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May 27, 2020
2020-1392

IRS releases Health Savings Account limits for 2021

In Revenue Procedure 2020-32, the IRS announced the inflation adjustments that will apply to Health Savings Accounts (HSAs) under IRC Section 223 effective for calendar year 2021.

Health Savings Account limits for 2020 and 2021

 Health savings account limit type

2021

2020

Contribution *

  

Self (IRC  Section 223(b)(2)(A))

$3,600

$3,550

Family (IRC  Section 223(b)(2)(B))

$7,200

$7,100

Out-of-pocket

  

Self (IRC  Section 223(c)(2)(A))

$7,000

$6,900

Family (IRC  Section 223(c)(2)(A))

$14,000

$13,800

Deductible (high-deductible health plan)

  

Self (IRC  Section 223(c)(2)(A))

$1,400

$1,400

Family (IRC  Section 223(c)(2)(A))

$2,800

$2,800

*Additional contribution of $1,000 is permitted for individuals age 55 and older. Those enrolled in Medicare are not eligible to participate.

Form W-2 reporting reminder

Employer contributions and employee pre-tax contributions to an HSA are required to be reported on Form W-2, box 12, Code W. Employer and employee pretax contributions that, when combined, exceed the annual calendar-year limit are required to be treated as taxable wages and reported in Form W-2, boxes 1, 3 (up to the Social Security limit) and 5. (2020 Form W-2 instructions, page 11.)

Time to review HSA and other employee health spending account benefits

HRA and HSA-eligible health plans constitute what are called "consumer-driven" health plans (CDHPs) because they give employees the choice of electing health plan options that best meet their projected out-of-pocket medical expenses. CDHPs also raise payroll challenges because the rules governing each of these medical reimbursement account options (FSA, HRA, HSA and MSA) are unique in terms of their tax treatment and reporting.

How companies name their health plans may not clearly communicate the type of medical reimbursement vehicle that applies, causing time-consuming and potentially costly errors in payroll system configurations.

To avoid year-end reporting complications, now is a good time to review employee elections and how they are being handled in your payroll system.

Ask us how we can help you to confirm your payroll tax system configurations with TaxAbility™.

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Contact Information
For additional information concerning this Alert, please contact:
 
Workforce Tax Services - Employment Tax Advisory Services
   • Kenneth Hausser (kenneth.hausser@ey.com)
   • Debera Salam (debera.salam@ey.com)
   • Kristie Lowery (kristie.lowery@ey.com)
   • Peter Berard (peter.berard@ey.com)

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