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	<title>Affordability Safe Harbor &#8211; ABY</title>
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		<title>ACA Affordability Safe Harbors must work for Everyone in a Class …</title>
		<link>https://abybenefits-acareporting.com/aca-affordability-safe-harbors-must-work-for-everyone-in-a-class-2/</link>
		
		<dc:creator><![CDATA[ACA Reporting Service]]></dc:creator>
		<pubDate>Tue, 02 Feb 2016 17:50:35 +0000</pubDate>
				<category><![CDATA[Uncategorized]]></category>
		<category><![CDATA[ACA Compliance]]></category>
		<category><![CDATA[ACA Reporting]]></category>
		<category><![CDATA[Affordability Safe Harbor]]></category>
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					<description><![CDATA[The IRS regulations for ACA reporting require an employer to show that they offered the ‘right type of plan’ at the ‘right type of cost’ or else face penalties. &#160;This means that an employer must have offered minimum essential coverage and minimum value coverage at a cost no greater than 9.5% of the employees household [...]]]></description>
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<p>The IRS regulations for ACA reporting require an employer to show that they offered the ‘right type of plan’ at the ‘right type of cost’ or else face penalties. &nbsp;This means that an employer must have offered minimum essential coverage and minimum value coverage at a cost no greater than 9.5% of the employees household income.</p>



<p><strong>Problem! &nbsp;</strong>When you hired an employee you didn’t hire their whole household, so how are you to know what that number actually is? &nbsp;To deal with this issue the IRS allows for employers to make assumptions on what the household income is for an employee. &nbsp;It is important to note however, the Affordability Safe Harbor&nbsp;MUST work for everyone within a class&nbsp;of employees in order to use it. &nbsp;Lets take an example …</p>



<p><em>Example:</em>&nbsp;&nbsp;The employer has a class of hourly employees that they are applying the rate of pay safe harbor for affordability purposes. &nbsp;There are 100 employees in this class. &nbsp;The safe harbor works for 99 of the employees but does NOT work for 1 person. &nbsp;This safe harbor cannot be used for ANY employees in this class. &nbsp;Instead, line 16 of their form 1095-C would simply be left blank and the IRS would use the final, actual household income of the employee to determine if a penalty could apply.</p>



<p>Of course for our clients, we perform all of this analysis on their behalf. &nbsp;If by chance you used a different vendor for reporting and need assistance, we can assist you through our consulting services.</p>



<hr class="wp-block-separator"/>



<p>To see specifically where this information and guidance comes from, you can visit this&nbsp;<strong><a href="https://www.gpo.gov/fdsys/pkg/FR-2014-02-12/pdf/2014-03082.pdf" target="_blank" rel="noreferrer noopener">link here</a></strong>&nbsp;to see the Federal Register Vol.79, No.29. &nbsp;On page 57 of this document you will find the following language:</p>



<p>(i) Conditions of using an affordability&nbsp;safe harbor. An applicable large&nbsp;employer member may use one or more&nbsp;of the affordability safe harbors&nbsp;described in this paragraph (e)(2) only if&nbsp;the employer offers its full-time&nbsp;employees and their dependents the&nbsp;opportunity to enroll in minimum&nbsp;essential coverage under an eligible&nbsp;employer-sponsored plan that provides&nbsp;minimum value with respect to the selfonly&nbsp;coverage offered to the employee. &nbsp;Use of any of the safe harbors is optional&nbsp;for an applicable large employer&nbsp;member, and an applicable large&nbsp;employer member may choose to apply&nbsp;the safe harbors for any reasonable&nbsp;category of employees, provided it does&nbsp;so on a uniform and consistent basis for&nbsp;all employees in a category.&nbsp;Reasonable&nbsp;categories generally include specified&nbsp;job categories, nature of compensation&nbsp;(hourly or salary), geographic location,&nbsp;and similar bona fide business criteria. &nbsp;An enumeration of employees by name&nbsp;or other specific criteria having&nbsp;substantially the same effect as an&nbsp;enumeration by name is not considered&nbsp;a reasonable category.<br></p>
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		<item>
		<title>ACA Affordability Safe Harbors must work for Everyone in a Class …</title>
		<link>https://abybenefits-acareporting.com/aca-affordability-safe-harbors-must-work-for-everyone-in-a-class/</link>
		
		<dc:creator><![CDATA[ACA Reporting Service]]></dc:creator>
		<pubDate>Tue, 02 Feb 2016 11:29:10 +0000</pubDate>
				<category><![CDATA[Uncategorized]]></category>
		<category><![CDATA[ACA Compliance]]></category>
		<category><![CDATA[ACA Reporting]]></category>
		<category><![CDATA[Affordability Safe Harbor]]></category>
		<guid isPermaLink="false">https://abybenefits-acareporting.com/?p=2869</guid>

					<description><![CDATA[The IRS regulations for ACA reporting require an employer to show that they offered the ‘right type of plan’ at the ‘right type of cost’ or else face penalties. &#160;This means that an employer must have offered minimum essential coverage and minimum value coverage at a cost no greater than 9.5% of the employees household [...]]]></description>
										<content:encoded><![CDATA[
<p><br>The IRS regulations for ACA reporting require an employer to show that they offered the ‘right type of plan’ at the ‘right type of cost’ or else face penalties. &nbsp;This means that an employer must have offered minimum essential coverage and minimum value coverage at a cost no greater than 9.5% of the employees household income.</p>



<p><strong>Problem! &nbsp;</strong>When you hired an employee you didn’t hire their whole household, so how are you to know what that number actually is? &nbsp;To deal with this issue the IRS allows for employers to make assumptions on what the household income is for an employee. &nbsp;It is important to note however, the Affordability Safe Harbor&nbsp;MUST work for everyone within a class&nbsp;of employees in order to use it. &nbsp;Lets take an example …</p>



<p><em>Example:</em>&nbsp;&nbsp;The employer has a class of hourly employees that they are applying the rate of pay safe harbor for affordability purposes. &nbsp;There are 100 employees in this class. &nbsp;The safe harbor works for 99 of the employees but does NOT work for 1 person. &nbsp;This safe harbor cannot be used for ANY employees in this class. &nbsp;Instead, line 16 of their form 1095-C would simply be left blank and the IRS would use the final, actual household income of the employee to determine if a penalty could apply.</p>



<p>Of course for our clients, we perform all of this analysis on their behalf. &nbsp;If by chance you used a different vendor for reporting and need assistance, we can assist you through our consulting services.</p>



<hr class="wp-block-separator"/>



<p>To see specifically where this information and guidance comes from, you can visit this&nbsp;<strong><a href="https://www.gpo.gov/fdsys/pkg/FR-2014-02-12/pdf/2014-03082.pdf" target="_blank" rel="noreferrer noopener">link here</a></strong>&nbsp;to see the Federal Register Vol.79, No.29. &nbsp;On page 57 of this document you will find the following language:</p>



<p>(i) Conditions of using an affordability&nbsp;safe harbor. An applicable large&nbsp;employer member may use one or more&nbsp;of the affordability safe harbors&nbsp;described in this paragraph (e)(2) only if&nbsp;the employer offers its full-time&nbsp;employees and their dependents the&nbsp;opportunity to enroll in minimum&nbsp;essential coverage under an eligible&nbsp;employer-sponsored plan that provides&nbsp;minimum value with respect to the selfonly&nbsp;coverage offered to the employee. &nbsp;Use of any of the safe harbors is optional&nbsp;for an applicable large employer&nbsp;member, and an applicable large&nbsp;employer member may choose to apply&nbsp;the safe harbors for any reasonable&nbsp;category of employees, provided it does&nbsp;so on a uniform and consistent basis for&nbsp;all employees in a category.&nbsp;Reasonable&nbsp;categories generally include specified&nbsp;job categories, nature of compensation&nbsp;(hourly or salary), geographic location,&nbsp;and similar bona fide business criteria. &nbsp;An enumeration of employees by name&nbsp;or other specific criteria having&nbsp;substantially the same effect as an&nbsp;enumeration by name is not considered&nbsp;a reasonable category.</p>
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