Following Tax Credit Expiration, A Flurry of Movement Around the PPACA Marketplace

Following Congress’s recent failure (or success, depending on your political leanings) in not extending expiring tax subsidies for Patient Protection and Affordable Care Act (PPACA) Marketplace coverage, the PPACA has entered an interesting period.

Word on the Hill is that the subsidies are now very unlikely to be revived, which has caused policymakers to start debating alternative affordability strategies.

With the Centers for Medicare & Medicaid Services (CMS) releasing its 2027 PPACA Marketplace Payment Notice proposed rule last week, intensifying congressional scrutiny on the PPACA, and consumers shifting their coverage decisions based on the enhanced subsidies’ expiration, the PPACA’s Marketplace landscape is evolving, making this a pivotal moment for the future of individual coverage.

Let’s briefly look at the latest news, starting with the recently proposed 2027 Payment Notice.

The proposed rule introduces significant structural changes to Marketplace plan designs. Among these changes is a proposal to allow non‑network qualified health plans, enabling enrollees to use price transparency data to negotiate directly with providers, rather than relying on traditional network structures.

The rule outlines that these plans would still need to meet PPACA standards for essential health benefits and protections, but would operate without contracted provider networks. CMS frames this move as a way to eliminate administrative costs related to network management and potentially reduce premiums.

The agency is also proposing to eliminate the requirement to offer standardized plans and limits on non‑standardized plan options, reversing policies put in place in recent years. This would allow insurers to offer an unlimited number of non‑standardized plan designs, with the intent of fostering more innovation in plan structures and potentially expanding consumer choice – particularly in catastrophic and alternative benefit plans.

These plan design flexibilities, combined with changes to cost‑sharing structures for bronze and catastrophic plans, represent an intentional shift toward deregulation and more of a consumer focus.

Additionally, consider again the expiration of the enhanced premium tax credits at the start of 2026, which is already having visible consequences. As those subsidies expired and PPACA premiums overall have risen, consumers are increasingly turning to non‑PPACA alternatives such as direct primary care memberships, medical tourism, and high‑risk indemnity plans.

As a result, providers, anticipating an influx of uninsured patients, are beginning to revive pre‑PPACA safety‑net strategies. For example, we’ve started to see hospitals setting aside money to help manage more uncompensated care costs.

On the payor side, major insurers are projecting enrollment losses – approximately 3 million fewer enrollees in the PPACA in 2026, based on recent earnings calls – further underscoring the shifting dynamics in the PPACA market.

While CMS proposes major structural changes to the PPACA, Congress is also focusing on Marketplace oversight. A House committee recently subpoenaed eight major PPACA insurers as part of an inquiry into potential fraud involving premium subsidies. And while details remain limited, the investigation signals concern over both the integrity of subsidy payments generally and how private insurers operate in the PPACA Marketplace.

To sum up, the PPACA Marketplace is entering a new period, defined by deregulation, experimentation in plan design, and shifting consumer behavior. As federal policymakers debate next steps, the PPACA Marketplace stands at a crossroads: one where impending decisions will reshape the contours of coverage, affordability, and access for millions of Americans.

So, stay tuned. The way this plays out is going to be quite fascinating.

Reference Material
  1. CMS ACA marketplace proposed rule for 2027 coverage stability
  2. CMS to discontinue limits on ACA plan options | Healthcare Finance News
  3. Proposed-Marketplace-and-Insurance-Changes-in-the-2027-Notice-of-Benefit-Payment-Parameters_-Implications-for-States_2.13.26.pdf
  4. https://www.federalregister.gov/documents/2026/02/11/2026-02769/patient-protection-and-affordable-care-act-hhs-notice-of-benefit-and-payment-parameters-for-2027-and
  5. https://www.cms.gov/newsroom/fact-sheets/hhs-notice-benefit-payment-parameters-2027-proposed-rule
  6. https://kffhealthnews.org/news/article/aca-trump-proposal-catastrophic-coverage-premiums-care-networks/
  7. https://www.axios.com/2026/02/10/house-gop-republicans-aca-health-insurance-fraud
  8. Americans Are Taking Drastic Steps to Find Affordable Health Care – Bloomberg
  9. How systems are preparing to care for a spike in uninsured patients
  10. https://insidehealthpolicy.com/daily-news/key-insurers-expect-lose-nearly-3m-combined-aca-enrollee-end-2026
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Adam Brenman

Adam Brenman is a Sr. Gov’t Affairs Liaison at Zelis Healthcare. He previously served as Manager of Public Policy at WellCare Health Plans, where he led an analyst team in review, analysis, and development of advocacy materials related to state and federal legislation/regulatory guidance. He holds a master’s degree in Public Policy & Administration from Northwestern University and has also worked as a government affairs rep/lobbyist for a national healthcare provider association.

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