EVENT How to TITLE Prepare for 2015 Health Care Reform Challenges

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1 EVENT How to TITLE Prepare for 2015 Health Care Reform Challenges NEO RIMS Meeting -February 17, 2015 Kate Hubben, CSFS, MPA Client Advocate Willis Human Capital Practice

2 Harvard and PPACA The Impact of Health Care Reform The Affordable Care Act (ACA also known as health care reform) has brought new benefits and opportunities to many people, but with added costs to plan sponsors like Harvard. Some of the added costs to Harvard are in the areas of: Extending coverage for children up to age 26. Preventive care - which is fully paid by the University. Additional taxes and fees that began in 2012, and are ongoing. A potential 40% excise tax on the value of health insurance benefits exceeding certain thresholds, which is scheduled to go into effect in How to Prepare for 2015 Health Care Reform Challenges 1

3 Topics I. Compliance up to 2015 II. III. Post 2014: Additional Reporting and Technical Compliance Matters 2015 and Beyond How to Prepare for 2015 Health Care Reform Challenges 2

4 Any Changes to PPACA After the Elections? * * Wall Street Journal, November 5, 2014 How to Prepare for 2015 Health Care Reform Challenges 3

5 Political wish list What, if any, changes are possible to PPACA? Full repeal unlikely. No veto-proof majority in Senate. Expect votes to make the record. Adjust/Repeal Cadillac Plan Excise Tax Adjust definition of FT employee 40 hours/week (introduced in House and expected to pass) Repeal employer mandate Repeal medical device tax and more How to Prepare for 2015 Health Care Reform Challenges 4

6 Potential threat Ironic twist? Tax exclusion for medical benefits always in Congressional sights. Republican preference for tax reductions may cause search for offset. How to Prepare for 2015 Health Care Reform Challenges 5

7 The New Normal for Employer Sponsored Group Medical Plans How to Prepare for 2015 Health Care Reform Challenges 6

8 Section One TIMELINE AND UPDATE

9 Health Care Reform Timeline Through Maximum 90 Day Wait Cost Sharing Limits (unless Grandfathered) Mini-Med Annual Waivers Expire No Pre-Ex Regardless of Age All Children to Age 26 (even if Grandfathered) Wellness Health Factor Incentives To 30%/50% How to Prepare for 2015 Health Care Reform Challenges 8

10 Health Reform Timeline And Later 2015? + Automatic Enrollment (200+) delayed* Employer Mandate (50+) delayed* PPACA Data Reports (50+) delayed* Insured, Non-Grandfathered Discrimination delayed* SBC Update for OE/PY On or After High Cost (Cadillac) Tax * See DOL Technical Release (delay automatic enrollment), IRS Notice (No penalty taxes in 2014, no data reporting for 2014), IRS Notice (delay non-discrimination tests indefinitely) How to Prepare for 2015 Health Care Reform Challenges 9

11 Employer Mandate PAY OR PLAY THRESHOLD PHASE IN BASED ON EMPLOYER SIZE Employer Size 2015 Plan Year 2016 Plan Year full-time employees or full-time equivalents full-time employees or full-time equivalents* Does not apply Does not apply Does not apply Employer must offer coverage to 95% of full-time employees and dependents to age or more full-time employees or full-time equivalents Employer must offer coverage to 70% of full-time employees and dependents to age 26 Employer must offer coverage to 95% of full-time employees and dependents to age 26 How to Prepare for 2015 Health Care Reform Challenges 10

12 Plan Mandates No pre-existing condition limitations OOP Maximums (in-network) for non-grandfathered plans $6,350 individual/$12,700 family 2014 $6,600 individual/13,200 family 2015 Does not apply to out of network services or non EHBs PCORI Fee Transitional Reinsurance fee Wellness Incentives up to 30% (50% for not smoking) How to Prepare for 2015 Health Care Reform Challenges 11

13 Minimum Value Calculator Updated Released January 16, 2015 Maximum OOP to include all copayments and coinsurance Not yet fully vetted and checking for ultimate changes Agency stated that skinny plans will no longer meet the minimum value after 2015 (and even then only if already in place for 2015 when announced November 21, 2014) How to Prepare for 2015 Health Care Reform Challenges 12

14 Wellness and EEOC Honeywell defeats efforts to block wellness program EEOC has lost only case tried to conclusion Will the EEOC staff rethink position with recent loss? EBSA rules and Congressional intent expressed in PPACA contradict their concerns How to Prepare for 2015 Health Care Reform Challenges 13

15 PPACA Litigation Update Availability of Federal Subsidies Halbig v. Burwell recently decided by DC Circuit Court of Appeals, held that language specifying subsidies would be available on Exchanges established by the state prohibits IRS from allowing subsidies to individuals that sign up on Federal Exchanges King v Burwell in 4 th Circuit Court of Appeals held the opposite Supreme Court is most likely to review cases where Circuit Courts arrive at conflicting opinions En Banc review is in process due to use of nuclear option If Halbig is upheld, individuals in states with a Federal Exchange would not have access to subsidies; if individuals do not receive a federal subsidy, no penalty is applied to employers for failing to offer affordable coverage Contraception Mandate Hobby Lobby decision by Supreme Court allowed closely-held corporations to receive the protections of the Religions Freedom Restoration Act Result of ruling is likely to be only limited accommodations to small number of employers How to Prepare for 2015 Health Care Reform Challenges 14

16 PPACA Litigation Update Availability of Federal Subsidies How to Prepare for 2015 Health Care Reform Challenges 15

17 Section Two EMPLOYER SHARED RESPONSIBILITY OVERVIEW

18 Employer Shared Responsibility PLAY OR PAY Do you offer coverage to all Fulltime employees? YES Does the plan provide minimum value? (60%+ of total allowed costs) YES Is the coverage affordable? (<=9.5% of income) YES NO NO NO Cliff $2,000** / Full-time Employee (Minus First 30)* Drop-off $3,000** / Full-time Employee receiving tax credit* No penalty * Where at least one Full-time employee waives any/all employer-sponsored coverage offered, enrolls in public exchange option and receives taxpayer financial support. ** Adjusted for inflation in multiples of $10. Not yet announced for 2015

19 Employer Shared Responsibility Play or Pay Detail To avoid all employer shared responsibility penalty taxes an applicable large employer (50 FTE, prior calendar year)* must offer: Minimum Essential Coverage Includes self-insured, preventive only Affordable Coverage 9.5% (2014) or 9.56% (2015) of household income Minimum Value Coverage 60% of Essential Health Benefits** To Substantially All Full-time Employees and Dependents 30 Hours Per Week or 130 Hours Per Month Dependents (through end of the month; excludes: step/foster child, spouse) How to Prepare for 2015 Health Care Reform Challenges 18

20 Minimum Value and Skinny Plans Final Regulations & MV Calculator Not Applicable Minimum Value : 60% or bronze plan Published calculator did not mandate in-patient hospitalization Skinny plans took advantage to save costs Regulators embarrassed Notice MV must include in-patient hospitalization If plan is Pre November 4, 2014 plan, effective for plan year starting after Other plans effective as soon as final regulations are published in 2015 Warning in Notice not to adopt such a plan now Hold on just a minute there buster! How to Prepare for 2015 Health Care Reform Challenges 19

21 Employer Shared Responsibility Final Regulations Substantially All : 70% of All FTE for 2015 Minus First 80 FTEs Planning reminders for 2015 & % of All FTE for 2016 Minus First 30 FTEs for 2016 Shared Responsibility Requirement Waiting Period Requirement*: Shared Responsibility Offer Coverage No Later Than 1st of the Month Following 3 Months Waiting Period Offer Coverage No Later Than 91st day * Different penalties (shared responsibility, $ or $250/mo; waiting period $100/ee/day) AND different populations (shared responsibility = only Full-time employees, waiting period = any employee) How to Prepare for 2015 Health Care Reform Challenges 20

22 Employer Shared Responsibility Transitions: Dependent Coverage Exception Final Regulations: Extends dependent transition rule to 2015 plan year: Applies only to dependents not offered coverage for 2013 and 2014 plan years or only offered less than minimum essential coverage Does not apply to dependents offered minimum essential coverage in either the 2013 or 2014 plan years where coverage was later dropped Must offer dependent coverage after 2015 plan year Excludes non-citizens unless live in contiguous country, excludes foster & stepchildren *Under Employer Shared Responsibility Rules, the employer must extend dependent coverage through the end of the month. Note: This is different than the 2010 Dependent Coverage Rules. How to Prepare for 2015 Health Care Reform Challenges 21

23 Employer Shared Responsibility Transitions Affordability Safe Harbors Clarified: W-2: Single tier employee contribution for lowest option offering minimum value cannot exceed 9.5% of current year Box 1 W-2 wages. If part-year eligible, regulations pro-rate multiply Box 1 W-2 wages times fraction (numerator = months coverage offered, denominator = months of employment (1 day = 1 month)) Determined at year end. Rate of pay: Monthly single tier contribution for lowest option offering minimum value cannot exceed 9.5% of hourly rate * 130 (rate as of 1 st day of coverage period); salaried employees, 9.5% of salary as of 1 st day of the coverage period. Federal Poverty Level: If FPL is $11,670 (2014), monthly single tier contribution for lowest minimum value plan cannot exceed $92.39, determined as of the 1 st day of the coverage period. Coverage period is generally the 1 st day of the plan year. How to Prepare for 2015 Health Care Reform Challenges 22

24 Employer Shared Responsibility Full-Time Employee Safe Harbor Full-time employee defined: Employed on average of 30 hours of service per week or more (130 hours of service in any calendar month is considered to be 30 hours per week) An hour of service is each hour for which employee is paid, or entitled to payment, for performance of duties Paid leave hours for vacation, holiday, illness, incapacity (including disability), lay off, jury duty, military duty or leave of absence: no limit to the hours that may be credited for paid leave An hour of service hours of service worked outside United States An hour of service generally does not include periods of Workers Compensation, unemployment compensation or disability insurance benefits (including state disability) for hours that would have been worked by the employee How to Prepare for 2015 Health Care Reform Challenges 23

25 Employer Mandate Part Time, Variable Hour & Seasonal Employees LOOK BACK ADMINISTRATIVE PERIOD STABILITY PERIOD Measurement period in which the employer measures an employee s hours of service Implementation of the look-back period observations, e.g., identification of full time workers and enrollment in the plan The period during which determination of full time or part time EEs applies (Notedoes not automatically confer eligibility) How to Prepare for 2015 Health Care Reform Challenges 24

26 Employer Shared Responsibility Look Back Method Ongoing Employees Ongoing employee: an employee who has been employed for a complete standard measurement period. Standard measurement period Employer chooses period of 3 to 12 months, need not be calendar months. May adjust based on payroll periods: Start the 1st pay period after 1st day of initial measurement period, end with pay period that includes the last day of the initial measurement period, or Start with pay period including 1st day of the initial measurement period, end with the pay period that ends immediately before the last day of the initial measurement period. Standard stability period: Immediately following coverage period (in)eligibility: If average 30+ hours, greater of length of standard measurement period or six months, If NOT average 30 hours, length of standard measurement period Standard administrative period: Period immediately following the standard measurement period and immediately prior to standard stability period; maximum length of up to 90 days How to Prepare for 2015 Health Care Reform Challenges 25

27 Look Back Measurement Method 12 month, calendar year measurement period First Standard Measurement Period 10/15/14-10/14/15 First Administrative Period 10/15/15-12/31/15 First Stability Period 1/1/16-12/31/16 Assumes calendar year benefit year, plan year; employers should always review with counsel before implementation Second Standard Measurement Period 10/15/15-10/14/16 Second Administrative Period 10/15/16-12/31/16 Second Stability Period 1/1/17-12/31/17 How to Prepare for 2015 Health Care Reform Challenges 26

28 Employer Shared Responsibility Measuring New Variable Hour Employees New variable/seasonal employees Variable Hour Employee: work hours are variable and uncertain, as of the start date, based on all facts and circumstances. The employer does not reasonably expect the individual to average of 30 or more hours/week during the Initial Measurement Period. NOTE: Variable Hour factors: Final regulations: Factors to consider include, but are not limited to: Replacing a Full-time employee Same or comparable positions have varied above and below an average of 30 hours of service per week during recent measurement periods Whether the job was advertised or otherwise documented (for example, through a contract or job description), as requiring hours of service that would average 30 or more hours of service per week or less than 30 hours of service per week May not take into account the likelihood that the employee may terminate employment. How to Prepare for 2015 Health Care Reform Challenges 27

29 Employer Shared Responsibility Measuring New Variable Hour Employees New variable/seasonal employees Start Date: 1 st date on which the employee is credited an hour of service Initial Measurement Period: At least 3 months but not more than 12 months (need not be calendar months) - start with the Start Date (or later, but not later than the 1 st of the following month or the 1 st of the following pay period) Initial Stability Period: If average 30 hrs/wk, same as measurement period, but minimum of six months, If NOT average 30 hrs/wk, same length as measurement period Stability period length must be the same for new and ongoing employees? Initial Administrative Period: Up to 90 days following initial measurement period, but combined initial measurement and administrative period cannot exceed 1 st of the month following thirteen full calendar months of service (last day of the 1 st calendar month beginning on or after the employee s first anniversary date) How to Prepare for 2015 Health Care Reform Challenges 28

30 Look Back Measurement Method 12 month initial measurement period May 10 new hire 2015 Hired 5/10/15 Measurement Period 5/10/15 5/9/16 Administrative Period 5/10/2016 6/30/2016 First Stability Period 7/1/2016 6/30/ Standard Measurement Period 10/15/15-10/14/16 Standard Measurement Period 10/15/16 10/14/17 How to Prepare for 2015 Health Care Reform Challenges 29

31 Employer Shared Responsibility Applying Different Periods Variation of Period Length Measurement, stability and administrative periods must generally be uniform lengths for all employees, but may vary between the following categories: CBA vs. non-cba Hourly vs. Salaried Different CBAs Different States Different Employer Members Note: Specific limits apply to transferred individuals (best of both worlds) Changing Measurement & Stability Periods Can prospectively change measurement and related stability periods cannot change periods that have already begun. Regulations do not specifically confirm ability to prospectively change initial measurement and initial stability period. How to Prepare for 2015 Health Care Reform Challenges 30

32 Eligibility Mandates To Avoid Penalties Employee Classifications Post-PPACA Full time Eligibility following satisfaction of waiting/orientation period Part time Eligibility following close of initial measurement period (if 30+) Variable Hour Eligibility following close of initial measurement period (if 30+) Seasonal Eligibility following 180 days of service (if 30+ during first 180 days) How to Prepare for 2015 Health Care Reform Challenges 31

33 Employer Mandate Final Regulations on Waiting Periods Health coverage eligibility conditions based solely on the lapse of a time period are permissible for no more than 90 days Period before late or special enrollment is not waiting period If Plan conditions eligibility on FT/specific hours of service and employer reasonably believes the EE will not be FT, Plan can use a measurement period that: does not exceed 12 months begins on any date between start date and first day of first calendar month following start date and coverage is effective no later than 13 months from start date, plus time remaining until first day of next calendar month How to Prepare for 2015 Health Care Reform Challenges 32

34 Employer Mandate Proposed Rulemaking on the Federal Orientation Period New reasonable and bona fide employment-based orientation period" in addition to 90-day waiting period May delay waiting period until orientation period is complete First calendar month following hire, minus one calendar day Orientation period must end on/before end of next calendar month How to Prepare for 2015 Health Care Reform Challenges 33

35 Section Three EMPLOYER REPORTING

36 Benefits Reported Any type of group health benefit providing Minimum Essential Coverage ( MEC ) to Applicable Large Employer ( ALE ) employees Plans Reported: Insured Self-Insured Grandfathered Non-Grandfathered Retiree-only benefits (reporting is required because of Individual Mandate, not Employer Mandate) Plans NOT Reported: HIPAA-excepted insured & self-insured benefits (i.e. dental, vision, EAP) HSA (however HDHP is reported) HRA supplementing MEC Health insurance coverage in connection with government-sponsored programs (e.g., Medicaid, Medicare Advantage, and Children s Health Insurance Program) Wellness program which is part of MEC MEC that supplements primary health plan of same employer MEC that supplements government-sponsored coverage How to Prepare for 2015 Health Care Reform Challenges 35

37 Reporting Obligations Minimum Essential Coverage 6055 Employer Shared Responsibility (Pay or Play) 6056 To IRS All individuals enrolled in Minimum Essential Coverage ( MEC ) To Individuals Statement to each responsible Individual who enrolls self or others To IRS All full time employees To Employees who were full time for at Least one month during year Penalties - $100/return up to $1.5 million annually How to Prepare for 2015 Health Care Reform Challenges 36

38 Reporting Obligations Self-Insured Plans Self-Insured Plans (Employer Responsible for both*) MEC and Employer Shared Responsibility ( Pay or Play ) Info *Can contract with third party to perform filing Employee Statement Form 1095-C IRS Transmittal Form 1094-C How to Prepare for 2015 Health Care Reform Challenges 37

39 Reporting Obligations Fully Insured Plans Fully-Insured Plans Insurer Responsibility MEC Information Employer Responsibility ESR ( Pay or Play ) Info. IRS Transmittal Form 1094-B IRS Transmittal Form 1094-C Employee Statement Form 1095-B Employee Statement Form 1095-C How to Prepare for 2015 Health Care Reform Challenges 38

40 IRS Reporting for Shared Responsibility Penalty Internal Revenue Code Sections 6055 and 6066 require reporting to IRS from employers related to Shared Responsibility Penalty requirements of PPACA Draft Forms have been released Forms 1094 & 1095 will be filed with individuals Willis Webcast on December 2 (replay available) with detailed discussion Willis Essentials Main Page, bottom right for all replays How to Prepare for 2015 Health Care Reform Challenges 39

41 IRC 6055 & IRC Plan Year Due in 2016 I. Individual statements by 1/31 II. Electronic filing if > 250 III. IV. Calendar year reporting, regardless of plan year 3/31 (electronic, else 2/28), IRS transmittal form If MEC only (Form 1094-B & 1095-B), if ESR only or MEC & ESR (Form 1094-C & 1095-C) Can combine MEC & ESR reports if self-insured How to Prepare for 2015 Health Care Reform Challenges 40

42 Health Plan Identifier - HPID November 5, 2014 due date for large plans ($5 million or more in receipts) November 5, 2015 for other plans October 31, 2014 Never mind! We ll get back to you. How to Prepare for 2015 Health Care Reform Challenges 41

43 SBC Updates Open Enrollment/Plan Year On or After or if none, Plan Year Proposed Regulations - New and Updated Documents Additional example SBC template 2 ½ Double-sided pages Rules to avoid unnecessary duplication Any entity that provides qualifying SBC will suffice for all others but must monitor other entities One SBC for all participants and beneficiaries at same address (as long as not different from prior last known address) SBC only needs to be provided for those benefits for which the participant is auto-enrolled or re-enrolled How to Prepare for 2015 Health Care Reform Challenges 42

44 SBC Updates Open Enrollment/Plan Year On or After or if none, Plan Year Proposed Regulations - New and Updated Documents cont. Sample completed SBC - sample group health coverage and general illustration of completed SBC Instructions - separate instructions for group health coverage and for individual health insurance coverage Why This Matters language Coverage examples. The Federal Register Notice, together with information provided in Microsoft Excel format by HHS at (and accessible via hyperlink from provides all the information necessary to perform the coverage example calculations Uniform Glossary How to Prepare for 2015 Health Care Reform Challenges 43

45 Section Four TRANSITIONAL REINSURANCE PROGRAM

46 Transitional Reinsurance Fee Overview PPACA Section 1341 established a transitional reinsurance program. Stated purpose to stabilize premiums in the individual market inside and outside of the Marketplaces. Collects contributions from contributing entities to fund reinsurance payments to issuers of non-grandfathered reinsurance-eligible individual market plans for the 2014, 2015 and 2016 benefit years. Impact on employers is for self-funded plans. Insured plans will depend on insurers to comply. How to Prepare for 2015 Health Care Reform Challenges 45

47 Transitional Reinsurance Fee Who Contributes Contributing Entities: Major Medical Coverage : Health insurance issuers Certain self-insured group health plans offering major medical coverage that is part of a commercial book of business Exceptions: - Medicare, Medicaid, CHIP or state high-risk pools - Coverage that is not issued on a form filed and approved by a state insurance department (expatriate coverage may fall within this category) - Coverage only for a specified disease or illness and hospital indemnity or other fixed indemnity insurance - Stand-alone dental or vision plans - Liability insurance, including general liability and automobile - Workers compensation - Credit-only insurance - Long-term care - Health flexible spending accounts (FSAs) that meet the definition of an excepted benefit A catastrophic plan An individual or a small group market plan subject to the actuarial value requirements Health coverage for a broad range of services and treatments provided in various settings that provides minimum value - Employee assistance programs, disease management or wellness program as long as the program does not provide for major medical coverage - Stop-loss coverage - Health savings accounts (HSAs) (although reinsurance contributions are required for the high deductible health plan) - Health reimbursement arrangements (HRAs) integrated with a group health plan (although reinsurance contributions are required for the group health plan) - Tribal coverage offered to tribal members, their spouses and dependents, in their capacity as tribal members How to Prepare for 2015 Health Care Reform Challenges 46

48 Transitional Reinsurance Fee Deadlines HHS will offer contributing entities the option to pay: (1) the entire 2014 benefit year contribution in one payment no later than January 15, 2015 reflecting $63.00 per covered life; or (2) in two separate payments for the 2014 benefit year, with the first remittance due by January 15, 2015 reflecting $52.50 per covered life, and the second remittance due by November 15, 2015 reflecting $10.50 per covered life. For 2015 and 2016, self-insured group health plans that do not use a third party administrator (TPA) for claims payment, claims adjudication or enrollment would not be treated as contributing entities and would be exempt from making reinsurance contributions. (The change does not apply to the 2014 benefit year.) How to Prepare for 2015 Health Care Reform Challenges 47

49 Transitional Reinsurance Fee Covered Lives Methods for calculating the average number of lives for a self-insured group: The Actual Count Formula: Total Lives Covered Each Day of First 9 Months of Calendar Year Total Number of Days in First 9 Months Calendar Year The Snapshot Formula: Total EE-Only Lives Covered + (2.35 x EE-Other Covered) On Select Day of 1 st, 2 nd, or 3 rd Month of the 1 st, 2 nd, and 3 rd Quarter Total Days Counted The Form 5500 Formula: Formula: Self-Only Coverage: (Beginning of Year 5500 Participant Count + End of Year 5500 Participant Count) 2 Self and Other Coverage: Beginning of Year 5500 Participant Count + End of Year 5500 Participant Count *A plan sponsor must use the same method for the duration of a calendar year; however, a different method may be used from one calendar year to the next. How to Prepare for 2015 Health Care Reform Challenges 48

50 Transitional Reinsurance Fee How to Contribute Must register on Pay.gov. Using Pay.gov, access the ACA Transitional Reinsurance Program Annual Enrollment and Contributions Submission Form to enter the annual enrollment count. The ACA Transitional Reinsurance Program Annual Enrollment and Contributions Submission Form will auto-calculate the annual contribution amount to be remitted based on the annual enrollment count. The contributing entity will then schedule payment for the calculated reinsurance contributions on the payment page. How to Prepare for 2015 Health Care Reform Challenges 49

51 Section Five PLAN CERTIFICATION OVERVIEW

52 Certification Overview BACKGROUND What Is Plan Certification? Mandate that each HIPAA-covered entity file two one-time certifications with HHS. What Is The Purpose Of Plan Certification? Attest that the plan is in compliance with certain standard transactions and operating rules. Why Do You Need To Complete Plan Certification? Mandated under PPACA. How to Prepare for 2015 Health Care Reform Challenges 51

53 Who When What If Certification Need to Know Who, When, And What If? Controlling Health Plan Group Health Plan Self-Insured Insured Health Insurers & HMOs Subhealth Plan Large Plan 1 st Certification: December 31, nd Certification: December 31, 2015* Small Plan 1 st :Complete By: December 31, nd Certification: December 31, 2015* No Plan Certification $1 per covered life for every day the CHP failed to comply with certification. Maximum of $20 per covered life. * Awaiting Proposed Regulations How to Prepare for 2015 Health Care Reform Challenges 52

54 Certification Process Who? The obligation for these certifications technically rests with the health plan. Insured Look to Insurance Carrier for Compliance with Certification Requirements Self-Insured Look to TPA for Help with Certification Requirements Compliance *The plan should verify that its insurers or third party administrators, as applicable, are complying with the standard transaction criteria. How to Prepare for 2015 Health Care Reform Challenges 53

55 Certification Process Standard Transactions Under the HHS proposed regulations, a CHP must obtain the first certification from an outside third party, the Council for Affordable Quality Healthcare Committee on Operating Rules for Information Exchange (CAQH CORE), stating that the plan is electronically conducting the following standard transactions in a proper manner. 1 st Certification (Proposed Regulations Issued) Eligibility Claims Status Electronic Funds Transfer & Remittance Advice 2 nd Certification (Awaiting Regulatory Guidance) Claims & Encounter Information Enrollment & Disenrollment Premium Payments Claims Attachment Authorization & Referrals How to Prepare for 2015 Health Care Reform Challenges 54

56 Certification Process 1 st Certification Where And How? Phase III CORE Seal Certification HIPAA Credential Certification Three Phase External Third Party Testing through CAQH CORE External Third Party Testing through CAQH CORE When a plan successfully completes a phase of testing and submits the appropriate documentation to CAQH CORE, the plan receives a CORE Seal for that phase. CAQH CORE is currently developing the criteria for the HIPAA Credential certification. The First Certification attestation submitted to HHS also must include information on the number of covered lives under the CHP Major Medical Policies as of the date the plan files the required documentation with HHS. A Major Medical Policy is defined as an insurance policy that covers accident and sickness and provides outpatient, hospital, medical and surgical expense coverage. It is unclear whether the definition includes a dental, vision, long-term care or EAP insurance policy. Nor is it clear whether a self-insured plan is required to submit covered lives information, although from the language used by HHS in the proposed regulations it appears that this requirement does not apply to self-insured plans. How to Prepare for 2015 Health Care Reform Challenges 55

57 Certification Process What We Don t Know Yet NLRG Continues To Monitor Any Changes What are the testing criteria, processes and procedures for the Second Certification? Will the deadline for the Second Certification be delayed? What are the final testing criteria and procedures for the Phase III CORE Seal certification? What are the testing criteria and procedures for the HIPAA Credential certification? Does the covered lives submission apply to self-insured plans? Are self-insured plans subject to penalties for failure to comply with the certification requirements? How to Prepare for 2015 Health Care Reform Challenges 56

58 Section Six PREPARATION FOR 2015 AND BEYOND

59 Cumulative Increases: How to Prepare for 2015 Health Care Reform Challenges 58

60 Cadillac Tax: Potentially Impact Average Plans Cost Projection Year Family of Four 2013 $ 22, $ 23, $ 25, $ 27, $ 28, $ 31,043 AVG COST, FAMILY OF FOUR, Milliman Medical Index: average annual increase ( ) = 7.1%; 2018 Threshold for Family Coverage: $27,500 How to Prepare for 2015 Health Care Reform Challenges 59

61 Enrollment in high-deductible plans has tripled since 2009

62 Most employers are considering or already offer a highdeductible plan as the only option for employees

63 Private Exchanges Private marketplaces for insurance and other products Offer a consumer-friendly way to purchase health insurance and other benefits assisted by interactive technology WHAT IS A PRIVATE INSURANCE EXCHANGE? Come in many different models and sizes and offer an array of choices in regards to benefits and costs Generally sponsored by employers who wish to replace the traditional manner in which they offer benefits How to Prepare for 2015 Health Care Reform Challenges 62

64 The Exchange Spectrum + Employer Involvement - Private Exchanges Traditional ER Sponsored Group Plans Single carrier Exchanges- Group Plans Multi carrier Exchanges- Group Plans Multi carrier Exchanges - Individual Plans Public Exchanges Operational today Operational today Operational today Operational today Operational in 2014 High employer engagement Less employee choice Group based model Single or limited multi-carrier models Employer subsidies with DB approach 3 rd party or insurer host Insured or selfinsured Employer subsidizes through DC Employerdetermined plan offering but less involved Single carrier per LOC per employer group 3 rd party host Employer subsidies possible (DC) Insured or self insured Less employer involvement in plan offerings Insurers compete for individuals Post enrollment risk adjustment may be required Employer subsidies possible Various attributes / types which differ by third party host capabilities Insured individual products Significant focus on retiree population Governmental subsidies included Various attributes / types which differ by state model Employer has no control Insured individual products How to Prepare for 2015 Health Care Reform Challenges 63

65 Health Care Reform Strategic Response confirm compliance Who are newly eligible (new FT def., 90 day max. waiting period)? Who are currently eligible but not enrolled (employee/spouse/child, enhanced audit) Who are PT with (potential) access to subsidized exchange coverage Have the strategic discussions Status quo? Will 2014 and 2015 carry over into 2016? Coverage strategy or vision full & part time employees Define PPACA compliance success agree on measures, metrics Defined Contribution/High Deductible Plan? Private Exchange options? Communicate with employees They discount value of existing coverage Reset expectations as compared to myths about health care reform For most employees, so far, health reform appears FREE! Reset your and employee expectations about stability Change is going to be the norm for at least several years How to Prepare for 2015 Health Care Reform Challenges 64

66 EVENT How to TITLE Prepare for 2015 Health Care Reform Challenges NEO RIMS Meeting-February 17, 2015 Kate Hubben, CSFS, MPA Client Advocate Willis Human Capital Practice

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