affordable care act update: has the dust settled yet?
TRANSCRIPT
Affordable Care Act Update: Has the Dust Settled Yet? MARCH 8
A CBIZ Benefits & Insurance Services Program
Today’s Speakers
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KAREN R. MCLEESE, ESQ. VICE PRESIDENT - REGULATORY AFFAIRS
CBIZ BENEFITS & INSURANCE SERVICES, INC.
WILLIAM M. SMITH, ESQ. MANAGING DIRECTOR, NATIONAL TAX OFFICE
CBIZ MHM, LLC
ACA UPDATE: HAS THE DUST SETTLED YET? March 8, 2016
Today’s Agenda
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Quick Review of New Laws and Regulatory Guidance
Focus on ACA Reporting – Forms 1094/1095
ACA UPDATE: HAS THE DUST SETTLED YET? March 8, 2016
QUICK REVIEW OF NEW LAWS AND REGULATORY GUIDANCE
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CONSOLIDATED APPROPRIATIONS ACT, 2016 and PROTECTING AMERICANS FROM TAX HIKES (PATH) ACT OF 2015
(H. R. 2029; Now Public Law No.114-113; Enacted Dec. 18, 2015) Delays imposition of Cadillac tax until 2020, and changes its tax
status from excise tax to deductible tax Suspends annual fee paid by insurers for 2017 Suspends medical device excise tax for 2016 and 2017
New Laws: ACA Amendments
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PROTECTING AFFORDABLE COVERAGE FOR EMPLOYEES ACT (“PACE”)
(Public Law 114-60; Enacted Oct. 7, 2015)
Allows a state to define “small employer” for purposes of health insurance as an employer employing between 1 and 50 employees
Definition must apply to all insurers, including those in SHOPs (Small Business Health Options Programs)
Prior to enactment of PACE: Small employer would have been defined as one employing between 1 and 100 employees, beginning Jan. 1, 2016
New Laws: ‘Small Employer’ Definition Amended
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BIPARTISAN BUDGET ACT OF 2015 (Public Law 114-74; Enacted Nov. 2, 2015)
Repeals the ACA’s Automatic Enrollment Provision
This provision would have required employers with 200-plus employees to automatically enroll new full-time equivalents into qualifying health plan offered by
employer and automatically continue enrollment of current employees
New Laws: Automatic Enrollment Provision Repealed
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Employee Affordability (the 9.5% safe harbor rule) for purposes of employer’s risk of excise tax is addressed Percentage amount now tied to inflation: 9.56% in 2015;
9.66% in 2016 Newly available health reimbursement arrangement (HRA)
funds Opt-out for other health or nonhealth benefits Cash-out option
In determining employee’s cost of coverage, as long as employment relationship exists: Third-party paid time (short- or long-term disability, etc.) is
counted in determining hours worked. State workers compensation or state temporary disability
amounts are not counted
Regulatory Updates – IRS Notice 2015-87
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Individual Premium and Health Reimbursement Arrangements (HRAs) IRS guidance affirms prior guidance that employers cannot directly
or indirectly contribute to individual premium HRAs for active employees must be integrated with comprehensive
health coverage. If HRA covers dependents, they must be eligible for properly integrated health coverage.
An HRA covering retiree-only individuals need not be integrated with comprehensive plan
HRA funds can be used to pay excepted benefits (dental-only or vision-only plan) without violating the prohibition against premium payment plans
Regulatory Updates – IRS Notice 2015-87
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Out-of-Pocket (OOP) Limits (Deductibles, Co-insurance and Co-payments)
*Applicable to insured plans offered via the Marketplace, and insured and self-funded plans offered outside Marketplace
For plan years beginning on or after Jan. 1, 2016, an individual cannot be subject to more than the individual statutory OOP limit on essential health benefits, even if he/she is covered by a family plan
ACA Market Reforms – Cost-Share Restrictions
INDIVIDUAL/SELF-ONLY COVERAGE
FAMILY/COVERAGE FOR >ONE
ACA Plans* $6,850 (for 2016) $7,150 (for 2017)
$13,700 (for 2016) $14,300 (for 2017)
High-Deductible Health Plan (HDHP) used with Health Savings Account (HSA)
$6,550 (for 2016)
$13,100 (for 2016)
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MEC Reporting – IRC § 6055 Why Report?
Information derived from report used to determine number of months individuals are covered by minimum essential coverage (“MEC”) for individual shared responsibility purposes
Who Reports?
All entities (without regard to plan size) providing MEC during calendar year: Insurers for insured plans Plan sponsors of self-funded plans, including:
Plans not subject to ESR requirements (completes Part III of Form 1095-C)
Multiemployer plan Multiple employer welfare arrangements Union plans
What forms are used? Forms 1094-B and 1095-B
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Why Report? Reporting information used to assist IRS: Administer IRC § 4980H (excise tax penalties) Determine employee eligibility for premium tax credit
Who Reports? Employers employing 50-plus full-time equivalent employees (FTEE) Members of a controlled group with aggregate FTEE count of ≥ 50
employees What forms are used? Form 1094-C and Form 1095-C
Employer Shared Responsibility (ESR) Mandate: Reporting Obligation - IRC § 6056
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Determining ALE status: Average number of employees and their hours of service in preceding year determines ALE status for the current year
Employee defined as “common-law employee” Does not include leased employees, sole proprietor, partner in
partnership, 2% S-Corp shareholders, or real estate agents and direct sellers (“IRC Section 3508 employees”)
Full-time employee (FTE): One who works average of 30 hrs/week (130 hrs/calendar month = 30 hrs/week)
Employer Shared Responsibility Mandate: Reporting Obligation - IRC § 6056
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Who Is Considered an Employee: Myth No. 1
There is a difference between an “independent contractor” and a “consultant”
Only two choices: – Employee or independent
contractor (“IC”) based on application of particular test at issue
– Labels do not matter – A valid business-to-business
relationship does not involve individuals and so is not at issue when making that determination A business itself, however, does
not resolve issue
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Only 4 Ways to Engage a Worker
1. Directly as employee 2. Directly as independent contractor 3. Indirectly as employee
– Through a professional employer organization (PEO) or staffing agency
4. Indirectly as independent contractor
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The Current Climate
Growing hostility to concept of independent contractors Perceived tax abuse because it is assumed that ICs underpay
their taxes 1991 Treasury Report showed no difference between
employees and ICs – employment tax abuse illusory No unemployment taxes are collected, but no benefits are
supposed to be paid either Employment tax target: Government says it is only collecting
taxes that are owed – reducing the “tax gap” Expanding the tax base is easier than raising revenue
through new taxes
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What Do Workers Want?
According to 2012 Forbes article regarding the "1099 economy" (citing Economic Modeling Specialists International), the number of people who work for themselves has swelled by 1.3 million since 2001 to 10.6 million, a 14 percent increase.
Genesis Research Associates Survey for oDesk, Spring 2013 72% of “freelancers” who also have “regular” jobs want to quit
and work entirely for themselves 61% say they will, or probably will, quit their regular jobs within
two years 89% say freedom to work when and where they choose
versus a corporate 9-to-5 job is top reason to quit 90% said being an entrepreneur reflects a certain mindset
rather than being strictly defined as having started a company
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Which workers are most likely to see status questioned?
Highly skilled, highly paid workers Examples: computer programmers, doctors
Low-skilled, low-paid workers Little control often needed given the nature of the work, but is
there real entrepreneurism?
Small businesses or startups Lack the knowledge to properly apply the rules or just trying to
survive
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When does a worker’s status get questioned?
Workers (or class counsel) seeking “employee” benefits Health-and-welfare benefits, stock options, expense
reimbursements, overtime, meal and rest periods
Workers suing each other, looking for employer responsibility
Injured worker seeking workers’ compensation benefits Termination of work
Seeking unemployment benefits
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Government Investigations
Government tax audits (federal and state) On-the-job injuries OSHA and workers compensation
Union organizing US Department of Labor or state labor
commissioner audits Compliance with Affordable Care Act provisions Failure to pay wages due, penalties, business expense
reimbursements Government data indicates IC rate has been relatively constant over
last 5 years at 6% of workforce
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Who Is an Independent Contractor for Tax Purposes?
Common-Law Rules
Does the principal have the right to control the manner and means by which services are performed in addition to the result to be achieved? Behavioral control
Does the company control or have the right to control what the worker does and how the worker does his or her job?
Financial control Are the business aspects of the worker’s job controlled by the payer?
Relationship of the parties Are there written contracts or employee-type benefits?
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Independent Contractors for Employment-Law Purposes
The “economic reality test” Used for many federal laws such as Fair Labor Standards
Act Used for many state laws such as workers’ compensation
and wage-and-hour laws Takes the usual common-law rules and supplements them
with additional factors, including whether worker is integral to the business and economically dependent upon the principal
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Movement Toward a Single Test?
While the economic reality test was rejected for tax purposes, it is used for most other purposes, such as Fair Labor Standards Act, workers’ compensation, state wage-and-hour laws, etc.
Different states and different laws use different tests, but there is a push toward a single liberal standard
If taxpayer wins, state can bring another case; if state wins, it wants changes made for all purposes New York has been challenged on this practice
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The IC Sniff Test
Does the worker possess certain skills used to perform services? How different are they from what the business does?
Do they perform those kinds of services for others? Do they have indicia of their own business, such as a
website or office? Can they make a profit or suffer a loss? How? How comprehensive are the instructions?
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The Risks of Getting It Wrong
Tax issues Wage-and-hour issues Workers’ compensation issues Immigration issues Benefit issues Other employment-law issues
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IRS Voluntary Classification Settlement Program (VCSP)
Who is it for? Available for taxpayers who want to voluntarily change the
prospective classification of their workers. The program applies to taxpayers who are currently treating their workers (or a class or group of workers) as independent contractors or other nonemployees and want to prospectively treat the workers as employees.
Eligibility Must be treating the workers to be reclassified as independent
contractors or other nonemployees Must have consistently treated the workers as nonemployees,
including having filed any required Forms 1099, consistent with the nonemployee treatment, for the previous three years with respect to the workers to be reclassified
Cannot be currently under employment tax audit by the IRS Cannot be under audit by the Department of Labor or any state
agency regarding the classification of workers
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IRS Voluntary Classification Settlement Program (VCSP)
Benefits 1. Pay 10% of employment tax liability that would have been
due on compensation paid to the workers for the most recent tax year, determined under the reduced rates of IRC § 3509(a);
2. Avoid liability for any interest and penalties on the amount; and
3. Avoid being subjected to an employment tax audit with respect to the worker classification of the workers being reclassified under the VCSP for prior years.
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ACA and Worker Status
Will ACA cause an increase in use of ICs? Many large businesses have medical insurance
Reduction in hours will not spur switch to ICs Businesses at or near 50 FTEs motivated to use ICs According to a June 2013 Gallup Poll, small business will
stop hiring or reduce head count to avoid triggering ACA penalties 41% of small businesses have frozen hiring 19% have reduced head count because of ACA 38% have scaled back growth plans
According to a March 2015 Brookings Institution study, it is difficult to tell the impact caused by ACA on employment because of the economic downturn
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Determining Aggregated ALE Group status • Aggregated ALE Group: A group of ALE members treated as a
single employer under IRC Section 414(b), 414(c), 414(m) or 414(o).
• An ALE member is a member of an Aggregated ALE Group for a month if it is treated as a single employer with the other members of the group on any day of the calendar month.
• Government entities and churches or conventions or associations of churches may apply a reasonable, good-faith interpretation of the aggregation rules under Section 414 in determining their status as an ALE or member of an Aggregated ALE Group.
Source: Instructions to Forms 1094-C and 1095-C
Aggregated ALE Group
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Determining Aggregated ALE Group Status • 414(b): Controlled group of corporations (per IRC
Section1563) • 414(c): Trades or businesses (whether or not incorporated)
which are under common control (rules similar to (b)) – partnerships and LLCs
• 414(m): Affiliated service group • 414(o): Anti-avoidance regulations
Aggregated ALE Group
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Determining Aggregated ALE Group Status Section 1563 – Controlled Group of Corporations: Parent – Subsidiary (80% vote or value) Brother – Sister Controlling interest: At least 80% vote or value by 5 or fewer
individuals Effective control: >50% vote or value, but only to the extent
of identical ownership by the same 5 or fewer individuals Similar rules for partnerships Attribution applies (breaking up is hard to do)
Aggregated ALE Group
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Part II: ALE Member Information Line 22 requires ALE who meets eligibility requirements and is using one of the Offer Methods and/or Transition Relief to check each applicable box:
Box A: Qualifying Offer Method Box B: Qualifying Offer Method Transition Relief for 2015 Box C: Section 4980H Transition Relief Box D: 98% Offer Method
Spotlight on Line 22 of Form 1094-C
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Form 1094-C, Transmittal
Part II: ALE Member Information Enter ALE member info (designated ALE/aggregated ALE member), certifications of eligibility. Box A: Qualifying Offer Method. Box B: Qualifying Offer Method Transition Relief. Box C: Section 4980H Transition Relief. Box D: 98% Offer Method.
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Line 22 - Box C: Section 4980H Transition Relief (4980H is Big Penalty) ALE must meet criteria applicable to either:
50-99 Transition Relief, or 100-plus Non-calendar-year Transition Relief
Specific form of relief also reported on Form 1094-C, Lines 23-35,
Column (e), using either Code A (50-99 Transition Relief) or Code B (100-plus Non-calendar-year Transition Relief)
Spotlight on Line 22 – Box C of Form 1094-C
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Spotlight on Lines 14 and 16 of Form 1095-C
Part II: Employee Offer and Coverage Enter on Line 14 - Offer of coverage code by month; Line 15 - Employee share of lowest cost monthly premium for self-only minimum value coverage; Line 16 - Applicable Section 4980H safe harbor code (if applicable). Part II must be completed for any individual who is a full-time employee for at least one month in the year.
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Codes specify type of coverage, if any, offered to employee and his/her spouse and dependents:
1A. Qualifying Offer 1B. MEC providing minimum value (MV) offered to employee only 1C. MEC providing MV offered to employee and at least MEC offered to
dependent(s) (not spouse) 1D. MEC providing MV offered to employee and at least MEC offered to spouse
(not dependent(s)) 1E. MEC providing MV offered to employee and at least MEC offered to
dependent(s) and spouse 1F. MEC not providing MV offered to employee; employee and spouse or
dependent(s); or employee, spouse and dependents 1G. Offer of coverage to employee who was not an FTE for any month of the
calendar year (which may include one or more months in which the individual was not an employee) and who enrolled in self-insured coverage for one or more months of the calendar year.
1H. No offer of coverage 1I. Qualifying Offer Transition Relief 2015
Spotlight on Line 14 – Form 1095-C: Indicator Codes for Employee Offer and Coverage
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2A. Employee not employed during the month 2B. Employee not a full-time employee 2C. Employee enrolled in coverage offered 2D. Employee in a section 4980H(b) Limited Non-Assessment Period 2E. Multiemployer interim rule relief 2F. Section 4980H affordability Form W-2 safe harbor 2G. Section 4980H affordability federal poverty line safe harbor 2H. Section 4980H affordability rate of pay safe harbor 2I. Non-calendar-year transition relief applies to this employee
Spotlight on Line 16 – Form 1095-C: Codes for Section 4980H Safe Harbor Codes and Other Relief for Employers
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Mary is FTE with NewCo (an ALE) during all 12 months of 2015. NewCo offers MEC through its insured group health plan that meets the
minimum value standard to Mary, and she enrolls. NewCo also offers MEC to Mary’s spouse and dependents.
On Form 1095-C, NewCo uses: Line 14: Code 1E (MEC providing MV offered to employee and at
least MEC offered to dependent(s) and spouse entire year); and Line 16: Code 2C (employee enrolled in coverage offered).
Example 1 – Insured Group Health Plan (GHP)
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Same facts as Example 1, except Mary fails to enroll in NewCo’s plan. Assume NewCo uses W-2 safe harbor standard for determining
affordability On Form 1095-C, NewCo uses: • Line 14: Code 1E (MEC providing MV offered to employee and at
least MEC offered to dependent(s) and spouse entire year); and • Line 16: Code 2F (Section 4980H affordability Form W-2 safe
harbor)
Example 2 – Insured GHP
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ACME (an ALE) employs 150 employees and entitled to 4980H transition relief. Its insured group health plan year begins July 1.
Joe is an FTE with ACME but is not offered coverage from January through June. Joe and his dependents are offered MV coverage under
ACME’s plan beginning July 1, and Joe enrolls.
On Form 1095-C, ACME uses the following: • Line 14: Code 1H (no offer of coverage) for the months of January
through June; and Code 1E (MEC providing MV offered to employee and at least MEC offered to dependents and spouse) for the months of July through December
• Line 16: Code 2I (non-calendar-year transition relief applies to this employee) for the months of January through June; 2C (employee enrolled in coverage offered) for July through December
Example 3 – Insured GHP
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Widget Company (an ALE) employs 200 employees. Fred is hired as a FTE on Jan. 1 and enrolls in Widget’s insured group plan; his coverage is effective Jan. 1. He quits his job on May 31 and is offered COBRA.
On Form 1095-C, Widget Company uses: • Line 14: Code 1E (MEC providing MV offered to employee and at
least MEC offered to dependent(s) and spouse) for the months of January through May; Code 1H (no offer of coverage) for the months of June through December
• Line 16: Code 2C (employee enrolled in coverage offered) for the months of January through May; Code 2A (employee not employed during the month) for the months of June through December
Example 4 – Insured GHP - COBRA
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Solar-It (an ALE) employs 125 employees. On behalf of certain employees, Solar-It makes a contribution to the SOLAR USA
multiemployer plan for the entire year. On Form 1095-C, Solar-It uses: • Line 14: Code 1H (no offer of coverage) for all 12 months • Line 16: Code 2E (multiemployer interim rule relief) for all 12
months
Example 5 – Multiemployer Plan
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Jane is an FTE employed by Old Company (an ALE). She and her spouse
and two children are offered MEC that meets the Form W-2 affordability standard. All four of them enroll in Old Company’s self-funded group
health plan. On Form 1095-C, Old Company uses:
• Line 14: Code 1E (MEC providing MV offered to employee and at least MEC offered to dependent(s) and spouse) for all 12 months
• Line 16: Code 2C (employee enrolled in coverage offered) for all 12 months
Example 6 – Self-Funded GHP
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Then, in Part III of the Form 1095-C, Old Company completes columns (a) through (e) for Jane, her spouse and two children: Column (a): Name of each covered individual Column (b): Enter the nine-digit Social Security number (SSN) for each
covered individual, including the dashes Column (c): Enter date of birth (MM/DD/YYYY) for the covered individual
only if column (b) is blank Column (d): Check this box if the individual was covered for at least one day
per month for all 12 months of the calendar year Column (e): If the individual was not covered for all 12 months of the
calendar year, check the applicable box(es) for the months in which the individual was covered for at least one day in the month
Example 6, cont’d
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Same facts as Example 6, except Jane terminates employment with Old Company on Sept. 30. She and her family elect COBRA continuation
coverage. On the 2015 Form 1095-C, Old Company uses: • Line 14: Code 1E (MEC providing MV offered to employee and at least MEC
offered to dependent(s) and spouse) for the months of January through September; Code 1H (no offer of coverage) for the months of October through December
• Line 16: Code 2C (employee enrolled in coverage offered) for the months of January through September; Code 2A (employee not employed during the month) for the months of October through December.
Example 7 – Self-Funded GHP - COBRA
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Then, in Part III of the 2015 Form 1095-C, Old Company completes Columns (a) through (e) for Jane, her spouse and two children:
Column (a): Name of each covered individual Column (b): Enter the nine-digit SSN for each covered individual,
including the dashes Column (c): Enter a date of birth (MM/DD/YYYY) for the covered
individual only if column (b) is blank Column (d): Check this box if the individual was covered for at least one
day per month for all 12 months of the calendar year Column (e): If the individual was not covered for all 12 months of the
calendar year, check the applicable box(es) for the months in which the individual was covered for at least one day in the month
Example 7, cont’d
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For the following year on the 2016 Form 1095-C, Jane, her spouse and dependents are still receiving COBRA coverage. Old Company would use:
Line 14: 1G (offer of coverage to employee who was not an FTE for any month of the calendar year, which may include one or more months in which the individual was not an employee, and who enrolled in self-insured coverage for one or more months of the calendar year)
Line 16: [leave blank] Then, in Part III of the Form 1095-C, Old Company completes Columns (a) through (e) for Jane, her spouse and two children who elected COBRA coverage.
Example 7, cont’d
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ACA Information Center for Applicable Large Employers (ALEs)
http://www.irs.gov/Affordable-Care-Act/Employers/ACA-Information-Center-for-Applicable-Large-Employers-ALEs
Information Reporting by Providers of Minimum Essential Coverage
http://www.irs.gov/Affordable-Care-Act/Employers/Information-Reporting-by-Providers-of-Minimum-Essential-Coverage
Questions and Answers about Health Care Information Forms for
Individuals (Forms 1095-A, 1095-B, and 1095-C) http://www.irs.gov/Affordable-Care-Act/Questions-and-Answers-about-Health-Care-Information-
Forms-for-Individuals
IRS Resources, Forms, Publications, Q and A’s, Webinars, Tax Tips and Related Outreach Materials
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QUESTIONS?
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.
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