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Appalachian State University Local Government Alumni Association. September 6, 2013. Affordable Care Act Is Your Local Government Prepared?. Brad Roehrenbeck General Counsel Vice President Legal Services & Compliance.
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Appalachian State University Local Government Alumni Association September 6, 2013 Affordable Care ActIs Your Local Government Prepared? Brad Roehrenbeck General Counsel Vice President Legal Services & Compliance Proprietary information of MedCost, LLC. Do not distribute or reproduce without express permission of MedCost.
Part Part Part 1 2 3 Part 4 Overview & Recent Implementation Updates What Lies Ahead for 2014 2015: The Employer Mandate Questions
1 Overview and Recent HCR Implementation Updates Part
Goal #1: Patient Protection Measures • Elimination of annual & lifetime dollar limits • Retiree reinsurance • Coverage for adult dependents • Preventive care mandate (Adults, Women & Children) • Prohibition on rescissions • Nondiscrimination rules • Elimination of pre-existing condition exclusions (2014) • Guaranteed issue (2014) • Essential benefit coverage requirements (2014) • Coverage of clinical trials (2014) • Maximum waiting periods (2014) Goals of PPACA
Goal # 2: Access to Affordable Care • Individual mandate & tax credits • Employer mandate (pay or play) w/ affordability requirements • SHOPs & Small Business Tax Credit • Exchanges, CO-Ops, etc. • Community rating requirements • Medical Loss Ratio (MLR) • Transitional Reinsurance • Medicaid expansion • Outcomes-based healthcare delivery - ACOs, PCORI, etc. • Cost-sharing limits Goals of PPACA
Individual Mandate Challenge • Decisions from 4 Circuit Courts (11th, 6th, 4th, DC Circuits) • Record speed • Supreme Court Decision (Nat’l Fed’n of Ind. Bus. v. Sebelius) • Other Court Challenges • Contraceptive coverage requirement (Nonprofits & for-profits) • Tax credits through federal exchanges • Congressional efforts to repeal • Prime issue during election season • State battles – Exchanges & Medicaid expansion Legal Challenges to PPACA
State Exchange Decisions • 17 states – state-based exchange • 7 states – state-federal partnership • 27 default to federal exchange (FFE) • State Medicaid Expansion • 25 states expanding Medicaid • 22 states not expanding • 4 states still in ongoing debate Exchanges & Medicaid Expansion As of September 3, 2013 Source: Kaiser Family Foundation http://www.statehealthfacts.org
Exchanges & Medicaid Expansion As of April 1, 2013 Source: Kaiser Family Foundation http://www.statehealthfacts.org
2 Part What Lies Ahead for 2014
Notice: Employers to provide a Notice to employees about the Exchange by October 1, 2013 • Separate model notices for employers who do and do not offer coverage • NC/SC/VA/TN – Federally Facilitated Exchange Health Benefit Exchanges
PAGE 1 Health Benefit Exchanges
PAGE 2 Health Benefit Exchanges
PAGE 2 Health Benefit Exchanges
PAGE 3 Eligibility & Waiting Period Health Benefit Exchanges Minimum Value Affordability Plan Changes
PCORI Fee (Comparative Effectiveness Tax) • $2 per member assessment ($1 for 1st year) • Purpose: to finance Patient Centered Outcomes Research Institute (PCORI) • 3 calculation methods • HRAs, FSAs and Excepted Benefits • Key dates: • Effective: plan years ending on/after 10/1/12. • Payment deadline: July 31 for plans ending prior year • Sunset: plan years ending after 9/30/19 (7 years) Taxes & Fees
Transitional Reinsurance Program • Per-covered life assessment on all employer-sponsored health plans • 3 years beginning 2014 • $63 per covered life in 2014 (expected to decrease after 2014) • Covered Lives Calculation – similar to PCORI Assessment • Payable by Insurers/TPAs • Schedule: • Submit calculation to Government: November 15 • Notice from Government: by December 15, 2014 • First payment due January 2015 (30 days from notice) Taxes & Fees
Health Insurance Provider Fee (Insurer Fee) • Assessment on large insurers • Effect on premiums 1.9% - 2.3% Increase • Affects insurance market only Taxes & Fees
Maximum Incentives - Health-contingent Wellness • Maximum incentive increased from 20% to 30% (eff. 2014) • Tobacco cessation programs up to 50% • Reasonable Alternative Standard • If unable to meet usual standard due to medical reasons • Notice required • Health-contingent programs only (versus participatory programs) • Activity-only v. outcomes-based programs • Medical hardship v. failure to meet initial standard • Medical verification Wellness Incentives
No Pre-Existing Condition Limitation: Elimination of any limitation for pre-existing conditions for plan participants of any age. • Out-of-pocket Maximum: Annual out-of-pocket maximums may not exceed the amount applicable to coverage related to HSAs (2014 amounts are $6,350 for single coverage and $12,700 for family coverage).(Non-GF Only) • Clinical Trials: Plans will be required to cover routine costs of participation in clinical trials for qualified individuals. (Non-GF only) Other Provisions Effective On or After 01/01/2014
W-2 Reporting (starting 2012) • Coverage Reporting to IRS (to monitor mandates) • Delayed to at least 2015 • Quality of Care Reporting to Participants/HHS • Effective: 9/23/10. Implementing regulations pending • Non-GF Plans Only • Transparency in Coverage Reporting to HHS • Delayed to at least 2015 • Non-GF Plans Only Reporting
Rule – A group health plan may not apply a waiting period that exceeds 90 days • May impose other conditions on enrollment even if it may result in delay beyond 90 days • i.e. Minimum service hour requirement • Limitation – May not be intended to avoid compliance (1200 hr. requirement will raise red flag) 90-Day Waiting Period Limitation
Full Time Employees • Violation? • Employer subject to employer mandate penalty (up to $3,000/year per employee) • Penalty only applies to employees who do not receive coverage w/in 90 days • Effective date: Plan years on/after 1/1/14 90-Day Waiting Period Limitation
The Rule: • The ACA requires Individuals to obtain health insurance for themselves and their dependents beginning January 1, 2014. • The insurance must provide “minimum essential coverage” – i.e. , government plan, individual insurance policy, employer-sponsored health plan Individual Mandate
Enforcement: Non-compliance will result in a tax penalty • Amount of penalty: • 2014: Greater of $95 or 1% of household income (minus exemptions & deductions) • 2015: Greater of $325 or 2% of household income (minus exemptions & deductions) • 2016 and later: Greater of $695 or 2.5% of household income (minus exemptions & deductions) Individual Mandate
Subsidies: Financial assistance available for certain individuals • What kind of assistance is available? • Tax credits for some low-income individuals to subsidize purchase of insurance on the exchanges • Subsidies to reduce cost sharing (deductibles & co-payments) will also be available to some individuals • Who qualifies? • Low-income individuals whose household income is less than 400% of FPL. • Available only if coverage is purchased on the exchange • Effect of employer health plan • No tax credit or subsidy available if affordable coverage offered by the individual’s employer • “Affordable” = self-only employee premium for employer coverage is less than 9.5% of household income Individual Mandate
3 HCR 2015: The Employer Mandate Part
Three Basic Requirements for Applicable Large Employers: • Must provide: Minimum Essential Coverage • Coverage must be: Affordable • Plan must provide: Minimum Value Employer Mandate
What is an Applicable Large Employer? • 50 or more FT Equivalents • Full time = 30-hour work week • Fewer than 50 FTEs? Mandate doesn’t apply to you! Employer Mandate
Three Basic Requirements for Applicable Large Employers: • Must provide: Minimum Essential Coverage • Coverage must be: Affordable • Plan must provide: Minimum Value Employer Mandate
What is Minimum Essential Coverage? • Not clearly defined • Most existing plans expected to satisfy • “Minimum Essential Coverage” ≠ “Essential Health Benefits” • Essential Health Benefits – requirement for exchange/small-market insured products • Not required for employer-sponsored plans, but if a category is offered, must offer at no annual limit Employer Mandate
Three Basic Requirements for Applicable Large Employers: • Must provide: Minimum Essential Coverage • Coverage must be: Affordable • Plan must provide: Minimum Value Employer Mandate
What is Affordable Coverage? • Rule: premiums must be less than 9.5% of gross household income • Safe harbors: • Form W-2: annual premiums* < 9.5 % of W-2 wages • Rate of Pay: monthly premium* < 9.5% of monthly wages (hourly rate x 130) • Federal Poverty Line: premiums* < 9.5% of FPL (currently $90.96/mo.) • * Premiums – self-only coverage, lowest cost option Employer Mandate
Three Basic Requirements for Applicable Large Employers: • Must provide: Minimum Essential Coverage • Coverage must be: Affordable • Plan must provide: Minimum Value Employer Mandate
What plans provide Minimum Value? • Rule: Employer pays 60% of health plan expenses • 3 calculation methods: • IRS “Minimum Value Calculator” • IRS Design-Based Safe Harbor Checklists • Actuarial Certification Employer Mandate
What plans provide Minimum Value? • Does the employer get credit for… • HSA contributions? Yes • HRA credits? Yes • Wellness incentives? No, unless: • Tobacco usage incentives • All 2014 incentives Employer Mandate
Who must be offered coverage? Full-Time Employees • Full-time employees + dependents • Dependents of full-timers (up to 26) – including GF Plans • Spouses? Not required • Full-time Standard: • EE reasonably expected to average 30 hours a week = offer coverage Employer Mandate
Penalties: • (1) “Sledgehammer” Penalty: • Failure to offer coverage to 95% of FTEs • Amount - $2,000 per employee (minus 30) • (2) “Tackhammer” Penalty: • Employee receives subsidy to purchase coverage through the Exchange • Coverage offered BUT: • Unaffordable = $3,000 per employee who receives a subsidy • Below Minimum Value = $3,000 per employee who receives a subsidy Employer Mandate
Pay or play? • Mandate penalty ($1.94M for 1,000 employees) • Tax consequences • For employees – employer coverage pre-tax; exchange coverage not • For employer – coverage deductible; penalties are not • Sharp premium increases in individual market from: • Insurer Tax • Guaranteed issue & community rating • Risk profile of exchange population • Intangibles- talent attraction & retention, culture, productivity, morale Employer Mandate
Delay announced early July • Employer mandate (pay or play) delayed to at least 2015 • Reporting obligations to IRS & employees to monitor employer participation 1 Year Transition Relief for Employers
What other provisions might be impacted? • 90-day waiting period? • Other reporting obligations (i.e. quality of care reporting)? • Exchange subsidy applications? • Other 2014 implementation delays? 1 Year Transition Relief for Employers
County Employees • City Employees • Effective Date HB695/SB353 – Abortion Coverage