Disclaimer WHAT TO EXPECT FROM AN EBSA INVESTIGATION OUTLINE OF PRESENTATION

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WHAT TO EXPECT FROM AN EBSA INVESTIGATION United States Department of Labor Employee Benefits Security Administration Presented by Andy Cameron Senior Benefits Advisor, Seattle District Office Disclaimer This presentation may contain opinions of the presenter that may not comport with the official views of the U.S. Department of Labor and is meant for educational purposes only. 2 OUTLINE OF PRESENTATION Background on EBSA ERISA and fiduciary responsibility Types of investigations Investigation Projects EBSA investigation process Correction & VFCP Compliance assistance and other resources 3 1

THE EMPLOYEE BENEFITS SECURITY ADMINISTRATION (EBSA) General Organization Overview EBSA s Mission Statement The mission of the Employee Benefits Security Administration is to assure the security of the retirement, health and other workplace related benefits of America s workers and their families. We will accomplish this mission by: developing effective regulations; assisting and educating workers, plan sponsors, fiduciaries and service providers; and vigorously enforcing the law. 5 EBSA ORGANIZATIONAL CHART Assistant Secretary Deputy Assistant Secretary for Program Operations Deputy Assistant Secretary for Policy Office of Program Planning Evaluation and Management Office of Health Plan Standards and Compliance Assistance Office of Technology and Information Services Office of Enforcement Office of Regulations and Interpretations Office of Outreach Education & Assistance Office of Policy and Research Office of Exemption Determinations Office of the Chief Accountant Boston New York Philadelphia Atlanta Cincinnati Regional Offices Chicago Kansas City Dallas Los Angeles San Francisco 6 2

EBSA - STRUCTURE Nationa l Office Establishes policy and agency protocols Oversight of reporting and disclosure requirements Drafts regulations and interpretive guidance Conducts economic research to determine impact of policy and regulations on regulated community Conducts outreach such as the Health Benefits Education Campaign Regiona l Offices Conduct investigations of ERISA plans Provide compliance assistance through Benefit Advisors Conduct outreach to plan sponsors and other stakeholders 7 EBSA FIELD OFFICES Regional Offices District Offices 8 EBSA ENFORCEMENT STRATEGY Department of Labor Strategic Plan 2014-2018 EBSA Strategic Enforcement Plan This outlines the strategies the Department uses to guide the agency mission Last published in 2000, the primary purpose is to establish a general framework through which EBSA's enforcement resources may be efficiently and effectively focused to achieve the agency's policy and operational objectives National Published annually and publically available at Enforcement https://www.dol.gov/agencies/ebsa/about-ebsa/ouractivities/programs-and-initiatives Projects 9 3

ERISA BASICS FOR GROUP HEALTH PLANS EMPLOYEE RETIREMENT INCOME SECURITY ACT (ERISA) Applies to employee benefit plans sponsored by private sector employers and/or unions NOT government plans NOT church plans Other exclusions may apply Generally, ERISA allows the plan sponsor to decide whether to offer a plan and allows flexibility in the plan s benefit design. 11 A Few Basic Things a Group Health Plan Must Have: Governing plan document(s) must comply with ERISA A Summary Plan Description (SPD) provided to participants and beneficiaries Named Fiduciary Reasonable claims & appeals procedure Fidelity bond (to protect against dishonesty) unless the plan is funded solely by general assets of plan sponsor 12 4

REGULATION OF GROUP HEALTH PLANS ERISA Regulation Title I of ERISA applies to employee welfare benefit plans ERISA Preemption Group Health Plan Other Laws Include: Americans with Disabilities Act Pregnancy Discrimination Act Fair Labor Standards Act Public Health Service Act Internal Revenue Code 13 HEALTH LAWS INCLUDED IN ERISA PART 7 Consolidated Omnibus Budget Reconciliation Act (COBRA) Health Insurance Portability and Accountability Act (HIPAA) Mental Health Parity Act (MHPA) Newborns and Mothers Health Protection Act (Newborns Act) Women s Health and Cancer Rights Act (WHCRA) Genetic Information Nondiscrimination Act (GINA) Mental Health Parity and Addiction Equity Act (MHPAEA) Children s Health Insurance Program Reauthorization Act (CHIPRA) Michelle s Law Patient Protection and Affordable Care Act (Affordable Care Act) 14 ENFORCEMENT AND JURISDICTION Department of Labor Department of Health and Human Services Department of Treasury States Participants and Beneficiaries ERISA Public Health Service Act Internal Revenue Code State Insurance Laws Private litigation 15 5

ENFORCEMENT AND JURISDICTION Department of Labor s Enforcement Role DOL is responsible for enforcing the requirements of Title I of ERISA with respect to employment-based group health plans 16 ENFORCEMENT AND JURISDICTION Role of the States States have direct jurisdiction over health insurance issuers that sell products in their state. Group health plans frequently purchase health insurance products from licensed health insurance issuers. Generally, these products have been reviewed for compliance by the state insurance department. 17 ENFORCEMENT AND JURISDICTION Department of Health and Human Service s Role Generally, the states enforce state laws that place requirements on issuers. These provisions of these state laws must be at least as protective as ERISA part 7 and the Public Health Service Act (PHSA). However, if HHS determines that a state has failed to substantially enforce its parallel laws, HHS can directly enforce the PHSA with respect to health issuers in that state. HHS may also be invited in by the state to enforce in that state 18 6

ENFORCEMENT AND JURISDICTION Department of Treasury s Enforcement Role Treasury enforces most of the requirements of the ERISA health laws through parallel Internal Revenue Code provisions. Treasury may impose an excise tax on plans or employers that fail to comply with these health laws 19 ENFORCEMENT AND JURISDICTION Participants and beneficiaries ERISA 502(a) - Participants and beneficiaries also have a private right of action to enforce their rights against plans and issuers 20 ERISA REPORTING AND DISCLOSURE FOR GROUP HEALTH PLANS Reporting Requirement s Certain group health plans must file the Annual Report (Form 5500) Disclosure Requirements include: Summary Plan Description (SPD) Summary of material modifications (SMM) Summary of Benefits and Coverage (SBC) Adverse Benefit Determinations and other disclosures as required by ERISA 503 claims procedure rules Various notices to comply with the health laws of ERISA part 7 COBRA notices 21 7

A Fiduciary is any person: Named as a plan fiduciary in plan documents -orwho: Exercises discretionary authority or control over plan management - or - Exercises authority or control over plan assets - or - Provides investment advice for compensation (direct or indirect) 22 PLAN FIDUCIARIES Plans can have multiple fiduciaries Fiduciaries can be named or functional Fiduciary B remits premiums Pla n Fiduciary C makes claim determinations Fiduciary A selects service providers 23 A Fiduciary must: Act solely in interest of participants & beneficiaries Discharge duties prudently with care, skill and diligence Diversify plan investments Follow terms of governing documents (to the extent they are consistent with ERISA) 24 8

Fiduciary must NOT: act in own self interest act on behalf of a party with adverse interests accept anything of value from those doing business w/ the Plan (e.g. kickbacks) 25 Fiduciaries must NOT cause the Plan to engage in a prohibited transaction such as: Sale or exchange of plan assets with party in interest (PII) Extension of loan or credit to PII Contract for goods, services or facilities with PII Transfer plan assets to a PII for their use or benefit 26 PARTIES IN INTEREST Related companies Fiduciaries Sponsoring employer/union Officers, employees & owners Party in interest (PII) Service providers Officers, employees & owners Relatives of fiduciaries 27 9

Fiduciaries can be held personally liable for losses resulting from a fiduciary breach For example: Fiduciary A can also be held personally liable for losses resulting from a breach by Fiduciary B if A s failure(s) allowed B to breach if A knowingly participated in or knowingly concealed B s breach if A knows about B s breach and fails to make reasonable efforts to correct B s breach 28 Penalties may be imposed for a breach of fiduciary duty ERISA Sec. 502(l) imposes 20% penalty on the amount paid pursuant to a court order or settlement agreement IRS can impose excise tax on prohibited transactions IRS can impose excise tax under IRC Sec. 4980D for failure to meet certain group health plan requirements Numerous other penalties for R&D failures 29 Some fiduciary breaches may also constitute criminal violations of ERISA, other federal law, or state law. Examples include: Accepting kickbacks Filing fraudulent claims Stealing premiums or contributions 30 10

TYPES OF INVESTIGATIONS Investigations may be civil or criminal in nature and may focus on: The Plan The Plan Sponsor A Service provider An Individual 32 Sources for Targeted Investigatio ns Participant complaints Form 5500 Reviews Referrals from: Other agencies State insurance departments Advocacy groups Media Private litigation 33 11

NATIONAL PROJECTS Contributory Plans Criminal Project (CPCP) Rapid ERISA Action Team (REACT) Employee Stock Ownership Plans (ESOPs) Consultant/Advisor Project (CAP) Health Benefits Security Project 34 HEALTH BENEFITS SECURITY PROJECT Health Benefits Security Project ( HBSP) Established October 2012 Comprehensive national project to review health plans for ERISA compliance including all applicable health laws Includes a broad range of investigative issues such as: Compliance with ERISA provisions such as the health laws included in part 7 Unpaid or improperly processed benefit claims Excessive service provider fees Systemic denial of promised benefits Criminal misconduct by plan fiduciaries or medical providers 36 12

Examples of Group Health Plan Violations Failure to provide benefits in accordance with plan terms Improper or arbitrary claims adjudication Failure to follow the DOL claims procedure rules Failure to forward employee premiums to the insurance provider Failure to provide mental health benefits in parity with medical/surgical benefits in accordance with mental health parity rules 37 Failure to provide required notices OTHER ISSUES/AREAS OF REVIEW IN CIVIL CASES Review of Plan Assets Prudence, Prohibited Transactions, Self Dealing Reporting and Disclosure Bonding General Plan Operations In accordance with Plan Document Remittance of Employee Contributions 38 INVESTIGATIVE PROCESS 13

GENERAL PROCESS FOR CIVIL PLAN INVESTIGATIONS Case Opening Letter Request documents Interviews Voluntary Complianc e Letter Correction Closing Letter 40 INITIAL HEALTH PLAN INVESTIGATIVE STEPS Determine basic operations of health plan Insured/self-insured? Service providers Contributions/premiums Claims process and benefit payments Compliance with Part 7 of ERISA Document review Ensure all requested documents have been made available Arrange for access to any additional documents required Arrange for additional interviews 41 Basic Health Plan Documents Plan document / SPD / Certificate of Coverage Summary of Benefits and Coverage (SBC) Service provider contracts Premium or contribution schedules Documents related to plan finances Documents related to claims Participant notices required by ERISA Other documents related to ERISA compliance 42 14

OTHER DOCUMENTS Trust Agreement Form 5500 filings (past 3 years) SAR for last year Fidelity Bond Fiduciary Insurance Policy Trustee Statements (past 3 years) (asset records) Meeting Minutes Benefit Statements Asset records Payroll/contribution records 43 Subpoenas ERISA grants DOL (EBSA) the power to enter such places, inspect such books and records and question such persons as deemed necessary DOL (EBSA) has the authority to issue subpoenas requiring the production of documents or testimony 44 INVESTIGATIVE EMPHASIS Disclosure Requirements Summary Plan Descriptions (SPDs) Summary of Material Modifications (SMM) Summary Annual Reports (SARs) Blackout Notices COBRA Notices & more Provide documents on request Participant Benefit Statements 45 15

INVESTIGATIVE EMPHASIS Bonding 10% of Funds Handled not less than $1,000 nor more than $500,000 ($1,000,000 for plans with employer securities) No deductible Plan should be named as insured Discovery Period of no less than one year after termination or cancellation of bond is required See FAB 2008-04 46 EMPLOYEE CONTRIBUTIONS Basic Rule As soon as they can be reasonably segregated from Employer s general assets Safe Harbor Reg. 1/14/2010 - for plans with fewer than 100 participants 47 EMPLOYEE CONTRIBUTIONS As soon as varies from plan to plan will ask questions about handling will review practice / experience 48 16

EMPLOYEE CONTRIBUTIONS Outside Limits (Not a safe harbor) Pension 15 Business Days after end of month of withholding / receipt << SIMPLE IRA Plans 30 days after end of month >> Welfare 90 days after withholding / receipt 49 Findings and Follow-Up Speak with plan sponsor and service providers to clarify plan terms to determine if violations of the health laws or other systemic problems exist Determine the most appropriate action to take to correct the problem Work with service provider (if applicable) to make global corrections for all affected plan clients 50 Voluntary Compliance Letter Identifies problems Offers chance to discuss corrective action If corrective action is not taken, potential referral to the Solicitor s Office Closing Letter Identifies problems & corrective actions taken Indicates the case is closed 51 17

CORRECTION & VOLUNTARY FIDUCIARY COMPLIANCE PROGRAM Corrections Pre-Investigation EBSA encourages self-correction Fiduciaries should regularly review operations Health Law Self-Compliance Tool Upon detection, take corrective action(s) Correction guidance is in VFCP documentation Call EBSA for compliance assistance 53 Correction During Investigation Often, potential problems become clear during the investigation If problem is identified, work with EBSA to make corrections Correction guidance may be available Proof of correction and number of participants affected is required 54 18

Depending on the circumstances, appropriate corrective action may include: Settlement agreement Notification to P s and B s of the correction Implementation of new internal controls Re-adjudication of claims Paying unpaid claims Payment of Plan s administrative costs and expenses Interest Disgorgement of profits or surcharge Penalties Removal of fiduciaries Removal of service providers Appointment of independent fiduciary 55 IRS REFERRALS IRS Coordination Agreement and Statute requires: referral of prohibited transactions to IRS IRC 4975 excise tax (tax qualified pension plans) referral of potential issues affecting tax qualified status 56 Criminal Referrals Theft or embezzlement Health care fraud Kickbacks or bribes False statements to investigators Willful failures to file or false filings 57 19

Voluntary Fiduciary Correction Program (VFCP) Self-help program Correction methods specified in regulations Submit complete applications to Regional Office EBSA issues No Action letter Some transactions eligible for excise tax relief 58 COMPLIANCE RESOURCES Health Plan Compliance Resources EBSA website (health plans): www.dol.gov/agencies/ebsa/employers-andadvisers/plan-administration-and-compliance Health Benefits Laws Self Compliance Tools: www.dol.gov/agencies/ebsa/employers-andadvisers/plan-administration-and-compliance/healthplans/hbec/checksheets Health and Human Services www.hhs.gov/healthcare 60 20

Compliance Assistance EBSA main site www.dol.gov/agencies/ebsa EBSA health reform page www.dol.gov/ebsa/healthreform EFAST2 website: www.efast.dol.gov/welcome.html Technical Assistance and Publications: www.dol.gov/agencies/ebsa/aboutebsa/ask-a-question/ask-ebsa or 1-866-444-3272 EFAST2 Hotline (Toll-free): 1-866-GO EFAST (1-866-463-3278) Form M-1 Filings: http://www.askebsa.dol.gov/mewa or call the Form M- 1 Help Desk at 202-693-8360 61 Compliance Assistance Office of Health Plan Standards & Compliance Assistance (202) 693-8335 Office of Chief Accountant (202) 693-8360 Office of Regulations & Interpretations (202) 693-8500 Office of Exemptions & Determinations (202) 693-8540 62 Publications Understanding Your Fiduciary Responsibilities under a Group Health Plan Reporting and Disclosure Guide for Employee Benefit Plans An Employer s Guide to Health Benefits under COBRA Outreach Events Health Benefit Education Campaign two-day seminar Webcasts Regional workshops 63 21

SUBSCRIBE TO THE EBSA WEBSITE FOR RECEIVE ALERTS ON NEW GUIDANCE AND EVENTS www.dol.gov/agencies/eb sa 22