Learn more about Medicare Part D Notices and the changes proposed to Form 5500:
MEDICARE PART D NOTICES DUE BEFORE OCTOBER 15, 2021
Each year, Medicare Part D requires group
health plan sponsors to disclose whether
the health plan’s prescription drug coverage
is creditable to individuals eligible for
Medicare Part D and to the Centers for
Medicare and Medicaid Services (CMS).
Plan sponsors must provide the annual
disclosure notice to Medicare-eligible
individuals before Oct. 15, 2021
—the start
date of the annual enrollment period for
Medicare Part D. CMS has provided model
disclosure notices for employers to use.
Medicare beneficiaries who do not have
creditable prescription drug coverage and
do not enroll in Medicare Part D when first
eligible will likely pay higher premiums if
they enroll at a later date. Although there
are no specific penalties associated with the
notice requirement, failing to provide the
notice may be detrimental to employees.
Employers should confirm whether their
health plans’ prescription drug coverage is
creditable or noncreditable and prepare to
send their Medicare Part D disclosure
notices before Oct. 15, 2021. To make the
process easier, employers often include
Medicare Part D notices in open enrollment
packets they send out prior to Oct. 15.
Creditable Coverage
A group health plan’s prescription drug
coverage is considered creditable if its
actuarial value equals or exceeds the
actuarial value of standard Medicare Part D
prescription drug coverage. In general, this
actuarial determination measures whether
the expected amount of paid claims under
the group health plan’s prescription drug
coverage is at least as much as the
expected amount of paid claims under the
Medicare Part D prescription drug benefit.
CHANGES PROPOSED TO FORM 5500
On Sept. 14, 2021, federal agencies
announced proposed revisions to the Form
5500 Annual Return/Report. These changes
are primarily designed to implement the
Setting Every Community Up for Retirement
Enhancement Act of 2019 (SECURE Act) and
make other improvements.
Key proposed form revisions would:
- Consolidate the Form 5500 for defined
contribution retirement plans.
- Modify the Form 5500 to reflect pooled
employer plans (PEPs) as a new type of
retirement plan.
- Improve financial reporting by adding
new fee and expense reporting
requirements.
- Expand the number of defined
contribution retirement plans that
would be eligible for small plan
simplified reporting options.
- Add questions to improve financial and
funding reporting by certain defined
benefit pension plans, and improve
oversight and compliance of taxqualified retirement plans.
The proposed changes generally would be
effective for plan years beginning on or
after Jan. 1, 2022
. For the 2022 plan year,
Form 5500s generally are not required to
be filed until seven months after the end of
the 2022 plan year (July 2023 for calendar
year plans), and a two-and-a-half-month
extension is available.
Provided to you by MFC Benefits, LLC
© 2021 Zywave, Inc. All rights reserved
Download the PDF copy here.