You are about to leave Risk Strategies website and view the content of an external website.
You are leaving risk-strategies.com
By accessing this link, you will be leaving Risk Strategies website and entering a website hosted by another party. Please be advised that you will no longer be subject to, or under the protection of, the privacy and security policies of Risk Strategies website. We encourage you to read and evaluate the privacy and security policies of the site you are entering, which may be different than those of Risk Strategies.
Employers covered by the San Francisco Health Care Security Ordinance (HCSO) are required to submit the 2023 Annual Reporting Form by Friday, May 3, 2024.
The 2023 HCSO Employer Annual Reporting Form will be available on March 26, 2024 on this webpage. Covered employers who fail to make a timely submission of the HCSO Annual Reporting Form may be subject to a penalty of $500 per quarter.
This annual HCSO reporting requirement was reinstated in 2022 for the 2021 reporting year after being suspended for the 2019 and 2020 reporting years due to the pandemic.
The HCSO is a San Francisco city law, in place since 2008, establishing several employer health-care-related obligations and enforced by the Office of Labor Standards Enforcement (OSLE). The HCSO requires all covered employers in San Francisco to spend a minimum amount of money, called a health care expenditure, on a quarterly basis toward their covered employees’ healthcare costs.
Covered employers are those for-profit businesses with 20 or more employees and non-profit businesses with 50 or more employees who have employees working within the geographic boundaries of the City and County of San Francisco. Employers must count all employees, regardless of where they live or work, to determine if they are covered under the HCSO.
Covered employees are those employees who have been employed for more than 90 days and who regularly work at least 8 hours per week within the geographic boundaries of San Francisco.
Owners are not considered covered employees under the HCSO because they are not entitled to payment of the minimum wage and businesses are not required to make health care expenditures on behalf of owners.
Exempt Employees: The HCSO exempts the following employees from employer spending requirements:
Remote Employees: As a result of the San Francisco City public health order on June 11, 2021, which removed the remote work recommendation for employers, employees working remotely outside of San Francisco are not covered under the HCSO employer spending requirements.
The required HCO health care expenditures are based on hours payable, which includes both:
The required heath care expenditure for each covered employee is calculated quarterly by multiplying the total number of hours payable to the employee in the quarter (capped at 172 hours per month or 516 hours in a single quarter) by the applicable expenditure rate.
Refer to the table below for the 2024 HCSO expenditure rates based on size and type of employer:
Employer Size |
Number of Workers |
2024 Expenditure Rate |
2023 Expenditure Rate |
Large |
All employers with 100+ workers |
$3.51 per hour payable |
$3.40 per hour payable |
Medium |
- Businesses with 20-99 workers |
$2.34 per hour payable |
$2.27 per hour payable |
Small |
- Businesses with 0-19 workers |
Exempt |
Exempt |
Covered employers can comply with the HCSO by making health care expenditures for their covered employees under the following options:
Covered employers may comply with the HCSO by providing a self-funded group health plan to some or all of its covered employees, as long as that self-funded plan satisfies one of the following:
Annual “Top-Off” Allowance for Self-Funded Plans: If an employer with a self-funded plan fails to make the required health care expenditures during a calendar year on a quarterly basis, that employer may “top off” the expenditures and find another way to spend the required amount on behalf of the covered employees by the last day of February of the following calendar year.
Click here for additional HCSO resources for self-funded health plans.
Covered employers are required to maintain sufficient records for four years from each covered employee’s employment dates, including itemized pay statements,[1] records of health care expenditures for each covered employee demonstrating compliance with the HCSO, and any signed voluntary HCSO waiver form.
Covered employers must post the 2024 HCSO Poster in a conspicuous place at all workplaces with covered employees in English, Spanish, Chinese, and other applicable languages spoken by covered employees.
Covered employers are also required to submit an annual reporting form to the OLSE by April 30th of each year (May 3rd in 2024), including information on total health care spending and any applicable surcharges that a covered employer imposes on customers to offset HCSO costs.
Employers covered under the HCSO are advised to take note of the upcoming May 3, 2024 deadline to submit the 2023 Annual Reporting Form online. The 2023 HCSO Employer Annual Reporting Form will be available on March 26, 2024 on this webpage.
Click here for OSLE-released HCSO administrative guidance with additional information to comply with the HCSO.
The HCSO requirements can be confusing and complex. Risk Strategies is here to help. Reach out to your Risk Strategies team members for assistance or contact us directly at benefits@risk-strategies.com.
[1] In compliance with California Labor Code Section 226.
The contents of this article are for general informational purposes only and Risk Strategies Company makes no representation or warranty of any kind, express or implied, regarding the accuracy or completeness of any information contained herein. Any recommendations contained herein are intended to provide insight based on currently available information for consideration and should be vetted against applicable legal and business needs before application to a specific client.