COBRA Avoiding Common Mistakes

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COBRA Avoiding Common Mistakes The session will begin shortly Sound should come through your speakers when the session begins Verify that the volume is turned up on your computer You can listen through your computer or over the phone If there is no sound on your computer or you would like to call in directly, use the following information: Session phone number: (877) 668-4493 Access code: 928 642 521

COBRA Avoiding Common Mistakes April 2016 Presented by: Erica Storm, Esq. and Erin Margerie, Esq.

Introduction

Today s Presenters Erica Storm, Esq. Employment and benefits attorney Expertise in Affordable Care Act and other health plan compliance issues Educates companies on compliance obligations Erin Margerie, Esq. Employment and benefits attorney Primary focus: employee benefit compliance and health plan issues Creates educational materials and compliance resources

Webinar Logistics To call in to connect to audio: Phone number: 1-877-668-4493 Access code: 928 642 521 We welcome your questions at any time! Questions will be addressed at the end of the session. Select Q&A and choose Send to All Panelists to submit your questions.

Agenda COBRA Overview Common COBRA Mistakes Questions & Answers

COBRA Overview

The Law Consolidated Omnibus Budget Reconciliation Act COBRA coverage Temporary continuation of health coverage Self-pay basis Coverage loss due to a specific qualifying event Many states have own continuation laws for insured health plans

Consequences of COBRA Mistakes IRS excise taxes ERISA - $110/day statutory penalties Participant lawsuits to compel coverage (plus attorneys fees) Adverse selection Inability to terminate coverage

Mistake Assuming COBRA Does Not Apply to You

When Does COBRA Apply to You? COBRA applies to group health plans maintained by employers with 20 or more employees Small Employer Exception Small employers (fewer than 20 employees) are exempt, although may be subject to state continuation laws Employer must have had fewer than 20 employees on at least 50% of typical business days in the previous calendar year Calculation applies to entire current calendar year Does not change if the number of employees goes up or down in current year

When Does COBRA Apply to You? Employees that must be counted All common law employees, not just plan participants Full-time and part-time employees (although part-time employees count as a fraction of full-time employees) Employees of companies under common control

When Does COBRA Apply to You? Health plans maintained by churches are exempt from COBRA Qualifying for church exemption: Health plan must be maintained by a church (or a convention or association of churches) that meets certain tax requirements Often involves a detailed analysis of organization s activities and religious affiliation Under some circumstances, organizations that are not churches (for example, certain hospitals or schools) may qualify for exemption

Mistake Assuming COBRA Does Not Apply to Your Plan

When Does COBRA Apply to Your Plan? COBRA applies to group health plans maintained by employers Key question Does the plan provide medical care? Health Plans Subject to COBRA Medical plans (both fully and self-insured) Dental plans Vision plans Prescription drug plans Health reimbursement arrangements (HRAs) Health flexible spending accounts (FSAs) Wellness programs that provide medical care Employee assistance plans (EAPs) that provide medical care

When Does COBRA Apply to Your Plan? Employee benefits NOT subject to COBRA: Health savings accounts (HSAs) Long-term care plans AD&D or group life insurance plans Long-term and short-term disability plans EAPs and wellness plans that do not provide medical care Cancelling a plan does not always end COBRA responsibility. If the employer continues to provide any group health plan, the obligation to provide COBRA coverage continues.

Mistake Not Knowing Your Qualified Beneficiaries

Who Is a Qualified Beneficiary? Qualifying events (QEs) trigger COBRA coverage for qualified beneficiaries (QBs) Potential pitfalls: Not offering COBRA to a QB Offering COBRA to a non-qb

Who Is a Qualified Beneficiary? An individual covered by a group health plan on the day before the QE Covered employee Employee s spouse Includes same-sex spouses, but does not include domestic partners Covered employee s dependent children Any child born to or placed for adoption with covered employee during COBRA coverage

Mistake Not Knowing Your Qualifying Events

What Is a Qualifying Event? COBRA must be offered to QBs when: A QE occurs when the health plan is subject to COBRA and The QE causes a loss of coverage under the plan for a covered employee, covered spouse or covered dependent child

What Is a Qualifying Event? QEs for Employees Termination of employment (for reasons other than gross misconduct) Reduction in hours of employment QEs for Spouses QEs for employees (termination of employment and reduction in hours) Divorce or legal separation from the covered employee Death of covered employee Covered employee s entitlement to Medicare QEs for Dependent Children QEs listed for spouses Loss of dependent status under plan rules

Qualifying Event Issues Not all coverage losses will be caused by QE Voluntary termination of coverage Termination or amendment of plan Special rule for voluntary termination in advance of QE Not all COBRA events will cause a loss of coverage Legal separation Medicare entitlement Employers need to pay attention to plan terms for eligibility

Mistake Bad Timing

How Long Should COBRA Last? Maximum coverage period 18 months for termination of employment and reduction in hours 36 months for all other QEs Can be extended in some specific circumstances Can be terminated early for certain reasons

Extending COBRA Coverage Disability Extension Second QE Medicare entitlement 18-month maximum coverage period extends to 29 months for all related QBs 18-month maximum coverage period extends to 36 months for spouse and children when second QE occurs during initial 18-month period Maximum coverage period extended for spouse and children when covered employee has termination/reduction in hours within 18 months of becoming entitled to Medicare New York: plans subject to COBRA must offer an additional 18 months of coverage when first 18-month maximum coverage period is exhausted

Terminating COBRA Coverage COBRA coverage generally terminates at end of maximum coverage period No notice to QB is required Notice is required to QBs when COBRA terminates early COBRA may terminate early if: QB fails to make timely premium payments Employer ceases to make any group health plan available to any employee QB becomes covered under another group health plan after COBRA election QB becomes entitled to Medicare after COBRA election Disabled QB is determined not to be disabled For cause

Mistake Not Giving Enough Information

What Information Must Be Provided? Plan administrators must provide certain information to plan participants and QBs Not providing timely and proper notices puts plan at risk Avoid problems by establishing procedures for notices

COBRA Notices Overview COBRA Notice General (or initial) notice Election notice Description General description of COBRA rights under the plan. Describes right to COBRA coverage and how to make an election. Notice of unavailability of COBRA coverage Must be provided after a group health plan denies a request for COBRA coverage (or a request for an extension). Notice of early termination of COBRA coverage When a group health plan decides to terminate continuation coverage early, the plan must give the qualified beneficiary a notice of early termination.

COBRA Notices General Notice General Notice Provides information to plan participants regarding COBRA and plan procedures Must be provided within 90 days after plan coverage begins May be provided in summary plan description (SPD) Single notice can be used for employee/spouse at same address Model notice is available

COBRA Notices Employer s Notice of QE Employer must notify plan administrator within 30 days after the later of the QE or loss of coverage Must include enough information to identify plan, employee, QE and date Notice is not required when employer is plan administrator Notice must be provided upon: Employee s death Employee s termination of employment/reduction in hours Employee s Medicare entitlement

COBRA Notices Election Notice Gives QBs information about rights and obligations regarding a specific QE Must be provided within 14 days after plan administrator is notified of QE If employer is also plan administrator, notice must be provided within 44 days of QE or coverage loss (whichever is later) Model notice is available

COBRA Notices Notice of Unavailability Plan administrator must notify individual with explanation of why he or she is not entitled to COBRA coverage No QE has occurred QB did not give the required notice QB did not provide complete information Deadline is same for sending election notice Generally must give notice within 14 days after notice of QE

COBRA Notices Notice of Early Termination Plan administrator must notify QBs when COBRA terminates before end of maximum coverage period Timing Notice must be provided as soon as possible Required information Reason for early termination Date coverage terminated or will terminate Available conversion rights

Mistake Not Following Procedures

What COBRA Procedures Should Employers Have? Plans must establish reasonable COBRA procedures Notice procedures Election procedures Payment procedures Risk of liability for plan and employer: Failing to establish reasonable COBRA procedures Having procedures but not following them

Notice Procedures Specify the person designated to receive notices and how notice is to be given May require use of a specific form Must allow covered employee, QB or representative to provide notice Describe information required for notices Identify deadlines for providing notices Provide for proper handling of incomplete notices

Election Procedures QBs must be given at least 60 days to elect COBRA Election period begins on date election notice is provided or, if later, date coverage would be lost Each QB has independent election rights Covered employee or spouse can elect on behalf of all other QBs and parent/guardian can elect for minor child If QB waives coverage, he or she can revoke waiver before the end of the COBRA election period

Mistake Charging Too Much or Too Little

How Much Should COBRA Cost? COBRA coverage does not have to be offered for free to QBs Employers may require QBs to pay for COBRA Employers may choose to provide coverage at a discount or no cost

How Much Should COBRA Cost? Maximum premium Maximum premium cannot exceed 102% of cost to plan for similarly situated participants Disability Extension QBs receiving the disability extension may be charged up to 150% of the plan s total cost of coverage Premium Increases COBRA premiums may increase if plan cost increases, but must be fixed in advance of each 12-month premium cycle

Payment Procedures Deadlines QBs must pay COBRA premiums on a timely basis Must provide at least 45 days for initial payment Must provide a minimum 30-day grace period for other payments Administration Late payments Permitted to terminate coverage after end of grace period Notice of early termination Special rules for premium shortfalls

Mistake No Documentation

Recordkeeping Maintaining thorough and adequate records can help Streamline COBRA administration Support the plan in the event of claim Keep records of: COBRA notices sent and received COBRA premium payments received Premium deadlines

Questions?

Thank you! This presentation is current as of the date presented and is for informational purposes only. It is not intended to be exhaustive nor should any discussion or opinions be construed as legal advice. Please contact legal counsel for legal advice on specific situations. This presentation may not be duplicated or redistributed without permission. 2016 Zywave, Inc. All rights reserved.