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The Not-So-Mandatory Individual Mandate Jordan Barry Bryan Camp.

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Presentation on theme: "The Not-So-Mandatory Individual Mandate Jordan Barry Bryan Camp."— Presentation transcript:

1 The Not-So-Mandatory Individual Mandate Jordan Barry Bryan Camp

2 Patient Protection and Affordable Care Act (PPACA) Major Piece of Legislation (2,400+ Pages) – Increases Federal Spending on Healthcare for Low- Income Individuals and Families – Creates Insurance Exchanges – Incentives for Employers to Provide Employees Health Insurance – Prohibits Discrimination Based on Pre-Existing Conditions Adverse Selection

3 “Individual Mandate” Applies to Most U.S. Citizens – Requires “Minimum Essential Coverage” – Both for Themselves and Dependents Enforced by a Tax Penalty

4 Tax Penalty Sole Enforcement Mechanism for Individual Mandate – “Neither the Act nor any other law attaches negative legal consequences to not buying health insurance, beyond requiring a payment to the IRS.” SCOTUS, in HHS v. Florida. – “[I]t is the interpretation of the agencies charged with interpreting this statute, [Treasury and HHS], that there is no other consequence apart from the tax penalty.” S.G. Verilli, Oral Argument

5 Tax Penalty Issues Amount Too Low? – CBO Estimates 4M People Will Choose to Pay the Penalty Rather Than Buy Insurance Collection?

6 Tax Collection Tools Criminal Penalties Federal Tax Lien Levies Lawsuits Offsets

7 Federal Tax Lien Arises Automatically – IRS Makes Proper Assessment – Gives Proper Notice and Demand for Payment – Taxpayer Fails to Pay in Full  No Initial Public Record  Perfected as of Assessment Date Enforceable Against Everyone But “Four Horsemen” – For Them, Need Notice of Federal Tax Lien (NFTL)

8 Scope of the Federal Tax Lien Touches – All the Taxpayer’s Property – All Her Rights to Property – Any Property Received During the Life of the Lien Duration – Lasts at Least 10 Years – Easily Extendable – Retroactivity Makes It Hard to Avoid

9 IRS Levies IRS Can Seize and Sell – Anything Subject to the Federal Tax Lien Any of the Taxpayer’s Property Or Rights to Property – Some Exceptions, But Fairly Narrow Can Be in Third Parties’ Possession – Bank Accounts – Future Wages Third Parties Strongly Encouraged to Comply

10 Lawsuits Sections 7401 and 7403 – Reduce Assessments to Judgments – Foreclose Tax Liens Supplement Administrative Remedies – Extending Collection Period – Overcoming Joint Ownership

11 Offsets Conceptually Simple – I Have $1K Outstanding Tax Liability from Last Year – I’m Entitled to a Net Refund of $3K This Year  IRS Offsets These, Sends Me $2K Administratively Very Easy Also Used to Collect Non-Tax Payments – Other Amounts Owed to Fed’l or State Gov’t – Past-Due Child Support

12 Tax Penalty Collection: Criminal Penalties Completely Off the Table “In the case of any failure by a taxpayer to timely pay [the tax penalty], such taxpayer shall not be subject to any criminal prosecution or penalty with respect to such failure.”

13 Tax Penalty Collection: Levy Completely Off the Table (Probably) “The Secretary shall not” “levy on any” “property of a taxpayer” “with respect to [that taxpayer’s] failure [to pay the tax penalty]”

14 Tax Penalty Collection: Lien Wounded, But Still Alive “The Secretary shall not file notice of lien with respect to any property of a taxpayer by reason of any failure to pay the [tax] penalty”

15 Tax Penalty Collection: Lien Somewhat Strange Effects – Questionable Use in Bankruptcy – Enforceable Against Taxpayer – Levy Leftovers? IRS’ ACA Website: “The law prohibits the IRS from using liens or levies to collect any payment you owe related to the individual responsibility provision....” – http://www.irs.gov/uac/Questions-and-Answers-on- the-Individual-Shared-Responsibility-Provision, Question 25 http://www.irs.gov/uac/Questions-and-Answers-on- the-Individual-Shared-Responsibility-Provision

16 Tax Penalty Collection: Lawsuits Probably Untouched, But Unimportant – Disfavored by IRS Policy – Requires DOJ Involvement – Amount in Controversy Requirement – Amounts Too Small to Be Cost-Effective In 2010 – 1.1M Notices of Federal Tax Lien – 3.3M Notices of Levy on Third Parties – Lawsuits Under 7403 Produced 46 Judicial Opinions

17 Tax Penalty Collection: Offsets Expected to Be the Workhorse Relies on Other Overpayments Two Main Ways That Happens – Refundable Tax Credits Mostly Target Low-Income Taxpayers Low-Income Taxpayers Exempted from Tax Penalty – Over-Withholding Currently, Very Common But Generally Avoidable

18 Key Takeaways The Individual Mandate Is Not Much of a Mandate – But May Not Matter in Practice Collection Provisions Would Benefit from Technical Corrections Bill Value of Having IRS Administer The Tax Penalty?

19 Thank You


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