Approximately 100,000 "non-compliant" Applicable Large Employers (ALEs) received Letter 226-J, penalty notices in December 2017 some as high as a few million dollars. Thousands of additional penalty notices are expected to be mailed in Q1 – 2018. As an accounting professional you need to understand what a Letter 226-J is and equally important, how to respond particularly since the IRS requires a response within 30 days. It’s also important how to proactively audit 2016 and 2017 forms and filings to proactively mitigate IRS penalty risk.
The outlook is ominous. Non-compliant employers are at risk and will face material penalties!
Objectives – Attendees will learn about:
HR Best Practices
President
[email protected]
(201) 891-8010
In 2001 Mr. Gerver started HR Best Practices, a data-driven healthcare cost containment, compliance, and auditing company. Since its inception HR Best Practices has saved employers hundreds of millions of dollars by reviewing and analyzing medical, pharmacy, and workers’ compensation claims.
As an agile entrepreneur, Mr. Gerver and the HR Best Practices team created its proprietary Covid-19 Workforce Risk Scoring methodology. At the core of this unique and valuable risk mitigation approach is the use of Census, Job, and Claims data which is utilized to calculate location-specific risk scores. The main deliverable is an objective blueprint for reopening and operating largely based on the health of employees by worksite location.
HR Best Practices is cited as a Gold List member in The Disease Management Purchasing Coalition resource directory. Prior to 2001, he worked for 18 years within the Benefits, HR, and Payroll space for PriceWaterhouseCoopers, Computer Sciences Corporation, and Mercer HR Consulting.