IRS Releases 2026 HSA Contribution Limits and HDHP Deductible and Out-of-Pocket Limits

Woodruff Sawyer
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In Rev. Proc. 2025-19, the IRS released the inflation adjusted amounts for 2026 relevant to Health Savings Accounts (HSAs) and high deductible health plans (HDHPs). 

In Rev. Proc. 2025-19, the IRS released the inflation adjusted amounts for 2026 relevant to Health Savings Accounts (HSAs) and high deductible health plans (HDHPs).

The table below summarizes those adjustments and other applicable limits.

  2026 2025 Change

Annual HSA Contribution Limit

(employer and employee)

Self-only: $4,400 Family: $8,750 Self-only: $4,300 Family: $8,550 Self-only: +$100 Family: +$200

HSA catch-up contributions

(age 55 or older)

$1,000 $1,000 No change
Minimum Annual HDHP Deductible Self-only: $1,700 Family: $3,400 Self-only: $1,650 Family: $3,300 Self-only: +$50 Family: +$100

Maximum Out-of-Pocket for HDHP 

(deductibles, co-payment & other amounts except premiums)

Self-only: $8,500 Family: $17,000 Self-only: $8,300 Family: $16,600 Self-only: +$200 Family: +$400

Out-of-Pocket Limits Applicable to Non-Grandfathered Plans

The ACA’s out-of-pocket limits for in-network essential health benefits have also been announced and have increased for 2026.

  2026 2025 Change
ACA Maximum Out-of-Pocket

Self-only: $10,150

Family: $20,300

Self-only: $9,200

Family: $18,400

Self-only: +$950

Family: +$1,900

Note that all non-grandfathered group health plans must contain an embedded individual out-of-pocket limit within family coverage if the family out-of-pocket limit is above $10,150 (2026 plan years) or $9,200 (2025 plan years). Exceptions to the ACA’s out-of-pocket limit rule have been available for certain non-grandfathered small group plans eligible for transition relief (referred to as “Grandmothered” plans) since policy years renewed on or after January 1, 2014.  Each year, CMS has extended this transition relief for any Grandmothered plans that have been continually renewed since on or after January 1, 2014. However, in its March 23, 2022 Insurance Standards Bulletin, CMS announced that the limited nonenforcement policy will remain in effect until CMS announces that such coverage must come into compliance with relevant requirements. Thus, we will no longer see annual transition relief announced.

Next Steps for Employers

As employers prepare for the 2026 plan year, they should keep in mind the following rules and ensure that any plan materials and participant communications reflect the new limits: 

  • HSA-qualified family HDHPs cannot have an embedded individual deductible that is lower than the minimum family deductible of $3,400.
  • The out-of-pocket maximum for family coverage for an HSA-qualified HDHP cannot be higher than $17,000.

All non-grandfathered plans (whether HDHP or non-HDHP) must cap out-of-pocket spending at $10,150 for any covered person. A family plan with an out-of-pocket maximum in excess of $10,150 can satisfy this rule by embedding an individual out-of-pocket maximum in the plan that is no higher than $10,150. This means that for the 2026 plan year, an HDHP subject to the ACA out-of-pocket limit rules may have a $8,500 (self-only) / $17,000 (family) out-of-pocket limit (and be HSA-compliant) so long as there is an embedded individual out-of-pocket limit in the family tier no greater than $10,150 (so that it is also ACA-compliant). 

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