Title: Update on Health Care Reform
1Update on Health Care Reform
- Sherry P. Porter
- 500 West Jefferson Street
- Suite 2800
- Louisville, KY 40202
- (502) 562-7560
-
2Disclaimer
- The information in the following slides
represents only an overview of the law, and is
not intended to cover all the fine points with
respect to any particular portion of the law or
its application to any particular person.
Accordingly, it is not intended to be legal
advice, which should always be obtained in direct
consultation with an attorney.
3Backdrop of Health Care Reform
- The U.S. has 47.9 million people who are
completely uninsured and another 25 million
people who are inadequately insured - More than three-quarters of the uninsured are in
a working family - Medicare projected to be bankrupt by 2016
- Healthcare spending as percentage of gross
domestic product in U.S. is almost twice that of
most other countries. If continues at same rate,
the Congressional Budget Office (CBO) projects it
will be close to 100 of GDP by 2082
Source Kaiser Family Foundation, Health
Coverage the Uninsured, www.kff.org (last
visited 3-30-13)
4History of Health Care Reform
- On March 23, 2010, the Patient Protection and
Affordable Care Act was signed by President
Barack Obama - Amended by the Health Care and Education
Reconciliation Act one week later. - Jointly called the Affordable Care Act.
-
Public Law 111-148, available from Government
Printing Office (GPO) at http//www.gpo.gov/fdsys
/pkg/PLAW-111publ148/pdf/PLAW-111publ148.pdf
Public Law 111-152, available from GPO at
http//www.gpo.gov/fdsys/pkg/PLAW-111publ152/pdf/P
LAW-111publ152.pdf
5Goals of ACA
- Three overriding goals
- Expanding the population of Americans covered by
health insurance and/or public health care
coverage, - improving the health care delivery system, and
- controlling the rising cost of health care.
- The CBO estimates the new health reform law will
provide coverage to an additional 32 million
people when fully implemented in 2019.
6Making Law is Like . . .
- 2,500 Pages
- More than 500,000 words
- Phasing in over 10 years
- Thousands of regulatory decisions left for the
future - We have to pass the bill so you can find out
whats in it -- Nancy Pelosi
7Affordable Care Acts Expanded Coverage
8Affordable Care Acts Expanded Coverage
9Expanded Healthcare Coverage
10Two Decisions Face State Government
- Expand Medicaid?
- Create health benefit exchange?
11Medicaid Expansion
- ACA expands Medicaid to all non-Medicare eligible
individuals under age 65 (children, pregnant
women, parents, and adults without dependent
children) with incomes up to 133 FPL (actually
138) - All newly eligible adults will be guaranteed a
benchmark benefit package that meets the
essential health benefits available through the
Exchanges - Supreme Court ruling gave states option whether
to expand Medicaid, but States mixed on whether
will expand
12Medicaid Expansion
13Health Insurance Exchange
- State can create exchange or default to federal
exchange - Each state can create an American Health Benefit
Exchange and a Small Business Health Options
Program (SHOP) Exchange for individuals and small
businesses - States must establish an office of health
insurance consumer assistance or an ombudsman
program to serve as an advocate for people with
private coverage in the individual and small
group markets - Federal grants available
14Nationwide Health Insurance Exchanges
15Individual Requirements under ACA
- U.S. citizens and legal residents must have
qualifying health coverage. Called the
Individual Mandate - Individual Mandate upheld by the Supreme Court
and, after most recent election, is here to stay - Must maintain minimum essential coverage
- There are some exceptions
- low income
- required contribution for self-only coverage for
a calendar year exceeds 8 of household income - hardship
- religious exemption
- . . . .
16Penalties Under Individual Mandate
- Those without coverage pay a tax penalty of the
greater of - Flat Dollar Amount (95 in 2014, 325 in 2015,
and 695 in 2016 and adjusted for inflation after
that, up to a maximum of three times that amount
per family) - Percentage of Household Income (1 of household
income in 2014, 2 in 2015, and 2.5 thereafter) - The penalty for noncompliance cannot exceed what
it would have cost to obtain insurance.
17Individual Subsidies
- Limited availability of premium credits and
cost-sharing subsidies through the Exchanges to
U.S. citizens and legal immigrants who meet
income limits - Premium and cost-sharing credits are available to
those with income between 133-400 of the federal
poverty level - Premium credits may be used to purchase insurance
through the Exchanges. - Set on a sliding scale based on income.
18Easier for Individuals to Obtain and Keep
Coverage
- Dependents covered until their 26th birthday
- No discrimination based on health status
- Guaranteed issue
- No pre-existing condition exclusions
- Limited rescissions
- Eligibility waiting periods longer than 90 days
prohibited - Reviews on premiums charged
19Additional Services Covered by Plans
- Full coverage for certain preventative care
- E.g., high blood pressure, diabetes and
cholesterol screenings, routine immunizations,
and evidence-based preventive care and screenings
for women - Abolishes annual and lifetime coverage caps for
medical care
20Grandfathered Plans
- Plans that existed on March 23, 2010 are exempt
from some of the laws consumer protections. - Can lose grandfathered status if
- Eliminates all or substantially all benefits to
diagnose or treat a particular condition - Increases participant's percentage cost-sharing
requirement - Increases co-payments by more than certain
amounts - In order to maintain such status, plans must
continually disclose to participants that it
believes it is a grandfathered plan and keep
documentation of this
21Medical Loss Ratios (MLRs)
- Insurers must spend a certain percentage of
premium dollars on eligible expenses instead of
overhead or profits to shareholders - Otherwise, it must pay a rebate
- An incentive to health insurers to either keep
premiums low or increase coverage
22Delayed until 2015Employer Pay or Play Mandates
- General Rule.
- The ACA imposes penalties on applicable large
employers who - fail to offer minimum essential coverage to 95
of their full time employees or - provide coverage that is either
- insufficient (i.e., the employer pays less than
60 of the cost), or - unaffordable
- resulting in employees choosing their own
coverage and receiving government subsidies.
23What Is an Applicable Large Employer?
- 50 or more full time equivalent employees
- Full time is defined as 30 or more hours per week
- To calculate total FTEs, add the following
- All employees who works at least 30 hours per
week (full time) PLUS - Total number of hours worked in a month by part
time employees (lt30 hours per week) divided by
120. - If 50 or more FTEs, then must offer coverage, but
only to full time employees - If less than 50 FTEs, then no obligation to offer
coverage - Tip Retain documentation of calculations
24Penalties for No Coverage
- An applicable large employer who offers no health
coverage will be subject to a penalty equal to
2,000 per year per employee after the first 30
employees
25Penalties for Insufficient or Unaffordable
Coverage
- Insufficient Coverage means employer does not pay
at least 60 of the total allowed cost under the
plan - Unaffordable Coverage means the employees
required contribution is more than 9.5 of the
employees household income and the employees
household income is under 400 of FPL -
26Penalties for Insufficient or Unaffordable
Coverage
- The penalty for inadequate coverage is 3,000 per
year for every employee who opts out of the
employers plan and gets government subsidized
coverage under the exchange plan subject to a
cap. -
-
The cap The total penalty for the employer
cannot exceed the overall penalty that would
apply if the employer offered no coverage at all
27Variable Employees
- Do not have to offer coverage to
- Seasonal employees
- Temps
- Leased employees
- Most issues arise with variable hour employees
- Measurement (Look Back) Period
- between 3 and 12 months
- defined by employer
- Stability Period
- at least 6 months
- cannot be shorter than Measurement Period
- Administrative Period
- optional 90-day time out after the Measurement
Period
28Important Points Regarding Penalties
- There is no penalty for these failures if you are
not a large employer - The penalties are not tax deductible
- Employer will be notified if any of its employees
are determined to be eligible for premium
assistance or cost sharing reduction
29(No Transcript)
30ATT Analysis
- 2009 Medical Costs
- for 283,000 Employees
- 2.4 billion
- Penalties if workers
- uninsured
- 600 million
3190-Day Waiting Periods
- ACA says no more than 90 days before an
individual is eligible to be covered for benefit
under group health insurance (employee can choose
to wait more than 90 days)
32Model Notices
- Employers must provide notice of health insurance
marketplace by October 1, 2013 (within 14 days
for new hires) - Sample notices from Department of Labor
- Cannot just print and send to employees need
specific employer information on notice - COBRA notice also revised
- Available on DOL website
33Non-Discrimination
- Health plan cannot favor highly-compensated
employees - Penalties
- Inadvertent Violations The employer is subject
to an excise tax of 100 per non-highly paid
employee per day. Calculated for each day the
plan fails testing. Cap of the lesser of
500,000 or 10 of the premium for the prior plan
year - Willful Violations Excise taxes plus additional
civil penalties - Enforcement for self-insured plans by DOL
- However, regulations defining such
discrimination have not been released thus,
this particular anti-discrimination provision
wont likely be enforced in 2014
34Employer Subsidies
- Small Business Tax Credit (25 or fewer employees)
- Certain small employers were eligible for tax
credit if they contribute at least 50 toward
their employees health insurance. - Available for small businesses that are both
for-profit (35 credit) and non-profit (25
credit). - NOTE Due to the sequester, effective 3/1/13,
small businesses, tax exempt under IRC 45R,
will have an 8.7 reduction in their refundable
small business tax credit through at least
9/30/13. - Smaller employers can participate in State
Exchanges. Once eligible, employer remains
eligible regardless of number of employees.
(After 2017, states may permit larger employers
in exchanges.)
35Retaliation Protections for Employees
Whistleblowers
- Employees may not be subjected to retaliation
for - Reporting violations of the ACAs consumer
protections, or cooperating in investigation or
prosecution of such violations - Note it could be an employer or insurer that
violates this protection - Receiving premium tax credits that expose their
employer to tax assessments for failing to
provide affordable or sufficient health coverage - A violation of these non-discrimination,
anti-retaliation provisions are treated as
violative of the FLSA - Employee complaints must be brought within 180
days before OSHA - Query will employers ACA-evasive conduct be
compliant?
36How Are We Going To Pay For This?
- Increase Medicare payroll tax for incomes that
exceed 200,000/250,000 - 40 excise tax on Cadillac plans (exceeds
10,200 / 27,500) - Reduce Medicare Advantage overpayments
- Reduce Medicaid drug cost
- Increase Medicare premiums for the wealthy
37How Are We Going To Pay For This? Cont.
- In 2014, annual fee on plans based on an
insurers net premiums (self-insured plans
exempt) - Industry fees
- Adjust payments to Medicare providers
- Reduce special payments to hospitals
- Employee and individual penalties
- Tanning bed taxes
38Legal Challenges to ACA
- NFIB v. Sebelius, Secy of HHS(decided 6/28/12)
- NIFBs Bottom Line ACA is mostly constitutional
- Individual Mandate Upheld (5 to 4)
- Taxing power sustains it (5 to 4)
- Interstate commerce does not (4 of 9)
- Only unconstitutional part - coercive Medicaid
expansion (7 to 2) - Remedy (fractured opinions)
- Strikes ACAs enforcement that threatens loss of
Medicaid funding if States dont expand (5 to 4) - Sustains ACAs offer of enhanced Medicaid
funding if States do expand (5 to 4)
39Legal Challenges to ACA Tax Subsidy Challenges
in States Refusing to Set up an Exchange
- Loophole in ACA
- Challenge to Federal Tax Subsidies for
individuals purchasing coverage in federally run
Exchanges - Could go to the SCOTUS in 2014 not likely until
2015 - Result not likely to cause repeal of the law
40Legal Challenges to ACA Contraception Mandate
- Numerous challenges
- Churches/denominational hierarchies
- Religious-affiliated, non-profit/tax-exempt
employers - For-profit businesses with owners having strong
religious objections - Religious Objections to abortifacients
anti-contraception meds
41Legal Challenges to ACA Contraception Mandate
Cont.
- New Regulations accommodate churches
religious-affiliated employers - Catholic Bishops still dissatisfied
- New Regulations do not accommodate for-profit
businesses - Will likely go to SCOTUS, but maybe not before
2015 - If successful, result not likely to strike the
law, only carve out religious objector exemption
42Other Interesting Legal Challenges
- Pacific Legal Foundations Challenge to the ACA
as a violation of the Constitutions
Origination Clause - The guts of the ACA were constructed in the
Senate, and substituted for a House bill (HR
3590) related to other topics - Origination clause requires tax bills to
start in the House
- Kentucky Health Benefit Exchange New Tea
Party challenge to Gov. Beshears establishing
by executive order an exchange for Ky.
43Health Care Reform is Here to Stay
- President Obama Re-Elected
- ACA (mostly) upheld in the Supreme Court
- More than 30 attempts to repeal all or part of
the law in Congress have failed
44Additional Resources
- Business Lexington articles on the Affordable
Care Act by Doug McSwain and Business First
article by Sherry Porter - http//wyattfirm.com/news-publications-civic-detai
l/the-latest-on-the-affordable-care-act - http//wyattfirm.com/news-publications-civic-detai
l/encouraging-health-care-competition-through-the-
aca - http//wyattfirm.com/news-publications-civic-detai
l/managing-the-acas-increased-demand-for-health-ca
re-services - http//wyattfirm.com/uploads/178/doc/ACA_What20Em
ployers20Need20to20Know20Before202014000000.p
df - Margaret Levis book on the Affordable Care Act,
The Impact of Health Care Reform on Kentucky
Employers, is available at the Kychamber.com/books
tore
45Questions?
46THANK YOU!
- Sherry P. Porter
- Wyatt, Tarrant Combs, LLP
- 500 West Jefferson Street, Suite 2800
- Louisville, KY 40202
- (502) 562-7560