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  • November 2016

The Vita Blog November 2016

  1. Table I Reporting for Group Sponsored Life Insurance – 2016 Reminder

    System Administrator – Wed, 23 Nov 2016 00:55:09 GMT – 0

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    Overview

    Federal Tax Code §79 requires all employers to report the value, or "economic benefit," of any Group Term Life Insurance amounts in excess of $50,000 on any one employee. While the first $50,000 is tax-free, the economic benefit of any life insurance amount that exceeds $50,000 must be included on each individual's W-2 as prescribed by the law (imputed income). The economic benefit calculations are based on each employee's age and life insurance amount over $50,000 and are generated from a government chart referred to as Table I.

    Timing Reminder

    It is the responsibility of the employer to calculate the value of these benefits for tax purposes. The insurance companies are under no obligation to perform these calculations. This information can be reported via payroll throughout the year, or as a lump sum prior to the final payroll date in 2016. If you have not set up Table I calculations with your payroll vendor, now is the time to gather the necessary information to complete the calculations.

    Who Will Perform the Calculations?

    It is the responsibility of the employer to calculate the value of these benefits for tax purposes. The insurance companies are under no obligation to perform these calculations. This information can be reported via payroll throughout the year, or as a lump sum prior to the final payroll date in 2016. If you have not set up Table I calculations with your payroll vendor, now is the time to gather the necessary information to complete the calculations. 

    Fees for Table I Calculation Service 

    Our normal fee for this service is $250 plus $1.50 per employee calculation. We will waive this fee if the data is electronically reported to us in the proper format and a rush turnaround (less than 5 working days) is not requested.

    Remember, you will need to work backwards from your payroll company's deadline in order to make sure that we have five days to perform the calculations and get the results back to you in time.

  2. IRS Delay in 6055 and 6056 Reporting for 2017

    System Administrator – Tue, 22 Nov 2016 01:44:31 GMT – 0

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    Overview

    Under the Affordable Care Act (ACA), Applicable Large Employers (ALEs) are responsible for reporting information about offers of health coverage and enrollment in health coverage to their employees and to the IRS.

    Reporting was first due in 2016, based on coverage in 2015. Reporting in 2017 will be based on coverage in 2016. All reporting will be for the calendar year, even for non-calendar year plans

    New Deadline

    On Friday, November 18, the IRS issued Notice 2016-70, delaying the reporting deadline in 2017 for form 1095-C to individuals. There is no delay for form 1094-C or for forms due to the IRS.

    Original Deadlines Delayed Deadlines

    DUE TO THE IRS:

    Form 1094-C was originally due to the IRS by February 28, if filing on paper, or March 31, if filing electronically.

    Deadline to the IRS for all forms remains the same.
    DUE TO EMPLOYEES:
    Form 1095-C was due to employees by January 31, of the year following the year
    to which form 1095-C relates.
    DUE TO EMPLOYEES:
    The 1095-C form is now due to employees by March 2, 2017

    Action

    Distribute form 1095-C to employees by the new deadline of March 2, 2017.

  3. Patient-Centered Outcomes Research (PCORI) Fee Increase

    System Administrator – Thu, 10 Nov 2016 06:43:14 GMT – 0

    Overview

    Under the Affordable Care Act (ACA), all medical plans are responsible for paying the Patient-Centered Outcomes Research (PCORI) fee to the IRS from October 2012 through September 30, 2019. The fee is calculated based on the number of plan participants. For insured medical plans, your insurance carrier will pay the fee on your behalf. If your company has a self-insured medical plan, you must file Form 720 and pay the fees directly to the IRS.

    How Much will the PCORI Fee Increase? 

    The IRS recently issued Notice 2016-64, which stated that the applicable dollar amount to determine PCORI fees for plan years ending on or after October 1, 2016 and before October 1, 2017, will go from $2.17 to $2.26.  

    Employer Action Item

    Please note the PCORI fee increase when filing Form 720. For plan year 2016, the form is due on July 31, 2017. More information on the fee can be found via our PCORI FAQ document here or the IRS website here.

  4. Transitional Reinsurance Fee Deadline Reminder

    System Administrator – Tue, 01 Nov 2016 03:38:34 GMT – 0

    Blog---Designing-HRA-Flex-Contributions.png

    Overview

    When the Affordable Care Act (ACA) was enacted, the transitional reinsurance program was created to assist in stabilizing health premiums in the healthcare marketplace. To fund the program, insurers and employers with self-funded health plans are required to make contributions to the program from 2014 to 2016.

    Filing Deadline and Fees

    For the 2016 fee of $27 per plan enrollee, the filing deadline is Tuesday, November 15, 2016. You can pay the reinsurance fee in one or two installments. If you are paying in one installment, $27 per 2016 plan enrollee is due January 17, 2017. If you are paying in two installments, $21.60 per 2016 plan enrollee is due January 17, 2017. The remaining $5.40 per 2016 plan enrollee is due November 15, 2017.  

    Employer Action Item

    Self-funded employers must use the 2016 ACA Transitional Reinsurance Program Annual Enrollment and Contributions Submission Form (link to form) located on www.pay.gov to submit the 2016 enrollment count. This form will auto-calculate the contribution amount owed based on the $27 per 2016 plan enrollee.

    Reminder

    Self-funded employers who chose to pay the 2015 contribution in two installments, the second payment of $11 per 2015 plan enrollee is due November 15, 2016.

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