ÀÖÓ㣨Leyu£©ÌåÓý¹ÙÍø

GMS Flashalert Distancepost

European Union � New Steps towards Digital Social Security

GMS Flash Alert 2023-174

On 6 September 2023, the European Commission (EC) proposed new steps to further digitalise the coordination of social security in the European Union (EU) in a dedicated Communication.1 ÌýThe aim of the proposed new steps for digitalisation is to make access to social security services across borders quicker and simpler. Ìý

WHY THIS MATTERS

The intention of further digitalisation in the field of social security in the EU is to help reduce administrative burdens connected to social security for people and businesses. ÌýIt is expected to improve exchange of information between national administrations, including health-care providers and labour inspectorates when they are processing claims for benefits across borders, for instance.

Companies with employees who travel across the EU for business (and leisure) may wish to revise or put in place compliance processes for social security given that one of the focus points for further digitalisation is issuing and verifying documents (for example A1 certificates for social security coverage). Ìý

Proposed Key Measures

The EC calls for member states to:

  • Accelerate the implementation of the Electronic Exchange of Social Security Information (EESSI) 2 so that the system is fully operational by the end of 2024. ÌýEESSI enables local administrations to communicate and exchange information instantly across borders through structured pre-defined communication flows. ÌýMuch of the system is already operational and in use, but there is a need still for some member states to move completely away from paper-based communication in the field of social security.
  • Digitalise access to benefits to make it easier for people to move and work abroad. ÌýThe proposition is to deliver more social security coordination procedures fully online to make sure that people and businesses have fast access to eligible benefits. ÌýIt is suggested to the member states to build on the Single Digital Gateway3 which foresees a fully online delivery of important administrative procedures by 12 December 2023, at the latest.
  • Engage in the European Social Security Pass (ESSPASS) 4 pilot activities, which explore how to simplify issuing and verifying entitlements to social security across borders.
  • Introduce EU Digital Identity (EUDI) 5 wallets, which will allow EU citizens to carry digital versions of entitlement documents such as A1 certificates and the European Health Insurance Card by making them instantly verifiable by the relevant local authorities such as health-care providers and labour inspectorates. ÌýÌý

Next Steps

The EC has asked the European Parliament and the Council to endorse this approach and the EC calls on all stakeholders to work together to implement these actions.

The EC intends to support and monitor the implementation of this Communication in annual meetings with national representatives. ÌýThe EC will support the member states in executing on the aforementioned actions for digitalisation by providing technical assistance, including EU funding.

The European Labour Authority (ELA) is intends to play an active role in this process by collecting best practice examples and facilitating regular exchanges among national authorities.Ìý

MEIJBURG & CO. INSIGHTSÌý

It is highly likely that the proposed further digitalisation of social security coordination in the EU will be supported by the European Parliament and the Council.

Furthering digitalisation is expected to speed up the processes concerning social security benefits and diminish administrative burdens for many involved.Ìý However, it is likely to also result in increased transparency in terms of (non)compliance with the rules for social security. ÌýGiven the “brighter lightâ€� of increased transparency and heightened scrutiny by the authorities, companies may wish to begin the process of applying for and securing A1 certificates for social security coverage and European Health Insurance Cards for traveling employees before these digital initiatives become fully operational.

On another note, the member states have been negotiating a revision of the EU rules for social security for several years without reaching an agreement. ÌýAdvancing the digitalisation of social security could play a vital role in moving this process along, which could mean that new material rules for social security might be in force in the foreseeable future. ÌýThis is yet another reason why companies should make sure their compliance processes for social security are in place before material rules for social security are changed. ÌýDealing with both administrative processes and new material rules for social security at the same time could be challenging, if not overwhelming. ÌýÌýÌý

Contacts

Daida Hadzic

Director, Washington National Tax � Global Mobility Services

ÀÖÓ㣨Leyu£©ÌåÓý¹ÙÍø in the U.S.

Additional Resources

pdf

Download the PDF


Footnotes

1 ÌýEuropean Commission:Ìý, COM(2023) 501 final, 6 September 2023.

2Ìý European Commission:Ìý. ÌýSince 2019, 16.5 million social security cases of people travelling, living, studying, and/or working in another EU state have been dealt with through EESSI. ÌýThe system processes 2.5 million electronic messages between authorities daily. Ìý(For related coverage of EESSI, seeÌýÌý(30 August 2018).)

3Ìý European Commission:Ìý.

4 ÌýEuropean Commission:ÌýÌý(ESSPASS). Currently 12 member statesâ€� institutions are piloting (ESSPASS).

5 ÌýEuropean Commission:Ìý.

Disclaimer

GMS Flash Alert is a Global Mobility Services publication of the ÀÖÓ㣨Leyu£©ÌåÓý¹ÙÍø LLP Washington National Tax practice. The ÀÖÓ㣨Leyu£©ÌåÓý¹ÙÍø name and logo are trademarks used under license by the independent member firms of the ÀÖÓ㣨Leyu£©ÌåÓý¹ÙÍø global organization. ÀÖÓ㣨Leyu£©ÌåÓý¹ÙÍø International Limited is a private English company limited by guarantee and does not provide services to clients. No member firm has any authority to obligate or bind ÀÖÓ㣨Leyu£©ÌåÓý¹ÙÍø International or any other member firm vis-à-vis third parties, nor does ÀÖÓ㣨Leyu£©ÌåÓý¹ÙÍø International have any such authority to obligate or bind any member firm. The information contained herein is of a general nature and is not intended to address the circumstances of any particular individual or entity. Although we endeavor to provide accurate and timely information, there can be no guarantee that such information is accurate as of the date it is received or that it will continue to be accurate in the future. No one should act on such information without appropriate professional advice after a thorough examination of the particular situation.

© 2024 ÀÖÓ㣨Leyu£©ÌåÓý¹ÙÍø, an Irish partnership and a member firm of the ÀÖÓ㣨Leyu£©ÌåÓý¹ÙÍø global organisation of independent member firms affiliated with ÀÖÓ㣨Leyu£©ÌåÓý¹ÙÍø International Limited, a private English company limited by guarantee. All rights reserved.

For more detail about the structure of the ÀÖÓ㣨Leyu£©ÌåÓý¹ÙÍø global organisation please visitÌý/governance.