Keeping Your Wellness Program Legal. John E. Schembari

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Transcription:

Keeping Your Wellness Program Legal John E. Schembari

Relevant Laws ERISA HIPAA Affordable Care Act (ACA) COBRA Americans with Disabilities Act (ADA) Genetic Information Nondiscrimination Act (GINA) Fair Labor Standards Act (FLSA) Internal Revenue Code (IRC) National Labor Relations Act (NLRA) Title VII State/Local Laws FMLA, state privacy laws, state/local nondiscrimination laws, workers compensation, sweepstakes laws

Relevant Laws GROUP HEALTH PLANS ERISA * HIPAA ACA COBRA ** ADA GINA FLSA IRC NLRA TITLE VII State laws sometimes NON-GROUP HEALTH PLANS *Church and governmental group health plans are exempt from ERISA but subject to state law. **Church plans are exempt from COBRA.

Today s Focus Begin with the assumption that wellness program is a group health plan under ERISA HIPAA ACA COBRA ADA GINA

Wellness Programs & HIPAA Two parts to HIPAA Portability rules (nondiscrimination) Administrative simplification (privacy & security) Nondiscrimination Ban on discriminating among similarly situated individuals based on health status, unless meet certain requirements Requirements vary depending on whether the wellness program is participation only or health contingent

Wellness Programs & HIPAA Wellness Programs Participation-only Health-contingent Gym membership reimbursement Weight loss program reimbursement Attending health education seminar or health fair Complete health risk assessment Activity-only Exercise program Diet program Outcome-based BMI in specified range Not using tobacco

Wellness Programs & HIPAA Participation only program Must be available to similarly situated individuals Examples: reimbursement for health club membership reward for attending monthly health education seminar incentive to participate in health fair or testing (regardless of outcome) waiver of copay for well baby visits reward for completing a health risk assessment (without any further action required by the employee with regard to issues identified in the assessment)

Wellness Programs & HIPAA Health contingent program Must meet five criteria under 2006 Regulations Total reward cannot exceed 20% of the total cost of employee only coverage under the plan Reasonably designed to promote health Opportunity to qualify at least once per year Available to similarly situated individuals and offer a reasonable alternative standard (RAS) Plan discloses availability of a RAS 2013 Regulations changed rules slightly

Wellness Programs & HIPAA Health contingent program 2013 Regulations added subcategories Activity only wellness program Examples: walking, diet and exercise programs Outcome based wellness program Examples: not using tobacco; attaining specified results on biometric tests

Wellness Programs & HIPAA Health contingent program 2013 Regulations and ACA changed five criteria Frequency of reward No changes; must still offer at least once per year Size of the reward Now capped at 30% (or 50% if tobacco program) Reasonably designed to promote health Cannot be overly burdensome; Subterfuge for discriminating based on health factor; or Highly suspect in the method chosen to promote health or prevent disease Disclosure of RAS in plan materials Statement must include contact information State that recommendations of personal physician will be accommodated

Wellness Programs & HIPAA Health contingent program 2013 Regulations and ACA changed five criteria (continued) Uniform availability and RAS Full reward must still be available to all similarly situated individuals» Activity only: reward will be available if program allows RAS to those for whom it is unreasonably difficult/medically inadvisable to meet the standard» Outcome based: must allow RAS regardless

Wellness Programs & HIPAA Health contingent program 2013 Regulations and ACA changed five criteria (continued) Uniform availability and RAS (continued) If RAS is activity only wellness program or outcome based program» Activity only: must meet activity only & outcome based requirements» Outcome based: must meet activity only requirements; additional outcome based requirements for the RAS Personal physician verification» Activity only: if reasonable, can seek verification» Outcome based: never reasonable

Wellness Programs & HIPAA Reasonable alternative standards If RAS is completion of educational program, the plan must make the program available or assist the employee in finding a program Cannot require employee to pay for program either Time commitment must be reasonable If the RAS is a diet, plan isn t required to pay for food, but must pay any participation fee RAS must accommodate physician s recommendations, if any

Wellness Programs & HIPAA Tobacco surcharges May increase to reward to 50% ADA may apply and limit surcharge to 30% however Employer may also want to test incentives separately Example: Employer sponsors a GHP. Annual premium for employee only coverage is $6,000 (employees pay $1,500). Wellness program is health contingent with focus on exercise, blood sugar, weight, cholesterol. The reward for compliance is an annual premium rebate of $600. Plan also imposes $2,000 premium surcharge for those who used tobacco in last 12 months and who are not enrolled in plan s smokingcessation program.

Wellness Programs & HIPAA Privacy and Security Rule Plan document requirements Policies in place Business Associate Agreement

Wellness Programs & the ACA Wellness program must be structured to comply with or be exempt from ACA mandates Guaranteed availability Nondiscrimination based on health status Coverage for clinical trials Expanded claims and appeals procedures Provide Summary of Benefits and Coverage

Wellness Programs & the ACA Paths to ACA compliance Medical plan integration Restricting participation to retirees Restricting benefits to excepted benefits Employee Assistance Program (EAP) integration is no longer an option ACA expanded HIPAA s wellness program incentives

Wellness Programs & COBRA COBRA notices Initial notice Election notice Determining COBRA premiums Other considerations On site immunizations or biometric screenings may require qualified beneficiary to return to the workplace

Wellness Programs & the ADA Honeywell International EEOC Proposed Regulations Designed to promote health/prevent disease Participation must be voluntary notice requirements Incentives cannot exceed 30% limit Reasonable accommodation obligations Information must be maintained according to ADA confidentiality requirements Flambeau

Wellness Programs & GINA Cannot discriminate based on genetic info This includes family medical history Different rules depending on whether health risk assessment is part of a group health plan (GHP) or offered independently If a GHP and in connection with enrollment, must be voluntary and not request/collect genetic information If a GHP, can request genetic information if assessment is after enrollment, participation is voluntary and no reward is offered for completion If not a GHP, rules are more complex

Tying It All Together If not a group health plan ADA and GINA apply If a group health plan ERISA HIPAA ACA COBRA ADA and GINA apply

Simple Steps If an employer wants to offer a wellness program without involving complex legal issues, consider: Improving benefits for annual checkups under medical plan Offering a stand alone program that pays for gym dues Hosting a monthly lunch and learn (with healthy foods) for employees Sponsoring a health fair where no medical screenings are done Adding a nurse call line Awarding t shirts or other prizes to employees who walk a certain number of miles Providing additional vacation days (or higher pay) to employees who do not smoke

Questions? John E. Schembari Kutak Rock LLP 1650 Farnam Street Omaha, NE 68102 john.schembari@kutakrock.com