Take Action: Legislation Affecting ESOP Appraisers 


    AICPA Urges CPAs to Seek Congressional Support of Legislation to Fix DOL Fiduciary Proposal on ESOP Appraisers

    Please contact your Representative and Senators and ask them to cosponsor S. 273/H.R. 2041, bills that would prevent the Department of Labor (DOL) from expanding the definition of a fiduciary to include CPAs and other independent ESOP appraisers.

    “I encourage all members of the AICPA to join in this advocacy effort on behalf of the Forensic and Valuation Services.” – Thomas Burrage, CPA/ABV/CFF, Chair, Forensic and Valuation Services Executive Committee

    Much needed legislation has been introduced in the House and Senate that would prevent the Department of Labor (DOL) from changing the longstanding definition of fiduciary under the Employee Retirement Income Security Act of 1974 (ERISA) to include appraisers of employee stock ownership plans (ESOPs). S. 273 was introduced by Senators Kelly Ayotte (R-NH), Roy Blunt (R-MO), Mary Landrieu (D-LA) and Mitch McConnell (R-KY). H.R. 2041 was introduced by Representatives Brett Guthrie (R-KY), Dave Loebsack (D-IA) and Lynn Jenkins, CPA (D-KS).

    The AICPA welcomes this legislation because the DOL's pending reissuance of its 2010 proposal is likely to include a fiduciary duty for ESOP appraisers and thus force CPAs and other ESOP appraisers to purchase expensive fiduciary insurance, employ specialized ERISA counsel, and expose CPAs to unwarranted litigation. Moreover, any DOL proposal that treats appraisers as fiduciaries would create a conflict between a fiduciary’s strict duty of loyalty to plan participants and beneficiaries, and professional appraisal standards, which require an appraiser to perform assignments with impartiality, objectivity and independence. If the DOL proposal is adopted it will result in new compliance costs for the nation's approximately 11,000 ESOPs, which means lower share value and less retirement savings for employees.

    The Issue in brief:



    AICPA’s Senior Vice President for Governmental & Public Affairs, Mark Peterson, discusses the DOL’s anticipated fiduciary rule re-proposal and its impact on CPAs.
       
    Get in Touch with Your Members of Congress

    FVS Members:

    Visit the AICPA’s Legislative Action Center to send letters to your Members of Congress.  This site is set up to help you quickly and easily take action on this issue.
     
    Additionally, please share this page and sample letters and talking points below with your ESOP clients.
     

    ESOPs:

    The AICPA encourages ESOPs to send letters to their Members of Congress asking them to cosponsor S. 273/H.R. 2041. The process is quick and easy by taking the following steps:
    1. To find and write your Representative, go to the United States House of Representatives website and enter your zip code.
    2. To write your Senators, go to the United State Senate website and find your Senators' websites by state.
    3. Use your Members of Congress’ online contact forms on their websites to send your letters. State your purpose for writing in the first sentence, and be sure to ask for support of the appropriate measure (S. 273 for Senators; H.R. 2041 for House members).
    4. Cut and paste the appropriate sample letter, written for ESOP Appraisers, into the body of the email.
      Sample letter for your Representative in the House
      Sample letter for your Senators
    5. Please let us know who you contacted and send a copy of your letters to congaffairs@aicpa.org.

    If you choose to call instead of write, below are talking points to help:

    Talking points for your Representative in the House
    Talking points for your Senators

    Staff Contacts

    Diana Huntress Deem
    Director
    Congressional and Political Affairs
    202.434.9276
    ddeem@aicpa.org

    Eddy Parker
    Sr. Technical Manager
    Forensic and Valuation Services
    919.402.4053
    eparker@aicpa.org
       
    More Information



    A A A


     
    Copyright © 2006-2014 American Institute of CPAs.