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CBIZ Health Reform Bulletin
Subject: Reminder: PCOR Fees and Transitional Reinsurance Fees
Date: June 18, 2014
July 31st
is fast approaching which means it is time to begin thinking about the Patient-Centered Outcomes Research (PCOR) fee.
And, we are almost halfway through 2014, which means the first transitional reinsurance fee will soon be due. Following is a
summary of these two fees imposed by the Affordable Care Act. Please refer our prior CBIZ Health Reform Bulletins listed below for
additional background information.
PROVISION PATIENT-CENTERED OUTCOME RESEARCH FEE TRANSITIONAL REINSURANCE FUND
(PREMIUM STABILIZATION PROGRAM)
PLAN
APPLICABILITY
 Insurers of all-sized fully-insured plans
 All-sized employers of self-funded plans
Also applies to:
 Retiree-only plans
 COBRA and state continuation coverage
 Non-integrated health reimbursement
arrangements (HRA) (generally, not
permissible in 2014 and beyond unless it is
excepted)
 Integrated HRA (Note: an HRA integrated
with insured plan would pay the fee; an
HRA integrated with self-funded plan does
not)
 Medical flexible spending accounts (FSA)
subject to HIPAA
 Insurers of all-sized fully-insured plans
 All-sized employers of self-funded plans
Also applies to:
 Post-employment plans that are primary to Medicare, such
as early retiree plans
 COBRA continuation coverage
June 18, 2014 – HRB 95 Page 1
CBIZ Health Reform Bulletin
PROVISION PATIENT-CENTERED OUTCOME RESEARCH FEE TRANSITIONAL REINSURANCE FUND
(PREMIUM STABILIZATION PROGRAM)
PLAN
APPLICABILITY,
con’t
Plans not subject to the fees include:
 HIPAA-excepted benefit plans such as
limited scope dental and vision plans
 FSAs excepted from HIPAA
 Employee assistance programs, disease
management programs, and wellness
programs if the program does not provide
significant benefits in the nature of medical
care or treatment
 Expatriate group health plans primarily
covering employees who work and reside
outside the U.S. (however, foreign nationals
working in the US are counted in the
calculation of the fee)
Plans not subject to fees include:
 HIPAA-excepted benefit plans such as limited scope
dental and vision plans
 HRAs integrated with comprehensive insured or self-
funded group coverage
 Flexible medical spending account plans (FSA)
 Health savings accounts (HSA) except an HDHP used in
conjunction with HSA is considered major medical
insurance and thus, subject to reinsurance contributions
 Employee assistance plans, disease management
programs, and wellness programs if the program does not
provide significant benefits in the nature of medical care or
treatment.
 Post-employment plans where Medicare is primary to
group plan.
 Stand-alone prescription drug plans
 TRICARE or other military benefit plans
 Certain Indian Tribal benefit programs
 Certain expatriate plans
AMOUNT OF FEE
 $1 per covered life for plan years ending
prior to October 1, 2013
 $2.00 per covered life (indexed) for plan
years thereafter.
 For 2014: $5.25 per covered life per month based on
calendar year
 For 2015: $3.66 per covered life per month based on
calendar year
INSURED PLANS:
METHODS FOR
DETERMINING
COVERED LIVES
Actual count, Snapshot, Member months, or
State form methods
Actual count, Snapshot, Member months, or State form
methods
June 18, 2014 – HRB 95 Page 2
CBIZ Health Reform Bulletin
PROVISION PATIENT-CENTERED OUTCOME RESEARCH FEE TRANSITIONAL REINSURANCE FUND
(PREMIUM STABILIZATION PROGRAM)
SELF-FUNDED
PLANS: METHODS
FOR DETERMINING
COVERED LIVES
Actual count, Snapshot, or Form 5500 methods Actual count, Snapshot, or Form 5500 methods
ENTITY PAYING
FEE
 By insurer of fully insured plan
 By plan sponsor of self-funded plan
 By insurer of fully insured plan
 By plan sponsor of self-funded plan
REPORTING AND
PAYING THE FEE
PCOR fees paid once a year in connection with
IRS Form 720, Quarterly Federal Excise Tax
Return:
 For insured plans, Form 720 due by July
31st
following the close of the plan year.
 For self-funded plans, Form 720 due by
July 31st
of the calendar year following the
plan year end.
 Submit annual enrollment count (based on first 9 months
of year) to HHS by November 15th of each year on form
available via www.pay.gov. Reporting form will auto-
calculate contribution amounts and allow payments to be
made.
 Contributions paid in two installments: 1st
installment due
within 30 days of invoice reflects actual reinsurance
contribution (plus HHS’s administrative costs); 2nd
installment will be invoiced in 4th
quarter following the year
of submission and reflects amounts allocated to U.S.
Treasury.
FEES PAID FROM
PLAN ASSETS?
No Yes
APPLICABILITY
PERIOD
Plan years ending after 9/30/12
No fee assessed for plan years ending after
9/30/19 (for calendar year plans, this means
the 2018 plan year)
Calendar years 2014 to 2016
June 18, 2014 – HRB 95 Page 3
CBIZ Health Reform Bulletin
PROVISION PATIENT-CENTERED OUTCOME RESEARCH FEE TRANSITIONAL REINSURANCE FUND
(PREMIUM STABILIZATION PROGRAM)
ADDITIONAL
INFORMATION AND
RESOURCES
 IRS webpage on Patient-Centered
Outcomes Research Institute Fee
 IRS chart on types of coverage subject
to the PCORI Fee
 IRS Questions and Answers
 CBIZ Health Reform Bulletins
 Year-end Wrap Up (12/21/11)
 Fees on Health Insurance Policies &
Self-Insured Plans: Patient-Centered
Outcome Research Trust Fund
(4/18/12)
 Final Regulations Issued: Patient-
Centered Outcomes Research Fees
and Medical Device Tax (12/11/12)
 Chart of Health Plan Fees and Taxes
(12/18/12)
 See Patient-Centered Outcomes
Research Fee in Sub-Regulatory
Guidance and FAQs Issued (1/25/13)
 Reporting and Paying PCOR Fees:
Revised Form 720 Issued (6/4/13)
 Year-end Wrap Up (12/23/13)
 CMS Questions and Answers
 Reinsurance Fee Process (5/22/14)
 Reinsurance Enrollment Count (11/8/13)
 CBIZ Health Reform Bulletins
 Premium Stabilization Program Proposals and 2) Chart
of Health Plan Fees and Taxes (12/18/12)
 Implementation Guidance (3/12/13)
 See ‘Transitional Reinsurance Fee’ in ‘Proposed Benefit
and Payment Parameters in 2015’ in Year-end Wrap
Up (12/23/13)
 HHS Benefit and Payment Parameters for 2015
(3/14/14)
About the Author: Karen R. McLeese is Vice President of Employee Benefit Regulatory Affairs for CBIZ Benefits & Insurance Services, Inc., a
division of CBIZ, Inc. She serves as in-house counsel, with particular emphasis on monitoring and interpreting state and federal employee benefits
law. Ms. McLeese is based in the CBIZ Leawood, Kansas office.
The information contained herein is not intended to be legal, accounting, or other professional advice, nor are these comments directed to specific situations. The information contained
herein is provided as general guidance and may be affected by changes in law or regulation. The information contained herein is not intended to replace or substitute for accounting or
other professional advice. Attorneys or tax advisors must be consulted for assistance in specific situations. This information is provided as-is, with no warranties of any kind. CBIZ shall
not be liable for any damages whatsoever in connection with its use and assumes no obligation to inform the reader of any changes in laws or other factors that could affect the
information contained herein. As required by U.S. Treasury rules, we inform you that, unless expressly stated otherwise, any U.S. federal tax advice contained herein is not intended or
written to be used, and cannot be used, by any person for the purpose of avoiding any penalties that may be imposed by the Internal Revenue Service.
June 18, 2014 – HRB 95 Page 4

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Health Reform Bulletin - PCOR & Transitional Reinsurance Fee Reminders

  • 1. CBIZ Health Reform Bulletin Subject: Reminder: PCOR Fees and Transitional Reinsurance Fees Date: June 18, 2014 July 31st is fast approaching which means it is time to begin thinking about the Patient-Centered Outcomes Research (PCOR) fee. And, we are almost halfway through 2014, which means the first transitional reinsurance fee will soon be due. Following is a summary of these two fees imposed by the Affordable Care Act. Please refer our prior CBIZ Health Reform Bulletins listed below for additional background information. PROVISION PATIENT-CENTERED OUTCOME RESEARCH FEE TRANSITIONAL REINSURANCE FUND (PREMIUM STABILIZATION PROGRAM) PLAN APPLICABILITY  Insurers of all-sized fully-insured plans  All-sized employers of self-funded plans Also applies to:  Retiree-only plans  COBRA and state continuation coverage  Non-integrated health reimbursement arrangements (HRA) (generally, not permissible in 2014 and beyond unless it is excepted)  Integrated HRA (Note: an HRA integrated with insured plan would pay the fee; an HRA integrated with self-funded plan does not)  Medical flexible spending accounts (FSA) subject to HIPAA  Insurers of all-sized fully-insured plans  All-sized employers of self-funded plans Also applies to:  Post-employment plans that are primary to Medicare, such as early retiree plans  COBRA continuation coverage June 18, 2014 – HRB 95 Page 1
  • 2. CBIZ Health Reform Bulletin PROVISION PATIENT-CENTERED OUTCOME RESEARCH FEE TRANSITIONAL REINSURANCE FUND (PREMIUM STABILIZATION PROGRAM) PLAN APPLICABILITY, con’t Plans not subject to the fees include:  HIPAA-excepted benefit plans such as limited scope dental and vision plans  FSAs excepted from HIPAA  Employee assistance programs, disease management programs, and wellness programs if the program does not provide significant benefits in the nature of medical care or treatment  Expatriate group health plans primarily covering employees who work and reside outside the U.S. (however, foreign nationals working in the US are counted in the calculation of the fee) Plans not subject to fees include:  HIPAA-excepted benefit plans such as limited scope dental and vision plans  HRAs integrated with comprehensive insured or self- funded group coverage  Flexible medical spending account plans (FSA)  Health savings accounts (HSA) except an HDHP used in conjunction with HSA is considered major medical insurance and thus, subject to reinsurance contributions  Employee assistance plans, disease management programs, and wellness programs if the program does not provide significant benefits in the nature of medical care or treatment.  Post-employment plans where Medicare is primary to group plan.  Stand-alone prescription drug plans  TRICARE or other military benefit plans  Certain Indian Tribal benefit programs  Certain expatriate plans AMOUNT OF FEE  $1 per covered life for plan years ending prior to October 1, 2013  $2.00 per covered life (indexed) for plan years thereafter.  For 2014: $5.25 per covered life per month based on calendar year  For 2015: $3.66 per covered life per month based on calendar year INSURED PLANS: METHODS FOR DETERMINING COVERED LIVES Actual count, Snapshot, Member months, or State form methods Actual count, Snapshot, Member months, or State form methods June 18, 2014 – HRB 95 Page 2
  • 3. CBIZ Health Reform Bulletin PROVISION PATIENT-CENTERED OUTCOME RESEARCH FEE TRANSITIONAL REINSURANCE FUND (PREMIUM STABILIZATION PROGRAM) SELF-FUNDED PLANS: METHODS FOR DETERMINING COVERED LIVES Actual count, Snapshot, or Form 5500 methods Actual count, Snapshot, or Form 5500 methods ENTITY PAYING FEE  By insurer of fully insured plan  By plan sponsor of self-funded plan  By insurer of fully insured plan  By plan sponsor of self-funded plan REPORTING AND PAYING THE FEE PCOR fees paid once a year in connection with IRS Form 720, Quarterly Federal Excise Tax Return:  For insured plans, Form 720 due by July 31st following the close of the plan year.  For self-funded plans, Form 720 due by July 31st of the calendar year following the plan year end.  Submit annual enrollment count (based on first 9 months of year) to HHS by November 15th of each year on form available via www.pay.gov. Reporting form will auto- calculate contribution amounts and allow payments to be made.  Contributions paid in two installments: 1st installment due within 30 days of invoice reflects actual reinsurance contribution (plus HHS’s administrative costs); 2nd installment will be invoiced in 4th quarter following the year of submission and reflects amounts allocated to U.S. Treasury. FEES PAID FROM PLAN ASSETS? No Yes APPLICABILITY PERIOD Plan years ending after 9/30/12 No fee assessed for plan years ending after 9/30/19 (for calendar year plans, this means the 2018 plan year) Calendar years 2014 to 2016 June 18, 2014 – HRB 95 Page 3
  • 4. CBIZ Health Reform Bulletin PROVISION PATIENT-CENTERED OUTCOME RESEARCH FEE TRANSITIONAL REINSURANCE FUND (PREMIUM STABILIZATION PROGRAM) ADDITIONAL INFORMATION AND RESOURCES  IRS webpage on Patient-Centered Outcomes Research Institute Fee  IRS chart on types of coverage subject to the PCORI Fee  IRS Questions and Answers  CBIZ Health Reform Bulletins  Year-end Wrap Up (12/21/11)  Fees on Health Insurance Policies & Self-Insured Plans: Patient-Centered Outcome Research Trust Fund (4/18/12)  Final Regulations Issued: Patient- Centered Outcomes Research Fees and Medical Device Tax (12/11/12)  Chart of Health Plan Fees and Taxes (12/18/12)  See Patient-Centered Outcomes Research Fee in Sub-Regulatory Guidance and FAQs Issued (1/25/13)  Reporting and Paying PCOR Fees: Revised Form 720 Issued (6/4/13)  Year-end Wrap Up (12/23/13)  CMS Questions and Answers  Reinsurance Fee Process (5/22/14)  Reinsurance Enrollment Count (11/8/13)  CBIZ Health Reform Bulletins  Premium Stabilization Program Proposals and 2) Chart of Health Plan Fees and Taxes (12/18/12)  Implementation Guidance (3/12/13)  See ‘Transitional Reinsurance Fee’ in ‘Proposed Benefit and Payment Parameters in 2015’ in Year-end Wrap Up (12/23/13)  HHS Benefit and Payment Parameters for 2015 (3/14/14) About the Author: Karen R. McLeese is Vice President of Employee Benefit Regulatory Affairs for CBIZ Benefits & Insurance Services, Inc., a division of CBIZ, Inc. She serves as in-house counsel, with particular emphasis on monitoring and interpreting state and federal employee benefits law. Ms. McLeese is based in the CBIZ Leawood, Kansas office. The information contained herein is not intended to be legal, accounting, or other professional advice, nor are these comments directed to specific situations. The information contained herein is provided as general guidance and may be affected by changes in law or regulation. The information contained herein is not intended to replace or substitute for accounting or other professional advice. Attorneys or tax advisors must be consulted for assistance in specific situations. This information is provided as-is, with no warranties of any kind. CBIZ shall not be liable for any damages whatsoever in connection with its use and assumes no obligation to inform the reader of any changes in laws or other factors that could affect the information contained herein. As required by U.S. Treasury rules, we inform you that, unless expressly stated otherwise, any U.S. federal tax advice contained herein is not intended or written to be used, and cannot be used, by any person for the purpose of avoiding any penalties that may be imposed by the Internal Revenue Service. June 18, 2014 – HRB 95 Page 4