President Donald Trump's new association health plans (AHPs) may enjoy much of the flexibility that large U.S. employer-sponsored health plans now get, but they may face some of the extra mandates that large health plans face. U.S. Department of Labor officials talked about what the new AHPs will and won't be able to do today, when they posted the final AHP framework regulations on the website of the department's Employee Benefits Security Administration division. (Related: 7 Facts About the Trump Team's New Association Health Plan Proposal) EBSA oversees DOL regulations and programs that affect employee benefits. DOL officials say the AHP program will give small employers access to the kind of coverage that large employers with self-insured plans can now offer. "Many of our laws, particularly Obamacare, make health care coverage more expensive for small businesses than large companies," U.S. Secretary of Labor Alexander Acosta said in a statement about the completion of the AHP regulations. "AHPs are about more choice, more access, and more coverage." More information about the new regulations, including a summary sheet and a full copy of the final rule, are available here. What AHPs Can and Can't Do Officials say an AHP can either be self-insured, with or without help from stop-loss insurance, or buy insurance from a health insurer. In the sections on AHP membership, officials say the new AHPs:
- Can offer coverage to some or all of the employers in a designated trade or industry group nationwide. (It's not stated whether an AHP can offer coverage to employers in a single industry, multi-state area that leaves out some U.S. states.)
- Can offer coverage to some or all of the employers in a state, city, county or multi-state metropolitan area, such as the Kansas City metropolitan area, or in a combined statistical area that includes both a metropolitan area and a smaller "micropolitan area." (The regulation does not say whether an AHP can offer coverage to all of the employers in a micropolitan area, or in an area that's smaller than a city or county, such as all of the employers in a particular office park.)
- Cannot offer coverage to employers in a two-state region simply because the states are next to each other.
- Can offer coverage to self-employed people who have no employees.
- Can offer benefits outside the Affordable Care Act essential health benefits framework.
- Must pay for any EHBs they do cover without imposing annual or lifetime dollar limits.
- Must comply with any benefits rules, including ACA preventive care benefits rules, that apply to large employer plans.
- Must comply with the same Mental Health Parity and Addiction Equity Act (MHPAEA) standards for behavioral health benefits that apply to large employer plans.
- Can ignore the ACA employer coverage "minimum value" rules, while recognizing that the employer members will still have to comply with the minimum value rules themselves.
- Can underwrite employers based on factors such as an employer's size, location or industry.
- Can offer the same kinds of wellness program participation incentives that an ordinary employer-sponsored health plan can offer.
- Cannot sell or price coverage based on an employer's health claim experience, or use the rating criteria that are allowed to shut out a specific high-cost plan participant.
- Cannot consider an individual employee's health status when setting rates for that employee, or when deciding whether to cover that employee.
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