The San Francisco Healthcare Security Ordinance (HCSO) requires covered employers to spend a minimum amount set by law on healthcare for each employee who works 8+ hours each week in San Francisco.
The Annual Reporting Form (ARF) for the 2025 calendar year is due on May 1, 2026. Reports must be submitted via the Health Care Security Ordinance (HCSO) website. The 2025 ARF has been released and is available for completion (Here).
Each year, employers should review their health care expenditure rates to confirm they meet the minimum required expenditure for employees working in San Francisco. If the minimum is not met for certain employees, employers should confirm that employee waivers are in place or make arrangements to offer the SF City Option.
Following are the required expenditure rates, effective January 1, 2026.
| Category | 2026 Expenditure Rate |
2026 Monthly for FTE* |
| 100+ Employees | $4.11 per hour | $706.92 |
| 20 to 99 Employees (For Profit) 50-99 Employees (Nonprofit) |
$2.74 per hour | $471.28 |
| 0 to 19 Employees (For Profit) 0-49 Employees (Nonprofit) |
Exempt | N/A |
| Managerial, Supervisory, and Confidential Employee Income Threshold | $128,861 per year ($61.95 per hour) | |
There is an exemption for certain managerial, supervisory, and confidential employees who earn more than the annual income threshold (indicated above). These employees are considered exempt, and the HCSO expenditure requirements do not apply to them.
* Total hours for which a healthcare expenditure is required are capped at 172 per employee per month. The illustrative monthly calculations for a full-time employee assume 172 working hours per month.
SF HCSO Primer
For those that might want a refresher!
An employer need not be physically located in San Francisco to be a covered employer. HCSO applies to all employers that must obtain a San Francisco Business Registration Certificate (link below) and meet one of the following criteria:
Employer size counts are based on the average number of employees who perform work for compensation for the employer during an applicable quarter. The count of employees is a total count, not limited to just those employees working in San Francisco.
A covered employee is any person who meets all of the following four criteria:
The definition of employee under the ordinance includes all employees, even if they are temporary, part-time, commissioned or contracted (unless they are a legitimate independent contractor).
Work performed by an employee who lives in San Francisco and works from home is considered work performed within San Francisco.
Employees who travel through San Francisco while carrying out their job duties are not considered to have performed work in San Francisco; however, if an employee's job requires him or her to make stops in San Francisco (e.g., deliveries), the employee is considered to have performed work in San Francisco. For these employees, hours worked include travel within the geographic boundaries of San Francisco.
There is an exemption for certain managerial, supervisory, and confidential employees who earn more than the compensation thresholds outlined below. These employees are considered exempt and the HCSO expenditure requirements do not apply to them, regardless of whether they meet the “work in San Francisco” requirements.
| Category | 2026 Thresholds |
| Salary for Exempt Employees | $128,861 |
| Hourly Rate for Nonexempt Employees | $61.95 |
Employees covered by Medicare or TRICARE may also be excluded if the employer maintains documentation of employee eligibility.
Fully Insured Plans: Employers can count toward their required HCSO expenditures for any premium payments for healthcare coverage (for employee and/or dependent coverage). This includes medical, dental, and vision plans, as well as EAP plans that qualify as health coverage. In addition, payments to the SF City Option also qualify.
Self-Funded Plans: Employers may not simply use COBRA premium rates to calculate required health care expenditures. For self-funded plans in which the employer pays claims as incurred, the employer may calculate the health care expenditures annually. If the employer’s annual spend falls short of the HCSO expenditure rate, the employer must make “top-off” payments for employees enrolled in these plans by the end of February of the following year. There are very specific requirements on how to calculate premiums for self-funded plans. Refer to the OLSE documentation on Calculations for Self-Funded Plans (link below) for more information.
HSA Contributions: Employer contributions to an employee’s HSAs qualify.
HRA Funding: The rules for HRA funding require that contributions be irrevocable in order to qualify. This results in “traditional” HRAs rarely qualifying as healthcare expenditures. Employer contributions must meet both of the following conditions to qualify:
Most typical HRAs do not pass either of these criteria; thus few (if any) will qualify as health care expenditures for HCSO purposes.
Employers may ask employees who have other employer-provided coverage to waive the expenditure. However, such employees are not required to waive the expenditure (and in many circumstances it does not behoove them to do so).
If an employee elects to waive, they must do so using the authorized HCSO Voluntary Waiver Form (link below). The waiver form must be signed each year, cannot be retroactive, and is revocable at any time.
If an employee with other coverage does not sign the voluntary waiver, the employer must still make the required health care expenditure on their behalf and may be liable for noncompliance penalties if expenditures are not made.
If health care expenditures fall short of the required amount, employers have 30 days after the end of the calendar quarter to remit the difference to the SF City Option Program (link below). These payments fund a Medical Reimbursement Account (link below) in the employee’s name.
The SF HCSO requires that employers submit the employer Annual Report Form (link below) by April 30th each year. The report must be submitted to the Office of Labor Standards Enforcement (OLSE), the organization with oversight over the HCSO ordinance.
The purpose of the Annual Report Form is to provide OLSE with a snapshot of each employer’s compliance with this ordinance. The penalty for failing to submit the form by the deadline is $500 per quarter.
The reporting requirement includes basic business data as well as data to clarify Covered Employer status. In addition, the following data points are requested:
The Annual Report Form must be completed online. OLSE provides robust assistance material online, including instructions for completing the ARF, form previews, and detailed instructions.
Following are the required expenditure rates required for covered employees:
| 2026 | Expenditure Rate | Monthly Maximum* |
| 100+ Employees | $4.11 per hour | $706.92 |
| 20 to 99 Employees (For Profit) 50-99 Employees (Nonprofit) |
$2.74 per hour | $471.28 |
| 0 to 19 Employees (For Profit) 0-49 Employees (Nonprofit) |
Exempt | N/A |
*Total hours for which a healthcare expenditure is required are capped at 172 per employee per month.