Analysis Of The Financial And Operating Practices Of Union-Administered Benefit Funds With Fiscal Years Ending In Calendar Year 2008

December 30, 2010 | FM10-109S

Table of Contents

AUDIT REPORT IN BRIEF

The purpose of this report is to provide comparative analysis of the overall financial activities of union-administered active and retiree welfare, education, and annuity funds that receive City contributions and is based on our analyses of individual funds. 

The City of New York contributed approximately $1.13 billion to the 115 union-administered annuity, active, and retiree welfare funds with fiscal years ending during calendar year 2008. The benefit funds were established under the provisions of collective bargaining agreements between the unions and the City of New York. Benefit funds provide City employees, retirees, and dependents with a variety of supplemental health benefits not provided under City-administered health insurance plans, including dental care, optical care, and prescription drug benefits. Other benefits are provided at the discretion of the individual funds.  Annual contributions to the welfare funds for full-time employees ranged from $765 to $2,344 per employee during 2008.

Accountability for fund expenditures is a contractual requirement:  the funds must be audited annually by a certified public accountant (retained by the funds), the funds must submit an annual statement showing their “condition and affairs” in the form prescribed by the City Comptroller, and the funds must provide an annual report to each employee covered by the fund.

In November 1977, the Comptroller’s Office first published Internal Control and Accountability Directive #12, which contained uniform reporting and auditing requirements for benefit funds.  In 1997, Directive #12 was revised to include provisions that modified fund reporting requirements, required assessments of consultant services, modified the criteria for contracting services through competitive bids, and expanded the requirements for hiring independent certified public accountants to audit the funds.

The information generated as a result of Directive #12 reporting requirements provides a basis for our comparative analyses of fund operations to identify deviations from the norm. To perform these analyses, we compute certain expense and benefit category averages that are used to compare funds of similar size. Our results can then be used by fund trustees and administrators to perform their own internal analyses.

This report comprises data received in response to Directive #12.  The analysis is based on the financial activities of benefit funds receiving contributions from the City during calendar year 2008.  Annual reports from these funds are usually delayed because, according to Directive #12, the funds have up to nine months after the close of their fiscal years (some of which end on December 31) to submit the required data.
               
We reviewed the financial information for 115 funds that received City contributions during 2008. Two funds were excluded from this analysis because Local 1181 CWA Supervisory Employees Welfare Fund and Local 1181 CWA Supervisory Employees Retiree Welfare Fund failed to submit a Directive #12 filing since 2005.  (Exhibit A at the end of this report lists each fund by its official and its abbreviated name.)  However, the computation of category averages and our other financial analyses were limited to the 77 of the 115 funds that received City contributions during each fund’s 2008 fiscal year (most of the funds’ fiscal years ended in either June or December of 2008), approximately $1.04 billion in total.  Thirty-eight funds were not included in either the computation of category averages or in the financial analyses since they would have distorted the results of this report.

Thirteen funds that received a substantial portion of their revenues from sources other than the City, one College Scholarship Fund that provides benefits only to public high school students, three funds with fiscal year-ends different from their associated welfare funds, one fund that operated less than 12 months, and three fund mergers that occurred  during calendar year 2008, were not included in either the computation of category averages or in the financial analyses since they would have distorted the results.  In addition, 15 funds were excluded because they incurred substantial losses on their investments that offset their total revenue (putting their revenue in “negative” terms and making a calculation of ratios impossible).  Furthermore, two funds were also excluded from this analysis because Local 1181 CWA Supervisory Employees Welfare Fund and Local 1181 CWA Supervisory Employees Retiree Welfare Fund failed to submit any financial information.

As of the end of their 2008 fiscal years, the welfare funds’ net assets available for 82 plan benefits totaled $1.6 billion, and the 31 annuity funds had a net fund balance of approximately $4.8 billion.

Findings and Conclusions

As in previous reviews of the financial data submitted by the funds, there were variations in the amounts spent for administrative purposes, although in certain instances there was an indication that these expenses were reduced.  Some of the funds cited in our 2007 report for spending higher-than-average amounts on administration remain in that same category in 2008, while other funds were added to this category because their administrative costs increased in 2008.  In 2008, $82.2 million (7.64 percent) of total revenue for all funds was spent on administration, as compared to $85.5 million (6.63 percent) spent on administration in 2007. The percentage of total revenue spent on administration varied among funds, reflecting the broad discretion exercised by each fund’s Board of Trustees.

As before, several welfare funds expended lower-than-average amounts for benefits and maintained high reserves.  In addition, the benefit expenditures of each of 13 funds exceeded its individual total revenues, causing the funds to dip into their reserves. The use of reserves to provide benefits may indicate that the benefits provided were not evaluated in relation to the resources available to the funds.  Reserves held by funds provide a cushion if claims for benefits exceed revenues in any given year.  In the past, the Comptroller’s Office has used general guidelines of 100 percent of revenue for insured funds and 200 percent of revenue for self-insured funds as reasonable levels for welfare fund reserves.  High reserves are an indication of a fund’s financial viability, but may also indicate that a fund is not providing as many benefits to its members as it could.  Moreover, in 2008, 27 of 65 active and retiree welfare funds in our analysis incurred operating deficits totaling $31.8 million, which reduced their available reserves. The deficits ranged from $8,746 to $12.9 million.

In summary, we identified the following financial issues that should be addressed:

  • Certain funds spent a large percentage of their revenue on administrative expenses. Reducing administrative expenses would allow funds to increase benefits for members.

 

  • Certain funds had large operating surpluses resulting in high reserves. Excess reserves may indicate that funds should increase members’ benefits.
  • The expenses of certain funds exceeded their revenues, resulting in operating deficits.  Operating deficits could deplete fund reserves, which could ultimately lead to insolvency.

 

The chart on the following page lists those funds with potential financial issues (indicated in the shaded areas of the chart) that should be addressed by fund management.

Chart

&Legend
I – Insolvent
N – Currently not at Risk of Insolvency
P – Possible Risk of Insolvency in less than 1 year
ST – Short-term Risk of Insolvency within 1 – 2 years
MT – Mid-term Risk of Insolvency between 2- 3 years
LT – Long-term Risk of Insolvency greater than 3 years

*A ratio estimating the number of years that a fund can operate before being ‘in the red’ if all factors remain constant. For example, number ‘101%’ would indicate the fund has approximately one year before becoming insolvent.

Fund managers have a fiduciary responsibility to provide optimum benefits to members while keeping administrative costs to a minimum.  A fund that accumulates excessive reserves or expends large amounts for administrative costs does not achieve its basic goal of providing optimum benefits to members.  The trustees of these funds should evaluate how their funds could be better operated.

This report’s tables, exhibits, and appendices can be a starting point for fund trustees and administrators to identify areas for cost reduction or other appropriate action to ensure financial stability.  No conclusions should be drawn from any single exhibit in this report.  For example, even though an exhibit might show that a particular fund’s benefit expenses exceeded its revenues, it might not be a problem if the fund has sufficient or high reserves.  On the other hand, funds incurring high administrative costs relative to other funds of a similar size should review their costs carefully and reduce them whenever possible.

 

In addition, we identified other issues that should be addressed:

                Eligibility Delay

The intent of the standard benefit fund agreements between the City and the unions is that welfare fund benefits be available during each member’s entire period of employment with the City. Thus, the funds should make their members eligible for benefits beginning on their first day of employment with the City.  However, three funds (House Staff Committee of Interns and Residents Welfare Fund, Local 237 Teamsters Welfare Fund, and District Council 9 Painters Industry Welfare Fund) delay eligibility for their members to receive benefits for a maximum of 16 days, 30 days, and 90 days, respectively.  Consequently, members or their dependents who may be in need of benefits during the funds’ waiting periods are precluded from obtaining such benefits.  (It should be noted that subsequent to the scope of this review, House Staff Committee of Interns and Residents Welfare Fund and Local 237 Teamsters Welfare Fund began providing benefits on a member’s first day of employment beginning June 2009 and April 2010, respectively.)

                CPA Opinions

Directive #12 requires that all welfare, retiree, annuity, and affiliated funds receiving City contributions have their financial statements audited annually by certified public accountants.  Each audit must include a complete examination in accordance with generally accepted auditing standards, whereby an opinion is expressed on the financial statements taken as a whole.  Further, the fund agreements between the City and the unions require the preparation of each fund’s financial statements on the accrual basis of accounting and in conformance with generally accepted accounting principles (GAAP).  Of the 77 funds reviewed, 17 received adverse or qualified opinions from their independent auditors because their financial statements were not in compliance with GAAP.  Also, the CPA firm that audited the financial statements of Local 3 NYC Communications Electricians Annuity Fund indicated that it could not form an opinion on the amount of contributions available for benefits.  (The 17 funds as well as the specific issues raised in the CPA reports are detailed on pages 37 to 39 of this report.)

 

Consolidation of Professional Services

                Most funds receiving City contributions enter into contracts with various professional providers for services such as accounting-auditing and legal counsel.  Many funds use the same professional service provider for similar services. (Appendix D lists the funds using the same providers for similar professional services.)  Trustees of funds using the same providers for similar services may reduce their funds’ administrative expenses by negotiating future contracts jointly.

Late Submission of Directive #12 Reports

In 2008, 75 of the 113 funds (66.4 percent) in our analysis did not submit their Directive #12 reports in a timely fashion.  Comptroller’s Directive #12 requires that within nine months after the close of a fund’s fiscal year, each fund’s trustees must submit a report to the City Comptroller showing the fund’s condition and affairs during its preceding fiscal year.  The Directive #12 reports provide a basis for a timely comparative analysis of fund operations and for the identification of deviations from the norm.

Field Audits of Funds

In addition to analyzing Directive #12 submissions, the Comptroller’s Office periodically performs audits of the financial and operating practices of selected funds.  During Fiscal Years 1985–2010, the Comptroller’s Office issued 85 audit reports.  (These audits are listed in Appendix C.)

Recommendations

As a result of our analysis, we make the following nine recommendations:
               

  • Trustees of funds with high percentages of administrative costs to total revenue and/or low percentages of benefit expenses to total revenue should reduce administrative expenses and increase benefits to members.
  • Trustees of the insolvent fund and funds with low reserve levels should take steps to ensure that their funds remain solvent.  To accomplish this goal, funds should endeavor to reduce administrative expenses.  If this is not possible or does not provide sufficient funds to ensure solvency, the trustees should attempt to reduce costs associated with benefits.
  • Trustees of funds that are incurring significant operating deficits, particularly those with low reserve levels, should ensure that anticipated benefit and administrative expenses will not exceed projected total revenue.
  • Trustees of funds with high reserve levels, particularly those whose funds spend less than average amounts of their revenue on benefits, should consider enhancing their members’ benefits.
  • Trustees of funds that delay members’ eligibility for benefits beyond their first day of employment should revise their fund’s policy to comply with their union’s welfare fund agreement with the City.
  • OLR (Office of Labor Relations) should recover the portion of City contributions from those funds that do not provide benefits to members from their first day of employment.
  • OLR should use the information in this report to ensure that the trustees of the funds cited herein correct the conditions cited in adverse or qualified opinions received from their independent accountants.
  • Trustees of funds using the same professional service providers for similar services should consider jointly negotiating future contracts with these providers to reduce administrative expenses through economies of scale.  At a minimum, trustees should use the Comptroller’s prequalified list of CPAs for accounting and auditing services.
  • OLR should consider withholding City contributions from delinquent funds that failed to submit their Directive #12 to the Comptroller’s office.
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