Advisory Opinions

Requests for interpretations and other rulings under Title 1 of ERISA are handled by the Office of Regulations and Interpretations under the provisions established by ERISA Procedure 76-1.  The office answers inquiries from individuals and organizations in the form of advisory opinions, which apply the law to a specific set of facts, or information letters, which merely call attention to well established principles or interpretations.

Data Dictionary

1996
AO/ Date/ Reference Recipient Description of Request
10/31/1996
3(40)

Mr. Harvey A. Kurtz 
Foley & Lardner
Firstar Center 
777 East Wisconsin Avenue
Milwaukee, Wisconsin 53202-5367

Whether the Health Care Provider Benefit Plans, Inc. Fringe Benefit Welfare Plan is established and maintained by a "group or association of employers" within the meaning ERISA section 3(5) and whether it is an “employee welfare benefit plan” within the meaning of ERISA section 3(1).

10/31/1996
3(33)

Ms. Michele Berman Golkow 
Ballard Spahr Andrews & Ingersoll 
1735 Market Street, 51st Floor 
Philadelphia, PA 19103-7599

Whether the Moorestown Friends School Pension Plan is a “church plan”, as defined in ERISA section 3(33), and therefore excluded from ERISA Title I coverage by ERISA section 4(b)(2).

10/23/1996
401(b)

Mr. Edwin M. Jones
Bentley, Mosher, Babson & Lambert, P.C.
20 Dayton Avenue
P.O. Box 788
Greenwich, Connecticut 06836-0788

Whether an employee benefit plan's investment in certain "pass-through certificates" representing interests in a trust would constitute "equity interests," as that term in used in the plan assets regulation (29 C.F.R. 2510.3-101) under ERISA.

10/07/1996
3(32)

Mr. John M. Griggs 
Executive Director
Kentucky Association of Counties 
380 King's Daughters Drive
Frankfort, KY 40601

Whether the status of the County Employees' Retirement System (CERS) as a “governmental plan” within the meaning of ERISA section 3(32) and ERISA section 4(b)(1) would be adversely affected if employees of Kentucky Association of Counties were permitted to participate in CERS.

09/30/1996
3(32)

Mr. Dennis E. Valentine 
Brauer, Buescher, Valentine, 
Goldhammer & Kelman, P.C. 
1563 Gaylord Street
Denver, Colorado 80206

Whether the City of Aurora Employees' Health Fund is excluded from Title I of ERISA as a “governmental plan” within the meaning of ERISA section 3(32).

09/30/1996
3(32)

Mr. Dennis E. Valentine 
Brauer, Buescher, Valentine, 
Goldhammer & Kelman, P.C. 
1563 Gaylord Street
Denver, Colorado 80206

Whether the Denver Fire and Police Health Fund is excluded from Title I of ERISA as a “governmental plan” within the meaning of ERISA section 3(32).

09/30/1996
3(33)

Ms. Barbara A. Breeding
Barbara Breeding & Associates, P.C. 
11811 North Freeway, Suite 225 
Houston, Texas 77060

Whether certain employee benefit plans sponsored by the Sisters of Charity of the Incarnate Word are “church plans” within the meaning of ERISA section 3(33) and thus excluded from the requirements of Title I by ERISA section 4(b)(2).

09/25/1996
3(33)

Ms. Sharon L. Klingelsmith 
Drinker, Biddle, & Reath 
1345 Chestnut Street 
Philadelphia PA 19107-3496

Whether certain benefit plans established by the Brook Lane Psychiatric Center, Inc. for its employees are “church plans” as defined in ERISA section 3(33) , and therefore excluded from ERISA Title I coverage by ERISA section 4(b)(2).

09/17/1996
3(33)

S. Howard Kline 
Buchanan Ingersoll.
One Oxford Centre
301 Grant Street, 20th Floor
Pittsburgh, PA 15219-1410

Whether the Retirement Plan for Employees of Mercy Providence Hospital and the Mercy Providence Hospital Group Health Plan are “church plans” within the meaning of ERISA section 3(33).

08/27/1996
3(1)

Mr. Scott J. Morris 
Assistant General Counsel 
Northwestern Mutual Life 
720 East Wisconsin Avenue
Milwaukee, Wisconsin 53202-4797

Whether the NML Employee Disability Income Plan is an “employee welfare benefit plan” within the meaning of ERISA section 3(1).