Compliance Calendar — upcoming deadlines
| Jul 31 | PCORI fee due (Form 720) for self-insured health plans |
| Jul 31 | Form 5500 due for calendar-year plans (without extension) |
| Dec 31 | Gag-clause prohibition compliance attestation (GCPCA) due |
Today’s Briefing
JPMorgan ERISA drug-benefit class action clears motion to dismiss
Buchanan Ingersoll & Rooney
In Stern v. JPMorgan Chase & Co. (S.D.N.Y.), the court let ERISA prohibited-transaction claims over the plan’s PBM arrangement proceed, with plaintiffs leaning on a recently lowered pleading standard. The ruling signals that prescription-drug fee claims can now survive early dismissal — a warning for plan sponsors.
Read at Buchanan Ingersoll & Rooney →
Agencies won’t defend 2024 MHPAEA final rule, plan replacement regs
DOL EBSA · tri-agency statement
In a March 30, 2026 court filing, the DOL, HHS, and Treasury said they will no longer defend the 2024 mental health parity final rule and intend to propose replacement regulations by year end. Nonenforcement continues — but plans must still perform and document the NQTL comparative analysis.
PBM trade group challenges California PBM-fiduciary law as ERISA-preempted
Trucker Huss
A PBM trade association is challenging the fiduciary provisions of a new California law as preempted by ERISA. The case tests how far states can regulate PBMs that serve self-funded plans, and could shape the compliance landscape for plan sponsors nationwide.
Government Guidance & Regulatory Activity
| IRS | Rev. Proc. 2026-24 — 2027 HSA/HDHP & EBHRA limits (HSA $4,500 self / $9,000 family). Informational. |
| EBSA | Tri-agency statement — MHPAEA 2024 final rule nonenforcement; replacement rulemaking anticipated. Comparative-analysis duty unchanged. |
The Docket
Litigation to watch: Stern v. JPMorgan (S.D.N.Y.) — prohibited-transaction claims survive dismissal · Lewandowski v. J&J (D.N.J.) — dismissed Jan. 2026 for lack of standing, on appeal to the Third Circuit.
Rulemaking ahead: DOL/HHS/Treasury signaled replacement MHPAEA regulations to be proposed by the end of 2026.
Recurring deadlines: PCORI & Form 5500 (Jul 31) · Gag-clause attestation (Dec 31).
Sources: Buchanan Ingersoll & Rooney · DOL EBSA · Trucker Huss · IRS / Journal of Accountancy · CMS. Compiled from the day’s benefits feeds; reviewed before publication.

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