
May 6, 2010
A NEW ENTITY FROM HEALTH REFORM:
THE CENTER FOR MEDICARE & MEDICAID INNOVATION
President Obama signed into law Pub.L.111-148, the Patient Protection and Affordability Care Act of 2010 (PPACA), on March 23, 2010, and Pub. L. 111-152, the Health Care and Education Reconciliation Act of 2010 (HCERA), on March 30, 2010. These two laws will change both the availability of health insurance and how health care is delivered in America. They include substantial changes for Medicare and Medicaid.
This is the third in a series of Alerts about provisions in the new laws. This Alert focuses on the new Center for Medicare & Medicaid Innovation (CMI) within the Centers for Medicare & Medicaid Services, established by section 3021 of PPACA. The CMI is part of a larger health reform effort to link payment to quality outcomes under the Medicare and Medicaid programs.
Advocates have long wished for an office within CMS that focuses on issues pertaining to those who are dually eligible for Medicare and Medicaid. Such an office could provide better guidance about the rules of both programs to states and to providers for the purpose of improving access by dual eligibles to high quality health care. PPACA creates two new entities whose mandate is wholly or in part to address issues relating to dual eligibles: the Federal Coordinated Health Care Office and the Center for Medicare and Medicaid Innovation. This Alert will describe only the latter entity. The former was discussed briefly in an earlier Alert.
According to the PPACA, the purpose of the Center for Medicare & Medicaid Innovation "is to test innovative payment and service delivery models to reduce program expenditures under the applicable titles while preserving or enhancing the quality of care furnished to individuals under such titles." (PPACA, Sec. 3021(a)). Advocates should seek to be engaged in every aspect of the work of the CMI. Its decisions and programming will have profound implications at all levels of the Medicare and Medicaid programs.
CMI to Promote Innovative Care Delivery Models
The CMI is to begin carrying out its duties not later than January 1, 2011. These duties include consulting with representatives of relevant federal agencies, as well as clinical and analytical experts who have expertise in medicine and health care management. The CMI is to use open door forums or other mechanisms to seek input from interested parties.
The purpose of the CMI is to test innovative payment and service delivery models to reduce program expenditures while preserving or enhancing the quality of care furnished to individuals. In selecting models, CMI is to give preference to models that also improve the coordination, quality, and efficiency of healthcare services furnished to "applicable individuals". Applicable individuals are those who are entitled to, or enrolled in benefits under Part A or B of the Medicare program or who are eligible for medical assistance under a State Medicaid plan or waiver; or who meet the criteria of both programs.
Under phase I of its work, the CMI is to test payment and service delivery models to determine the effect of applying such models to program expenditures under Medicare and Medicaid and the quality of care received by individuals receiving benefits under those programs. Selected models address a defined population for which evidence shows that there are deficits in care leading to poor clinical outcomes or potentially avoidable expenditures. Models may also include those that promote broad payment and practice reform in primary care, including patient-centered medical home models for high-need applicable individuals; medical homes that address women's unique health care needs; and models that transition primary care practices away from fee-for-service based reimbursement and toward comprehensive payment or salary-based payment.
CMS may contract directly with groups of suppliers and providers of services to promote innovative care delivery models, such as through risk-based comprehensive payment or salary-based payment. CMS may use geriatric assessments and comprehensive care plans to coordinate the care (including through interdisciplinary teams) of applicable individuals with multiple chronic conditions and who have at least one of the following: inability to perform two or more activities of daily living or cognitive impairment, including dementia.
Delivery models are to support care coordination for applicable individuals who are chronically ill and at high risk of hospitalization. The models should operate through a health information technology-enabled provider network that includes care coordinators, a chronic disease registry, and home tele-health technology. Models may vary payment to physicians who order advanced diagnostic imaging services according to the physician's adherence to appropriateness criteria for the ordering of such services. In addition, models should include the utilization of medication therapy management services.
Models for the delivery of care should also promote the establishment of community-based health teams to support small-practice medical homes. They may do so by assisting the primary care practitioner in chronic care management activities, including patient self-management. Models should assist applicable individuals in making informed health care choices. This could be achieved by paying providers of services and suppliers for using patient decision-support tools, including tools that improve applicable individual and caregiver understanding of medical treatment options.
CMI to Allow State Evaluation and Testing of Care Delivery Models
CMS is to allow States to test and evaluate models for fully integrating care for dual eligible individuals, including providing management and oversight of all funds under the applicable programs with respect to such individuals. This approach would give states control over federal Medicare dollars for the first time ever, and, if not implemented carefully, could result in the disintegration of Medicare as a uniform, national program. Models under this portion of the new provision are intended to allow States to:
In selecting models for testing, the CMI may consider the following additional factors:
Budget Neutrality is Not a Requirement for Care Delivery Model Testing
There is no requirement that a model be "budget neutral" as a condition for it to be chosen initially for testing. However, after testing has begun, the model may be terminated or modified if CMS determines that the model is not expected to:
CMS is to conduct an evaluation of each tested delivery model. The evaluation must include an analysis of:
CMS must make the results of each evaluation under this paragraph available to the public in a timely fashion and may establish requirements for states and other entities participating in the testing of models under this section to collect and report information that the CMS determines is necessary for monitoring and evaluation.
Taking into account the evaluations required under phase 1, CMS may, through rulemaking, expand (up to and including implementation on a nationwide basis) the duration and the scope of a model that is being tested or a demonstration project, if:
Waiver of Certain Statutory Requirements
CMS may waive certain statutory requirements including specified Medicare and Medicaid provisions as may be necessary solely for purposes of carrying out the testing of delivery models as described above.
The new provision gives CMS the authority to implement, on a nationwide basis, Medicaid payment models developed under waiver authority. Should a state demonstrate to the satisfaction of CMS that implementation of the payment model would not be administratively feasible or appropriate, the model will not be implemented in that state.
No Administrative or Judicial Review of Model Selection, Sites, or Participants
The new statute precludes administrative or judicial review of:
Reporting to Congress on CMI Activities
Beginning in 2012, and not less than once every other year thereafter, the Secretary must submit to Congress a report on these CMI activities. Each report is to describe the delivery models tested, including the number of individuals participating in the models and payments made under Medicare and/or Medicaid for services on behalf of such individuals, any models chosen for expansion, and the results from evaluations. In addition, each such report is to provide recommendations for legislative action to facilitate the development and expansion of successful payment models.
Conclusion
Advocates should follow these developments closely and should seek to participate in all levels of the development and testing of care delivery models. The work of CMI will pose challenges for advocates, particularly those who advocate on behalf of persons with low incomes, those with disabilities and persons who are members of racial and ethnic minorities. A major concern is that innovations and models be developed and judged using beneficiary-centered standards, rather than standards that look to achieve monetary savings. Vulnerable populations are often forced into care delivery vehicles that do not adequately address their needs. The work of the new Center for Medicare & Medicaid Innovation will not be effective in improving quality if "innovations" diminish access or otherwise impede individuals' ability to get needed care.
For further information, contact Alfred Chiplin (achiplin @ medicareadvocacy.org) in the center for Medicare Advocacy's Washington, DC office at (202) 293-5760.
Copyright © 2010 Center for Medicare Advocacy, Inc.