September 23, 2020

Merkley, Wyden Push Federal Agencies to Respond to COVID Needs, Make Masks and Gloves Reimbursable Under FSA Guidelines

WASHINGTON, D.C. – Oregon’s U.S. Senators Jeff Merkley and Ron Wyden are pushing the Internal Revenue Service and the Office of Personnel Management to voice workers’ concerns over the continued inflexibility of Health Flexible Spending Accounts (FSAs) for workers, including those in the federal government.

Currently, workers who are following CDC guidelines by wearing personal protective equipment in their workplaces are not able to receive reimbursements for masks and gloves without a letter of medical necessity from a health care professional.

“To require anyone to seek a letter of medical necessity, potentially requiring them to enter a doctor’s office or otherwise come into close contact with strangers, for reimbursement of a known tool in fighting the coronavirus epidemic is irresponsible and harmful. We request that IRS clarify that masks and gloves are eligible for reimbursement from FSAs and that a letter of medical necessity is not required. We also ask that the Office of Personnel Management (OPM) immediately remove this requirement for purposes of Health FSAs for federal workers and deem masks and gloves reimbursable FSA purchases, without a letter of medical necessity,” the senators wrote.

“We know American families struggling with the coronavirus and other health issues will face health bills beyond what they have saved in their Health FSAs. We must give them every opportunity to succeed during this trying time. Increased flexibility through FSAs is a small but necessary start,” Merkley and Wyden continued.

The full text of the letter is available here and follows below.  

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Dear Commissioner Rettig and Acting Director Rigas,

In the midst of an ongoing global pandemic, we write today with deep concern over the continued inflexibility of Health Flexible Spending Accounts (FSAs) for workers, including those in the federal government.

In the absence of guidance from the Internal Revenue Service (IRS), we understand that some Health FSA administrators require workers to submit a letter of medical necessity to receive reimbursement for masks and gloves through an FSA and that other administrators do not. The Centers for Disease Control and Prevention (CDC) first recommended masks be worn in April 2020 to protect everyone against the spread of a specific disease—the coronavirus. In reliance on the CDC’s advice and other medical experts, as of August, 34 states, the District of Columbia, and Puerto Rico have now issued mask requirements for their residents.1 To require anyone to seek a letter of medical necessity, potentially requiring them to enter a doctor’s office or otherwise come into close contact with strangers, for reimbursement of a known tool in fighting the coronavirus epidemic is irresponsible and harmful. We request that IRS clarify that masks and gloves are eligible for reimbursement from FSAs and that a letter of medical necessity is not required. We also ask that the Office of Personnel Management (OPM) immediately remove this requirement for purposes of Health FSAs for federal workers and deem masks and gloves reimbursable FSA purchases, without a letter of medical necessity.

We appreciate the guidance that IRS has issued to date on Health FSAs in Notices 2020-29 and 2020-33 and the actions that OPM has taken to revise the federal FSA program to incorporate that guidance. However, we encourage OPM to expand the window during which federal workers can make mid-year changes to elections (which ended on August 29, 2020). We also encourage IRS to extend the carryover of unused amounts in FSAs for all workers beyond the December 31, 2020 deadline in Notice 2020-29. Under Notice 2020-33, unused amounts after this deadline are subject to a $550 carryover limit. At this time of economic uncertainty, when there is no clear trajectory for our public health, workers and their families need to be able to save for future health care costs as much as possible. To that end, we ask that you allow for unlimited rollover of unused Health FSA amounts for plan years ending in 2020 to December 31, 2021, even if the worker has not re-enrolled in the employer’s Health FSA.

Thank you for your attention to these requests. We know American families struggling with the coronavirus and other health issues will face health bills beyond what they have saved in their Health FSAs. We must give them every opportunity to succeed during this trying time. Increased flexibility through FSAs is a small but necessary start.

Sincerely,