pensions Buzz, PP wants to know if councils should offer Local Government Pension Scheme contribution holidays to fund services.

It is not enough to sit on our hands and pretend that this is not our problem. What is happening in the West Midlands is a disaster for pension’s reputation everywhere

Take part in the survey here and make your feelings fealt in the comments box.

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