IRS Extends Due Date to Issue Health Coverage Forms to Individuals in 2020

December 11, 2019

The IRS has announced a welcome extension of the 2020 due date for certain entities to provide 2019 health coverage information Forms 1095-B or 1095-C to employees and individuals. Limited penalty relief is also extended to the 2019 Forms. Visit this IRS webpage for information on the health coverage forms requirement.

Due Date Extended to Issue Forms to Employees/Individuals
Insurers, self-insuring employers, other coverage providers, and applicable large employers (ALEs) now have until March 2, 2020, to provide Forms 1095-B or 1095-C to employees and individuals. The IRS has announced that further extensions beyond this new due date will not be available and the IRS will not be formally responding to extensions that have already been requested by reporting entities. The extension for filing Forms 1095-B or 1095-C to individuals is automatic. Employers and providers don’t have to request it. The IRS will not grant an additional 30-day extension beyond this deadline.

Due Date NOT Extended for Forms to IRS
The due dates for filing Forms 1094-B, 1095-B, 1094-C or 1095-C with the IRS are not extended. Therefore, employers filing by paper must submit their Forms to the IRS by February 28, 2020. Those filing electronically have until March 31, 2020. As a reminder, employers and coverage providers who are filing more than 250 of these reporting forms are required to file electronically.

Penalty Relief for Furnishing Forms 1095-B to Insured Parties
The IRS is considering the impact of the reduction of the individual shared responsibility mandate penalty to zero on the filing of Form 1095-B. The law still requires a Form 1095-B to be filed with the IRS, but taxpayers do not generally need this Form in order to prepare their individual returns for 2019. Therefore, the announcement refers to the “2019 section 6055 furnishing relief” and provides that the penalty for failing to furnish a Form 1095-B to an insured party will be waived for 2019 if two conditions are met:

  • The reporting entity posts a notice prominently on its website stating that responsible individuals may receive a copy of their 2019 Form 1095-B upon request, accompanied by an email address and a physical address to which a request may be sent, as well as a telephone number that responsible individuals can use to contact the reporting entity with any questions; and
  • The reporting entity furnishes a 2019 Form 1095-B to any responsible individual upon request within 30 days of the date the request is received.

No Penalty Relief for Furnishing Forms 1095-C to Full-Time Employees
Because of the combined reporting on the Form 1095-C for full-time employees of ALE members enrolled in self-insured health plans, the “2019 section 6055 furnishing relief” noted above does not extend to the requirement to furnish Forms 1095-C to full-time employees.

Special Note on State Employer Reporting Requirements
Note that insurers and employers in certain states (e.g., New Jersey and Washington, D.C.) that have enacted individual mandates are required to file the 2019 Forms 1094-B, 1095-B, 1094-C or 1095-C with the state and furnish the Forms to state residents. Thus, issuers and employers in these jurisdictions may still need to furnish the Forms 1095-B (and Forms 1095-C for part-time employees) to certain individuals in the normal course, even if not required to under the federal reporting rules. See the New Jersey website for more information on the state’s employer reporting requirement.

Good Faith Penalty Relief
Finally, the announcement extends the program for the IRS granting good faith relief for certain errors. Employers and coverage providers who work in good faith to complete the returns or statements will not be assessed penalties due to missing or inaccurate information. This relief applies only to missing and inaccurate information required on the Forms and does not provide relief in the case of reporting entities that do not make a good-faith effort to comply with the regulations or that fail to file an information return or furnish a statement by the due dates.

We will continue to monitor developments under the Affordable Care Act and provide details on new and revised employer obligations as they take shape over time. Should you have questions about this or any aspect of federal health insurance reform, contact your Conner Strong & Buckelew account representative toll-free at 1-877-861-3220. For a complete list of Legislative Updates issued by Conner Strong & Buckelew, visit our online Resource Center.