January
6, 2020
By Seema Verma, Administrator, Centers for Medicare & Medicaid Services
2018 Quality Payment Program (QPP) Performance Results
In 2015, Congress passed
the Medicare Access and CHIP Reauthorization Act – or MACRA. In an attempt to
streamline multiple quality programs for physicians, the law created the
Merit Based Incentive Payments System (MIPS). Unfortunately, upon
implementation of the law, many clinician stakeholders still found the system
confusing and burdensome.
Shortly after President
Trump took office, we began taking a close look at ways to cut government red
tape. At CMS, this effort is called Patients Over Paperwork (PoP). Through
PoP, we’ve sought clinician input through requests for information, listening
sessions, and interviews, and we’ve asked them to tell us ways we can get rid
of the needless, duplicative paperwork that keeps them from caring for their
patients. We’ve received incredible feedback.
Through PoP and a related
initiative called Meaningful Measures, we’ve focused on improving quality
measurement for doctors. This year, we were excited to finalize our MIPS
Value Pathways (MVPs) proposal in our 2020 Physician Fee Schedule final rule
that would transform the MIPS program into one that engages clinicians and
specialty societies, to craft measures that assess them on what matters most
– outcomes.
While our MVP framework
becomes effective in 2021, we’re still committed to implementing the current
version of MIPS. To that end, earlier this year, we released preliminary participation
data for clinicians eligible to participate in MIPS. We are pleased to
announce that our participation rates for 2018 exceeded our participation
rates in 2017, the first year of the program. We now have additional
performance results for the MIPS 2018 performance year and we are excited to
share them with you.
For the 2018 performance
year:
We will continue to
strengthen program policies that reward the high-quality treatment of
patients and increase opportunities for APM participation.
The chart below highlights
some of the additional payment adjustment breakouts.
Positive payment
adjustment will remain modest in part because, under the MACRA law, the
positive and negative payment adjustments must be budget neutral. This means
that the funds available for positive payment adjustments are limited to the
estimated decrease in payments resulting from the negative payment
adjustments. But because the thresholds have been lower, many providers have
qualified. As the program matures, we expect that the increases in the
performance thresholds in future program years will create a smaller
distribution of positive payment adjustments for high performing clinicians
who continue to invest in improving quality and outcomes for beneficiaries
and positive adjustments will increase. However, it’s also important to note
that Congress provided $500 million for the first six years of the law to
fund additional adjustments for exceptional performance. These adjustments
are not budget neutral, allowing exceptional performers to achieve higher
positive adjustments.
Although the results are
encouraging, there are clinicians who will receive negative payment
adjustments. We are committed to supporting these clinicians to reduce
reporting complexity and burden, encourage meaningful participation, and
improve patient outcomes. We are also fully committed to providing technical
assistance to solo practitioners, small practices and clinicians in rural
areas through our no-cost Small, Underserved, and Rural Support initiative.
Through this effort, we are able to generate awareness of program
requirements, assist clinicians with selecting appropriate measures, and help
clinicians improve with each performance year.
Our goal is to make sure
that our program and all CMS programs support clinicians in their critical
role, regardless of practice size or specialty. We have leveraged our PoP
initiative to review the existing program elements to help streamline the
program requirements and reduce clinician burden so that clinicians can focus
on spending time with patients and delivering high-quality care. We have also
reduced the number of MIPS quality measures through our Meaningful Measures
framework to remove low-bar, standard of care, process measures and focus on
outcome and high-priority measures that will improve care for patients.
In closing, CMS is
committed to supporting clinicians in the important work they do. Our work
through PoP and Meaningful Measures to address issues in MIPS – and our work
on the MVPs are just some of the ways we’re making good on that commitment;
we’re keenly focused on reducing burden and making it easier for doctors to
do their jobs. Our 2019 final Physician Fee Schedule rule, for example,
overhauled evaluation and management (E&M) codes for the first time in
over two decades. In that effort, we worked closely with the physician
community to ensure doctors’ voices were heard. The result is a system that
allows clinicians to focus on patients, not paperwork. We are excited for
what the future holds for the Quality Payment Program and our collaboration
with each of you to ensure we continue to get your feedback while we develop
our MVPs framework. We are always listening and looking for ways to improve
the Quality Payment Program to help drive value, reduce burden, promote
meaningful participation by clinicians, and improve patient outcomes.
###
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.
Monday, January 6, 2020
2018 Quality Payment Program (QPP) Performance Results
Subscribe to:
Post Comments (Atom)
No comments:
Post a Comment