Beginning January 1, 2026, participants ages 50 and older who earned more than $150,000 in FICA wages* in the previous calendar year (Roth catch-up required participants) may only make catch-up contributions as Roth contributions.
On September 16, 2025, the IRS issued a final regulation impacting key catch-up contributions of SECURE 2.0, including the Roth catch-up provision. While this final regulation formally takes effect in 2027, plan sponsors may rely on a reasonable, good faith interpretation throughout 2026. For more information on this regulation, please read our paper: From Proposal to Policy: IRS Finalizes Awaited SECURE 2.0 Catch-up Regulations
* Wages, for the purpose of this provision, are defined in the Internal Revenue Code (IRC) Section 3121(a) as wages subject to FICA (generally, Social Security wages in box 3 of the W-2).
Plan sponsors are now required to submit an annual report identifying all of their Roth catch-up required participants after the final payroll of the year and before the first payroll of the new year.
The final catch-up regulation issued in September 2025 provides more flexibility for plan sponsors when it comes to correcting Roth catch-up errors.
Now that the provision is in effect, we are working harder than ever to ensure both you and your participants are confident in your understanding of what is required under this new rule. With that in mind, we encourage you to review the following new and updated resources:
The annual paper statement provision of SECURE 2.0, effective as of January 1, 2026, requires defined contribution plans to provide at least one paper benefit statement annually to plan participants who have not affirmatively elected electronic delivery.
On February 25, 2026, the Department of Labor issued a proposed regulation on the paper statement requirement seeking to update two electronic safe harbor disclosures and bring consistency between this SECURE 2.0 provision and existing federal regulations. Comments on the proposed guidance are accepted until April 26, 2026—60 days after the guidance was issued.
Vanguard is here for support as you navigate the annual paper statement requirement. To help you and your participants feel confident in understanding and complying with this new rule, we encourage you to review: