Agenda. Counting Hours Under the Final Rules. Counting Hours Under the Final

Size: px
Start display at page:

Download "Agenda. Counting Hours Under the Final Rules. Counting Hours Under the Final"

Transcription

1 Counting Hours Under the Final Rules COMPLIANCE CONSULTING MARCH 2014 Agenda Refresher Cl Calculating lti Hours of Service Identifying Full Time Employees Monthly Measurement Method Look Back Method Special Issues 2 1

2 REFRESHER 2014 GALLAGHER BENEFIT SERVICES, INC. 3 Penalty Triggers Failure to offer coverage (i.e., triggers the $2000 annualized penalty) Must offer to 95% of all full time employees in 2015 (70% in 2015) Must offer coverage to children (except foster and step children) (but not spouses) Must have annual opportunity to accept or decline coverage (unless affordable using federal poverty line safe harbor) Failure to offer affordable coverage (i.e., triggers the $3000 annualized penalty) Employee only coverage cost to employee must not exceed 9.5% of employee s compensation Failure aueo to offer coverage oeagethat provides po minimum value aue( (i.e., triggers the $3000 annualized penalty) Plan must pay for at least 60% of cost of benefits NOTE: Only full time employees may trigger penalty and count toward penalty calculation 4 2

3 Employee Categories Full time employee Hired to work at least 30 hours per week or 130 hours per month Part time employee Hired to work less than average of 30 hours per week Variable hour employee As of the date of hire, employer cannot reasonably determined average hours May be full time employee 5 Employee Categories Seasonal employee Not limited to agricultural or retail workers Under recent guidance, a seasonal employee is an employee who is in a position for which the customary annual employment is 6 months or less The period of employment should generally begin in the same part of the year each year (e.g., summer or winter) An employee can still be considered d seasonal if the employment period extends beyond customary duration (e.g., ski instructors during a long snow season) 6 3

4 Full-Time Employee Determination Must pigeon hole employees into one of four categories Full time Part time Variable hour Seasonal Determine status based upon hours of service 7 HOURS OF SERVICE 2014 GALLAGHER BENEFIT SERVICES, INC. 8 4

5 Hour of Service For hourly employees, hours of service include: Hours Worked Each hour for which the employee is paid, or entitled to payment, for the performance of duties ; and Paid Time Off Each hour for which the employee is paid, or entitled to payment, due to (1) vacation, (2) holiday, (3) illness, (4) incapacity (including disability), (5) layoff, (6) jury duty, (7) military duty, or (8) leave of absence 9 Hour of Service For non hourly employees, hours of service may be calculated using one of three possible methods: Actual Hours Count actual hours of service worked from records, as well as other non worked hours for which he or she is paid, or entitled to payment Days Worked Equivalency Credit 8 hours of service per day for each day for which the employee would be credited d with at least one hour of service Weeks Worked Equivalency Credit 40 hours of service per week for each week for which the employee would be credited with at least one hour of service 10 5

6 Hours of Service Non Hourly Employees Days worked equivalency Employees are credited with eight hours of service for any day during which the employee would be due one hour of service for an actual hour worked or for which payment is due e.g., if the employee worked for one hour on Monday, the employee would be credited with eight hours of service for Monday EXAMPLE: Julia is a home health care worker. She makes home visits on Monday, Tuesday, and Thursday. If she works one hour on each day, she is credited with twenty-four hours of service for that week GALLAGHER BENEFIT SERVICES, INC. 11 Hours of Service Non Hourly Employees Weeks worked equivalency Employees are credited with forty hours of service for each week in which the employee would be due one hour of service for an actual hour worked or for which payment is due (e.g., if the employee worked for one hour on Monday, the employee would be credited with forty hours of service for that week) EXAMPLE: Jonathon is a salaried retail manager. If he works one hour on Monday, he is credited with forty hours of service for the entire week. Jonathon works at least one hour on Monday for each of three weeks and one week of paid vacation. He would be credited with 160 hours for that four week period GALLAGHER BENEFIT SERVICES, INC. 12 6

7 Hours of Service No requirement to use the same method for all non hourly employees May apply different methods for different categories of nonhourly employees, provided the categories are reasonable and consistently applied No requirement to apply the same methods as other members of a controlled so long as the categories are reasonable and consistently applied by the controlled group member May change the method of calculating the hours of service of non hourly employees (or of one or more categories of non hourly employees) for each calendar year 2014 GALLAGHER BENEFIT SERVICES, INC. 13 IDENTIFYING FULL-TIME EMPLOYEES 2014 GALLAGHER BENEFIT SERVICES, INC. 14 7

8 Identifying Full-Time Employees Final regulations require use of one of two methods to identify fulltime employees Monthly measurement method Look back method 15 MONTHLY MEASUREMENT METHOD 2014 GALLAGHER BENEFIT SERVICES, INC. 16 8

9 Monthly Measurement Method Monthly measurement method Must count the employee s hours of service each calendar month No penalty for the first three months for new employee if the employee is not eligible due to a waiting period But coverage must be provided no later than the first day of the first month following that three month period EXAMPLE: If an employer hires an employee on March 1 and the employee averages 130 hours per month for March, April and May, the employer will not be subject to a penalty if the employee is offered coverage as of June 1 of that same year under the monthly measurement method. 17 Monthly Measurement Method Employers may use successive one week periods to determine an employee s status for a calendar month under the weekly rule Under the weekly rule, full time status is based on hours of service over four week periods for certain months and five week periods for other months For calendar months calculated using a four week period, an employee with at least 120 hours of service will be considered as full time for that month For calendar months with five week periods, an employee with at least 150 hours of service will be considered to be a full time employee for that month The period measured for each month must include either the week that includes the first day of the month, or the week that includes the last day of the month, but not both 2014 GALLAGHER BENEFIT SERVICES, INC. 18 9

10 Monthly Measurement Method Employer Y uses weekly method Sunday Saturday Includes first, excludes last January 2016 Sun Dec 27, 2015 End Sat Jan 30, weeks = 150 hours Feb 2016 = 4 weeks = 120 hours Monthly Measurement Method Rehired employees Period of at least 13weeks (26weeks for academic employer) during which no hours of service credited If employment terminated, employee may be treated as a rehired employee (and thus a new employee) upon resumption of services instead of a continuing employee if the period without credit for an hour of service is greater than 13 weeks 2014 GALLAGHER BENEFIT SERVICES, INC

11 Monthly Measurement Method Employee works for Employer A Begins 2/1/16 Terminates 12/31/16 Employee works for Employer B Begins 1/1/17 Terminates 12/31/17 Rehired by Employer A on 1/1/18 May be treated as a new (rather than continuing) employee on 1/1/18 May be subject to applicable waiting period Nopenalty ifaffordable, minimum value coverage offered at the end of any applicable waiting period 2014 GALLAGHER BENEFIT SERVICES, INC. 21 Monthly Measurement Method Continuing employees If period of less than 13 weeks (26 weeks for an academic institution) without credit for an hour of service, the employee will be treated as a continuing employee instead of a rehired employee The employer must offer coverage as of the first day that the rehired employee is credited with an hour of service, orif later, as soonasadministratively administratively practicable Providing coverage on the first day of the calendar month following the day the employee first received credit for an hour of service would satisfy this rule 2014 GALLAGHER BENEFIT SERVICES, INC

12 Monthly Measurement Method Rule of Parity An employee may be treated as terminated and rehired as a new employee if the employer under Rule of Parity Must use a period of at least four consecutive weeks during which the employee is not credited with an hour of service, and the period without any hours of service credited is longer than the period (i.e., the number of weeks) ofthat employee speriodofemploymentwith period of employment the applicable large employer, but is shorter than 13 weeks (26 weeks for an academic institution employer) 2014 GALLAGHER BENEFIT SERVICES, INC GALLAGHER BENEFIT SERVICES, INC

13 Monthly Measurement Method Special Unpaid Leave and Employment Breaks The averaging method for special unpaid leave and employment break rules (for academic institutions) do not apply under the monthly measurement method, even if the employer is an academic institution The reason for this rule is that the monthly measurement period does not average hours of service over a particular periodof of time, but instead determines hours of service for a particular month 2014 GALLAGHER BENEFIT SERVICES, INC. 25 Monthly Measurement Method Changes in employment status If an employee moves from a position that was not eligible for benefits into a position that is, the employer will not be subject to a penalty for the months the employee was not offered coverage IF the employer provides coverage no later than the first day of the first full calendar month following the period of three full calendar months after the change in position 2014 GALLAGHER BENEFIT SERVICES, INC

14 Monthly Measurement Method Employer Z hires Employee A 1/1/16 12/31/16 Not in eligible class Averages 20 hrs/wk all of 2016 Employee A Promoted on 1/1/17 to eligible ibl class Averages 40 hrs/wk in day waiting period Employee A offered affordable, minimum value coverage on 4/1/17 January March 2017 Coverage offered to eligible class is affordable and minimum value Coverage offered day after end of waiting period (91 st day) No penalty for Jan, Feb and March GALLAGHER BENEFIT SERVICES, INC. 27 LOOK-BACK METHOD 2014 GALLAGHER BENEFIT SERVICES, INC

15 If an employer does not use the monthly measurement methodto to calculate employees hours of service, the employer must use the look back measurement method The look back method uses measurement periods to determine the average number of hours of service for periods ranging from three months to twelve months It uses stability and administrative periods to determine when penalties might apply if coverage is not offered 2014 GALLAGHER BENEFIT SERVICES, INC. 29 The look back method uses safe harbors for variable hour, seasonal, and part time employees Measurement Period (MP) Allows employers an opportunity to look back at the hours worked by an employee to determine health plan eligibility or continued eligibility Administrative Period (AP) An optional period used by the employer to perform administrativeduties duties related to countinghours and, where applicable, making an offer of coverage Stability Period (SP) The period following a measurement period (and AP, if applicable) during which employees determined to average 30 hours per week during a Measurement Period, are offered coverage 30 15

16 Ongoing employees Those employees who have been employed for at least one Standard Measurement Period are ongoing employees Proposed regulations addressed ongoing employees in the context of variable hour and seasonal employees Final regulations have much broader application Use standard Measurement Period, standard Administrative Period, and standard Stability Period 2014 GALLAGHER BENEFIT SERVICES, INC. 31 Ongoing employees If an employee is determined to have averaged at least 30 hours per week during a Standard Measurement Period, that employee is entitled to treatment as a full time employee for the following stability period so long as he or she remains employed, regardless of the number of hours worked If an employee is determined not to average at least thirty t hours per week during a Standard d Measurement Period, the employer may treat the employee as not a full time employee for the following Standard Stability Period 2014 GALLAGHER BENEFIT SERVICES, INC

17 Ongoing employees The Standard Measurement Period may be a period from three to twelve months long If an employer chooses a twelve month Standard Measurement Period, the employer may use the calendar year, a non calendar year plan year, or a different twelvemonth period that ends prior to the start of the employer s annual enrollment period 2014 GALLAGHER BENEFIT SERVICES, INC. 33 Ongoing employees For employees determined to be full time during a Standard Measurement Period, coverage must begin as of the first day of the new Standard Stability Period, which must begin immediately following any Standard Administrative Period The Administrative Period must immediately follow the Standard Measurement Period and can be no longer than 90 days The Standard Stability Period cannot be shorter than the Standard Measurement Period and must be at least six months in duration 2014 GALLAGHER BENEFIT SERVICES, INC

18 Ongoing employees EXAMPLE: ACME, Inc. has 200 full-time and equivalent employees and must comply with the employer mandate as of It implements a 12 calendar month Standard Measurement Period. The goal is to coincide the Standard Administrative Period with open enrollment (beginning November 1 each year). ACME, Inc. chooses to begin its Standard Measurement Period each October 15 and end it on the following October 14. ACME, Inc. establishes its Standard Administrative Period as October 15 through December 31 of each year. Then, it sets its Standard Stability Period to provide a coverage effective date of January 1 (the beginning of its plan year) through December 31 of that same year. 35 Look-Back method 12-month Standard Measurement Period 77 Day Standard Administrative Period 10/15/13 10/14/14 measurement period 10/15/14 12/31/14 administration period 10/15/14 10/14/15 measurement period 10/15/15 12/31/15 administration period 10/15/15 10/14/16 measurement period 10/15/16 12/31/16 administration period 1/1/15 12/31/15 stability period 1/1/16 12/31/16 stability period 1/1/17 12/31/17 stability period

19 Ongoing employees determined to be full time during the Standard Measurement Period are entitled to coverage during the full Stability Period regardless of their hours, provided they remain employed and pays contributions Ongoing employees determined NOT to be full time during the Standard Measurement Period are not entitled to coverage during the Stability Period But their hours will be reviewed again at the end of the next standard measurement period 37 New non variable hour, non seasonal employees If a new non variable hour, non seasonal employee within a category of employees (e.g., hourly employees) for whom the employer has decided to use the look back method is reasonably expected at the start of his or her employment to be a full time employee, the employee s initial status is determined based upon the hours of servicefor each calendar month EXAMPLE: An employer hires an employee who is reasonably expected to work 40 hours per week, then the employer will classify that employee as a full-time employee and offer coverage under the regular eligibility rules for new employees (e.g., impose a 30-day waiting period before coverage begins) GALLAGHER BENEFIT SERVICES, INC

20 Treatment of New Variable Hour, Seasonal, and Part TimeEmployees under the Look Back Method Determination as to whether a new employee is a fulltime employee is based upon facts and circumstances such as: Whether the employee is replacing an employee who was (or was not) a full time employee, The extent to which employees in the same or comparable positions are or are not full time employees, and Whether the job was advertised (or otherwise communicated) as requiring hours of service that would average 30 or more (or less) hours per week 2014 GALLAGHER BENEFIT SERVICES, INC. 39 Treatment of New Variable Hour, Seasonal, and Part TimeEmployees under the Look Back Method Initial Measurement Period of no less than 3 and no more than 12 consecutive months Must begin on the employee s start date or on any date up to and including the first day of the first calendar month following the employee s start date (or on the first day of the firstpayroll period starting on or after the employee s start date, if later) 2014 GALLAGHER BENEFIT SERVICES, INC

21 Treatment of New Variable Hour, Seasonal, and Part TimeEmployees under thelook Back Method EXAMPLE: Employee K is hired on June 15, To simplify its administrative process, K s employer decides to begin K s Initial Measurement Period on July 1, K s Initial Measurement Period will run from July 1, 2017 until June 30, The final regulations do not permit employers to use the monthly measurement methodfor one subcategory of employees and the look back method for another This means that employers cannot apply the monthly measurement method to non variable hour hourly employees and the look back method to variable hour hourly employees Small exception for when non variable hour, nonseasonal employees are initially hired 2014 GALLAGHER BENEFIT SERVICES, INC

22 New non variable hour, non seasonal employees When first hired, employer will use monthly measurement method to determine status as full time employee until beginning of Standard Measurement Period EXAMPLE: ACME Grocers hired Employee M on June 1, 2015 as a cashier regularly scheduled to work 35 hours per week. ACME Grocers has 20 cashiers who work at least 35 hours per week and 25 cashiers who hours vary each week. ACME Grocers uses a Standard Measurement Period from October 15, 2015 through October 14, 2016 to determine the status of its variable hour cashiers. This means that if M is still employed on October 15, 2015, ACME Grocers must apply the measurement and stability period rules to determine if M is a full time employee GALLAGHER BENEFIT SERVICES, INC. 43 Employers may use different measurement, administrative, and stability periods for different categories of employees, but only so long as those categories fall within one of the following: (A) Collectively bargained employees and non collectively bargained employees, (B) Each group of collectively bargained employees covered by a separate collective bargaining agreement, (C) Salaried employees and hourly employees, and (D) Employees whose primary places of employment are in different States 2014 GALLAGHER BENEFIT SERVICES, INC

23 Treatment of New Variable Hour, Seasonal, and Part TimeEmployees under the Look Back Method If the new variable hour, seasonal, or part time employee works on average at least 30 hours per week during the Initial Measurement Period, the employee will be considered to be a full time employee for the following Initial Stability Period The Initial lstability Period must be the same length as the Standard Stability Period, but may not be less than 6 months 2014 GALLAGHER BENEFIT SERVICES, INC. 45 Treatment of New Variable Hour, Seasonal, and Part TimeEmployees under thelook Back Method EXAMPLE: ACME, Inc. has 200 full-time and equivalent employees and must comply with the employer mandate as of It implements a 12-month initial Measurement Period. It will begin its initial Administrative Period on the first day of the calendar month following the date of hire, and it will last one month. ACME, Inc. will also adopt a 12-month initial Stability Period. Employee J is hired on March 14,

24 Employee 3/14/16 DOH 12-month measurement period 1-month administrative period Initial Measurement Period 4/1/16 3/31/17 1 month Administrative Period (4/1/17 4/30/17) Initial Stability Period 5/1/17 4/30/ Treatment of New Variable Hour, Seasonal, and Part TimeEmployees under thelook Back Method EXAMPLE: ACME, Inc. has 200 full-time and equivalent employees and must comply with the employer mandate as of It implements a 12-month initial Measurement Period. It will begin coverage as of the first day of the calendar month following the date of hire. The initial Administrative Period will last one month. It will also adopt a 12-month initial Stability Period. Employee L is hired on March 14,

25 Employee 3/14/16 DOH 12-month measurement period 1+ month administrative period Initial Measurement Period 3/14/16 3/13/17 Initial Stability Period 5/1/17 4/30/18 1+ month Administrative Period (3/14/17 4/30/17) Transition from new employee to ongoing employee Requires inclusion in Standard Measurement Period This results in some overlap in measurement periods Regardless of whether the new employee met the full time requirement during the Initial Measurement Period or not 50 25

26 Acme Inc. 12 month initial measurement period (IMP) Begin 1 st of month after hire End day before 1 st year anniversary 12 month initial stability period (ISP) Standard periods Measurement period = Oct 15 Oct 14 Administrative period = Oct 15 Dec 31 Stability period Jan 1 Dec 31 Employee P is hired on March 14, GALLAGHER BENEFIT SERVICES, INC. 51 Employee 3/14/16 DOH Potential length of coverage if determined to be full-time employee during Initial Measurement Period AND Standard Stability Period 5/1/17 12/31/18 Initial Measurement Period 4/1/16 3/31/17 Initial Stability Period 5/1/17 4/30/18 1-Month Administrative Period (4/1/17 4/30/17) Standard Measurement Period 10/15/16 10/14/17 Standard Stability Period 1/1/18 12/31/18 Administration Period (no longer than 90 days)

27 Employee 3/14/16 DOH Coverage terminates on 4/30/18 Initial Measurement Period 4/1/16 3/31/17 Initial Stability Period 5/1/17 4/30/18 1-Month Administrative Period (4/1/17 4/30/17) Standard Measurement Period 10/15/16 10/14/17 Standard Stability Period 1/1/18 12/31/18 Administration Period (no longer than 90 days) Rehired employees Under the final regulations, if an employee has a period of at least 13 weeks (26 weeks for an employee of an academic institution) during which no hours of service were credited for that employee, then that employee may be treated as a rehired employee rather than a continuing employee upon resuming services for the employer Employer may begin a new Initial Measurement Period Periods shorter than 13 weeks (26 weeks for academic institution) without credit for any hours of service are considered to be breaks in employment Employees who do not qualify as rehired employees under these guidelines will be considered to be continuing employees 2014 GALLAGHER BENEFIT SERVICES, INC

28 Rehired employees Anemployer that is not an academic institution must either: Determine an employee s average hours of service for a measurement period by computing the average after excluding any special unpaid leave (defined as unpaid leave for FMLA, USERRA, or jury duty) during that measurement period and by using that average as the average for the entire measurement period, or Choose to treat the employee as credited with hours of service for any periods of special unpaid leave during that measurement period at a rate equal to the average weekly rate at which the employee was credited with hours of service during the weeks in the measurement period that are not part of a period of special unpaid leave 2014 GALLAGHER BENEFIT SERVICES, INC. 55 Rehired employees An employer that is an academic institution must either: Determine an employee s average hours of service for a measurement period by computing the average after excluding any special unpaid leave and any break in employment due to a closure of the institution (such as a summer break) during that measurement period and by using that average as the average for the entire measurement period, or Choose to treat the employee as credited with hours of service for any periods of special unpaid leave during that measurement period at a rate equal to the average weekly rate at which the employee was credited with hours of service during the weeks in the measurement period that are not part of a period of special unpaid leave An academic institution employer is not required to exclude (or credit) more than 501 hours of service for employment breaks and leave combined 2014 GALLAGHER BENEFIT SERVICES, INC

29 Continuing Employees Employeeswho aretreated as continuing employees (and not rehired employees) will retain the status held during an applicable stability period prior to the break in service immediately preceding their return to work 2014 GALLAGHER BENEFIT SERVICES, INC. 57 Continuing Employees Must be offered coverage upon resumption of services for the employer Upon resumption of services means that the employer must offer coverage as of the first day that the employee is credited with an hour of service or, if later, as soon as administratively practicable The first of the month following the date the employer is credited with an hour of service would satisfy the administratively practicable requirement If an employee returns during a stability period for which the employee previously declined coverage, the employer will not be required to make a new offer of coverage, but will be considered to have offered coverage for the remainder of the applicable stability period 2014 GALLAGHER BENEFIT SERVICES, INC

30 Rule of Parity Employers may also apply a rule of parity when determining if an employee is a rehired or continuing employee Employers must choose a period, measured in weeks, of at least four consecutive weeks during which the employee was not credited with any hours of service that exceeds the number of weeks of that employee s period of employment with the applicable large employer immediately preceding the period and that is shorter than 13 weeks (for an employee of an educational organization employer, a period that is shorter than 26 weeks) 2014 GALLAGHER BENEFIT SERVICES, INC GALLAGHER BENEFIT SERVICES, INC

31 Changes in employment status If an employee begins employment as a seasonal or variable hour employee and has a change in position during his initial measurement period that, if the employee had originally been hired in that position, would have made him a full time employee, the employer would not be subject to an employer shared responsibility penalty until the first day of the fourth calendar month following the change in employment status if the employer provides coverage at the end of that period, or if earlier, on the first day of the first month following the initial iti measurement period (if the employee was determined to be a full time employee based upon the initial measurement period) 2014 GALLAGHER BENEFIT SERVICES, INC GALLAGHER BENEFIT SERVICES, INC

32 Change in Employment Status EXAMPLE: If a variable hour employee is hired on January 2, 2016 and thus has an initial measurement period running from January 2, 2016 through January 1, 2017, but is promoted to a full time position in July 1, 2016 during the initial measurement period, the employer would be required to offer coverage with minimum value as of the first day or the fourth month following the change in employment status or the end of the Initial Measurement e e and Administrative Periods. This means that atthe employer must offer coverage by November 1, 2016 in order to avoid a 4980H penalty. Due to the limitation under PPACA regarding the length of waiting periods, the employer could not impose a waiting period longer than 90 days GALLAGHER BENEFIT SERVICES, INC GALLAGHER BENEFIT SERVICES, INC

33 SPECIAL ISSUES 2014 GALLAGHER BENEFIT SERVICES, INC. 65 Special Issues On Call Hours Under Department of Labor standards, an employee who is required to remain on his or her employer s premises or so close thereto t that t he or she cannot use the time effectively for his or her own purposes is working while on call Until further guidance is issued, employers of employees who have on call hours are required to use a reasonable method for crediting hours of service that is consistent with section 4980H Employers must credit an employee with an hour of service for any on call hour for which: Payment is made or due by the employer, The employee is required to remain on call on the employer s premises, or The employee s activities while remaining on call are subject to substantial restrictions that prevent the employee from using the time effectively for the employee s own purposes 2014 GALLAGHER BENEFIT SERVICES, INC

34 Special Issues Foreign employment Hours of service do not include hours for which an employee receives compensation that is taxed as income from sources outside the United States When an employee transfers to a foreign applicable large employer from a domestic employer within the same controlled group, the employee may be treated as having terminated employment by the domestic employer for the look back measurement and monthly measurement methods, but only if: (1) the foreign position is anticipated to continue indefinitely or for at least 12 months, and (2) substantially all of the compensation received following the transfer is treated as foreign source income 2014 GALLAGHER BENEFIT SERVICES, INC. 67 Special Issues Bona fide volunteers An hour of service does not include any hour of service performed by a bona fide volunteer or members of a religious i order who have taken a vow of poverty e.g., a volunteer firefighter or emergency medical provider who receives expense reimbursements or a member of the Order of St. Francis Bona fide volunteers include any volunteer who is an employee of a government entity or an organization described in section 501(c) that is exempt from taxation under section 501(a) whose only compensation from that entity or organization is in the form of: (i) reimbursement for (or reasonable allowance for) reasonable expenses incurred in the performance of services by volunteers, or (ii) reasonable benefits (including length of service awards), and nominal fees, customarily paid by similar entities in connection with the performance of services by volunteers 2014 GALLAGHER BENEFIT SERVICES, INC

35 Special Issues Adjunct Professors Untilfurther guidanceisis issued, theirs has indicatedthatacademicthat academic institutions who compensate adjunct faculty members based on the number of courses assigned or credit hours assigned may use a reasonable method for crediting hours of service Under one specific method recognized as reasonable in final regulations, an academic institution to credit an adjunct faculty member with 2.25 hours of service per week for each hour of classroom teaching time and preparation p time AND one hour of service each week for each additional hour outside of the classroom spent for performing required duties such as maintaining office hours for consultations with students or attending faculty meetings 2014 GALLAGHER BENEFIT SERVICES, INC. 69 Special Issues Student Employees All hours of service for which a student employee of an educational organization (or of an outside employer) is paid or entitled to payment in a capacity other than through a federal work study program (or a state or local government s equivalent) are required to be counted as hours of service for section 4980H purposes Mayexclude hours of servicefor interns orexterns who do not receive, nor are entitled to receive payment for services But paid hours of service will count as hours of service 2014 GALLAGHER BENEFIT SERVICES, INC

36 Action Steps Determine effective date for employer mandate Identify types of employees Select measurement method(s) If look back, determine which categories to use Determine process for tracking hours If eligibility changes coordinate with carrier/tpa/stop loss Monitor developments 2014 GALLAGHER BENEFIT SERVICES, INC. 71 HRCI Approval Pending This program is being submitted for 1 recertification credit hour through the HR Certification Institute. The approval process takes approximately 4 weeks. To obtain the program ID number for this program, which you can include on your recertification application form, please send an request to Kelly Brashaw at Kelly_Brashaw@ajg.com. Once your attendance has been verified and the program has been approved, you will receive an with the program ID number GALLAGHER BENEFIT SERVICES, INC

37 THANK YOU 2014 GALLAGHER BENEFIT SERVICES, INC

Key Considerations in Avoiding and Calculating Penalties Pursuant to the Employer Shared Responsibility Mandate. Benefits & Human Resources Consulting

Key Considerations in Avoiding and Calculating Penalties Pursuant to the Employer Shared Responsibility Mandate. Benefits & Human Resources Consulting in Avoiding and Employer Shared Benefits & Human Resources Consulting Since 2010, most employers have implemented changes to their group health plans as required under the Patient Protection and Affordable

More information

Shared Responsibility for Employers Regarding Health Coverage The Pay or Play Rules. Mary Powell & Brian Gilmore March 4, 2014

Shared Responsibility for Employers Regarding Health Coverage The Pay or Play Rules. Mary Powell & Brian Gilmore March 4, 2014 Shared Responsibility for Employers Regarding Health Coverage The Pay or Play Rules Mary Powell & Brian Gilmore March 4, 2014 Introduction On December 28, 2012, the Department of Treasury/IRS issued proposed

More information

Revised September 2016 WHAT COUNTS AS AN HOUR OF SERVICE?

Revised September 2016 WHAT COUNTS AS AN HOUR OF SERVICE? Revised September 2016 WHAT COUNTS AS AN HOUR OF SERVICE? Under the Patient Protection and Affordable Care Act ( PPACA ), an employee s status for purposes of the Employer Shared Responsibility requirement

More information

The Affordable Care Act: The Employer Shared Responsibility Penalty & Educational Institutions

The Affordable Care Act: The Employer Shared Responsibility Penalty & Educational Institutions The Affordable Care Act: The Employer Shared Responsibility Penalty & Educational Institutions March 4, 2014 Oklahoma CUPA-HR Spring Conference Copyright 2014 by The Segal Group, Inc. All rights reserved.

More information

Child coverage. Employers must offer coverage to full-time employees and their children under age 26, but not their spouses or domestic partners.

Child coverage. Employers must offer coverage to full-time employees and their children under age 26, but not their spouses or domestic partners. GRIST Report: IRS proposes rules for employers shared responsibility under health care reform By Kelly Traw, Barbara McGeoch and Kaye Pestaina of Mercer s WRG Jan. 9, 2013 In This Article Summary IRS proposes

More information

AFFORDABLE CARE ACT EMPLOYER SHARED RESPONSIBILITY PROVISION PLAY OR PAY

AFFORDABLE CARE ACT EMPLOYER SHARED RESPONSIBILITY PROVISION PLAY OR PAY AFFORDABLE CARE ACT EMPLOYER SHARED RESPONSIBILITY PROVISION PLAY OR PAY The Affordable Care Act s Employer Shared Responsibility (ESR) provision often called the Employer Mandate or Play or Pay requires

More information

By Larry Grudzien Attorney at Law

By Larry Grudzien Attorney at Law By Larry Grudzien Attorney at Law 1 Beginning in 2015, certain large employers may be subject to penalty taxes for failing to offer health care coverage for all full-time employees (and their dependents),

More information

Prompt action required by employers on health care reform: IRS issues play or pay regulations

Prompt action required by employers on health care reform: IRS issues play or pay regulations JANUARY 16, 2013 Prompt action required by employers on health care reform: IRS issues play or pay regulations By Kate Ulrich Saracene, Tonie Bitseff and Thomas J. McCord The deadline for compliance with

More information

Final Employer Play or Pay Mandate Guidance: Employer Action Needed

Final Employer Play or Pay Mandate Guidance: Employer Action Needed Employee Benefits & Executive Compensation Alert March 2014 Final Employer Play or Pay Mandate Guidance: Employer Action Needed The federal health care reform law enacted in 2010, known as the Affordable

More information

Are Your Coaches and Adjuncts Full time According to the Affordable Care Act?

Are Your Coaches and Adjuncts Full time According to the Affordable Care Act? ASSOCIATION OF CHIEF HUMAN RESOURCE OFFICERS 2014 FALL INSTITUTE (ACHRO) Are Your Coaches and Adjuncts Full time According to the Affordable Care Act? 10/22/2014 PRESENTED BY: Heather DeBlanc & Cindy Vyskocil

More information

VEHI FAQ. General Questions & Answers about the Affordable Care Act

VEHI FAQ. General Questions & Answers about the Affordable Care Act VEHI FAQ General Questions & Answers about the Affordable Care Act Updated August, 2014 This VEHI FAQ has been updated to reflect recently released guidance on affordability provisions of the ACA. These

More information

Health Care Reform and Higher Education: The Survey Course September 28, 2017

Health Care Reform and Higher Education: The Survey Course September 28, 2017 Health Care Reform and Higher Education: The Survey Course September 28, 2017 Agenda Health Care Reform ACA Employer Mandate Overview Employer Mandate Penalties Categorizing Employees Compliance Strategies

More information

Health Care Reform Pay or Play Rules Applicable to Colleges and Universities. May 17, Patrick M. Allen

Health Care Reform Pay or Play Rules Applicable to Colleges and Universities. May 17, Patrick M. Allen Health Care Reform Pay or Play Rules Applicable to Colleges and Universities May 17, 2013 Patrick M. Allen Health Care Reform: An Overview Phase I: 2010 2013 New patient protections Administrative changes

More information

Documenting Method for Identifying Full-Time Employees

Documenting Method for Identifying Full-Time Employees Provided by BB&T Insurance Services, Inc., McGriff, Seibels & Williams, Inc., BB&T Insurance Services of California, Inc., and Precept Insurance Solutions, LLC Documenting Method for Identifying Full-Time

More information

Employee Benefits Series. Health Care Reform "Pay or Play" Toolkit for Employers

Employee Benefits Series. Health Care Reform Pay or Play Toolkit for Employers Employee Benefits Series Health Care Reform "Pay or Play" Toolkit for Employers INTRODUCTION The employer shared responsibility provisions under Health Care Reform (also known as "pay or play") apply to

More information

NDUS ACA Eligibility Criteria, Draft 10/28/14

NDUS ACA Eligibility Criteria, Draft 10/28/14 NDUS ACA Eligibility Criteria, Draft 10/28/14 1. Applicable Large Employer a. State of ND has determined that it is an applicable large employer b. Notified by OMB and PERS on 7/2/14 that the State of

More information

Preparing the Large Employer for the Affordable Care Act's Penalties

Preparing the Large Employer for the Affordable Care Act's Penalties Preparing the Large Employer for the Affordable Care Act's Penalties Presented By: Heather DeBlanc, Jerry Healy and Diane Fiero (Asst. Superintendent, VP HR for Santa Clarita CCD) ACA Mandates Individual

More information

HEALTH CARE REFORM: EMPLOYER SHARED RESPONSIBILITY RULES

HEALTH CARE REFORM: EMPLOYER SHARED RESPONSIBILITY RULES HEALTH CARE REFORM: EMPLOYER SHARED RESPONSIBILITY RULES The Affordable Care Act (ACA) requires applicable large employers (ALEs) to offer affordable, minimum value health coverage to their full-time employees

More information

Agenda Item C.1 DISCUSSION /ACTION ITEM Meeting Date: June 17, 2014

Agenda Item C.1 DISCUSSION /ACTION ITEM Meeting Date: June 17, 2014 CPMS Agenda Item C.1 DISCUSSION /ACTION ITEM Meeting Date: June 17, 2014 TO: FROM: Mayor and Councilmembers Michelle Greene, Interim City Manager CONTACT: Heidi Aten, Senior Management Analyst SUBJECT:

More information

Cabrillo College ACA Overview. May 2015

Cabrillo College ACA Overview. May 2015 Cabrillo College ACA Overview May 2015 PURPOSE OF HEALTH CARE REFORM Improve access to healthcare Require health insurance Larger employers must offer comprehensive, affordable coverage Create healthcare

More information

Issue Fifty-Seven February 2013

Issue Fifty-Seven February 2013 Issue Fifty-Seven February 2013 February 13, 2013 The IRS recently released a Notice of Proposed Rule Making clarifying employers shared health care reform responsibilities. The notice covers many of the

More information

ACA Compliance Briefing for Self-Insured Employers. Part 2 ( Deep Dive on Pay or Play) John Hickman, Esq. 4980H In a Nutshell

ACA Compliance Briefing for Self-Insured Employers. Part 2 ( Deep Dive on Pay or Play) John Hickman, Esq. 4980H In a Nutshell 1 ACA Compliance Briefing for Self-Insured Employers Part 2 ( Deep Dive on Pay or Play) Atlanta Office One Atlantic Center 1201 West Peachtree Street Atlanta, Georgia 30309-3424 (404) 881-7885 John Hickman,

More information

Health Care Reform Beyond the Basics. Ross Manson, Principal Fargo, ND

Health Care Reform Beyond the Basics. Ross Manson, Principal Fargo, ND Health Care Reform Beyond the Basics Ross Manson, Principal rmanson@eidebailly.com Fargo, ND 1 Health Care Reform EMPLOYER BASICS Employers key number is > 50 = Large Employer and subject to penalties

More information

"PAY OR PLAY" TOOLKIT FOR EMPLOYERS

PAY OR PLAY TOOLKIT FOR EMPLOYERS Health Care Reform: What to Expect in 2013 2014 Employee Benefits Series Health Care Reform "PAY OR PLAY" TOOLKIT FOR EMPLOYERS Introduction Beginning in 2015, certain large employers will be subject to

More information

Documenting Method for Identifying Full-time Employees

Documenting Method for Identifying Full-time Employees Beginning in 2015, the Affordable Care Act (ACA) imposes a penalty on applicable large employers (ALEs) that do not offer health insurance coverage to substantially all full-time employees and dependents.

More information

University of Rochester Measurement and Stability Periods Guidelines

University of Rochester Measurement and Stability Periods Guidelines 7/28/2015 University of Rochester Measurement and Stability Periods Guidelines General Under the ACA provisions of health care reform, an employee is generally treated as a full-time employee for a calendar

More information

VSEBT Recommendations on Tracking Variable Hour Employees. May 17, 2013

VSEBT Recommendations on Tracking Variable Hour Employees. May 17, 2013 VSEBT Recommendations on Tracking Variable Hour Employees May 17, 2013 Definitions and Discussion Points Who is an employee? IRS will define employee based on IRS s common law test who controls work performed

More information

ACA - Healthcare Reform Update

ACA - Healthcare Reform Update ACA - Healthcare Reform Update What's new for 2014 and what you need to do in order to comply. Presented by: Renee Bosley VP Employee Benefits Leavitt Group Agenda Review of IRS Final Regs for Large Employer

More information

Health Reform Update: Proposed Regulations on Employer Shared Responsibility

Health Reform Update: Proposed Regulations on Employer Shared Responsibility May 24, 2013 Action Required Health Reform Update: Proposed Regulations on Employer Shared Responsibility In January, the Internal Revenue Service (IRS) issued proposed regulations and a Frequently Asked

More information

GCG FINANCIAL Health Care Reform Webinar Series Part II: Deep Dive Into Employer Mandate. March 12, 2013

GCG FINANCIAL Health Care Reform Webinar Series Part II: Deep Dive Into Employer Mandate. March 12, 2013 GCG FINANCIAL Health Care Reform Webinar Series Part II: Deep Dive Into Employer Mandate March 12, 2013 David Levitz GCG Financial, Inc. 3000 Lakeside Drive Bannockburn, IL 60015 (847) 457-3003 David.Levitz@gcgfinancial.com

More information

"PAY OR PLAY" TOOLKIT FOR EMPLOYERS

PAY OR PLAY TOOLKIT FOR EMPLOYERS Health Care Reform: What to Expect in 2013 2014 Employee Benefits Series Health Care Reform "PAY OR PLAY" TOOLKIT FOR EMPLOYERS Introduction The employer shared responsibility provisions under Health Care

More information

Health Care Reform EMPLOYER BASICS 11/11/13. Health Care Reform Update. Ross Manson, Principal Tonya M. Rule, Tax Manager

Health Care Reform EMPLOYER BASICS 11/11/13. Health Care Reform Update. Ross Manson, Principal Tonya M. Rule, Tax Manager Health Care Reform Ross Manson, Principal Tonya M. Rule, Tax Manager 1 Health Care Reform Update ACA employer penalties delayed until 2015 1/1/2014 Establishment of Public Exchanges Payment of Individual

More information

Health Care Reform Where Are We Today?

Health Care Reform Where Are We Today? Health Care Reform Where Are We Today? Debra J. Linder Lisa S. Robinson Fredrikson & Byron, P.A. Compensation Planning & Employee Benefits Section 6055/6056 Reporting Applicable large employers -- File

More information

Health Care Reform: Ready for 2015? AGENDA

Health Care Reform: Ready for 2015? AGENDA Health Care Reform: Ready for 2015? Presented by Karen Vines, Vice President, IMA, Inc. Director of Employee Benefits Governance & Compliance AGENDA Session Objective Case Study Overview of Facts Pay or

More information

Affordable Care Act: Large Employer Shared Responsibility Final Rules and Transition Relief

Affordable Care Act: Large Employer Shared Responsibility Final Rules and Transition Relief 2013 CliftonLarsonAllen LLP Affordable Care Act: Large Employer Shared Responsibility Final Rules and Transition Relief CLAconnect.com National Parking Association May 14, 2015 Agenda Refresher on the

More information

Calculating Hours of Service Under the Affordable Care Act

Calculating Hours of Service Under the Affordable Care Act Calculating Hours of Service Under the Affordable Care Act Compliance with the federal Patient Protection and Affordable Care Act (ACA) will necessitate accounting for work and leave time for all employees.

More information

Play or Pay Under Health Care Reform: Size Matters. Important Things to Remember

Play or Pay Under Health Care Reform: Size Matters. Important Things to Remember Play or Pay Under Health Care Reform: Size Matters April 3, 2014 Presented By Darcy L. Hitesman, Esq. 763 503 6620 www.hitesmanlaw.com IRS Circular 230 Disclosure: To insure compliance with Treasury Regulations,

More information

SHARED RESPONSIBILITY PENALTIES UNDER ACA

SHARED RESPONSIBILITY PENALTIES UNDER ACA SHARED RESPONSIBILITY PENALTIES UNDER ACA What Employers Need to Know Before January, 2014 April 11, 2013 Copyright 2013 by The Segal Group, Inc., parent of The Segal Company and its Sibson Consulting

More information

New Employer Shared Responsibility Penalty Guidance: Timely Employer Action Needed

New Employer Shared Responsibility Penalty Guidance: Timely Employer Action Needed Employee Benefits & Executive Compensation Alert March 2013 New Employer Shared Responsibility Penalty Guidance: Timely Employer Action Needed The Affordable Care Act, the federal health care reform law

More information

What s Next? Health Plans: Drinker Biddle s Health Care Reform Update for Employee Benefit Plans

What s Next? Health Plans: Drinker Biddle s Health Care Reform Update for Employee Benefit Plans Health Plans: What s Next? Drinker Biddle s Health Care Reform Update for Employee Benefit Plans IRS Proposed Regulations Provide Additional Guidance For Compliance With the Employer Shared Responsibility

More information

Affordable Care Act: What Employers Need to Know to be in Compliance in 2014

Affordable Care Act: What Employers Need to Know to be in Compliance in 2014 Affordable Care Act: What Employers Need to Know to be in Compliance in 2014 October 2013 Stacy H. Barrow sbarrow@proskauer.com 1 Agenda Initial Observations Compliance Calendar Checklist: Important dates,

More information

6/23/10 9/23/10 1/1/11 1/1/12 6/28/12 11/6/12 1/1/

6/23/10 9/23/10 1/1/11 1/1/12 6/28/12 11/6/12 1/1/ Thinking Ahead: Getting Our Hands Around PPACA in 2014 and Beyond Presenter: Don Heilman Area Senior Vice President id 303.889.2686 don_heilman@ajg.com Timeline ERRP High Risk Pool Increased Penalties

More information

Health Care Reform s Pay or Play Rule: Action Items for Employers

Health Care Reform s Pay or Play Rule: Action Items for Employers Health Care Reform s Pay or Play Rule: Action Items for Employers John Barlament Quarles & Brady LLP john.barlament@quarles.com 414.277.5727 Topics for Today Political / regulatory forecast Seven Steps

More information

ACA Mini-Series, Episode 2: Appointment and Job Changes November 2015

ACA Mini-Series, Episode 2: Appointment and Job Changes November 2015 ACA Mini-Series, Episode 2: Appointment and Job Changes November 2015 Agenda 1. ACA Employer Shared Responsibility 2. Review 3. Appointment Changes 4. Periods of No Hours 2 Affordable Care Act of 2010

More information

Health Care Reform. Ross Manson, Principal Tonya M. Rule, Tax Manager. Health Care Reform Update. ACA employer penalties delayed until /1/2014

Health Care Reform. Ross Manson, Principal Tonya M. Rule, Tax Manager. Health Care Reform Update. ACA employer penalties delayed until /1/2014 Health Care Reform Ross Manson, Principal Tonya M. Rule, Tax Manager 1 Health Care Reform Update ACA employer penalties delayed until 2015 1/1/2014 Establishment of Public Exchanges Payment of Individual

More information

Q&A from Assurex Global Webinar "Final ACA Regulations on How to Define Full-Time Employees" May 22, 2014

Q&A from Assurex Global Webinar Final ACA Regulations on How to Define Full-Time Employees May 22, 2014 Q: 4980H(a) penalty - $166.67 per mo per employee not counting A: Yes, that's correct for 2015 on a monthly basis; it would be necessary to multiply that amount first 80 in 2015. We have over 100 FTE's

More information

Employer Mandate Report

Employer Mandate Report Employer Mandate Report 1 NOTE: The materials and opinions presented by the speaker at this program represent the speaker s views, are for educational and informational purposes only, are not intended

More information

The Affordable Care Act s (ACA) Employer Shared Responsibility Determination and the Potential Employer Penalty

The Affordable Care Act s (ACA) Employer Shared Responsibility Determination and the Potential Employer Penalty The Affordable Care Act s (ACA) Employer Shared Responsibility Determination and the Potential Employer Penalty Julie M. Whittaker Specialist in Income Security April 19, 2016 Congressional Research Service

More information

The Play-or-Pay Penalty and Counting Employees under the ACA

The Play-or-Pay Penalty and Counting Employees under the ACA The Play-or-Pay Penalty and Counting Employees under the ACA Updated June 2017 Table of Contents Introduction... 1 Section 1 Which Workers Must Be Counted?... 1 Q1: What types of workers need to be counted?...

More information

HEALTH CARE REFORM IMPLEMENTATION HOURLY EMPLOYEE MEASUREMENT PERIODS FULL-TIME EQUIVALENT EMPLOYEE CALCULATION

HEALTH CARE REFORM IMPLEMENTATION HOURLY EMPLOYEE MEASUREMENT PERIODS FULL-TIME EQUIVALENT EMPLOYEE CALCULATION 2014 HEALTH CARE REFORM IMPLEMENTATION HOURLY EMPLOYEE MEASUREMENT PERIODS FULL-TIME EQUIVALENT EMPLOYEE CALCULATION The Affordable Care Act ( ACA ) requires employers with 100 or more full-time employees

More information

The Employer Shared Responsibility Under the Affordable Care Act

The Employer Shared Responsibility Under the Affordable Care Act The Employer Shared Responsibility Under the Affordable Care Act For more information contact: Robert A. Fisher Partner, Deputy Chair, Labor and Employment Law Department Foley Hoag LLP 617.832.1235 rfisher@foleyhoag.com

More information

Health Care Reform Simplifying Reform - Issue date Feb. 14, 2014

Health Care Reform Simplifying Reform - Issue date Feb. 14, 2014 Simplifying Insurance Benefit Services Health Care Reform Simplifying Reform - Issue date Feb. 14, 2014 Employer Shared Responsibility Final Regulations- Transitions Rules and Other Important New Guidance

More information

EMPLOYER MANDATE FACT SHEET

EMPLOYER MANDATE FACT SHEET EMPLOYER MNDTE FCT SHEET INFORMED ON REFORM Overview Employers must offer health insurance that is affordable and provides minimum value to 95% of their full-time employees and their children up to age

More information

Employer Shared Responsibility Requirements

Employer Shared Responsibility Requirements Employer Shared Responsibility Requirements Counting hours and employees Are we required to track actual hours worked for employees who are hired into full-time, salaried, exempt positions? No. If a full-time

More information

Determining Applicable Large Employer Status & Full-Time Equivalent Employees

Determining Applicable Large Employer Status & Full-Time Equivalent Employees Determining Applicable Large Employer Status & Full-Time Equivalent Employees Q Who is considered an employee? A For these purposes, an individual who is an employee under the common law standard is considered

More information

ACA: THE EMPLOYER MANDATE

ACA: THE EMPLOYER MANDATE Volume Twenty-One, Issue Three May 2018 ACA: THE EMPLOYER MANDATE The Affordable Care Act (ACA) fundamentally changed our health care coverage and payment system. Applicable Large Employers (ALEs) must

More information

ACA EMPLOYER MANDATE FINAL REGULATIONS: AN OVERVIEW. Rachel Arnedt Wiggin and Dana LLP

ACA EMPLOYER MANDATE FINAL REGULATIONS: AN OVERVIEW. Rachel Arnedt Wiggin and Dana LLP ACA EMPLOYER MANDATE FINAL REGULATIONS: AN OVERVIEW Rachel Arnedt Wiggin and Dana LLP RArnedt@wiggin.com The Treasury Department recently issued final regulations under Code Section 4980H, which sets forth

More information

Committee Name: Benefits Committee Agenda Date: 5/14/2015 Time: 10:00 am 12:00am Facilitators/Location/Chair: Conference room 2030

Committee Name: Benefits Committee Agenda Date: 5/14/2015 Time: 10:00 am 12:00am Facilitators/Location/Chair: Conference room 2030 Agenda Committee Name: Benefits Committee Agenda Date: 5/14/2015 Time: 10:00 am 12:00am Facilitators/Location/Chair: Conference room 2030 Attendees: Doug Deaver Anne Lucero Cheryl Romer Diane Goody Loree

More information

The Affordable Care Act (ACA) Shared Responsibility Mandate

The Affordable Care Act (ACA) Shared Responsibility Mandate 1 The Affordable Care Act (ACA) Shared Responsibility Mandate 2 Shared Responsibility Mandate If employer offers healthcare coverage, then Must be offered to essentially all full-time employees Must be

More information

(ii) in the event there is a change in benefits, the coverage provides minimum value after the change; and

(ii) in the event there is a change in benefits, the coverage provides minimum value after the change; and 1 Q: Are seasonal employees exempt from determining the overall FTE count for determining if an employer is an Applicable Large Employer. A: Whether an employer is an applicable large employer (50 or more

More information

Health care reform: Where are we now? An employers guide to

Health care reform: Where are we now? An employers guide to Health care reform: Where are we now? An employers guide to 2014-2016 Presented by: Baker Tilly refers to Baker Tilly Virchow Krause, LLP, an independently owned and managed member of Baker Tilly International.

More information

ACA Mini-Series, Episode 2 Revised Version: Appointment and Job Changes Jan 2016

ACA Mini-Series, Episode 2 Revised Version: Appointment and Job Changes Jan 2016 ACA Mini-Series, Episode 2 Revised Version: Appointment and Job Changes Jan 2016 Agenda 1. ACA Employer Shared Responsibility 2. Review 3. Appointment Changes (Revised) 4. Periods Without Hours 2 Affordable

More information

Health Care Reform: Laying the Groundwork January 23, 2013

Health Care Reform: Laying the Groundwork January 23, 2013 A Better Partnership Health Care Reform: Laying the Groundwork January 23, 2013 Norbert F. Kugele nkugele@wnj.com (616) 752-2186 2013 Warner Norcross & Judd LLP. All rights reserved. April A. Goff agoff@wnj.com

More information

THE FINAL STEPS TO PAY OR PLAY WHAT EMPLOYERS NEED TO KNOW TO ENSURE 2014

THE FINAL STEPS TO PAY OR PLAY WHAT EMPLOYERS NEED TO KNOW TO ENSURE 2014 THE FINAL STEPS TO PAY OR PLAY WHAT EMPLOYERS NEED TO KNOW TO ENSURE 2014 COMPLIANCE Presented by Kathleen Wampold, Director of Compliance, Alliant March 12, 2013 AGENDA Introduction Pay or Play Updates

More information

Employer Shared Responsibility Glossary of Key Terms

Employer Shared Responsibility Glossary of Key Terms Employer Shared Responsibility Glossary of Key Terms Administrative Period An administrative period is an optional period of up to 90 days following the initial or standard measurement period and ending

More information

Seasonal Employees and the Health Reform Law. NAHU Compliance Corner Webinar May 2, 2013

Seasonal Employees and the Health Reform Law. NAHU Compliance Corner Webinar May 2, 2013 Seasonal Employees and the Health Reform Law NAHU Compliance Corner Webinar May 2, 2013 What is a Seasonal Employee? Unfortunately, There s No Clear Federal Definition Fair Labor Standards Act (FLSA) Does

More information

Four Years of Guidance. Page 7. New Regulations Help Employers Ease Into Pay or Play

Four Years of Guidance. Page 7. New Regulations Help Employers Ease Into Pay or Play Webinar Contact Us Four Years of Guidance HEALTH CARE REFORM FEBRUARY 19, 2014 Page 3 Page 5 Page 7 P R I O R I T Y Alert New Regulations Help Employers Ease Into Pay or Play By: Mary V. Bauman, Frank

More information

Health Care Reform Update 6/12/2014

Health Care Reform Update 6/12/2014 Health Care Reform Update 6/12/2014 Disclaimer The information contained herein is for general information only. It is not intended as and does not constitute legal or tax advice. The information should

More information

Affordable Care Act Employer Shared Responsibility Notice Requirements

Affordable Care Act Employer Shared Responsibility Notice Requirements Matt Isbellʼs Affordable Care Act Employer Shared Responsibility Notice Requirements COBRA Resources, Inc. P.O. Box 50208 Kalamazoo, MI 49005-0208 269-383-1080 e-mail: info@cobraman.com Visit us online

More information

Health Care Reform Employer Mandate Compliance Roadmap

Health Care Reform Employer Mandate Compliance Roadmap Health Care Reform Employer Mandate Compliance Roadmap Ben Conley (312) 460-5228 bconley@seyfarth.com Seyfarth Shaw LLP April 7, 2015 Today s Roadmap Is my company subject to the mandate? When does the

More information

Health Care Reform Update: Play or Pay and More

Health Care Reform Update: Play or Pay and More CSAC League of California Cities CalPERS Health Care Reform Update: Play or Pay and More April 2, 2013 1 HEALTHCARE REFORM- WHAT Overview of the Affordable Care Act Pay or Play Affordability and Minimum

More information

{ Holmes Murphy & Associates }

{ Holmes Murphy & Associates } { Holmes Murphy & Associates } We re for you. Navigating the Affordable Care Act Texas Municipal Human Resources Association Conference Presenter: Claire Pancerz, Esq. Holmes Murphy & Associates cpancerz@holmesmurphy.com

More information

Health Care Reform Update

Health Care Reform Update Health Care Reform Update Issue 8-2013 March 13, 2013 Pay or Play Penalty Examples for Determining Full-time Status Under section 4980H of the Affordable Care Act (ACA), large employers may be subject

More information

Health Care Reform Under the ACA Its Effect on Municipalities and Their Employees

Health Care Reform Under the ACA Its Effect on Municipalities and Their Employees Health Care Reform Under the ACA Its Effect on Municipalities and Their Employees Maine Municipal Employees Health Trust 1-800-852-8300 www.mmeht.org The Difference Is Trust August 2014 1 Today s Agenda

More information

ACA for Employers Employee Benefits Conference May 15, 2015

ACA for Employers Employee Benefits Conference May 15, 2015 ACA for Employers Employee Benefits Conference May 15, 2015 Presented by: Norma Shirk 1 Agenda Generally Applicable Information Employers & Employees Employer Penalty & 2015 Relief Miscellaneous 2 GENERALLY

More information

Summary of Material Modifications to the Cache County School District Benefit Plan

Summary of Material Modifications to the Cache County School District Benefit Plan Summary of Material Modifications to the Cache County School District Benefit Plan This Summary of Material Modification ("SMM") modifies some of the information contained in the Summary Plan Description

More information

Health Care Reform (HCR): New Reporting Requirements. Agenda

Health Care Reform (HCR): New Reporting Requirements. Agenda Health Care Reform (HCR): New Reporting Requirements Presented By Darcy L. Hitesman, Esq. Region V Computer Services Cooperation Spring Conference 763 503 6620 www.hitesmanlaw.com IRS Circular 230 Disclosure:

More information

Florida Agricultural & Mechanical University Board of Trustees Policy Board of Trustees Policy Number:

Florida Agricultural & Mechanical University Board of Trustees Policy Board of Trustees Policy Number: Florida Agricultural & Mechanical University Board of Trustees Policy Board of Trustees Policy Number: Date of Adoption/Revision: October 6, 2005; September 13, 2007; December 3, 2009 Subject BENEFITS

More information

Calculating Hours of Service Under the Affordable Care Act

Calculating Hours of Service Under the Affordable Care Act The information contained in this document is current as of the date of publication. Calculating Hours of Service Under the Affordable Care Act Compliance with the Affordable Care Act (ACA) will necessitate

More information

Appendix B VACATION. Purpose Annual paid vacation is for the purpose of rest and relaxation intended to benefit the employee s health and efficiency.

Appendix B VACATION. Purpose Annual paid vacation is for the purpose of rest and relaxation intended to benefit the employee s health and efficiency. VACATION Purpose Annual paid vacation is for the purpose of rest and relaxation intended to benefit the employee s health and efficiency. Eligibility Employees are eligible for paid vacation after completing

More information

Washington Council. Legislative Alert. Treasury, IRS Release Notice of Proposed Rulemaking on Health Care Law s Employer Requirements !

Washington Council. Legislative Alert. Treasury, IRS Release Notice of Proposed Rulemaking on Health Care Law s Employer Requirements ! Washington Council Legislative Alert Treasury, IRS Release Notice of Proposed Rulemaking on Health Care Law s Employer Requirements!@# The Department of the Treasury and the IRS on Friday, December 28,

More information

ACA: Implementation Rules & Strategies. Joan Canning, MBA, HIA HR Advocate, LLC

ACA: Implementation Rules & Strategies. Joan Canning, MBA, HIA HR Advocate, LLC ACA: Implementation Rules & Strategies Joan Canning, MBA, HIA HR Advocate, LLC THE Affordable Care Act (ACA) When it comes to spending we re #1: Of the Top 30 industrial countries the U.S.A. spends more

More information

THE PATIENT PROTECTION AND AFFORDABLE CARE ACT UPDATE

THE PATIENT PROTECTION AND AFFORDABLE CARE ACT UPDATE THE PATIENT PROTECTION AND AFFORDABLE CARE ACT UPDATE February 21, 2013 Jonathan Alexander, Esq. Compliance Counsel Pinnacle Claims Management, Inc. Copyright 2013 Pinnacle Claims Management, Inc. Reproduction

More information

Understanding the 1095-C Form

Understanding the 1095-C Form Understanding the 1095-C Form Overview Who Employers with 50 or more full-time employees (including fulltime equivalent employees) in the previous year use Forms 1094- C and 1095-C to report the information

More information

Employee Benefits After the Affordable Care Act

Employee Benefits After the Affordable Care Act Employee Benefits After the Affordable Care Act ~ NHRMA 2015 Conference & Tradeshow October 6, 2015 With Iris Tilley, Barran Liebman LLP MEASUREMENT AND STABILITY PERIODS Shared Responsibility Payment

More information

Healthcare Reform Better Care Reconciliation Act Repeal & Replace

Healthcare Reform Better Care Reconciliation Act Repeal & Replace BCRA AHCA American Health Care Act Healthcare Reform Better Care Reconciliation Act Repeal & Replace ACA HCR Affordable Care Act In Focus: Guide to the ACA employer mandate The final regulations require

More information

FAQs for Variable Hour (OPS) Employees Revised September 3, 2013

FAQs for Variable Hour (OPS) Employees Revised September 3, 2013 Definitions: New hire measurement period the 12-month period beginning on the first day of the first month following an OPS employee s start date in which the average hours worked weekly will be measured

More information

Rick Jones, CEBS, ARe March 2014

Rick Jones, CEBS, ARe March 2014 Rick Jones, CEBS, ARe March 2014 Current Issues Taxes New Employer Size Categories Delayed Employer Effective Dates Reporting Exchange Enrollment Minimum coverage / Max Cost Volunteer Firefighters are

More information

AFFORDABLE CARE ACT TRAINING SESSION TWO

AFFORDABLE CARE ACT TRAINING SESSION TWO AFFORDABLE CARE ACT TRAINING SESSION TWO Pay or Play Penalties Slide 1 Presenters Alison Cline Earles, Associate General Counsel, GMA Patrick Lail, Attorney, Elarbee Thompson (GIRMA Helpline) Slide 2 DISCLAIMER

More information

Employer Shared Responsibility ( Pay or Play )

Employer Shared Responsibility ( Pay or Play ) Employer Shared Responsibility ( Pay or Play ) Starting on January 1, 2015, employers with 50 or more full-time and full time equivalent (FTE) employees will be assessed a fine by the federal government

More information

LICENSED EMPLOYEE FAMILY AND MEDICAL LEAVE REGULATION

LICENSED EMPLOYEE FAMILY AND MEDICAL LEAVE REGULATION Page 1 of 7 A. School district notice. 1. The school district will post the notice in Exhibit 409.3E1 regarding family and medical leave. 2. Information on the Family and Medical Leave Act and the board

More information

ManpowerGroup Health Care Reform Webinar Follow-Up Q&A

ManpowerGroup Health Care Reform Webinar Follow-Up Q&A ManpowerGroup Webinar Series 2014 ManpowerGroup Health Care Reform Webinar Follow-Up Q&A 1. Did I understand correctly that we may now legally offer benefits to new hires to be effective on the first of

More information

Navigating the Employer Mandate

Navigating the Employer Mandate Navigating the Employer Mandate The Employer Mandate is the Health Care Reform provision that requires all employers with 50 or more full time equivalent employees to offer a certain level of health insurance

More information

Health Care Reform Exchanges, Penalties and Employer Responsibility

Health Care Reform Exchanges, Penalties and Employer Responsibility Health Care Reform Exchanges, Penalties and Employer Responsibility as of January 21, 2013 Exchanges Individuals Initial open enrollment will run October 1, 2013 through March 31, 2014 Coverage effective

More information

Compliance News SPECIAL HEALTH REFORM EDITION

Compliance News SPECIAL HEALTH REFORM EDITION SPECIAL HEALTH REFORM EDITION Compliance News Spring 2014 Issued by Lockton Benefit Group IMPLEMENTING HEALTH REFORM S BIG 3 : THE FEDS FINAL REGULATIONS ON THE EMPLOYER MANDATE, WAITING PERIODS, AND REPORTING

More information

Preparing for the Full-Time Employee Determination. Thursday, April 4, :00 pm 3:00 pm EST

Preparing for the Full-Time Employee Determination. Thursday, April 4, :00 pm 3:00 pm EST Preparing for the Full-Time Employee Determination Thursday, April 4, 2013 2:00 pm 3:00 pm EST Today s Speakers Joe DiBella Executive Vice President of the Health & Welfare Practice Conner Strong & Buckelew

More information

Affordable Care Act for The University of North Carolina

Affordable Care Act for The University of North Carolina Affordable Care Act for The University of North Carolina May 2016 This guide provides an overview on how to comply with the Affordable Care Act to the University of North Carolina. Table of Contents Key

More information

Ready or Not: ACA Reporting Starts March 31 st!

Ready or Not: ACA Reporting Starts March 31 st! Ready or Not: ACA Reporting Starts March 31 st! Presented February 2016 by Mary Powell, Tiffany Santos, Elizabeth Loh, Callan Carter & Eric Schillinger Agenda Introduction The Big Picture Open Questions

More information

Pay or Play Penalties Look-back Measurement Method Examples

Pay or Play Penalties Look-back Measurement Method Examples Brought to you by Sullivan Benefits Pay or Play Penalties Look-back Measurement Method Examples The Affordable Care Act (ACA) imposes a penalty on applicable large employers (ALEs) that do not offer health

More information

Employer s Forum. ACA Update Presented by: Chad Morris, Vice President - Employee Benefits Consultant Gregory & Appel

Employer s Forum. ACA Update Presented by: Chad Morris, Vice President - Employee Benefits Consultant Gregory & Appel Employer s Forum ACA Update 5-12-15 Presented by: Chad Morris, Vice President - Employee Benefits Consultant Gregory & Appel Presenter Chad Morris Vice President Employee Benefits Consultant PPACA Certified

More information