Casey Schwarz January 3, 2019
The Medicare Rights Center recently submitted comments in response to
proposed rule changes from the Centers for Medicare & Medicaid Services
(CMS) pertaining to Medicare Parts C and D for 2020 and 2021. Many of the
proposed rules implement changes that Congress made to the law that establishes
Duals Special Needs Plans (D-SNPs). D-SNPs are special plans designed to serve
the needs of people who are eligible for both Medicare and Medicaid, also known
as “dual eligibles.”
In the course of reauthorizing the existence
of this type of specialized plan as part of the Bipartisan Budget Act of 2018,
Congress made some changes to the plan requirements—mandating that they better
combine Medicare and Medicaid benefits, improve fiscal responsibility, and
streamline appeals processes. CMS’ proposed rule goes into more detail about
how plans will meet those requirements.
Drawing on our experience working with
helpline callers who are enrolled in D-SNPs across the country—as well as our
work with the special plans for dually eligible individuals created under New
York State’s demonstration program, Fully Integrated Dual Advantage (FIDA)
plans—Medicare Rights submitted comments urging CMS to require a high level of
functional integration.
In our experience, D-SNPs that do not have a
robust understanding of their enrollees’ Medicaid rights, benefits, and the
systems they need to navigate and access those benefits do not adequately serve
their dual-eligible enrollees. We encourage CMS to establish uniform integrated
appeals processes in collaboration with State Medicaid authorities and to
ensure that, from the beneficiary perspective, there is seamless coordination
of benefits provided under each program.
The proposed rule would also expand the
telehealth benefits that Medicare Advantage (MA) plans may offer as
supplemental benefits. While Medicare Rights generally supports the broadening
of the telehealth options for supplemental benefits, such as for oral health
care, we encourage CMS to work to ensure parity for Original Medicare so that
all people with Medicare have the opportunity to access these services. In
implementing this expanded coverage, CMS should also ensure robust consumer
protections are in place, and require plans to demonstrate how they intend to
address inequalities in access to the internet and devices so that telehealth
benefits are available to all their members.
CMS is also proposing to streamline electronic
communication between MA and Part D Plans and prescribers about formulary
restrictions before the point-of-sale. Important improvements to the way that
CMS determines the risk adjustment that is made to MA plan payments are also
included. We support these changes, which are needed to ensure plans and
providers are paid appropriately, and to protect program integrity.
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