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ACA Reporting Requirements for Large Employers California Association of Joint Powers Authorities (CAJPA) Annual Conference | September 17, 2015 Presented.

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Presentation on theme: "ACA Reporting Requirements for Large Employers California Association of Joint Powers Authorities (CAJPA) Annual Conference | September 17, 2015 Presented."— Presentation transcript:

1 ACA Reporting Requirements for Large Employers California Association of Joint Powers Authorities (CAJPA) Annual Conference | September 17, 2015 Presented by: Heather DeBlanc

2 ACA Reporting Requirements

3 3 Two Types of Annual Reporting Insurer Reporting –Self- insured plan sponsors / insurers Applicable Large Employer Reporting (Forms 1094C & 1095C) –Incl. employers that sponsor self-insured plans Both require written statement to Employee/responsible individual

4 4 Purpose of the Applicable Large Employer Reporting Requirements Inform IRS of large employer compliance with Employer Mandate Determine eligibility for exchange subsidies (aka premium tax credits)

5 5 Method/Deadline of Filing Data from prior year (2015 data reported in 2016 for first annual filing) More than 250 returns, must e-file: –By Mar 31 (2016 first filing) Less than 250 returns, can: –By Feb 28, hard copy filing; or –By Mar 31, e-file (optional) Written statement to each employee reported on due on or before Jan 31 (first due 2016)

6 Who Must Report?

7 7 Health insurers and plan sponsors of self- insured plans must report coverage of enrolled individuals “Applicable large employers” as defined by the ACA must report offer of lowest cost coverage Plan sponsors that are also large employers must report both covered individuals and offer of lowest cost coverage

8 8 Plan Sponsors of Self-insured Plans Sponsors of single employer plans –Employer must report Special rule for government employers –Written Agreement (employer with self-insured plan and another related unit, agency, instrumentality) –By Jan 31 –Designated agency is sponsor for reporting

9 9 “Applicable Large Employers” Information reporting requirements only to large employers 50 or more full-time employees, including FT equivalents Must report even if taking advantage of 50 to 99 FT employee transition relief for 2015

10 10 Applicable Large Employer (ALE) Each ALE member Special rule for government employers –Written Designation (signed by ALE member & designee) –Specific language required –Designated by Jan 31

11 IRS Forms and the Reporting Process

12 12 Required Returns A return is required each year for each full- time employee on whom reporting is required (Form 1095) Single transmittal to IRS of all returns for the year (Form 1094 = transmittal) Report information regarding type of coverage offered and applicable transition relief

13 13 Reporting Penalties Failure to timely file correct return –Good faith compliance sufficient for 2016 –$250 per return (up to $3,000,000) Failure to timely provide correct written statement to employee –$250 per statement (up to $3,000,000) Intentional disregard of filing requirements –$500 per return (no calendar year cap)

14 14 Determining Forms to File Employer DescriptionApplicable Forms Applicable Large Employer Offering Fully-Insured Coverage 1094-C (entire form) and 1095-C (except Part III) Applicable Large Employer Sponsoring Self-Insured Coverage 1094-C (entire form) and 1095-C (entire form) Small Employer (non-ALE) Sponsoring Self-Insured Coverage 1094-B and 1095-B Small Employer Offering Fully Insured Health Plans Not Applicable

15 Form 1094-C

16 16 IRS Transmittal Form 1094-C Transmittal form for employers filing 1095-C Content –Name and contact information of employer –Total number of Forms 1095-C submitted –Offered minimum essential coverage –Number of full-time employees per month –Total employees per month

17 17 Form 1094-C – Parts I and II

18 18 Designated Governmental Entity (DGE) – Lines 9-16 Person or persons part of or related to the governmental unit that is the ALE Member File separate Forms 1095-C and 1094-C Must have written designation by Jan. 31 incl: –Category of employees responsible for reporting –Agreement/Certification of designation –Acknowledgment of responsibility –Identify ALE member as subject to penalties

19 19 Authoritative Transmittals – 1094- C, Part II, Line 19

20 20 DGE Example – Page 2 of Reporting Instructions County is an ALE ALE Members: School District, Police District, and County General Office. School District designates the state to report on behalf of the teachers and reports for itself for its remaining FT employees. The School District or the state must file Authoritative Transmittal

21 21 Authoritative Transmittals Filing multiple Forms 1094-C permitted Filed by each separate employer (aka ALE Member) Line 19 of 1094-C Reporting aggregate employer-level data

22 22 Authoritative Transmittal w/ DGE Designated Governmental Entity Must also designate one of the multiple Forms 1094-C as the authoritative transmittal and report the aggregate employer-level data for the government unit

23 23 Line 20 – 1094-C, Part II Employer’s full-time employees that are filed with this transmittal To be filed with another transmittal filed by or on behalf of the employer Non-full-time employees who enroll in the employer’s employer-sponsored self-insured health plan

24 24 Line 21 – 1094-C, Part II Employer’s full-time employees that are filed with this transmittal To be filed with another transmittal filed by or on behalf of the employer Non-full-time employees who enroll in the employer’s employer-sponsored self-insured health plan

25 25 Line 22 – 1094-C, Part II

26 26 Qualifying Offer Method (Box A) Qualifying Offer –Affordable under Federal Poverty Line safe harbor  Employee’s self-only premium contribution to lowest cost plan option not more than 9.5% of the monthly Federal Poverty Line –Offer of coverage to spouse and dependents Check if using for one or more full-time employees

27 27 Qualifying Offer Made For Any Month If Qualifying Offer made for any month, Employer: –May report code 1A on Form 1095-C, line 14 instead of the dollar amount on line 15; can’t do both –Can use code 1A for any single month or all 12 calendar months Check Box A if you are doing this

28 28 Qualifying Offer Method (Box A) If Qualifying Offer for all 12 months, ER may provide simplified notice to employee:  ER name, address, EIN, contact name & info;  Statement: For all 12 months the employee and his/her spouse and dependents received a “qualifying offer” and is therefore not eligible for a premium tax credit.  Not available for self-insured reporting If Qualifying Offer NOT made for all 12 months, ER must provide copy of Form 1095-C unless Transition Relief applies

29 29 Line 22 – 1094-C, Part II

30 30 2015 – Qualifying Offer Transition Relief (Box B) – 2015 ONLY To use, large employer must certify it made a Qualifying Offer: –For one or more months –To at least 95% of full-time employees

31 31 Qualifying Offer Transition Relief (Box B) – 2015 ONLY Check if made qualifying offer for one or more months of 2015 to at least 95% of full-time employees For employees who do not receive Qualifying Offer for all 12 months, incl. those receiving no offer Simplified reporting permitted

32 32 Qualifying Offer Transition Relief (Box B) – 2015 ONLY Employer name, address, and EIN Contact name and telephone number at which the employee may receive information about the offer of coverage (if any) and Form 1095-C filed with IRS Statement indicating employee and his or her spouse and dependents may be eligible for a premium tax credit for one or more months of 2015 A statement directing the employee to see Pub. 974 for more information on eligibility for the premium tax credit

33 33 Line 22 – 1094-C, Part II

34 34 Section 4980H Transition Relief (Box C) Applicable large Employer with less than 100 FT ee (incl. FTE); or Calculation of Penalties (i.e. 70% as substantially all; less 80 ) To take advantage of these, check this Box & complete Form 1094-C, Part III, column (e)

35 35 98% Offer Method (Box D) Certify on Form 1094-C that a “98% offer” was made –At least 98% of all employees (including part- time) were offered affordable, minimum value coverage Affordable under any affordability safe harbor Not required to separately identify or report number of full-time employees in Part III, Column B of 1094-C (still must file 1095-C for each full- time employee)

36 36 Form 1094-C – Part III

37 37 Form 1094-C – Part III Info to calculate Penalty A – not offering to substantially all FT employees (column a) Yes if offered to 95% or 70% of FT employees (as to ea. month or line 23) (*No – red flag for penalty trigger) (column b) Skip if using 98% Offer Method (column b) Enter # FT ee’s (don’t include ee in a Limited Non-Assessment Period)

38 38 Limited Non-Assessment Period Not subject to penalties during the period EE must be offered affordable MV coverage by first day after end of period New FT – first 3 full calendar months Look Back Safe Harbor – Initial MP + Admin period for new variable hour, seasonal, pt ee. –Change in status

39 39 Form 1094-C – Part III (column c) Total employee count – first or last day of month (consistent each month of year) –include all whether in LNP, PT, FT (column d) Penalty A is total # FT ee less 30 (80 in 2015). If this column is checked, the employer is related to a larger group and penalty calculation will be with regard to whole aggregate group. If enter X for any month, complete Part IV.

40 40 Form 1094-C – Part III (column e) Use if completed Box C on line 22 (4980H Transition Relief) –Code A – 50-99 relief; OR –Code B – 100 or more relief

41 Form 1095-C

42 42 IRS Reporting Form 1095-C Who: Applicable large employers What: Report information regarding type of coverage offered and applicable transition relief How: –One Form 1095-C for each full-time employee –One Form 1095-C for any employee who enrolls in coverage (if employer sponsors self-insured health plans)

43 43 Form 1095-C

44 44 Penalty Reminder – Reporting Trigger Remember IRS Potential Penalty, if do not OFFER: MEC (Minimum Essential Coverage) MV (Minimum Value) To substantially all full-time employees –70% (in 2015); 95% (2016 & beyond) AND dependents (i.e. children up to age 26)

45 45 Form 1095-C – Part II

46 46 Indicator Codes – Form 1095-C, Line 14 – Offer of Coverage 1A. MV MEC to FT ee affordable based on 9.5% FPL plus MEC to spouse & dependents 1B. MEC MV to ee only 1C. MEC MV to ee + MEC to dependents (not spouse) 1D. MEC MV to ee + MEC to spouse (not dependents)

47 47 Indicator Codes – Form 1095-C, Line 14 – Offer of Coverage 1E. MEC MV to ee & MEC to dependents & spouse 1F. MEC NOT MV to ee, or ee + spouse or dep., or ee, spouse & dep. 1G.Offer to ee (not FT) & enrolled in self- insured coverage. 1H. No offer of coverage. 1I. Qualified Offer Transition Relief

48 48 Line 15 – Form 1095-C Employee’s share of lowest cost monthly premium only for self-only minimum value coverage Complete only if Line 14 has Code 1B, 1C, 1D, or 1E –Complete if offered coverage –Do not complete if coverage was not MEC –Do not complete if coverage offered did not provide MV

49 49 Line 16 – 1095-C Application of 4980H Safe Harbor 2A. EE not employed during month 2B. EE not FT 2C. EE enrolled in coverage offered 2D. EE in Limited Non-Assessment period 2E. Multiemployer interim rule relief 2F. Form W-2 Safe Harbor 2G. FPL Safe Harbor 2H. Rate of Pay Safe Harbor 2I. Non-Calendar Year Transition Relief (2015)

50 50 Multi-Use Indicator Codes – Form 1095-C, Line 16 2B –Not FT EE; did not enroll in MEC –FT, but offer of coverage ended before last day of month because employee terminated employment during month –Jan. 2015 if offered affordable MV coverage no later than first day of first payroll period beginning Jan 2015

51 51 Multi-Use Indicator Codes – Form 1095-C, Line 16 2C –Use for any month in which employee enrolled in MEC 2E –Multiemployer interim rule relief –Use instead of 2D if both applicable –Use instead of 2F-2H if both applicable

52 52 Multiemployer Interim Relief Offered coverage & not penalized if: CBA requires ER contribution for that employee to multiemployer plan –(as defined by 26 USC 414(f)(1)(A) and (B)) –that offers minimum value coverage & –that is affordable & –to those who satisfy plan’s eligibility conditions & –dependents (or is eligible for transition relief)

53 53 Part III – Self-Insured Coverage

54 54 Part III – Who to include? Name covered individuals who enrolled For any individual who was an employee for 1 or more calendar months of year Full-Time and Non Full-Time Include covered family members

55 55 Part III – Covered Non-Employees Councilmember, Director Retiree who retired in previous year Terminated employee in COBRA Part II is completed using Code 1G

56 56 Part III – Other Information Reasonable attempts required to obtain social security numbers Only enter DOB if cannot obtain SS # Column d – check if covered at least one day in every month of year Column e – check months covered If more than 6 covered individuals, use additional Forms 1095-C (Parts I & III only)

57 57 Reporting Summary Determine method of reporting DGE applicable? Identify FT employees –Breaks in service –Terminated employees Transition relief applicable? –Simplified reporting? Complete reporting forms for all employees on whom reporting required

58 Written Statements to Employees

59 59 Written Statements Statement may be a copy of the IRS return, or a substitute containing same information May provide electronically only if meet certain requirements (affirmative consent to electronic receipt of statement). Due Jan 31 (annually)

60 60 Written Statements Self-Insured - Phone # for reporting entity’s designated person and SS # for the responsible individual and each covered individual Applicable Large Employer – name, address, EIN of ER and info reported on

61 61 Requirements to Furnish Electronically 1.Affirmative Consent 2.Disclosure Statement (see next slide) 3.Notice Statement “IMPORTANT TAX RETURN DOCUMENT AVAILABLE” 4.Access Period 5.Paper Statement provided after withdrawal of consent

62 62 Disclosure Statement (electronic delivery) Paper statement available if no consent Scope & duration of consent Procedure re: post consent request for paper statement Withdrawal of consent provisions Conditions re: termination Change in employers contact info Describe hardware/software re: access

63 63 Questions? Heather DeBlanc Attorney | Los Angeles Office 310.981.2000. | hdeblanc@lcwlegal.comhdeblanc@lcwlegal.com www.lcwlegal.com/Heather-DeBlanc


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