In response to the COVID-19 pandemic, the Departments of Labor (DOL), Health and Human Services (HHS), and Treasury (collectively, Departments) issued two additional pieces of guidance further expanding COVID-19 related relief to affecting health and retirement plans. The guidance includes:
This blog does not address the number provisions in the Final Rule and Notice that do not apply to health & welfare plans โ for information on 401(k) plans contained in the guidance, see our blog entitled โDOL, IRS, EBSA Issue Guidance Further Expanding COVID-19 Relief for 401(k) Plansโ for more details.
Disaster Relief Notice 2020-01
On April 29, 2020, the DOLโs Employee Benefits Security Administration (EBSA) announced the extension of deadlines for furnishing required notices and disclosures required under Title 1 of the Employee Retirement Income Security Act (ERISA) to plan participants, beneficiaries, and other persons (the Final Rule section below addresses HIPAA, COBRA, and Claims-Related timeframes).
Specifically, employee benefit plans and their fiduciaries will not violate ERISA for failure to timely furnish a notice, document, or disclosure that must be furnished between March 1, 2020, and 60 days after the announced end of the COVID-19 outbreak (Outbreak Period).
During the Outbreak Period, plan fiduciaries must continue to act in good faith and furnish the notice, document, or disclosure as soon as administratively possible to these individuals. The Notice states that good faith acts may include use of electronic alternative means of communicating with plan participations and beneficiaries who the plan fiduciary reasonably believes has effective access to electronic means of communication (e.g., email, text messages, and continuous access websites).
Final Rule
On May 4, 2020, the Departments published a Final Rule extending timeframes for employee benefit plans affected by the COVID-19 outbreak. The extensions apply to all plans covered by ERISA and the Internal Revenue Code (the Code) to disregard the following plan deadlines during the Outbreak Period beginning March 1, 2020, and until 60 days after the announced end of the COVID-19 emergency:
Examples
Below are some examples to help illustrate the extensions required by the Final Rule. For the sake of these examples only, assume that the National Emergency Period ends on April 30, 2020. The Outbreak Period would end on June 29, 2020 (i.e., 60 days after the announced end of the COVID-19 emergency).
FAQs
For more information on either the Final Rule or Notice, the DOL has posted the following FAQs to help plan sponsors and participants better understand their rights and obligations during the COVID-19 outbreak.
Other COVID-19 Resources
For more information about how the COVID-19 crisis may affect your 401(k) plan and health & welfare plan, please visit our previous blogs below:
The information and content contained in this blog post are for general informational purposes only, and does not, and is not intended to, constitute legal advice. As always, for specific questions concerning your health plan, or for help in operating your plan during the current COVID-19 crisis, please consult your own ERISA attorney or professional advisor.