Depending on your area of the country, the leaves will soon be changing colors as they herald the arrival of fall and the start of cooler weather.ย This also marks the fact that we are nearing the final quarter of the year which means only a few more months to prepare for the first official Section 6055/6056 reporting cycle!ย With that in mind, the IRS recently released finalized Forms 1094-B, 1095-B, 1094-C and 1095-C as well as the final instructions for 2015 reporting. ย Information of particular notice in the finalized instructions is highlighted below.
Coverage in More Than One Type of Minimum Essential Coverage
If an individual is covered by more than one type of minimum essential coverage, reporting is required of only one of the types, if one of the following rules applies.
Under the first exception, if an individual is covered by a self-insured major medical plan and a health reimbursement arrangement (HRA) provided by the same employer, the employer is the provider of both types of coverage and therefore is required to report the coverage of the individual under only one of the arrangements.
The second exception applies in the following situations.
If an individual is covered by an HRA sponsored by one employer and a non-HRA group health plan sponsored by another employer (such as spousal coverage), each employer must report the coverage the employer provides.
An ALE Member with a self-insured major medical plan and a health reimbursement arrangement (HRA) is required to report the coverage of an individual enrolled in both types of minimum essential coverage in Part III under only one of the arrangements. An ALE Member with an insured major medical plan and an HRA is not required to report in Part III HRA coverage of an individual if the individual is eligible for the HRA because the individual enrolled in the insured major medical plan. An ALE Member with an HRA must report coverage under the HRA in Part III for any individual who is not enrolled in a major medical plan of the ALE Member (for example if the individual is enrolled in a group health plan of another employer (such as spousal coverage)).
FORMS 1094/1095 โBโ
Form 1095-B is used to report certain information to the IRS and to taxpayers about individuals who are covered by minimum essential coverage and therefore are not liable for the individual shared responsibility payment. Minimum essential coverage includes government-sponsored programs, eligible employer-sponsored plans, individual market plans, and miscellaneous coverage designated by Health & Human Services [HHS].
Every person that provides minimum essential coverage to an individual during a calendar year must file an information return and a transmittal. Most filers will useย 1094-Bย (transmittal) andย 1095-Bย (return). However, large employers (including government employers) subject to the employer shared responsibility provisions will report information about the coverage onย 1095-C, Employer-Provided Health Insurance Offer and Coverage, instead of on Form 1095-B.
FORMS 1094/1095 โCโ
Employers with 50 or more full-time employees (including full-time equivalent employees) use Formsย 1094-Cย andย 1095-Cย to report the information required under sections 6055ย โANDโย 6056 about offers of health coverage and enrollment in health coverage for their employees.
Form 1094-C (transmittal) must be used to report to the IRS summary information for each employer and to transmit Forms 1095-C (return) to the IRS. Form 1095-C is used to report information about each full-time employee and enrolled individuals.
In addition, Forms 1094-C and 1095-C are used in determining whether an employer owes a payment under the employer shared responsibility provisions under section 4980H. Form 1095-C is also used in determining the eligibility of employees for the premium tax credit. Employers that offer employer-sponsored self-insured coverage also use Form 1095-C to report information to the IRS and to employees about individuals who have minimum essential coverage under the employer plan and therefore are not liable for the individual shared responsibility payment for the months that they are covered under the plan.