File within 60 days after the start of each plan year.
Calendar-year plans: typically due by March 1 (Feb 29 in leap years).
Refile within 30 days if an Rx option terminates or its creditable status changes.
| Trigger | When | Notes |
|---|---|---|
| Annual disclosure to CMS | Within 60 days after the start of each plan year | Calendar-year plans: typically due by March 1 (Feb 29 in leap years). |
| Coverage terminates | Within 30 days after termination | If an Rx option ends mid-year. |
| Creditable status changes | Within 30 days after the change | Refile if benefit or actuarial changes shift creditable to non-creditable (or back). |
- Plan sponsor legal name, EIN, address, and contact.
- Plan year start/end dates; list of each Rx option (medical options with embedded Rx and any standalone Rx plan).
- Creditable/non-creditable status for each option (note the method used and whether RDS applies). See the Determine Part D Creditability page if you haven't completed this step yet.
- Estimated counts: total enrollees and number of Part D-eligible covered lives.
- Carrier/actuarial attestations or worksheets supporting your determination (retain on file).
- Use CMS's Disclosure to CMS online form; one filing per plan sponsor per plan year.
- Include all medical options with embedded Rx and any standalone Rx plan.
- Retain the final confirmation page/email and a full copy of your entries.
- Creditable coverage determinationCarrier memo/actuarial report; method used.
- CMS disclosure confirmationDate/time stamp and PDF/screenshots of the filing.
- Plan-year list of Rx optionsAnd their status; any mid-year change documentation.
- Calendar remindersAnd a repeatable checklist for future filings.
Common traps
FAQs
Is this the same as the participant notice?
No. This is the plan sponsor's filing to CMS. Participants must also receive their own annual creditable/non-creditable notice; that's a separate requirement covered on the Creditable Coverage Notice page.
Do we file if none of our employees are currently Medicare-eligible?
If your plan covers individuals who are or could become Part D-eligible, including dependents, file. When in doubt, file and document your basis for the determination.
Is there a civil penalty for a late or missing CMS disclosure?
CMS does not publish a specific penalty schedule for this employer filing. The practical risks are CMS audit exposure, required corrective action, and, for RDS sponsors, potential denial of the retiree drug subsidy. Align this filing with your participant notices and keep strong records.
Which method should we use in 2026?
See the Determine Part D Creditability page; it covers which method applies for your plan year and what documentation to retain.
- CMS: Creditable Coverage (overview)
- CMS: Disclosure to CMS Online Form
- CMS: Disclosure to CMS Guidance & Instructions
- CMS: Final CY 2026 Part D Redesign Program Instructions (revised simplified method)
- CMS: Creditable Coverage & Late Enrollment Penalty
Related but separate: see the Creditable Coverage Notice page for the participant notice requirement and CMS model letters.
- Multiple options: Determine and report status for each option with Rx (embedded or standalone).
- RDS vs. non-RDS: RDS sponsors generally rely on actuarial equivalence standards tied to the subsidy; non-RDS plans may use simplified methodologies as allowed.
- Integrated Rx: Medical plans with embedded Rx count for disclosure; include standalone Rx plans if offered.