Health Care Reform after the Supreme Court Decision Sharon Cohen, Mary Harrison, Tami Simon, and Rich Stover July 11, 2012
Introductions Sharon Cohen is a principal in our Knowledge Resources group and is based in Washington, DC. She is a lawyer with more than 20 years experience in the employee benefits field and previously worked for the IRS Office of Chief Counsel. Mary Harrison is a principal in our Health and Productivity practice and is based in New York. She has more than 25 years of human resources experience combining both consulting and in-house benefits planning to help companies comply with the legal requirements of life, health, and disability plans. Tami Simon is the managing director of our Knowledge Resources group, responsible for Buck s national multi-practice legal analysis and publications, government relations, research, surveys, training, and knowledge management. She is a lawyer with more than 15 years experience in consulting and private law practice. Rich Stover is a principal and consulting actuary in our Health and Productivity practice and is based in our Secaucus, New Jersey office. Rich has provided health care strategies and compliance services to Buck s clients for more than 25 years. 2
Today s agenda The Supreme Court s decision The political outlook Employer timeline Short-term implications Long-term implications Employer strategies 3
The Supreme Court s decision 4
The decision Several lower court law suits wrapped into one Anti-Injunction act doesn t apply Individual mandate upheld Medicaid expansion limited 5
Political outlook 6
Polling question #1 Will the upcoming November elections affect your organization s health care benefit strategy? No, we are moving ahead with our current strategy Yes, we are planning to implement only short-term requirements effective this year Yes, we aren t implementing anything until after the election is over Don t know yet 7
Current state of affairs Health care costs continue to rise Cost remain a major concern for employers and individuals Views on the ACA in wake of Supreme Court decision evenly divided along party lines Could remain a highly charged issue in the upcoming elections 8
Cumulative increases in health insurance premiums, workers contributions to premiums, inflation, and workers earnings, 1999-2011 Source: Kaiser/HRET Survey of Employer-Sponsored Health Benefits, 1999-2011. Bureau of Labor Statistics, Consumer Price Index, U.S. City Average of Annual Inflation (April to April), 1999-2011; Bureau of Labor Statistics, Seasonally Adjusted Data from the Current Employment Statistics Survey, 1999-2011 (April to April). 9
Average annual premiums for single and family coverage, 1999-2011 1999 2000 2001 2002 2003 2004 2005 2006 2007 2008 2009 2010 2011 $2,196 $2,471* $2,689* $3,083* $3,383* $3,695* $4,024* $4,242* $4,479* $4,704* $4,824 $5,049* $5,791 $5,429* $6,438* $7,061* $8,003* $9,068* $9,950* $10,880* $11,480* $12,106* Single Coverage Family Coverage $12,680* $13,375* $13,770* $15,073* $0 $2,000 $4,000 $6,000 $8,000 $10,000 $12,000 $14,000 $16,000 * Estimate is statistically different from estimate for the previous year shown (p<.05). Source: Kaiser/HRET Survey of Employer-Sponsored Health Benefits, 1999-2011. 10
Political outlook ACA is the law of the land Prior to November elections Implementation continues Regulations proposed and finalized Exchange implementation Questions remain Republicans will try to disrupt implementation Votes for repeal Hearings Remains a campaign issue for both parties 11
How the politics could play out Election Outcome Pres: R Senate: R House: R Pres: R Senate: D House: R Pres: R Senate: D House: D Pres: D Senate: R House: R Pres: D Senate: D House: R Pres: D Senate: D House: D Possible Actions Repeal and/or replace likely Implementing slowed Less enforcement New agency leadership Repeal, replace, delay, defund Senate will be a road block New agency leadership New agency leadership Less enforcement Implementing slows Implementing continues Congress action to repeal/replace Technical corrections, legislation blocked Pres. veto Agency direction same Implementing continues Efforts in House to stall, defund Technical corrections, additional legislation blocked Agency direction same Implementing continues Agency direction same 12
Employer timeline 13
Uniform summary of benefits and coverage (SBC) - effective for open enrollment periods beginning on/after September 23, 2012 Form W-2 reporting of health coverage for 2012 tax year begins Self-funded plans must have external appeal contracts with 3 or more independent review organizations ERRP funds exhausted Plans may begin to receive medical loss ratio (MLR) rebates Health care reform timeline 2012 and beyond Selected provisions for calendar-year plans note effective dates may vary for non-calendar year plans Health Care FSA contributions capped at $2,500 Retiree drug subsidy deduction ends Additional preventive services for women must be covered at 100% Comparative effectiveness research tax fees must be paid Medicare Hospital Insurance tax increased for high income filers Medicare tax applies to investment income of high income filers Excise tax on medical device manufacturers Employer notice of state insurance exchanges and premium credits 60-day advance notice of mid-year changes (Notice of Material Modification) required 40% excise tax on high-cost insurance (Cadillac tax) established 2012 2013 2014 2015 2016 2017 2018 2019 2020 Employer reporting of health insurance coverage Annual dollar limits prohibited on essential health benefits Pre-existing condition exclusions prohibited for all enrollees Child coverage to 26 even if eligible for other coverage Waiting periods over 90 days no longer permitted Coverage of routine patient costs in connection with clinical trials Limitations on maximum deductibles and out of pocket limits Plans may not discriminate against providers with respect to plan participation Auto enrollment required (effective date delayed) Individual/employer shared responsibility provisions effective State health insurance exchanges established Low income premium subsidy available for Exchange coverage HIPAA wellness incentives limits increased to 30% States may open insurance exchanges to large employers Part D donut hole filled Provisions in blue italics only apply to new plans or plans that have lost grandfathered status. For information regarding 2010 and 2011 Health Care Reform provisions see Buck Consultants timeline. Note that plans losing grandfathered status will need to satisfy some of these provisions. 14
Polling question #2 Which of the following ACA rules concerns your organization the most? Summary of Benefits and Coverage (SBC) Employer shared responsibility penalty Form W-2 reporting The high cost plan tax (Cadillac tax) Automatic enrollment 15
Short-term Implications for employers 16
Uniform summary of benefits and coverage (SBC) - effective for open enrollment periods beginning on/after September 23, 2012 Form W-2 reporting of health coverage for 2012 tax year begins Self-funded plans must have external appeal contracts with 3 or more independent review organizations ERRP funds exhausted Plans may begin to receive medical loss ratio (MLR) rebates A focus on 2012 Selected provisions for calendar-year plans note effective dates may vary for non-calendar year plans Health Care FSA contributions capped at $2,500 Retiree drug subsidy deduction ends Additional preventive services for women must be covered at 100% Comparative effectiveness research tax fees must be paid Medicare Hospital Insurance tax increased for high income filers Medicare tax applies to investment income of high income filers Excise tax on medical device manufacturers Employer notice of state insurance exchanges and premium credits 60-day advance notice of mid-year changes (Notice of Material Modification) required 40% excise tax on high-cost insurance (Cadillac tax) established 2012 2013 2014 2015 2016 2017 2018 2019 2020 Employer reporting of health insurance coverage Annual dollar limits prohibited on essential health benefits Pre-existing condition exclusions prohibited for all enrollees Child coverage to 26 even if eligible for other coverage Waiting periods over 90 days no longer permitted Coverage of routine patient costs in connection with clinical trials Limitations on maximum deductibles and out of pocket limits Plans may not discriminate against providers with respect to plan participation Auto enrollment required (effective date delayed) Individual/employer shared responsibility provisions effective State health insurance exchanges established Low income premium subsidy available for Exchange coverage HIPAA wellness incentives limits increased to 30% States may open insurance exchanges to large employers Part D donut hole filled Provisions in blue italics only apply to new plans or plans that have lost grandfathered status. For information regarding 2010 and 2011 Health Care Reform provisions see Buck Consultants timeline. Note that plans losing grandfathered status will need to satisfy some of these provisions. 17
Summary of benefits and coverage (SBC) Due first open enrollment period beginning on or after Sept. 23, 2012 Jan. 1, 2013 for calendar year plans Required for all health plans (small and large employers) Four page standardized summary of health benefits SBC used for participants to understand and compare coverage option May be delivered by mail or electronically Content flexibility if plan terms can t be reasonably described 60 day advance notice of material modifications to the SBC Begin preparing your SBCs now! Coordinate with enrollment and other vendors 18
Form W-2 reporting Informational reporting of aggregate cost of employer-sponsored health coverage 2012 Form W-2 (issued January 2013) Reportable cost based on December 31 st information Flexibility for terminated employees Does not apply to employers issuing fewer than 250 Form W-2 s Calculated using COBRA calculation methods Report medical coverage Exemptions HRA, EAPs, wellness, on-site clinics, multi-employer plans Special rule for health FSA No reporting for salary reduction dollars Begin determining what coverage is reportable Coordinate with vendors 19
Uniform summary of benefits and coverage (SBC) - effective for open enrollment periods beginning on/after September 23, 2012 Form W-2 reporting of health coverage for 2012 tax year begins Self-funded plans must have external appeal contracts with 3 or more independent review organizations ERRP funds exhausted Plans may begin to receive medical loss ratio (MLR) rebates A focus on 2013 Selected provisions for calendar-year plans note effective dates may vary for non-calendar year plans Health Care FSA contributions capped at $2,500 Retiree drug subsidy deduction ends Additional preventive services for women must be covered at 100% Comparative effectiveness research tax fees must be paid Medicare Hospital Insurance tax increased for high income filers Medicare tax applies to investment income of high income filers Excise tax on medical device manufacturers Employer notice of state insurance exchanges and premium credits 60-day advance notice of mid-year changes (Notice of Material Modification) required 40% excise tax on high-cost insurance (Cadillac tax) established 2012 2013 2014 2015 2016 2017 2018 2019 2020 Employer reporting of health insurance coverage Annual dollar limits prohibited on essential health benefits Pre-existing condition exclusions prohibited for all enrollees Child coverage to 26 even if eligible for other coverage Waiting periods over 90 days no longer permitted Coverage of routine patient costs in connection with clinical trials Limitations on maximum deductibles and out of pocket limits Plans may not discriminate against providers with respect to plan participation Auto enrollment required (effective date delayed) Individual/employer shared responsibility provisions effective State health insurance exchanges established Low income premium subsidy available for Exchange coverage HIPAA wellness incentives limits increased to 30% States may open insurance exchanges to large employers Part D donut hole filled Provisions in blue italics only apply to new plans or plans that have lost grandfathered status. For information regarding 2010 and 2011 Health Care Reform provisions see Buck Consultants timeline. Note that plans losing grandfathered status will need to satisfy some of these provisions. 20
Medical loss ratio (MLR) rebates Rebates from insurance companies failing to meet 2011 MLR standards Insurers required to pay 2011 rebates by August 2012 MLR requires insurers to spend minimum percentage on medical claims and improving health care quality 85% for large group market (more than 50 employees) 80% for small and individual group market ERISA and IRC implications for rebates received by plan sponsor Insurers may seek employer data Determine if rebates are plan assets Use rebates for appropriate expenses 21
Health FSA limit Salary reduction amounts capped at $2,500 Limit applied on plan year basis (not tax year) Effective for plan years beginning on or after January 1, 2013 Cashable credits counted, but non-elective employer credits not counted Plan amendment due by December 31, 2014 22
Preventive services for women Nongrandfathered plans must cover preventive services without cost-sharing effective for plan years beginning on or after August 1, 2012 Includes additional preventive care and screening Target to unique needs of women Well-woman visits Gestational diabetes screening Human Papillomavirus (HPV) DNA Testing Annual counseling and screening for HIV and other sexually-transmitted diseases FDA-approved contraception methods and counseling Breast feeding support, supplies, and counseling Domestic violence screening and counseling Certain religious employers exempted Review relevant plans to determine compliance Coordinate with vendors 23
Comparative effectiveness fees A temporary fee paid to the IRS to fund national research on clinical effectiveness of various medical treatment and services Generally, applies to: Insured plans fee paid by insurer Self insured plans fee paid by plan sponsor Doesn t apply to HIPAA excepted benefit or most health FSAs Effective plan and policy years ending after September 30, 2012 Amount of fee (paid by July 31 st of the following calendar year) $1 in 2012; $2 in 2013; indexed through 2018 Determine fee amount required Consider increases in cost of coverage, administrative, and record keeping tasks 24
New taxes Increase in Medicare Hospital Insurance tax Additional 0.9% Medicare payroll tax for employees (not employers) for wages over $200,000 2.3% excise tax on medical device manufacturers Employer responsible only for collecting Medicare payroll tax 25
Exchange notice Notices provided to all employees about availability of coverage offered through Exchange (offered in 2014) No later than March 1, 2013 and include: Description of exchange and services Exchange contact information If relevant, statement that employee may be eligible for premium tax credits and cost-sharing reductions If relevant, statement that employees who purchase coverage through the exchange will lose employer contributions Guidance not yet issued Compliance likely not necessary until guidance issued Consider timing and distribution of notice 26
Long-term implications for employers 27
Uniform summary of benefits and coverage (SBC) - effective for open enrollment periods beginning on/after September 23, 2012 Form W-2 reporting of health coverage for 2012 tax year begins Self-funded plans must have external appeal contracts with 3 or more independent review organizations ERRP funds exhausted Plans may begin to receive medical loss ratio (MLR) rebates A focus on 2014 and beyond Selected provisions for calendar-year plans note effective dates may vary for non-calendar year plans Health Care FSA contributions capped at $2,500 Retiree drug subsidy deduction ends Additional preventive services for women must be covered at 100% Comparative effectiveness research tax fees must be paid Medicare Hospital Insurance tax increased for high income filers Medicare tax applies to investment income of high income filers Excise tax on medical device manufacturers Employer notice of state insurance exchanges and premium credits 60-day advance notice of mid-year changes (Notice of Material Modification) required 40% excise tax on high-cost insurance (Cadillac tax) established 2012 2013 2014 2015 2016 2017 2018 2019 2020 Employer reporting of health insurance coverage Annual dollar limits prohibited on essential health benefits Pre-existing condition exclusions prohibited for all enrollees Child coverage to 26 even if eligible for other coverage Waiting periods over 90 days no longer permitted Coverage of routine patient costs in connection with clinical trials Limitations on maximum deductibles and out of pocket limits Plans may not discriminate against providers with respect to plan participation Auto enrollment required (effective date delayed) Individual/employer shared responsibility provisions effective State health insurance exchanges established Low income premium subsidy available for Exchange coverage HIPAA wellness incentives limits increased to 30% States may open insurance exchanges to large employers Part D donut hole filled Provisions in blue italics only apply to new plans or plans that have lost grandfathered status. For information regarding 2010 and 2011 Health Care Reform provisions see Buck Consultants timeline. Note that plans losing grandfathered status will need to satisfy some of these provisions. 28
Design requirements for 2014 All plans: No annual dollar limits on essential health benefits Coverage of all adult children to age 26, even if other coverage Waiting periods 90 days or less No pre-existing condition limitations Auto enrollment (likely delayed) Reporting of coverage info to participants and IRS (2014 reporting required in 2015) Nongrandfathered plans: Maximum deductibles of $2,000 single / $4,000 family Out-of-pockets limit capped at HSA levels HIPAA wellness incentives increased from 20% to 30% Coverage of routine patient costs for clinical trials Provider non-discrimination requirements 29
New taxes Additional taxes that will be paid either directly or indirectly by plan sponsors: Exchange reinsurance program tax of $25 billion that will apply to insured and self funded plans from 2014 to 2016 Health insurance industry tax starting at $8 billion in 2014, that will apply to insured plans Cadillac Plan excise tax that starts in 2018 Speak to your tax advisors Begin modeling to see if your plan will be subject to excise tax 30
Employer shared responsibility in 2014 Employers with 50 or more full-time employees must offer health coverage to their full-time employees and their dependents No minimum employer subsidy level required Penalty: $2,000 per full-time employee (excluding first 30) if no coverage offered and at least one employee gets Exchange subsidy If coverage is not affordable or does not provide at least minimum value, employer can be assessed a penalty Coverage must be affordable employee only contribution not greater than 9.5% of employee W-2 income Coverage must satisfy minimum value test 60% value Penalty: $3,000 per full time employee who enrolls in Exchange coverage and receives an Exchange subsidy 31
Who s a full-time employee? Per the state statute, employees working 30 hours per week or more Part-timer coverage not required For many employers, may not be a significant issue. For others Employers with large percentage of seasonal employees e.g., retail, amusement parks, tax preparers, etc. Employers with high turnover rates Employers with on-call staffs Regulators have asked for comments on how to define Run models to determine potential cost of penalty Consider employee population and benefit needs 32
Exchanges Most states have yet to establish exchanges or pass enabling legislation Will all states create Exchanges? Federal government will establish exchange if state doesn t Will the Exchanges be viable in 2014? Federal assistance available for all individuals with low incomes State and Federal roles States will: establish enrollment process, make eligibility determinations, certify qualified health plans, notify employers of employee eligibility for subsidies Federal government will: issue more exchange guidance, provide funding, issue rules for navigators Stay informed about your state s progress on establishing an exchange 33
Exchange plan options Platinum Gold Silver Bronze 90% 80% 70% 60% 34
Available coverage putting the pieces together 35
Polling question #3 What approach do you currently anticipate taking with active employee coverage in period 2014-2015? Drop employer-sponsored health care coverage Drop employer coverage and subsidize Exchange coverage Continue employer-sponsored health care coverage Still considering options 36
Employer strategies Three broad health care strategies that employers should consider: Drop employer-sponsored health care coverage Drop employer coverage and subsidize Exchange coverage Continue employer-sponsored health care coverage Strategies may differ by workforce segment Actives, early retirees, Medicare retirees Business unit/operation What is your employee attraction and retention policy? What are your health care costs? What is your corporate philosophy towards being an employer of choice? What are your competitors doing? What are the administrative challenges? 37
Employer strategies Annual Gross Pre-Tax Cost (in millions) 38
What are Buck resources? Buck resources on www.buckconsultants.com Research and insights > Ideas > Health Care Reform Buck FYI on the Supreme Court decision and other reform requirements Health Care Reform Comparison in Brief Health Care Reform Timeline Podcasts on reform topics such as: The Supreme Court decision SBCs 39
Questions? Sharon Cohen, JD Principal Knowledge Resources (202) 776-1027 sharon.r.cohen@buckconsultants.com Mary Harrison, JD Principal Health and Productivity (212) 330-1184 mary.harrison@buckconsultants.com Tami Simon, JD Managing Director Knowledge Resources (202) 776-1004 tami.simon@buckconsultants.com Rich Stover, FSA, MAAA Principal and Consulting Actuary Health and Productivity (201) 902-2684 richard.stover@buckconsultants.com 40