Download presentation
Presentation is loading. Please wait.
Published bySteven Hunt Modified over 9 years ago
1
Implementation Issues for Kentucky School Districts
2
Presenters Melissa Sullivan Melissa.Sullivan@education.ky.gov 502-564-3930 extension 4415 Susan Barkley Susan.Barkley@education.ky.gov 502-564-3930 extension 4437
3
Resources KDE website: Health and Life Insurance Benefits and Flexible Spending Accounts page http://education.ky.gov/districts/FinRept/Pag es/Health-and-Life-Insurance-Benefits-and- Flexible-Spending-Accounts.aspx http://education.ky.gov/districts/FinRept/Pag es/Health-and-Life-Insurance-Benefits-and- Flexible-Spending-Accounts.aspx Implementation Guide Timekeeping documentation KEHP FAQs and Responsibility Chart
4
Disclaimer The Guide is only one of many resources IRS continues to issue regulations on ACA Information in the Guide could become inaccurate Not comprehensive of all aspects of ACA Consult legal counsel
5
Whose Responsibility? Districts: Eligibility and offers of coverage (Play or Pay) Nondiscrimination Marketplace Notice Employer Reporting KEHP: Affordable coverage Adequate coverage Plan details and options
7
Failure to comply = PENALTY
8
The ACA seems like a mountain
9
But KEHP is taking care of compliance with affordability and adequacy requirements
10
And MOST employees are already receiving health benefits, including bus drivers
11
And we know many variable hour employees won’t work enough separate days at 8 hours a day to change their eligibility status – therefore we don’t need to track their actual time
12
So the work we have to do for ACA isn’t as big a mountain as we expected
13
What do we have to deal with? Establish policies relating to ACA Track actual time for employees close to the eligibility break point and part-timers Calculate eligibility for all variable hour employees Document offers of coverage Provide marketplace notice to new hires Ensure nondiscrimination Employer reporting to IRS
14
Who Do We Need to Worry About? Substitutes (classified and certified) Day care workers Student workers Retirees who return part- time or as subs Extended school services workers Part-time employees
15
Expectations If employee is expected to work full-time must offer coverage at the time of hire If it is unknown if the employee will have an average of 30 service hrs/week or 130 service hrs/month, use the measurement period
16
Action Steps Who are employees? Am I a “large” employer? Which hours count as “hours of service”? What action should be taken by the board? Which employees are full- time for ACA? How do I document offers of coverage? Repeat Annually
17
Who are Employees? An employee relationship exists when the employer has the right to control and direct the individual who performs the services and the details and means by which the result is accomplished.
18
Who are employees? Common Law Employees Independent Contractors All who perform work for the district
19
“Large” Employer 2015 = 100 or more FT & FTEs 2016 = 50 or more FT & FTEs Most KY school districts are large
20
“Hours of Service” Hours actually worked (or equivalency) Hours paid or entitled to be paid Vacation Holiday Sick leave Disability Jury duty Military duty
21
Equivalency Hours If you don’t document actual time worked: 8 hours per day 40 hours per week
22
Employment Breaks Breaks at least 4 consecutive weeks in length Cannot count zero hours worked Exclude from average hours of service Examples: summer break, FMLA leave
23
Eligibility Break Point Step 1 – calculate number of days excluding breaks of > 4 weeks Step 2 – multiply 5.997 by the number of days from Step 1 and then divide by 8 5.997 * 207 / 8 = 154 days
24
Do I need to track actual time? To limit the number of employees tracking actual time worked: Limit number of days/year Limit number of days/week Use equivalency of 8 hrs/day
25
Board Action Measurement, administrative, and stability periods Limitation of days worked Track actual hours or use equivalency Terminate subs that refuse assignments
26
Full-time Employees for ACA Employees who average 30 hours of service per week or 130 hours of service per month
27
Who is Full-time? Average hours of service over measurement period Max 12 months Recommended: October 3, 2013 – October 2, 2014 Don’t forget to exclude breaks >4 weeks
28
Measurement Period – collect hours of service data to be used in the calculation Administrative Period – perform eligibility calculations and make offers of coverage Stability Period – time period coverage is offered based on results of the measurement period
29
12 Months 90 days 9 Months 90 days 9 months 90 days Measurement 10/3/13-10/2/14 Admin 10/3/14- 12/31/14 Stability 1/1/15-12/31/15 Measurement 10/3/14-10/2/15 Admin 10/3/15- 12/31/15 Stability 1/1/16-12/31/16 Measurement 10/3/15-10/2/16 Admin 10/3/16- 12/31/16 Recommended Measurement Periods Continually measuring
30
What About Mid-Year Hires? Initial Measurement Period Begins the first day of the month after hired Max 12 months Transitions to standard measurement period
31
Initial Measurement Period INITIAL Measurement 4/1/14-3/31/15 INITIAL Admin 4/1 - 4/30/15 INITIAL Stability 5/1/15-4/30/16 Standard Measurement 10/3/14-10/2/15 Standard Admin 10/3/15- 12/31/15 Standard Stability 1/1/16-12/31/16 Note that the standard measurement period begins during the initial measurement period; both periods occur simultaneously
32
Offering Coverage ACA requires coverage for full-time employees and dependent children – not spouses Coverage must begin Jan 1, 2015 for districts with 100 or more full time & FTEs Coverage must begin Jan 1, 2016 for districts with 50 or more full time & FTEs Offer must be made, employee can decline Maintain documentation Annual requirement
33
Offering Coverage Full-time during Measurement Period = Coverage during Stability Period regardless of hours of service during Stability NOT full-time during Measurement Period = NO coverage during Stability Period regardless of hours of service during Stability
34
COBRA TerminationReduction in hours (no longer eligible)Failure to pay employee portion
35
Funding State funds non-federal employee premiums If health insurance appropriation is inadequate, unexpended SEEK funds may be used Avoid a blanket policy to offer coverage to all employees
36
Penalty If no Substantial Compliance For 2015 - 70% of full-time employees Starting in 2016 - 95% or no more than 5 full-time employees Penalty is Number of full-time employees minus 30 Multiplied by $167 per month
37
Nondiscrimination Cannot provide more for highly compensated employees Example: paying the superintendent’s employee premiums Penalty is Number of employees minus the superintendent Multiplied by $100 per day until in compliance Solution: tax the additional benefit
38
Employer Reporting Will be required First report due March 2016 for 2015 plan year data IRS guidance not finalized More information forthcoming
39
Your Good Questions
Similar presentations
© 2025 SlidePlayer.com. Inc.
All rights reserved.