Transcript Slide 1

us
IRS Regulations for Charitable 501 (c)(3)
Hospitals/Section 501(r)
Section 501(r) was added to the Patient Protection and
Affordable Care Act (PPACA) enacted March 23, 2010.
Hospitals have been awaiting the release of the final
regulations.
The IRS and Treasury issued two notices in 2014:
– Notice 2014-2 confirmed that tax-exempt hospital organizations may
rely on proposed regulations under 501(r) before the final regulations
are published.
– Notice 2014-3 provided correction and disclosure procedures for
certain failures to meet the requirements under 501(r).
Section 501(r) imposes four new requirements
for nonprofit hospital organizations that operate
one or more hospital facilities to be afforded their
501(c)(3) tax-exempt status:
• 501(r)(3)
• 501(r)(4)
• 501(r)(5)
• 501(r)(6)
Community Health Needs
Assessment—CHNA
Financial Assistance Policy
Limitation on Charges
Billing and Collections
Issue:
If hospitals have effectively communicated their
Financial Assistance Policy (FAP), the proposed
120-day notification period allows sufficient time
for completion of a FAP application. Adding a
second 120-day period that precludes collection
actions requiring a legal or judicial process will
inhibit collections from patients with resources
available to pay rightly owed balances.
Issue:
Emergency Care Policy (EMCP) requirements
both duplicate and conflict with federal
Emergency Medical Treatment and Labor Act
(EMTALA) requirements.
Issue:
Requirements to demonstrate “reasonable
efforts” are unnecessarily burdensome and
will increase costs without increasing access
to care or benefiting the patient.
Issue:
The regulations appear to require that
financial assistance for the insured may be
provided only if the Amounts Generally Billed
(AGB) is applied. Requiring that assistance for
the insured is provided at the same level as
the uninsured would create confusion and
misapplication of the standard.
AAHAM’s Recommendation:
WAIT………
For more information about the new requirements for tax-exempt
hospitals and other provisions of the Affordable Care Act see:
• Current Forms 990, Schedules and Instructions
• Affordable Care Act Tax Provisions
• Affordable Care Act of 2010: News Releases, Multimedia and Legal
Guidance
The IRS welcomes additional input. Input should be submitted to the following
address:
Internal Revenue Service
Attn: Stephen Clarke (Notice 2012-4)
SE:T:EO
1111 Constitution Avenue, NW
Washington, DC 2022
Questions????
Thank you so much!!!!
Until next time……
[email protected]