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I am an independent contractor in a DC office with a 40/60 arrangement. The Dr. currently takes 100% of the co-pay if the patient/client sees both of us and 40% of the co-pay if the client sees only me on a visit. Is this a fair arrangement? I'm thinking that the co-pay should be split 50/50 on the visit that both therapies are done and then my portion would be split with the 40/60% for him to get the 40% of my income portion.
The other question I have is about independent contractor status. The line seems pretty fuzzy per IRS guidelines with independent vs employee. The DC currently pays me weekly, we file all insurance under his NPI # and the 60% is paid when the insurance comes in through his account. I'm thinking to distinguish the independent status, I should be filing my services under my own NPI # and writing HIM a check weekly for his 40% cut. Any thoughts or advice on this? With this arrangement, I could also take other Dr. referrals and not have to split the 40%. I'm wondering if my percentage split could be illegal and considered fee-splitting for compensation for his referrals. I make over 50% of my income from his referrals, which is one guideline the IRS uses to determine independent/employee status...
I'm looking to get out of the chiro office and this seems like a good way to transition, continue to take insurance and keep the money I work for. I'm also considering a mobile massage business that will take insurance for those clients who have a difficult time getting out for treatment. Anyone doing this successfully or have any advise?
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Thank you for your reply Jacqueline! He doesn't pay my taxes, I do, so that part is as it should be for Independent contractor. I do wonder if the percentage he takes could be considered a compensation for his referrals, or is it just compensation for rental of space in his office. It changes weekly, of course, depending on the amount of business and insurance compensation that comes through. How do other independent cont. in chiro. offices do business with Dr. referrals from just one Dr. and with rental agreements? I( can't seem to find this info. anywhere specifically. Thank you again for your advice.
It is illegal to split fees. There cannot be any percentage split at all. Please research fee splitting and kick back laws. Both state and federal laws exist. Good luck
The Independent Contractor area is very common misconception.
The following will help: https://www.hrthatworks.com/hiringics.pdf,
Take care when hiring contractor ‘employees’
I want to add a massage therapist to my practice. Should I hire this person as an employee or set him up as an independent contractor?
Hiring a massage therapist as an independent contractor instead of an employee has the obvious advantage of avoiding all the expenses and administrative responsibilities that come with an employment relationship.
As an employer, you are required to withhold income taxes, withhold and pay Social Security and Medicare taxes, pay unemployment tax and pay for workers compensation.
But you should hire him as an employee unless you can fully satisfy the stringent IRS rules for independent contractors.
The critical issue in determining whether your massage therapist will be treated as an employee by the IRS is the amount of control you exert. As a general rule, you have the right to control or direct only the result of the work done by an independent contractor — not the means and methods of accomplishing the result.
Let me explain further. The control you may exert over the “means and methods” of the massage therapist falls into three categories:
• Behavioral,
• Financial and
• Relational.
If you control the scheduling of the massages and/or how the massages are done through instructions, training or other means, then you are exerting behavioral control over the massage therapist.
You may be exerting financial control over the massage therapist if:
• You pay the person’s business expenses;
• The therapist has not invested any money in the equipment or facilities;
• He is not allowed to provide services to non-patients;
• The method of reimbursement and payment are controlled by you; or
• You exert control over the extent to which he incurs profit or loss.
You may be exerting relationship control over the massage therapist if:
• You have a written contract describing a relationship that is not completely independent;
• The massage therapist is not allowed to provide services to patients from other clinics;
• You provide employee-type benefits such as insurance, a pension plan, vacation pay or sick pay;
• The massage therapist is not allowed to substitute another to render the services;• The termination of the relationship can be accomplished by means similar to firing an at-will employee; or
• The massage therapy is a key aspect of the regular business of the clinic.
If any of the above situations exist, then the IRS may determine your massage therapist to be an employee.
I am aware of very few chiropractic clinics that can satisfy the IRS’s stringent requirements of an inde-pendent contractor. I am, however, aware of clinics that have experienced nightmarish problems by incorrectly designating a massage therapist as an independent contractor.
For example:
• If the massage therapist fails to pay taxes and the IRS determines that he or she was an employee of the clinic, then the IRS will come after you for the unpaid taxes, penalties and interest. Or,
• If the massage therapist is injured while working, the state workers’ compensation agency may pursue the clinic for reimbursement of treatment expenses, wage loss and disability payments.
Fortunately the IRS can help you determine contractor status. On the Web, go to www.irs.gov/taxtopics/tc762.html. Request form SS-8.
By Gregory T. Lawton, DN, DC
Working with a massage therapist (MT) in a chiropractic clinic is an interesting challenge when massage therapy is not a licensed profession in your state. In addition, some chiropractors practice in states where there is a very limited interpretation of chiropractic scope of practice.© 2024 Created by ABMP. Powered by