Healthcare Reform. July 17, 2013

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Healthcare Reform July 17, 2013

Agenda Current and Future Requirements for Employers Healthcare Reform Taxes and Fees Individual Mandate and Subsidies Employer Pay or Play Mandate Other Requirements Expanded Wellness Differentials Annual Reporting Recent Guidance and Clarification 2 2 www.vabankers.org

Everything You Need to Know 3 3 www.vabankers.org

Healthcare Reform Compliance Checklist 2012 2013 2014 2015-2018 Medical Loss Ratio reporting and rebate issuance in August Expanded women s preventive services Summary of Benefits and Coverage (SBC) and 60-day advance notice of material modifications Value of health insurance reported on 2012 W-2 Healthcare spending account deferrals limited to $2,500 Medicare payroll tax rate increases from 1.45% to 2.35% on wages over $200,000 Provide written notice to employees addressing insurance exchanges, potential tax credit and cost-sharing subsidies Individual mandate Insurance exchanges effective Pre-existing conditions prohibited 90-day limit on waiting periods Health Insurance Tax applied through 2018 Transitional Reinsurance Tax through 2016 Wellness premium differentials increase Delayed to 1/1/15: Employer Pay or Play Mandate Tracking of full-time employees Affordable coverage Sufficiently valuable coverage Individual mandates increase Automatic enrollment requirements for employers with 200+ full-time employees delayed until after January 2014 (TBD) Excise Cadillac Plan tax on high cost plans in 2018 7/17/2013 4 www.vabankers.org

2013 Requirements for Employers Reporting the value or cost of health insurance is required for larger employers starting with the 2012 W-2, due out in January 2013. Small employers are not required to report the cost of coverage in 2012 or future years until further guidance is provided. Medicare payroll tax increases from 1.45% to 2.35% on wages over $200,000 ($250,000 for joint filers). Written notice describing 2014 insurance exchanges and potential tax credits; employers will be required to do so in late summer/early fall of 2013. Healthcare Spending Accounts deferrals limited to $2,500 5 www.vabankers.org

Indirect Employer ACA Taxes and Fees Comparative Effectiveness Research Fee (aka PCORI fee) paid to fund patient-centered outcomes research: $2 per member per year; sunsets after 2019. Health Insurance Tax: Sales tax applied to insurance carriers premium. Transitional Reinsurance Program: For plan years 2014-2016, fees charged to insurance carriers. 6 www.vabankers.org

Individual Mandate in 2014 In 2014, all adults must have health insurance for themselves and their children or pay a penalty to the government. Annual penalties: 2014: $95 per adult and $47.50 per child (up to $285 family maximum or 1% of family income, whichever is greater) 2015: $325 per adult and $162.50 per child (up to $975 family maximum or 2% of family income, whichever is greater) 2016: $695 per adult and $347.50 per child (up to $2,085 family maximum or 2.5% of family income, whichever is greater) 7 www.vabankers.org

Proposed Individual Health Insurance Subsidies Premium Tax Credit Eligibility: Families with incomes between 100% to 400% of federal poverty level who purchase coverage through a state-based health insurance exchange Persons in Family 100% FPL 133% FPL 250% FPL 400% FPL Household Income Level (% above FPL) Maximum Premium as Percentage of Income 1 $11,490 $15,282 $28,725 $45,960 2 $15,510 $20,628 $38,775 $62,040 3 $19,530 $25,975 $48,825 $78,120 4 $23,500 $31,322 $58,875 $94,200 Less than 133% 2.0% At least 133% but less than 150% At least 150% but less than 200% 3.0% 4.0% 4.0% 6.3% 5 $27,570 $36,668 $68,925 $110,280 6 $31,590 $42,015 $78,975 $126,360 7 $35,610 $47,361 $89,025 $142,440 8 $39,630 $52,708 $99,075 $158,520 At least 200% but less than 250% At least 250% but less than 300% At least 300% but less than 400% 6.3% 8.05% 8.05% 9.5% 9.5% 8 www.vabankers.org

2015 Employer Pay or Play Mandate Employer Steps 1. Count full-time equivalent employees. Full-time defined as working 30 hours per week (130 hours per month). Part-time employees are counted on prorated basis. 2. Does employer offers coverage. 3. Determine number of employees who participate in exchange and receive premium credit. Not a large employer: less than 50 full-time equivalent employees No full-time employees get credits for exchange coverage Penalty Flow Chart Large employer: 50 or more full-time equivalent employees Does Not Offer Coverage 1 or more full-time employees get credits for exchange coverage No full-time employees get credits for exchange coverage Offers Coverage 1 or more full-time employees get credits for exchange coverage* Lesser of: 4. Calculate potential penalty No penalty No penalty Number of full-time employees minus 30 multiplied by $2,000 (Penalty is $0 if employer has 30 or fewer full-time employees) No penalty Number of full-time employees minus 30, multiplied by $2,000. Number of full-time employees who get credits for exchange coverage, multiplied by $3,000 (Penalty is $0 if employer has 30 or fewer full-time employees) *If employers offers coverage that is "affordable" and "sufficiently valuable" employees are not eligible for premium credits. Thus, employer would not be subject to penalties. 9 www.vabankers.org

2015 Employer Pay or Play Mandate (Employer Shared Responsibility) Three important measurements: Eligibility for healthcare benefits Employees working 30 hours per week or more (130 hours per month) must be offered coverage. Affordable coverage Employee cost for self-only coverage is less than 9.5% of W-2 earnings. Sufficiently valuable coverage At least 60% of mandated actuarial value of benefits (baseline comparison to be determined). 10 www.vabankers.org

Other Notable Future Employer Requirements Maximum 90-day waiting period limit beginning on or after January 2014. Automatic enrollment requirements for employers with 200+ full-time employees delayed until after January 2014. Excise Cadillac Plan tax on high cost plans in 2018: 40% non-deductible tax on excess over threshold measuring value of plans: $10,200 single, $27,500 family Based on total cost of coverage; paid by employer Excludes dental and vision coverages 11 www.vabankers.org

Expanded Wellness Incentive Differentials Effective January 1, 2014, employers may reward employees up to 30% of health care coverage for outcomes-based programs and up to 50% for tobacco-cessation programs (currently 20% differential allowed). Must offer alternatives means to earn incentive (or avoid penalty) who do not meet criteria or cannot participate in program due to medical reasons. This limitation does not apply to incentives tied to participation-based programs. 12 www.vabankers.org

Annual Reporting Annual employer reporting of employee coverage to the IRS for applicable large employers An applicable large employer is one that is subject to the ACA s employer shared responsibility provisions (a/k/a Play or Pay) and employed an average of at least 50 full-time employees (including full-time equivalent employees) on business days during the preceding calendar year 13 www.vabankers.org

Guidance and Clarification on Healthcare Reform Regulations as of July 2013 Delay of Pay or Play Mandate until 1/1/15 (announcement made July 2, 2013) Exchange consumers on honor system to report income for tax subsidy and verification of their eligibility in an employer sponsored plan (announcement made July 5, 2013) Insurance exchange guidance and model notices released by Department of Labor (DOL) on May 8, 2013. Templates: www.dol.gov/ebsa/healthreform IRS released proposed regulations on May 3, 2013 and addresses the impact of employer-provided wellness programs in determining affordable coverage: Requires employers to include any penalties that would be applied Cannot include any wellness premium contribution reductions available under the wellness program when determining whether coverage is affordable (exception is tobacco usage) The IRS has released proposed regulations addressing large-group sufficient value rules. Approaches for determining minimum plan value: MV calculator (HHS released this tool which allows an employer to enter data to determine whether plan provides minimum value) Safe-harbor checklist (to be provided) or Actuarial certification All employer contributions for current plan year to an HSA or HRA are taken into account when determining sufficient value. 14 www.vabankers.org

QUESTIONS?