Takeaway Message. The Department of Labor (“DOL”) has recently issued model notices and forms that can be used to comply with the new subsidized COBRA requirements created by the American Rescue Plan Act of 2021 (“ARPA” or “ARP”). Plan sponsors should work promptly with their in-house benefits team, COBRA service providers, and carriers (if applicable) to discuss the distribution of these notices to ensure compliance.
Background. On April 7, 2021, the DOL issued FAQs, model notices, and model forms for the implementation of the COBRA subsidy requirements set forth in ARPA. As discussed in more detail in our prior post, ARPA requires group health plans to provide fully-subsidized COBRA coverage to assistance eligible individuals (“AEIs”) from April 1, 2021 through September 30, 2021 (the “Subsidy Period”). Generally, an AEI is an individual who becomes COBRA eligible (or became COBRA eligible generally within the last 18 months) due to an involuntary termination or a reduction in hours.
Clarifications from New Guidance. While some critical questions remain unanswered (see section below), the new DOL guidance answers some pressing questions, including the examples discussed below.
Some Unanswered Questions. While the new DOL guidance is helpful, it does not address all outstanding issues. Below is a list of a few examples of unanswered questions.
Charts Summarizing Notices and Forms. Our charts below summarize the new model notices and forms to be distributed to COBRA qualified beneficiaries (“QBs”), depending on the date of the COBRA qualifying event (“QE”), and also to attest to AEI status. There is one chart for “large employers” (generally, employers with at least 20 employees) who are subject to the federal COBRA provisions and one for “small employers” (generally, employers with fewer than 20 employees) who are subject to comparable state continuation coverage laws. If you self-administer COBRA, it is important to note that these forms need editing before use – many of them have blanks that need to be completed and some have optional language that you may not want to delete.
NOTICE/FORM TO USE | RECIPIENTS | WHEN | WHAT IT DOES |
Model ARP General Notice and COBRA Continuation Election Notice Must Include Summary of ARP Provisions and Request for AEI Treatment Form |
Notice indicates it is to be used for all QBs with a QE occurring from 04/01/2021 – 09/30/2021 But this could also be used for QBs with recent QEs who have not yet received their COBRA election notice |
Start to use immediately; must be provided by normal deadlines for COBRA election notices | This is the general COBRA election form, updated to include ARPA subsidy information and other clarifying changes Allows AEIs to elect COBRA in the normal course and request subsidy eligibility via a form to request AEI status |
Model COBRA Continuation Coverage Notice in Connection with Extended Election Periods Must Include Summary of ARP Provisions and Request for AEI Treatment Form |
Generally, all AEIs with a QE before 04/01/2021 Specifically, AEIs who have already received a COBRA election notice (not updated for ARPA) and have (i) not yet made a COBRA election, (ii) already declined COBRA, (iii) elected COBRA but subsequently stopped payment, or (iv) are currently enrolled in COBRA |
By 05/31/2021 | Allows AEIs who are not currently on COBRA to elect COBRA during a special 60-day window, retroactive to 04/01/2021 Allows AEIs who are currently enrolled in COBRA or who enroll during the special window above to request subsidy eligibility via the request form |
Notice of Expiration of Period of Premium Assistance | AEIs whose subsidy is terminating: (i) prior to 09/30/2021 because the normal COBRA coverage period is ending, or (ii) as of 9/30/2021 (the end of the Subsidy Period) | 15-45 days before subsidy ends | Notifies AEIs that their subsidy is ending |
NOTICE/FORM TO USE | RECIPIENTS | WHEN | WHAT IT DOES |
Model Alternative Notice of ARPA Continuation Coverage Election Notice Must Include Summary of ARPA Provisions and Request for AEI Treatment Form |
Notice indicates it is to be used for all QBs with a QE occurring from 04/01/2021 – 09/30/2021 But this could be also be used for QBs with recent QEs who have not yet received their state COBRA election notice |
Start to use immediately; must be provided by normal deadlines for state COBRA election notices |
This is the general COBRA election form, updated to include ARPA subsidy information and other clarifying changes Allows AEIs to elect state COBRA in the normal course and request subsidy eligibility via a form to request AEI status |
Summary of ARP Provisions and Request for AEI Treatment Form
Note: There is no separate notice to accompany this form |
AEIs who are currently on COBRA | 05/31/2021 | Allows AEIs who are currently enrolled in state COBRA to request subsidy via a form to request AEI status |
Notice of Expiration of Period of Premium Assistance |
AEIs whose subsidy is terminating: (i) prior to 09/30/2021 because the normal state COBRA coverage period is ending, or (ii) as of 09/30/2021 (the end of the Subsidy Period) | 15-45 days before subsidy ends | Notifies AEIs that their subsidy is ending |
Conclusion: The DOL has now provided the long-awaited model notices and forms. Employers should act swiftly to determine their full list of AEIs (to the extent not done already) and ensure the timely distribution of the notices.
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