Ruth Colker Distinguished University Professor The Ohio State University Moritz College of Law.

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Presentation transcript:

Ruth Colker Distinguished University Professor The Ohio State University Moritz College of Law

 President Obama signed ACA into law with the strokes of 22 pens on March 23, 2010.

 Upheld most of Affordable Care Act in a 5-4 decision  Anti-Injunction Act did not bar suit before Act went into effect  Not valid under Commerce Clause  But valid exercise of Congress’ taxing powers  Medicaid rules violated Spending Clause  Remedy: Give states option whether to opt in

 Will states create exchanges or force federal government to create an exchange for their state?  Odd federalism dynamics!  Will states agree to expand Medicaid?  Will financial incentives on employers cause more of them to offer employer-based health insurance?  Will financial incentives for individuals cause more of them to purchase health insurance?  Will premiums rise or fall by virtue of new minimum requirements for health insurance?

 Insurers:  Cannot deny coverage of children under the age of 19 based on pre-existing conditions.  Cannot rescind coverage based on a review of the original application after someone gets sick.  Cannot impose lifetime dollar limits on essential benefits, like hospital stays.  Must cover certain services without charging a deductible, co-pay or coinsurance.  Preventive care and wellness visits, immunizations and some types of counseling and testing  Long list of preventive services for women including contraception

 Each state (or HHS) must create a pre-existing condition insurance plan for those who have been uninsured for at least six months because of a pre- existing condition.  Young adults are allowed to stay on their parents’ plan until they turn 26 years old (unless young adult is offered insurance at work).  Those who choose to stay on parents’ plan could potentially be those who need insurance, creating a selection risk issue  States are able to receive federal matching funds for covering some additional low-income individuals and families under Medicaid for whom federal funds were not previously available.

 85 % of all premium dollars collected by insurance companies for larger employer plans must be spent on health care services or health care quality improvement.  80 % of the premium must be spent on benefits and quality improvement for plans sold to individuals and small employers.  If costs are too high, then must provide rebates to consumers.  There has been some confusion about whether money must be returned to consumer or employer can use funds for wellness programs for all employees, because of language about “quality improvement.”

 Provides a one-time, rebate check of $250 to seniors who reach the gap in Medicare prescription drug coverage known as the “donut hole.”  Seniors who reach the coverage gap will receive a 50 % discount when buying Medicare Part D covering brand-name prescription drugs.  Seniors receive free preventive services under Medicare. (That’s similar to rule for all insurance plans.)

 Employers must distribute a Summary of Benefits & Coverage to employees  Employers must report the value of health benefits on employees’ W-2 forms by January 2013  $2,500 limit on employee contributions to health Flexible Spending Accounts  Requirement for employers to notify employees of the availability of health insurance exchanges

 Prohibit discrimination due to pre-existing conditions or gender  Eliminates annual limits on insurance coverage  Tax credits for those whose income is between 133 % and 400 % of the poverty line who are not eligible for other affordable coverage.  Can buy health insurance through an Exchange.  Will have to pay a tax penalty if health insurance is available and affordable but has not been purchased by individual.

 “Affordable” employer provided health insurance is defined as the individual option being less than 9.5 % of employee’s household income  If that is true, then expected to buy the FAMILY plan  No premium tax credits or cost sharing subsidies available

 Tax credits for insurance premium:  Contribute no more than 2 % AGI towards health insurance if less than 133 % of federal poverty line  Contribute between 2 and 9.5 % of AGI if 133 to 300 % of federal poverty line  Contribute no more than 9.5 % if 300 to 400 % of federal poverty line  No premium tax credits if over 400 % of federal poverty (but can take deduction if health costs above 10 % of AGI) or eligible for public coverage (Medicaid, CHIP, Medicare or military coverage)  Cost sharing subsidies ranging from $604 (225 % of federal poverty line) to $4834 (125 % of federal poverty line) for things like deductibles, coinsurance  Cost sharing subsidy phases out at 225 % of federal poverty line whereas premium credit phases out at 400 %

 If states elect to participate:  Americans who earn less than 133% of the poverty level ($14,000 for an individual and $29,000 for a family of four) will be eligible to enroll in Medicaid.  States will receive 100% federal funding for the first three years, phasing to 90 % in subsequent years.

 Who are they available for?  Primarily serve individuals buying insurance on their own  Small businesses with up to 100 employees can also buy insurance through Small Business Health Options Program (SHOP)  What are rules governing insurance under exchanges?  Minimum basic coverage  Limits on out of pocket expenses

 Employers with more than 50 employees  All individuals, unless:  Religious objection; undocumented immigrant; incarcerated; member of an Indian tribe  Family income is below threshold requiring you to file a tax return  You have to pay more than 8 % of your income for health insurance, after taking into account any employer contributions or tax credits  You were insured through Medicare, Medicaid, CHIP, military insurance, employer plan, or purchased insurance

 2014: $95 per adult and $47.50 per child (up to $285 for a family) or 1.0% of family income, whichever is greater  2015: $325 per adult and $ per child (up to $975 for a family) or 2.0 % of family income, whichever is greater  2016 and beyond: $695 per adult and $ per child (up to $2085 for a family) or 2.5 % of family income, whichever is greater  CBO estimates average annual premium for individual would be $4,500 – 5,000 and for a family would be $12,000 - $12,500 (equivalent to 2.5 % for 4-person family with income of $50,000).

 Small employers (fewer than 50 workers):  Imposes no new requirements  Provides new health insurance alternatives through state-based Small Business Health Options Program (SHOP) exchanges  If they offer insurance, may achieve some savings  State has option of combining small employer and individual exchange

 Tax credits became available in 2010 to offset a portion of the purchase of health insurance by low-wage employers with 25 or fewer workers.  Tax credits up to 35 percent of the employer’s premium contribution available to an eligible employer until 2014  Credits of up to 50 percent of the employer’s contribution will be available for two consecutive years as of January 1, 2014, for coverage purchased through the exchanges

 IF do provide coverage (voluntarily), they must limit waiting periods to no more than 90 days and eliminate lifetime and annual benefit limits.  IF offer dependent coverage then must make that coverage available for workers’ adult children up to age 26 (with no requirement that employer contribute to that coverage).  AND may not have pre-existing condition exclusions for children covered by health insurance

 Required to meet essential benefit requirements  Must be rated consistent with rating limits in the law  Must limit deductibles to $2,000 for single coverage and $4,000 for family coverage  Annual cost sharing limited to the current law for Health Savings Account limits ($5,959 for single coverage and $11,900 for family coverage in 2010)

 Need not meet essential eligibility requirements  BUT will have to meet those requirements if terminate current plan and purchase another one  HOWEVER, can allow family members of enrolled individuals to enroll without jeopardizing grandfathered status  AND can allow new employees of employer to join  Grandfathering will, in the short term, help firms that currently have an advantage in risk-rated insurance market  But if they purchase a new plan then new rules will likely increase expense of plan because part of larger risk pool

 Rule available to employers in all size groups:  An amount equivalent to what the employer would have contributed to the firm’s plan on behalf of such a worker  Voucher allows worker to apply that amount toward the purchase of coverage through a nongroup insurance exchange  Worker using these vouchers are not eligible for premium subsidies in the exchange  No penalties will apply to employers providing them.

 If has NO insurance policy:  Assessed $2000 per full-time employee, excluding the first 30 employees, who receives a subsidy through the exchanges  If DOES have insurance but that insurance would require a contribution of more than 9.5 percent of employee’s income AND employee purchases insurance through an exchange (with a subsidy) then:  Assessed $3,000 for each employee getting a subsidy or $2,000 per full-time employee, whichever is less.  Currently, 19 % of workers opt out of their employers’ health plans  Requirement to provide insurance or pay penalty applies to employees who work 30 hours per week (or more)  Some employers may push back hours to go under 30 hours to avoid coverage requirement

 Can purchase insurance through Exchanges  Can also benefit from “grandfather”rules so long as they retain their health insurance policies

 Same penalties as for medium size firms if an employee chooses a subsidized, exchange option  Same penalties if do not provide insurance (but 98 % do)  Until 2017, can purchase insurance through exchanges  Beginning in 2017, that rule is up to the states

 These prohibitions do apply:  Preexisting conditions exclusions  Recissions  Lifetime and annual benefit limits  Therefore, large employers will likely need stop-loss insurance if they self-insure  These rules do NOT apply:  Rating rules  Essential benefits minimums  Limits on deductibles

 Considered “self-insured” if ANY portion of benefits result from self-insurance.  These obligations DO NOT apply:  Comprehensive coverage for health benefits package  Essential health benefits requirements  Prohibition of discrimination based on salary  Annual limitations on deductibles for employer- sponsored plan  Guaranteed issue and renewability of coverage

 Employer must automatically enroll all full- time workers and all previously enrolled workers into a plan each year  Workers will have the opportunity to opt out if they choose  This rule applies to regular insurance as well as self-insurance plans

 The Medicare Modernization Act of 2004 provides subsidy payments to corporations equal to 28 percent of their costs for retiree prescription drug benefits  Payments for retiree health benefits are tax deductible for the firm  But ACA no longer allows firms to deduct the 28 percent subsidy they were receiving from federal government as part of their health care expenses  Firms have taken a “write down” to reflect this change ($1.0 billion by AT&T alone) because the 28 percent deduction was previously taken as an “asset.”

 Forty percent excise tax on “high-cost” plans  This tax will apply to the total cost of health coverage of an active or retired employee exceeding certain annual cost thresholds  Many employers will hit the excise tax threshold unless they take steps to cut costs or lower their cost increases  The tax of these “Cadillac plans” was delayed until So who knows what really happen by 2018.

 People who earn between 100 and 133 percent of poverty guidelines will not be entitled to subsidies to buy insurance under assumption they would move to Medicaid.  If employer offers “affordable” individual plan, and have family, then must buy family plan (or be subject to penalties).  But family plan might be terrifically expensive.  Only assistance is deduction if expenses above 10 % of AGI

 Children currently covered by CHIP between 100 % and 133 % of poverty would be transitioned to Medicaid  CHIP is funded through 2015, with increased federal match  CHIP eligible children (6 to 19 years old) who cannot enroll in the program due to federal allotment caps must be screened to determine if they are eligible for Medicaid and, if not, would be eligible for some new tax credits

 Establishes the Community First Choice Option in Medicaid to allow states to provide community-based attendant supports and services to individuals with incomes up to 150 % FPL with disabilities who require an institutional level of care through a state plan amendment.  Provides states with new options for offering home and community-based services through a Medicaid State Plan Amendment rather than through a wavier for individuals with incomes up to 300 % of the maximum SSI payment  Creates the State Balancing Incentive Program to provide enhanced federal matching payments to eligible states to increase the proportion of non-institutionally-based long-term care services.  Extends the Medicaid Money Follows the Person Rebalancing Demonstration program through 2016

 Uncertainty:  Will states go through with threat not to participate in Medicaid expansion?  If so, will individuals in those states become eligible for premium credit and cost sharing subsidies?  Will all states set up Exchanges (eventually if not immediately)?