Published on The National Law Review https://natlawreview.com

EEOC Model Wellness Program Notice

Article By:
Health Care Industry Practice Group

Today, the EEOC issued its model notice to be used in conjunction with wellness programs that ask disability related inquiries or require medical examinations. The notice requirement applies prospectively to employer wellness programs as of the first day of the plan year that begins on or after January 1, 2017, for the health plan used to determine the level of incentive permitted under the regulations. An employer’s HIPAA notice of privacy practices may suffice to satisfy the ADA notice requirements if it contains the ADA-required information. However, given the timing requirements for distribution of the HIPAA notice and the fact that the EEOC rules apply to wellness programs outside of the group health plan, a separate ADA notice may be required.

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© 2025 McDermott Will & Emery
National Law Review, Volume VI, Number 168

Source URL: https://natlawreview.com/article/eeoc-model-wellness-program-notice