On August 19th, the Third Circuit held that defendants did not breach their ERISA fiduciary duties by inadequately selecting a mix of investment options for the Unisys 401(k) plan, in which plaintiffs participated. The plan's directed trustee was immune from liability since it lacked discretion, took its directions from the plan, and did not participate in Unisys's selection of investment options. In light of the reasonable mix of investment options in the Unisys plan, the plaintiffs' factual allegations about Unisys's conduct did not support their claims. Renfro v. Unisys Corp.