Summary: On October 17. 2024, the Internal Revenue Service (IRS) issued Notice 2024-75, adding to the list of preventive care benefits permitted to be covered by high-deductible health plans (HDHPs) without first satisfying the deductible, or with a deductible below the minimum annual deductible. This list now includes:
Read on for more information.
A high-deductible health plan (HDHP) is a health plan with prescribed minimum deductible and maximum out-of-pocket amount limits. To be eligible to contribute to a health savings account (HSA), individuals must be covered by an HDHP (and not be enrolled in other disqualifying health coverage).
Generally, an HSA-compatible HDHP cannot pay for benefits until the applicable minimum deductible for that plan year is satisfied. However, Internal Revenue Code (IRC) Section 223(c)(2)(C) provides a safe harbor for preventive care to be covered on a first-dollar basis and before satisfying an HDHP’s deductible.
Preventive care generally does not include any service or benefit intended to treat an existing illness, injury, or condition[1].
As a reminder, the Affordable Care Act (ACA) requires non-grandfathered health plans to cover a range of recommended preventive services without participant cost-sharing. This means these preventive services must be covered with no deductibles, copayments, or coinsurance (often referred to as “first-dollar coverage”).
Preventive services include screening tests, immunizations, behavioral counseling, and medications that can prevent the development or exacerbation of diseases and health conditions and include the following:
IRS Notice 2024-75 expands the list of preventive care benefits and services that are permitted to be covered by HDHPs without first satisfying the deductible, or with a deductible below the minimum annual deductible, including:
Retroactive effective date for OTC oral contraceptives clarification is December 30, 2022.
Retroactive effective date for male condom clarification is December 30, 2022.
Condom Safe Harbor
In a companion notice issued on the same day (Notice 2024-71), the IRS clarified that amounts paid for condoms are treated as medical care expenses, pursuant to IRC Section 213(d), under a safe harbor. As such, these expenses can either:
Notably, this means that individuals cannot “double-dip” by taking a deduction for the condom expense on their tax return and then also receiving a reimbursement for the same expense from their applicable HSA, FSA, or HRA.
Retroactive effective date for breast cancer screenings clarification is April 12, 2004.
Retroactive effective date for continuous glucose monitors clarification is July 17, 2019.
Retroactive effective date for selected insulin products clarification is December 31, 2022.
While on the general topic of OTC contraceptives discussed above, the federal agencies released a proposed rule on October 21, 2024, that, when or if finalized, would expand access to OTC contraceptive coverage without cost-sharing under the ACA’s preventive care mandate.
Click here for the White House Fact Sheet with more information regarding this proposed rule.
Employers sponsoring HSA-compatible HDHPs are advised to consult with their insurance carriers (for fully insured plans) or third-party administrators (for self-funded plans) to determine next steps with respect to cost-sharing plan design in compliance with the revised guidance.
These next steps will presumably include considering the financial impact to the HDHP when deciding whether or not to cover these OTC items (both oral contraceptives and male condoms) without a deductible.
On a related HSA topic, employers should be aware that the temporary HSA telehealth relief extended under previous COVID-related federal legislation will expire on December 31, 2024, absent an extension by Congress. Employers who adopted this optional measure for their HSA-qualifying HDHPs should prepare to implement cost-sharing for telehealth (and remote care services) starting on January 1, 2025 for HDHP enrollees.
Finally, employers should monitor the progress of the proposed rule expanding coverage of OTC contraception under the ACA, as detailed above.
Risk Strategies is committed to keeping employers informed and up-to-date. Reach out to your Risk Strategies account team with any questions or email us directly at benefits@risk-strategies.com.
[1] IRS Notice 2004-23.