ARTICLE
25 March 2021

DOL Outbreak Period Relief For Employee Benefit Plan Participants Scheduled To End Soon

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Kelley Drye & Warren LLP

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Kelley Drye & Warren LLP is an AmLaw 200, Chambers ranked, full-service law firm of more than 350 attorneys and other professionals. For more than 180 years, Kelley Drye has provided legal counsel carefully connected to our client’s business strategies and has measured success by the real value we create.
As described in our client advisory of May 6, 2020, the Department of Labor (the "DOL") temporarily suspended the deadlines for employee benefit plan participants to exercise HIPAA special...
United States Employment and HR
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As described in our client advisory of May 6, 2020, the Department of Labor (the "DOL") temporarily suspended the deadlines for employee benefit plan participants to exercise HIPAA special enrollment rights, elect and pay premiums for COBRA continuation coverage, file claims for benefits and appeal benefit claim denials.  This relief began on March 1, 2020 and, unless further extended by the DOL, will end on February 28, 2021 (the "Outbreak Period").

If the Outbreak Period is not extended, then, effective March 1, 2021, the clock will begin ticking on deadlines that were suspended during the Outbreak Period.  For example, if a participant became eligible for COBRA continuation coverage on February 1, 2020, the 60-day period for electing such coverage, which in any other year would have ended on March 31, 2020, will now end on March 31, 2021 (i.e., the last day of the 60-day period which began on February 1, 2020 and includes (i) 29 days before the start of the Outbreak Period and (ii) 31 days after the end of the Outbreak Period).

As of now, the DOL has not indicated that it intends to extend the Outbreak Period.  Assuming the Outbreak Period is not extended, plan administrators should notify plan participants of the expiration of the Outbreak Period and how it will affect their rights and obligations under applicable plans.  In addition, plan administrators should confirm that future participant communications, including COBRA notices, are revised as necessary to eliminate references to the Outbreak Period.

The content of this article is intended to provide a general guide to the subject matter. Specialist advice should be sought about your specific circumstances.

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