CMS BLOG
August 6,
2019
By Seema Verma, Administrator, Centers for Medicare &
Medicaid Services
Securing Access to Life-Saving Antimicrobial Drugs for American
Seniors
Antimicrobial resistance
(AMR) represents an urgent clinical and economic crisis for the American
health care system. Each year, more than 2 million Americans are infected by
bacteria that are resistant to existing antibiotic drugs, resulting in
thousands of deaths annually. Seniors are uniquely vulnerable to AMR due to
age-related immunosuppression and greater exposure to infection (e.g., from
catheters or chronic disease). Indeed, our internal analysis at CMS indicates
that Medicare beneficiaries account for the majority of cases of both new
diagnoses of drug-resistant infections and the resulting deaths in hospitals
in the United States. Drug resistance causes Medicare beneficiaries to spend
hundreds of thousands of additional days in the hospital each year, costing
taxpayers billions in additional health care costs annually.
Unfortunately, as
patients’ need for new antimicrobial drugs has mounted, innovation has
remained adversely affected by government roadblocks. Even though a number of
regulatory reforms (e.g., the Limited Population Pathway for Antibiotics) and
public-private partnerships (e.g., CARB-X) have been established to spur drug
development, market failures for antimicrobials continue to persist due to
challenges that innovators encounter with payment. For example, the
antibiotic manufacturer Achaogen filed for bankruptcy despite successfully
gaining FDA approval for its drug, ZEMDRI, which received more than $200
million in funding from the U.S. government (e.g., federal development
contracts, post-market incentive payments). The commercial failure of ZEMDRI,
which is a novel treatment for complicated urinary tract infections, occurred
in part because Medicare’s volume-based approach to payment was insufficient
at capturing the full public health benefit of the antibiotic, causing
taxpayer dollars to be used inefficiently and potentially leaving seniors
without access to a needed new innovation.
As a steward for the
health of our nation’s seniors, our agency is committed to removing
regulatory restraints on innovators and modernizing payment systems to secure
access to medications for Medicare beneficiaries and all Americans. We
recognize the public health importance of AMR and the recent crisis in the
antimicrobial drug marketplace, and have quickly mobilized to lead an
interagency effort in partnership with the Biomedical Advanced Researched and
Development Authority (BARDA) to reinvigorate innovation for new
antimicrobials. I am proud to announce that CMS has developed a bundle of
reforms to secure Medicare beneficiaries’ access to antimicrobials in the short-term
and realign financial incentives to sustain innovation in the long-term.
Realigning
Financial Incentives for Antibiotic Development
Our strategy is
multifaceted. For immediate impact, as part of the FY 2020 Inpatient
Prospective Payment System (IPPS) final rule, CMS has finalized an
alternative pathway for the New Technology Add-On Payment (NTAP) for drugs
designated by the Food and Drug Administration (FDA) as Qualified Infectious
Disease Products (QIDPs), under which these drugs would not have to meet the
substantial clinical improvement criterion. Additionally, CMS is increasing
the NTAP for QIDPs from 50% to 75%. CMS implemented NTAP nearly twenty years
ago as a time-limited payment mechanism to smooth the entry of new medical
products into existing payment systems. However, antimicrobial drugs are
uniquely disadvantaged from being considered for a NTAP because:
CMS thus faces a dual
challenge – reining in inappropriate prescriptions of antibiotics to slow the
rate at which drug resistance develops, while simultaneously ensuring that
payments for new antibiotic drugs that address AMR are sufficient to reflect
the value of these medical products, particularly given the naturally low
prescription volume due to the limited size of the patient population.
To address the issue of
payment, CMS is developing an alternative NTAP pathway for QIDPs that does
not require substantial clinical improvement and also increases payments to
75%. Limiting access to the current upper band of NTAP to only QIDP drugs
reflects the agency’s awareness of the public health imperative for novel
antibiotics. This both reduces barriers to accessing the incentive while
ensuring that payment systems reflect the value of new innovations. With
regards to the challenge of slowing the rate of resistance, we are still
reviewing the rule on our proposed new requirements for infection prevention
and control programs in hospitals to incorporate public feedback. CMS is
wholeheartedly committed to improving patient safety and care by fostering
compliance with evidence-based guidelines for antibiotic stewardship.
Modernizing
Medicare Payments to Reflect Public Health Value
Additionally within IPPS, CMS finalized a change in the severity
level designation for 18 ICD-10 codes for antimicrobial drug resistance from
‘non-CC’ to ‘CC’ (which stands for complications or comorbidities). This
change to CC recognizes the added clinical complexity and cost of treating
patients with drug resistance, and ensures physicians are appropriately
incentivized to use the correct (and sometimes, more expensive) drugs needed
to manage patients with AMR. By increasing payments for inpatient cases with
drug resistance, we are removing financial disincentives to antibiotic
innovation and thus increasing beneficiaries’ access to these drugs.
Of course, we recognize
that coding requires continuous monitoring due to the evolving nature of new
technologies. Consequently, we have noted in the preamble to the FY 2020 IPPS
rule that CMS will also seek further feedback about additional changes to the
DRG system, such as any additional payment adjustments for antimicrobial
resistance based on the relative hospital resources used in these cases,
allowing us to receive feedback from stakeholders on this topic. This will
help inform our thinking beyond IPPS on how to implement additional reforms
to the government’s current payment methodologies and pave the road for new
antimicrobial drug innovations in the long-term.
Bringing
Stewardship Efforts to Scale
Beyond realigning financial incentives, the agency also
recognizes the importance of strengthening efforts to prevent resistance from
developing in the first place. Consequently, CMS – based on significant
stakeholder feedback from academia, professional societies, non-profits, and
innovators – is also exploring implementing CDC-recommended guidelines for
hospital-based Antibiotic Stewardship Programs into the regulations that
govern hospitals’ Conditions of Participation in Medicare. This potential
policy change will help slow AMR, and improve the safety and quality of
inpatient care. The final rule on our proposed new requirements for infection
prevention and control programs, including antibiotic stewardship programs,
in hospitals and Critical Access Hospitals is currently under development
while we review and respond to public comments. We firmly believe in the
importance of stewardship initiatives for enhancing patient safety, and
welcome public feedback on how we can harmonize our actions on payment and
our rulemaking for prevention.
The Path
Forward
AMR is a public health crisis in desperate need of innovation.
In partnership with the clinical community and other federal agencies, CMS is
committed to removing regulatory hurdles to innovation for life-saving
medicines to improve outcomes for Medicare beneficiaries and reduce costs for
taxpayers. Under the leadership of the Trump Administration, we are working
to slow the rate of drug resistance today, and ensure that our beneficiaries
and all Americans have the drugs they need for tomorrow. We welcome further
engagement from the public as we continue to lead on this critical issue for
patient health and safety.
###
Get CMS news at cms.gov/newsroom, sign up for CMS news via email and follow CMS on Twitter CMS
Administrator @SeemaCMS, @CMSgov, and @CMSgovPress.
|
|
To be a Medicare Agent's source of information on topics affecting the agent and their business, and most importantly, their clientele, is the intention of this site. Sourced from various means rooted in the health insurance industry - insurance carriers, governmental agencies, and industry news agencies, this is aimed as a resource of varying viewpoints to spark critical thought and discussion. We welcome your contributions.
Tuesday, August 6, 2019
Securing Access to Life-Saving Antimicrobial Drugs for American Seniors
Subscribe to:
Post Comments (Atom)
No comments:
Post a Comment