Download - Purpose of Webinar
THE INTERSECTION OF THE RYAN WHITE HIV/AIDS PROGRAM WITH THE ESSENTIAL HEALTH BENEFITS IN PRIVATE HEALTH INSURANCE AND MEDICAIDHIV/AIDS Bureau, Health Resources & Services Administration; Center for Medicaid and CHIP Services; Center for Consumer Information and Insurance Oversight
Purpose of Webinar Educate Ryan White grantees about potential new
coverage options and the essential health benefits available to PLWH through Medicaid and the Health Insurance Marketplace
Review individual and small group commercial plan coverage of essential health benefits inside and outside of the Health Insurance Marketplace CMS – Center for Consumer Information and
Insurance Oversight (CCIIO) Review Medicaid coverage of essential health benefits
CMS - Center for Medicaid and CHIP Services (CMCS)
Review how essential health benefits offered in Medicaid and the Marketplace intersect with the Ryan White HIV/AIDS Program HRSA – HIV/AIDS Bureau & Office of Policy Analysis
and Evaluation
Health Coverage Options for PLWH BEFORE the Affordable Care Act
Note: Data only reflective of Ryan White clients, not of entire HIV/AIDS population; Source: 2010 Preliminary Ryan White Services Report Data (RSR)
Health Coverage Options for PLWH AFTER the Affordable Care Act
Medicaid Medicar
e
Employer-Based
Insurance
Health Insurance Marketpla
ceOther Public
Other Private
Ryan White Progra
mCover comprehensive HIV medical and support services not covered, or partially covered, by public programs or private insurance
Cover comprehensive HIV medical and support services not covered, or partially covered, by public programs or private insurance
PLWH eligible for health coverage
PLWH who remain uninsured
Allison Wiley, Health Insurance SpecialistLisa Cuozzo, Health Insurance SpecialistHelaine I. Fingold, Health Insurance Specialist
Center for Consumer Information and Insurance Oversight (CCIIO)
Private Health Plans & Essential Health Benefits5
Introduction 6
Under the Affordable Care Act: Non-grandfathered health plans offered in the individual and small group markets (inside and outside of the Exchanges) must cover the essential health benefits package, which includes: Coverage of at least 10 categories of benefits and
services (EHB) Meeting certain actuarial value (AV) standards Meeting certain limits on cost sharing
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The ACA states that EHB must cover at least the following 10 categories of benefits & services: 1. Ambulatory Patient Services 2. Emergency Services 3. Hospitalization 4. Maternity and Newborn Care 5. Mental Health and Substance Use Disorder Services, Including Behavioral Health Treatment 6. Prescription Drugs 7. Rehabilitative and Habilitative Services and Devices 8. Laboratory Services 9. Preventive and Wellness Services and Chronic Disease Management 10. Pediatric Services Including Oral and Vision Care
Background on Essential Health Benefits
Benchmark Plan Approach for Essential Health Benefits
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Essential Health Benefits are based on a benchmark plan selected by each state Benchmark options include plans typically
offered by small employers Preserves state flexibility Similar to the benchmark approach currently
used in other programs Benchmark plans were selected in March 2012,
but must conform to all ACA requirements in 2014
Supplementing the State Base-Benchmark Plan to State’s EHB-Benchmark Plan9
The Benchmark plan serves as a reference plan: EHB plan benefits must be “substantially equal” to the
benchmark’s benefits Benchmark plans must cover all 10 statutory categories
A base-benchmark plan that lacks a statutory category must supplement the entire category from another benchmark plan option
A number of states’ base-benchmark plans did not include coverage of pediatric oral & vision care
The final rule allows the state’s base-benchmark plan to be supplemented with: • The FEDVIP pediatric vision/dental plan; or • The state’s separate CHIP plan benefit, if one exists
Supplementing Options for Habilitative Services
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A number of state benchmark plans did not include habilitative services
If a state’s benchmark plan does not include coverage of habilitative services, the State may determine which services are included
If a state’s benchmark plan does not include coverage of habilitative services and the State did not define, insurers must:• Provide parity by covering habilitative services
benefits that are similar in scope, amount, and duration to benefits covered for rehabilitative services; or
• Decide what services to cover & report to HHS
EHB Prescription Drug Benefit11
Plans must cover at least the greater of:• One drug in every USP category & class; or • The same number of drugs in each USP
category & class as the EHB-benchmark plan Requires an exceptions procedure so enrollee can
gain access to drug not on the plan’s list Applies discrimination protections Requires plans to report drug lists to the
Exchange, state, or OPM
Requirements for Mental Health and Substance Abuse Benefits
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Plans must comply with parity standards for the mental health & substance use disorder services • Based on requirements in Mental Health Parity
and Addiction Equity Act of 2008 EHB rule extended parity to small group
plans
Consumer Resource: Actuarial Value13
AV standards will help consumers compare health plans by providing information about relative plan generosity (Total Overall Health Costs – Total Enrollee
Cost Sharing)/Total Overall Health Costs AV must be calculated based on the
provision of EHB to a standard population AV is reflected as a percentage
AV Levels of Coverage14
AV determines a health plan’s metal level tier ACA - directs that non-grandfathered
individual & small group plans inside & outside the Exchanges meet particular AV targets (or be a catastrophic plan1): Bronze = 60% AV Silver = 70% AV Gold = 80% AV Platinum = 90% AV
1 Catastrophic plans are only available for certain eligible individuals
Consumer Protections: Non-Discrimination Standards
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The EHB rule prohibits discrimination in benefit design based on: Age Expected length of life Disability Medical dependency Quality of life Other health conditions
Allows for reasonable medical management techniques
Consumer Protections: Cost-Sharing16
On or after January 1, 2014: Provides annual limits on maximum out-of-pocket
(MOOP) for all group health plans (including large and self-insured): $6,350 for self-only coverage; or $12,700 for other than self only coverage
Provides deductible limits for small group market: $2,000 for self-only coverage $4,000 for other than self-only coverage
For subsequent plan years: Will increase based on a premium adjustment %
Applies to in-network costs
Melissa Harris, Division DirectorChristine Hinds, Technical Director, Division of Pharmacy
Centers for Medicaid and Chip Services (CMCS)
Medicaid Alternative Benefit Plans and Essential Health Benefits
Background18
Intended to be an alternative benefit plan to the Medicaid state plan
Comparability and statewideness are waivable States define populations, benefit packages and
identify delivery systems within SPA Cost sharing and payment methodology SPAs
required if applicable May require changes to other authorities such as
1115s or 1915(b) waivers
Final Regulation Overview19
Section 1937 Medicaid Benchmark or Benchmark Equivalent Plans are now called Alternative Benefit Plans (ABPs)
ABPs must cover the 10 Essential Health Benefits (EHB) as described in section 1302(b) of the Affordable Care Act, whether the state uses an ABP for Medicaid expansion or coverage of any other groups of individuals
Individuals in the new adult eligibility group will receive benefits through an ABP
Ten Essential Health Benefits20
1. Ambulatory Patient Services 2. Emergency Services 3. Hospitalization 4. Maternity and Newborn Care 5. Mental Health and Substance Use Disorder Services Including Behavioral Health Treatment 6. Prescription Drugs 7. Rehabilitative and Habilitative Services and Devices 8. Laboratory Services 9. Preventive and Wellness Services and Chronic Disease Management 10. Pediatric Services Including Oral and Vision Care
Steps for Designing a Medicaid ABP
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Step 1: States must select a coverage option from the choices found in section 1937 of the Act
• Four benchmark options • (1) The Standard Blue Cross/Blue Shield Preferred
Provider Option offered through the Federal Employees Health Benefit program
• (2) State employee coverage that is offered and generally available to state employees
• (3) Commercial HMO with the largest insured commercial, non-Medicaid enrollment in the state
• (4) Secretary-approved coverage, a benefit package the Secretary has determined to provide coverage appropriate to meet the needs of the population
Steps for Designing a Medicaid ABP (continued)
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Step 2: States must determine if that coverage option is also one of the base-benchmark plan options identified by the Secretary as an option for defining EHBs
• If so, the standards for the provision of coverage, including EHBs, would be met, as long as all EHB categories are covered
• If not, states must select one of the base-benchmark plan options identified as defining EHBs.
Steps for Designing a Medicaid ABP (continued)
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Step 3: Select a base benchmark plan to define the EHBs• Any of the three largest small group market
health plans by enrollment• Any of the three largest state employee health
benefit plans by enrollment• Any of the three largest federal employee health
benefit plans by aggregate enrollment• The largest insured commercial non-Medicaid
health maintenance organization operating in the state
Substitution Policy24
Aligns with the individual and small group market
Allows flexibility for states to align benefit packages with their Medicaid state plan
Requires actuarial equivalence and placement in the same essential health benefit category
Medicaid and Essential Health Benefits
Primarily Medicaid will align with EHB provisions in the individual and small group market.
States may use more than one EHB base benchmark to determine EHB coverage for Medicaid purposes
There are a few exceptions to address the specific needs of the Medicaid population
;
Prescription Drugs26
The amount, duration, and scope of prescription drugs for an ABP is governed by the requirements of section 1937.
EHB prescription coverage standard:Provide at least the greater of:
• 1 drug in every USP category and class; or,• Same # drugs in each category and class as EHB
benchmark plan. States must include sufficient prescription drug coverage
to reflect the EHB benchmark plan standards at 45 CFR 156.122, including procedures in place that allow an enrollee to request and gain access to clinically appropriate drugs not covered by the plan.
To the extent that a prescription drug is within the scope of the ABP benefit as a covered outpatient drug, section 1927 and Federal rebates apply.
Habilitative Services and Devices
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Coverage based on the habilitative services and devices that are in the applicable base benchmark plan
If habilitative services and devices are not in the applicable base benchmark plan, the state will define habilitative services and devices either in parity with rehabilitative services and devices or as determined by the state and reported to CMS in the ABP template
Preventive Services
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EHB requirements for coverage of preventive services, including the prohibition on cost sharing, will apply to section 1937 ABPs
Medical Frailty29
Definition of “medically frail” is modified and includes the addition of people with chronic substance use disorders
Individuals in the new adult group, if determined to be medically frail, will receive the choice of ABP defined using EHBs or ABP defined as state’s approved Medicaid state plan
Additional Items30
States may include other benefits outside of 1905(a) described in sections 1915(i), 1915(j), 1915(k) and 1945 of the Social Security Act
All children under 21 enrolled in an ABP must receive Early and Periodic Screening, Diagnostic and Treatment (EPSDT), including pediatric oral and vision services
ABPs must also comply with the requirements of the Mental Health Parity and Addiction Equity Act (MHPAEA)
ABPs must include family planning services and supplies, FQHC/RHC services, and an assurance of NEMT
Transition31
CMS is permitting transition time, if needed, as long as states are working toward, but have not completed a transition to the new ABPs on January 1, 2014.
1905(a) Preventive Services
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CMS has codified changes to the definition of preventive services to be provided to the general Medicaid population• These changes do not relate to the provision of preventive services
as an EHB • They relate to aligning the general 1905(a) definition of preventive
services with the statutory construct at 1905(a)(13) of the Social Security Act
Services can be recommended by a physician or OLP
Health Resources & Services Administration, HIV/AIDS Bureau & Office of Planning, Analysis, and Evaluation
Yolonda Campbell, Health Policy Analyst
The Ryan White HIV/AIDS Program & Essential Health Benefits33
Ryan White HIV/AIDS Program - still the Payer of Last Resort “funds received…will not be utilized to make payments for any item
or service to the extent that payment has been made, or can reasonably be expected to be made…”
Grantees and their subgrantees are expected to vigorously pursue enrollment in other funding sources (e.g., Medicaid, CHIP, Medicare, state-funded HIV/AIDS programs, employer-sponsored health insurance coverage, and other private health insurance) to extend finite RWHAP grant resources to new clients and/or needed services.
Once a client is enrolled in Medicaid or a private health plan, RWHAP funds may only be used to pay for items or services not covered, or partially covered, by Medicaid or the client’s private health plan (See PCN 13-01 & 13-04 at HAB’s Affordable Care Act website at http://hab.hrsa.gov/affordablecareact/).
RWHAP funds may also be used to cover the cost of premiums, deductibles, and co-payments for Medicaid and private health insurance (See PCN 13-05 and 13-06 at HAB’s Affordable Care Act website at http://hab.hrsa.gov/affordablecareact/).
RWHAP Core Medical and Support Services & Essential Health Benefits
Ryan White Core
Medical
Services Essen
tial Healt
h Benefi
ts
Ryan White Suppo
rt Servic
es
Some RWHAP core medical (e.g, prescription drugs, mental health and substance abuse services) and support services (e.g, rehabilitation services) will be covered benefits under private health plans and Medicaid Alternative Benefit Plans. However, scope of coverage will vary by plan.
Some RWHAP core medical (e.g. adult oral health care) and many support services (e.g., treatment adherence counseling, outreach, transportation) may not be covered benefits under private health plans or Medicaid Alternative Benefit Plans
Grantees should understand the different benefit packages across private health plans and Medicaid alternative benefit plans so they can help clients identify and enroll in health coverage that best meets their individual HIV care needs.
Don’t forget that RWHAP funds may be used to pay for items or services not covered, or partially covered, by Medicaid or the client’s private health insurance plan.
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Grantee Essential Health Benefits Package Resources
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To learn about your state’s EHB-benchmark plan selection, please visit CCIIO’s EHB resource site at http://www.cms.gov/CCIIO/Resources/Data-Resources/ehb.html
CMCS will be posting information about your state’s EHB-benchmark plan for Medicaid Alternative Benefit Plans at the Medicaid.gov site (http://medicaid.gov/)
Health Coverage Options for PLWH AFTER the Affordable Care Act
Medicaid
Medicare
Employer-Based
Insurance
Health Insurance Marketpla
ceOther Public
Other Private
Ryan White Progra
mCover comprehensive HIV medical and support services not covered, or partially covered, by public programs or private insurance
Cover comprehensive HIV medical and support services not covered, or partially covered, by public programs or private insurance
PLWH eligible for health coverage
PLWH who remain uninsured
Helpful Affordable Care Act Resources38
HealthCare.gov: https://www.healthcare.gov/
HRSA, HIV/AIDS Bureau Affordable Care Act Website: http://hab.hrsa.gov/affordablecareact/
Target Center: https://careacttarget.org/
If you have additional questions that were not answered in today’s webcast, please email [email protected]
Questions? 39