On October 18, 2022, the IRS released its annual Revenue Procedure, Rev. Proc. 2022-38, setting forth various cost of living adjustments for a variety of tax-related dollar limits, including numerous limits applicable to health and welfare benefits and benefit plans. A related IRS News Release is available at IRS provides tax inflation adjustments for tax year 2023 | Internal Revenue Service.
For 2023, because inflation is at near-record levels, the increases are fairly significant as contrasted with prior years.
prior years.
Health and Welfare Adjusted Limits for 2023.
The most frequently encountered health and welfare-related dollar limits covered under Rev. Proc. 2022-38, that will increase in 2023 from the parallel dollar limits that are in effect for 2022, are as follows:
Other Adjusted Limitations for 2023.
In addition to the above limits, Rev. Proc. 2022-38 addresses somewhat less commonly encountered limits relative to DCAPS, Premium Tax Credits, Small Business Health Care Tax Credits, Archer MSAs, and various other items. See the text of the Rev. Proc.ย and/or the corresponding News Releaseย for full details.
ComplianceDashboard Limits Chart.
See our Geek out page Limits & Annual Feesย for an updated chart that includes the major health and welfare plan limits for 2023 (including limits not covered under Rev. Proc. 2022-38), along with the corresponding limits in effect during 2022 and 2021.
ACTION REQUIRED!
Plan administrators, Human Resources personnel, payroll managers, and others affected by the adjusted limits should make sure that their systems are timely updated to reflect the 2023 changes, and to inform employees about the new 2023 dollar limits in all relevant communications (for example, year-end open enrollment materials). Summary plan descriptions (โSPDsโ), plan guidelines and procedures, and similar documents also will need to be reviewed and revised, as required.
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 and welfare plan, or for help in operating your plan during the current COVID-19 crisis, please consult your own ERISA attorney or professional advisor.