1 / 30

Patient Protection & Affordable Care Act (PPACA)

Patient Protection & Affordable Care Act (PPACA). Angela Moore Indiana State Library Intern. Presenter Introduction. Rising 2 nd year law student Not a lawyer Summer legal intern at ISL Former librarian at Berne Public Library. Disclaimer. This is legal information, not legal advice

ayasha
Télécharger la présentation

Patient Protection & Affordable Care Act (PPACA)

An Image/Link below is provided (as is) to download presentation Download Policy: Content on the Website is provided to you AS IS for your information and personal use and may not be sold / licensed / shared on other websites without getting consent from its author. Content is provided to you AS IS for your information and personal use only. Download presentation by click this link. While downloading, if for some reason you are not able to download a presentation, the publisher may have deleted the file from their server. During download, if you can't get a presentation, the file might be deleted by the publisher.

E N D

Presentation Transcript


  1. Patient Protection& Affordable Care Act (PPACA) Angela Moore Indiana State Library Intern June 26, 2013

  2. Presenter Introduction • Rising 2nd year law student • Not a lawyer • Summer legal intern at ISL • Former librarian at Berne Public Library

  3. Disclaimer • This is legal information, not legal advice • I cannot apply the law to your specific situation

  4. PPACA: An Overview • 900+ pages of legislation • Focus today on employer requirements • Shared Responsibility for Employers • Automatic Enrollment Requirement • SHOP Exchange • Reporting Requirements • Notice Requirement • Some issues are still awaiting regulation

  5. Shared Responsibility for Employers • PPACA § 1513; effective after Dec. 31, 2013 • You’ve heard about employer penalties, right? • Technically, there is no “penalty” for not providing insurance • PPACA falls under Congress’s taxing power • But you may have to make a “shared responsibility payment” • No employer is “required” to provide insurance • You can still choose to not provide insurance, PPACA just shifts the cost-benefit analysis

  6. Shared Responsibility for Employers • An Employer’s Choice • Provide adequate, affordable insurance, or • Risk being liable for making payments • It’s not a penalty, but it’s still taking your money • You are not breaking the law if you choose to not provide insurance

  7. Shared Responsibility for Employers • Not all employers have to make payments • There are three questions to ask • If your library can answer any of them with “no,” then you do not need to make a payment. • Are you a large employer? • 50+ full-time equivalent employees, system-wide • Did a full-time employee receive a premium tax credit or cost-sharing reduction? • Do you have more than 30 full-time employees? • There is a difference between “full-time” and “full-time equivalent”

  8. Shared Responsibility for Employers • Large Employer: 50 Full-Time Equivalents • FTE = # FT employees + # pro-rated PT employees • Full-time = average of 30 hours per week or more • In general, to pro-rate PT: add all part-time workers’ hours for the month together and divide by 120 • 43 IRC §4980H(c)(2)(C) (as modified by PPACA §1513(a)) • e.g. 4 FT + 2 PT employees (who together worked 150 hours for the month) • 150/120 = 1.25 • 4 + 1.25 = 5.25 FTE • IRS regulations may change this to 130 (Notice 2011-36)

  9. Shared Responsibility for Employers • Large Employer: 50 Full-Time Equivalents • The calculations can become more complex and very specific. If you’re on the bubble, you may want to consult a lawyer.

  10. Shared Responsibility for Employers • Two things before we move on: • Remember, if you are under 50 full-time equivalent employees, you will not be liable for any payments. • From this point on, forget about full-time equivalents. We are only looking at full-time employees now.

  11. Shared Responsibility for Employers • Our three questions: • Are you a large employer? • Did a full-time employee receive a premium tax credit or cost-sharing reduction? • Do you have more than 30 full-time employees?

  12. Shared Responsibility for Employers • Premium Tax Credit/Cost-sharing Reduction • FT employee has to apply for and receive a PTC or CSR for employer payments to be triggered • It is ok to just offer insurance to full-time employees • If the employer does not offer insurance • Generally eligible if household income is between 100% and 400% of the federal poverty level • Dept. of Health and Human Services releases annually • Federal poverty level = poverty guidelines • Dependent on household size • 2013 levels: http://aspe.hhs.gov/poverty/13poverty.cfm

  13. Shared Responsibility for Employers • Premium Tax Credit/Cost-sharing Reduction • FT employee has to apply for and receive a PTC or CSR for employer payments to be triggered • If the employer does offer insurance • Unaffordable: the plan premium is more than 9.5% of household income, or • Inadequate: policy does not cover an average of 60% of healthcare costs • Minimum value calculator: http://www.cms.gov/cciio/resources/regulations-and-guidance/index.html • IRS Safe Harbor: look at employee’s wages listed on W-2 (IRS Notice 2011-73)

  14. Shared Responsibility for Employers • Our three questions: • Are you a large employer? • Did a full-time employee receive a premium tax credit or cost-sharing reduction? • Do you have more than 30 full-time employees?

  15. Shared Responsibility for Employers • Calculating the Payment (for 2014) • Once a large employer’s full-time employee has received a credit/reduction • If you do not offer insurance, the monthly payment is • If you do offer insurance, the monthly payment is OR whichever is smaller • Note: for FT employees ≤ 30, the payment is $0

  16. Shared Responsibility for Employers • Recap: • Payments do not apply to small employers • Large, but with 30 or fewer FT employees: payment = $0 • A full-time employee needs to actually receive a credit or reduction to trigger a payment

  17. Shared Responsibility for Employers • Determining Full-Time with IRS Safe Harbors • On-going employees: • Measurement period: 3-12 months • Administrative period: up to 90 days • Stability period: 6-12 months (no shorter than measurement period) • You can rely on this method, at least through cycles beginning before the end of 2014 IRS Notice 2012-58: http://www.irs.gov/irb/2012-41_IRB/ar07.html

  18. Shared Responsibility for Employers • Determining Full-Time with IRS Safe Harbors • On-going employees: • Example of one complete cycle: • Measurement Period: May 1-October 31 (6 months) • Administrative Period: November 1-December 31 (2 months) • Stability Period: January 1-December 31 (12 months) Cycle 1 Cycle 2 Cycle 3 Measurement Admin Stability Measurement Measurement Admin Admin Stability Stability IRS Notice 2012-58: http://www.irs.gov/irb/2012-41_IRB/ar07.html

  19. Shared Responsibility for Employers • Determining Full-Time with IRS Safe Harbors • New Employees: reasonably expected to work full-time • Offer at, or before, conclusion of initial 3 calendar months IRS Notice 2012-58: http://www.irs.gov/irb/2012-41_IRB/ar07.html

  20. Shared Responsibility for Employers • Determining Full-Time with IRS Safe Harbors • New Variable Hour and Seasonal Employees • A little more complicated • Initial measurement period: 3-12 months, no shorter than one month less than initial stability period • Initial administrative period: up to 90 days • Initial stability period: same length as for ongoing employees, no more than 1 month longer than IMP • IMP + IAP cannot extend beyond end of calendar month beginning on or after employee’s one-year work anniversary • Once they have worked an entire standard MP, determine full-time status along with other on-going employees IRS Notice 2012-58: http://www.irs.gov/irb/2012-41_IRB/ar07.html

  21. Shared Responsibility for Employers • Determining Full-Time with IRS Safe Harbors • New Variable Hour and Seasonal Employees • Example: • Initial Stability Per. must be as long as Standard Stability Per. • 12 months • Initial Measurement Per. cannot be more than 1 month shorter than Stability Per. • 11-12 months, for our example, we’ll choose 11 months • Initial Admin. Per. can be up to 90 days, but IMP + IAP cannot extend past the end of the calendar month beginning on or after the employee’s one year work anniversary • 0- 2 months (plus fraction of month, depending on start date) Initial Measurement I. Adm Initial Stability Measurement Measurement Admin Admin Stability Stability IRS Notice 2012-58: http://www.irs.gov/irb/2012-41_IRB/ar07.html

  22. Shared Responsibility for Employers • Being Assessed, Making a Payment • The IRS will contact you if you are potentially liable • Will not happen until after employees’ tax returns are due • You will have opportunity to respond • If you are found liable for payment, IRS will send a notice and demand for payment • Notice will include instructions

  23. Shared Responsibility for Employers • You have a choice (are not breaking the law) • You may be exempt from payments • Only full-time (30 or more hours/week) employees trigger payments • Full-time can be calculated with cycles • The IRS will contact you about payments if you need to make them

  24. Automatic Enrollment Requirement • PPACA § 1511 • For employers with 200 or more full-time employees • If employer offers insurance coverage, new full-time employees must automatically be enrolled in the coverage • Employees may opt out of coverage • Still awaiting regulations from Dept. of Labor, intended completion before 2014

  25. SHOP Exchange • Small business Health Options Program • Beginning in 2014, eligible small businesses will be able to purchase insurance through the SHOP • No obligation to purchase through exchange • Side-by-side policy comparisons • Premiums cannot be set by employees’ health or medical history • Businesses with up to 100 employees are eligible, although until 2016 states may further limit eligibility to only businesses with up to 50 employees. • Look for more information in October 2013 • Coverage begins January 2014 http://www.healthcare.gov/news/factsheets/2011/07/exchanges07112011g.html

  26. Reporting Requirements • PPACA § 9002: W-2s • Cost of employer-sponsored insurance • Still awaiting IRS guidance, meanwhile, see http://www.irs.gov/uac/Form-W-2-Reporting-of-Employer-Sponsored-Health-Coverage • PPACA § 1514: large or insuring employers • First reports will be due in 2015 (for 2014 info) • To IRS • Basic information regarding whether insurance was provided. • To Employees • Full-time employees whose info was reported to the gov’t • Still waiting for IRS regulations, reporting might be coordinated with other required reports

  27. Notice Requirement: PPACA § 1512 • Applies to all employers (regardless of size) • To be given at time of hiring (plus initial distribution to current employees) • Model language if you offer insurance: • http://www.dol.gov/ebsa/pdf/FLSAwithplans.pdf • Model language if you do not offer insurance: • http://www.dol.gov/ebsa/pdf/FLSAwithoutplans.pdf • Originally effective March 31, 2013, delayed until October 1, 2013 DOL Technical Release No. 2013-02: http://www.dol.gov/ebsa/newsroom/tr13-02.html

  28. PPACA In Review • Shared Responsibility for Employers • Large Employers • Automatic Enrollment • Very Large Employers • SHOP Exchange • Small Employers • Reporting Requirements • Large or Insuring Employers • Notice Requirement • All Employers

  29. Resources • Dept. of Labor – Employee Benefits Security Administration • www.dol.gov/ebsa/healthreform • Dept. of Health and Human Services • www.healthcare.gov • Includes full text of the PPACA • IRS • www.irs.gov/aca • UCLA Law School Library • libguides.law.ucla.edu/ppaca

  30. Questions For questions about this presentation, contact: • Angela Moore: mangela@library.in.gov • At ISL until July 31st, 2013 For questions about how PPACA specifically affects your library, contact your library’s attorney.

More Related