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Administering COBRA means multiple required notices, strict deadlines, and real penalties if something is missed, so many employers hand it to a third-party administrator. ABY can take COBRA administration off your plate.
| Trigger | Timing | Who Sends | Notes |
|---|---|---|---|
| Plan administrator determines COBRA is not available following a reported qualifying event | As soon as practicable; no later than the Election Notice deadline (14 days from receiving notice of the event, or 44 days if employer is plan administrator) | Plan administrator (employer or TPA) | Send separately to each affected individual; employee, spouse, and dependents each have independent rights. |
- The reported qualifying event: what was reported, who reported it, and when.
- Documentation supporting the determination that COBRA is not available (such as no actual loss of coverage, event predates coverage, individual is not a qualified beneficiary).
- Names and last known mailing addresses of each affected individual.
- Plan name and plan administrator contact information.
- The notice template; see the Model Notice section below.
- Who receives it: Each affected individual at their last known mailing address; employee, spouse, and dependents separately.
- Method: First-class mail to the last known address is the legal standard and creates a presumption of receipt under ERISA.
- Proof of mailing: A Certificate of Mailing (USPS Form 3817), available at the post office, provides a dated, stamped record of when you deposited the notice, without the complications of certified mail.
- Electronic delivery: Permitted only if the DOL's ERISA electronic disclosure safe harbor rules are met.
- Presentation: Send as a stand-alone notice; do not bundle inside unrelated plan communications.
- Notice copiesCopy of each unavailability notice as sent, including the stated reason for ineligibility.
- Determination supportDocumentation supporting the eligibility determination (event details, coverage records, and so on).
- Mailing logDate, method, and recipient name and address for each notice sent.
- Retention periodRetain all COBRA records for at least 6 years per ERISA's general recordkeeping standard.
Common traps
FAQs
What is the Unavailability Notice?
A written notice sent to individuals who reported a qualifying event but are determined not to be entitled to elect COBRA continuation coverage, explaining the reason COBRA is not available.
Who must receive it?
Each individual who reported the event and is determined not to be entitled to COBRA, including the employee, spouse, and dependents, each treated as a separate beneficiary.
What are the most common reasons COBRA isn't available?
The reported event is not a COBRA qualifying event; the individual was not covered under the plan on the date of the event; there was no actual loss of coverage; or the individual is not a qualified beneficiary under the plan.
What are the penalties for failing to send the notice?
IRS excise tax of $100 per day per qualified beneficiary under IRC §4980B ($200/day for multiple family members from the same event), plus up to $110 per day per beneficiary in court-assessed ERISA §502(c)(1) penalties. The more significant risk is a finding that COBRA was wrongly denied, which could result in retroactive coverage obligations and litigation.
- Mini-COBRA: If you're below the federal 20-employee threshold, your state's continuation-coverage law may apply and could carry its own unavailability requirements. See the State Continuation Election Notice page.
- Disputed determinations: If an individual disagrees with your determination that COBRA is unavailable, document your reasoning thoroughly. A well-documented eligibility review is your best protection in a dispute.
- Multiple EINs / controlled groups: Clearly identify the plan sponsor and plan administrator in the notice, particularly in related-entity situations.
The DOL does not provide an official model template for this notice. Use the language below; fill in the bracketed fields and select the applicable reason.
Date: [Date of Notice]
To: [Beneficiary Name]
[Mailing Address]
You recently notified us of an event that you believed might entitle you or a family member to elect COBRA continuation coverage under [PLAN NAME].
After reviewing the information provided, we have determined that COBRA continuation coverage is not available for the following reason:
- The event you reported does not qualify as a COBRA qualifying event under federal law
- The affected individual was not covered under the plan on the date of the reported event
- There was no actual loss of coverage resulting from the reported event
- The affected individual is not a qualified beneficiary under the plan
- [Other, state the specific reason plainly]
If you believe this determination is incorrect or if you have additional information that may affect this decision, please contact us promptly:
[Mailing Address]
[Phone Number]
[Email Address]
This notice is provided pursuant to 29 CFR § 2590.606-4.