FACT SHEET
April
1, 2019
Contact:
CMS Media Relations
(202) 690-6145 | CMS Media Inquiries
(202) 690-6145 | CMS Media Inquiries
2020 Medicare Advantage and Part D Rate Announcement and Final
Call Letter
Fact Sheet
Fact Sheet
On April 1, 2019, the
Centers for Medicare & Medicaid Services (CMS) released final policy and
payment updates to the Medicare Advantage (MA) and Part D programs through the
2020 Rate Announcement and Call Letter. The Advance Notice was posted in two
parts: Part I on December 20, 2018 and Part II on January 30, 2019 with the
Draft Call Letter. CMS accepted comments on all proposals through March 1,
2019. The final updates will continue to maximize competition among Medicare
Advantage and Part D plans, as well as include important actions to address the
nation’s opioid crisis.
2020 Rate Announcement
Through the 2020 Rate
Announcement, CMS is finalizing updates to the methodologies used to pay
Medicare Advantage plans and Part D sponsors.
Net Medicare Advantage
Plan Payment Impact
The chart below
indicates the expected impact of the policy changes on Medicare Advantage plan
payments relative to last year.
Year-to-Year
Percentage Change in Payment1
Impact
|
2020
Advance Notice
|
2020 Rate Announcement
|
Effective Growth Rate
|
4.59%
|
5.62%
|
Rebasing/Re-pricing
|
TBD2
|
-0.02%
|
Change in Star Ratings
|
-0.14%
|
-0.14%
|
Medicare Advantage coding
intensity adjustment
|
0.0%
|
0.0%
|
Risk Model Revision
|
0.28%
|
0.21%
|
Encounter Data Transition
|
-0.06%
|
-0.06%
|
Employer Group Waiver Plan Payment
Policy
|
0.0%
|
0.0%
|
Normalization
|
-3.08%
|
-3.08%
|
Expected Average Change in Revenue
|
1.59%
|
2.53%
|
1The Expected Average Change in Revenue reported above does not
include an adjustment for underlying coding trend. For 2020, CMS expects the
underlying coding trend to increase risk scores, on average, by 3.3
percent. 2Rebasing/re-pricing impact is dependent on
finalization of average geographic adjustment index and will be available with
the publication of the 2020 Rate Announcement
2020 Part C Risk
Adjustment Model
The 21st Century Cures
Act requires CMS to make adjustments to the risk adjustment model to take into
account the number of conditions an individual beneficiary may have, and to
make an additional adjustment as the number of conditions increases. For 2020,
CMS is finalizing implementation of the alternative payment condition count
model that includes additional condition categories for pressure ulcers and
dementia, as well as additional variables that count the number of conditions a
beneficiary may have (among those that are in the risk adjustment model, or
“payment conditions”), and makes an adjustment as the number increases.
CMS began implementing
the risk adjustment requirements in the 21st Century Cures Act in Payment Year
(PY) 2019, by utilizing a risk adjustment model with additional factors for
substance use disorder, mental health, and Chronic Kidney Disease (CKD)
diagnoses. Further, the 21st Century Cures Act requires that CMS fully phase in
the required changes to the risk adjustment model by 2022. We are therefore
beginning the phase in of this new model in 2020, starting with a blend of 50
percent of the risk adjustment model first used for payment in 2017 and 50
percent of the new risk adjustment model.
Using Encounter Data
CMS calculates risk
scores using diagnoses submitted by Medicare Fee-For Service (FFS) providers
and by Medicare Advantage organizations. Historically, CMS has used diagnoses
submitted into CMS’ Risk Adjustment Processing System (RAPS) by Medicare
Advantage organizations. In recent years, CMS began collecting encounter data
from Medicare Advantage organizations, which also includes diagnostic
information. In 2016, CMS began blending 10 percent of risk scores calculated
using diagnoses from encounter data with 90 percent of risk scores calculated
with diagnoses from RAPS. CMS continued to use a blend to calculate risk scores,
by calculating risk scores with 25 percent encounter data and 75 percent RAPS
in 2017, 15 percent encounter data and 85 percent RAPS in 2018, and 25 percent
encounter data (with RAPS inpatient diagnoses included as a supplement) and 75
percent RAPS in 2019. For 2020, CMS is finalizing the proposal to calculate
risk scores by blending 50 percent of the risk score calculated using diagnoses
from encounter data, RAPS inpatient diagnoses, and FFS diagnoses with 50
percent of the risk score calculated with diagnoses from RAPS and FFS.
In addition, the risk
adjustment model we are finalizing builds upon the model implemented for 2019
risk adjustment payments that includes technical updates such as calibrating
the model with more recent data, selecting diagnoses with the same method used
for encounter data, and including additional condition categories for mental
health, substance use disorder, and chronic kidney disease. Consistent with the
phase-in of the model in 2019, for 2020 CMS is also finalizing the proposal to
implement the phase-in of the new risk adjustment model by calculating the
encounter data-based risk scores exclusively with the new risk adjustment
model, while continuing use of the risk adjustment model first implemented for
2017 payment for calculating the RAPS-based risk scores.
Coding Pattern
Adjustment
Each year, as required
by law, CMS makes an adjustment to plan payments to reflect differences in
diagnosis coding between Medicare Advantage organizations and FFS providers.
For 2020, CMS is finalizing the proposal to apply a coding pattern
adjustment of 5.9 percent, which is also the minimum adjustment for coding
pattern differences required by the statute.
Medicare Employer
Retiree Plans
Medicare Employer
Retiree Plans (Employer Group Waiver Plans or EGWPs) serve specific employer
groups, and are either offered through negotiated arrangements between Medicare
Advantage plans and employer groups or by the employer directly. For 2019, CMS completed
the transition to administratively-set rates for Retiree Plans that was
originally scheduled to be completed in 2018. For 2020, CMS is continuing the
payment policy that was finalized for 2019.
Puerto Rico
In Puerto Rico, a far greater proportion of Medicare beneficiaries receive benefits through Medicare Advantage than in any state or territory. The policies finalized for 2020 will continue to provide stability for the Medicare Advantage program in the Commonwealth and to Puerto Ricans enrolled in MA plans. These policies include continuing to base the Medicare Advantage county rates in Puerto Rico on the relatively higher costs of beneficiaries in fee-for-service Medicare who have both Medicare Parts A and B, continuing the statutory interpretation that permits certain counties in Puerto Rico to qualify for an increased quality bonus adjusted benchmark, and continuing to applying an adjustment in the calculation of the per capita cost estimate used in the benchmark to reflect the nationwide propensity of beneficiaries with zero claims.
In Puerto Rico, a far greater proportion of Medicare beneficiaries receive benefits through Medicare Advantage than in any state or territory. The policies finalized for 2020 will continue to provide stability for the Medicare Advantage program in the Commonwealth and to Puerto Ricans enrolled in MA plans. These policies include continuing to base the Medicare Advantage county rates in Puerto Rico on the relatively higher costs of beneficiaries in fee-for-service Medicare who have both Medicare Parts A and B, continuing the statutory interpretation that permits certain counties in Puerto Rico to qualify for an increased quality bonus adjusted benchmark, and continuing to applying an adjustment in the calculation of the per capita cost estimate used in the benchmark to reflect the nationwide propensity of beneficiaries with zero claims.
2020 Final Call Letter
Improving Drug
Utilization Review Controls (Opioids)
Opioid pain
medications are effective at treating pain in certain circumstances, but have
serious risks such as addiction, abuse, misuse, overdose, and death. CMS is
deeply concerned about the magnitude of the opioid epidemic and its impact on
our communities, and is committed to a comprehensive and multi-pronged strategy
to combat this public health emergency. It is a top priority of this Administration
to address the opioid epidemic.
CMS’s oversight
through the overutilization monitoring system (OMS) has reduced very high risk
overutilization of prescription opioids in the Part D program, but is just one
of several key tools CMS uses to combat opioid overuse. Many new policies are
being implemented in 2019 – including Part D drug management programs for high
risk opioid users, and improved safety alerts, such as the 7-day supply limit
for opioid naïve patients. CMS will continue to evaluate the success and impact
of these policies throughout 2019, and will continue them into 2020.
Given the urgency and
scope of the continuing national opioid epidemic, CMS is finalizing a number of
additional policies for 2020 to help Medicare plan sponsors prevent and combat
prescription opioid overuse. Those include:
·
Pain Management and Complementary and Integrative Treatments in
Medicare Advantage: CMS is encouraging plans to take advantage of the new
flexibilities to offer targeted benefits and cost sharing reductions for
patients with chronic pain or undergoing addiction treatment.
·
Access to Opioid Reversal Agents: CMS is strongly
encouraging Part D sponsors to provide lower cost sharing for opioid-reversal
agents, such as naloxone.
·
Star Ratings: CMS is taking steps to advance Medicare Part D
opioid-related measures through the Star Ratings development process. We are
updating the specifications for the Use of Opioids at High Dosage and/or from
Multiple Providers, and Concurrent Use of Opioids and Benzodiazepines measures,
and adding them to the display page. Reporting measures on the display page is
a necessary step before the measure can be formally adopted as part of the Star
Ratings through rulemaking.
Star Ratings
Enhancements
As part of the
Administration’s effort to increase transparency and advance notice regarding
enhancements to the Part C and D Star Ratings program, CMS codified the
methodology for the Part C and D Star Ratings program in the CY 2019 Medicare
Part C and D Final Rule, published in April 2018, which will apply beginning
with the 2021 Star Ratings. Historically, the Part C and D Star Ratings
methodology was adopted and updated through the Part C and D Call Letter, with
additional guidance issued in annual technical notes. As codified in the CY
2019 Final Rule, the removal of measures from the Star Ratings program based on
standards in the new regulations will be announced through the Call Letter
process prior to the measurement period. The 2020 Star Ratings is the final
year when all changes to the methodology for calculating the ratings and any
changes in the measurement set will be addressed using the Call Letter.
CMS is finalizing a
policy to adjust the 2020 Star Ratings in the event of extreme and
uncontrollable circumstances, such as major hurricane weather events. The
policy to adjust Star Ratings in the event of extreme and uncontrollable
circumstances is similar to the policy that CMS implemented for the 2019 Star
Ratings and the policy that CMS proposed in the CY 2020 Parts C and D Policy
and Technical Changes Notice of Proposed Rulemaking in November 2018.
We are expanding the
number of measures used in the determination of the Categorical Adjustment
Index to include all Star Ratings measures that remain after applying the
exclusion criteria for a candidate measure for adjustment. This will implement
a more comprehensive adjustment for socio-economic status and disability by
including all measures that may be sensitive to the composition of enrollees in
a contract and it will align with the methodology finalized in the CY 2019
Final Rule for the 2021 Star Ratings.
In the final Call
Letter, CMS is also finalizing several measure updates and announcing the
removal of three measures from the 2022 Star Ratings. We are removing the
following measures from the 2022 Star Ratings program due to the measures
showing low statistical reliability:
·
Adult BMI Assessment (Part C)
·
Appeals Auto-Forward (Part D)
·
Appeals Upheld (Part D)
CMS is temporarily
removing the Controlling High Blood Pressure (Part C) measure from the 2020 and
2021 Star Ratings due to a substantive measure specification change to align
with the release of new hypertension treatment guidelines from the American
College of Cardiology and American Heart Association.
Special Supplemental
Benefits for the Chronically Ill
Traditionally, MA
plans have only been allowed to offer “primarily health related” supplemental
benefits and must offer these benefits uniformly to all enrollees. Beginning
with the 2019 plan year, CMS determined that plans can provide certain
enrollees with access to different supplemental benefits. Specifically,
Medicare Advantage plans can offer targeted supplemental benefits, including
reductions from FFS Medicare-equivalent cost sharing, for specific enrollee populations
based on health status or disease state in a manner that ensures that similarly
situated individuals are treated the same way. This flexibility helps Medicare
Advantage plans better manage health care services for particularly vulnerable
enrollees.
The Bipartisan Budget
Act of 2018 (Public Law No. 115-123) amended the statute to allow MA plans,
beginning CY2020, to offer non-primarily health related supplemental benefits
to chronically ill enrollees. The law also permits the Secretary, only with respect
to supplemental benefits provided to a chronically ill enrollee under the new
provision, to waive uniformity requirements, allowing MA plans to vary these
supplemental benefits based on the individual enrollee’s specific medical
condition and needs. In the final Call Letter, we provide guidance about these
new special supplemental benefits for the chronically ill. MA plans will have
greater flexibility to offer chronically ill patients a broader range of
supplemental benefits that are tailored to their specific needs, such as
providing meals beyond a limited basis, transportation for non-medical needs,
and home environment services if these benefits have a reasonable expectation
of improving or maintaining the health or overall function of the patient as it
relates to their chronic condition or illness. For example, for a patient with
asthma, an MA plan could cover home air cleaners and carpet shampooing to
reduce irritants that may trigger asthma attacks.
The 2020 Rate
Announcement and Call Letter may be viewed through: https://www.cms.gov/Medicare/Health-Plans/MedicareAdvtgSpecRateStats/Announcements-and-Documents.html and
selecting “2020 Announcement.”
Ratebooks and
supporting calculation data may be viewed through: https://www.cms.gov/Medicare/Health-Plans/MedicareAdvtgSpecRateStats/Ratebooks-and-Supporting-Data.html and
selecting “2020.”
The 2013-2017 FFS data
used in the ratebook calculations may be viewed through: https://www.cms.gov/Medicare/Health-Plans/MedicareAdvtgSpecRateStats/FFS-Data.html.
No comments:
Post a Comment