Tuesday, February 18, 2014

SGR FIx 2014

The SGR fix or doctor fix bill making its way through congress is anything but a fix for a flawed medicare payment model.   Rather it is filled with details and features to further the movement of pay for value rather than pay for serices.  Paying for services provides an incentive to do more - more visitis, more tests, more procedures, more surgeries regardless of the outcome of the care experience of care for the patient.    Currently patient care experiences that provides faster recoveries and return to work or function, avoids complications, limits costs and achieves high levels of patient satisfaction pays providers the same as patient experiences that do not except for some small incentives to reward good outcomes.   This perverse incentive - better results pay the same as poor results, better clinicians are paid the same as poor clinicians - does not align desires of most patients or the populations health with the financial incentives of the providers. 

A review of the SGR fix supported by a bipartisan group from the House and Senate and supported by the AMA identifies numerous features that incentivize providers to measure, report and disclose results on care outcomes and costs.  I think this approach is long overdue.   All providers are simply not the same.  There are wide disparities on the outcomes of care and in order to move those outcomes to a narrower disparity that is collectively better we must first acknowledge those differences, reward those high performers, and provide encouragement and a roadmap for improvement for those that are underperforming.   

Here is a summary of the SGR 2014 fix with some items of particular interest in bold.


§  The current rule is repealed, which takes the April 2014 23.7% cut off the table.

§  Part B base professional payment rates will increase 0.5% per year in years 2014-2018 and then held flat through 2023.

§  All PQRS, VBM and MU (Physician Quality Reporting System, Value-Based Modifier and EHR Meaningful Use) incentives (carrots and sticks) will be sunset at the end of 2017 and net dollars added back into the base Part B payments to professionals.

§  From 2018 forward, a consolidated Merit-Based Incentive Payment System (MIPS) will govern incentive payments, based on assessment of professionals’ performance in four categories (the first three will draw on existing measures; the fourth will require development of new measures):

§  Quality

§  Resource use

§  EHR Meaningful Use

§  Clinical practice improvement activities

§  MIPS quality measures will be updated annually, and professionals will be able to select what measures to use in rating them.

§  Each provider will be scored on a scale of 0-100 each year, and the composite score will be compared to a performance threshold to determine whether, and how much of, an incentive payment will be made, or a negative adjustment will be made.

§  An additional incentive payment for superstars will be available, capped at an aggregate amount of $500 million for each of the years 2018-2023.

§  GAO is to issue MIPS evaluation reports in 2018 and 2021.

§  Technical assistance will be available to small practices (<15) to help improve MIPS performance or transition to alternative payment models (APMs), with priority given to low-performing and rural practices, and some technical assistance funding specifically reserved for practices in health professional shortage or medically underserved areas.

§  From 2024 on, professionals participating in certain APMs will receive annual updates of 1% while everybody else gets 0.5% updates. (Providers who recieve “significant” payments through APMs will not be eligible for MIPS payments.)

§  Professionals who make a “significant” portion of their revenue through APMs with downside financial risk and a quality component get a 5% annual bonus in 2018-2023. Patient-centered medical home APMs are exempt from the downside risk requirement.

§  APM and quality measure development and review processes are spelled out.

§  Care management for chronically ill beneficiaries is to be promoted by creating one or more payment codes for such services. [This FFS notion seems to cut against the general movement towards APMs - Ed.]

§  GAO is required to study the AMA RUC process and file a report within a year. HHS is permitted (not required) to collect information from providers about potentially misvalued services and adjust the MPFS accordingly (some aspirational targets are included: identify misvalued services worth at least 0.5% of the MPFS spend each year, 2015-2018), and is asked to consider smoothing RVUs within groups of services as well. Beginning in 2015, any downward RVU adjustment of 20% or more will be phased in over two years.

§  Clinical appropriateness for advanced diagnostic imaging is to be determined by criteria developed in consultation with stakeholders that are based on stakeholder consensus, are evidence-based, are based on publicly-available studies, and are not developed by HHS acting alone.

§  Clinical decision support (CDS) mechanisms for advanced diagnostic imaging are to be identified by April 1, 2016; beginning 2017, payment may not be made unless the claim includes evidence of consulting a qualified CDS mechanism; beginning 2020, outliers (docs with low adherence with the CDS requirement; up to 5% of all docs) will be subject to a prior authorization requirement. GAO has 18 months to recommend other areas that should be treated similarly (e.g., radiation therapy, clinical lab services).

§  Utilization and payment data will be reported on the Physician Compare website (July 2015 for physicians, 2016 for other professionals).

§  The bill promotes broader availability of claims data to providers and provider associations.

§  Evidence of participation/nonparticipation in MIPS cannot be used in med-mal litigation.

§  MedPAC is tasked to submit reports on the 2014-2018 experience (impact on beneficiary access to services and quality of care) and recommendations for future tweaks and (in 2017 and 2021) on the relationship between Part B payments and Part A, C and D payments (since those are driven by the professionals paid under Part B).

§  EHR interoperability required by 2017.

§  HHS to issue report on how to develop a permanent physician-hospital gain sharing program.

§  GAO to report on barriers to expanded use of telemedicine and remote patient monitoring.

§  HHS to publish information used to establish multiple procedure payment reduction policy for imaging.