As employers continue to receive Health Insurance Marketplace notices and file appeals based on the 2015 pay or play compliance season, it is never too early for applicable large employers (ALEs)—generally those with 50 or more full-time employees, including full-time equivalent employees (FTEs), in the preceding calendar year—to begin preparing for the upcoming compliance season.
With the end of the 2016 calendar year quickly approaching, employers should take a moment to review the pay or play provisions that have changed for 2016. The following are the top four changes for 2016:
Transition Relief Expired: The transition relief which delayed compliance with the pay or play requirements for ALEs with 50 to 99 full-time employees (including FTEs) in 2015 is now expired for employers with calendar year health plans. For ALEs with non-calendar year health plans, this transition relief, along with the transition relief for dependent coverage, continues to apply for any calendar month during the 2015 plan year that falls in 2016.
New Affordability Threshold: If an employee's share of the premium for employer-provided coverage in 2016 would cost the employee more than 9.66% (formerly 9.56%) of his or her annual household income, the coverage is considered unaffordable to that employee. Employers offering unaffordable coverage may be subject to a pay or play penalty.
Coverage Thresholds Increased: For 2016, ALEs will now be liable for a penalty if they:
Increased Noncompliance Penalties: For 2016, the general annual penalty for ALEs that do not offer coverage or offer coverage to fewer than 95% of their full-time employees (and their dependents) is $2,160 (formerly $2,080) per full-time employee, minus up to 30 full-time employees. For ALEs offering coverage to at least 95% of their full-time employees (and their dependents), the general annual penalty is $3,240 (formerly $3,120) per full-time employee that receives a subsidy.
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