ACA employer mandate penalty letters are on the way
The IRS has recently taken affirmative steps towards assessing the Affordable Care Act (ACA) employer mandate penalties, which are set to begin before the end of 2017. The agency has updated its website with information (questions 55-58) discussing how employer mandate penalties will be assessed and contested. It has also released a sample Letter 226J, which formally describes the procedures the IRS will use to propose and assess the penalties. The IRS plans to issue the first letters in late 2017 (for 2015 calendar year penalties).
An employer that receives a Letter 226J will be able to respond to the IRS before penalties are assessed. The letter will provide instructions for how the employer should respond in writing, either agreeing with the proposed penalties or disagreeing with part or all of the proposed amount. The letter will also contain the name and contact information of an IRS employee that the employer may contact for assistance.
Bricker & Eckler attorneys have experience assisting clients with these types of issues. If you have questions regarding the penalties or letters, or need assistance in preparing a response to the IRS, you may contact the author or any member of the employment law practice group.
This is for informational purposes only. It is not intended to be legal advice and does not create or imply an attorney-client relationship.Download PDF