Hhs Stimulus Payment Questions
Tax exempt providers are exempt from taxation on the provider relief fund payments unless the payment is.
Hhs stimulus payment questions. To receive a second round stimulus payment healthcare providers are to complete an application process on hhs gov which requires the tax id of the provider who received funding with the first stimulus estimated revenue losses in march and april 2020 due to covid and the provider s gross receipts or sales or program service revenue. If a provider returns a provider relief fund payment to hhs must it also return any. We have been supplied with general information and frequently asked questions faqs.
At this time hhs will not reissue returned payments to the new. In order to ensure program integrity and transparency hhs made provider relief fund payments to health care providers based on the latest data available for a tin. As of july 10 2020 the us department of health human services hhs released a new provider relief fund for providers.
Previous payment be amended to align with the updated data. Any recipients of provider relief fund prf payments exceeding 10 000 are required to comply with the reporting requirements. Currently information on this page is for recipients of provider relief fund payments exceeding 10 000 in aggregate with some exclusions as denoted below.
As previous owners are not permitted to transfer funds to the new owner they were instructed to return the funds to hhs. Provider relief fund payments may be applied to the remaining expenses or cost after netting the other funds received or anticipated to offset those expenses. The provider relief fund permits reimbursement of marginal increased expenses related to coronavirus.
Providers who submit updated data may have their payments delayed for up to 90 days from the date of submission pending review and adjudication. All recipients of provider relief fund prf payments must comply with the reporting requirements described in the terms and conditions and specified in directions issued by the secretary. In posts to their respective website faqs the department of health and human services hhs and the internal revenue service irs have both clarified that grant payments received by for profit providers from the hhs provider relief fund shall be treated as taxable income.
For providers sign an attestation accept or refuse funds agree to terms and conditions submit revenue information and request reimbursement. Based on hhs s records due in some instances to system issues the department did not receive your required revenue information necessary for program integrity purposes and. For example assume the following.