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Affordable Care Act (ACA) Updates and Strategies What Employers Need to Know for 2015 and Beyond. June 3, 2014. Agenda. Introduction Employer Penalties – Pay or Play Employer Responsibilities Affordability Minimum Value Future Considerations ACA Fees and Assessments Other Considerations
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Affordable Care Act (ACA) Updates and StrategiesWhat Employers Need to Know for 2015 and Beyond June 3, 2014
Agenda • Introduction • Employer Penalties – Pay or Play • Employer Responsibilities • Affordability • Minimum Value • Future Considerations • ACA Fees and Assessments • Other Considerations • Questions and Answers
Introduction • The “pay or play” provisions of the ACA will impact most “Applicable Large Employers” (ALEs) in 2015, generally on their health plan renewal date in 2015 • ALEs are employers whose total full time employees and full time equivalent employees (FTEs) are greater than 50 [100 for 2015 only] • There are two “Assessable Payments” (Penalties) for employers to consider – the “pay” ($2,000) or “play” ($3,000); neither are tax deductible
Employer Responsibility – Pay or Play • If an employer does not offer Minimum Essential Coverage (MEC) to 95% of its full time employees (30+ hours per week) [after a maximum 90 day waiting period], the employer is subject to an Assessable Payment • Update–The standard for applicable large employers is to offer minimum essential coverage to 70% of full-time employees and their dependents during their 2015 plan year, and this will increase to 95% for 2016 plan years and beyond
Employer Responsibility – Pay or Play • Assessable Payments of $2,000 annually [$166.67/month] per each full time employee • Calculation excludes first 30 full time employees • Update – For the 2015 plan year, the exclusion is 80 for applicable large employers with 100 or more full-time employees • In order for an Assessable Payment to be assessed, one full time employee must receive a premium credit or cost sharing reduction in the Marketplace
Employer Responsibility – Pay or Play [2015] • Example: If an employer does not offer Minimum Essential Coverage (MEC) to 70% of its full time employees and one full time employee receives a premium credit or cost sharing reduction in the Marketplace [exchange] • Assuming 100 full time employees for the entire year • 100 full time employees • less the 80 employee exemption equals • 20 full time Assessable employees x $2,000 = $40,000 • Penalty is not tax deductible
Employer Responsibility – Pay or Play • Minimum Essential Coverage (MEC) • An eligible employer-sponsored plan is any group health plan other than a plan that provides only excepted benefits (e.g., stand alone vision or dental, hospital or fixed indemnity) • MEC plans need to cover preventive services at 100% • Minimum Essential Coverage is not the same as Minimum Creditable Coverage (MCC) or Essential Health Benefits (EHB) or Minimum Value (MV)
Employer Responsibility – Pay or Play • Key Clarifications and Considerations • If Minimum Essential Coverage (MEC) is offered, must be offered to employees and “dependents” [children/adult children to age 26] – but no requirement to offer to spouse • Transition rules require compliance beginning with the first plan year that begins on or after January 1, 2015 • Generally if a health insurance plan was in place on February 9, 2014 [the date the regulations were issued], compliance begins first plan year that begins on or after January 1, 2015 • No plan changes can be made to further delay compliance
Employer Responsibilities [Play]: Affordability & Minimum Value
Affordability (IRS Notice 2011-73) • If an employer offers a health insurance plan to 95% or more of its full time employees (70% in 2015), it may also be subject to an Assessable Payment if: • The health insurance plan is unaffordable, or • The health insurance plan does not meet minimum value; and • One full time employee receives a premium credit or cost sharing reduction in the Marketplace [exchange] • Assessable payment of $3,000 [$250/month] per full time employee that is receiving premium tax credits or a cost sharing reduction
Affordability (IRS Notice 2011-73) • Only those employees receiving reductions/credits are assessable [Key difference from “Pay” penalty] • Total penalty amount limited to the “not offering” penalty • Example: An employer [100 ees] offers health insurance that is either unaffordable or does not meet minimum value and 5 full time employees receive premium credits or cost sharing reductions for the entire year • 5 employees x $3,000 = $15,000 • Penalty not tax deductible
Affordability (IRS Notice 2011-73) • Full time employees must be offered a health insurance plan that is “affordable”, or the employer could be subject to a $3,000 per employee penalty for each employee that receives a premium credit or cost sharing reduction in a public marketplace • Affordable – employee cost for a self-only health insurance plan is not greater than 9.5% of employee’s W-2 income on Box 1 (Total) • Gross income less pre-tax deductions
Affordability (IRS Notice 2011-73) • Lowest cost for self-only coverage is used • Can use a lower contribution if available for participation in a wellness plan – but only those related to tobacco use • No affordability requirement for non self-only coverage tiers (e.g., two person, family) • Affordability only an issue for employees who have a household income at 400% of the Federal Poverty Limit (FPL) or lower • Employer can not be penalized if it offers (or does not offer) an unaffordable or non minimum value plan to an employee with household income >400% of the FPL
Affordability (IRS Notice 2011-73) • Three safe harbors for affordability • Federal Poverty Limit (FPL) for an individual • Approximately $92 monthly for 2014 (cost for self-only coverage for lowest cost plan employee is eligible for) • Rate of Pay • Cost of Coverage can not exceed 9.5% of rate of pay x 130 hours for the month • W-2 Income (Box 1) • Annual income less pre tax deductions (e.g., 401k, medical, dental)
Minimum Value (IRS Notice 2012-31) • Full time employees must be offered a health insurance plan that has a “minimum actuarial value” of 60% or the employer could be subject to a $3,000 per employee penalty for each employee that receives a premium credit or cost sharing subsidy in a public marketplace [penalty works the same as Affordability] • Minimum Value - the plan’s share of the total allowed costs of benefits provided under the plan is 60 percent or greater of such costs
Minimum Value (IRS Notice 2012-31) • Methods for Determining Minimum Value • Health and Human Services (HHS) online Minimum Value (MV) or Actuarial Value (AV) calculators • Completion of a plan design checklist • Certification by an outside Actuary • Online calculator available at HHS website • Essential Health Benefits (EHB) or Minimum Essential Coverage (MEC) are not the same as Minimum Value (MV) requirements
Waiting Periods (IRS Notice 2012-59) • Public Health Service (PHS) Act section 2708, as added by the Affordable Care Act, provides that, in plan years beginning on or after January 1, 2014, a group health plan or group health insurance issuer shall not apply any waiting period that exceeds 90 days (90 days is NOT three months) • Waiting Period - the period that must pass … before the individual is eligible to be covered for benefits under the terms of the plan
Waiting Periods (IRS Notice 2012-59) • Waiting period will also be integrated into the determination of part time/full time employee status for variable hour employees • Waiting periods may also have to comply with non-discrimination provisions • Waiting periods are different than eligibility criteria • For example, attainment of a license, part time employees working a certain number of hours in a period of time before becoming eligible
Notices – Updates • On May 2, 2014 HHS updated COBRA and CHIPRA notices based on Marketplaces now being operational • New versions should be used going forward • COBRA: www.gol.gov/ebsa/cobra.html • CHIPRA: www.dol.gov/ebsa/compliance_assistance.html
Future Provisions • Employer Reporting in 2016 for coverage offered on or after January 1, 2015. Due February 28th [March 1 in 2016] or March 31st if filed electronically • Waiting period • Lowest cost employee premium for self only coverage • Whether the plan met Minimum Value (MV) • Employee information (name, address, ss#) • Months covered by the plan • Similar to 1099-HC for MA health care reform • Employer summary reporting required as well
Future Provisions • Employer Reporting Details • Fully insured checklist • Self-insured checklist
Future Provisions – (Delayed “Indefinitely”) • Automatic enrollment of employees in health plans • For employers with 200+ full time employees • Non-discrimination rules for fully-insured plans • Similar to existing Section 105(h) rules for self insured plans • This could eliminate different plans for different classes of employees • Already prohibited in Massachusetts under insurance regulations from its 2006 health care reform law
Cadillac Tax • Scheduled to be effective 2018 • 40% excise tax on the excess total premium over • $10,200 for self only coverage • $27,500 for family coverage • No guidance issued yet for other coverage tiers or payment methods and timing • Many plans at current rates and an 8% annual trend rate will exceed these limits • Example: 2014 rates of $625 self only and $1,690 family would reach the limit in 2018 at an 8% annual trend
PCORI Fees • ACA requires the payment of a Patient Centered Outcomes Research Institute (PCORI) fee for plan years that end after October 1, 2012 through 2019 [health plans] • $1.00 per average covered life (member) 10/13 • $2.00 per average covered life (member) 10/14 • Indexed in subsequent years • Paid by July 31st of following year (on IRS Form 720) • First payment was due July 31, 2013
PCORI Fees • For fully insured plans, fee paid by insurer (included in premiums) • For self insured plans, including Health Reimbursement Arrangements (HRAs) fee paid by plan sponsor (employer) • Health Reimbursement Arrangements (HRAs) • If coupled with fully insured plan – two fees • One paid by insurer, one paid by plan sponsor • If integrated with self-insured plan – one fee
PCORI Fees • In order for the “one fee” to apply for the self insured health plan and HRA • HRA and Health Plan must have the same plan year • HRA and Health Plan must be established by the same plan sponsor • HRAs set up by an employer who participates in a consortium or other joint purchase arrangement would need to pay a separate fee [consortium pays the other fee and includes in “premiums”} • For employers with fully insured plans and an HRA • “Covered Lives” can be employee or “participant” count, not member count
PCORI Fees • IRS Form 720 • http://www.irs.gov/pub/irs-pdf/f720.pdf • PCORI is on Line 133 under Part II • Enter # of covered lives and calculate the total due (fee is pre printed, although form needs to be updated)
Transitional Reinsurance Program Fees • ACA created a “Transitional Reinsurance Program” to stabilize premium rates during the period 2014-2016 • Payment for this program will come from insurers and Third Party Administrators (TPAs) [employers] • The 2014 fee will be $63 per member [covered life] per year • The 2015 fee will be $44 per member [covered life]per year • The 2016 fee has not yet been announced
Transitional Reinsurance Program Fees • For fully insured plans, fee paid by insurer (included in premiums) • For self insured plans, fee paid by plan sponsor (employer) • Health Reimbursement Arrangements (HRAs) that are integrated with a medical plan (fully or self insured) are exempt from this fee • Integrated – covers only those enrolled in the plan that meets ACA annual limit requirements
Transitional Reinsurance Program Fees • Self insured employers need to register with HHS • Health Insurance Oversight System (HIOS) and obtain a HIOS ID number • http://www.hhs.gov/cciio/gatheringinfo/index.html • Enrollment counts sent to HHS by November 15th • HHS sends invoice within 30 days or by December 15th, payment due 30 days from invoice • Payment made in two installments: • $52.50 in January 2015 [$33 in 2016] • $10.50 in late fourth quarter (Oct -Dec) 2015 [$11 in 2016]
Health Insurance Industry Assessments • Assessments on health insurers and certain dental insurers to pay for ACA implementation • $8 Billion total in 2014 • $14.3 Billion total in 2018 • Increases annually • Amount of carrier assessment is related to the individual carrier’s share of total premiums • Applies to fully insured plans only • Assessment is added to the premium rates • Assessments have ranged from 1.5% - 6% of premiums
Individual Responsibility – 2014 • Individuals are covered by Minimum Essential Coverage (MEC) health plan or pay a penalty • Annual individual penalty is the greater of $95 [flat dollar penalty capped at 3x for a family] or 1% of household taxable income for 2014 • Capped at the national average Bronze level premium • Penalty is assessed on federal tax return and either added to tax or subtracted from refund (similar to MA) • Employer/carrier reporting provides the backup
Determining Full Time Employees • Determination of “Full Time” employee • New Employees: at hire date, it can be reasonably determined the employee is expected to work an average of 30 hrs/week over the initial “Measurement Period” • Variable Hour Employee: at hire date, it can notbe reasonably determined the employee is expected to work an average of 30 hrs/week over the initial Measurement Period • Part Time Employee: An employee that is neither a Full Time or Variable Hour Employee • Special rules for measuring Variable Hour Employees
Determining Full Time Employees • Variable Hour Employees • Employers can utilize a “MeasurementPeriod” for new and ongoing Variable Hour Employees to determine Full Time status of the employee • Measurement Period can be between 3 and 12 consecutive months • Used to determine if employee averaged 30 hours per week and therefore considered “Full Time” for Assessable Payments or health insurance eligibility • Stability period must be equal to or greater than Measurement period
Questions and Answers Contact: Pat Haraden Longfellow Benefits pat_haraden@ajg.com www.lf-ben.com 617-351-6054