IRS
Employer Health Care Arrangements
Q1. What are the consequences to the employer if the employer does
not establish a health insurance plan for its own employees, but reimburses
those employees for premiums they pay for health insurance (either through a
qualified health plan in the Marketplace or outside the Marketplace)?
Under IRS Notice 2013-54, such arrangements are described as employer payment
plans. An employer payment plan, as the term is used in this notice,
generally does not include an arrangement under which an employee may have an
after-tax amount applied toward health coverage or take that amount in cash
compensation. As explained in Notice 2013-54, these employer payment plans are
considered to be group health plans subject to the market reforms, including the
prohibition on annual limits for essential health benefits and the requirement
to provide certain preventive care without cost sharing. Notice 2013-54
clarifies that such arrangements cannot be integrated with individual policies
to satisfy the market reforms. Consequently, such an arrangement fails to
satisfy the market reforms and may be subject to a $100/day excise tax per
applicable employee (which is $36,500 per year, per employee) under section
4980D of the Internal Revenue Code.
Q2. Where can I get more information?
On Sept. 13, 2013, the IRS issued Notice 2013-54, which explains
how the Affordable Care Actfs market reforms apply to certain types of group
health plans, including health reimbursement arrangements (HRAs), health
flexible spending arrangements (health FSAs) and certain other employer
healthcare arrangements, including arrangements under which an employer
reimburses an employee for some or all of the premium expenses incurred for an
individual health insurance policy.
DOL has issued a notice in substantially identical
form to Notice 2013-54, DOL
Technical Release 2013-03, and HHS will shortly issue guidance to reflect
that it concurs with Notice 2013-54. On Jan. 24, 2013, DOL
and HHS
issued FAQs that addressed the application of the Affordable Care Act to
HRAs.
Page Last Reviewed or Updated: 13-May-2014