CMS Final Rule: Mental Health/Substance Use Disorder Parity

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CMS Final Rule: Mental Health/Substance Use Disorder Parity Understanding the Impact of the Mental Health Parity and Addiction Equity Act Final Regulations Speakers: Barbara Leadholm, Principal, Don Novo, Principal, Rich VandenHeuvel, Principal, May 11, 2016 HealthManagement.com

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Centers for Medicare & Medicaid Services Final Parity Rule Learning Objectives Identify key considerations and actions for behavioral health stakeholders, including managed care plans, state Medicaid regulators, providers and consumers and families Learn how the rules impact behavioral health coverage decisions by Medicaid managed care plans, including the criteria for medical necessity determinations Understand how state and federal regulators will work together to balance their roles in monitoring and demonstrating compliance and what that means for health plans, providers and consumers and families evaluating the rules provisions Find out how the rules impact the Medicaid managed care rate setting process and the flexibility afforded states to include the cost of additional services and the easing of benefit limitations 5

Summary of Final Parity Rule Key Concepts of the Mental Health Parity and Addiction Equity Act (MHPAEA) Comparability Four Benefits Classifications Quantifiable Treatment Limits (QTL) Non-quantifiable Treatment Limits (NQTL) Applies to Medicaid managed care organizations (MCOs), alternative benefit plans (ABPs) and Children s Health Insurance Programs (CHIP) State accountability Federal signoff 6

Centers for Medicare & Medicaid Services Released Final Parity Rule Builds on guidance and the Mental Health Parity and Addiction Equity Act (MHPAEA) of 2008 Health insurance plans must provide the same coverage for mental health and substance use disorder as offered within the medical and surgical benefits Objective: improve access to mental health and substance use disorder services for people with Medicaid or Children s Health Insurance Program Affects 23 million enrollees Services may be provided through managed care delivery mechanisms including Medicaid managed care organizations and prepaid inpatient health or prepaid ambulatory health plans 7

Implications for States and MCOs Recognizes federal/state partnership Affirms state responsibility for identifying medical /surgical and mental health and substance use disorder conditions Affirms that CMS has provided sufficient guidance to states and MCOs, to apply Quantifiable Treatment Limits (QTL) to mental health and substance use disorder benefits QTL cannot be more restrictive than the predominant limits applied to substantially all medical/surgical benefits in each classification 8

Implications for States and MCOs Identify within Four Benefits Classification Inpatient services Outpatient services Pharmacy services Emergency services 9

Implications for States and MCOs Long term care services are included in the definitions of benefits States will need to identify services within the four benefits classifications CMS has committed to providing additional information to assist in application to the four categories 10

Alternative Benefit Plans All Medicaid Alternative Benefit (ABPs) and CHIP plans are statutorily required to meet financial requirements and treatment limitations State will need to provide sufficient information with State Plan Amendment (SPA) to document compliance with parity requirements for ABP Only new SPAs for ABPs will be reviewed* ABPs that provide Early, Periodic, Screening, Diagnosis and Treatment (EPSDT) benefits are compliant with parity requirements* *(ABPs approved on or after 1/1/14 are already complaint) 11

Implications for States CHIP programs EPSDT must include all 1905(a) services* A CHIP health plan must comply with both EDPST and MHPAEA requirements, same as a Medicaid Health Plan * (Early, Periodic, Screening, Diagnosis and Treatment (EPSDT) covers physical, mental health and substance use disorder services regardless of any restriction that states may impose on coverage for adult services, as long as those services could be covered under the State Plan) 12

Implications for States Parity applies across delivery systems and requires Medicaid to: Structure benefits and deliver them in compliance Develop methods/tools applicable under a variety of different delivery system arrangements Determine types of documentation submitted Add contract language to require parity compliance across delivery system Provide guidance regarding classification of intermediate and long term care services Identify and collect data to determine compliance issues Partner with CMS to evaluate parity s impact on service utilization, spending and health outcomes for individuals with MH/SUD 13

Implications for States and MCOs Plan Responsibilities: Benefits Classification - inpatient, outpatient, pharmacy, emergency Plan must include the same MH/SUD benefit classifications as identified for medical/ surgical benefits Plan must disclose information on MH/SUD benefits upon request, including criteria for determinations of medical necessity Final rule requires state to disclose reason for any denial of reimbursement or payment for services pertaining to MH/SUD benefits Parity requirements under MHPAEA do not apply when medical/surgical state plan services are delivered through fee-forservice Medicaid 14

Implications for States and MCOs Medicaid responsibility Determine compliance Work with MCOs on contract changes Review if contract currently includes parity language; add if does not Include language that MCOs document parity findings and analysis May define penalties in contracts for noncompliance Recommended stakeholder input Effective October 2, 2017 MCOs responsibility Provide comprehensive set of services Conduct parity analysis Work with state on MCO contract changes Provide documentation of parity findings and analysis Recommended stakeholder input and advisory process Effective October 2, 2017 15

Implications for States Quantitative Treatment Limits (QTL)/Permissible Level QTL cannot be more restrictive than the predominant limits applied to substantially all medical/surgical benefits in each classification Predominant limit refers to level of financial or numeric limits (e.g. dollar amount or number of visits) that apply to more than 50 percent of physical health benefits in the classification with that type of limit Substantially all means two-thirds (2/3) If 2/3 threshold is met, QTL for mental health/substance use disorder services must be no more restrictive than predominant limit applied to medical/surgical services 16

Implications for States Separate cumulative financial requirements for mental health/substance use disorder and medical/surgical services are not allowed, i.e., separate deductibles The Rule permits QTLs to accumulate separately for medical/surgical and mental health and substance use disorder 17

Implications for States State analysis of financial requirements and QTLs may challenge States when services are delivered across multiple plans and delivery models States will need to identify and collect information from MCOs, PIHPs and PAHPs, such as Projected dollar amount for medical/surgical benefits in each classification Type of limits that apply to physical health services in each classification Type of limits that apply to mental health/ substance use disorder services 18

Implications for States Non-Quantitative Treatment Limitations (NQTLs) are limits that are not expressed numerically which otherwise limit the scope or duration of benefits for treatment NQTLs may apply to mental health /substance use disorder if factors used to apply benefits in classification are comparable to (no more stringently than) factors used in limiting medical/surgical benefits in same classification 19

Implications for States NQTLs are processes, strategies, and evidentiary standards such as Medical management standards Prior authorization Formulary design Network tier design Standards for network provider participation Methods for determining charges Fail-first policies Standards for accessing out-of-network providers 20

Implications for States Soft benefit limits which allow for numerical limits to be exceeded when medically necessary are considered NQTLs and NQTL rules apply Application of NQTL requirements to provider reimbursement and the factors used to determine mental health and substance use disorder reimbursement must be applied in a comparable manner NQTL requirements cannot be more stringent than for reimbursement for medical/surgical services 21

Implications for States States are to determine impact of parity implementation Assess how parity affects payers utilization management approaches such as preauthorization Determine utilization management strategies Evaluate if the strategies lead to efficient outcomes without adversely affecting enrollees health 22

Implications for States State delivery models and benefit structure will affect state responsibilities including Conducting parity analysis Adding MH/SUD services or service units Effectuating contract amendments/mous Submission of state plan amendments (SPAs) Forthcoming Medicaid managed care rule may affect state s actions in parity compliance States may need to re-visit long term services and supports (LTSS)-related initiatives 23

Implications for States States must obtain and analyze Plan QTL / NQTL information State can hire third parties to obtain information or conduct parity analysis State responsibility to review and accept the preliminary analysis State must document parity analysis and compliance when submit MCOs, PIHPs, and PAHPs contracts for CMS review and approval (October 2017) State must report compliance with parity on website State need to complete parity analysis whenever operations changed State has two options for remedying parity compliance Revise state plan to ensure the service package is parity compliant Amend managed care contracts to include necessary services or service units 24

Implications for States LTSS inclusion raises considerations, e.g., how to reconcile with the IMD exclusion and how it applies to 1915(c) waiver services State/managed care plan must assign LTSS services to four classifications within service package without CMS definition of LTSS Administrative burden to classify diverse services Must use reasonable method and same standards States may experience difficulties in complying with CMS requirement that the same standards are applies to classify LTSS within medical/surgical as MH/SUD 25

Implications for States CMS has historically been available to states to provide technical assistance as states review and propose approaches to implementing and reporting parity CMS recognizes the complexities states face CMS requires compliance 26

Q&A Barbara Leadholm, Principal, bleadholm@healthmanagement.com Don Novo, Principal, dnovo@healthmanagement.com Rich VandenHeuvel. Principal, rvandenheuvel@healthmanagement.com May 11, 2016 HealthManagement.com