Affordable Care Act (ACA) Reporting Year-end Guidance

Last Updated on January 19, 2024 by G. T. HR

As we approach year’s end, employers must be diligent in ensuring compliance with the Affordable Care Act (ACA) reporting requirements. The ACA demands meticulous record-keeping and reporting, leaving no room for error. Failure to do so can lead to significant penalties and fines:

  • Penalty A – Penalty of $2,880 for calendar year 2023 ($2,970 for calendar year 2024) per full time employee minus the first 30 will be incurred for failure to provide minimum essential coverage to at least 95 percent of the full-time employees and their dependents if any full-time employee obtains coverage through the exchange
  • Penalty B – Penalty of $4,320 for calendar year 2023 ($4,460 for calendar year 2024) for each full-time employee who receives subsidized coverage through an exchange in a month if they are not offered insurance that is affordable or that meets minimum value, and one or more full-time employees receive subsidized coverage through an exchange.

The following are tasks designed to help you navigate the regulatory landscape and meet the upcoming Affordable Care Act reporting deadlines with ease.

Review Your Affordable Care Act Reporting Obligations

  • Familiarize yourself with ACA mandates and how they apply to your organization.
  • Applicant Large Employers (ALE) and companies of any size that offer self-insured programs are required to file 1094 and 1095 forms.
  • Determine if you are an Applicant Large Employer (ALE), typically having 50 or more full-time employees, including full-time equivalent employees.
  • Get acquainted with IRS forms 1094, 1095, and other related forms and instructions.
  • Mark the reporting deadlines on your calendar. The reporting deadlines in 2024 are as follows:
    • 1095-B & 1095-C Recipient copies – March 1, 2024
    • Electronic filed 1094-B & 1094-C forms to the IRS – April 1, 2024
    • Paper filed 1094-B & 1094-C forms to the IRS – February 28, 2024

Determine Employee Contribution Affordability

  • As noted above, affordability plays a significant role in mitigating potential penalties. It is important to perform an assessment at each open enrollment to ensure your offerings are affordable. As part of this assessment, you should determine if you are going to utilize one of the following safe harbors:
    • Rate of Pay – Determines the coverage as affordable if the employee’s premium share is not greater than the monthly wages multiplied by the IRS-specified percentage. The monthly wages are derived from the employee’s hourly rate multiplied by 130 for hourly workers, while the monthly salary is considered for salaried individuals.
    • W2 – Premiums share of the employee does not go beyond the yearly IRS-stipulated percentage of the employee’s W-2 wages from that employer for that year.
    • Federal Poverty Rate – Safe harbor is satisfied when the employee’s premium share is less than the prescribed IRS percentage of the Federal Poverty Line for a single person for that year.
  • Note: Go HERE to download an ACA Affordability Calculator.

Measurement Period Calculations for Variable Hour Employees

  • Measurement periods help determine the full-time status of variable hour employees, impacting the offer of coverage and potential penalties. Failure to offer coverage to eligible employees can lead to Penalty A noted above.
  • Conduct accurate measurement period calculations to ascertain the average hours worked by variable hour employees. This step should be performed throughout the year to ensure employees that meet the required threshold are offered coverage in a timely manner.
  • Document and retain all data and calculations related to the measurement periods, demonstrating due diligence in compliance.

Verify Employee Data

  • Ensure all employee data such as names, social security numbers, and addresses are accurate and up to date. The names that are reported should match the names on the social security cards.
  • Rectify any discrepancies in the employee data to prevent penalties related to incorrect or incomplete information.

Track and Confirm Coverage Information

  • Verify the months each employee was offered and whether they enrolled or waived the coverage in a healthcare plan.
  • Document whether the offer met the affordability and minimum value of the health coverage offered to each employee.

Prepare and Review the Required ACA Forms

Distribute Forms to Employees

  • Distribute the required 1095 forms to all full-time employees by the specified deadline, March 4, 2024, for 2024 reporting.
  • Ensure forms are sent via mail or obtain consent to provide the forms electronically. MyHRConcierge’s ACACompli can print and mail the forms for the employer if desired.

File Forms with the IRS

Maintain Compliance Documentation

  • Keep a well-organized record of all ACA compliance documentation.
  • Document any waivers, measurement period calculations, or other applicable ACA items.

Evaluate ACA Compliance Strategies

  • Review and assess the effectiveness of your ACA compliance strategies, making adjustments as necessary for the upcoming year.
  • Stay updated on any changes in ACA regulations and reporting requirements for the following year.

Compliance with Affordable Care Act reporting requirements is critical for employers to ensure they do not incur large penalties. By following this comprehensive checklist, employers can confidently navigate the reporting season, ensure compliance, and focus on a prosperous year ahead. Remember, the key to a successful reporting process lies in thorough preparation, accurate calculations, and seeking professional guidance when necessary.

MyHRConcierge Can Ease Your ACA Reporting Reporting Pains

MyHRConcierge’s robust ACACompli service can help you simplify your Affordable Care Act reporting. Our Forms Coding + E-file will automatically provide the required codes on the 1095 forms based upon the information you provide. Contact us today at ccooley@myhrconcierge.com, 855-538-6947 xt 108 or schedule a free consultation below: