2025 Open Enrollment Benefit Notices
Employers that sponsor group health plans should provide certain benefit notices in connection with their plans’ open enrollment periods. Some of these notices must be provided at open enrollment time, such as the summary of benefits and coverage (SBC).
Other notices, such as the Women’s Health and Cancer Rights Act (WHCRA) notice, must be distributed annually. Although these annual notices may be provided at different times throughout the year, employers often choose to include them in their open enrollment materials for administrative convenience. Some of these notices may be included in the plan’s summary plan description (SPD) or detailed benefits summary provided by a health insurance issuer or third-party administrator (TPA).
In addition, employers should review their open enrollment materials to confirm that they accurately reflect the terms and cost of coverage. In general, any plan design changes for 2025 should be communicated to plan participants either through an updated SPD or a summary of material modifications (SMM).
This SSG Compliance Overview includes a chart that summarizes the benefit notices employers should provide at open enrollment time.
Open Enrollment Notices
- Employers should provide certain benefit notices to their employees at open enrollment time.
- Some benefit notices apply to all group health plans.
- Other benefit notices only apply to certain group health plans, based on plan design and coverage.
Specific Notices
- Medicare Part D Notice
- SBC
- HIPAA Privacy Notice
- WHCRA Notice
- CHIP Notice
- SPD (and SMM, if applicable)
- Notice of Patient Protections
- Wellness Program Notices
- Individual Coverage HRA (ICHRA) Notice
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