IRS Issues Guidance on Health Insurance Premium Tax Credit -Clarification
February 5, 2013
By Larry Grudzien, Attorney-At-Law
The IRS issued a final regulations on when an
employer-sponsored plan is considered "affordable" for an individual
related to the employee for purposes of eligibility for a premium tax credit.
Under Health Care Reform, employees may be eligible for a premium tax credit to
purchase health insurance through the future health insurance exchanges if,
among other reasons, the employer plan is deemed unaffordable.
The final regulations clarify that for taxable years
beginning before January 1, 2015, an eligible employer-sponsored plan is
affordable for related individuals if the portion of the annual premium the
employee must pay for self-only coverage does not exceed 9.5% of the taxpayer's
household income.
An employer plan will be affordable for family members if
the cost of self-only coverage does not exceed 9.5% of the employee's household
income. In other words, for purposes of whether family members are eligible for
tax credits, the affordability of family coverage is not taken into account;
all that matters is that the cost of self-only coverage is affordable to the
employee
For purposes of applying the affordability exemption from
the individual
mandate in the case of related individuals, the required
contribution is based on the premium the employee would pay for
employer-sponsored family coverage.
For an employee eligible under an employer plan,
affordability (for individual mandate exemption purposes) will be based on
whether the cost of self-only coverage exceeds 8% of the employee's household
income. For a related individual (such as a spouse or child), however,
affordability for this purpose will be based on whether the cost of family
coverage exceeds 8% of household income. Under these rules, members of an
employee's family may qualify for an individual mandate exemption, even though
the offer of affordable employer coverage to the employee would require the
employee to enroll or risk paying a penalty.
These final regulations apply to taxable years ending after
December 31, 2013.
For a copy of the final regulations, please click on the
link below:
If you have any comments or questions regarding any of above
information, please do not hesitate to call me (Robert Slayton) at 630-779-1144 or Larry Grudzien at (708) 717-9638.
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