This blog post is Part 2 of canvasing the IRS’ 41-page FAQs, Notice 2021-31 (the Notice) that provides guidance on the COBRA premium assistance program (Subsidy) created by the American Rescue Plan Act of 2021 (ARPA). To read Part 1 of this series, click here.
BACKGROUND
ARPA provides for a 100% COBRA premium subsidy for Assistance Eligible Individuals (AEIs).ย AEIโs COBRA premium is paid by the employer (or insurance company) providing the coverage, and then reimbursed through credits to Medicare taxes the employer would otherwise owe.
Who may qualify as an AEI? an AEI is a person who is a COBRA qualified beneficiary as a result of an employeeโs reduction in hours or involuntary termination of employment, and elects COBRA.
COVERAGE ELIGIBLE FOR COBRA PREMIUM ASSISTANCE
The Notice outlines the coverages available for COBRA Premium Assistance, including:
Coverage NOT eligible for COBRA premium assistance includes:
The Notice points out that employers no longer subject to federal COBRA due to a decrease in the number of employees may still have obligations under ARPA.ย Why? Because an employerโs status under COBRA is determined by the number of its employees in the preceding calendar year, but its obligation to provide COBRA is determined at the time of the qualifying event.
EXTENDED ELECTION PERIOD
ARPA provides an extended election period for certain individuals who did not have an election of COBRA in effect on April 1, 2021, but who would be an AEI if COBRA were in effect.
ELIGIBILTY FOR OTHER COVERAGE
In general, employers are unlikely to be aware of an employeeโs eligibility for other coverage; this highlights the value of requiring employees to self-certify their status as AEIs.
CLAIMING THE TAX CREDIT
The Notice provides details about how to receive premium assistance credit.ย The credit may be claimed by:
A governmental entity may be eligible to receive the credit.
In some cases, the credit may be claimed by a third party such as a PEO or section 3504 agent.ย ย This may be the case if the third party is considered the plan sponsor and would normally receive COBRA premium directly from the qualified beneficiaries.ย Employers who use such third parties services should confer with them regarding the premium assistance credit.
The credit may be claimed on the employerโs Quarterly Federal Tax Return.ย Employers may reduce their federal employment tax deposits in anticipation of receiving the credit.ย If the credit exceeds the available reduction in deposits, the employer may file Form 7200 to request an advance for the remaining credit (after the end of the semi-monthly payroll period in which the employer became entitled to the credit).
If an AEI fails to notify the employer that they are no longer eligible for the COBRA premium assistance due to eligibility for other group health plan coverage or Medicare, the employer is still entitled to the credit received for that period of ineligibility, unless the employer knew of the individualโs eligibility for the other coverage.
MORE DETAILS
As noted, we have only scratched the surface of this dense and lengthy Notice.ย Employers seeking more information should refer to the Notice itself and confer with counsel on additional questions.