Title: Healthcare Reform Legal Considerations for Employers
1Healthcare ReformLegal Considerations for
Employers
Isabella Lee, Esq. May 14, 2013
2Healthcare Reform (a.k.a.)
- Patient Protection and Affordable Care Act
(PPACA) - Affordable Care Act (ACA)
- Obamacare
3WhistleblowerProtections
4PPACA Whistleblower Protections
- ACA Protected Activity
- Reporting PPACA Title I violations
- Assisting or participating in an investigation of
such a violation - Receiving tax credit / cost-sharing reduction as
a result of participating in an Exchange or
Marketplace (i.e. pay-or-play penalty) - 180 days to file complaint
- Enforcement by OSHA
5PPACA Whistleblower Protections
- Adverse or retaliatory action may include
- Reducing pay or hours
- Firing or laying off
- Denying overtime or promotions
- Disciplining
- Denying benefits
- Failing to hire or rehire and
- Intimidating.
6Whistleblower Complaint Procedure
- Generally
- 60 day initial response to complaint
- Secy issues written findings
- 30 days to object and request ALJ hearing
- If none, order is final with no judicial review
- 120 days after hearing to issue final order
- 60 days to appeal to U.S. Court of Appeals
7Whistleblower Example
- Full- time employee status and the number of
employees are key factors in determining the
penalties - Employers incentivized to limit number of
full-time employees to reduce or avoid play or
pay penalties - Job eliminations / reduced hour employees may
turn to the whistleblower provisions
8PPACA Damages
- Reinstatement
- Restore benefits
- Back pay other compensatory damages
- All costs and expenses (including attorneys
fees) - If complaint frivolous, employer might be awarded
attorneys fees up to 1,000
Interim Final Rule Comments were due by April
29, 2013
9HIPAAWellness Programs
10HIPAA General Rule
HIPAA Nondiscrimination Rules prohibit ERISA
group health plans from discriminating based on a
health factor. Health factors include
- health status
- medical condition, including both physical and
mental illnesses - claims experience
- receipt of health care
- medical history
- genetic information
- evidence of insurability
- disability
11HIPAA Nondiscrimination Examples
Examples of impermissible discrimination based on
a health factor include
- requiring individuals to take a physical exam
before enrollment - charging different premiums or contributions
- charging different deductibles
- charging different co-pays
12HIPAA Outcome-based Exception
Five Requirements for Outcome-Based Incentives
- Promotes Health Disease Prevention
- Limited Reward / Incentive (20 participant
cost) - Offered to all Similarly Situated Individuals on
a voluntary basis - Reasonable Alternative
- Annual Qualification
13Wellness Program Incentives
- HIPAA Programs (i.e. incentives based on health
factor) - PPACA 30 in 2014
- Proposed Regulations 50 with tobacco-use
prevention component - Total Cost of Coverage (i.e. COBRA cost)
14PPACA Unanswered Questions
- Affordable Coverage requirement
- Minimum Value (60 of anticipated cost)
requirement
15Know YourPPACA Obligations
16PPACA Already in Effect
- Age 26 dependent coverage plan limits
pre-existing conditions - W-2 Reporting
- Summary of Benefits Coverage (SBC)
- FSA Limit at 2,500
- Amend cafeteria plans
17PPACA 2014 Provisions
- Employer Mandate Pay-or-Play
- Large employers with 50 FTEs
- Affordable / Minimum value coverage offered to
all full-time employees working 30 hours a week
95 ok - Employer Penalties
- no-offer penalty 2,000 per full-time
employee first 30 employees not counted - unaffordable penalty is the lesser of
- 3,000 x ( of full-time employees receiving
premium assistance minus excludable employees) - 2,000 x ( of full-time employee minus 30)
18PPACA Exchange Insurance
- Individuals and small employers can purchase
health insurance in a marketplace - Individual purchase through Exchange cannot be
made through cafeteria plan - not a qualified benefit under cafeteria plan
rules - States may allow large employers to purchase
insurance through an Exchange in 2017
19PPACA Exchange Notification
- Technical Release No. 2013-02 (5/8/13)
- Employer must notify all employees of the
availability of Exchanges by 10/1/13 - Model notice language issued
20PPACA Exchange Notification
- All employees, regardless of plan enrollment
status, or of part-time or full-time status. - Notice provided to current employees no later
than October 1, 2013 - Notice provided to new employees at the time of
hiring beginning October 1, 2013 (14 day window) - COBRA Model Notices New version to account for
Exchange option
21Waiting Period 90-day Limit
- Waiting period is the period that must pass
before coverage for a participant or dependent
who is otherwise eligible to enroll under the
terms of the plan can become effective - Eligibility conditions that are based solely on
the lapse of a time period are permissible for no
more than 90 days. - All calendar days must be counted, including
holidays and weekends, and the maximum waiting
period is 90 days.
22DOL Audit
23DOL Audit Increased Enforcement
- In 2012
- 239,250 individual employee complaints
- 3,566 civil investigations
- 2,570 (72.1) resulting in monetary results for
plans or other corrective action - 218 referred for litigation 100 civil cases
filed - Referrals, news reports, Form 5500s, random
- DOL to substantially increase the number of ERISA
plan audits
24DOL Audit Overview
- Notice of Audit
- Documents Request
- Onsite Interviews
- Follow-up Requests
- 10-day Letter
- Reply / Negotiation
25DOL Audit Preparation
- Call your lawyer
- Notify Applicable Insurance policies
- DO
- ERISA fiduciary coverage
26DOL Audit Preparation
- Know your plan document
- Actual plan operations follow plan document
- Plan document in compliance with laws and
regulations proper disclosures - Form 5500s are timely filed
- Timing of participant contributions
27DOL Audit Preparation
- Logistics of Investigators Onsite Visit
- Witnesses
- Interview Questions
28DOL Audit Advanced Planning
- Internal audit
- Legal review of plan documents
- Training
- Self-Correction Programs
- Voluntary Fiduciary Correction Program (VFCP)
- Delinquent Filer Voluntary Compliance Program
(DFVCP)
29You had the power all along, my dear
30Q A
31Contact Information
Isabella Lee Atlanta (404) 888-3811 ilee_at_fordharr
ison.com
32Agenda
- Whistleblower Provisions
- HIPAA Wellness Programs
- Know Your PPACA Obligations
- DOL Audit
- Q A
- Appendix
33Appendix Slides
34Pay or Play Penalty
- The ACAs play or pay rules generally apply to
employers with at least 50 full-time (or
full-time equivalent) employees beginning in
2014. - If an employer doesnt offer minimum essential
coverage to substantially all full-time employees
(and their dependents), then it is subject to a
penalty tax of 2,000 per year for each full-time
employee (minus the first 30) if at least one
full-time employee obtains federal tax credits or
subsidies to purchase health coverage through a
federal or state exchange. - Penalties also may be imposed if the coverage
doesnt provide minimum value or is
unaffordable. The penalty is 3,000 per full-time
employee for whom coverage is not affordable and
who receives a credit or subsidy in connection
with exchange coverage.
35FSA Annual Limit 2,500
- Previously no limit on FSA contributions
- Effective Jan. 1, 2013
- Action Steps
- Amend cafeteria plan documents and summary plan
descriptions - Passive enrollment considerations
36W-2 Reporting Requirements
- Reports the value of health care
- Non-taxable
- Effective beginning with W-2s issued in January
2013 - Employee assistance program (EAP), wellness
program, or on-site medical clinic?
- Small Employer Exception
- Fewer than 250 W-2s issued the prior year
37Summary of Benefits Coverage
- Simple and concise explanation of benefits
- Model SBC notice available
- Effective 1st day of the 1st OE / Plan Year
after Sept. 23, 2012 - 60-day notice rule
- Action Steps
- New hires or special enrollees NOW
- Ensure consistency between SBC and plan
documents amendments where necessary
38PPACA Individual Mandate Penalty
- Flat dollar amount or of taxable income,
whichever is greater - Flat dollar amount per individual is 95 in 2014
325 in 2015 and 695 in 2016. - of a households income that is in excess of
the tax filing threshold - 1 in 2014 2 in 2015 2.5 in 2016
39PPACA Individual Mandate Penalty
- EXAMPLE
- 2014
- 50,000 household income
- Flat fee penalty 95
- 1 of difference between 50,000 and tax
threshold - Assume tax threshold for 2014 is 10,000
- penalty 400
- Capped at a certain national average premium
amount
40Disclaimer
These presentation materials are provided as a
general informational service to clients and
friends of Ford Harrison LLP. It should not be
construed as, and does not constitute, legal
advice on any specific matter, nor do these
materials create an attorney-client relationship.