How The IRS Repeatedly Rewrites Obamacare Tax Credit Provisions
14th April 2015
The plaintiffs in King v. Burwell argue that an IRS regulation unlawfully extends tax credit eligibility beyond what is expressly authorized under Section 1401 of the Patient Protection and Affordable Care Act (PPACA). It appears that this sort of administrative rewrite of the PPACA may be more the rule than the exception, as there are at least two other instances of the IRS rewriting the PPACA’s tax credit eligibility requirements.
My, what a surprise! Aren’t you aurprised? I’m sure surprised.