Charity Care and 501(r) Avoiding Attorney General and IRS Trouble

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Charity Care and 501(r) Avoiding Attorney General and IRS Trouble Kurt Bennion, CPA, Director, Health Care, CliftonLarsonAllen Zosia Stanley, JD, MHA, Government Affairs Director, Washington State Hospital Association November 10, 2017

Agenda Introductions Brief overview State law on financial assistance/charity care Federal 501(r) regulations for tax-exempt hospitals State and federal interest Washington State Attorney General Columbia Legal Services IRS 501(r) examinations Q&A 2

Washington State Hospital Association 3

CliftonLarsonAllen LLP A professional services firm delivering integrated wealth advisory, outsourcing, audit, tax and consulting to help clients succeed professionally and personally. 8 th largest accounting firm in the United States More than 100 locations across the United States More than 5,000 professionals Health care clients include: Senior living Hospitals and health systems Physicians and medical groups Home health, hospice, and community-based care Community health centers Life sciences 4

What do these entities have in common? Answer: A deep, abiding, and active interest in hospital finances, particularly charity care, community benefit and tax exempt status and the ability to enforce, make, or interpret the law 5

6 2015 CliftonLarsonAllen LLP

Washington State Financial Assistance Law State law mandates charity care and specific eligibility criteria Enacted in 1989 RCW 70.170, WAC 246-453 Contains definitions, eligibility, free/reduced care standards Augmented by 2007 voluntary hospital pledge All hospitals licensed in WA must provide charity care Free and discounted care on a sliding fee scale. Applies to uninsured and insured. Cannot have policies that restrict access based on inability to pay. Must make charity care information publically available and provide translation/interpretation. 7

Federal Law 501(r) Created by the Patient Protection and Affordable Care Act of 2010. Applies to all hospitals with 501(c)(3) status. Hospital is based on state-issued health license. Comprehensive rules for: Financial assistance policy and application and procedures Emergency medical care policy Billing and collection policy and procedures Limitations on charges Community health needs assessments 8

Charity Care at All Hospitals Family Income Level Qualifying Patient 0-100% FPL Law/Pledge: Full write off 101-200% FPL Law: Sliding scale discount Pledge: Discounts to reflect cost of care 201-300% FPL Pledge: Discounts off of charges to reflect 130% cost of care Can provide steeper discounts many policy go to 400% FPL or above Per hospital policy 100% FPL (2017): $12,060 (single person), $24,750 (family of four) 9

Publicizing Financial Assistance - State Hospitals must: Post and display information on charity care in public areas Provide information in writing and explained when hospital asks for information regarding third party coverage Translate information (languages spoken by 10% of served population) WSHA-developed standard application, communication plan and model signage can help 10

Publicizing Financial Assistance - Federal Hospitals must: Make the FAP, FAP application, and PLS widely available on a website; Make paper copies available upon request and without charge: By mail, In the emergency room, and In all admissions areas; Notify the community in a manner reasonably calculated to reach those people most likely to need financial aid; Offer a paper copy of the PLS as part of intake or discharge; Include a conspicuous written notice on billing statements; and Set up conspicuously public displays in the emergency room in all admissions areas; and Translate into the primary language of any group with limited English proficiency if greater than the lesser of 1,000 people or 5% of community. 11

Washington State Attorney General Allegations Lack of notice No screening Staff inappropriately trained Limited charity care to emergent Burdensome documentation Demand/collect pre-payment 12

Columbia Legal Services Survey, report, letters Access for non-english speakers Website Application available, translated Consistency Current policy on DOH website Social security number Billing and collections Policy consistency 13

Emerging Issues in the Complaints/Report Relying on out of state consultants Make sure you have experts who know Washington State law to develop your program and train your people Lack of notice Notice of charity care availability needs to be on your website, posted in your hospital, provided at the time of service, and when bills are sent to patients Language access challenges Consult counsel and consider 501(r) requirements 14

Emerging Issues in the Complaints/Report Limiting charity to emergency services Charity care is available for any appropriate hospital-based medical services Imposing burdensome documentation requirements AG asserts only a single document can be requested The law does limit documents requested to a single category Lack of adequate screening for eligibility The law requires initial determination of eligibility before commencing collection efforts 15

Legislative Action Likely Notice/transparency Information for non-english/lep populations Signs, billing statements, collection materials Translator access Free/sliding scale thresholds Screening/affirmative obligations Pre/post judgment interest rates TBD 16

IRS Examinations for 501(r) Compliance The IRS is required to conduct a desk review of every applicable hospital s compliance at least every 3 years. Based primarily on website and/or Form 990, Schedule H. Indicators of noncompliance lead to a full examination. March 2016 the IRS announced it had trained 30 agents to conduct 501(r) reviews and exams. September 2016 the IRS announced it had completed reviews of 692 hospitals and recommended full examinations for 166 of them. Examination rate = 24.0%! August 2017 the IRS announced that it had revoked the 501(c)(3) status of a hospital for failure to comply with 501(r). LTR 201731014 17

State and Federal Law Interplay State law mandates specific eligibility criteria. Federal law mandates hospitals clearly and completely identify and communicate policies. Themes: Communication Transparency Process/procedure Document and publicize Effort!!! 18

Comments and Questions?

Contact Information Kurt Bennion, CPA Director, Health Care CliftonLarsonAllen LLP Kurt.Bennion@CLAconnect.com (425) 250-6074 Website: www.claconnect.com Zosia Stanley, JD, MHA Government Affairs Director Washington State Hospital Association ZosiaS@wsha.org (206) 216-2511 Website: www.wsha.org 20

Further Information WSHA model signs and forms are available on our website at: http://washington-state-hospital-association.myshopify.com/ 21