1 / 34

AFFORDABLE CARE ACT: Tax Implications for Employers August 21, 2013 Juliana Reno juliana.reno@kutakrock.com

AFFORDABLE CARE ACT: Tax Implications for Employers August 21, 2013 Juliana Reno juliana.reno@kutakrock.com. SMALL BUSINESS TAX CREDIT Effective Now. SMALL BUSINESS TAX CREDIT. Which employers qualify? All of the following must be true: Full-time equivalent employees (“FTEs”) ≤ 25

argyle
Télécharger la présentation

AFFORDABLE CARE ACT: Tax Implications for Employers August 21, 2013 Juliana Reno juliana.reno@kutakrock.com

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. AFFORDABLE CARE ACT:Tax Implications for EmployersAugust 21, 2013 Juliana Renojuliana.reno@kutakrock.com

  2. SMALL BUSINESS TAX CREDITEffective Now

  3. SMALL BUSINESS TAX CREDIT • Which employers qualify? • All of the following must be true: • Full-time equivalent employees (“FTEs”) ≤ 25 • Average annual wages ≤ $50,000 • Offer insured health coverage • 2014 and later: must be exchange coverage • Contribute ≥ 50% of the cost of employee-only coverage

  4. SMALL BUSINESS TAX CREDIT • How to Calculate the Credit: Big Picture • First calculate the maximum credit. • Then reduce appropriately if • FTEs > 10 or • Average wages > $25,000.

  5. SMALL BUSINESS TAX CREDIT • Maximum Credit: • Amount of premiums paid by employer multiplied by • Applicable Percentage • 2013 tax-exempt employers—25% • 2013 other employers—35% • 2014+ tax-exempt employers—35% • 2014+ other employers—50% • There is a cap! In effect, the cap means that the employer cannot get a tax credit for buying coverage that is more expensive than the average in the state.

  6. SMALL BUSINESS TAX CREDIT • Reductions • If FTEs > 10, multiply the credit by: (FTEs-10)/15 • If average wages > $25,000, multiply the credit by: (average wages-25,000)/25,000

  7. SMALL BUSINESS TAX CREDIT • Miscellaneous • Credit can only be claimed in 2 years • Tax-exempt employers apply the credit against payroll tax liabilities • Other employers must reduce the premium deduction by the amount of the credit • Who is the employer? All entities within the controlled group count as a single employer. • Who is an employee? Do not “count” self-employed, sole proprietors, 2% shareholders, 5% owners, and their family members

  8. RETIREE DRUG SUBSIDYEffective Now

  9. RETIREE DRUG SUBSIDY • Applicable if employer offers a prescription drug plan to Medicare-eligible retirees • The employer may deduct its costs • The employer may be entitled to a subsidy • Interplay of deduction and subsidy: • Before 2013, employer could disregard the subsidy when calculating its deduction • In 2013 and later, employer must reduce its deduction by the subsidy

  10. ADDITIONAL MEDICARE TAXEffective Now

  11. ADDITIONAL MEDICARE TAX • Employer must withhold an additional 0.9% on wages over $200,000 • Employer is not required to match this payment (this is different than “regular” Medicare taxes) • What the employer must withhold is not exactly the same as what the employee will owe • Employee who anticipates the need to pay the additional tax may request early/additional withholding

  12. FORM W-2 REPORTINGEffective Now

  13. FORM W-2 • Which employers are affected? • Employers who issued 250 or more W-2s in the prior year • What must be reported? • Total cost of coverage (employer and employee premiums) for most employer-sponsored health plans, BUT NOT FOR ** stand-alone limited-scope dental or vision coverage ** coverage only for a specified disease or illness ** hospital indemnity or other fixed indemnity insurance ** coverage for long-term care ** accident-only coverage, disability coverage, or any combination of these ** coverage issued as a supplement to liability insurance ** liability insurance, including general liability insurance and automobile liability insurance ** workers’ compensation or similar insurance **

  14. FLEXIBLE SPENDING ACCOUNTSEffective Now

  15. FLEXIBLE SPENDING ACCOUNTS • Employee contribution limit: $2,500 • No longer permitted to reimburse OTC drugs unless • An appropriate medical professional has issued a prescription; or • The drug is insulin.

  16. PCORI FEESEffective Now

  17. PCORI FEES • What are those? • A way to fund the Patient-Centered Outcomes Research Institute (PCORI) • PCORI  better outcomes  lower medical costs • Scheduled to last 6 years • Who is responsible for compliance? • For fully-insured plans—insurance company • For self-funded plans—employer

  18. PCORI FEES • How to comply? • Calculate the fee • Applicable Dollar Amount: $1 for PYE between October 1, 2012, and September 30, 2013 multiplied by • Average # of Covered Lives: different methods • Complete IRS Form 720 • Pay & Report • Due by July 31 of the calendar year after the PYE • First due date was July 31, 2013

  19. COVERAGE MANDATESEffective Now & Later

  20. COVERAGE MANDATES • What are those? • Examples include but are not limited to: • No lifetime limits on essential health benefits • No pre-existing condition exclusions • If the plan covers children, must cover to age 26 • No rescissions except in the case of fraud • Cover preventive care at 100% • Cover ER equally at in-network and non-network hospitals

  21. COVERAGE MANDATES • Who is responsible for compliance? • For fully-insured plans—insurance company • For self-funded plans—employer • What is the penalty for non-compliance? • Excise Tax • $100 per affected individual per day • Not deductible • Employer must self-report

  22. TRANSITIONAL REINSURANCE FEESFirst Reports November 15, 2014

  23. TRANSITIONAL REINSURANCE FEES • What are those? • A way to help insurance companies cover the claims of very sick people. • Scheduled to last 3 years • Who is responsible for compliance? • For fully-insured plans—insurance company • For self-funded plans—employer

  24. TRANSITIONAL REINSURANCE FEES • How to comply? • Report average # of covered lives to HHS by November 15, 2014 • HHS to issue invoice within 30 days • Applicable Dollar Amount: $63 for 2014 multiplied by • Average # of Covered Lives • Payment due within 30 days thereafter

  25. EMPLOYER MANDATEDelayed Until January 1, 2015

  26. EMPLOYER MANDATE (PAY OR PLAY) • Premiums paid by an employer for an employer-sponsored plan • Deductible as ordinary and necessary business expenses • Not subject to payroll taxes (because not taxable income to the employee) • Penalties under Code § 4980H • Not deductible

  27. EXAMPLE • Company has 100 FT employees • Company offers coverage • Employee-only coverage costs $6,000 • Company pays 50%, or $3,000 • Status Quo • $210,000 premiums (70% uptake) • Deductible • Tax savings (35%) = $73,500 • Net = $210,000 - $73,500 = $136,500 • BOTTOM LINE W/O TAX IMPACT = $210,000 • BOTTOM LINE W/TAX IMPACT = $136,500

  28. EXAMPLE • Option #1: Continue Status Quo • $150,000 premium (50% uptake) • Deductible • Tax savings (35%) = $52,5000 • Net = $150,000 - $52,500 = $97,500 • $60,000 penalty (20 employees) • Not deductible • BOTTOM LINE W/O TAX IMPACT = $210,000 ($150,000 + $60,000) • BOTTOM LINE W/TAX IMPACT = $157,500 ($97,500 + $60,000)

  29. EXAMPLE • Option #2: Stop Offering Coverage • $0 premium • $140,000 penalty ($2000 x (100-30)) • Not deductible • BOTTOM LINE W/O TAX IMPACT = $140,000 • BOTTOM LINE W/TAX IMPACT = $140,000

  30. THE “CADILLAC” TAXEffective 2018

  31. CADILLAC TAX • Employee will owe a 40% tax on the amount of the premium that is above the threshold • Threshold (subject to indexing): • $10,200/individual and $27,500/family • Threshold is higher for high-risk professions

  32. NONDISCRIMINATIONEffective Date TBA

  33. NONDISCRIMINATION • Long-Standing Rule: Self-funded plans must not discriminate in favor of highly compensated individuals with respect to eligibility or benefits. • Health Care Reform: “Similar rules” shall apply to fully-insured plans • Grandfathered plans are exempt • IRS has non-enforcement policy in place

  34. ? ???? QUESTIONS

More Related