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1

Introduction CMS Compliance Concerns and Limitations CMS has expressed concern with providers participating in marketing activities because Providers may not be aware of all plan benefits and costs. It may confuse beneficiaries if they perceive providers as acting as an agent or plan representative. Providers may face conflicting incentives when acting on a Plan Sponsor s behalf. 2

Providers Must Providers must remain neutral when assisting patients with information about their Medicare plan options. Any communications by providers to patients must come from the provider or medical group and not the agent or health plan in a misleading way. Be aware of agent or health plan engagement in marketing events and ensure they are within the scope of CMS guidelines. 3

Providers May If providers allow plan marketing materials to be available in their common areas, then: Provider must allow ALL contracting plans to participate. Display posters or other materials announcing plan affiliations. Direct patient to plan materials in common areas. Refer patients to other sources for more information, such as: CMS/Medicare.gov website, HICAP/SHIP office, etc. If patient initiates request, provider may refer to plan or plan marketing representatives (brokers or agents.) 4

Providers May Provide names and contact information of Health Plans they contract with and any factual, publicly available information about plan benefits and formularies. Example: Information from Medicare and You or Medicare Options Compare. Provide information and assistance to patients applying for Low Income Subsidy (LIS/Extra Help.) Display plan marketing materials (but not enrollment forms) in waiting rooms. 5

Providers May NOT Provide an endorsement or testimonial for a health plan Mislead or pressure patients into participating in presentations. Offer anything of value to induce beneficiaries to enroll in a particular plan or set of plans. Provide list of Medicare eligible patients to an agent or health plan representative. Conduct marketing, sales, or enrollment activities in areas where patients receive or wait to receive care: Example: Exam rooms, waiting rooms, etc. Distribute or display marketing materials within an exam room. 6

Providers May NOT Distribute sales agents business cards to patients (unsolicited.) Make available/distribute, help complete, or accept completed enrollment applications. Offer or assist with Scope of Appointment Forms, lead cards and/or business reply cards. Make phone calls or distribute materials in an attempt to steer, direct, urge or persuade beneficiaries to enroll in a specific plan or set of plans. Mail marketing materials on behalf of a plan or agent. Accept compensation directly or indirectly from a plan for enrollment activities. 7

Promotional Activities Nominal Gifts, any items offered to attendees of promotional activities, must: Be of nominal value no more than $15, with a maximum aggregate of $50/person, per year. Be offered to all people regardless of enrollment and without discrimination. Not be items considered to be a health benefit, covered item or service. If the nominal gift is one large gift (e.g., concert, raffle, drawing, etc.) the total value must not exceed the nominal per person value based on attendance. Example) For 10 attendees, the gift may not be worth more than $150. 8

Promotional Activities Nominal Gifts, any items offered to attendees of promotional activities, may not: Be in the form of cash or other monetary rebates, including gift cards or certificates that can be readily converted to cash, even if it is worth $15 or less. Be in the form of a meal, unless the event meets the CMS definition of an educational event and complies with the nominal gift value. 9

Marketing Unsolicited Contacts Unless an individual has agreed to receive communications, providers may not initiate direct contact with non-patients for marketing purposes in the following forms: Telephonic outreaching including voice and text messaging. Electronic solicitation. Approaching beneficiaries in common areas (e.g., parking lots, hallways, lobbies, etc. ) Door-to-door solicitation including leaving flyers at residences or cars. Marketing purposes pertains to health plan listings and benefit information. This does not extend to current patients, conventional mail, or other print medias. 10

Marketing Unsolicited Contacts Providers may not initiate Electronic Communication, including email and direct messages, for marketing purposes unless an individual has agreed to receive those communications. If an individual likes or follows on social media, this does not constitute agreement to receive communication outside a public forum. Providers may respond to questions or statements initiated by the beneficiary but only in the scope of the question. Providers must provide an opt-out process for electronic communication. 11

Thank You For a comprehensive understanding of CMS Marketing Guidelines visit: https://www.cms.gov/medicare/health- Plans/ManagedCareMarketing/FinalPartCMarketingGuidelines.html 12 R:\Compliance\Training\\Training