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79 Pages·2017·1.37 MB·English
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Combined Report on Medicaid Managed Care Provider Network Adequacy, Monitoring, and Violations As Required By S. B. 760, 84th Legislature, Regular Session, 2015, and 2016-17 General Appropriations Act, H.B. 1, 84th Legislature, Regular Session, 2015 (Article II, Health and Human Services Commission, Rider 81 and Rider 82) Health and Human Services Commission January 2017 Contents 1. Executive Summary ...................................................................................................................1 2. Introduction ................................................................................................................................3 S.B. 760 ........................................................................................................................................3 Riders 81 and 82 ...........................................................................................................................4 3. Background ................................................................................................................................4 Medicaid Managed Care Network Requirements ........................................................................4 Single Case Agreements ...............................................................................................................8 4. Current Network Adequacy Initiatives ...................................................................................9 Stakeholder Engagement ..............................................................................................................9 Access to Care: Distance, Travel Time, and Appointment Availability ......................................9 Expedited Credentialing .............................................................................................................12 Provider Directories and Appointment Assistance ....................................................................13 5. MCO Network Adequacy Oversight ......................................................................................14 Direct Monitoring .......................................................................................................................14 Prior Authorization Wait Times .................................................................................................15 Provider Ratios / Benchmarks ....................................................................................................16 MCO Compliance Data ..............................................................................................................20 MCO Compliance Actions .........................................................................................................24 6. Conclusion ................................................................................................................................25 List of Acronyms ..........................................................................................................................25 Appendix [A]: STAR+PLUS Geo-mapping (2nd Quarter, FY 2016) ................................... A-1 Appendix [B]: STAR (Children) Geo-mapping (2nd Quarter, FY 2016) ..............................B-1 Appendix [C]: STAR (Adult) Geo-mapping (2nd Quarter, FY 2016)................................... C-1 Appendix [D]: Remedies Assessed for MCO Non-compliance of Medicaid OON Standards (FY 2011 through FY 2015) ..................................................................................................... D-1 Appendix [E]: Remedies Assessed for MCO Non-compliance of Geo-access Standards (3rd Quarter, FY 2015 through 2nd Quarter, FY 2016) ...........................................................E-1 Appendix [F]: Overview by Year (SCAs by Reason and SCAs by MCO) .......................... F-1 Appendix [G]: SCAs by Reason and MCO ........................................................................... G-1 Appendix [H]: SCAs by Provider Category and Reason ..................................................... H-1 Appendix [I]: SCAs by Provider Category and SCAs by Reason, Descending Order ........ I-1 Appendix [J]: DME SCAs by Provider Category and Type of DME .................................. J-1 i Appendix [K]: SCAs by MCO, Provider Type Category, Service Provided, SCA Reason, by Fiscal Year ............................................................................................................................ K-1 Appendix [L]: Texas MCOs FY 2011 through FY 2015 (By Fiscal Year and MCO) ........L-1 ii 1. Executive Summary The Texas Medicaid program serves more than four million individuals, the vast majority of whom receive services through managed care.1 Under the managed care model, the Health and Human Services Commission (HHSC) contracts with managed care organizations (MCOs), also known as health plans. HHSC pays the MCOs a monthly amount per enrolled individual (known as a member) to coordinate and reimburse providers for health services for Medicaid members enrolled in their health plan. Services are provided to individuals in Medicaid through an MCO's network of providers, which includes primary care physicians, specialty care, and behavioral health providers. MCOs are required to maintain networks of providers so individuals have timely access to care, within specific distances, as well as a choice of providers. HHSC similarly contracts with dental maintenance organizations (DMOs), also known as dental plans, to coordinate and provide dental services for members under Children's Medicaid Dental Services and the Children's Health Insurance Program (CHIP). For purposes of this report, the term MCO is used to refer to both health and dental plans. In Texas, the Medicaid managed care contracts include provider network requirements for MCOs designed to ensure all members have access to, and a choice from, a network of providers. To determine whether MCOs have adequate provider networks, HHSC tracks timeliness of care through annual surveys, monitors member and provider complaints2, monitors geo-mapping3 results to track the distance between providers' geographic locations and members' residences, monitors member utilization of out-of-network (OON) providers, and examines the number of single case agreements (SCAs) made by MCOs with non-contracted providers. While none of these indicators alone can provide a full and accurate measure of network adequacy, combined they help HHSC assess the adequacy of an MCO's provider network and performance in meeting contractual obligations. S.B. 760, 84th Legislature, Regular Session, 2015, requires HHSC to establish additional minimum provider access standards for MCO provider networks. While Texas currently has a range of provider network requirements and contractual remedies for MCO non-compliance with these requirements, S.B. 760 specifically requires MCOs to: • Pay liquidated damages for failing to comply with minimum network access standards; • Establish an expedited credentialing process for provider types identified by HHSC; • Regularly update and publish provider directories on their websites; and • Send paper copies of provider directories to all STAR+PLUS and STAR Kids members, unless these members opt-out, and to members of other Medicaid managed care programs only upon request.4 1 Texas Health and Human Services Commission, Medicaid Enrollment by Managed Care Plan (March 2016) https://hhs.texas.gov/about-hhs/records-and-statistics/research-and-statistics. 2 HHSC operates a complaint process for management of complaints or inquiries received from Medicaid providers, members, state agencies, or government officials. Information received provides direct insight of current events or trends in Medicaid managed care programs which, if not resolved in a timely manner, can result in corrective action against an MCO. 3 Geo-mapping can be used to measure distance between member residence and providers. 4 Members in STAR Health receive paper directories as part of initial enrollment into that program. 1 S.B. 760 also requires HHSC to submit a biennial report to the Legislature providing information on access to providers in the MCOs’ provider networks, and MCO compliance with contractual obligations related to provider access standards specified in S.B. 760. The report is required to include: • Information on provider-to-recipient ratios in an MCO's provider network, including benchmark ratios to indicate whether there are deficiencies in a given network; • A description and analysis of results from HHSC’s process for monitoring MCOs; and • A compilation and analysis of information reported by MCOs to HHSC on MCO compliance with Medicaid managed care network adequacy requirements. In response to the requirements of S.B. 760, HHSC is working with stakeholders, including member advocates, provider groups, and MCOs, to implement several key initiatives, including: • Updated requirements for MCO provider directories, including a requirement all directories be available online, updated regularly, and searchable; • New time and distance standards for certain provider types, taking into account geographic area; • Updated expedited credentialing standards to decrease the time before a provider may begin billing for services, and to allow MCOs to more quickly address gaps in network coverage; and • Enhanced MCO reporting methodologies and HHSC oversight processes to ensure compliance with all network adequacy standards. In addition to S.B. 760, the 2016-17 General Appropriations Act, H.B. 1, 84th Legislature, 2015 (Article II, HHSC, Rider 81 and Rider 82), requires HHSC to report data related to MCO provider networks. Per Rider 81, HHSC is required to report on the number of disciplinary orders or corrective action plans (CAPs) imposed on MCOs over the last five years based on non-compliance with Medicaid managed care program network adequacy requirements. Rider 82 requires HHSC to report on the number of SCAs between Medicaid and CHIP MCOs and providers over the last five years. As required by Rider 81, reported data includes contractual remedies associated with MCO non- compliance of OON utilization and distance standards. Key findings from HHSC's review of the Rider 81 data included: • The highest number of MCO OON utilization remedy assessments (31) occurred in fiscal year 2012, the year the STAR managed care program expanded statewide and the STAR+PLUS managed care program expanded to all areas of the state, except the Medicaid rural service areas (MRSAs). • The highest frequencies of distance standard violations occur in rural areas as do the highest number of special exception requests from MCOs. A lack of specialty providers in rural areas and a lack of provider interest in managed care, both commercial and government programs, contribute to these findings. 2 As required by Rider 82, the report includes data regarding SCAs between Medicaid and CHIP MCOs and providers. HHSC's review of the Rider 82 data revealed the number of SCAs vary widely by the area of the state and by provider type. Key findings included: • The highest volume of SCAs are due to Medicaid-enrolled hospitals choosing not to contract with Texas MCOs, even at or above fee-for-service (FFS) reimbursement rates. • A high number of SCAs are with durable medical equipment (DME) suppliers due to certain DME supplies only being available through a single DME provider who has declined to contract with MCOs. • Other common reasons for SCAs included transplants and transplant-related medical services, pregnancy complications while a member is traveling, and a member's provider requesting care at a hospital with specialists located out of the MCO's service area or not contracted with the MCO. • SCAs are also often required for emergency surgery while members are away from their city of residence. • There is a high number of SCAs between MCOs and behavioral health providers. This combined report addresses the requirements of S.B. 760, Rider 81, and Rider 82, and provides a comprehensive report on HHSC's efforts to enhance provider network standards and ensure Medicaid members have timely access to services and supports in managed care. 2. Introduction This report is intended to provide details on HHSC's efforts to enhance managed care provider network standards in fulfillment of the requirements of S.B. 760, and provide data and analysis regarding MCO violations of managed care network adequacy requirements, as required by Rider 81, and SCAs by Medicaid and CHIP MCOs, as required by Rider 82. S.B. 760 S.B. 760 included a number of provisions intended to improve access to care for Texans in Medicaid managed care programs. Specifically, S.B. 760 directed HHSC to undertake several initiatives to improve network adequacy, including requiring: • HHSC to establish minimum access standards for MCO provider networks for specific provider types; • MCOs to submit a plan on how their provider networks comply with provider access standards; • HHSC to monitor MCO compliance with provider access standards and to seek liquidated damages against MCOs that fail to comply with those standards; • HHSC to submit a publicly available report to the Legislature on MCO compliance with the established provider access standards; • MCOs to create an expedited credentialing process for specific provider types identified by HHSC; 3 • MCOs to regularly update and publish provider directories on their website and to implement member appointment scheduling assistance process through email or phone contact with the MCO; and • HHSC to amend rules as necessary to implement these network adequacy initiatives. HHSC is engaged in several activities to implement the requirements of S.B. 760 and further strengthen Medicaid managed care access standards to ensure Medicaid members' access to care. These activities are described in detail in Section 4 (Current Network Adequacy Initiatives). Riders 81 and 82 Both Riders 81 and 82 require HHSC to report Medicaid MCO data from the last five years related to MCO provider networks. As directed by Rider 81, the report includes the number of disciplinary actions imposed on MCOs over the last five years for non-compliance with Medicaid managed care program network adequacy requirements. Additionally, data regarding SCAs between Medicaid and CHIP MCOs and providers over the last five years is reported as required by Rider 82. SCAs are initiated when a member requires care that is not available from an MCO's network provider and the MCO arranges for these services to be provided by an OON provider. When this occurs, the MCO may negotiate a SCA with the OON provider to provide the care necessary to address the member's specific needs until a qualified in-network provider is available. 3. Background Medicaid Managed Care Network Requirements In Texas, Medicaid managed care network adequacy requirements are based on both federal and state statutes and regulations, which set minimum standards for MCOs participating in managed care. Federal Requirements At the federal level, the Social Security Act5 and Code of Federal Regulations6 require each MCO to provide adequate assurances to the state it has the capacity to serve expected enrollment in its service area7. This includes an appropriate "range of services and access to preventive and primary care services," with a "sufficient number, mix, and geographic distribution of providers of services." Generally, each state is given latitude in determining how these requirements are met. In May 2016, the Centers for Medicare & Medicaid Services (CMS) published its final rule related to Medicaid managed care, which included specific MCO network adequacy provisions. 5 SSA §1932(b) (5), Demonstration of Adequate Capacity and Services. 6 42 CFR §438.206 Availability of Services, §438.207 Assurances of Adequate Capacity and Services. 7Service area means all the counties, as applicable to each managed care program, for which an MCO has been selected to provide MCO services. 4 Additional discussion regarding the implications of the new CMS managed care rule on S.B. 760 implementation can be found in Section 4 (Current Network Adequacy Initiatives). State Requirements At the state level, managed care requirements are established in accordance with Texas Department of Insurance (TDI) requirements and Texas Medicaid rules and contract standards established by HHSC. Requirements adopted by HHSC are generally consistent with, or more stringent than, federal or TDI requirements. TDI establishes standards for the maximum distance an individual must travel from their residence to a provider. These standards vary by provider type and geographic location. For example, the maximum travel distance for individuals in a health plan are as follows: • 30 miles for primary care • 30 miles for general hospital care • 60 miles for primary care and general hospital care in rural areas • 75 miles for specialists and specialty hospitals HHSC must take TDI and federal requirements into consideration when developing Texas Medicaid managed care access standards. Texas Medicaid Network Requirements (Prior to S.B. 760 Implementation) HHSC's current Medicaid managed care contracts include expectations for distance from member residence to provider location, appointment availability, and OON utilization for a number of provider types. MCOs are expected to offer enrolled individuals a network of providers within a maximum number of miles from the individual's residence (Table A). The distance requirements vary based on provider types. For example, members must have a primary care provider within 30 miles and specialists within 75 miles of their residence. There may also be variances based on geographic area of the state. For example, the distance requirement for behavioral health providers is within 30 miles in urban areas and 75 miles in rural areas. All Medicaid MCOs are required to provide quarterly geo-mapping data to HHSC for select provider types by program and service area. 5 Table A: HHSC Distance Requirements for Medicaid MCOs Percent of Distance Geographic Members Category Provider Type Requirement Designation8 with Access (Benchmark) Primary Care Provider9 30 miles Acute Care Hospital 30 miles Specialists, Including Statewide Medical Obstetrics/Gynecology 75 miles Providers 90% (OB/GYN)10 30 miles Urban Outpatient Behavioral Health11 75 miles Rural All Other Provider Types 75 miles Statewide 2 miles Urban 80% Non-MRSA 5 miles Suburban 75% 15 miles Rural 90% Pharmacy 2 miles Urban 75% MRSA 5 miles Suburban 55% 5 miles Rural 90% 24 Hour Pharmacy 75 miles Statewide 90% 30 miles Urban 95% Main Dentist Dental 75 miles Rural 95% Specialty Providers12 75 miles Statewide 90% MCOs are also expected to offer a network of providers that can accommodate appointments for persons enrolled in the plan within specified timeframes for emergent and urgent needs, routine primary care, outpatient behavioral health, prenatal care, and preventive care (Table B). 8 Rural means any county with fewer than 50,000 residents and Urban means any county with 50,000 or more residents as reported by the Texas Association of Counties. 9 Additional Frew requirement for Medicaid: 90 percent of child members must have access to at least two primary care providers. 10 HHSC has access requirements for all specialties, but only monitors the most common specialists for adults, including general surgery, cardiology, orthopedists, urology, and ophthalmology. Child specialties monitored include: orthopedics, otolaryngology, ophthalmology/therapeutic optometry. 11 Outpatient behavioral health providers include Masters and Doctorate-level trained practitioners practicing independently or at community mental health centers, other clinics, or at outpatient hospital departments. 12 Dental specialty providers are defined as endodontist, oral surgeon, orthodontist, pediatric dentists, periodontist, and prosthodontist. DMOs must ensure access to at least one dental specialty provider within 75 miles of the member. 6 Table B: Appointment Wait Time Standards Service Type Wait Times Emergency Services Upon member presentation at service delivery site Urgent Care Within 24 hours Routine Primary Care Within 14 days Initial Outpatient Behavioral Health Within 14 days Primary Care Provider Referrals to Specialty No later than 30 days Prenatal Care Within 14 days Prenatal Care for High Risk Pregnancy or Within 5 days New Members in 3rd Trimester Preventive Health Services – Adults Within 90 days Preventive Health Services – Children According to Texas Health Steps periodicity schedule13 Vision Care (Ophthalmology, Therapeutic None indicated (access without primary Optometry) care physician referral) Additionally, HHSC monitors MCOs' use of OON services for the following provider network standards. In each service area, OON utilization should not exceed the following thresholds each quarter: • 15 percent of inpatient hospital admissions (health plans); • 20 percent of emergency room visits (health plans); and • 20 percent of total dollars billed for "other outpatient services" (health and dental plans). Medicaid utilization is reviewed quarterly for contract compliance with these OON utilization standards. Every MCO must submit quarterly OON utilization reports for each Medicaid program type (e.g., STAR, STAR+PLUS, Children's Medicaid Dental Services, STAR Health) and service area in which the MCO is contracted to provide Medicaid services. An MCO may request a special consideration when it exceeds the OON utilization threshold if efforts to contract with an OON provider are demonstrated. If an MCO satisfies the requirements for special consideration, the MCO submits a second report for HHSC review excluding the non- contracted provider from calculations used to assess compliance. 13 In Texas, federally required Early and Periodic Screening, Diagnostic and Treatment services are referred to as Texas Health Steps. A schedule recommending when periodic preventive checkups should be conducted is referred to as a periodicity schedule. The current medical periodicity schedule includes preventive checkups for newborns; within 5 days of newborn discharge; at 2 weeks; at 2, 4, 6, 9, 12, 15, 18, 24, and 30 months; and annually for children and young adults 3 through 20 years of age. The dental periodicity schedule includes preventive dental checkups every 6 months for ages 6 months through 20 years of age. 7

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Updated requirements for MCO provider directories, including a .. health, hospital, obstetrics, and pharmacy services and dental services for children. process, HHSC provided the draft reporting template to Medicaid MCOs for
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Most books are stored in the elastic cloud where traffic is expensive. For this reason, we have a limit on daily download.