Medicare Program; End-Stage Renal Disease Prospective Payment System, and Quality Incentive Program, 37807-37860 [2015-16074]
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Vol. 80
Wednesday,
No. 126
July 1, 2015
Part III
Department of Health and Human Services
tkelley on DSK3SPTVN1PROD with PROPOSALS3
Center for Medicare & Medicaid Services
42 CFR Part 413
Medicare Program; End-Stage Renal Disease Prospective Payment
System, and Quality Incentive Program; Proposed Rules
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Federal Register / Vol. 80, No. 126 / Wednesday, July 1, 2015 / Proposed Rules
DEPARTMENT OF HEALTH AND
HUMAN SERVICES
Centers for Medicare & Medicaid
Services
42 CFR Part 413
[CMS–1628–P]
RIN 0938–AS48
Medicare Program; End-Stage Renal
Disease Prospective Payment System,
and Quality Incentive Program
Centers for Medicare &
Medicaid Services (CMS), HHS.
ACTION: Proposed rule.
AGENCY:
This rule proposes to update
and make revisions to the End-Stage
Renal Disease (ESRD) prospective
payment system (PPS) for calendar year
(CY) 2016. The proposals in this rule are
necessary to ensure that ESRD facilities
receive accurate Medicare payment
amounts for furnishing outpatient
maintenance dialysis treatments during
calendar year 2016. This rule also
proposes to set forth requirements for
the ESRD Quality Incentive Program
(QIP) for CY 2016. In an effort to
incentivize ongoing quality
improvement among eligible providers,
the ESRD QIP proposes to establish and
revise requirements for quality reporting
and measurement, including the
inclusion of new quality measures for
payment year (PY) 2019 and beyond and
updates to programmatic policies for the
PY 2017 and PY 2018 ESRD QIP.
DATES: To be assured consideration,
comments must be received at one of
the addresses provided below, no later
than 5 p.m. E.S.T. on August 25, 2015.
ADDRESSES: In commenting, please refer
to file code CMS–1628–P. Because of
staff and resource limitations, we cannot
accept comments by facsimile (FAX)
transmission.
You may submit comments in one of
four ways (please choose only one of the
ways listed):
1. Electronically. You may submit
electronic comments on this regulation
to https://www.regulations.gov. Follow
the ‘‘Submit a comment’’ instructions.
2. By regular mail. You may mail
written comments to the following
address ONLY: Centers for Medicare &
Medicaid Services, Department of
Health and Human Services, Attention:
CMS–1628–P, P.O. Box 8010, Baltimore,
MD 21244–8010.
Please allow sufficient time for mailed
comments to be received before the
close of the comment period.
3. By express or overnight mail. You
may send written comments to the
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SUMMARY:
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following address ONLY: Centers for
Medicare & Medicaid Services,
Department of Health and Human
Services, Attention: CMS–1628–P, Mail
Stop C4–26–05, 7500 Security
Boulevard, Baltimore, MD 21244–1850.
4. By hand or courier. Alternatively,
you may deliver (by hand or courier)
your written comments ONLY to the
following addresses prior to the close of
the comment period:
a. For delivery in Washington, DC—
Centers for Medicare & Medicaid
Services, Department of Health and
Human Services, Room 445–G, Hubert
H. Humphrey Building, 200
Independence Avenue SW.,
Washington, DC 20201
(Because access to the interior of the
Hubert H. Humphrey Building is not
readily available to persons without
Federal government identification,
commenters are encouraged to leave
their comments in the CMS drop slots
located in the main lobby of the
building. A stamp-in clock is available
for persons wishing to retain a proof of
filing by stamping in and retaining an
extra copy of the comments being filed.)
b. For delivery in Baltimore, MD—
Centers for Medicare & Medicaid
Services, Department of Health and
Human Services, 7500 Security
Boulevard, Baltimore, MD 21244–1810.
If you intend to deliver your
comments to the Baltimore address, call
telephone number (410) 786–9994 in
advance to schedule your arrival with
one of our staff members.
Comments erroneously mailed to the
addresses indicated as appropriate for
hand or courier delivery may be delayed
and received after the comment period.
For information on viewing public
comments, see the beginning of the
SUPPLEMENTARY INFORMATION section.
FOR FURTHER INFORMATION CONTACT:
Stephanie Frilling, (410) 786–4507, for
issues related to the ESRD PPS,
refinement of the case-mix payment
adjustments, drug designation process,
delay of payment for oral-only drugs
and biologicals, Part B payment for selfadministered drugs, and reporting of
medical director fees on the cost report.
Michelle Cruse, (410) 786–7540, for
issues related to the ESRD PPS,
refinement of the facility-level payment
adjustments, and policy clarifications.
Heidi Oumarou, (410) 786–7342, for
issues related to the ESRD PPS Market
Basket Update.
Tamyra Garcia, (410) 786–0856, for
issues related to the ESRD QIP.
SUPPLEMENTARY INFORMATION: Inspection
of Public Comments: All comments
received before the close of the
comment period are available for
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viewing by the public, including any
personally identifiable or confidential
business information that is included in
a comment. We post all comments
received before the close of the
comment period on the following Web
site as soon as possible after they have
been received: https://
www.regulations.gov. Follow the search
instructions on that Web site to view
public comments.
Comments received timely will also
be available for public inspection as
they are received, generally beginning
approximately 3 weeks after publication
of a document, at the headquarters of
the Centers for Medicare & Medicaid
Services, 7500 Security Boulevard,
Baltimore, Maryland 21244, Monday
through Friday of each week from 8:30
a.m. to 4 p.m. To schedule an
appointment to view public comments,
phone 1–800–743–3951.
Electronic Access
This Federal Register document is
also available from the Federal Register
online database through Federal Digital
System (FDsys), a service of the U.S.
Government Printing Office. This
database can be accessed via the
internet at https://www.gpo.gov/fdsys/.
Addenda Are Only Available Through
the Internet on the CMS Web site
In the past, a majority of the Addenda
referred to throughout the preamble of
our proposed and final rules were
available in the Federal Register.
However, the Addenda of the annual
proposed and final rules will no longer
be available in the Federal Register.
Instead, these Addenda to the annual
proposed and final rules will be
available only through the Internet on
the CMS Web site. The Addenda to the
End-Stage Renal Disease (ESRD)
Prospective Payment System (PPS) rules
are available at: https://www.cms.gov/
ESRDPayment/PAY/list.asp. Readers
who experience any problems accessing
any of the Addenda to the proposed and
final rules of the ESRD PPS that are
posted on the CMS Web site identified
above should contact Michelle Cruse at
410–786–7540.
Table of Contents
To assist readers in referencing
sections contained in this preamble, we
are providing a Table of Contents. Some
of the issues discussed in this preamble
affect the payment policies, but do not
require changes to the regulations in the
Code of Federal Regulations (CFR).
I. Executive Summary
A. Purpose
1. End-Stage Renal Disease (ESRD)
Prospective Payment System (PPS)
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2. End-Stage Renal Disease (ESRD) Quality
Incentive Program (QIP)
B. Summary of the Major provisions
1. ESRD PPS
2. ESRD QIP
C. Summary of Cost and Benefits
1. Impacts of the Proposed ESRD PPS
2. Impacts of the Proposed ESRD QIP
II. Calendar Year (CY) 2016 End-Stage Renal
Disease (ESRD) Prospective Payment
System (PPS)
A. Background
1. Statutory Background
2. System for Payment of Renal Dialysis
Services
3. Updates to the ESRD PPS
B. Provisions of the Proposed Rule
1. Analysis and Proposed Revision of the
Payment Adjustments under the ESRD
PPS
a. Development and Implementation of the
ESRD PPS Payment Adjustments
b. Regression Model Used to Develop
Payment Adjustment Factors
i. Regression Analysis
ii. Dependent Variables
(1) Average Cost per Treatment for
Composite Rate Services
(2) Average Medicare Allowable Payment
(MAP) for Previously Separately Billable
Services
iii. Independent Variables
iv. Control Variables
c. Analysis and Revision of the Payment
Adjustments
i. Adult Case-Mix Payment Adjustments
(1) Patient Age
(2) Body Surface Area (BSA) and Body
Mass Index (BMI)
(3) Onset of Dialysis
(4) Comorbidities
d. Proposed Refinement of Facility-Level
Adjustments
i. Low-Volume Payment Adjustment
ii. CY 2016 Proposals for the Low-Volume
Payment Adjustment (LVPA)
(1) Background
(2) The United States Government
Accountability Office Study on the
LVPA
(3) Addressing GAO’s Recommendations
(4) Elimination of the Grandfathering
Provision
(5) Geographic Proximity Mileage Criterion
iii. Geographic Payment Adjustment for
ESRD Facilities Located in Rural Areas
(1) Background
(2) Determining a Facility-Level Payment
Adjustment for ESRD Facilities Located
in Rural Areas Beginning in CY 2016
(3) Further Investigation into Targeting
High-Cost Rural ESRD Facilities
e. Proposed Refinement of the Case-Mix
Adjustments for Pediatric Patients
f. Proposed Refinement Payment
Multipliers
i. Proposed Adult Case-Mix and FacilityLevel Payment Adjustments
ii. Proposed Pediatric Case-Mix Payment
Adjustments
2. Proposed CY 2016 ESRD PPS Update
a. ESRD Bundled Market Basket
i. Overview and Background
ii. Proposed Market Basket Update Increase
Factor and Labor-Related Share for ESRD
Facilities for CY 2016
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iii. Proposed Productivity Adjustment
iv. Calculation of the ESRDB Market Basket
Update, Adjusted for Multifactor
Productivity for CY 2016
b. The Proposed CY 2016 ESRD PPS Wage
Indices
i. Annual Update of the Wage Index
ii. Implementation of New Labor Market
Delineations
c. CY 2016 Update to the Outlier Policy
i. CY 2016 Update to the Outlier Services
MAP Amounts and Fixed-Dollar Loss
Amounts
ii. Outlier Policy Percentage
d. Annual Updates and Policy Changes to
the CY 2016 ESRD PPS
i. ESRD PPS Base Rate
ii. Annual Payment Rate Update for CY
2016
3. Section 217(c) of PAMA and the ESRD
PPS Drug Designation Process
a. Stakeholder Comments from the CY
2015 ESRD PPS Proposed and Final
Rules
b. Background
c. Determination of When an Oral-Only
Renal Dialysis Service Drug is No Longer
Oral-Only
d. Application of ESRD Drug and
Biological Policies after Implementation
of the ESRD PPS
e. Implementation of a Transitional Drug
Add-On Payment Adjustment under the
ESRD PPS
4. Delay of Payment for Oral-Only Renal
Dialysis Services
5. Reporting Medical Director Fees on
ESRD Facility Cost Reports
C. Clarifications Regarding the ESRD PPS
1. Laboratory Renal Dialysis Services
2. Renal Dialysis Service Drugs and
Biologicals
a. 2014 Part D Call Letter Follow-up
b. Oral or Other Forms of Renal Dialysis
Injectable Drugs and Biologicals
c. Reporting of Composite Rate Drugs
III. End-Stage Renal Disease (ESRD) Quality
Incentive Program (QIP) for Payment
Year (PY) 2019
A. Background
B. Clarification of ESRD QIP Terminology:
‘‘CMS Certification Number (CCN) Open
Date’’
C. Meeting PAMA Requirements for
Measures Related to Conditions Treated
with Oral-Only Drugs in the ESRD QIP
D. Sub-Regulatory Measure Maintenance in
the ESRD QIP
E. Proposed Requirements for the PY 2017
ESRD QIP
1. Proposal to Modify the Small Facility
Adjuster Calculation for All Clinical
Measures for the PY 2017 ESRD QIP and
Future Payment Years
2. Proposal to Reinstate Qualifying Patient
Attestations for the ICH CAHPS Clinical
Measure
F. Proposed Requirements for the PY 2018
ESRD QIP
1. Estimated Performance Standards,
Achievement Thresholds, and
Benchmarks for the Clinical Measures
Finalized for the PY 2018 ESRD QIP
2. Proposed Modification to Scoring
Facility Performance on the Pain
Assessment and Follow-Up Reporting
Measure
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3. Proposed Payment Reductions for the PY
2018 ESRD QIP
4. Data Validation
G. Proposed Requirements for the PY 2019
ESRD QIP
1. Proposed Replacement of the Four
Measures Currently in the Dialysis
Adequacy Clinical Measure Topic
Beginning with the PY 2019 Program
Year
2. Proposed Measures for the PY 2019
ESRD QIP
a. PY 2018 Measures Continuing for PY
2019 and Future Payment Years
b. Proposed New Dialysis Adequacy
Clinical Measure Beginning with the PY
2019 ESRD QIP
c. Proposed New Reporting Measures
Beginning with the PY 2019 ESRD QIP
i. Proposed Ultrafiltration Rate Reporting
Measure
ii. Proposed Full-Season Influenza
Vaccination Reporting Measure
3. Proposed Performance Period for the PY
2019 ESRD QIP
4. Proposed Performance Standards,
Achievement Thresholds, and
Benchmarks for the PY 2019 ESRD QIP
a. Proposed Performance Standards,
Achievement Thresholds, and
Benchmarks for the Clinical Measures in
the PY 2019 ESRD QIP
b. Estimated Performance Standards,
Achievement Thresholds, and
Benchmarks for the Clinical Measures
Proposed for the PY 2019 ESRD QIP
c. Proposed Performance Standards for the
PY 2019 Reporting Measures
5. Proposal for Scoring the PY 2019 ESRD
QIP Measures
a. Scoring Facility Performance on Clinical
Measures Based on Achievement
b. Scoring Facility Performance on Clinical
Measures Based on Improvement
c. Scoring the ICH CAHPS Clinical
Measure
d. Proposal for Calculating Facility
Performance on Reporting Measures
6. Weighting the Clinical Measure Domain
and Total Performance Score
i. Proposal for Weighting the Clinical
Measure Domain for PY 2019
ii. Weighting the Total Performance Score
7. Proposed Minimum Data for Scoring
Measures for the PY 2019 ESRD QIP
8. Proposed Payment Reductions for the PY
2019 ESRD QIP
H. Future Achievement Threshold Policy
Under Consideration
I. Monitoring Access to Dialysis Facilities
IV. Advancing Health Information Exchange
V. Collection of Information Requirements
VI. Response to Comments
VII. Economic Analyses
A. Regulatory Impact Analysis
1. Introduction
2. Statement of Need
3. Overall Impact
B. Detailed Economic Analysis
1. CY 2016 End-Stage Renal Disease
Prospective Payment System
a. Effects on ESRD Facilities
b. Effects on Other Providers
c. Effects on the Medicare Program
d. Effects on Medicare Beneficiaries
e. Alternatives Considered
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1. CY 2016 End-Stage Renal Disease
2. CY End-Stage Renal Disease Quality
Incentive Program
C. Accounting Statement
VIII. Regulatory Flexibility Act Analysis
IX. Unfunded Mandates Reform Act Analysis
X. Federalism Analysis
XI. Congressional Review Act
XII. Files Available to the Public via the
Internet
Regulations Text
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Acronyms
Because of the many terms to which
we refer by acronym in this proposed
rule, we are listing the acronyms used
and their corresponding meanings in
alphabetical order below:
ABLE The Achieving a Better Life
Experience Act of 2014
AHRQ Agency for Healthcare Research and
Quality
AMCC Automated Multi-Channel
Chemistry
ANOVA Analysis of Variance
ARM Adjusted Ranking Metric
ASP Average Sales Price
ATRA The American Taxpayer Relief Act of
2012
BEA Bureau of Economic Analysis
BLS Bureau of Labor Statistics
BMI Body Mass Index
BSA Body Surface Area
BSI Bloodstream Infection
CB Consolidated Billing
CBSA Core based statistical area
CCN CMS Certification Number
CDC Centers for Disease Control and
Prevention
CKD Chronic Kidney Disease
CLABSI Central Line Access Bloodstream
Infections
CFR Code of Federal Regulations
CIP Core Indicators Project
CMS Centers for Medicare & Medicaid
Services
CPM Clinical Performance Measure
CPT Current Procedural Terminology
CROWNWeb Consolidated Renal
Operations in a Web-Enabled Network
CY Calendar Year
DFC Dialysis Facility Compare
DFR Dialysis Facility Report
ESA Erythropoiesis stimulating agent
ESRD End-Stage Renal Disease
ESRDB End-Stage Renal Disease bundled
ESRD PPS End-Stage Renal Disease
Prospective Payment System
ESRD QIP End-Stage Renal Disease Quality
Incentive Program
FDA Food and Drug Administration
HCP Healthcare Personnel
HD Hemodialysis
HHD Home Hemodialysis
HAIs Healthcare-Acquired Infections
HCPCS Healthcare Common Procedure
Coding System
HCFA Health Care Financing
Administration
HHS Department of Health and Human
Services
ICD International Classification of Diseases
ICD–9–CM International Classification of
Disease, 9th Revision, Clinical
Modification
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ICD–10–CM International Classification of
Disease, 10th Revision, Clinical
Modification
ICH CAHPS In-Center Hemodialysis
Consumer Assessment of Healthcare
Providers and Systems
IGI IHS Global Insight
IIC Inflation-indexed charge
IPPS Inpatient Prospective Payment System
IUR Inter-unit reliability
KDIGO Kidney Disease: Improving Global
Outcomes
KDOQI Kidney Disease Outcome Quality
Initiative
Kt/V A measure of dialysis adequacy where
K is dialyzer clearance, t is dialysis time,
and V is total body water volume
LDO Large Dialysis Organization
MAC Medicare Administrative Contractor
MAP Medicare Allowable Payment
MCP Monthly Capitation Payment
MIPPA Medicare Improvements for Patients
and Providers Act of 2008 (Pub. L. 110–
275)
MMA Medicare Prescription Drug,
Improvement and Modernization Act of
2003
MMEA Medicare and Medicaid Extenders
Act of 2010 Pub. L. 111–309
MFP Multifactor Productivity
NHSN National Healthcare Safety Network
NQF National Quality Forum
NQS National Quality Strategy
MFP Multifactor Productivity
MIPPA Medicare Improvements for Patients
and Providers Act of 2008
MLR Minimum Lifetime Requirement
MSA Metropolitan statistical areas
NAMES National Association of Medical
Equipment Suppliers
NHSN National Healthcare Safety Network
NQF National Quality Forum
NQS National Quality Strategy
OBRA Omnibus Budget Reconciliation Act
OMB Office of Management and Budget
PAMA Protecting Access to Medicare Act of
2014
PC Product category
PD Peritoneal Dialysis
PEN Parenteral and Enteral nutrition
PFS Physician Fee Schedule
PPI Producer Price Index
PPS Prospective Payment System
PSR Performance Score Report
PY Payment Year
QIP Quality Incentive Program
RCE Reasonable Compensation Equivalent
REMIS Renal Management Information
System
RFA Regulatory Flexibility Act
SBA Small Business Administration
SFA Small Facility Adjuster
SIMS Standard Information Management
System
SRR Standardized Readmission Ratio
SSA Social Security Administration
STrR Standardized Transfusion Ratio
The Act Social Security Act
The Affordable Care Act The Patient
Protection and Affordable Care Act
The Secretary Secretary of the Department
of Health and Human Services
TPS Total Performance Score
URR Urea reduction ratio
VAT Vascular Access Type
VBP Value Based Purchasing
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I. Executive Summary
A. Purpose
1. End-Stage Renal Disease (ESRD)
Prospective Payment System (PPS)
On January 1, 2011, we implemented
the ESRD PPS, a case-mix adjusted
bundled prospective payment system
for renal dialysis services furnished by
ESRD facilities. This rule proposes to
update and make revisions to the EndStage Renal Disease (ESRD) prospective
payment system (PPS) for calendar year
(CY) 2016. Section 1881(b)(14) of the
Social Security Act (the Act), as added
by section 153(b) of the Medicare
Improvements for Patients and
Providers Act of 2008 (MIPPA) (Pub. L.
110–275), and section 1881(b)(14)(F) of
the Act, as added by section 153(b) of
MIPPA and amended by section 3401(h)
of the Affordable Care Act Public Law
111–148), established that beginning CY
2012, and each subsequent year, the
Secretary shall annually increase
payment amounts by an ESRD market
basket increase factor, reduced by the
productivity adjustment described in
section 1886(b)(3)(B)(xi)(II) of the Act.
Section 632 of the American Taxpayer
Relief Act of 2012 (ATRA) (Pub. L No.
112–240) included several provisions
that apply to the ESRD PPS. Section
632(a) of ATRA added section
1881(b)(14)(I) to the Act, which required
the Secretary of the Department of
Health and Human Services (the
Secretary), by comparing per patient
utilization data from 2007 with such
data from 2011, to reduce the single
payment amount to reflect the
Secretary’s utilization of ESRD-related
drugs and biologicals. We finalized the
amount of the drug utilization
adjustment pursuant to this section in
the CY 2014 ESRD PPS final rule with
a 3- to 4-year transition (78 FR 72161
through 72170). Section 632(b) of ATRA
prohibited the Secretary from paying for
oral-only ESRD-related drugs and
biologicals under the ESRD PPS before
January 1, 2016. Section 632(c) of ATRA
requires the Secretary, by no later than
January 1, 2016, to analyze the case mix
payment adjustments under section
1881(b)(14)(D)(i) of the Act and make
appropriate revisions to those
adjustments.
On April 1, 2014, the Congress
enacted the Protecting Access to
Medicare Act of 2014 (PAMA) (Pub. L.
113–93). Section 217 of PAMA includes
several provisions that apply to the
ESRD PPS. Specifically, sections
217(b)(1) and (2) of PAMA amend
sections 1881(b)(14)(F) and (I) of the
Act. We interpreted the amendments to
sections 1881(b)(14)(F) and (I) as
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replacing the drug utilization
adjustment that was finalized in the CY
2014 ESRD PPS final rule with specific
provisions that dictate the market basket
update for CY 2015 (0.0 percent) and
how it will be reduced in CYs 2016
through 2018. Section 217(a)(1) of
PAMA amended section 632(b)(1) of
ATRA to provide that the Secretary may
not pay for oral-only drugs and
biologicals used for the treatment of
ESRD under the ESRD PPS prior to
January 1, 2024. Section 217(c) of
PAMA provides that, as part of the CY
2016 ESRD PPS rulemaking, the
Secretary shall establish a process for (1)
determining when a product is no
longer an oral-only drug; and (2)
including new injectable and
intravenous products into the ESRD PPS
bundled payment.
On December 19, 2014, the President
signed the Stephen Beck, Jr., Achieving
a Better Life Experience Act of 2014
(ABLE) (Pub. L. 113–295). Section 204
of ABLE amended section 632(b)(1) of
ATRA, as amended by section 217(a)(1)
of PAMA, to provide that payment for
oral-only renal dialysis services cannot
be made under the ESRD PPS bundled
payment prior to January 1, 2025.
2. End-Stage Renal Disease (ESRD)
Quality Incentive Program (QIP)
This rule also proposes to set forth
requirements for the ESRD QIP,
including for payment years (PYs) 2017,
2018, and 2019. The program is
authorized under section 1881(h) of the
Social Security Act (the Act). The ESRD
QIP is the most recent step in fostering
improved patient outcomes by
establishing incentives for dialysis
facilities to meet or exceed performance
standards established by CMS.
B. Summary of the Major Provisions
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1. ESRD PPS
• ESRD PPS refinement: In
accordance with section 632(c) of
ATRA, we analyzed the case mix
payment adjustments under the ESRD
PPS using more recent data. We are
proposing to revise the adjustments by
changing the adjustment payment
amounts based on our updated
regression analysis using CYs 2012 and
2013 ESRD claims and cost report data
and proposing to remove two
comorbidity payment adjustments
(bacterial pneumonia and monoclonal
gammopathy). Because we conducted an
updated regression analysis to enable us
to analyze and revise the case-mix
payment adjustments, we are also
proposing revisions to the other ESRD
PPS payment adjustments and a new
adjustment based on that regression
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analysis. In particular, we are proposing
new patient and facility-level
adjustment factors. We are also
proposing to add an adjustment for rural
ESRD facilities. Finally, we are
proposing to revise the geographic
proximity eligibility criterion for the
low-volume payment adjustment
(LVPA) and to remove grandfathering
from the criteria for the adjustment.
• Drug designation process: In
accordance with section 217(c) of
PAMA, we are proposing a drug
designation process for determining
when: (1) a product would no longer be
considered an oral-only drug and (2)
including new injectable and
intravenous renal dialysis service drugs
and biologicals in the bundled payment
under the ESRD PPS.
• Update to the ESRD PPS base rate
for CY 2016: The proposed CY 2016
ESRD PPS base rate is $230.20. This
amount reflects a reduced market basket
increase as required by section
1881(b)(14)(F)(i)(I) (0.15 percent),
application of the wage index budgetneutrality adjustment factor (1.000332),
and a refinement budget-neutrality
adjustment factor (0.959703), so that
total projected PPS payments in CY
2016 are equal to what the payments
would have been in CY 2016 had we not
implemented the refinement. The
proposed CY 2016 ESRD PPS base rate
is $230.20 ($239.43 × 1.0015 × 1.000332
x 0.959703 = $230.20).
• Annual update to the wage index
and wage index floor: We adjust wage
indices on an annual basis using the
most current hospital wage data and the
latest core-based statistical area (CBSA)
delineations to account for differing
wage levels in areas in which ESRD
facilities are located. For CY 2016, we
are not proposing any changes to the
application of the wage index floor and
we propose to continue to apply the
current wage index floor (0.400) to areas
with wage index values below the floor.
• Update to the outlier policy:
Consistent with our proposal to
annually update the outlier policy using
the most current data, we are proposing
to update the outlier services fixed
dollar loss amounts for adult and
pediatric patients and Medicare
Allowable Payments (MAPs) for adult
patients for CY 2016 using 2014 claims
data. Based on the use of more current
data, the fixed-dollar loss amount for
pediatric beneficiaries would decrease
from $54.35 to $49.99 and the MAP
amount would decrease from $43.57 to
$37.82, as compared to CY 2015 values.
For adult beneficiaries, the fixed-dollar
loss amount would decrease from
$86.19 to $85.66 and the MAP amount
would decrease from $51.29 to $48.15.
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The 1 percent target for outlier
payments was not achieved in CY 2014.
We believe using CY 2014 claims data
to update the outlier MAP and fixed
dollar loss amounts for CY 2016 will
increase payments for ESRD
beneficiaries requiring higher resource
utilization in accordance with a 1
percent outlier percentage.
2. ESRD QIP
This rule proposes to set forth
requirements for the ESRD QIP,
including for payment years (PYs) 2017,
2018 and 2019.
• PY 2019 Measure Set: For PY 2019
and future payment years, we are
proposing to remove four clinical
measures—(1) Hemodialysis Adequacy:
Minimum delivered hemodialysis dose;
(2) Peritoneal Dialysis Adequacy:
Delivered dose above minimum; (3)
Pediatric Hemodialysis Adequacy:
minimum spKt/V; and (4) Pediatric
Peritoneal Dialysis Adequacy—on the
grounds that a more broadly applicable
measure for the topic has become
available. We are proposing to replace
these measures with a single
comprehensive Dialysis Adequacy
clinical measure. Additionally, we are
proposing to adopt two new reporting
measures: (1) The Ultrafiltration Rate
reporting measure and (2) the FullSeason Influenza Vaccination reporting
measure.
• Reinstating the In-Center
Hemodialysis Consumer Assessment of
Healthcare Providers (ICH CAHPS)
Attestation: Beginning with PY 2017, we
are proposing to reinstate the ICH
CAHPS attestation in Consolidated
Renal Operations in a Web-Enabled
Network (CROWNWeb) previously
adopted in the CY 2014 ESRD PPS final
rule (78 FR 72220 through 72222) using
the eligibility criteria finalized in the CY
2015 ESRD PPS final rule (79 FR 66169).
This would allow facilities to attest in
CROWNWeb that they did not treat
enough eligible patients during the
eligibility period to receive a score on
the ICH CAHPS measure and thereby
avoid receiving a score for this measure.
• Revising the Small Facility
Adjuster: Beginning with the PY 2017
ESRD QIP, we are proposing to revise
the Small Facility Adjuster (SFA). We
have developed an equation for
determining the SFA that does not rely
upon a pooled within-facility standard
error, but nonetheless preserves the
intent of the adjuster to include as many
facilities in the ESRD QIP as possible
while ensuring that the measure scores
are reliable.
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C. Summary of Costs and Benefits
In section VII of this proposed rule,
we set forth a detailed analysis of the
impacts that the proposed changes
would have on affected entities and
beneficiaries. The impacts include the
following:
1. Impacts of the Proposed ESRD PPS
The impact chart in section VII.B.1.a
of this proposed rule displays the
estimated change in payments to ESRD
facilities in CY 2016 compared to
estimated payments in CY 2015. The
overall impact of the CY 2016 changes
is projected to be a 0.3 percent increase
in payments. Hospital-based ESRD
facilities have an estimated 0.5 percent
increase in payments compared with
freestanding facilities with an estimated
0.2 percent increase.
We estimate that the aggregate ESRD
PPS expenditures would increase by
approximately $20 million from CY
2015 to CY 2016. This reflects a $10
million increase from the payment rate
update and a $10 million increase due
to the updates to the outlier threshold
amounts. As a result of the projected 0.3
percent overall payment increase, we
estimate that there will be an increase
in beneficiary co-insurance payments of
0.3 percent in CY 2016, which translates
to approximately $10 million.
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2. Impacts of the Proposed ESRD QIP
The overall economic impact of the
ESRD QIP is an estimated $11.8 million
in PY 2018 and $14.6 million in PY
2019. In PY 2018, we expect the costs
associated with the collection of
information requirements for the data
validation studies to be approximately
$21 thousand for all ESRD facilities,
totaling an overall impact of
approximately $11.8 million as a result
of the PY 2018 ESRD QIP.1 In PY 2019,
we expect the total payment reductions
to be approximately $3.8 million, and
the costs associated with the collection
of information requirements for the
proposed Ultrafiltration Rate and FullSeason Influenza Vaccination reporting
measures to be approximately $10.7
million for all ESRD facilities.
The ESRD QIP will continue to
incentivize facilities to provide highquality care to beneficiaries.
1 We note that the aggregate impact of the PY
2018 ESRD QIP was included in the CY 2015 ESRD
PPS final rule (79 FR 66256 through 66258). The
previously finalized aggregate impact of $11.8
million reflects the PY 2018 estimated payment
reductions and the collection of information
requirements for the NHSN Healthcare Personnel
Influenza Vaccination reporting measure.
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II. Calendar Year (CY) 2016 End-Stage
Renal Disease (ESRD) Prospective
Payment System (PPS)
A. Background
1. Statutory Background
On January 1, 2011, we implemented
the End-stage renal disease (ESRD)
Prospective Payment System (PPS), a
case-mix adjusted bundled PPS for renal
dialysis services furnished by ESRD)
facilities based on the requirements of
section 1881(b)(14) of the Social
Security Act (the Act), as added by
section 153(b) of the Medicare
Improvements for Patients and
Providers Act of 2008 (MIPPA) (Pub. L.
110–275). Section 1881(b)(14)(F) of the
Act, as added by section 153(b) of
MIPPA and amended by section 3401(h)
of the Patient Protection and Affordable
Care Act (the Affordable Care Act) (Pub.
L. 111–148), established that beginning
calendar year (CY) 2012, and each
subsequent year, the Secretary of the
Department of Health and Human
Services (the Secretary) shall annually
increase payment amounts by an ESRD
market basket increase factor, reduced
by the productivity adjustment
described in section 1886(b)(3)(B)(xi)(II)
of the Act.
Section 632 of the American Taxpayer
Relief Act of 2012 (ATRA) (Pub. L. 112–
240) included several provisions that
apply to the ESRD PPS. Section 632(a)
of ATRA added section 1881(b)(14)(I) to
the Act, which required the Secretary,
by comparing per patient utilization
data from 2007 with such data from
2012, to reduce the single payment for
renal dialysis services furnished on or
after January 1, 2014 to reflect the
Secretary’s estimate of the change in the
utilization of ESRD-related drugs and
biologicals (excluding oral-only ESRDrelated drugs). Consistent with this
requirement, in the CY 2014 ESRD PPS
final rule we finalized $29.93 as the
total drug utilization reduction and
finalized a policy to implement the
amount over a 3- to 4-year transition
period (78 FR 72161 through 72170).
Section 632(b) of ATRA prohibited
the Secretary from paying for oral-only
ESRD-related drugs and biologicals
under the ESRD PPS prior to January 1,
2016. And section 632(c) of ATRA
requires the Secretary, by no later than
January 1, 2016, to analyze the case-mix
payment adjustments under section
1881(b)(14)(D)(i) of the Act and make
appropriate revisions to those
adjustments.
On April 1, 2014, the Congress
enacted the Protecting Access to
Medicare Act of 2014 (PAMA) (Pub. L.
113–93). Section 217 of PAMA included
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several provisions that apply to the
ESRD PPS. Specifically, sections
217(b)(1) and (2) of PAMA amended
sections 1881(b)(14)(F) and (I) of the Act
and replaced the drug utilization
adjustment that was finalized in the CY
2014 ESRD PPS final rule (78 FR 72161
through 72170) with specific provisions
that dictated the market basket update
for CY 2015 (0.0 percent) and how the
market basket should be reduced in CYs
2016 through CY 2018.
Section 217(a)(1) of PAMA amended
section 632(b)(1) of ATRA to provide
that the Secretary may not pay for oralonly ESRD-related drugs under the
ESRD PPS prior to January 1, 2024.
Section 217(a)(2) further amended
section 632(b)(1) of ATRA by requiring
that in establishing payment for oralonly drugs under the ESRD PPS, we
must use data from the most recent year
available. Section 217(c) of PAMA
provided that as part of the CY 2016
ESRD PPS rulemaking, the Secretary
shall establish a process for (1)
determining when a product is no
longer an oral-only drug; and (2)
including new injectable and
intravenous products into the ESRD PPS
bundled payment.
Finally, section 212 of PAMA
provided that the Secretary may not
adopt the International Classification of
Disease 10th Revision, Clinical
Modification (ICD–10–CM) code sets
prior to October 1, 2015. HHS published
a final rule on August 4, 2014 that
adopted October 1, 2015 as the new
ICD–10–CM compliance date, and
required the use of International
Classification of Disease, 9th Revision,
Clinical Modification (ICD–9–CM)
through September 30, 2015 (79 FR
45128).
On December 19, 2014, the President
signed the Stephen Beck, Jr., Achieving
a Better Life Experience Act of 2014
(ABLE) (Pub. L. 113–295). Section 204
of ABLE amended section 632(b)(1) of
ATRA, as amended by section 217(a)(1)
of PAMA, to provide that payment for
oral-only renal dialysis services cannot
be made under the ESRD PPS bundled
payment prior to January 1, 2025.
2. System for Payment of Renal Dialysis
Services
Under the ESRD PPS, a single, pertreatment payment is made to an ESRD
facility for all of the renal dialysis
services defined in section
1881(b)(14)(B) of the Act and furnished
to individuals for the treatment of ESRD
in the ESRD facility or in a patient’s
home. We have codified our definitions
of renal dialysis services at 42 CFR
413.171 and our other payment policies
are included in regulations at 42 CFR
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subpart H. The ESRD PPS base rate is
adjusted for characteristics of both adult
and pediatric patients and account for
patient case-mix variability. The adult
case-mix adjusters include five
categories of age, body surface area
(BSA), low body mass index (BMI),
onset of dialysis, six co-morbidity
categories, and pediatric patient-level
adjusters consisting of two age
categories and dialysis modalities (42
CFR 413.235(a) and(b)).
In addition, the ESRD PPS provides
for two facility-level adjustments. The
first payment adjustment accounts for
ESRD facilities furnishing a low volume
of dialysis treatments (42 CFR 413.232).
The second adjustment reflects
differences in area wage levels
developed from Core Based Statistical
Areas (CBSAs) (42 CFR 413.231).
The ESRD PPS allows for a training
add-on payment adjustment for home
dialysis modalities (42 CFR 413.235(c).
Lastly, the ESRD PPS provides
additional payment for high cost
outliers due to unusual variations in the
type or amount of medically necessary
care when applicable (42 CFR 413.237).
3. Updates to the ESRD PPS
Updates and policy changes to the
ESRD PPS are proposed and finalized
annually in the Federal Register. The
CY 2011 ESRD PPS final rule was
published on August 12, 2010 in the
Federal Register (75 FR 49030 through
49214). That rule implemented the
ESRD PPS beginning on January 1, 2011
in accordance with section 1881(b)(14)
of the Act, as added by section 153(b)
of MIPPA, over a 4-year transition
period. Since the implementation of the
ESRD PPS we have published annual
rules to make routine updates, policy
changes, and clarifications.
On November 6, 2014, we published
in the Federal Register a final rule (79
FR 66120 through 66265) titled, ‘‘EndStage Renal Disease Prospective
Payment System, Quality Incentive
Program, and Durable Medical
Equipment, Prosthetics, Orthotics, and
Supplies’’ (hereinafter referred to as the
CY 2015 ESRD PPS final rule). In that
final rule, we made a number of routine
updates to the ESRD PPS for CY 2015,
completed a rebasing and revision of the
ESRD bundled market basket,
implemented a 2-year transition for the
revised labor-related share and a 2-year
transition of the new Core-Based
Statistical Area (CBSA) delineations,
and made policy changes and
clarifications. Specifically, in that rule,
we finalized the following:
• Update to the ESRD PPS base rate
for CY 2015. An ESRD PPS base rate of
$239.43 per treatment for renal dialysis
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services. This amount reflected a 0.0
percent update to the payment rate as
required by section 1881(b)(14)(F)(i) of
the Act, as amended by section 217(b)(2)
of PAMA, and the application of the
wage index budget-neutrality
adjustment factor of 1.001729.
• Rebasing and revision of the endstage renal disease bundled market
basket. For CY 2015, we rebased and
revised the end-stage renal disease
bundled (ESRDB) market basket, which
entailed an update to the base year of
the ESRDB market basket from 2008 to
2012. The base year update resulted in
a shift in relative costs from prescription
drugs to compensation. Additionally,
we changed the price measure for
pharmaceuticals from a more general
index Producer Price Index (PPI)
Pharmaceuticals for Human Use,
Prescription) to a blend of two indices,
(78 percent PPI Biological Products,
Human Use and 22 percent PPI Vitamin,
Nutrient, and Hematinic Preparations).
The revision also refined the price
measure used for compensation costs to
better reflect the occupational mix in
the ESRD setting. As a result of the
update to the cost weights from 2008 to
2012, the labor-related share increased
by about 9 percent.
• Labor-Related Share. As a result of
the ESRDB market basket rebasing and
revision, described above, the CY 2015
labor-related share was finalized at
50.673 percent. This change to the
labor-related share had a significant
impact on payments for certain ESRD
facilities located in low wage areas.
Therefore, we implemented the laborrelated share of 50.673 with a 2-year
transition for all facilities. The laborrelated share for CY 2015 was 46.205.
• Outlier Policy. For CY 2015, we
used CY 2013 claims data to update the
outlier services’ fixed-dollar loss and
Medicare Allowable Payment (MAP)
amounts. As a result, we updated the
fixed-dollar loss amount for pediatric
patients from $54.01 to $54.35, and
increased the MAP amount from $40.49
to $43.57. For adult patients, we
updated the fixed-dollar loss amount
from $98.67 to $86.19 and increased the
MAP amount from $50.25 to $51.29.
• Wage Index. We adjusted wage
indices using the most current hospital
wage data available for the areas in
which ESRD facilities are located. For
CY 2015, we implemented the new corebased statistical area (CBSA)
delineations, as described in the
February 28, 2013 OMB Bulletin No.
13–01, for all ESRD facilities with a 2year transition (79 FR 66136 through
66142). In addition, we continued our
policy for the gradual phase-out of the
wage index floor and reduced the wage
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37813
index floor value to 0.40, as finalized in
our CY 2014 ESRD PPS final rule (78 FR
72173 through 72174).
• Timing of the Implementation of
ICD–10. Section 212 of PAMA provides
that the Secretary may not adopt ICD–
10–CM prior to October 1, 2015. HHS
published a final rule on August 4, 2014
that adopted October 1, 2015 as the new
ICD–10–CM compliance date, and
required the use of International
Classification of Disease, 9th Revision,
Clinical Modification (ICD–9–CM)
through September 30, 2015 (79 FR
45128). We finalized a policy that the
ESRD PPS will continue to use ICD–9–
CM through September 30, 2015, and
will require the use of ICD–10–CM
beginning October 1, 2015 for purposes
of reporting the co-morbidity payment
adjustments. For CY 2015, we corrected
several typographical errors and
omissions in the ICD–9–CM to ICD–10–
CM crosswalk tables that may be viewed
in the CY 2015 ESRD PPS final rule at
79 FR 66155 through 66159.
• Low-Volume Payment Adjustment.
We clarified the eligibility criteria for
the low-volume payment adjustment
(LVPA) and amended the supporting
regulations in the Code of Federal
Regulations (CFR).
• Payment for Oral-only Drugs under
the ESRD PPS. Section 217(a)(1) of
PAMA amended section 632(b)(1) of
ATRA to provide that the Secretary may
not implement the policy under section
42 CFR 413.174(f)(6) (relating to oralonly ESRD-related drugs in the ESRD
prospective payment system), prior to
January 1, 2024. Accordingly, we
amended the dates in 42 CFR
413.174(f)(6) and 42 CFR
413.237(a)(1)(iv) from January 1, 2016 to
January 1, 2024.
B. Provisions of the Proposed Rule
1. Analysis and Proposed Revision of
the Payment Adjustments under the
ESRD PPS
a. Development and Implementation of
the ESRD PPS Payment Adjustments
Section 153(b) of MIPPA amended
section 1881(b) of the Act to require the
Secretary to implement the ESRD PPS
effective January 1, 2011. Section
1881(b)(14)(D)(i) requires the ESRD PPS
to include a payment adjustment based
on case mix that may take into account
patient weight, body mass index (BMI),
comorbidities, length of time on
dialysis, age race, ethnicity, and other
appropriate factors. Section
1881(b)(14)(D)(ii) through (iv) provide
that the ESRD PPS must also include an
outlier payment adjustment and a low
volume payment adjustment, and may
include such other payment
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adjustments as the Secretary determines
appropriate.
In response to the MIPPA
amendments to section 1881(b), we
published our proposed ESRD PPS
design and implementation strategy in
the Federal Register on September 29,
2009 (74 FR 49922). We received over
1400 comments from dialysis facilities,
Medicare beneficiaries, physician
groups, and other stakeholders in
response to our proposals. In
consideration of these comments we
finalized the case mix and facility-level
adjustments for the ESRD PPS in our CY
2011 ESRD PPS final rule (75 FR 49030).
For a complete discussion of public
comments and our finalized payment
policies for the ESRD PPS, we refer the
reader to the CY 2011 ESRD PPS final
rule (75 FR 49030 through 49214).
b. Regression Model Used To Develop
Payment Adjustment Factors
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i. Regression Analysis
In the CY 2011 ESRD PPS final rule
(75 FR 49083), we discuss the twoequation methodology used to develop
the adjustment factors that would be
applied to the base rate to calculate each
patient’s case-mix adjusted payment per
treatment. The two-equation approach
used to develop the ESRD PPS included
a facility-based regression model for
services historically paid for under the
composite rate as indicated in ESRD
facility cost reports, and a patientmonth-level regression model for
services historically billed separately.
The models used for the 2011 final rule
were based on 3 years of data (CY 2006
through 2008).
Section 632(c) of the American
Taxpayer Relief Act of 2012 (ATRA)
(Pub. L. 11–240) requires the Secretary,
by not later than January 1, 2016, to
conduct an analysis of the case mix
payment adjustments being used under
section 1881(b)(14)(D)(i) of the Act and
to make appropriate revisions to such
case mix payment adjustments. While
section 632(c) of ATRA only requires us
to analyze and make appropriate
revisions to the case-mix payment
adjustments, we believe that because we
are performing a regression analysis that
updates all of the payment multipliers
with updated data we should also
update the low-volume payment
adjustment. Also, as discussed in
section II.B.1.d.iii, we analyzed rural
areas as a payment variable in our
regression analysis and are proposing to
implement a new adjustment for this
facility characteristic.
For purposes of analyzing and
proposing revisions to the payment
adjusters included in this proposed rule,
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we have updated the two-equation
methodology using CY 2012 and 2013
Medicare cost report and claims data.
These are the latest available cost
reports and claims given the time
necessary for the preparation of this
proposed rule. The decision to use those
2 years for this proposed rule is because
2011 was the first year under the new
bundled payment system. In addition,
the FDA ‘‘black box’’ warning for
Erythropoiesis-Stimulating Agents
(ESA) was issued during 2011. These
two factors may have been associated
with changing practice patterns since
2011. Updating the regression analysis
using the most recent claims and cost
report data allows the proposed casemix adjustment model to reflect practice
patterns that have prevailed under the
incentives of the expanded bundled
payment system.
In this rule we propose to reduce the
number of comorbidities to which
payment adjusters apply and add an
adjustment for rural facilities. Our
rationale for proposing to eliminate two
of the comorbidities for which we will
make payment adjustments is discussed
in section II.B.1.c.i.4 of this proposed
rule. The measures of resource use,
specified as the dependent variables for
developing the payment model in each
of the two equations, are also explained
below.
ii. Dependent Variables
(1) Average Cost per Treatment for
Composite Rate Services
For purposes of this proposed rule,
we measured resource use, including
time on a dialysis machine for the
maintenance dialysis services included
in the current bundle of composite rate
services, using only ESRD facility data
obtained from the Medicare cost reports
for independent ESRD facilities and
hospital-based ESRD facilities. The
average composite rate cost per
treatment for each ESRD facility was
calculated by dividing the total reported
allowable costs for composite rate
services for cost reporting periods
ending in CYs 2012 and 2013
(Worksheet B, column 13A, lines 8–17
on CMS–265–11; Worksheet I–2,
column 11, lines 2–11 on CMS–2552–
10) by the total number of dialysis
treatments (Worksheet C, column 1,
lines 8–17 on CMS 265–11; Worksheet
I–4, column 1, lines 1–10 on CMS–
2552–10). CAPD and CCPD patient
weeks were multiplied by 3 to obtain
the number of HD-equivalent
treatments. We note that our
computation of the total composite rate
costs included in this per treatment
calculation includes costs incurred for
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training expenses, as well as all costs
incurred by ESRD facilities for home
dialysis patients.
The resulting cost per treatment was
adjusted to eliminate the effects of
varying wage levels among the areas in
which ESRD facilities are located using
the ESRD PPS CY 2015 wage indices
and the new CBSA delineations which
were discussed in the CY 2015 ESRD
PPS final rule, as well as the estimated
labor-related share of costs from the
composite rate market basket. This was
done so that the relationship of the
studied variables on dialysis facility
costs would not be confounded by
differences in wage levels.
The proportion of composite rate
costs determined to be labor-related
(53.711 percent of each ESRD facility’s
composite rate cost per treatment) was
divided by the ESRD wage index to
control for area wage differences. No
floor or ceiling was imposed on the
wage index values used to deflate the
composite rate costs per treatment in
order to give the full effect to the
removal of actual differences in area
wage levels from the data. We applied
a natural log transformation to the wagedeflated composite rate costs per
treatment to better satisfy the statistical
assumptions of the regression model,
and to be consistent with existing
methods of adjusting for case-mix, in
which a multiplicative payment adjuster
is applied for each case-mix variable.
As with other health care cost data,
the cost distribution for resource/
dialyzing composite rate services was
skewed (due to a relatively small
fraction of observations accounting for a
disproportionate fraction of costs). Cost
per treatment values which were
determined to be unusually high or low
in accordance with predetermined
statistical criteria were excluded from
further analysis. (For an explanation of
the statistical outer fence methodology
used to identify unusually high and low
composite rate costs per treatment, see
pages 45 through 48 of the Secretary’s
February 2008 Report to Congress
(RTC), A Design for a Bundled End
Stage Renal Disease Prospective
Payment System. This document is
available on the CMS Web site at the
following link: https://www.cms.gov/
Medicare/End-Stage-Renal-Disease/
ESRDGeneralInformation/downloads/
ESRDReportToCongress.pdf.
(2) Average Medicare Allowable
Payment (MAP) for Previously
Separately Billable Services
For purposes of this proposed rule,
resource use for separately billable
items and services used for the
treatment of ESRD was measured at the
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patient-level using the utilization data
on the Medicare claims by quarter for
CYs 2012 and 2013 and average sales
prices plus 6 percent of the drug or
biological, if applicable, for each
quarter. This time period corresponded
to the most recent 2 years of Medicare
cost report data that were available to
measure resource use for composite rate
services, such as time dialyzing.
Measures of resource use included the
following separately billable services:
injectable drugs billed by ESRD
facilities, including ESAs; laboratory
services provided to ESRD patients,
billed by freestanding laboratory
suppliers and ordered by physicians
who receive monthly capitation
payments for treating ESRD patients, or
billed by ESRD facilities; and other
services billed by ESRD facilities.
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iii. Independent Variables
Two types of independent or
predictor variables were included in the
composite rate and separately billable
regression equations—case-mix
payment variables and control variables.
Case-mix payment variables were
included as factors that may be used to
adjust payments in either the composite
rate or in the separately billable
equation. Control variables, which
generally represent characteristics of
ESRD facilities such as size, type of
ownership, facility type (whether
hospital-based or independent), were
specifically included to obtain more
accurate estimates of the payment
impact of the potential payment
variables in each equation. In the
absence of using control variables in
each regression equation, the
relationship between the payment
variables and measures of resource use
may be biased because of correlations
between facility and patient
characteristics.
iv. Control Variables
Several control variables were
included in the regression analysis.
They were—(1) renal dialysis facility
type (hospital-based versus independent
facility); (2) facility size (4,000 dialysis
treatments or fewer, but not eligible for
the low volume payment adjustment,
4,000 to 4,999, 5,000 to 9999, and
10,000 or more dialysis treatments); (3)
type of ownership (independent, large
dialysis organization, regional chain,
unknown); (4) calendar year (2012 and
2013); and (5) home dialysis training
treatments, in which the proportion of
training treatments furnished by each
dialysis facility is specified. The use of
training treatments as a control was
done in order to remove any
confounding cost effects of training on
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other independent variables included in
the payment model, particularly the
onset of dialysis within 4-months
variable.
c. Analysis and Revision of the Payment
Adjustments
As required by section 632(c) of
ATRA, we have analyzed and are
proposing revisions to the following
case mix payment adjustments. As
explained above, because we are
conducting a regression analysis of all of
the costs associated with furnishing
renal dialysis services, we are also
proposing revisions to the facility-level
adjustment for low-volume facilities.
i. Adult Case-Mix Payment Adjustments
(1) Patient Age
Section 1881(b)(14)(D)(i) of the Act
requires that the ESRD PPS include a
payment adjustment based on case mix
that may take into account a patient’s
age. In the CY 2011 ESRD PPS final rule
(75 FR 49088), we noted that the basic
case-mix adjusted composite payment
system in effect from CYs 2005 through
2010 included payment adjustments for
age based on five age groups. Our
analysis for the CY 2011 ESRD PPS final
rule demonstrated a significant
relationship between composite rate and
separately billable costs and patient age,
with a U-shaped relationship between
age and cost where the youngest and
oldest age groups showed the highest
costs. As a result of this analysis, we
established five age groups and
identified the payment multipliers
through regression analysis. We
established age group 60 to 69 as the
reference group (the group with the
lowest cost per treatment) and the
payment multipliers reflect the increase
in facility costs for each age group
compared to the reference age group.
We proposed and finalized payment
adjustment multipliers for five age
groups; ages 18 to 44, 45 to 59, 60 to 69,
70 to 79, and 80 and older. We also
finalized pediatric payment adjustments
for age, which are discussed in section
II.B.1.e of this proposed rule.
Commenters and stakeholders were
largely supportive of a case-mix
adjustment for age when the ESRD PPS
was implemented. We noted in our CY
2011 ESRD PPS final rule (75 FR 49088)
that several commenters stated that age
is an objective and easily collected
variable, demonstrably related to cost,
and that continuing to collect age data
would not be burdensome or require
systems changes. In addition, a few
commenters requested that CMS
consider an additional adjustment for
patient frailty and/or advanced age (75
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37815
FR 49089). In the CY 2011 ESRD PPS
final rule, we responded to these
comments by noting that we included
an age adjustment for patients 80 years
of age or older, but that advanced age
and frailty did not result in the
identification of additional age groups
for the application of case-mix
adjustments based on age. In addition,
we noted that the analysis did not
identify a separate variable for patient
frailty, as this would be very difficult to
quantify.
The analysis we conducted to
determine whether to revise the case
mix payment variable of patient age
demonstrates the same U-shaped
relationship between facility costs and
patient age as the analysis we conducted
when the ESRD PPS was implemented,
however, the reference group has
changed to age group 70 to 79, and we
note significantly higher costs for older
patients. We believe that the regression
analysis we performed on CY 2012
through 2013 Medicare cost reports and
claims has appropriately recognized
increased facility costs when caring for
patients 80 years old or older, and that
this adjustment accounts for increased
frailty in the aged. The CY 2016
proposed payment multipliers
presented below in Table 1 and in Table
4 in section II.B.1.f.i of this proposed
rule are reflective of the regression
analysis based upon CY 2012–2013
Medicare cost reports and claims data.
TABLE 1—CY 2016 PROPOSED
PAYMENT MULTIPLIERS FOR AGE
Age
18–44 ........
45–59 ........
60–69 ........
70–79 ........
80+ ............
Current payment multipliers
1.171
1.013
1.000
1.011
1.016
Proposed payment multipliers
1.257
1.068
1.070
1.000
1.109
(2) Body Surface Area (BSA) and Body
Mass Index (BMI)
Section 1881(b)(14)(D)(i) of the Act
requires that the ESRD PPS include a
payment adjustment based on case mix
that may take into account patient
weight, body mass index (BMI), and
other appropriate factors. Through the
use of claims data, we evaluated the
patient characteristics of height and
weight and established two
measurements for body size when the
ESRD PPS was implemented: body
surface area (BSA) and BMI. In our
analysis for the CY 2011 ESRD PPS final
rule, we found that the BSA of larger
patients and low BMI (<18.5 kg/m2) for
malnourished patients were
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independent variables in the regression
analysis that predicted variations in
payments for renal dialysis services and
as such we finalized two separate
payment adjustments for body size in
our CY 2011 ESRD PPS final rule (75 FR
49089 through 49090).
Commenters were supportive of BSA
and BMI payment adjustments, noting
that body size was a payment
adjustment under the composite rate
payment system, and that ESRD
facilities would be able to capture this
information on the claim form without
any additional burden. A few
commenters expressed concern
regarding pre- versus post-dialysis
weight. In response to these comments
we clarified that a patient’s weight
should be taken after the last dialysis
treatment of the month, as directed in
the Medicare Claims Processing Manual,
Pub. 100–04, Chapter 8, Section 50.3.
For this proposed rule, we analyzed
both BSA and low BMI (<18.5kg/m2)
individually as part of the regression
analysis and found that both body size
measures are strong predictors of
variation in payments for ESRD
patients.
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Body Surface Area (BSA)
Since CY 2005, Medicare payment for
renal dialysis services has included a
payment adjustment for BSA. The
current payment adjustment under the
ESRD PPS is l.020, which implies a 2.0
percent elevated cost for every 0.l m2
increase in BSA compared to the
national average BSA of ESRD patients.
The increased costs suggest that there
are longer treatment times and
additional resources for larger patients.
Including the BSA variable improved
the model’s ability to predict ESRD
facility costs compared to using BMI or
weight alone.
In the CY 2011 ESRD PPS proposed
rule (74 FR 49951), we discussed how
we adopted the DuBois and DuBois
formula to establish an ESRD patient’s
BSA because this formula was the most
widely known and accepted. That is, a
patient’s BSA equals their Weight 0.425
* Height 0.725* 0.007184, where weight
is in kilograms and height is in
centimeters. (DuBois D. and DuBois, EF.
‘‘A Formula to Estimate the
Approximate Surface Area if Height and
Weight be Known’’: Arch. Int. Med.
1916 17:863–71.) Once the patient’s
BSA is determined, the payment
methodology compares the patient’s
BSA with the national average BSA of
ESRD beneficiaries and computes the
patient-level payment adjustment using
the average cost increase for changes in
BSA (per 0.1m2).
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In developing the BSA payment
adjustment under the ESRD PPS, we
explored several options for setting the
reference values for the BSA (74 FR
49951). We examined the distributions
for both the midpoint of the BSA and
the count of dialysis patients by age,
body surface and low BMI. Based on
that analysis, in our CY 2012 ESRD PPS
final rule (76 FR 70244) we set the
reference point at a BSA of 1.87 which
is the Medicare ESRD patient national
average BSA. Setting the reference point
at the average BSA reflects the
relationship of a specific patient’s BSA
to the average BSA of all ESRD patients.
As a result, some payment adjusters
would be greater than 1.0 and some
would be less than 1.0. In this way, we
were able to minimize the magnitude of
the budget neutrality offset to the ESRD
PPS base rate. (For more information on
this discussion, we refer readers to the
CY 2005 Physician Fee Schedule final
rule (69 FR 66239, 66328 through
66329) and the CY 2011 ESRD PPS
proposed rule (74 FR 49951)). The BSA
factor is defined as an exponent equal
to the value of the patient’s BSA minus
the reference BSA of 1.87 divided by
0.1.
In the CY 2012 ESRD PPS final rule
(76 FR 70245) and the CY 2013 ESRD
PPS proposed rule (77 FR 40957), we
stated our intent to review claims data
from CY 2012 and every 5 years
thereafter to determine if any
adjustment to the national average BSA
of Medicare ESRD beneficiaries is
required. Although the CY 2012 claims
showed an increase in the national
average BSA, we did not implement an
update in the CY 2013 ESRD PPS rule.
Rather, in light of the requirement in
section 632(c) of ATRA that we analyze
and make appropriate revisions to the
ESRD PPS case mix adjustments for CY
2016, we decided to incorporate the
new national average BSA into the
overall refinement of our payment
adjustments that we are making as a
result of that requirement.
In accordance with our commitment
to update the Medicare national average
BSA and because of the statutory
requirement to analyze and make
appropriate revisions to the case-mix
payment adjustments for CY 2016, we
are proposing to update the BSA
Medicare national average from 1.87m2
to 1.90 m2 for CY 2016 to reflect the new
Medicare ESRD national average BSA.
The average is based on an analysis of
the patient height and weight
information reported on ESRD facility
claims in CY 2013. We note that this
average is an increase of 1.6 percent
over the Medicare ESRD national
average BSA of 1.87m2 used to compute
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the payment adjustment when the ESRD
PPS was implemented in CY 2011.
Based upon the regression analysis for
CY 2016 using the DuBois and DuBois
formula for computing a patient’s BSA
and the updated Medicare national
average BSA of 1.90m2, we propose that
the BSA payment adjustment would be
1.032 and the BSA payment adjustment
would be based on the following
formula:
1.032((Patient’s BSA- 1.90)/0.1).
Low-Body Mass Index (BMI)
The basic case-mix adjusted
composite payment system in effect
from CYs 2005 through 2010 and the
current ESRD PPS include a payment
adjustment for low BMI. In order to be
consistent with other Department of
Health and Human Services
components (that is, Centers for Disease
Control and Prevention and National
Institutes for Health), we defined low
BMI as less than 18.5 kg/m2. The
regression indicated that patients who
are underweight consume more
resources than other patients. The
current payment adjustment for low
BMI under the ESRD PPS is 1.025.
Based on the regression analysis
conducted for this proposed rule, we
continue to find low BMI to be a strong
predictor of cost variation among ESRD
patients. The payment adjustment
would be 1.017 as indicated in Table 4
in section II.B.1.f.i of this proposed rule,
reflective of the regression analysis
based upon CY 2012–2013 Medicare
cost report and claims data.
(3) Onset of Dialysis
Section 1881(b)(14)(D)(i) of the Act
required the ESRD PPS to include a
payment adjustment based on case-mix
that may take into account a patient’s
length of time on dialysis. For the CY
2011 ESRD PPS final rule (75 FR
499090), we analyzed the length of time
beneficiaries have been receiving
dialysis and found that patients who are
in their first 4 months of dialysis have
higher costs and noted that there was a
drop in the separately billable payment
amounts after the first 4 months of
dialysis. Based upon this analysis, we
proposed and finalized the definition of
onset of dialysis as beginning on the
first date of reported dialysis on CMS
Form 2728 through the first 4 months a
patient is receiving dialysis. We
finalized a 1.510 onset of dialysis
payment adjustment for both home and
in-facility patients (75 FR 49092). In
addition, we acknowledged that there
may be patients whose first 4 months of
dialysis occur when they are in the
coordination of benefits period and not
yet eligible for the Medicare ESRD
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benefit. We explained that in these
circumstances, no onset of dialysis
adjustment would be made (75 FR
49090).
Most commenters supported
inclusion of an onset of dialysis patientlevel adjustment and noted that the
higher costs for new patients are due to
the stabilization of the health status of
the patient and dialysis training.
Because the Medicare onset of dialysis
payment adjustment reflects the costs
associated with all of the renal dialysis
services furnished to a Medicare
beneficiary in the first 4 months of
dialysis, additional payment
adjustments are not made for
comorbidities or training during the
months in which the onset of dialysis
payment adjustment is made. We
discussed and finalized this payment
adjustment in the CY 2011 ESRD PPS
final rule (75 FR 49092 through 49094)
Based on the regression analysis
conducted for this proposed rule, we
find that the onset of dialysis continues
to be a strong predictor of cost variation
among ESRD patients. The updated
payment adjustment would be 1.327 as
indicated in Table 4 in section II.B.1.f.i
of this proposed rule.
(4) Comorbidities
Section 1881(b)(14)(D)(i) of the Act
requires that the ESRD PPS include a
payment adjustment based on case-mix
that may take into account patient
comorbidities. In our CY 2011 ESRD
PPS proposed and final rules (74 FR
49952 through 49961 and 75 FR 49094
through 49108, respectively), we
described the proposed and finalized
comorbidity payment adjustors under
the ESRD PPS. Our analysis found that
certain comorbidity categories are
predictors of variation in costs for ESRD
patients and, as such, we proposed the
following comorbidity categories as
payment adjustors: cardiac arrest;
pericarditis; alcohol or drug
dependence; positive HIV status or
AIDS; gastrointestinal tract bleeding;
cancer (excluding non-melanoma skin
cancer); septicemia/shock; bacterial
pneumonia and other pneumonias/
opportunistic infections; monoclonal
gammopathy; myelodysplastic
syndrome; hereditary hemolytic or
sickle cell anemias; and hepatitis B (74
FR 49954).
While all of the proposed comorbidity
categories demonstrated a statistically
significant relationship for additional
cost in the payment model, the various
issues and concerns raised in the public
comments regarding the proposed
categories caused us to do further
evaluations. Specifically, we created
exclusion criteria that assisted in
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deciding which categories would be
recognized for the payment adjustment.
As discussed in the CY 2011 ESRD PPS
final rule (75 FR 49095) we further
evaluated the comorbidity categories
with regard to—(1) inability to create
accurate clinical definitions; (2)
potential for adverse incentives
regarding care; and (3) potential for
ESRD facilities to directly influence the
prevalence of the comorbidity either by
altering dialysis care, diagnostic testing
patterns, or liberalizing the diagnostic
criteria. As a result of this evaluation,
we finalized 6 comorbid patient
conditions eligible for additional
payment under the ESRD PPS (75 FR
49099 through 49100): pericarditis,
bacterial pneumonia, gastrointestinal
tract bleeding with hemorrhage,
hereditary hemolytic or sickle cell
anemias, myelodysplastic syndrome,
and monoclonal gammopathy.
Many stakeholders have criticized the
comorbidity payment adjustments
available under the ESRD PPS. Through
industry public comments and
stakeholder meetings we have become
aware of the documentation burden
placed upon facilities in their effort to
obtain discharge information from
hospitals or other providers or
diagnostic information from physicians
and other practitioners necessary to
substantiate the comorbidity on the
facility claim form. Public comments
have suggested that we remove all
comorbidity payment adjustments from
the payment system and return any
allocated monies to the base rate. Other
commenters have indicated that patient
privacy laws have also limited the
ability of facilities to obtain the
diagnosis documentation necessary in
order to append the appropriate
International Classification of Diseases
code on the claim form.
Acute Comorbidity Categories
There are three acute comorbidity
categories (pericarditis, bacterial
pneumonia, and gastrointestinal tract
bleeding with hemorrhage) finalized in
the CY 2011 ESRD PPS final rule (75 FR
49100) due to predicted short term
increased facility costs when furnishing
dialysis services. Specifically, the costs
were identified with increased
utilization of ESAs and other services.
The payment adjustments are applied to
the ESRD PPS base rate for 4 months
following an appropriate diagnosis
reported on the facility monthly claim.
In the CY 2011 ESRD PPS final rule we
finalized payment variables as indicated
in Table 2 below, effective January 1,
2011.
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TABLE 2—ACUTE COMORBIDITY CATEGORIES RECOGNIZED FOR A PAYMENT ADJUSTMENT UNDER THE
ESRD PPS
Acute comorbidity category
Pericarditis ........
Bacterial Pneumonia ............
Gastrointestinal
Tract Bleeding
w/Hemorrhage
Current
payment
multiplier
Proposed
payment
multiplier
1.114
1.040
1.135
....................
1.183
1.082
Analysis of CYs 2012 and 2013 claims
data for the regression analysis
continues to demonstrate significant
facility resources when furnishing
dialysis services to ESRD patients with
these acute comorbidities. However, in
accordance with section 632(c) of ATRA
and in response to stakeholders’ public
comments and requests for the
elimination of all of the comorbid
payment adjustments, we have
compared the frequency of how often
these conditions were indicated on the
facility monthly bill type with how
often a corroborating claim in another
Medicare setting is identified in a 4month look back period. Of the three
acute comorbidity categories, we were
unable to corroborate the diagnoses of
bacterial pneumonia on ESRD facility
claims with the presence of a diagnosis
on claims from another Medicare setting
because of significant under-reporting of
bacterial pneumonia in these settings.
In order for the bacterial pneumonia
comorbid payment adjustment to apply,
we require three specific sources of
documentation: An X-ray, a sputum
culture, and a provider assessment.
Since 2011, facilities have expressed
concern regarding these documentation
requirements. Specifically, facilities cite
a ‘documentation burden’ in that they
are unable to obtain hospital or other
discharge information for the patients in
their care, and are therefore unable to
submit the diagnosis on the claim form
necessary to receive a payment
adjustment. In addition, stakeholders
have indicated that our requirements are
out of step with treatment protocols
where many physicians and Medicare
providers will diagnose bacterial
pneumonia simply by patient
assessment and would not consider the
X-ray or the sputum culture necessary to
their diagnosis.
Because in the opinion of
stakeholders the ESRD PPS comorbidity
payment adjustments often go unpaid,
facilities have encouraged CMS to
eliminate these adjustments through the
authority granted in section 632(c) of
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ATRA. However, we find that all of the
acute comorbid payment adjustors
continue to be strong predictors of cost
variation among ESRD patients based on
the regression analysis conducted for
this proposed rule. Accordingly, we
continue to believe it is appropriate to
apply a comorbidity payment
adjustment for the acute comorbidities
of pericarditis and gastrointestinal tract
bleeding with hemorrhage. In
consideration of stakeholder concerns
about the burden associated with
meeting the documentation
requirements for bacterial pneumonia,
however, we are proposing to eliminate
the case-mix payment adjustment for
the comorbidity category of bacterial
pneumonia beginning in CY 2016. We
find that the condition is underreported
on facility claims and that we are unable
to confirm a positive diagnosis without
the additional burden of an X-ray or
sputum culture.
Based upon the regression analysis of
CY 2012 through 2013 Medicare claims
and cost report data, where
comorbidities are measured only on 72x
claims, the updated payment
adjustment for pericarditis would be
1.040 and the adjustment for
gastrointestinal tract bleeding with
hemorrhage would be 1.082 as indicated
in Table 4 in section II.B.1.f.i of this
proposed rule.
Chronic Comorbidity Categories
There are three chronic comorbidity
categories (hereditary hemolytic and
sickle cell anemias, myelodysplastic
syndrome, and monoclonal
gammopathy), which were finalized as
payment adjustors in the CY 2011 ESRD
PPS final rule (75 FR 49100) due to a
demonstrated prediction of increased
facility costs when furnishing dialysis
services. In addition, these conditions
have demonstrated a persistent effect on
costs over time; that is, once the
condition is diagnosed for a patient, the
condition is likely to persist. For this
reason, the payment adjustments are
paid continuously when an appropriate
diagnosis code is reported on the
facility’s monthly claim. In the CY 2011
ESRD PPS final rule, we finalized
payment variables as indicated in Table
3 below for chronic comorbidities,
effective January 1, 2011.
TABLE 3—CHRONIC COMORBIDITY CATEGORIES RECOGNIZED FOR A PAYMENT ADJUSTMENT UNDER THE ESRD PPS
Current payment multiplier
Chronic comorbidity category
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Hereditary Hemolytic or Sickle Cell Anemias ..........................................................................................................
Myelodysplastic Syndrome ......................................................................................................................................
Monoclonal Gammopathy ........................................................................................................................................
Analysis of CY 2012 through 2013
claims and cost report data for the
purposes of regression analysis has
continued to demonstrate that
significant facility resources are used
when furnishing dialysis services to
ESRD patients with these chronic
comorbidities. However, in accordance
with section 632(c) of ATRA and in
response to stakeholders’ public
comments and requests for the
elimination of all of the comorbid
payment adjustments, we compared the
frequency of how often these conditions
were reported on the facility monthly
bill type with how often a corroborating
claim is reported in another Medicare
setting in a 12-month look back period.
This analysis demonstrated significant
differences in the reporting of
monoclonal gammopathy by ESRD
facilities and in other treatment settings.
In order for the monoclonal
gammopathy comorbid payment
adjustment to apply, Medicare requires
a positive serum test and a bone marrow
biopsy test. We believe that billing
inconsistency may result from poor
compliance with these payment policy
guidelines. We believe that some
facilities may report the diagnosis based
upon only the positive serum test, and
forgo the bone marrow biopsy, while
other facilities may view the bone
marrow biopsy as excessive for what is
often an asymptomatic condition and
therefore forgo the payment adjustment
all together.
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CMS has historically required the
bone marrow biopsy for confirmation of
a diagnosis of monoclonal gammopathy
because often it is a laboratory-defined
disorder, where the disease has no
symptoms but where the patient is
identified to be at considerable risk for
the development of multiple myeloma.
Because many ESRD patients suffer
from anemic conditions due to their
dialysis, they can test false positive for
monoclonal gammopathy. We
considered modifying our
documentation policies for requiring the
bone marrow biopsy when making the
payment adjustment. However, we are
concerned that we will be unable to
confirm the diagnosis without a bone
marrow test.
Based on the regression analysis
conducted for this proposed rule, using
CY 2013 ESRD PPS claims and cost
report data, we find that all of the
chronic comorbid payment adjustors
continue to be strong predictors of cost
variation among ESRD patients and
accordingly, we will continue to make
a payment adjustment for the chronic
comorbid conditions of hereditary
hemolytic and sickle cell anemias and
myelodysplastic syndrome. However, in
consideration of stakeholders concerns
about the excessive burden of meeting
the documentation requirements for
monoclonal gammopathy, we are
proposing to eliminate the case mix
payment adjustment for the comorbid
condition of monoclonal gammopathy
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Proposed payment multiplier
1.072
1.099
1.024
1.192
1.095
—
beginning in CY 2016. We no longer
believe that it is appropriate to require
the patient to submit to an invasive and
painful procedure in order to make a
payment adjustment to their ESRD
facility. Based upon the regression
analysis of CY 2012 through 2013 ESRD
facility claims and cost report data, the
updated payment adjustment for
hereditary hemolytic and sickle cell
anemias would be 1.192 and for
myelodysplastic syndrome the payment
adjustment would be 1.095 as indicated
in Table 4 in section II.B.1.f.i of this
proposed rule. These adjustment
amounts reflect the regression analysis
based upon CY 2012 and 2013 Medicare
claims data.
d. Proposed Refinement of FacilityLevel Adjustments
i. Low-Volume Payment Adjustment
Section 1881(b)(14)(D)(iii) of the Act
requires a payment adjustment that
reflects the extent to which costs
incurred by low-volume facilities (as
defined by the Secretary) in furnishing
renal dialysis services exceed the costs
incurred by other facilities in furnishing
such services, and for payment for renal
dialysis services furnished on or after
January 1, 2011, and before January 1,
2014, such payment adjustment shall
not be less than 10 percent. As required
by this provision, the ESRD PPS
provides a facility-level payment
adjustment to ESRD facilities that meet
the definition of a low-volume facility.
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A background discussion on the lowvolume payment adjustment (LVPA)
and a proposal regarding the LVPA
eligibility criteria is provided below.
The current amount of the LVPA is
18.9 percent. In the CY 2011 ESRD PPS
final rule (75 FR 49125), we indicated
that this increase to the base rate is an
appropriate adjustment that will
encourage small facilities to continue to
provide access to care. With regard to
the magnitude of the payment
adjustment for low-volume facilities, we
stated that it is more appropriate to use
the regression-driven adjustment rather
than the 10 percent minimum
adjustment mentioned in the statute
because it is based on empirical
evidence and allows us to implement a
payment adjustment that is a more
accurate depiction of higher costs.
For this proposed rule, we analyzed
those ESRD facilities that met the
definition of a low-volume facility as
specified in 42 CFR 413.232(b) as part
of the regression analysis. We found that
the cost per treatment for these facilities
is still high compared to other facilities.
With regard to the magnitude of the
payment adjustment for low-volume
facilities, we continue to believe that it
is appropriate to use the regressiondriven adjustment because it is based on
empirical evidence and allows us to
implement a payment adjustment that is
a more accurate depiction of higher
costs. The regression analysis indicates
a payment multiplier of 1.239 percent as
indicated in Table 4 in section II.B.1.f.i
of this proposed rule. Accordingly, we
propose a new LVPA adjustment factor
of 23.9 percent for CY 2016 and future
years.
ii. CY 2016 Proposals for the LowVolume Payment Adjustment (LVPA)
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(1) Background
As required by section
1881(b)(14)(D)(iii) of the Act, the ESRD
PPS provides a facility-level payment
adjustment of 18.9 percent to ESRD
facilities that meet the definition of a
low-volume facility. Under 42 CFR
413.232(b), a low-volume facility is an
ESRD facility that, based on the
documentation submitted pursuant to
42 CFR 413.232(h): (1) Furnished less
than 4,000 treatments in each of the 3
cost reporting years (based on as-filed or
final settled 12-consecutive month cost
reports, whichever is most recent)
preceding the payment year; and (2) Has
not opened, closed, or received a new
provider number due to a change in
ownership in the 3 cost reporting years
(based on as-filed or final settled 12consecutive month cost reports,
whichever is most recent) preceding the
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payment year. Under 42 CFR 413.232(c),
for purposes of determining the number
of treatments furnished by the ESRD
facility, the number of treatments
considered furnished by the ESRD
facility equals the aggregate number of
treatments furnished by the ESRD
facility and the number of treatments
furnished by other ESRD facilities that
are both under common ownership and
25 road miles or less from the ESRD
facility in question. Our regulation at 42
CFR 413.232(d) exempts facilities that
were in existence and Medicarecertified prior to January 1, 2011 from
the 25-mile geographic proximity
criterion, thereby grandfathering them
into the LVPA.
For purposes of determining
eligibility for the LVPA, ‘‘treatments’’
means total hemodialysis (HD)
equivalent treatments (Medicare and
non-Medicare). For peritoneal dialysis
(PD) patients, one week of PD is
considered equivalent to 3 HD
treatments. In the CY 2012 ESRD PPS
final rule (76 FR 70236), we clarified
that we base eligibility on the three
years preceding the payment year and
those years are based on cost reporting
periods. We further clarified that the
ESRD facility’s cost reports for the
periods ending in the three years
preceding the payment year must report
costs for 12-consecutive months (76 FR
70237).
In the CY 2015 ESRD PPS final rule
(79 FR 66152 through 66153), we
clarified that hospital-based ESRD
facilities’ eligibility for the LVPA should
be determined at an individual facility
level and their total treatment counts
should not be aggregated with other
ESRD facilities that are affiliated with
the hospital unless the affiliated
facilities are commonly owned and
within 25 miles. Therefore, the MAC
can consider other supporting data in
addition to the total treatments reported
in each of the 12-consecutive month
cost reports, such as the individual
facility’s total treatment counts, to verify
the number of treatments that were
furnished by the individual hospitalbased facility that is seeking the
adjustment.
In the CY 2015 ESRD PPS final rule
(79 FR 66153), with regards to the cost
reporting periods used for eligibility, we
clarified that when there is a change of
ownership that does not result in a new
Medicare Provider Transaction Access
Number but creates two non-standard
cost reporting periods (that is, periods
that are shorter or longer than 12
months) the MAC is either to add the
two non-standard cost reporting periods
together where combined they would
equal 12-consecutive months or prorate
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37819
the data when they would exceed 12consecutive months to determine the
total treatments furnished for a full cost
reporting period as if there had not been
a CHOW.
In order to receive the LVPA under
the ESRD PPS, an ESRD facility must
submit a written attestation statement to
its MAC confirming that it meets all of
the requirements specified at 42 CFR
413.232 and qualifies as a low-volume
ESRD facility. In the CY 2012 ESRD PPS
final rule (76 FR 70236), we finalized a
yearly November 1 deadline for
attestation submission and we revised
the regulation at § 413.232(f) to reflect
this date. We noted that this timeframe
provides 60 days for a MAC to verify
that an ESRD facility meets the LVPA
eligibility criteria. In the CY 2015 ESRD
PPS final rule (79 FR 66153 through
66154), we amended § 413.232(f) to
accommodate the timing of the policy
clarifications finalized for that rule.
Specifically, we extended the deadline
for the CY 2015 LVPA attestations until
December 31, 2014 to allow ESRD
facilities time to assess their eligibility
based on the policy clarifications for
prior years under the ESRD PPS and
apply for the LVPA for CY 2015. Further
information regarding the
administration of the LVPA is provided
in the Medicare Benefit Policy Manual,
CMS Pub. 100–02, Chapter 11, section
60.B.1.
(2) The United States Government
Accountability Office Study on the
LVPA
In the CY 2015 ESRD PPS final rule
(79 FR 66151 through 66152), we
discussed the study that the United
States Government Accountability
Office (the GAO) completed on the
LVPA. We also provided a summary of
the GAO’s main findings and
recommendations. We stated that the
GAO found that many of the facilities
eligible for the LVPA were located near
other facilities, indicating that they may
not have been necessary to ensure
sufficient access to dialysis care. They
also identified certain facilities with
relatively low volume that were not
eligible for the LVPA, but had aboveaverage costs and appeared to be
necessary for ensuring access to care.
Lastly, the GAO stated the design of the
LVPA provides facilities with an
adverse incentive to restrict their service
provision to avoid reaching the 4,000
treatment threshold.
In the conclusion of their study, the
GAO provided the Congress with the
following recommendations: 1) To more
effectively target facilities necessary for
ensuring access to care, the
Administrator of CMS should consider
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restricting the LVPA to low-volume
facilities that are isolated; 2) To reduce
the incentive for facilities to restrict
their service provision to avoid reaching
the LVPA treatment threshold, the
Administrator of CMS should consider
revisions such as changing the LVPA to
a tiered adjustment; 3) To ensure that
future LVPA payments are made only to
eligible facilities and to rectify past
overpayments, the Administrator of
CMS should take the following four
actions: (i) Require Medicare contractors
to promptly recoup 2011 LVPA
payments that were made in error; (ii)
investigate any errors that contributed to
eligible facilities not consistently
receiving the 2011 LVPA and ensure
that such errors are corrected; (iii) take
steps to ensure that CMS regulations
and guidance regarding the LVPA are
clear, timely, and effectively
disseminated to both dialysis facilities
and Medicare contractors; and (iv)
improve the timeliness and efficacy of
CMS’s monitoring regarding the extent
to which Medicare contractors are
determining LVPA eligibility correctly
and promptly re-determining eligibility
when all necessary data become
available.
As we explained in the CY 2015 ESRD
PPS final rule (79 FR 66152), we
concurred with the need to ensure that
the LVPA is targeted effectively at lowvolume high-cost facilities in areas
where beneficiaries may lack dialysis
care options. We also agreed to take
action to ensure appropriate payment is
made in the following ways: 1)
evaluating our policy guidance and
contractor instructions to ensure
appropriate application of the LVPA; 2)
using multiple methods of
communication to MACs and ESRD
facilities to deliver clear and timely
guidance; and 3) improving our
monitoring of MACs and considering
measures that can provide specific
expectations.
(3) Addressing GAO’s
Recommendations
As discussed above, in the CY 2015
ESRD PPS final rule (79 FR 66152), we
made two clarifications of the LVPA
eligibility criteria that were responsive
to stakeholder concerns and GAO’s
concern that the LVPA should
effectively target low-volume, high-cost
facilities. However, we explained that
we did not make changes to the
adjustment factor or significant changes
to the eligibility criteria because of the
interaction of the LVPA with other
payment adjustments under the ESRD
PPS. Instead, we stated that in
accordance with section 632(c) of
ATRA, for CY 2016 we would assess
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facility-level adjustments and address
necessary LVPA policy changes when
we would use updated data in a
regression analysis similar to the
analysis that is discussed in the CY
2011 ESRD PPS final rule (75 FR 49083).
For CY 2016, because we are refining
the ESRD PPS as discussed in section
II.B.1.a of this proposed rule, we
reviewed the LVPA eligibility criteria
and are proposing changes that we
believe address the GAO
recommendation to effectively target the
LVPA to ESRD facilities necessary for
ensuring access to care.
(4) Elimination of the Grandfathering
Provision
In the CY 2011 ESRD PPS final rule
(75 FR 49118 through 49119), we
expressed concern about potential
misuse of the LVPA. Specifically, our
concern was that the LVPA could
incentivize dialysis companies to
establish small ESRD facilities in close
geographic proximity to other ESRD
facilities in order to obtain the LVPA,
thereby leading to unnecessary
inefficiencies. To address this concern,
we finalized that for the purposes of
determining the number of treatments
under the definition of a low-volume
facility, the number of treatments
considered furnished by the ESRD
facility would be equal to the aggregate
number of treatments furnished by the
ESRD facility and other ESRD facilities
that are both: (i) Under common
ownership with; and (ii) 25 road miles
or less from the ESRD facility in
question. However, we finalized the
grandfathering of those commonly
owned ESRD facilities that were
certified for Medicare participation on
or before December 31, 2010, thereby
exempting them from the geographic
proximity restriction.
We established the grandfathering
policy in 2011 in an effort to support
low-volume facilities and avoid
disruptions in access to essential renal
dialysis services while the ESRD PPS
was being implemented. However, now
that the ESRD PPS transition is over and
facilities have adjusted to the ESRD PPS
payments and incentives, we believe it
is appropriate to eliminate the
grandfathering provision. Because we
are doing a refinement of the payment
adjustments under the ESRD PPS for CY
2016, the timing is appropriate for
eliminating the grandfathering policy so
that this change can be assessed along
with other proposed changes to the
ESRD PPS resulting from the regression
analysis.
We are proposing that for the
purposes of determining the number of
treatments under the definition of a low-
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volume facility, beginning in CY 2016,
the number of treatments considered
furnished by any ESRD facility
regardless of when it came into
existence and was Medicare certified
would be equal to the aggregate number
of treatments actually furnished by the
ESRD facility and the number of
treatments furnished by other ESRD
facilities that are both: (i) Under
common ownership with; and (ii) 5 road
miles or less from the ESRD facility in
question. The proposed 5 road mile
geographic proximity mileage criterion
is discussed below. We propose to
amend the regulation text by removing
paragraph (d) in 42 CFR 413.232 to
reflect that the geographic proximity
provision described in paragraph (c) and
discussed below is applicable to any
ESRD facility that is Medicare certified
to furnish outpatient maintenance
dialysis. We are soliciting comment on
the proposed change to remove the
grandfathering provision by deleting
paragraph (d) from our regulation at 42
CFR 413.232.
(5) Geographic Proximity Mileage
Criterion
In GAO’s report, they stated that the
LVPA did not effectively target lowvolume facilities that had high costs and
appeared necessary for ensuring access
to care. The GAO stated that nearly 30
percent of LVPA-eligible facilities were
located within 1 mile of another facility
in 2011, and about 54 percent were
within 5 miles, which indicated to them
that these facilities might not have been
necessary for ensuring access to care.
Furthermore, the GAO indicated that in
many cases, the LVPA-eligible facilities
were located near high-volume
facilities. The GAO explained in the
report that providers that furnish a low
volume of services may incur higher
costs of care because they cannot
achieve the economies of scale that are
possible for larger providers. They also
stated that low-volume providers in
areas where other care options are
limited may warrant higher payments
because, if Medicare’s payment methods
did not account for these providers’
higher cost of care, beneficiary access to
care could be reduced if these providers
were unable to continue operating. They
further explained that in contrast, lowvolume providers that are in close
proximity to other providers may not
warrant an adjustment because
beneficiaries have other care options
nearby.
We agree with the GAO’s assertion
that it may not be appropriate to provide
additional payment to an ESRD facility
that is located in close proximity to
another ESRD facility when the facilities
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are commonly owned. The purpose of
the LVPA is to recognize high cost, lowvolume facilities that are unable to
achieve the economies of scale that are
possible for larger providers such as
large dialysis organizations (LDO) and
medium dialysis organizations (MDO).
In addition, we note that under the
current LVPA eligibility criteria,
approximately half of low-volume
facilities are LDO and MDO facilities
that have the support of their parent
companies in controlling their cost of
care.
We analyzed the ESRD facilities
receiving payment under Medicare for
furnishing renal dialysis services in CY
2013 for purposes of simulating
different eligibility scenarios for the
LVPA. The CY 2013 claims and cost
report data is the best data available.
The CY 2014 cost reports will not be
available until later this year. We
simulated the MAC’s verification
process in order to determine LVPA
eligibility. Our analysis considered the
treatment counts on cost reporting
periods ending in 2010 through 2012,
the corresponding CY 2013 LVPA
eligibility criteria defined at 42 CFR
413.232, and the location of low-volume
facilities to assess the impact of various
potential geographic proximity criteria.
Because we used the CY 2013 claims
and attestations, our analysis may not
match the facilities currently receiving
the LVPA because we are unable to
analyze 2014 cost reports of LVPA
facilities at this time. However, this
analysis allowed us to test various
geographic proximity mileage amounts
to determine whether facilities eligible
for the LVPA in 2013 would continue to
be eligible for the LVPA as well as
allowing us to determine the existence
of any other ESRD facilities in those
areas.
Initially, we applied the low-volume
eligibility criteria (without
grandfathering) and the current 25 road
mile criterion and categorized facilities
by urban/rural location, type of
ownership, and other factors, and
determined that out of the total of 434
low-volume facilities, 38 percent of
LVPA facilities would lose low-volume
status, including 19 percent in rural
areas. For those determined to meet the
LVPA criteria, we also assessed the
extent to which there were other ESRD
facilities (in the same chain or other
chain), located within 5 road miles and
10 road miles from the LVPA facilities.
Based on our concern that too many
rural and independent facilities would
lose low-volume status based on the 25
road mile geographic proximity
criterion, we then analyzed 1 road mile,
5 road miles, 10 road miles, 15 road
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miles, and 20 road miles in order to
determine a mileage criterion that
protected rural facilities and supporting
access to renal dialysis services in rural
areas. We believe that ESRD facilities
located in rural areas are necessary for
access to care and we would not want
to limit LVPA eligibility for rural
providers.
Based on this analysis, we are
proposing to reduce the geographic
proximity criterion from 25 road miles
to 5 road miles because our analysis
showed that no rural facilities would
lose LVPA eligibility due to the
proposed 5 road mile geographic
proximity criterion. This policy would
discourage ESRD facilities from
inefficiently operating two ESRD
facilities within close proximity of each
other. This policy would also allow
ESRD facilities that are commonly
owned to be considered individually
when they are more than 5 miles from
another facility that is under common
ownership. We propose to amend the
regulation text by revising paragraph
(c)(2) in 42 CFR 413.232 to reflect the
change in the mileage for the geographic
proximity provision. We are soliciting
comment on the proposed change to 42
CFR 413.232(c)(2). We note that our
analysis indicated that approximately
30 facilities that are part of LDOs and
MDOs would lose the LVPA due to the
5 mile proximity change and the
elimination of grandfathering which
caused many facilities to exceed 4000
treatments. For this reason, we are
considering whether a transition would
be appropriate and are requesting public
comments.
iii. Geographic Payment Adjustment for
ESRD Facilities Located in Rural Areas
(1) Background
Section 1881(b)(14)(D)(iv)(III) of the
Act provides that the ESRD PPS may
include such payment adjustments as
the Secretary determines appropriate,
such as a payment adjustment for ESRD
facilities located in rural areas.
Accordingly, in the CY 2011 ESRD PPS
proposed rule we analyzed rural status
as part of the regression analysis used to
develop the payment adjustments under
the ESRD PPS. In the CY 2011 ESRD
PPS proposed rule (74 FR 49978), we
discuss our analysis of rural status as
part of the regression analysis and
explained that to decrease distortion
among independent variables, rural
facilities were considered control
variables rather than payment variables.
We indicated that based on our impact
analysis, rural facilities would be
adequately reimbursed under the
proposed ESRD PPS. Therefore, we did
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37821
not propose a facility-level adjustment
based on rural location and we invited
public comments on our proposal.
In the CY 2011 ESRD PPS final rule
(75 FR 49125 through 49126), we
addressed commenters’ concerns
regarding not having a facility-level
adjustment based on rural location.
Some of the commenters provided an
explanation of the unique situations that
exist for rural areas and the associated
costs. Specifically, the commenters
identified several factors that contribute
to higher costs including higher
recruitment costs to secure qualified
staff; a limited ability to offset costs
through economies of scale; and
decreased negotiating power in
contractual arrangements for
medications, laboratory services, and
equipment maintenance. The
commenters were concerned about a
negative impact on beneficiary access to
care that may result from insufficient
payment to cover these costs. In
addition, the commenters further noted
that rural ESRD facilities have lower
revenues because they serve a smaller
volume of patients of which a larger
proportion are indigent and lack
insurance, and a smaller proportion
have higher paying private insurance.
In response to the comments
discussed above, we indicated that
according to our impact analysis for the
CY 2011 ESRD PPS final rule, rural
facilities, as a group, were projected to
receive less of a reduction in payments
as a result of implementation of the
ESRD PPS than urban facilities and
many other subgroups of ESRD facilities
and, therefore, we did not implement a
facility-level payment adjustment that is
based on rural location. However, we
stated our intention to monitor how
rural ESRD facilities fared under the
ESRD PPS and consider other options if
access to renal dialysis services in rural
areas is compromised under the ESRD
PPS.
(2) Determining a Facility-Level
Payment Adjustment for ESRD Facilities
Located in Rural Areas Beginning in CY
2016
Since implementing the ESRD PPS,
we have heard from industry
stakeholders that rural areas continue to
have the unique difficulties described
above when furnishing renal dialysis
services that cause low to negative
Medicare margins. Because we are
committed to promoting beneficiary
access to renal dialysis services,
especially in rural areas, we analyzed
rural location as a payment variable in
the regression analysis conducted for
this proposed rule.
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Including rural areas as a payment
variable in the regression analysis
showed that this facility characteristic
was a significant predictor of higher
costs among ESRD facilities.
Accordingly, we propose a payment
multiplier of 1.008 as indicated in Table
4 in section II.B.1.f.i of this proposed
rule. This adjustment would be applied
to the ESRD PPS base rate for all ESRD
facilities that are located in a rural area.
In the CY 2011 ESRD PPS final rule (75
FR 49126), we finalized the definition of
rural areas in 42 CFR 413.231(b)(2) as
any area outside an urban area. We
define urban area in 42 CFR
413.231(b)(1) as a Metropolitan
Statistical Area or a Metropolitan
division (in the case where Metropolitan
Statistical Area is divided into
Metropolitan Divisions). We propose to
add a new § 413.233 to provide that the
base rate will be adjusted for facilities
that are located in rural areas, as defined
in § 413.231(b)(2). The rural facility
adjustment would also apply in
situations where a facility is eligible to
receive the low-volume payment
adjustment. In other words, a facility
could be eligible to receive both the
rural and low-volume payment
adjustments. Low-volume and rural
areas are two independent variables in
the regression analysis. We believe that
the low-volume variable measures costs
facilities incur as a result of furnishing
a small number of treatments whereas
the rural area variable measures the
costs associated with locality. The
regression analysis indicated that being
in a rural area—regardless of treatments
furnished—explains an increase in costs
for furnishing dialysis compared to
urban areas. Since low-volume and rural
areas are independent variables in the
regression we believe that a low-volume
facility located in a rural area would be
eligible for both adjustments because
measure. We believe that while the
magnitude of the payment multiplier is
small, rural facilities would still benefit
from the adjustment and, therefore, we
propose a 1.008 facility-level payment
multiplier under the ESRD PPS for rural
areas. We solicit comment on this
proposal.
(3) Further Investigation Into Targeting
High-Cost Rural ESRD Facilities
Section 3127 of the Patient Protection
and Affordable Care Act of 2010 (the
Affordable Care Act) required that the
Medicare Payment Advisory
Commission (MedPAC) study and report
to Congress on: 1) Adjustments in
payments to providers of services and
suppliers that furnish items and services
in rural areas; 2) access by Medicare
beneficiaries’ to items and services in
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rural areas; 3) the adequacy of payments
to providers of services and suppliers
that furnish items and services in rural
areas; and 4) the quality of care
furnished in rural areas. The report
required by section 3127(b) of the
Affordable Care Act was published in
the MedPAC June 2012 Report to
Congress: Medicare and the Health Care
Delivery System (hereinafter referred to
as June 2012 Report to Congress), which
is available at https://medpac.gov/documents-/reports. In addition to the
findings presented on each of the four
topics, this report presented a set of
principles designed to guide
expectations and policies with respect
to rural access, quality, and payments
for all sectors, which can be used to
guide Medicare payment policy. For
purposes of this proposed rule, we were
most interested in the principles of
payment adequacy and special
payments to rural providers.
In the June 2012 Report to Congress,
MedPAC explained that providers in
rural areas often have a low volume of
patients and in some cases, this lack of
scale increases costs and puts the
provider at risk of closure. MedPAC
stated that to maintain access in these
cases, Medicare may need to make
higher payments to low-volume
providers that cannot achieve the
economies of scale available to urban
providers. However, they explained that
low volume alone is not a sufficient
measure to assess whether higher
payments are warranted and that
Medicare should not pay higher rates to
two competing low-volume providers in
close proximity. They stated that these
payments may deter small neighboring
providers from consolidating care in one
facility, which results in poorly targeted
payments and can contribute to poorer
outcomes for the types of care where
there is a volume–outcome relationship.
MedPAC further explained that to target
special payments when warranted,
Medicare should direct these payments
to providers that are uniquely essential
for maintaining access to care in a given
community. The payments need to be
structured in a way that encourages
efficient delivery of healthcare services.
MedPAC presented three principles
guiding special payments that will
allow beneficiaries’ needs to be met
efficiently: 1) Payments should be
targeted toward low-volume isolated
providers—that is, providers that have
low patient volume and are at a distance
from other providers. Distance is
required because supporting two
neighboring providers who both struggle
with low-volume can discourage
mergers that could lead to lower cost
and higher quality care; 2) the
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magnitude of special rural payment
adjustments should be empirically
justified—that is, the payments should
increase to the extent that factors
beyond the providers’ control increase
their costs; and 3) rural payment
adjustments should be designed in ways
that encourage cost control on the part
of providers.
We were interested in the information
that MedPAC provided in their report
regarding services furnished to
Medicare beneficiaries in rural areas.
We believe that the adjustment that we
proposed in this rule, which we arrived
at through a regression analysis, is
consistent with principle two above,
which states that the magnitude of
special rural payment adjustments
should be empirically justified. We
considered alternatives to deriving the
adjustment from the regression analysis
in an effort to increase the value of the
adjustment. For example, we could
establish a larger adjustment outside of
the regression and offset it by a
reduction to the base rate. We also
considered analyzing different subsets
of rural areas and designating those
areas as the payment variable in our
model. Because we were able to
determine through the regression
analysis that rural location is a predictor
of cost variation among ESRD facilities,
we are planning to analyze the facilities
that are located in rural areas to see if
there are subsets of rural providers that
experience higher costs. We are also
planning to explore potential policies to
target areas that are isolated or identify
where there is a need for health care
services, such as, for example, the
frontier counties (that is, counties with
a population density of six or fewer
people per square mile) and we would
also consider the use of Health
Professional Shortage Area (HPSA)
designations managed by the Health
Resources and Services Administration
(HRSA). Information regarding HPSAs
can be found on the HRSA Web
site:https://bhpr.hrsa.gov/shortage/
hpsas/designationcriteria/.
We believe that this type of analysis
would be consistent with the June 2012
Report to Congress’s principle that
special payments should target the lowvolume facilities that are isolated. We
are soliciting comments on establishing
a larger payment adjustment outside of
the regression analysis. We note that
such an adjustment would need to be
offset by a further reduction to the base
rate. For example, we could compare
the average cost per treatment reported
on the cost report of ESRD facilities
located in rural areas with ESRD
facilities located in urban areas and
develop a methodology to derive the
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magnitude of the adjustment. In
addition, we are soliciting comments on
targeting subsets of rural areas for
purposes of using those facilities located
in those areas for analysis as payment
variables in the regression analysis used
to develop the payment multipliers for
the refinement for CY 2016.
e. Proposed Refinement of the Case-Mix
Adjustments for Pediatric Patients
Section 1881(b)(14)(A)(i) of the Act
requires the Secretary to implement a
payment system under which a single
payment is made for renal dialysis
services. This provision does not
distinguish between services furnished
to adult and pediatric patients.
Therefore, we developed a methodology
that used the ESRD PPS base rate for
pediatric patients and finalized
pediatric payment adjusters in our CY
2011 ESRD PPS final rule at 75 FR
49131 through 49134. Specifically, the
methodology for calculating the
pediatric payment adjusters reflects case
mix adjustments for age and modality.
We noted in our CY 2011 ESRD PPS
final rule that the payment adjustments
applicable to composite rate services for
pediatric patients were obtained from
the facility level model of composite
rate costs for patients less than 18 years
of age and yielded a regression-based
multiplier of 1.199. However, based
upon public comments received
expressing concern that the payment
multiplier was inadequate for pediatric
care, we revised our methodology and
we finalized pediatric payment
adjusters that reflected the overall
difference in average payments per
treatment between pediatric and adult
dialysis patients for composite rate (CR)
services and separately billable (SB)
items in CY 2007 based on the 872
pediatric dialysis patients reflected in
the data.
We indicated in the CY 2011 ESRD
PPS final rule (75 FR 49131 through
49134), that the average CY 2007 MAP
for composite rate services for pediatric
dialysis patients was $216.46, compared
to$156.12 for adult patients. The
difference in composite rate payment is
reflected in the overall adjustment for
pediatric patients as calculated using
the variables of (1) age less than 13
years, or 13 through 17 years; (2)
dialysis modality PD or HD. While the
composite rate Medicare Allowable
Payment (MAP) for pediatric patients
was higher than that for adult patients
($216.46 versus $156.12), the separately
billable MAP was lower for pediatric
patients ($48.09versus $83.27), in CY
2007. There are fewer separately billable
items in the pediatric model, largely
because of the predominance of the PD
modality for younger patients and the
smaller body size of pediatric patients.
The overall difference in the CY 2007
MAP between adult and pediatric
dialysis patients was computed at 10.5
percent or $216.46 + $48.09 = $264.55
and $156.12 + $83.27 = $239.39.
$264.55/$239.39 = 1.105.
For purposes of regression analysis,
we are not proposing any changes to the
formula used to establish the pediatric
payment multipliers and will continue
to apply the computations of MultEB= P
* C * (WCR + WSB * MultSB), where
P is the ratio of the average MAP per
session for pediatric patients to the
average MAP per session for adult
patients as shown below, C is the
average payment multiplier for adult
patients (1.1151), WCR (0.798) and WSB
(0.202) are the proportion of MAP for
CR and SB services, respectively, among
pediatric patients, and MultSB
represents the SB model multipliers. We
are using updated values for P, C, WCR,
and WSB along with the updated SB
multipliers to calculate the updated EB
multipliers. The overall difference in
the CY 2013 MAP between adult and
pediatric dialysis patients was
computed at 8.2 percent (P = $283.42/
$ 261.91= 1.082). The regression
analysis for a new pediatric payment
model for Medicare pediatric ESRD
patients for CY 2016 will use the same
methodology that was used for the CY
2011 ESRD PPS final rule, except for the
use of more recent data years (2012
through 2013) and in the method of
obtaining payment data. Specifically,
we used the projected total expanded
bundle MAP based on 2013 claims to
calculate the ratio of pediatric total
MAP per session to adult total MAP per
session. The projected MAP was
calculated by pricing out utilization of
SBs based on line items in the claims,
rather than using actual payments from
the claims as in the pre-2011 data.
These adjustment factors reflect a
proposed 8.21 percent increase to
account for the overall difference in
average payments per treatment for
pediatric patients. The proposed
updated pediatric SB and EB multipliers
are shown below in Table 5.
f. Proposed Refinement Payment
Multipliers
i. Proposed Adult Case-Mix and
Facility-Level Payment Adjustments
TABLE 4—CY 2016 PROPOSED ADULT CASE–MIX AND FACILITY–LEVEL PAYMENT ADJUSTMENTS
PY2011 Final Rule (based on
2006–2008 data)
Expanded
bundle payment multiplier
% of Medicare
dialysis treatments on average
Composite
rate multipliers
based on
Freestanding
and Hospitalbased facilities
13.5
26.8
23.8
22.9
13.0
........................
4.0
1.171
1.013
1.000
1.011
1.016
1.020
1.025
12.8
27.8
25.8
21.1
12.4
........................
3.3
1.308
1.084
1.086
1.000
1.145
1.039
1.000
1.044
1.000
1.005
1.000
0.961
1.000
1.090
1.257
1.068
1.070
1.000
1.109
1.032
1.017
4.8
1.8
1.510
1.189
4.0
1.7
1.307
1.368
1.409
0.955
1.327
1.239
0.4
1.114
0.1
1.000
1.209
1.040
1.1
2.0
1.183
1.135
0.5
........................
1.000
........................
1.426
........................
1.082
........................
tkelley on DSK3SPTVN1PROD with PROPOSALS3
% of Medicare
dialysis treatments on average
Age:
18–44 ................................................
45–59 ................................................
60–69 ................................................
70–79 ................................................
80+ ....................................................
Body surface area (per 0.1 m2)3 .............
Underweight (BMI < 18.5) .......................
Time since onset of renal dialysis < 4
months ..................................................
Facility low volume status ........................
Comorbidities: 4
Pericarditis (acute) ............................
Gastro-intestinal
tract
bleeding
(acute) ...........................................
Bacterial pneumonia (acute) .............
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PY2016 NPRM (based on 2012–2013 data)
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01JYP3
Separately
billable multipliers
Expanded
bundle payment multiplier
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TABLE 4—CY 2016 PROPOSED ADULT CASE–MIX AND FACILITY–LEVEL PAYMENT ADJUSTMENTS—Continued
PY2011 Final Rule (based on
2006–2008 data)
% of Medicare
dialysis treatments on average
Expanded
bundle payment multiplier
% of Medicare
dialysis treatments on average
Composite
rate multipliers
based on
Freestanding
and Hospitalbased facilities
Separately
billable multipliers
Expanded
bundle payment multiplier
1.072
1.099
1.024
—
0.1
0.3
........................
15.0
1.000
1.000
........................
1.015
1.999
1.494
........................
0.978
1.192
1.095
........................
1.008
2.0
1.6
1.2
—
Hereditary hemolytic or sickle cell
anemia (chronic) ...........................
Myelodysplastic syndrome (chronic)
Monoclonal gammopathy (chronic) ..
Rural .........................................................
PY2016 NPRM (based on 2012–2013 data)
ii. Proposed Pediatric Case-Mix
Payment Adjustments
TABLE 5—CY 2016 PROPOSED PEDIATRIC CASE-MIX PAYMENT ADJUSTMENTS
Patient characteristics
PY 2011 Final rule (based on
2006–2008 data)
PY 2016 NPRM (based on 2012 and 2013 data)
Cell
Age
1
2
3
4
....................
....................
....................
....................
<13
<13
13–17
13–17
Modality
PD
HD
PD
HD
.....................................
.....................................
.....................................
.....................................
2. Proposed CY 2016 ESRD PPS Update
a. ESRD Bundled Market Basket
tkelley on DSK3SPTVN1PROD with PROPOSALS3
i. Overview and Background
In accordance with section
1881(b)(14)(F)(i) of the Act, as added by
section 153(b) of MIPPA and amended
by section 3401(h) of the Affordable
Care Act, beginning in 2012, the ESRD
payment amounts are required to be
annually increased by an ESRD market
basket increase factor that is reduced by
the productivity adjustment described
in section 1886(b)(3)(B)(xi)(II) of the
Act. The application of the productivity
adjustment may result in the increase
factor being less than 0.0 for a year and
may result in payment rates for a year
being less than the payment rates for the
preceding year. The statute also
provides that the market basket increase
factor should reflect the changes over
time in the prices of an appropriate mix
of goods and services used to furnish
renal dialysis services.
Section 1881(b)(14)(F)(i)(I) of the Act,
as added by section 217(b)(2)(A) of
PAMA, provides that in order to
accomplish the purposes of
subparagraph (I) with respect to 2016,
2017, and 2018, after determining the
market basket percentage increase factor
for each of 2016, 2017, and 2018, the
Secretary shall reduce such increase
factor by 1.25 percentage points for each
of 2016 and 2017 and by 1 percentage
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Population %
Jkt 235001
Payment multiplier
20.58
16.57
18.20
44.66
1.033
1.219
1.067
1.277
point for 2018.. Accordingly, for CY
2016, we will reduce the proposed
amount of the market basket percentage
increase factor by 1.25 percent as
required by section 1881(b)(14)(F)(i)(I)
of the Act, and will further reduce it by
the productivity adjustment.
ii. Proposed Market Basket Update
Increase Factor and Labor-Related Share
for ESRD Facilities for CY 2016
As required under section
1881(b)(14)(F)(i) of the Act, CMS
developed an all-inclusive ESRDB input
price index (75 FR 49151 through
49162) and subsequently revised and
rebased the ESRDB input price index in
the CY 2015 ESRD final rule (79 FR
66129 through 66136). Although
‘‘market basket’’ technically describes
the mix of goods and services used for
ESRD treatment, this term is also
commonly used to denote the input
price index (that is, cost categories, their
respective weights, and price proxies
combined) derived from a market
basket. Accordingly, the term ‘‘ESRDB
market basket,’’ as used in this
document, refers to the ESRDB input
price index.
We propose to use the CY 2012-based
ESRDB market basket as finalized and
described in the CY 2015 ESRD PPS
final rule (79 FR 66129 through 66136)
to compute the CY 2016 ESRDB market
basket increase factor and labor-related
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Fmt 4701
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Population %
27.62
19.23
20.19
32.96
Separately
billable multiplier
0.410
1.406
0.569
1.494
Expanded
bundle payment multiplier
1.063
1.306
1.102
1.327
share based on the best available data.
Consistent with historical practice, we
estimate the ESRDB market basket
update based on IHS Global Insight
(IGI), Inc.’s forecast using the most
recently available data. IGI is a
nationally recognized economic and
financial forecasting firm that contracts
with CMS to forecast the components of
the market baskets.
Using this methodology and the IGI
forecast for the first quarter of 2015 of
the CY 2012-based ESRDB market
basket (with historical data through the
fourth quarter of 2014), and consistent
with our historical practice of
estimating market basket increases
based on the best available data, the
proposed CY 2016 ESRDB market basket
increase factor is 2.0 percent. As
required by section 1881(b)(14)(F)(i)(I)
of the Act as amended by section
217(b)(2) of PAMA, we must reduce the
amount of the market basket increase
factor by 1.25 percent, resulting in a
proposed CY 2016 ESRDB market basket
percentage increase factor of 0.75
percent.
For the CY 2016 ESRD payment
update, we propose to continue using a
labor-related share of 50.673 percent for
the ESRD PPS payment, which was
finalized in the CY 2015 ESRD final rule
(79 FR 66136) but was applied in CY
2015 using a 2-year transition.
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iii. Proposed Productivity Adjustment
Under section 1881(b)(14)(F)(i) of the
Act, as amended by section 3401(h) of
the Affordable Care Act, for CY 2012
and each subsequent year, the ESRD
market basket percentage increase factor
shall be reduced by the productivity
adjustment described in section
1886(b)(3)(B)(xi)(II) of the Act. The
statute defines the productivity
adjustment as equal to the 10-year
moving average of changes in annual
economy-wide private nonfarm business
MFP (as projected by the Secretary for
the 10-year period ending with the
applicable fiscal year, year, cost
reporting period, or other annual
period) (the ‘‘MFP adjustment’’). The
Bureau of Labor Statistics (BLS) is the
agency that publishes the official
measure of private nonfarm business
MFP. Please see https://www.bls.gov/mfp
to obtain the BLS historical published
MFP data.
MFP is derived by subtracting the
contribution of labor and capital input
growth from output growth. The
projections of the components of MFP
are currently produced by IGI, a
nationally recognized economic
forecasting firm with which CMS
contracts to forecast the components of
the market basket and MFP. As
described in the CY 2012 ESRD PPS
final rule (76 FR 40503 through 40504),
to generate a forecast of MFP, IGI
replicates the MFP measure calculated
by the BLS using a series of proxy
variables derived from IGI’s U.S.
macroeconomic models. In the CY 2012
ESRD PPS final rule, we identified each
of the major MFP component series
employed by the BLS to measure MFP
as well as provided the corresponding
concepts determined to be the best
available proxies for the BLS series.
Beginning with the CY 2016
rulemaking cycle, the MFP adjustment
is calculated using a revised series
developed by IGI to proxy the aggregate
capital inputs. Specifically, IGI has
replaced the Real Effective Capital Stock
used for Full Employment GDP with a
forecast of BLS aggregate capital inputs
recently developed by IGI using a
regression model. This series provides a
better fit to the BLS capital inputs, as
measured by the differences between
the actual BLS capital input growth
rates and the estimated model growth
rates over the historical time period.
Therefore, we are using IGI’s most
recent forecast of the BLS capital inputs
series in the MFP calculations beginning
with the CY 2016 rulemaking cycle. A
complete description of the MFP
projection methodology is available on
our Web site at https://www.cms.gov/
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Research-Statistics-Data-and-Systems/
Statistics-Trends-and-Reports/
MedicareProgramRatesStats/
MarketBasketResearch.html. Although
we discuss the IGI changes to the MFP
proxy series in this proposed rule, in the
future, when IGI makes changes to the
MFP methodology, we will announce
them on our Web site rather than in the
annual rulemaking.
Using IGI’s first quarter 2015 forecast,
the MFP adjustment for CY 2016 (the
10-year moving average of MFP for the
period ending CY 2016) is projected to
be 0.6 percent. We invite public
comment on these proposals.
iv. Calculation of the ESRDB Market
Basket Update, Adjusted for Multifactor
Productivity for CY 2016
Under section 1881(b)(14)(F) of the
Act, beginning in CY 2012, ESRD PPS
payment amounts shall be annually
increased by an ESRD market basket
percentage increase factor reduced by
the productivity adjustment. For CY
2016, section 1881(b)(14)(F)(i)(I) of the
Act, as amended by section
217(b)(2)(A)(ii) of PAMA, requires the
Secretary to implement a 1.25
percentage point reduction to the
ESRDB market basket increase factor in
addition to the productivity adjustment.
As a result of these provisions, the
proposed CY 2016 ESRD market basket
increase is 0.15 percent. The proposed
ESRDB market basket percentage
increase factor for CY 2016 is 2.0
percent, which is based on the 1st
quarter 2015 forecast of the CY 2012based ESRDB market basket. This
market basket percentage is then
reduced by the 1.25 percent, as required
by the section 1881(b)(14)(F)(i)(I). The
market basket percentage increase is
then further reduced by the MFP
adjustment (the 10-year moving average
of MFP for the period ending CY 2016)
of 0.6 percent, which is also based on
IGI’s 1st quarter 2015 forecast. As is our
general practice, if more recent data is
subsequently available (for example, a
more recent estimate of the market
basket or MFP adjustment), we will use
such data to determine the CY 2016
market basket update and MFP
adjustment in the CY 2016 ESRD PPS
final rule.
b. The Proposed CY 2016 ESRD PPS
Wage Indices
i. Annual Update of the Wage Index
Section 1881(b)(14)(D)(iv)(II) of the
Act provides that the ESRD PPS may
include a geographic wage index
payment adjustment, such as the index
referred to in section 1881(b)(12)(D) of
the Act, as the Secretary determines to
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Fmt 4701
Sfmt 4702
37825
be appropriate. In the CY 2011 ESRD
PPS final rule (75 FR 49117), we
finalized the use of the Office of
Management and Budget’s (OMB) CoreBased Statistical Areas (CBSAs)-based
geographic area designations to define
urban and rural areas and their
corresponding wage index values.
For CY 2016, we would continue to
use the same methodology as finalized
in the CY 2011 ESRD PPS final rule (75
FR 49117) for determining the wage
indices for ESRD facilities. Specifically,
we are updating the wage indices for CY
2016 to account for updated wage levels
in areas in which ESRD facilities are
located. We use the most recent prefloor, pre-reclassified hospital wage data
collected annually under the inpatient
prospective payment system. The ESRD
PPS wage index values are calculated
without regard to geographic
reclassifications authorized under
section 1886(d)(8) and (d)(10) of the Act
and utilize pre-floor hospital data that
are unadjusted for occupational mix.
The proposed CY 2016 wage index
values for urban areas are listed in
Addendum A (Wage Indices for Urban
Areas) and the proposed CY 2016 wage
index values for rural areas are listed in
Addendum B (Wage Indices for Rural
Areas). Addenda A and B are located on
the CMS Web site athttps://
www.cms.gov/Medicare/Medicare-Feefor-Service-Payment/ESRDpayment/
End-Stage-Renal-Disease-ESRDPayment-Regulations-and-Notices.html.
In the CY 2011 and CY 2012 ESRD
PPS final rules (75 FR 49116 through
49117 and 76 FR 70239 through 70241,
respectively), we also discussed and
finalized the methodologies we use to
calculate wage index values for ESRD
facilities that are located in urban and
rural areas where there is no hospital
data. For urban areas with no hospital
data, we compute the average wage
index value of all urban areas within the
State and use that value as the wage
index. For rural areas with no hospital
data, we compute the wage index using
the average wage index values from all
contiguous CBSAs to represent a
reasonable proxy for that rural area.
For CY 2016, we are applying this
criteria to American Samoa and the
Northern Mariana Islands, where we
apply the wage index for Guam as
established in the CY 2014 ESRD PPS
final rule (78 FR 72172) (0.9611), and
Hinesville-Fort Stewart, Georgia, where
we apply the statewide urban average
based on the average of all urban areas
within the state (78 FR 72173) (0.8699).
We note that if hospital data becomes
available for these areas, we will use
that data for the appropriate CBSAs
instead of the proxy.
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tkelley on DSK3SPTVN1PROD with PROPOSALS3
A wage index floor value has been
used in lieu of the calculated wage
index values below the floor in making
payment for renal dialysis services
under the ESRD PPS. In the CY 2011
ESRD PPS final rule (75 FR 49116
through 49117), we finalized that we
would continue to reduce the wage
index floor by 0.05 for each of the
remaining years of the ESRD PPS
transition. In the CY 2012 ESRD PPS
final rule (76 FR 70241), we finalized
the 0.05 reduction to the wage index
floor for CYs 2012 and 2013, resulting
in a wage index floor of 0.5500 and
0.5000, respectively. We continued to
apply and to reduce the wage index
floor by 0.05 in the CY 2013 ESRD PPS
final rule (77 FR 67459 through 67461).
Although our intention initially was to
provide a wage index floor only through
the 4-year transition to 100 percent
implementation of the ERSD PPS (75 FR
49116 through 49117; 76 FR 70240
through 70241), in the CY 2014 ESRD
PPS final rule (78 FR 72173), we
continued to apply the wage index floor
and continued to reduce the floor by
0.05 per year for CY 2014 and for CY
2015.
For CY 2016, we are proposing to
continue to apply the CY 2015 wage
index floor, that is, 0.4000, to areas with
wage index values below the floor but
we are not proposing to reduce the wage
index floor for CY 2016. Our review of
the wage indices show that CBSAs in
Puerto Rico continue to be the only
areas with wage index values that
would benefit from a wage index floor
because they are so low. Therefore, we
believe that we need more time to study
the wage indices that are reported for
Puerto Rico to assess the
appropriateness of discontinuing the
wage index floor and leave it at 0.4000.
Because the wage index floor is only
applicable to a small number of CBSAs,
the impact to the base rate through the
wage index budget neutrality factor
would be insignificant. To the extent
other geographical areas fall below the
floor in CY 2016 or beyond, we believe
they should have the benefit of the
0.4000 wage index floor as well. We will
continue to review wage index values
and the appropriateness of a wage index
floor in the future.
ii. Implementation of New Labor Market
Delineations
As noted earlier in this section, in the
CY 2011 ESRD PPS final rule (75 FR
49117), we finalized for the ESRD PPS
the use of the CBSA-based geographic
area designations described in OMB
bulletin 03–04, issued June 6, 2003 as
the basis for revising the urban and rural
areas and their corresponding wage
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Jkt 235001
index values. This bulletin, as well as
subsequent bulletins, is available online
at https://www.whitehouse.gov/omb/
bulletins_index2003-2005.
OMB publishes bulletins regarding
CBSA changes, including changes to
CBSA numbers and titles. In accordance
with our established methodology, we
have historically adopted via
rulemaking CBSA changes that are
published in the latest OMB bulletin.
On February 28, 2013, OMB issued
OMB Bulletin No. 13–01, which
established revised delineations for
Metropolitan Statistical Areas,
Micropolitan Statistical Areas, and
Combined Statistical Areas, and
provided guidance on the use of the
delineations of these statistical areas. A
copy of this bulletin may be obtained at
https://www.whitehouse.gov/sites/
default/files/omb/bulletins/2013/b-1301.pdf. According to OMB, ‘‘[t]his
bulletin provides the delineations of all
Metropolitan Statistical Areas,
Metropolitan Divisions, Micropolitan
Statistical Areas, Combined Statistical
Areas, and New England City and Town
Areas in the United States and Puerto
Rico based on the standards published
on June 28, 2010, in the Federal
Register (75 FR 37246 through 37252)
and Census Bureau data.’’ In the CY
2015 ESRD PPS final rule (79 FR 40226)
and this proposed rule, when
referencing the new OMB geographic
boundaries of statistical areas, we use
the term ‘‘delineations’’ rather than the
term ‘‘definitions’’ that we have used in
the past, consistent with OMB’s use of
the terms (75 FR 37249). Because the
bulletin was not issued until February
28, 2013, with supporting data not
available until later, and because the
changes made by the bulletin and their
ramifications needed to be extensively
reviewed and verified, we were unable
to undertake such a lengthy process
before publication of the FY 2014 IPPS/
LTCH PPS proposed rule and, thus, did
not implement changes to the hospital
wage index for FY 2014 based on these
new CBSA delineations.
Likewise, for the same reasons, the CY
2014 ESRD PPS wage index (based upon
the pre-floor, pre-reclassified hospital
wage data, which is unadjusted for
occupational mix) also did not reflect
the new CBSA delineations. In the FY
2015 IPPS/LTCH PPS final rule, we
implemented the new CBSA
delineations as described in the
February 28, 2013 OMB Bulletin No.
13–01, beginning with the FY 2015 IPPS
wage index (79 FR 49951 through
49963). Similarly, in the CY 2015 ESRD
PPS final rule (79 FR 66137 through
66142), we implemented the new CBSA
delineations as described in the
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Fmt 4701
Sfmt 4702
February 28, 2013 OMB Bulletin No.
13–01, beginning with the CY 2015
ESRD PPS wage index.
In order to implement these changes
for the ESRD PPS, we identified the new
labor market area delineation for each
county and facility in the country and
determined that there would be new
CBSAs, urban counties that would
become rural, rural counties that would
become urban, and existing CBSAs that
would be split apart. In the CY 2015
final rule (79 FR 66137 and 66138), we
provided tables that showed the CBSA
delineations and wage index values for
CY 2014 and the CY 2015 CBSA
delineations, wage index values, and the
percentage change in these values for
those counties that changed from rural
to urban, from urban to rural, and from
one urban area to another and also
showed the changes to the statewide
rural wage index.
While we believe that the new CBSA
delineations result in wage index values
that are more representative of the
actual costs of labor in a given area, we
recognized that use of the new CBSA
delineations results in reduced
payments to some facilities. For this
reason, we implemented the new CBSA
delineations using a 2-year transition
with a 50/50 blended wage index value
for all facilities in CY 2015 and 100
percent of the wage index based on the
new CBSA delineations in CY 2016.
Therefore, for CY 2016, we are
completing the transition and will apply
100 percent of the wage index based on
the new CBSA delineations and the
most recent hospital wage data.
A facility’s wage index is applied to
the labor-related share of the ESRD PPS
base rate. In the CY 2011 ESRD PPS
final rule (75 FR 49117), we finalized a
policy to use the labor-related share of
41.737 percent for the ESRD PPS which
was based on the ESRDB market basket
finalized in that rule. In the CY 2015
ESRD PPS final rule (79 FR 66136), we
finalized a new labor-related share of
50.673 percent, which was based on the
rebased and revised ESRDB market
basket finalized in that rule, and
transitioned the new labor-related share
over a 2-year period. For CY 2015, the
labor-related share is based 50 percent
on the old labor-related share and 50
percent on the new labor-related share,
and the labor-related share in CY 2016
is based 100 percent on the new laborrelated share.
c. CY 2016 Update to the Outlier Policy
Section 1881(b)(14)(D)(ii) of the Act
requires that the ESRD PPS include a
payment adjustment for high cost
outliers due to unusual variations in the
type or amount of medically necessary
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care, including variability in the amount
of erythropoiesis stimulating agents
(ESAs) necessary for anemia
management. Some examples of the
patient conditions that may be reflective
of higher facility costs when furnishing
dialysis care would be frailty, obesity,
comorbidities such as cancer, and
possibly race and gender. The ESRD
PPS recognizes high cost patients, and
we have codified the outlier policy in
our regulations at 42 CFR 413.237,
which provide that ESRD outlier
services are the following items and
services that are included in the ESRD
PPS bundle: (i) ESRD-related drugs and
biologicals that were or would have
been, prior to January 1, 2011,
separately billable under Medicare Part
B; (ii) ESRD-related laboratory tests that
were or would have been, prior to
January 1, 2011, separately billable
under Medicare Part B; (iii) medical/
surgical supplies, including syringes,
used to administer ESRD-related drugs,
that were or would have been, prior to
January 1, 2011, separately billable
under Medicare Part B; and (iv) renal
dialysis service drugs that were or
would have been, prior to January 1,
2011, covered under Medicare Part D,
excluding oral-only drugs used in the
treatment of ESRD.
In the CY 2011 ESRD PPS final rule
(75 FR 49142), we stated that for
purposes of determining whether an
ESRD facility would be eligible for an
outlier payment, it would be necessary
for the facility to identify the actual
ESRD outlier services furnished to the
patient by line item on the monthly
claim. Renal dialysis drugs, laboratory
tests, and medical/surgical supplies that
are recognized as outlier services were
originally specified in Attachment 3 of
Change Request 7064, Transmittal 2033
issued August 20, 2010, rescinded and
replaced by Transmittal 2094, dated
November 17, 2010. Transmittal 2094
identified additional drugs and
laboratory tests that may also be eligible
for ESRD outlier payment. Transmittal
2094 was rescinded and replaced by
Transmittal 2134, dated January 14,
2011, which was issued to correct the
subject on the Transmittal page and
made no other changes. Furthermore,
we use administrative issuance and
guidance to continually update the renal
dialysis service items available for
outlier payment via our quarterly
update CMS Change Requests, when
applicable. We use this separate
guidance to identify renal dialysis
service drugs which were or would have
been covered under Part D for outlier
eligibility purposes and in order to
provide unit prices for calculating
imputed outlier services. In addition,
we also identify through our monitoring
efforts items and services that are either
incorrectly being identified as eligible
outlier services or any new items and
services that may require an update to
the list of renal dialysis items and
services that qualify as outlier services,
which are made through administrative
issuances.
Our regulations at 42 CFR 413.237
specify the methodology used to
calculate outlier payments. An ESRD
facility is eligible for an outlier payment
if its actual or imputed MAP amount per
treatment for ESRD outlier services
exceeds a threshold. The MAP amount
represents the average incurred amount
per treatment for services that were or
would have been considered separately
billable services prior to January 1,
2011. The threshold is equal to the
ESRD facility’s predicted ESRD outlier
services MAP amount per treatment
(which is case-mix adjusted) plus the
fixed-dollar loss amount. In accordance
with § 413.237(c) of the regulations,
facilities are paid 80 percent of the per
treatment amount by which the imputed
MAP amount for outlier services (that is,
the actual incurred amount) exceeds
this threshold. ESRD facilities are
eligible to receive outlier payments for
treating both adult and pediatric
dialysis patients.
In the CY 2011 ESRD PPS final rule,
using 2007 data, we established the
outlier percentage at 1.0 percent of total
payments (75 FR 49142 through 49143).
We also established the fixed-dollar loss
amounts that are added to the predicted
outlier services MAP amounts. The
outlier services MAP amounts and
fixed-dollar loss amounts are different
for adult and pediatric patients due to
differences in the utilization of
separately billable services among adult
37827
and pediatric patients (75 FR 49140). As
we explained in the CY 2011 ESRD PPS
final rule (75 FR 49138 through 49139),
the predicted outlier services MAP
amounts for a patient are determined by
multiplying the adjusted average outlier
services MAP amount by the product of
the patient-specific case-mix adjusters
applicable using the outlier services
payment multipliers developed from the
regression analysis to compute the
payment adjustments.
For the CY 2016 outlier policy, we
would use the existing methodology for
determining outlier payments by
applying outlier services payment
multipliers that resulted from the
updated regression analyses performed
for this proposed rule. The updated
outlier services payment multipliers are
represented by the updated separately
billable payment multipliers presented
in Table 4 for patients age 18 years and
older and in Table 5 for patients age <18
years. We used these updated outlier
services payment multipliers to
calculate the predicted outlier service
MAP amounts and projected outlier
payments for CY 2016.
For CY 2016, we propose that the
outlier services MAP amounts and
fixed-dollar loss amounts would be
derived from claims data from CY 2014.
Because we believe that any
adjustments made to the MAP amounts
under the ESRD PPS should be based
upon the most recent data year available
in order to best predict any future
outlier payments, we propose the outlier
thresholds for CY 2016 would be based
on utilization of renal dialysis items and
services furnished under the ESRD PPS
in CY 2014. We recognize that the
utilization of ESAs and other outlier
services have continued to decline
under the ESRD PPS, and that we have
lowered the MAP amounts and fixeddollar loss amounts every year under
the ESRD PPS. However, we believe for
the first time since the implementation
of the ESRD PPS that data for CY 2014
is reflective of relatively stable ESA use.
We have included Table 6 (Total
Medicare ESA Utilization in the ESRD
Population) below to demonstrate the
leveling off of the decline in ESA
utilization.
tkelley on DSK3SPTVN1PROD with PROPOSALS3
TABLE 6—TOTAL MEDICARE ESA UTILIZATION IN THE ESRD POPULATION
2009
2010
2011
2012
2013
2014 1
1,319,383
280
1,262,186
242
1,143,405
291
Total ESA Utilization
Epogen (×100,000) ..................................
Darbepoetin (×100,000) ...........................
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2,083,893
533
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496
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1,655,778
379
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TABLE 6—TOTAL MEDICARE ESA UTILIZATION IN THE ESRD POPULATION—Continued
2009
2010
2011
2012
2013
2014 1
ESA Utilization per Session
Epogen .....................................................
Darbepoetin ..............................................
1 2014
5,404
1.38
5,171
1.24
3,995
0.91
3,078
0.65
2,895
0.55
2,858
0.73
based on December 2014 claims.
i. CY 2016 Update to the Outlier
Services MAP Amounts and FixedDollar Loss Amounts
For CY 2016, we are not proposing
any change to the methodology used to
compute the MAP or fixed-dollar loss
amounts. Rather, we will continue to
update the outlier services MAP
amounts and fixed-dollar loss amounts
to reflect the utilization of outlier
services reported on 2014 claims. For
this proposed rule, the outlier services
MAP amounts and fixed dollar loss
amounts were updated using the 2014
claims from the March 2015 claims file.
The impact of this update is shown in
Table 7, which compares the outlier
services MAP amounts and fixed-dollar
loss amounts used for the outlier policy
in CY 2015 with the updated proposed
estimates for this rule. The estimates for
the proposed CY 2016 outlier policy,
which are included in Column II of
Table 7, were inflation adjusted to
reflect projected 2016 prices for outlier
services.
TABLE 7—OUTLIER POLICY: IMPACT OF USING UPDATED DATA TO DEFINE THE OUTLIER POLICY
Column I
Final outlier policy for CY 2015
(based on 2013 data price inflated to 2015) *
Age
< 18
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Average outlier services MAP amount per treatment .....................................
Adjustments:
Standardization for outlier services ..........................................................
MIPPA reduction .......................................................................................
Adjusted average outlier services MAP amount ......................................
Fixed-dollar loss amount that is added to the predicted MAP to determine
the outlier threshold .....................................................................................
Patient months qualifying for outlier payment .................................................
As demonstrated in Table 7, the
estimated fixed-dollar loss amount per
treatment that determines the CY 2016
outlier threshold amount for adults
(Column II; $85.66) is slightly lower
than that used for the CY 2015 outlier
policy (Column I; $86.19). The lower
threshold is accompanied by a decline
in the adjusted average MAP for outlier
services from $51.29 to $48.15. For
pediatric patients, the fixed dollar loss
amount also fell, from $54.35 to $49.99.
Likewise, the adjusted average MAP for
outlier services fell from $43.57 to
$37.82.
We estimate that the percentage of
patient months qualifying for outlier
payments in CY 2016 will be 6.4 percent
for adult patients and 7.7 percent for
pediatric patients, based on the 2014
claims data. The pediatric outlier MAP
and fixed-dollar loss amounts continue
to be lower for pediatric patients than
adults due to the continued lower use
of outlier services (primarily reflecting
lower use of ESAs and other injectable
drugs).
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Age
>= 18
$52.98
$38.87
$50.20
1.1145
0.98
43.57
0.9878
0.98
51.29
0.9929
0.98
37.82
0.9788
0.98
48.15
54.35
6.3%
86.19
6.3%
49.99
7.7%
85.66
6.4%
In the CY 2011 ESRD PPS final rule
(75 FR 49081), in accordance with 42
CFR 413.220(b)(4), we reduced the per
treatment base rate by 1 percent to
account for the proportion of the
estimated total payments under the
ESRD PPS that are outlier payments.
Based on the 2014 claims, outlier
payments represented approximately
0.9 percent of total payments, slightly
below the 1 percent target due to small
declines in the use of outlier services.
Recalibration of the thresholds using
2014 data is expected to result in
aggregate outlier payments close to the
1 percent target in CY 2016. We believe
the update to the outlier MAP and fixeddollar loss amounts for CY 2016 will
increase payments for ESRD
beneficiaries requiring higher resource
utilization and move us closer to
meeting our 1 percent outlier policy. We
note that recalibration of the fixeddollar loss amounts in this proposed
rule would result in no change in
payments to ESRD facilities for
beneficiaries with renal dialysis items
and services that are not eligible for
Frm 00022
Age
< 18
$39.89
ii. Outlier Policy Percentage
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Age
>= 18
Column II
Proposed outlier policy for CY
2016 (based on 2014 data
price inflated to 2016) *
outlier payments, but would increase
payments to ESRD facilities for
beneficiaries with renal dialysis items
and services that are eligible for outlier
payments. Therefore, beneficiary coinsurance obligations would also
increase for renal dialysis services
eligible for outlier payments.
We note that many industry
stakeholder associations and renal
facilities have expressed
disappointment that the outlier target
percentage has not been achieved under
the ESRD PPS and have asked that CMS
eliminate the outlier policy. With regard
to the suggestion that we eliminate the
outlier adjustment altogether, we note
that, under section 1881(b)(14)(D)(ii) of
the Act, the ESRD PPS must include a
payment adjustment for high cost
outliers due to unusual variations in the
type or amount of medically necessary
care, including variations in the amount
of erythropoiesis stimulating agents
necessary for anemia management. We
believe that the ESRD PPS is required to
include an outlier adjustment in order
to comply with section
1881(b)(14)(D)(ii) of the Act.
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In addition, we believe that the ESRD
PPS base rate captures the cost for the
average renal patient, and to the extent
data analysis continues to show that
certain patients, including certain racial
and ethnic groups, receive more ESAs
than the average patient, we believe an
outlier policy, even a small one, is an
important payment adjustment to
provide under the ESRD PPS. We are
not proposing to modify the 1 percent
outlier percentage for CY 2016 because
we believe that the regression analysis
continues to demonstrate high cost
patients and that the proposed
elimination of the comorbidity
categories of bacterial pneumonia and
monoclonal gammopathy and other
regression updates would assist
facilities in receiving outlier payments
in CY 2016 that are 1 percent of total
ESRD PPS payments.
We understand the industry’s
frustration that payments under the
outlier policy have not reached 1
percent of total ESRD PPS payments
since the implementation of the
payment system. As we explained in the
CY 2014 ESRD PPS final rule (78 FR
72165), each year we simulate payments
under the ESRD PPS in order to set the
outlier fixed-dollar loss and MAP
amounts for adult and pediatric patients
to try to achieve the 1 percent outlier
policy. We would not increase the base
rate to account for years where outlier
payments were less than 1 percent of
total ESRD PPS payments, nor would
we reduce the base rate if the outlier
payments exceed 1 percent of total
ESRD PPS payments.
We believe the 1 percent outlier
percentage has not been reached under
the payment system due to the
significant drop, over 25 percent, in the
utilization of high cost drugs such as
Epogen since the implementation of the
payment system. However, we have
learned in our discussions with ESRD
facilities that many facilities are not
willing to report outlier services on the
ESRD facility monthly claim form as
they do not believe that they will reach
the outlier threshold. We issued subregulatory guidance for CY 2015 that
instructs ESRD facilities to include all
composite rate drugs and biologicals
furnished to the beneficiary on the
monthly claim form (Change Request
8978, issued December 2, 2014). In CY
2015 ESRD PPS final rule (79 FR 66149
through 66150), we discussed the drug
categories that we consider to be used
for the treatment of ESRD with the
expectation that all of those drugs and
biologicals would be reported on the
claim. In addition to this guidance, we
also have included a clarification for
how facilities are to report laboratory
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services and drugs and biologicals on
the monthly claim form in sections
II.C.1 and II.C.2 of this proposed rule,
respectively.
d. Annual Updates and Policy Changes
to the CY 2016 ESRD PPS
i. ESRD PPS Base Rate
In the CY 2011 ESRD PPS final rule
(75 FR 49071 through 49083), we
discussed the implementation of the
ESRD PPS per treatment base rate that
is codified in the Medicare regulations
at § 413.220 and § 413.230. The CY 2011
ESRD PPS final rule also provides a
detailed discussion of the methodology
used to calculate the ESRD PPS base
rate and the computation of factors used
to adjust the ESRD PPS base rate, outlier
payments, and geographic wage budget
neutrality in accordance with sections
1881(b)(14)(D)(ii) and 1881(b)(14)(A)(ii)
of the Act, respectively. Specifically, the
ESRD PPS base rate was developed from
CY 2007 claims, that is, the lowest per
patient utilization year as required by
section 1881(b)(14)(A)(ii) of the Act,
updated to CY 2011, and represented
the average per treatment MAP for renal
dialysis services. The payment system is
updated annually by the ESRDB market
basket less productivity adjustment
which is discussed in section II.B.2.a.iv
of this proposed rule.
ii. Annual Payment Rate Update for CY
2016
We are proposing an ESRD PPS base
rate for CY 2016 of $230.20. This update
reflects several factors, described in
more detail below.
Market Basket Increase: Section
1881(b)(14)(F)(i)(I) of the Act provides
that, beginning in 2012, the ESRD PPS
payment amounts are required to be
annually increased by the ESRD market
basket percentage increase factor. The
latest CY 2016 projection for the ESRDB
market basket is 2.0 percent. In CY
2016, this amount must be reduced by
1.25 percentage points as required by
section 1881(b)(14)(F)(i)(I), as amended
by section 217(b)(2)(A) of PAMA, which
is calculated as 2.0¥1.25 = 0.75. This
amount is then further reduced by the
productivity adjustment described in
section 1886(b)(3)(B)(xi)(II) of the Act as
required by section 1881(b)(14)(F)(i)(II)
of the Act. The proposed multi-factor
productivity adjustment for CY 2016 is
0.6, thus yielding a proposed update to
the base rate of 0.15 percent for CY 2016
(0.75¥0.6 = 0.15 percent).
Wage Index Budget-Neutrality
Adjustment Factor: We compute a wage
index budget-neutrality adjustment
factor that is applied to the ESRD PPS
base rate. For CY 2016, we are not
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37829
proposing any changes to the
methodology used to calculate this
factor which is described in detail in CY
2014 ESRD PPS final rule (78 FR 72174).
The CY 2016 proposed wage index
budget-neutrality adjustment factor is
1.000332.
Refinement Budget-Neutrality
Adjustment Factor: In order to
implement the refinement in a budgetneutral manner, we are proposing to
adjust the ESRD PPS base rate by a
budget-neutrality adjustment factor so
that total projected PPS payments in CY
2016 are equal to what the payments
would have been in CY 2016 had we not
implemented the refinement. In CY
2011, we standardized the base rate to
account for the overall effects of the
ESRD PPS adjustment factors by making
a 5.93 percent reduction to the base rate.
To account for the overall effects of the
refinement, we are proposing a 4
percent reduction (that is, a factor of
0.959703) to the ESRD PPS base rate to
account for the additional dollars paid
to facilities through the payment
adjustments. While the per treatment
base rate would be reduced, we believe
that this refinement improves payment
accuracy and we would expect
payments to be better targeted to those
characteristics that increase costs for
facilities. Notably, a significant portion
of impact of the adjusters on the base
rate arises from changes in the age
adjustments.
In summary, we are proposing a CY
2016 ESRD PPS base rate of $230.20.
This reflects a market basket increase of
0.15 percent, the CY 2016 wage index
budget-neutrality adjustment factor of
1.000332, and the refinement budgetneutrality adjustment of 0.959703.
3. Section 217(c) of PAMA and the
ESRD PPS Drug Designation Process
As part of the CY 2016 ESRD PPS
rulemaking, section 217(c) of PAMA
requires the Secretary to implement a
drug designation process for—
(1) Determining when a product is no
longer an oral-only drug; and
(2) Including new injectable and
intravenous products into the bundled
payment under such system.
In accordance with section 217(c) of
PAMA, we are proposing a process that
would allow us to recognize when an
oral-only renal dialysis service drug or
biological is no longer oral only and to
include new injectable and intravenous
products into the ESRD PPS bundled
payment, and, when appropriate, to
modify the ESRD PPS payment amount
to reflect the costs of furnishing a new
injectable or intravenous renal dialysis
service drug or biological that is not
bundled in the ESRD PPS payment
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amount. We believe that this process,
which we refer to as the drug
designation process under the ESRD
PPS, would provide a systematic
method for including new injectable
and intravenous drugs and biologicals
that are designated as renal dialysis
services in the ESRD PPS bundled
payment.
tkelley on DSK3SPTVN1PROD with PROPOSALS3
a. Stakeholder Comments From the CY
2015 ESRD PPS Proposed and Final
Rules
In the CY 2015 ESRD PPS proposed
rule (79 FR 40235), we sought
stakeholder comments on the potential
components of a drug designation
process. While we did not directly
address these comments in our CY 2015
final rule, we committed to considering
the comments in formulating our drug
designation process proposal in CY
2016. We were encouraged by the
consensus among stakeholders
regarding the significant and
fundamental elements of a drug
designation process and the
recommendation that CMS rely upon
the rulemaking process when
considering any change to the ESRD
PPS to account for new injectable and
intravenous drugs or biologicals. We
contemplated these comments in the
development of the drug designation
process proposed below.
We note that commenters largely
emphasized the additional costs
associated with furnishing new
injectable and intravenous renal dialysis
services and encouraged CMS to use the
most recent year of data for pricing and
utilization when adding new injectable
drugs and biologicals to the bundled
payment. Specifically, an industry
association and many of its members
offered a 7-principle drug designation
process that included:
• A clear definition of what drugs and
biologicals are in the ESRD PPS.
• A criterion related to the frequency
with which a drug or biological may be
used.
• A criterion for determining when
drugs or biologicals are equivalent or
interchangeable with existing products
that are already in the bundle.
• Reliance upon rulemaking
whenever making changes to the
bundle.
• A transition for adding new drugs
and biologicals to the ESRD bundle.
• Tracking of costs of new drugs and
biologicals before adding them to the
ESRD bundle.
• An increase in the bundled rate to
cover the costs of providing such drugs
and biologicals.
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b. Background
Section 1881(b)(14)(A)(i) of the Act
requires the Secretary to implement the
ESRD PPS, under which a single
payment is made to a provider of
services or a renal dialysis facility for
renal dialysis services in lieu of any
other payment. The renal dialysis
services that are included in the ESRD
PPS bundle are described in section
1881(b)(14)(B) of the Act and include: (i)
Items and services included in the
composite rate for renal dialysis services
as of December 31, 2010; (ii)
erythropoiesis stimulating agents (ESAs)
and any oral form of such agents that are
furnished to individuals for the
treatment of ESRD; (iii) other drugs and
biologicals that are furnished to
individuals for the treatment of ESRD
and for which payment was made
separately under Title XVIII of the Act,
and any oral equivalent form of such
drug or biological; and (iv) diagnostic
laboratory tests and other items and
services not described in clause (i) that
are furnished to individuals for the
treatment of ESRD.
We implemented the ESRD PPS in our
CY 2011 ESRD PPS final rule (75 FR
49030 through 49214) and codified our
definition of renal dialysis services at 42
CFR 413.171. In addition to former
composite rate items and services and
ESAs, we defined renal dialysis services
at 42 CFR 413.171(3) as including other
drugs and biologicals that are furnished
to individuals for the treatment of ESRD
and for which payment was (prior to
January 1, 2011) made separately under
Title XVIII of the Act (including drugs
and biologicals with only an oral form).
In the CY 2011 ESRD PPS final rule (75
FR 49037 through 49053), we discussed
the other drugs and biologicals
referenced at 42 CFR 413.171(3) and
finalized how they were included in the
ESRD PPS. We explained that we
interpreted clause (iii) as encompassing
not only injectable drugs and biologicals
(other than ESAs) used for the treatment
of ESRD, but also all non-injectable
drugs furnished under Title XVIII of the
Act (75 FR 49039). Under this
interpretation, the ‘‘any oral equivalent
form of such drug or biological’’
language pertains to the oral versions of
injectable drugs other than ESAs. In
addition, as we discuss in section II.B.4
of this proposed rule (75 FR 49040), we
concluded that, to the extent oral-only
drugs and biologicals that are used for
the treatment of ESRD do not fall within
clause (iii) of the statutory definition of
renal dialysis services, such drugs
would fall under clause (iv).
In the CY 2011 ESRD PPS final rule
(75 FR 49044 through 49053) we
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explained that to identify drugs and
biologicals that are used for the
treatment of ESRD and that therefore
meet the definition of renal dialysis
services that would be included in the
ESRD PPS base rate, we performed an
extensive analysis of Medicare
payments for Part B drugs and
biologicals billed on ESRD claims and
said that we evaluated each drug and
biological to identify its category by
indication or mode of action. We also
explained that categorizing drugs and
biologicals on the basis of drug action
would allow us to determine which
categories (and therefore, the drugs and
biologicals within the categories) would
be considered used for the treatment of
ESRD (75 FR 49047).
Using this approach, in our CY 2011
ESRD PPS final rule we established
categories of drugs and biologicals that
are not considered used for the
treatment of ESRD (75 FR 49049–
49050), categories that are always
considered used for the treatment of
ESRD (75 FR 49050), and categories of
drugs that may be used for the treatment
of ESRD but are also commonly used to
treat other conditions (75 FR 49051).
Those drugs and biologicals that were
identified as not used for the treatment
of ESRD were not considered renal
dialysis services and therefore these
drugs were not included in computing
the base rate. The categories of drugs
and biologicals that are always
considered used for the treatment of
ESRD were identified as access
management, anemia management, antiinfectives (specifically vancomycin and
daptomycin used to treat access site
infections) bone and mineral
metabolism, and cellular management
(75 FR 49050). We note that we removed
anti-infectives from the list of categories
of drugs and biologicals that are
included in the ESRD PPS base rate and
not separately payable in the CY 2015
ESRD PPS final rule (79 FR 66149–
66150). The current categories of drugs
that are included in the ESRD PPS base
rate and that may be used for the
treatment of ESRD but are also
commonly used to treat other conditions
are antiemetics, anti-infectives,
antipruritics, anxiolytics, drugs used for
excess fluid management, drugs used for
fluid and electrolyte management
including volume expanders, and pain
management (analgesics) (79 FR 66150).
In the CY 2011 ESRD PPS final rule
(75 FR 49050) we explained that for
those categories of drugs and biologicals
that are always considered used for the
treatment of ESRD we used the
payments for the drugs included in the
category in computing the ESRD PPS
base rate, that is, the injectable forms
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(previously covered under Part B) and
oral or other forms of administration
(covered under Part D). For purposes of
the inclusion of payments related to the
oral or other forms of administration for
those drugs that are always considered
used for the treatment of ESRD, we
stated that based on our determination
at the time of the final rule, there were
oral or other forms of injectable drugs
only for the bone and mineral
metabolism and cellular management
categories. Therefore, we included the
payments under Part D for oral vitamin
D (calcitrol, doxercalcitrol and
paracalcitrol) and oral levocarnitine in
our computation of the base rate (75 FR
49042).
Regarding why we chose to identify
ESRD drugs and biologicals by category
rather than in a specific list, in response
to a commenter’s request to provide a
specific list of ESRD-only drugs, we
explained that using categories of drugs
and biologicals allows us to respond to
changes in drug therapies over time
based upon many factors including new
developments, evidence-based
medicine, and patient outcomes (75 FR
49050). By categorizing drugs and
biologicals based on drug action, we can
account for other drugs and biologicals
that may be used for those same actions
in the future under the ESRD PPS. We
further explained that, while we have
included drugs and biologicals used in
2007 in the final ESRD base rate, we
recognize that these may change.
Because there are many drugs and
biologicals that have many uses and
because new drugs and biologicals are
being developed, we stated that we did
not believe that a drug-specific list
would be beneficial (75 FR 49050).
Rather than specifying the specific
drugs and biologicals used for the
treatment of ESRD, we identified drugs
and biologicals based on the mechanism
of action. We stated that we did not
finalize a specific list of the drugs and
biologicals because we did not want to
inadvertently exclude drugs that may be
substitutes for drugs identified and we
wanted the ability to reflect new drugs
and biologicals as they become
available. We did, however, provide a
list of the specific Part B drugs and
biologicals that were included in the
proposed and final ESRD PPS base rate
in Table C in the Appendix of the CY
2011 ESRD PPS final rule (75 FR 49205
through 49209) and a list of the former
Part D drugs that were bundled in the
ESRD PPS in Table C in the Appendix
of the final rule (75 FR 49210). This list
is located at the following address:
https://www.gpo.gov/fdsys/pkg/FR-201008-12/pdf/2010-18466.pdf.
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We emphasized that any drug or
biological furnished for the purpose of
access management, anemia
management, vascular access or
peritonitis, cellular management and
bone and mineral metabolism will be
considered a renal dialysis service
under the ESRD PPS and will not be
eligible for separate payment. We also
noted that any ESRD drugs or
biologicals developed in the future that
are administered by a route of
administration other than injection or
oral would be considered renal dialysis
services and would be in the ESRD PPS
bundled base rate. We also stated that
any drug or biological used as a
substitute for a drug or biological that
was included in the ESRD PPS bundled
base rate would also be a renal dialysis
service and would not be eligible for
separate payment (75 FR 49050).
In the CY 2011 ESRD PPS final rule
(75 FR 49050 through 49051) we
explained that for categories of drugs
and biologicals that may be used for the
treatment of ESRD but are also
commonly used to treat other
conditions, we used the payments made
under Part B in 2007 for these drugs in
computing the ESRD PPS base rate,
which only included payments made for
the injectable forms of the drugs. We
excluded the Part D payments for the
oral (or other form of administration)
substitutes for the drugs and biological
described above because they were not
furnished or billed by ESRD facilities or
furnished in conjunction with dialysis
treatments (75 FR 49051). For those
reasons, we presumed that these drugs
and biologicals that were paid under
Part D were prescribed for reasons other
than for the treatment of ESRD.
However, we noted that if these drugs
and biologicals currently paid under
Part D are furnished by an ESRD facility
for the treatment of ESRD, they would
be considered renal dialysis services
and we would not provide separate
payment.
In the CY 2011 ESRD PPS final rule
(75 FR 49075), we included in Table 19
the Medicare allowable payments for all
of the components of the ESRD PPS base
rate for CY 2007 inflated to CY 2009,
including payments for drugs and
biologicals and the amount each
contributed to the base rate, except for
the oral-only renal dialysis drugs where
payment under the ESRD PPS has been
delayed. We grouped the injectable and
intravenous drugs and biologicals by
action, specifically, into functional
categories. In past rules we have
referred to these categories as drug
categories but we believe the term
functional categories is more precise
and better reflects how we use the
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37831
categories. We propose to define this
term in 42 CFR 413.234(a) later in this
discussion. Since the ESRD PPS CY
2011 final rule was published, the base
rate has been updated by the ESRDB
market basket, discussed in section
II.B.2.a of this proposed rule, which
reflects changes in the drug price
indices. In addition, we have designated
several new drugs and biologicals as
renal dialysis services because they fit
within the functional categories
captured in the base rate and no
adjustment to the base rate was made.
We are proposing that this approach of
considering drugs and biologicals as
included in the ESRD PPS base rate if
they fit within one of our functional
categories would continue as part of the
drug designation process described
below.
c. Proposed Drug Designation Process
i. Inclusion of New Injectable and
Intravenous Products in the ESRD PPS
Bundled Payment
In accordance with section 217(c)(2)
of PAMA, we propose to include new
injectable and intravenous products in
the ESRD PPS bundled payment by first
determining whether the new injectable
or intravenous products are reflected
currently in the ESRD PPS. We propose
to make this determination by assessing
whether the product can be used to treat
or manage a condition for which there
is an ESRD PPS functional category.
Under our proposed regulation at 42
CFR 413.234(b)(1), if the new injectable
or intravenous product can be used to
treat or manage a condition for which
there is an ESRD PPS functional
category, the new injectable or
intravenous product would be
considered reflected in the ESRD PPS
bundled payment and no separate
payment would be available.
Specifically, any new drug, biosimilar,
or biologic that fits into one of the ESRD
functional categories would be
considered to be included in the ESRD
PPS. These drugs and biologicals would
count toward the calculation of an
outlier payment. In the calculation of
the outlier payment we price drugs
using the ASP payment methodology,
which is currently ASP+6 percent.
If, however, the new injectable or
intravenous product is used to treat or
manage a condition for which there is
not an ESRD PPS functional category,
the new injectable or intravenous
product would not be considered
included in the ESRD PPS bundled
payment, and we propose to take the
following steps as described in our
proposed regulation at § 413.234(b)(2):
(i) Revise an existing ESRD PPS
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functional category or add a new ESRD
PPS functional category for the
condition that the new injectable or
intravenous product is used to treat or
manage; (ii) pay for the new injectable
or intravenous product using the
transitional drug add-on payment
adjustment discussed in section
II.B.3.c.ii below; and (iii) add the new
injectable or intravenous product to the
ESRD PPS bundled payment following
payment of the transitional drug add-on
payment adjustment.
For purposes of the drug designation
process, we propose to define a new
injectable or intravenous product in our
regulation at § 413.234(a) as an
injectable or intravenous product that is
approved by the Food and Drug
Administration (FDA) under section 505
of the Federal Food, Drug, and Cosmetic
Act or section 351 of the Public Health
Service Act, commercially available,
assigned a Healthcare Common
Procedure Coding System (HCPCS)
code, and designated by CMS as a renal
dialysis service under § 413.171.
Following FDA approval, injectable or
intravenous drugs then go through a
process to establish a billing code,
specifically a HCPCS code. Information
regarding the HCPCS process is
available on the CMS Web site at
https://www.cms.gov/medicare/coding/
MedHCPCSGenInfo/Application_Form_
and_Instructions.html. We would
designate injectable and intravenous
products as renal dialysis services under
the ESRD PPS by analyzing the FDA
labeling information, the HCPCS
application information, and studies
submitted as part of these two
standardized processes. A change
request would be issued to include new
drugs added to the functional categories.
We propose to define ESRD PPS
functional category at § 413.234(a) as a
distinct grouping of drugs and
biologicals, as determined by CMS,
whose end action effect is the treatment
or management of a condition or
conditions associated with ESRD. We
would codify this definition in
regulation text to formalize the
approach we adopted in CY 2011
because the drug designation process is
dependent on the functional categories.
As discussed above, we have
established 12 functional categories that
are used to treat conditions associated
with ESRD, which are displayed in
Table 8 below.
TABLE 8—ESRD PPS FUNCTIONAL CATEGORIES
Category
Rationale for association
Access Management ......................
Drugs used to ensure access by removing clots from grafts, reverse anticoagulation if too much medication
is given, and provide anesthetic for access placement.
Drugs used to stimulate red blood cell production and/or treat or prevent anemia. This category includes
ESAs as well as iron.
Drugs used to prevent/treat bone disease secondary to dialysis. This category includes phosphate binders
and calcimimetics.
Drugs used for deficiencies of naturally occurring substances needed for cellular management. This category includes levocarnitine.
Used to prevent or treat nausea and vomiting secondary to dialysis. Excludes antiemetics used in conjunction with chemotherapy as these are covered under a separate benefit category.
Used to treat infections. May include antibacterial and antifungal drugs.
Drugs in this classification have multiple clinical indications and are included for their action to treat itching
secondary to dialysis.
Drugs in this classification have multiple actions but are included for the treatment of restless leg syndrome secondary to dialysis.
Drug/fluids used to treat fluid excess/overload.
Intravenous drugs/fluids used to treat fluid and electrolyte needs.
Anemia Management ......................
Bone and Mineral Metabolism ........
Cellular Management ......................
Antiemetic .......................................
Anti-infectives ..................................
Antipruritic .......................................
Anxiolytic .........................................
Excess Fluid Management .............
Fluid and Electrolyte Management
Including Volume Expanders.
Pain Management ...........................
Drugs used to treat graft site pain and to treat pain medication overdose.
We propose to determine whether a
new injectable or intravenous product
falls into one of our existing functional
categories by assessing whether the
product is used to treat or manage the
condition for which we have created a
category. We believe that this approach
to determining whether a new drug falls
into one of our existing drug categories
is consistent with the policy we
finalized in the CY 2011 ESRD PPS final
rule (75 FR 49047 through 49052).
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ii. Transitional Drug Add-On Payment
Adjustment
We anticipate that there may be new
drugs that do not fall within the existing
ESRD PPS functional categories and
therefore, are not reflected in the ESRD
PPS payment amount. Where a new
injectable or intravenous product is
used to treat or manage a condition for
which there is not a functional category,
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we propose to pay for the new injectable
or intravenous product using a
transitional drug add-on payment
adjustment under the authority of
section 1881(b)(14)(D)(iv) of the Act.
The transitional drug add-on payment
adjustment would be based on the ASP
pricing methodology and would be paid
until we have collected sufficient claims
data for rate setting for the new
injectable or intravenous product, but
not for less than 2 years. We believe that
a 2-year timeframe is necessary for
adequate data collection, rate-setting
and regulation development. Two years
is necessary for rulemaking purposes
because it is a year-long process that
involves developing policies based on
data, proposing those policies, allowing
for public comment, finalizing the
proposed rule, and allowing for a period
of time before the rule becomes
effective. The minimum 2-year period
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also allows 1 year for payment of the
adjustment before the beginning of a
rulemaking cycle in which we could
propose to add the drug to the bundled
payment. For these reasons, we believe
2 years is the minimum amount of time
necessary to pay the adjustment. The
proposed regulation text for the
transitional drug add-on payment
adjustment is at § 413.234(c).
We believe paying a transitional drug
add-on payment adjustment for new
injectable and intravenous products will
allow us to analyze price and utilization
data for both the injectable and, if
applicable, any oral or other forms of
the drug in order to pay for the drugs
under the ESRD PPS. We propose that
when a facility furnishes the new
injectable drug they would report the
drug to Medicare on the monthly facility
bill and would append a CMS payment
modifier that would instruct our claims
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processing systems to include a
payment amount that equals the Part B
drug payment amount, which is derived
using the ASP methodology. We believe
that this payment approach is consistent
with the policy we finalized in the CY
2013 ESRD PPS final rule (77 FR 67463)
which states that we will use the ASP
methodology, including any
modifications finalized in the Physician
Fee Schedule (PFS) final rules, to
compute outlier MAP amounts, the drug
add-on (formerly paid under the
composite rate and no longer paid as
part of the ESRD PPS), and any other
policy that requires the use of payment
amounts for drugs and biologicals that
would be separately paid absent the
ESRD PPS. We would issue subregulatory billing and payment guidance
along with the payment modifier in
conjunction with our final rule
guidance. Under our proposed
regulations at § 413.234(c), following
payment of the transitional drug add-on
payment adjustment, we would propose
to modify the ESRD PPS base rate, if
appropriate, to account for the new
injectable or intravenous product.
We note that outlier payments would
not be available for new injectable or
intravenous products during the time in
which these products are paid for using
the new transitional drug add-on
payment adjustment. While a new
injectable drug or biological being paid
under the transitional drug-add would
otherwise be considered an outlier
service because the drug or biological
would have been considered separately
billable prior to the implementation of
the ESRD PPS, we do not believe that it
would be appropriate to include the
payment amount for the new drug or
biological in the outlier calculation
during this interim transition period.
This is because during the interim
period we would be making a payment
for the specific drug in addition to the
base rate, whereas outlier services have
been incorporated into the base rate. For
example, we have included the MAP
amount for EPO in the base rate and it
qualifies as an outlier. However, when
the product is reflected in the base rate
after payment of the transitional drug
add-on payment adjustment, it would be
considered eligible for outlier payments
discussed in section II.B.2.c of this rule.
iii. Determination of When an Oral-Only
Renal Dialysis Service Drug is no Longer
Oral-Only
Section 217(c)(1) of PAMA requires us
to adopt a process for determining when
oral-only drugs are no longer oral-only.
In our CY 2011 ESRD PPS final rule (75
FR 49038 through 49039), we described
oral-only drugs as those that have no
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injectable equivalent or other form of
administration. We propose to define
the term oral-only drug as part of our
drug designation process in our
regulations at 42 CFR 413.234(a). For CY
2016, and in accordance with Section
217(c)(1) of PAMA, we propose that an
oral-only drug would no longer be
considered oral-only if an injectable or
other form of administration of the oralonly drug is approved by the FDA. We
propose to codify this process in our
regulations at 42 CFR 413.234(d).
We note that the FDA has well
defined standards for identifying all
drug dosages and forms of
administration that are approved for use
in the United States and this list may be
viewed at www.FDA.gov/
developmentapprovalprocess.gov.
In the CY 2011 ESRD PPS proposed
and final rules (74 FR 49929 and 75 FR
49038), we noted that the only oral-only
drugs and biologicals that we identified
were phosphate binders and
calcimimetics, which fall into the bone
and mineral metabolism category. We
defined these oral-only drugs as renal
dialysis services in our regulations at
§ 413.171 (75 FR 49044), we delayed the
Medicare Part B payment for these oralonly drugs until CY 2014 at
§ 413.174(f)(6) and continued to pay for
them under Medicare Part D. If
injectable or intravenous forms of
phosphate binders or calcimimetics are
approved by the FDA, under our
proposed drug designation process at
§ 413.234(b)(1), these drugs would be
considered reflected in the ESRD PPS
bundled payment because these drugs
are included in an existing functional
category so no additional payment
would be available for inclusion of these
drugs.
However, we are proposing that we
would not apply this process to
injectable or intravenous forms of
phosphate binders and calcimimetics
when they are approved because
payment for the oral forms of these
drugs was delayed. As we discussed
above, we determined in CY 2011 that
both classes of drugs (phosphate binders
and calcimimetics) were furnished for
the treatment of ESRD and are therefore
renal dialysis services. In addition, we
had utilization data for both classes of
drugs because the oral versions existed
at that time. However, for reasons
discussed in the CY 2011 ESRD PPS
final rule (75 FR 49043 through 49044),
we chose to delay their inclusion in the
payment amount. We propose that when
a non-oral version of a phosphate binder
or calcimimetic is approved by the FDA,
we would include the oral and any nonoral version of the drug in the ESRD PPS
bundled payment. Specifically, we
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37833
propose that we would develop a
computation for the inclusion of the oral
and non-oral forms of the phosphate
binder or calcimimetic so that the drug
could be appropriately reflected in the
ESRD PPS base rate. We would not take
this approach for any subsequent drugs
that are approved by the FDA and fall
within the bone and mineral
metabolism functional category (or any
other functional categories) because we
did not delay payment for any other
drugs or biologicals for which we had
2007 utilization data when the ESRD
PPS was implemented in CY 2011 and,
therefore, we believe the other
functional categories appropriately
reflect renal dialysis service drugs and
biologicals.
4. Delay of Payment for Oral-Only Renal
Dialysis Services
As we discussed in the CY 2014 ESRD
PPS final rule (78 FR 72185 through
72186) and again in the CY 2015 ESRD
PPS final rule (79 FR 66147 through
66148), section 1881(b)(14)(A)(i) of the
Act requires the Secretary to implement
a payment system under which a single
payment is made to a provider of
services or a renal dialysis facility for
renal dialysis services in lieu of any
other payment. Section 1881(b)(14)(B) of
the Act defines renal dialysis services,
and subclause (iii) of such section states
that these services include other drugs
and biologicals that are furnished to
individuals for the treatment of ESRD
and for which payment was made
separately under this title, and any oral
equivalent form of such drug or
biological.
We interpreted this provision as
including not only injectable drugs and
biologicals used for the treatment of
ESRD (other than ESAs and any oral
form of ESAs, which are included under
clause (ii) of section 1881(b)(14)(B) of
the Act), but also all oral drugs and
biologicals used for the treatment of
ESRD and furnished under title XVIII of
the Act. We also concluded that, to the
extent oral-only drugs or biologicals
used for the treatment of ESRD do not
fall within clause (iii) of section
1881(b)(14)(B), such drugs or biologicals
would fall under clause (iv) of such
section, and constitute other items and
services used for the treatment of ESRD
that are not described in clause (i) of
section 1881(b)(14)(B).
We finalized and promulgated the
payment policies for oral-only renal
dialysis service drugs or biologicals in
the CY 2011 ESRD PPS final rule (75 FR
49038 through 49053), where we
defined renal dialysis services at 42 CFR
413.171 as including other drugs and
biologicals that are furnished to
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individuals for the treatment of ESRD
and for which payment was made
separately prior to January 1, 2011
under Title XVIII of the Act, including
drugs and biologicals with only an oral
form. Although we included oral-only
renal dialysis service drugs and
biologicals in the definition of renal
dialysis services in the CY 2011 ESRD
PPS final rule (75 FR 49044), we also
finalized a policy to delay payment for
these drugs under the PPS until January
1, 2014 in the same rule. We stated that
there were certain advantages to
delaying the implementation of
payment for oral-only drugs and
biologicals, including allowing ESRD
facilities additional time to make
operational changes and logistical
arrangements in order to furnish oralonly renal dialysis service drugs and
biologicals to their patients.
Accordingly, we codified the delay in
payment for oral-only renal dialysis
service drugs and biologicals at 42 CFR
413.174(f)(6), and provided that
payment to an ESRD facility for renal
dialysis service drugs and biologicals
with only an oral form is incorporated
into the PPS payment rates effective
January 1, 2014.
On January 3, 2013, ATRA was
enacted. Section 632(b) of ATRA
precluded the Secretary from
implementing the policy under 42 CFR
413.176(f)(6) relating to oral-only renal
dialysis service drugs and biologicals
prior to January 1, 2016. Accordingly, in
the CY 2014 ESRD PPS final rule (78 FR
72185 through 72186), we delayed
payment for oral-only renal dialysis
service drugs and biologicals under the
ESRD PPS until January 1, 2016. We
implemented this delay by revising the
effective date at § 413.174(f)(6) for
providing payment for oral-only renal
dialysis service drugs under the ESRD
PPS from January 1, 2014 to January 1,
2016. In addition, we changed the date
when oral-only renal dialysis service
drugs and biologicals would be eligible
for outlier services under the outlier
policy described in § 413.237(a)(1)(iv)
from January 1, 2014 to January 1, 2016.
On April 1, 2014, PAMA was enacted.
Section 217(a)(1) of PAMA amended
section 632(b)(1) of ATRA, which now
precludes the Secretary from
implementing the policy under 42 CFR
413.174(f)(6) relating to oral-only renal
dialysis service drugs and biologicals
prior to January 1, 2024. We
implemented this delay in the CY 2015
ESRD PPS final rule (79 FR 66262) by
modifying the effective date for
providing payment for oral-only renal
dialysis service drugs and biologicals
under the ESRD PPS at § 413.174(f)(6)
from January 1, 2016 to January 1, 2024.
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We also changed the date in
§ 413.237(a)(1)(iv) regarding outlier
payments for oral-only renal dialysis
service drugs made under the ESRD PPS
from January 1, 2016 to January 1, 2024.
On December 19, 2014, section 204 of
ABLE was enacted, which delays the
inclusion of renal dialysis service oralonly drugs and biologicals under the
ESRD PPS until 2025. It amended
section 632(b)(1) of ATRA, as amended
by section 217(a)(1) of PAMA by
striking ‘‘2024’’ and inserting ‘‘2025.’’
As we did in the CY 2014 ESRD PPS
final rule (78 FR 72186) and the CY
2015 ESRD PPS final rule (79 FR 66148)
referenced above, we are proposing to
implement this delay by modifying the
effective date for providing payment for
oral-only renal dialysis service drugs
and biologicals under the ESRD PPS at
42 CFR 413.174(f)(6) from January 1,
2024 to January 1, 2025. We also are
proposing to change the date in
§ 413.237(a)(1)(iv) regarding outlier
payments for oral-only renal dialysis
service drugs made under the ESRD PPS
from January 1, 2024 to January 1, 2025.
We continue to believe that oral-only
renal dialysis service drugs and
biologicals are an essential part of the
ESRD PPS bundle and should be paid
for under the ESRD PPS.
5. Reporting Medical Director Fees on
ESRD Facility Cost Reports
In the 1980s, following audits by the
Office of the Inspector General and the
Medicare administrative contractors
(MACs) that revealed instances in which
independent facilities compensated
their medical directors and
administrators excessively, CMS set
limits for reasonable compensation
when reporting medical director fees on
ESRD facility cost reports. End-Stage
Renal Disease Program; Prospective
Reimbursement for Dialysis Services
and Approval of Special Purpose Renal
Dialysis Facilities, 48 FR 21254, 21261
through 21262 (May 11, 1983); EndStage Renal Disease Program: Composite
Rates and Methodology for Determining
the Rates, 51 FR 29404, 29407 (Aug. 15,
1986). In Transmittal 12, issued in July
1989, of the Provider Reimbursement
Manual Part I, Chapter 27, titled,
‘‘Reimbursement for ESRD and
Transplant Services’’, CMS adopted a
policy for reporting allowable
compensation for physician owners and
medical directors of ESRD facilities and
set a limit at the Reasonable
Compensation Equivalent (RCE) limit of
the specialty of internal medicine for a
metropolitan area of greater than one
million people. In the Provider
Reimbursement Manual Part I, Chapter
27—Outpatient Maintenance Dialysis
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Services, 2723—Responsibility of
Intermediaries, we explain that the
intermediary reviews facility cost
reports to ensure that the compensation
paid to medical directors does not
exceed the RCE limit. The RCE limit for
a board-certified physician of internal
medicine has been updated over the
interim years. The most recent update to
the RCE limit was finalized in the FY
2015 IPPS final rule published on
August 22, 2014 (79 FR 50157 through
50162). In that rule, CMS finalized an
RCE limit of $197,500 per year
beginning in CY 2015 for a boardcertified physician of internal medicine.
The requirements for medical
directors of ESRD facilities are
discussed in the Conditions for
Coverage for ESRD facilities, which
were updated in 2008 to reflect
advances in dialysis technology and
standard care practices since the
requirements were last revised in their
entirety in 1976. Conditions for
Coverage for ESRD Facilities, (73 FR
20470) April 15, 2008). With the update
to the Conditions for Coverage, all
Medicare-certified ESRD facilities are
required to have a medical director who
is responsible for the delivery of patient
care and outcomes in the facility as
codified in 42 CFR part 494 (Conditions
for Coverage for End-Stage Renal
Disease Facilities). We discuss the
qualifications of an ESRD facility
medical director in 42 CFR 494.140(a)
(Standard: Medical director), where we
require that a medical director must be
a board-certified physician in internal
medicine or pediatrics by a professional
board and have completed a boardapproved training program in
nephrology with at least 12 months of
experience providing care to patients
receiving dialysis, but if such a
physician is not available, another
physician may direct the facility, subject
to the approval of the Secretary. We
recognize that the RCE limit of $197,500
per year for a board-certified physician
of internal medicine may be less than
the expense a facility incurs if they
employ a board-certified nephrologist as
their medical director.
We also appreciate that the reasonable
compensation limits are generally used
when determining payment for
providers that are reimbursed on a
reasonable cost basis; they typically are
not used in prospective payment
systems, like the ESRD PPS, that update
payment rates using market basket
methodologies. We believe that the
application of the RCE limit is no longer
relevant now that 100 percent of ESRD
facilities are paid under the ESRD PPS
beginning in CY 2014. Therefore,
beginning in CY 2016 we propose to
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eliminate the RCE limit for reporting an
ESRD facility’s medical director fees on
ESRD facility cost reports. We note that
the elimination of the RCE limit does
not supersede or alter in any way the
reporting guidance furnished in the
Provider Reimbursement Manual, Part
2, Chapter 42, sections 4210, 4210.1 and
4210.2. In addition, we will continue to
apply the ESRD facility-specific policy
under which the time spent by a
physician in an ESRD facility on
administrative duties is limited to 25
percent per facility unless
documentation is furnished supporting
the claim. In addition, if an individual
provides services to more than one
dialysis facility, the individual’s time
must be prorated among the different
facilities and may not exceed 100
percent.
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C. Clarifications Regarding the ESRD
PPS
1. Laboratory Renal Dialysis Services
Section 1881(b)(14)(B)(iv) of the Act
requires diagnostic laboratory tests not
included under the composite payment
rate (that is, laboratory services
separately paid prior to January 1, 2011)
to be included as part of the ESRD PPS
payment bundle. In the CY 2011 ESRD
PPS final rule (75 FR 49053), we defined
renal dialysis services at 42 CFR
413.171 to include items and services
included in the composite payment rate
for renal dialysis services as of
December 31, 2010 and diagnostic
laboratory tests and other items and
services not included in the composite
rate that are furnished to individuals for
the treatment of ESRD. The composite
payment rate covered routine items and
services furnished to ESRD beneficiaries
for outpatient maintenance dialysis,
including some laboratory tests. We
finalized a policy to include in the
definition of laboratory tests under 42
CFR 413.171(4) those laboratory tests
that were separately billed by ESRD
facilities as of December 31, 2010 and
laboratory tests ordered by a physician
who receives monthly capitation
payments (MCPs) for treating ESRD
patients that were separately billed by
independent laboratories (75 FR 49055).
We determined the average Medicare
Allowable Payment (MAP) amount was
$8.40, as listed on Table 19 titled,
‘‘Average Medicare Allowable Payments
for composite rate and separately
billable services, 2007, with adjustment
for price inflation to 2009’’ (75 FR
49075). This amount included the
laboratory tests that were already
included under the composite rate, as
well as laboratory tests billed separately
by ESRD facilities (that is, all laboratory
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services paid on the 72X claim
furnished in CY 2007) and laboratory
tests that were ordered by Monthly
Capitation Payment (MCP) practitioners
that were separately billed by
independent labs in CY 2007.
Through the comments we received
on the CY 2011 ESRD PPS proposed
rule, we learned that holding the ESRD
facilities responsible for any laboratory
test that is furnished in the ESRD
facility or ordered by an MCP could
have unintended consequences to
patients (75 FR 49054). In particular,
commenters noted that in many
instances the MCP physician is the
ESRD patient’s primary care physician
and often orders laboratory tests that are
unrelated to the patient’s ESRD. These
commenters raised concerns that
requiring ESRD facilities to pay for these
tests would result in large numbers of
tests that are unrelated to ESRD being
included in the ESRD bundle. We
agreed with commenters that it would
be in the best interest of the
beneficiaries for an ESRD facility to
draw blood for laboratory tests that are
not for the treatment of ESRD during the
dialysis session.
Commenters also requested that we
produce a list of the ESRD-related
laboratory tests that are included in the
ESRD PPS bundle (75 FR 49054). We
received several laboratory service lists
from the commenters that they
considered to be generally furnished for
the treatment of ESRD. While there was
agreement for many of the laboratory
services, the lists were inconsistent and
lacked stakeholder consensus. When
Medicare provides a payment for a
benefit that is based on a bundle of
items and services, CMS establishes
claims processing edits that prevent
payment in other settings for items and
services that are identified as being
accounted for in the bundled payment.
Therefore, we needed to develop a list
of ESRD-related laboratory tests to
implement claims processing edits that
prevent payment in other settings for
items and services that are identified as
renal dialysis services to ensure that
payment is not made to independent
laboratories for ESRD-related laboratory
tests. Under the ESRD PPS we call these
edits consolidated billing (CB)
requirements. We performed a clinical
review of the lists provided by the
industry and all of the laboratory tests
reported in the claims data to determine
which laboratory tests are routinely
furnished to ESRD beneficiaries for the
treatment of ESRD. Our clinical review
resulted in Table F in the Addendum of
the CY 2011 ESRD PPS final rule as the
list of laboratory tests that are subject to
the ESRD PPS CB requirements (75 FR
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37835
49213). We acknowledged in that rule
that the list of laboratory tests displayed
in Table F is not an all-inclusive list and
we recognized that there are other
laboratory tests that may be furnished
for the treatment of ESRD (75 FR 49169).
We stated in the Medicare Benefit
Policy Manual, Pub. 100–02, Chapter
11—End-Stage Renal Disease, Section
20.2 Laboratory Services, that the
determination of whether a laboratory
test is ESRD-related is a clinical
decision for the ESRD patient’s ordering
practitioner. If a laboratory test is
ordered for the treatment of ESRD, then
the laboratory test is not paid separately.
Due to the commenters’ concerns that
ESRD beneficiaries should be able to
have blood drawn for non-ESRD-related
laboratory tests in the ESRD facility, we
created a methodology for allowing
ESRD facilities to receive separate
payment when a laboratory service is
furnished for reasons other than for the
treatment of ESRD (75 FR 49054). We
created CB requirements using a
modifier to allow independent labs or
ESRD facilities (with the appropriate
clinical laboratory certification in
accordance with the Clinical Laboratory
Improvement Amendments), to receive
separate payment. This modifier, which
is called the AY modifier, serves as an
attestation that the item or service is
medically necessary for the patient but
is not being used for the treatment of
ESRD.
Following publication of the CY 2011
ESRD PPS final rule, we received
numerous inquiries regarding Table F
(75 FR 49213). Stakeholders have
communicated to us that having a list of
laboratory services that is not allinclusive is confusing because there is
no definitive guidance on which
laboratory tests are included in, and
excluded from, the ESRD PPS. They
further stated that leaving the
determination of when a laboratory test
is ordered for the treatment of ESRD to
the practitioner creates inconsistent
billing practices and potential overuse
of the AY modifier. Stakeholders stated
that practitioners can have different
positions on when a laboratory test is
being ordered for the treatment of ESRD.
For example, some practitioners may
believe that laboratory tests ordered
commonly for diabetes could be
considered as for the treatment of ESRD
because in certain situations a patient’s
ESRD is a macro vascular complication
of the diabetes. Commenters believe
these varying perspectives among
practitioners can translate into
inconsistent billing practices.
Stakeholders have also expressed
concern about potential overuse of the
AY modifier because they are aware that
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CMS monitors the claims data for trends
and behaviors. The industry’s position
is that if there is a laboratory service
that is subject to the CB requirements,
it is because CMS has determined that
test to be routinely furnished for the
treatment of ESRD and if certain tests
are frequently reported with the AY
modifier, then those laboratories or
ESRD facilities could appear to be
inappropriately billing Medicare.
While we recognize stakeholders’
concerns, for CY 2016, we are reiterating
our policy that any laboratory test
furnished to an ESRD beneficiary for the
treatment of ESRD is considered to be a
renal dialysis service and is not payable
outside of the ESRD PPS. We continue
to believe that it is necessary to use a
list of laboratory services that are
routinely furnished for the treatment of
ESRD for enforcing the CB
requirements. In addition, we continue
to believe it is convenient for ESRD
beneficiaries to have their blood drawn
at the time of dialysis for laboratory
testing for reasons other than for the
treatment of ESRD.
We have included appropriate
payments into the base rate to account
for any laboratory test that a practitioner
determines to be used for the treatment
of ESRD. It is important that medical
necessity be the reason for how items
and services are reported to Medicare.
When services are reported
appropriately, payments are made
appropriately out of the Trust Fund and
ESRD beneficiaries are not unfairly
inconvenienced by constraints placed
upon them because a certain laboratory
test is or is not included in the ESRD
PPS. Therefore, in order to maintain
practitioner flexibility for ordering tests
believed medically necessary for the
treatment of ESRD, and have those tests
included and paid under the ESRD PPS,
we are not proposing a specific list of
laboratory services that are always
considered furnished for the treatment
of ESRD.
We are, however, soliciting comment
on the current list of laboratory services
that is used for the ESRD PPS CB
requirements to determine if there is
consensus among stakeholders
regarding whether the list includes
those laboratory tests that are routinely
furnished for the treatment of ESRD.
Table 9 is the list of laboratory tests that
is used for the CB requirements. We
agree with the stakeholders that there
can be different interpretations among
practitioners as to what is considered to
be furnished for the treatment of ESRD
and that there can be some views that
are more conservative than others.
Stakeholder comments will assist us in
determining whether any of the
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laboratory services included in the
current list generally are not furnished
for ESRD treatment.
In the context of this clarification, we
are proposing to remove the lipid panel
from the CB list. As we stated in the CY
2013 ESRD PPS final rule (77 FR 67470),
it was our understanding that the lipid
panel was routinely used for the
treatment of ESRD. We explained that
because some forms of dialysis,
particularly peritoneal dialysis, are
associated with increased cholesterol
and triglyceride levels, a lipid profile
laboratory test to assess these levels
would be considered furnished for the
treatment of ESRD. However, since the
CY 2013 final rule was published we
have learned from stakeholders that the
lipid panel is mostly used to monitor
cardiac conditions and is not routinely
furnished for the treatment of ESRD. We
believe that the proposal to remove the
lipid panel is consistent with the
clarification provided in this rule that
laboratory services included in Table 9
and subject to ESRD consolidated
billing are those that are routinely
furnished for the treatment of ESRD but
that may occasionally be used to treat
non-ESRD-related conditions. In
contrast, the lipid profile laboratory test
is not routinely used for the treatment
of ESRD. We solicit comment on this
proposal.
TABLE 9—LABORATORY SERVICES
SUBJECT TO ESRD CONSOLIDATED
BILLING
CPT/
HCPCS
Short description
Basic Metabolic Panel (Calcium, ionized) ........................
Basic Metabolic Panel (Calcium, total) ............................
Electrolyte Panel .......................
Comprehensive Metabolic
Panel .....................................
Lipid Panel ................................
Renal Function Panel ...............
Hepatic Function Panel ............
Assay of serum albumin ...........
Assay of aluminum ...................
Vitamin d, 25 hydroxy ...............
Assay of calcium ......................
Assay of calcium, Ionized .........
Assay, blood carbon dioxide ....
Assay of carnitine .....................
Assay of blood chloride ............
Assay of creatinine ...................
Assay of urine creatinine ..........
Creatinine clearance test ..........
Vitamin B–12 ............................
Vit d 1, 25-dihydroxy ................
Assay of erythropoietin .............
Assay of ferritin .........................
Blood folic acid serum ..............
Assay of iron .............................
Iron binding test ........................
Assay of magnesium ................
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80047
80048
80051
80053
80061
80069
80076
82040
82108
82306
82310
82330
82374
82379
82435
82565
82570
82575
82607
82652
82668
82728
82746
83540
83550
83735
TABLE 9—LABORATORY SERVICES
SUBJECT TO ESRD CONSOLIDATED
BILLING—Continued
Short description
Assay of parathormone ............
Assay alkaline phosphatase .....
Assay of phosphorus ................
Assay of serum potassium .......
Assay of prealbumin .................
Assay of protein, serum ...........
Assay of protein by other
source ...................................
Assay of serum sodium ............
Assay of transferrin ..................
Assay of urea nitrogen .............
Assay of urine/urea-n ...............
Urea-N clearance test ..............
Hematocrit ................................
Hemoglobin ...............................
Complete (cbc), automated
(HgB, Hct, RBC, WBC, and
Platelet count) and automated differential WBC count
Complete (cbc), automated
(HgB, Hct, RBC, WBC, and
Platelet count) .......................
Automated rbc count ................
Manual reticulocyte count .........
Automated reticulocyte count ...
Reticyte/hgb concentrate ..........
Automated leukocyte count ......
Hep b core antibody, total ........
Hep b core antibody, igm .........
Hep b surface antibody ............
Blood culture for bacteria .........
Culture, bacteria, other .............
Culture bacteri aerobic othr ......
Culture bacteria anaerobic .......
Cultr bacteria, except blood .....
Culture anaerobe ident, each ...
Culture aerobic identify .............
Culture screen only ..................
Hepatitis b surface ag, eia .......
CBC/diff wbc w/o platelet .........
CBC without platelet .................
CPT/
HCPCS
83970
84075
84100
84132
84134
84155
84157
84295
84466
84520
84540
84545
85014
85018
85025
85027
85041
85044
85045
85046
85048
86704
86705
86706
87040
87070
87071
87073
87075
87076
87077
87081
87340
G0306
G0307
Although we are not proposing to
change our policy related to payment for
ESRD-related laboratory services under
the ESRD PPS, we are clarifying that to
the extent a laboratory test is performed
to monitor the levels or effects of any of
the drugs that we have specifically
excluded from the ESRD PPS, these tests
would be separately billable. In the CY
2011 ESRD PPS final rule, we discuss
when certain drugs and biologicals
would not be considered for the
treatment of ESRD. Specifically, Table
10, which appeared as Table 3—ESRD
Drug Category Excluded from the Final
ESRD PPS Base Rate in the CY 2011
ESRD PPS final rule (75 FR 49049), lists
the drug categories that were excluded
from the ESRD PPS and the rationale for
their exclusion. Laboratory services that
are furnished to monitor the medication
levels or effects of drugs and biologicals
that fall in those categories would not be
considered to be furnished for the
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treatment of ESRD. We are soliciting
comment on this clarification.
TABLE 10—ESRD DRUG CATEGORIES EXCLUDED FROM THE FINAL ESRD PPS BASE RATE
Drug category
Rationale for exclusion
Anticoagulant ......................................................
Antidiuretic ..........................................................
Antiepileptic .........................................................
Anti-inflammatory ................................................
Antipsychotic .......................................................
Antiviral ...............................................................
Cancer management ..........................................
Drugs labeled for non-renal dialysis conditions and not for vascular access.
Used to prevent fluid loss.
Used to prevent seizures.
May be used to treat kidney disease (glomerulonephritis) and other inflammatory conditions.
Used to treat psychosis.
Used to treat viral conditions such as shingles.
Includes oral, parenteral and infusions. Cancer drugs are covered under a separate benefit
category.
Drugs that manage blood pressure and cardiac conditions.
Used to replace synovial fluid in a joint space.
Drugs that cause blood to clot after anti-coagulant overdose or factor VII deficiency.
Used after chemotherapy treatment.
Used for endocrine/metabolic disorders such as thyroid or endocrine deficiency, hypoglycemia,
and hyperglycemia.
Androgens were used prior to the development of ESAs for anemia management and currently
are not recommended practice. Also used for hypogonadism and erectile dysfunction.
Used to treat gastrointestinal conditions such as ulcers and gallbladder disease.
Anti-rejection drugs covered under a separate benefit category.
Used to treat migraine headaches and symptoms.
Used to treat muscular disorders such as prevent muscle spasms, relax muscles, improve
muscle tone as in myasthenia gravis, relax muscles for intubation and induce uterine contractions.
Not a function performed by an ESRD facility.
Cardiac management .........................................
Cartilage ..............................................................
Coagulants ..........................................................
Cytoprotective agents .........................................
Endocrine/metabolic management .....................
Erectile dysfunction management ......................
Gastrointestinal management .............................
Immune system management ............................
Migraine management ........................................
Musculoskeletal management ............................
Pharmacy handling for oral anti-cancer, antiemetics and immunosuppressant drugs.
Pulmonary system management ........................
Radiopharmaceutical procedures .......................
Unclassified drugs ..............................................
Vaccines .............................................................
2. Renal Dialysis Service Drugs and
Biologicals
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a. 2014 Part D Call Letter Follow-up
Last year, we received public
comments that expressed concern that
the 2014 Part D Call Letter provision for
prior authorization for drug categories
that may be used for ESRD as well as
other conditions resulted in Part D plan
sponsors’ inappropriately refusing to
cover oral drugs that are not renal
dialysis services. Specifically, they
noted that beneficiaries had difficulties
obtaining necessary medications such as
oral antibiotics prescribed for
pneumonia and that the 2014 Part D
Call Letter provision led to confusion
for Part D plan sponsors and delays in
beneficiaries obtaining essential
medications at the pharmacy.
In response to the comments, we
explained that the guidance in the 2014
Part D Call Letter was issued in
response to increases in billing under
Part D for drugs that may be prescribed
for renal dialysis services but may also
be prescribed for other conditions. The
guidance strongly encouraged Part D
sponsors to place beneficiary-level prior
authorization edits on all drugs in the
seven categories identified in the CY
2011 ESRD PPS final rule as drugs that
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Used for respiratory/lung conditions such as opening airways and newborn apnea.
Includes contrasts and procedure preparation.
Should only be used for drugs that do not have a HCPCS code and therefore cannot be identified.
Covered under a separate benefit category.
may be used for dialysis and nondialysis purposes (75 FR 49051). These
include: Antiemetics, anti-infectives,
anti-pruritics, anxiolytics, drugs used
for excess fluid management, drugs used
for fluid and electrolyte management
including volume expanders, and drugs
used for pain management (analgesics).
We indicated in the CY 2015 ESRD PPS
final rule (79 FR 66151) that we were
considering various alternatives for
dealing with this issue, as it has always
been our intention to eliminate or
minimize disruptions or delays in ESRD
beneficiaries receiving essential
medications and that we planned to
issue further guidance to address the
issue.
In the Health Plan Management
System memo issued on November 14,
2014, we encouraged sponsors to
remove the beneficiary-level prior
authorization (PA) edits on these drugs.
When claims are submitted to Part D for
drugs in the seven categories, we expect
that they are not being used for the
treatment of ESRD and, therefore, may
be coverable under Part D. We also
expect that Medicare ESRD facilities
will continue to provide all of the
medications used for the treatment of
ESRD, including drugs in the seven
categories. We will continue to monitor
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the utilization of renal dialysis drugs
and biologicals under Part B and Part D.
b. Oral or Other Forms of Renal Dialysis
Injectable Drugs and Biologicals
The ESRD PPS includes certain drugs
and biologicals that were previously
paid under Part D. Oral or other forms
of injectable drugs and biologicals used
for the treatment of ESRD, for example,
vitamin D analogs, levocarnitine,
antibiotics or any other oral or other
form of a renal dialysis injectable drug
or biological are also included in the
ESRD PPS and may not be separately
paid. These drugs are included in the
ESRD PPS payment because the
payments made for both the injectable
and oral forms were included in the
ESRD PPS base rate. As discussed in
section II.B.4 of this proposed rule,
implementation of oral-only drugs used
in the treatment of ESRD (that is, drugs
with no injectable equivalent) under the
ESRD PPS payment has been delayed
until 2025.
In the CY 2011 ESRD PPS final rule
(75 FR 49172), we stated that ESRD
facilities are required to record the
quantity of oral medications provided
for the monthly billing period. In
addition, ESRD facilities would submit
claims for oral drugs only after having
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received an invoice of payment. We
indicated that we would address
recording of drugs on an ESRD claim in
future guidance. We included this
requirement because renal dialysis
drugs and biologicals that were paid
separately prior to the ESRD PPS, as
many of these oral medications were,
are eligible outlier items and services. If
an ESRD facility were to report a 90-day
supply of a drug on a monthly claim,
the claim could receive an outlier
payment erroneously.
On June 7, 2013, we issued an update
to the Medicare Benefits Policy Manual,
Pub. 100–02, Chapter 11 to reflect
implementation of the ESRD PPS in
Change Request 8261. In section 20.3.C
of the updated Medicare Benefits Policy
Manual, we stated that for ESRD-related
oral or other forms of drugs that are
filled at the pharmacy for home use,
ESRD facilities should report one line
item per prescription, but only for the
quantity of the drug expected to be
taken during the claim billing period.
Example: A prescription for oral vitamin
D was ordered for one pill to be taken 3 times
daily for a period of 45 days. The patient
began taking the medication on April 15,
2011. On the April claim, the ESRD facility
would report the appropriate National Drug
Code (NDC) code for the drug with the
quantity 45 (15 days × 3 pills per day). The
remaining pills which would be taken in May
would appear on the May claim for a
quantity of 90 (30 days × 3 pills per day).
Prescriptions for a 3 month supply of the
drug would never be reported on a single
claim. Only the amount expected to be taken
during the month would be reported on that
month’s claim.
In February 2015, we were informed
by one of the large dialysis
organizations that they, and many other
ESRD chain organizations, are out of
compliance with the requirement that
only the quantity of the drug expected
to be taken during the claim billing
period should be indicated on the ESRD
monthly claim. They indicated that
some facilities are incorrectly reporting
units that reflect a 60-day or 90-day
prescription while other facilities are
not reporting the oral drugs prescribed.
The reason given for these reporting
errors is the lack of prescription
processing information. Specifically,
while the facilities know when the
pharmacy fills the prescription, they do
not know when the patient picks up the
drug from the pharmacy and begins to
take the drug.
Due to this confusion and lack of
compliance, we are reiterating our
current policy that all renal dialysis
service drugs and biologicals prescribed
for ESRD patients, including the oral
forms of renal dialysis injectable drugs,
must be reported by ESRD facilities and
the units reported on the monthly claim
must reflect the amount expected to be
taken during that month. The facilities
should use the best information they
have in determining the amount
expected to be taken in a given month,
including fill information from the
pharmacy and the patient’s plan of care.
Any billing system changes to effectuate
this change must be made as soon as
possible as this requirement has been in
effect since the ESRD PPS began in
2011. We are analyzing ESRD facility
claims data to determine the extent of
the reporting error and may take
additional actions in the future.
c. Reporting of Composite Rate Drugs
As we indicated in the Medicare
Claims Processing Manual, Pub. 100–04,
Chapter 8, section 50.3, as revised by
Change Request 8978, issued December
2, 2014, in an effort to enhance the
ESRD claims data for possible future
refinements to the ESRD PPS, CMS
announced that ESRD facilities should
begin reporting composite rate drugs on
their monthly claims. Specifically,
ESRD facilities should only report the
composite rate drugs identified on the
consolidated billing drug list and
provided below in Table 11.
TABLE 11—COMPOSITE RATE DRUGS AND BIOLOGICALS
Composite Rate Drugs and Biologicals ....
A4802
J0670
J1200
J1205
J1240
J1940
J2001
J2150
J2720
J2795
J3410
J3480
Q0163
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The ESRD PPS payment policy
remains the same for composite rate
drugs, therefore, no separate payment is
made and these drugs will not be
designated as eligible outlier services.
This information will provide CMS with
the full scope of renal dialysis services
which may better target outlier services
to the most costly patients.
III. End-Stage Renal Disease (ESRD)
Quality Incentive Program (QIP) for
Payment Year (PY) 2019
A. Background
For more than 30 years, monitoring
the quality of care provided by dialysis
facilities to patients with end-stage renal
disease (ESRD) has been an important
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INJ PROTAMINE SULFATE
INJ MEPIVACAINE HYDROCHLORIDE
INJ DIPHENHYDRAMINE HCL
INJ CHLOROTHIAZIDE SODIUM
INJ DIMENHYDRINATE
INJ FUROSEMIDE
INJ LIDOCAINE HCL FOR INTRAVENOUS INFUSION, 10 MG
INJ MANNITOL
INJ PROTAMINE SULFATE
INJ ROPIVACAINE HYDROCHLORIDE
INJ HYDROXYZINE HCL
INJ. POTASSIUM CHLORIDE, PER 2 MEQ.
DIPHENHYDRAMINE HYDROCHLORIDE
component of the Medicare ESRD
payment system. The ESRD Quality
Incentive Program (QIP) is the most
recent step in fostering improved
patient outcomes by establishing
incentives for dialysis facilities to meet
or exceed performance standards
established by CMS. The ESRD QIP is
authorized by section 1881(h) of the
Social Security Act (the Act), which was
added by section 153(c) of the Medicare
Improvements for Patients and
Providers Act (MIPPA).
Section 1881(h) of the Act requires
the Secretary to establish an ESRD QIP
by (1) selecting measures; (2)
establishing the performance standards
that apply to the individual measures;
(3) specifying a performance period
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with respect to a year; (4) developing a
methodology for assessing the total
performance of each facility based on
the performance standards with respect
to the measures for a performance
period; and (5) applying an appropriate
payment reduction to facilities that do
not meet or exceed the established Total
Performance Score (TPS). This proposed
rule discusses each of these elements
and our proposals for their application
to PY 2019 and future years of the ESRD
QIP.
B. Clarification of ESRD QIP
Terminology: ‘‘CMS Certification
Number (CCN) Open Date’’
Some stakeholders have expressed
confusion about the use of the term
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‘‘CMS Certification Number (CCN) Open
Date’’ under the ESRD QIP (for example,
see 79 FR 66186). We interpret this term
to mean the ‘‘Medicare effective date’’
under 42 CFR 489.13, which governs
when the facility can begin to receive
Medicare reimbursement for ESRD
services under the ESRD PPS. Thus, a
facility is eligible, with respect to a
particular payment year, to receive
scores on individual measures and
participate in general in the ESRD QIP
based on the facility’s CCN Open Date
(i.e., Medicare effective date).
C. Proposal To Use the Hypercalcemia
Measure as a Measure Specific to the
Conditions Treated With Oral-Only
Drugs
Section 217(d) of The Protecting
Access to Medicare Act of 2014 (PAMA)
(Pub. L. 113–93), enacted on April 1,
2014, amends section 1881(h)(2) of the
Act to require the Secretary to adopt
measures in the ESRD QIP (outcomes
based, to the extent feasible) that are
specific to the conditions treated with
oral-only drugs for 2016 and subsequent
years. We stated in the CY 2015 ESRD
PPS final rule (79 FR 66168–69) that we
believed the Hypercalcemia clinical
measure, which was adopted beginning
with the PY 2016 program meets this
new statutory requirement;
nevertheless, we also recognized that,
consistent with PAMA, we could adopt
measures as late as for CY 2016, which
would be included in the PY 2018 ESRD
QIP. We also stated that we would take
into account comments on whether the
Hypercalcemia clinical measure can be
appropriately characterized as a
measure specific to the conditions
treated with oral-only drugs.
Although section 1881(h)(2)(E)(i) does
not define the term ‘‘oral-only drugs,’’
we have previously interpreted that
term to mean ‘‘drugs for which there is
no injectable equivalent or other form of
administration’’ (75 FR 49038). We have
also previously identified calcimimetics
and phosphate binders as two types of
‘‘oral-only drugs’’ (75 FR 49044).
We are currently aware of three
conditions that are treated with
calcimimetics and phosphate binders:
Secondary Hyperparathyroidism,
Tertiary Hyperparathyroidism, and
Hypercalcemia. Hypercalcemia is a
condition that results when the entry of
calcium into the blood exceeds the
excretion of calcium into the urine or
deposition in bone; the condition may
be caused by a number of other
conditions, including
hyperparathyroidism. Although
multiple treatment options are available
for patients with early forms of
hypercalcemia, calcimimetics are
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frequently prescribed for those patients
who develop hypercalcemia secondary
to tertiary hyperparathyroidism, in
order to most easily control the patients’
serum calcium levels. Because
hypercalcemia is a condition that is
frequently treated with calcimimetics,
and because calcimimetics are oral-only
drugs, we believe that the current
Hypercalcemia clinical measure (NQF
#1454) meets the requirement that the
ESRD QIP measure set include for 2016
and subsequent years measures that are
specific to the conditions treated with
oral-only drugs.
We acknowledge that the
Hypercalcemia clinical measure is not
an outcome-based measure, and we
have considered the possibility of
adopting outcome-based measures that
are specific to the conditions treated
with oral-only drugs. However, we are
currently not aware of any outcomebased measures that would satisfy this
requirement. We welcome comments on
whether such outcome-based measures
are either ready for implementation now
or are being developed, and we intend
to consider the feasibility of developing
such a measure in the future.
We seek comments on this proposal.
D. Sub-Regulatory Measure
Maintenance in the ESRD QIP
In the CY 2013 ESRD PPS final rule,
we finalized our policy to use a subregulatory process to make nonsubstantive updates to measures (77 FR
67477). We currently make available the
technical specifications for ESRD QIP
measures at https://www.cms.gov/
Medicare/Quality-Initiatives-PatientAssessment-Instruments/ESRDQIP/061_
TechnicalSpecifications.html but are in
the process of drafting a CMS ESRD
Measures Manual which will include
not only the ESRD QIP measure
specifications, but also technical
information on quality indicators that
facilities report for other CMS ESRD
programs. We expect to release the first
version of the CMS ESRD Measures
Manual in the near future at the
following web address: https://
www.cms.gov/Medicare/QualityInitiatives-Patient-AssessmentInstruments/ESRDQIP/. The
manual will be released before the
beginning of the applicable performance
period, preferably at least 6 months in
advance. We believe that this update
frequency will be sufficient to provide
facilities with information needed to
incorporate these updates into their
ESRD data collection activities. We note
that this policy is consistent with our
policy for updating the CMS National
Hospital Inpatient Quality Measures
Specifications Manual, which is posted
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37839
on the QualityNet Web site
(www.qualitynet.org).
We welcome recommendations from
the public on technical updates to ESRD
QIP measures. We will consider the
appropriateness of all
recommendations, notify those who
submit recommendations as to whether
we accept the recommendation, and
incorporate accepted recommendations
in a future release of the CMS ESRD
Measure Manual. At present, we intend
to use JIRA, a web-based collaboration
platform maintained by the Office of the
National Coordinator for Health
Information Technology, to receive,
consider, and respond to
recommendations for non-substantive
measure changes. Further information
about how to use the JIRA tool to make
such recommendations will be
published in an upcoming CROWN
Memo and will be posted to https://
www.cms.gov/Medicare/QualityInitiatives-Patient-AssessmentInstruments/ESRDQIP/.
E. Proposed Revision to the
Requirements for the PY 2017 ESRD QIP
1. Proposal To Modify the Small Facility
Adjuster Calculation for All Clinical
Measures Beginning With the PY 2017
ESRD QIP
In the CY 2013 ESRD PPS final rule
we adopted a scoring adjustment for
facilities with relatively small numbers
of patients, called the small facility
adjuster, which aims to ensure that any
error in measure rates due to a small
number of cases will not adversely
affect facility payment (77 FR 67511).
Since we first implemented the
methodology to implement the small
facility adjuster, we have encountered
two issues related to basing the
adjustment on the within-facility
standard error. First, facility scores for
some of the outcome measures adopted
in the ESRD QIP, such as the National
Healthcare Safety Network (NHSN)
Bloodstream Infection (BSI) clinical
measure, do not approximate a normal
or ‘‘bell-shaped’’ distribution. In such
cases, the within-facility standard error
does not necessarily capture the spread
of the data as it would if facility scores
were normally distributed. Second,
facilities and other stakeholders have
commented that it is difficult for them
to independently calculate pooled
within-facility standard errors because
doing so requires data for all patientmonths across all facilities, which
makes the small facility adjuster
unnecessarily opaque. For these
reasons, we have developed an equation
for determining the small facility
adjuster that does not rely upon a
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within-facility standard error, but
nonetheless preserves the intent of the
adjuster to include as many facilities in
the ESRP QIP as possible while ensuring
that the measure scores are reliable.
Therefore, beginning with the PY
2017 ESRD QIP, we propose to use the
following methodology to determine the
small facility adjustment:
• For the ith facility, suppose the
facility’s original measure rate is pi and
the number of patients (or other unit
used to establish data minimums for the
measure. For example, index discharges
for the Standardized Readmission Ratio
clinical measure) at the ith facility is ni.
• Where the number of eligible
patients (or other appropriate unit)
needed to receive a score on a measure
is L and the upper threshold for
applying the small facility adjuster is C,
the ith facility will be eligible for the
adjustment when L≤niP, then ti = wi * pi + (1¥wi)
*P
Æ If pi is less than or equal to P, the
facility will not receive an adjustment.
• For the standardized ratio
measures, such as the SRR and STrR
clinical measures, the national mean
measure rate (that is, P) is set to 1.
We note that the equation ti = wi * pi
+ (1¥wi) * P is designed to ‘‘shrink’’ the
facility mean toward the national mean,
and that wi reflects the degree of
confidence in the estimation of the
facility mean, because it depends on
facility size. Some research has shown
that this type of ‘‘shrinkage estimator’’
equation gives a small mean squared
error (that is, the combination of bias
and variance) if the national mean truly
reflects the performance of a small
facility, which was the intention of the
equation.2
To assess the impact of the proposed
small facility adjuster, we conducted an
impact analysis of this proposed
methodology on individual measure
scores and facility TPSs, using the final
dataset used to calculate PY 2015 ESRD
QIP scores. The full results of this
analysis can be found at https://
www.cms.gov/Medicare/QualityInitiatives-Patient-AssessmentInstruments/ESRDQIP/061_
TechnicalSpecifications.html. Table 12
summarizes these results, presenting
changes in measure scores observed
after applying the proposed small
facility adjuster, as compared to
measure scores calculated with the
existing small facility adjuster. For the
purposes of this analysis and for all of
the measures, L was set to 11 and C was
set to 26.
TABLE 12—IMPACT OF PROPOSED SMALL FACILITY ADJUSTER ON INDIVIDUAL MEASURE SCORES, USING THE FINAL
DATASET FOR THE PY 2015 ESRD QIP
National
mean in the
performance
period
(CY 2013)
(%)
# facilities
received
SFA in PY
2015
Measure
# facilities
receiving
SFA under
new method
# facilities with score change due
to new SFA method N
(% out of scored facilities)
# facilities
with higher
score under
new SFA
method
# facilities
with lower
score under
new SFA
method
1,253
938
826
588
11
787
0.4
64.1
11.7
91.1
80.1
76.4
63
391
352
173
1
192
32 out of 5,513 (0.6%) .................
341 out of 5,547 (6.1%) ...............
301 out of 5,562 (5.4%) ...............
248 out of 5,641 (4.4%) ...............
8 out of 11 (72.7%) ......................
400 out of 1,203 (33.3%) .............
32
66
65
22
0
62
0
275
236
226
8
338
TPS ...............................................
Reduction ......................................
....................
....................
....................
....................
....................
....................
513 out of 5,650 (9.1%) ...............
43 out of 5,650 (0.8%) .................
96
23
417
20
As the results in Table 12 indicate,
fewer facilities received an adjustment
under the proposed small facility
adjuster methodology, because small
facilities with performance rates above
the national mean do not receive an
adjustment. However, those facilities
that did receive an adjustment generally
received a larger adjustment under the
proposed methodology. For example, of
the 43 facilities that received a different
payment reduction under the proposed
small facility adjuster, 23 (53 percent)
received a lower payment reduction.
2 Efron B, Morris C. Empirical Bayes on vector
observations: An extension of Stein’s method.
Biometrika, 59(2):335–347. Ahmed SE, Khan SM.
Improved estimation of the Poisson parameter.
Statistica, anno LIII n.2, 268–286, 1993. Ahmed SE.
Combining Poisson means. Communications in
Statistics: Theory and Methods, 20, 771–789, 1991.
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Hgb≥12 .........................................
Fistula ...........................................
Catheter ........................................
HD Kt/V .........................................
Ped HD Kt/V .................................
PD Kt/V .........................................
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We also assessed the impact of the
proposed small facility adjuster on the
distribution of payment reductions,
using the final dataset used to calculate
PY 2015 ESRD QIP payment reductions.
The full results of this analysis can be
found at https://www.cms.gov/Medicare/
Quality-Initiatives-Patient-AssessmentInstruments/ESRDQIP/061_Technical
Specifications.html. Table 13 below
compares the distribution of payment
reductions using the existing small
37841
facility adjuster to the distribution of
payment reductions using the proposed
small facility adjuster. For the purposes
of this analysis and for all of the
measures, L was set to 11 and C was set
to 26.
TABLE 13—COMPARISON OF THE DISTRIBUTION OF PAYMENT REDUCTIONS DETERMINED WITH THE EXISTING AND
PROPOSED SMALL FACILITY ADJUSTER, USING THE FINAL DATASET FOR THE PY 2015 ESRD QIP
Payment reduction distribution in PY 2015 using the existing SFA
Payment reduction
(%)
0.0
0.5
1.0
1.5
2.0
Percent of
facilities
(%)
Number of
facilities
........................................................................................
........................................................................................
........................................................................................
........................................................................................
........................................................................................
Estimated payment reduction distribution in PY
2015 using the new SFA
5,307
242
41
23
378
Payment
reduction
(%)
93.93
4.28
0.73
0.41
0.65
0.0
0.5
1.0
1.5
2.0
Number of
facilities
5,296
255
45
26
28
Percent of
facilities
(%)
93.73
4.51
0.80
0.46
0.50
Note: This table excludes 488 facilities that did not receive a score because they did not have enough data to receive a TPS.
These results suggest that a similar
number of facilities would receive a
payment reduction under the proposed
small facility adjuster methodology. A
total of 343 (6.1 percent) facilities would
receive a payment reduction with the
existing small facility adjuster; under
the proposed small facility adjuster
methodology, a total of 354 (6.3 percent)
facilities would have received a
payment reduction. Based on the results
of these analyses, we believe that the
proposed small facility adjuster does not
systematically alter the distribution of
measure scores, TPSs, and payment
reductions, as compared to the existing
small facility adjuster. Coupled with the
benefits of removing the within-facility
standard error variable from the existing
adjuster (discussed above), this leads us
to believe that the benefits of the
proposed adjuster outweigh the benefits
of the existing adjuster. We therefore
propose to modify the methodology for
determining the small facility
adjustment as explained above.
We seek comments on this proposal.
tkelley on DSK3SPTVN1PROD with PROPOSALS3
2. Proposal To Reinstate Qualifying
Patient Attestations for the ICH CAHPS
Clinical Measure
In the CY 2015 ESRD PPS final rule,
we finalized our proposal to remove the
case minimum attestation for the ICH
CAHPS reporting measure due to
facility confusion regarding the
attestation process (79 FR 66185). We
further finalized that we would
determine facility eligibility for the ICH
CAHPS reporting measure based on
available data submitted via
CROWNWeb, Medicare claims, and
other CMS administrative data sources.
Following the publication of that rule
we have determined that we do not have
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reliable data sources for determining
some of the patient-level exclusions. For
example, we have been unable to locate
a reliable data source for determining
whether a patient is receiving hospice
care or is residing in an institution such
as a prison or a jail.
Although some facilities may be
experiencing issues related to the
attestation process (for example, during
the preview period, we have
encountered numerous instances where
facilities have either attested
inappropriately or have failed to attest
in a timely fashion), we believe that
facilities are generally able to determine
whether their patients meet one or more
of the exclusion criteria for the measure.
For this reason, we believe that having
facilities attest that they are ineligible
for the measure will result in more
accurate measure scores, as compared to
using unreliable data sources to
determine whether facilities treated the
requisite number of eligible patients
during the eligibility period, (defined as
the calendar year immediately
preceding the performance period).
Because we have no reason to believe
that reliable data sources for some of the
patient-level exclusions for the ICH
CAHPS clinical measure will become
available in the near term, and because
the PY 2017 ICH CAHPS reporting
measure and the PY 2018 ICH CAHPS
clinical measure employ the same
exclusion criteria, we propose to
reinstate the attestation process we
previously adopted in the CY 2014
ESRD PPS final rule (78 FR 72220
through 72222) beginning with the PY
2017 program year. However, we are
now proposing to have facilities attest
on the basis of the eligibility criteria
finalized in the CY 2015 ESRD PPS final
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rule (79 FR 66169 through 66170).
Accordingly, facilities seeking to avoid
scoring on the ICH CAHPS measure due
to ineligibility must attest in
CROWNWeb by January 31 of the year
immediately following the performance
period (for example, January 31, 2017,
for the PY 2018 ESRD QIP) that they did
not treat enough eligible patients during
the eligibility period to receive a score
on the ICH CAHPS measure. Facilities
that submit attestations regarding the
number of eligible patients treated at the
facility during the eligibility period by
the applicable deadline will not receive
a score on the ICH CAHPS clinical
measure for that program year. Facilities
that do not submit such attestations will
be eligible to receive a score on the
measure. However, even if a facility is
eligible to receive a score on the
measure because it has treated at least
30 survey-eligible patients during the
eligibility period (defined as the
calendar year before the performance
period), the facility will still not receive
a score on the measure if it cannot
collect at least 30 survey completes
during the performance period. Facility
attestations are limited to the number of
eligible patients treated at the facility
during the eligibility period, and are not
intended to capture the number of
completed surveys at a facility during
the performance period. The ESRD QIP
system will determine how many
completed surveys a facility received
during the performance period. We are
not proposing to change any of the other
data minimum requirements for the PY
2017 ICH CAHPS reporting measure, or
for the ICH CAHPS clinical measure in
PY 2018 and future payment years. To
reduce confusion, we will release a
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CROWN Memo detailing how facilities
are expected to attest.
We seek comments on this proposal.
F. Proposed Requirements for the PY
2018 ESRD QIP
1. Estimated Performance Standards,
Achievement Thresholds, and
Benchmarks for the Clinical Measures
Finalized for the PY 2018 ESRD QIP
In the CY 2015 ESRD PPS final rule,
we stated that we would publish values
for the PY 2018 clinical measures, using
data from CY 2014 and the first portion
of CY 2015, in the CY 2016 ESRD PPS
final rule (79 FR 66209). At this time,
we do not have the necessary data to
assign numerical values to the proposed
performance standards, achievement
thresholds, and benchmarks because we
do not yet have complete data from CY
2014. Nevertheless, we are able to
estimate these numerical values based
on the most recent data available. For
the Vascular Access Type and
Hypercalcemia clinical measures, this
data comes from the period of January
through December 2014. For the SRR
and STrR clinical measures, this data
comes from the period of January
through December 2013. In Table 14, we
have provided the estimated numerical
values for all of the finalized PY 2018
ESRD QIP clinical measures, except the
ICH CAHPS clinical measure, because
the performance standards for that
measure will be calculated using CY
2015 data. We will publish updated
values for the clinical measures, using
data from the first part of CY 2015, in
the CY 2016 ESRD PPS final rule.
TABLE 14—ESTIMATED NUMERICAL VALUES FOR THE PERFORMANCE STANDARDS FOR THE PY 2018 ESRD QIP CLINICAL
MEASURES USING THE MOST RECENTLY AVAILABLE DATA
Achievement threshold
Vascular Access Type:.
% Fistula ...................................................................
% Catheter ...............................................................
Kt/V.
Adult Hemodialysis ...................................................
Adult Peritoneal Dialysis ..........................................
Pediatric Hemodialysis .............................................
Pediatric Peritoneal Dialysis .....................................
Hypercalcemia .................................................................
NHSN Bloodstream Infection SIR ...................................
Standardized Readmission Ratio ....................................
Standardized Transfusion Ratio ......................................
ICH CAHPS .....................................................................
Benchmark
53.52% ..............................
17.44% ..............................
79.67% ..............................
2.73% ................................
66.02%.
9.24%.
89.83% ..............................
74.68% ..............................
50.00% ..............................
43.22% ..............................
3.86% ................................
1.811 ..................................
1.261 ..................................
1.488 ..................................
50th percentile of eligible
facilities’ performance
during CY 2015.
98.22% ..............................
96.50% ..............................
96.90% ..............................
88.39% ..............................
0.00% ................................
0 .........................................
0.649 ..................................
0.451 ..................................
15th percentile of eligible
facilities’ performance
during CY 2015.
95.07%.
88.67%.
89.45%.
72.60%.
1.13%.
0.861.
0.998.
0.915.
90th percentile of eligible
facilities’ performance
during CY 2015.
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We believe that the ESRD QIP should
not have lower performance standards
than in previous years. Accordingly, if
the final numerical value for a
performance standard, achievement
threshold, and/or benchmark is worse
than it was for that measure in the PY
2017 ESRD QIP, then we propose to
substitute the PY 2017 performance
standard, achievement threshold, and/or
benchmark for that measure.
We seek comments on this proposal.
We have since determined that this
calculation may unduly penalize
facilities that treat no eligible patients in
one of the two six-month periods
evaluated under this measure; under
this calculation, those facilities would
have a ‘‘0’’ for the applicable period’s
data, in effect giving the facility half of
its score on the remaining six-month
period as a measure score. In order to
avoid such an undue impact on facility
scores, we propose that, beginning with
the PY 2018 ESRD QIP, if a facility
treats no eligible patients in one of the
two six-month periods, then that
facility’s score will be based solely on
the percentage of eligible patients
treated in the other six-month period for
whom the facility reports one of six
conditions.
We seek comments on this proposal.
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2. Proposed Modification to Scoring
Facility Performance on the Pain
Assessment and Follow-Up Reporting
Measure
In the CY 2015 ESRD PPS final rule,
we finalized the following calculation
3. Proposed Payment Reductions for the
PY 2018 ESRD QIP
Section 1881(h)(3)(A)(ii) of the Act
requires the Secretary to ensure that the
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Performance standard
for scoring facility performance on the
Pain Assessment and Follow-Up
reporting measure under the PY 2018
ESRD QIP (79 FR 66211):
application of the ESRD QIP scoring
methodology results in an appropriate
distribution of payment reductions
across facilities, such that facilities
achieving the lowest TPSs receive the
largest payment reductions. In the CY
2015 ESRD PPS final rule, we finalized
our proposal for calculating the
minimum TPS for PY 2018 and future
payment years (79 FR 66221 through
66222). Under our current policy, a
facility will not receive a payment
reduction if it achieves a minimum TPS
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that is equal to or greater than the total
of the points it would have received if:
(i) It performs at the performance
standard for each clinical measure; and
(ii) it receives the number of points for
each reporting measure that corresponds
to the 50th percentile of facility
performance on each of the PY 2016
reporting measures (79 FR 66221). We
are proposing to clarify how we will
account for measures in the minimum
TPS when we lack the baseline data
necessary to calculate a numerical
performance standard before the
beginning of the performance period
(per criterion (i) above), because we
inadvertently omitted this detail in the
CY 2015 ESRD PPS final rule.
Specifically, we propose, for the PY
2018 ESRD QIP, to add the following
criterion previously adopted for the PY
2017 program (79 FR 66187): ‘‘it
received zero points for each clinical
measure that does not have a numerical
value for the performance standard
established through rulemaking before
the beginning of the PY 2018
performance period.’’ Under this
proposal, for PY 2018, a facility will not
receive a payment reduction if it
achieves a minimum TPS that is equal
to or greater than the total of the points
it would have received if: (i) It performs
at the performance standard for each
clinical measure; (ii) it received zero
points for each clinical measure that
does not have a numerical value for the
performance standard established
through rulemaking before the
beginning of the PY 2018 performance
period; and (iii) it receives the number
of points for each reporting measure that
corresponds to the 50th percentile of
facility performance on each of the PY
2016 reporting measures.
We were unable to calculate a
minimum TPS for PY 2018 in the CY
2015 ESRD PPS final rule because we
were not yet able to calculate the
performance standards for each of the
clinical measures. We therefore stated
that we would publish the minimum
TPS for the PY 2018 ESRD QIP in the
CY 2016 ESRD PPS final rule (79 FR
66222).
Based on the estimated performance
standards listed above, we estimate that
a facility must meet or exceed a
minimum TPS of 39 for PY 2018. For all
of the clinical measures except the SRR,
STrR, and ICH CAHPS clinical
measures, these data come from CY
2014. The data for the SRR and STrR
clinical measures come from CY 2013
Medicare claims. For the ICH CAHPS
clinical measure, we set the
performance standard to zero for the
purposes of determining this minimum
TPS, because we are not able to
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establish a numerical value for the
performance standard through the
rulemaking process before the beginning
of the PY 2018 performance period. We
are proposing that a facility failing to
meet the minimum TPS, as established
in the CY 2016 ESRD PPS final rule,
will receive a payment reduction based
on the estimated TPS ranges indicated
in Table 15 below.
TABLE 15—ESTIMATED PAYMENT REDUCTION SCALE FOR PY 2018
BASED ON THE MOST RECENTLY
AVAILABLE DATA FROM CY 2014
Total performance score
Reduction
%
100–39 ..................................
38–29 ....................................
28–19 ....................................
18–9 ......................................
8–0 ........................................
0.0
0.5
1.0
1.5
2.0
We seek comments on these
proposals.
4. Data Validation
One of the critical elements of the
ESRD QIP’s success is ensuring that the
data submitted to calculate measure
scores and TPSs are accurate. We began
a pilot data-validation program in CY
2013 for the ESRD QIP, and procured
the services of a data-validation
contractor that was tasked with
validating a national sample of facilities’
records as reported to CROWNWeb. For
validation of CY 2014 data, our first
priority was to develop a methodology
for validating data submitted to
CROWNWeb under the pilot datavalidation program. That methodology
was fully developed and adopted
through the rulemaking process. For the
PY 2016 ESRD QIP (78 FR 72223
through 72224), we finalized a
requirement to sample approximately 10
records from 300 randomly selected
facilities; these facilities had 60 days to
comply once they received requests for
records. We continued this pilot for the
PY 2017 ESRD QIP, and propose to
continue doing so for the PY 2018 ESRD
QIP. Under this continued validation
study, we will sample the same number
of records (approximately 10 per
facility) from the same number of
facilities (that is, 300) during CY 2016.
If a facility is randomly selected to
participate in the pilot validation study
but does not provide us with the
requisite medical records within 60
days of receiving a request, then we
propose to deduct 10 points from the
facility’s TPS. Once we have developed
and adopted a methodology for
validating the CROWNWeb data, we
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37843
intend to consider whether payment
reductions under the ESRD QIP should
be based, in part, on whether a facility
has met our standards for data
validation.
In the CY 2015 ESRD PPS final rule,
we also finalized that there will be a
feasibility study for validating data
reported to CDC’s NHSN Dialysis Event
Module for the NHSN Bloodstream
Infection clinical measure. HealthcareAcquired Infections (HAI) are relatively
rare, and we finalized that the feasibility
study would target records with a higher
probability of including a dialysis event,
because this would enrich the
validation sample while reducing the
burden on facilities. For PY 2018, we
propose to use the same methodology
that was discussed in the CY 2015 ESRD
QIP final rule (79 FR 66187). This
methodology resembles the
methodology we use in the Hospital
Inpatient Quality Reporting Program to
validate the central line-associated
bloodstream infection measure, the
catheter-associated urinary tract
infection measure, and the surgical site
infection measure (77 FR 53539 through
53553). For the PY 2018 ESRD QIP, we
propose to randomly select nine
facilities to participate in the feasibility
study for data reported in CY 2016. A
CMS contractor will send these facilities
quarterly requests for lists of candidate
dialysis events (for example, all positive
blood cultures drawn from its patients
during the quarter, including any
positive blood cultures that were
collected from the facility’s patients on
the day of, or the day following, their
admission to a hospital). Facilities will
have 60 days to respond to quarterly
requests for lists of positive blood
cultures and other candidate events. A
CMS contractor will then determine
when a positive blood culture or other
‘‘candidate dialysis event’’ is
appropriate for further validation. With
input from CDC, the CMS contractor
will utilize a methodology for
identifying and requesting the candidate
dialysis events other than positive blood
cultures. The contractor will analyze the
records of patients who had candidate
events in order to determine whether
the facility reported dialysis events for
those patients in accordance with the
NHSN Dialysis Event Protocol. If the
contractor determines that additional
medical records are needed from a
facility to validate whether the facility
accurately reported the dialysis events,
then the contractor will send a request
for additional information to the facility,
and the facility will have 60 days from
the date of the letter to respond to the
request. Overall, we estimate that, on
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average, quarterly lists will include two
positive blood cultures per facility, but
we recognize these estimates may vary
considerably from facility to facility. If
a facility is randomly selected to
participate in the feasibility study but
does not provide CMS with the requisite
lists of positive blood cultures or the
requisite medical records within 60
days of receiving a request, then we
proposed to deduct 10 points from the
facility’s TPS.
We seek comments on these
proposals.
G. Proposed Requirements for the PY
2019 ESRD QIP
1. Proposed Replacement of the Four
Measures Currently in the Dialysis
Adequacy Clinical Measure Topic
Beginning With the PY 2019 Program
Year
We consider a quality measure for
removal or replacement if: (1) Measure
performance among the majority of
ESRD facilities is so high and unvarying
that meaningful distinctions in
improvements or performance can no
longer be made (in other words, the
measure is topped-out); (2) performance
or improvement on a measure does not
result in better or the intended patient
outcomes; (3) a measure no longer aligns
with current clinical guidelines or
practice; (4) a more broadly applicable
(across settings, populations, or
conditions) measure for the topic
becomes available; (5) a measure that is
more proximal in time to desired patient
outcomes for the particular topic
becomes available; (6) a measure that is
more strongly associated with desired
patient outcomes for the particular topic
becomes available; or (7) collection or
public reporting of a measure leads to
negative or unintended consequences
(77 FR 67475). In the CY 2015 ESRD
PPS final rule, we adopted statistical
criteria for determining whether a
clinical measure is topped out, and also
adopted a policy under which we could
retain an otherwise topped-out measure
if we determined that its continued
inclusion in the ESRD QIP measure
would address the unique needs of a
specific subset of the ESRD population
(79 FR 66172 through 66174).
Subsequent to the publication of the
CY 2015 ESRD PPS final rule, we
evaluated the finalized PY 2018 ESRD
QIP measures against all of these
criteria. We determined that none of
these measures met criterion (1), (2), (3),
(5), (6), or (7). As part of this evaluation
for criterion one, we performed a
statistical analysis of the PY 2018
measures to determine whether any
measures were ‘‘topped out.’’ The full
results of this analysis can be found at
https://www.cms.gov/Medicare/QualityInitiatives-Patient-AssessmentInstruments/ESRDQIP/061_Technical
Specifications.html and a summary of
our topped-out analysis results appears
in Table 16 below.
TABLE 16—PY 2018 CLINICAL MEASURES USING CROWNWEB AND MEDICARE CLAIMS DATA
Measure
N
Adult HD Kt/V .......
Pediatric HD Kt/V
Adult PD Kt/V .......
Pediatric PD Kt/V
VAT: Fistula2 ........
VAT: Catheter3 .....
Hypercalcemia2 ....
75th percentile
90th percentile
97.0
94.4
94.4
88.4
73.3
5.4
0.33
98.3
96.9
97.1
88.4
79.7
2.7
0.0
5822
7
1287
3
5763
5744
6042
Std. Error
0.09
13.4
0.45
13.9
0.15
0.10
0.03
Statistically indistinguishable
Truncated CV
No ........................
Yes ......................
No ........................
Yes ......................
No ........................
No ........................
No ........................
0.03 ................
0.23 ................
0.10 ................
N/A1 ................
0.14 ................
<0.01 ..............
<0.01 ..............
TCV < 0.10
Yes.
No.
No.
N/A.1
No.
Yes.
Yes.
1 Insufficient
data
claims data from CY 2014 were used in these calculations.
3 CROWNWeb data from CY 2014 was used in this calculation.
tkelley on DSK3SPTVN1PROD with PROPOSALS3
2 Medicare
As the information presented in Table
16 indicates, none of these clinical
measures are currently topped-out in
the ESRD QIP. We note that only three
facilities had 11 or more qualifying
patients for the Pediatric Peritoneal
Dialysis Adequacy clinical measure,
resulting in insufficient data available to
calculate a truncated coefficient of
variation. However, because the
Pediatric Peritoneal Dialysis Adequacy
clinical measure addresses the unique
needs of the pediatric population, we
are not proposing to remove the
measure at this time. Accordingly, we
are not proposing to remove any of these
measures from the ESRD QIP.
Beginning with the PY 2019 ESRD
QIP, we are proposing to replace the
four measures in the Kt/V Dialysis
Adequacy measure topic—(1)
Hemodialysis Adequacy: Minimum
delivered hemodialysis dose; (2)
Peritoneal Dialysis Adequacy: Delivered
dose above minimum; (3) Pediatric
Hemodialysis Adequacy: Minimum
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spKt/V; and (4) Pediatric Peritoneal
Dialysis Adequacy—with a single more
broadly applicable measure for the
topic. The new measure, Delivered Dose
of Dialysis above Minimum—Composite
Score clinical measure (‘‘Dialysis
Adequacy clinical measure’’) (Measure
Applications Partnership #X3717), is a
single comprehensive measure of
dialysis adequacy assessing the
percentage of all patient-months, for
both pediatric and adult patients, whose
average delivered dose of dialysis
(either hemodialysis or peritoneal
dialysis) met the specified Kt/V
threshold during the performance
period. As discussed in more detail
below, this measure’s specifications
allow the measure to capture a greater
number of patients, particularly
pediatric hemodialysis and peritoneal
dialysis patients, than the four
individual dialysis adequacy measures,
and will result in a larger and broader
collection of data from patients whose
dialysis adequacy is assessed under the
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ESRD QIP. The measure assesses the
adequacy of dialysis using the same
thresholds applied to those patients by
the existing dialysis adequacy measures,
as described below. For these reasons,
we believe the new dialysis adequacy
measure meets criterion four above. We
therefore propose to remove the four
individual measures within the Kt/V
Dialysis Adequacy Measure Topic, as
well as the measure topic itself, and to
replace those measures with a single
Dialysis Adequacy clinical measure
beginning with the PY 2019 ESRD QIP.
However, if based on public comments,
we do not finalize our proposal to adopt
the Dialysis Adequacy clinical measure,
then we would not finalize this proposal
to remove these measures and the
Dialysis Adequacy measure topic.
We seek comments on this proposal.
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2. Proposed Measures for the PY 2019
ESRD QIP
a. PY 2018 Measures Continuing for PY
2019 and Future Payment Years
We previously finalized 16 measures
in the CY 2015 ESRD PPS final rule for
the PY 2018 ESRD QIP, and these
measures are summarized in Table 17
below. In accordance with our policy to
continue using measures unless we
propose to remove or replace them, (77
FR 67477), we will continue to use 12
of these measures in the PY 2019 ESRD
QIP. As noted above, we are proposing
to remove four of these clinical
measures—(1) Hemodialysis Adequacy:
Minimum delivered hemodialysis dose;
(2) Peritoneal Dialysis Adequacy:
37845
Delivered dose above minimum; (3)
Pediatric Hemodialysis Adequacy:
Minimum spKt/V; and (4) Pediatric
Peritoneal Dialysis Adequacy—and
replace them with a single,
comprehensive clinical measure
covering the patient populations
previously captured by these four
individual clinical measures.
TABLE 17—PY 2018 ESRD QIP MEASURES BEING CONTINUED IN PY 2019
NQF #
Measure title and description
0257 ........................
Vascular Access Type: AV Fistula, a clinical measure
Percentage of patient-months on hemodialysis during the last hemodialysis treatment of the month using an autogenous
AV fistula with two needles.
Vascular Access Type: Catheter ≥ 90 days, a clinical measure
Percentage of patient-months for patients on hemodialysis during the last hemodialysis treatment of month with a catheter
continuously for 90 days or longer prior to the last hemodialysis session.
National Healthcare Safety Network (NHSN) Bloodstream Infection in Hemodialysis Patients, a clinical measure
Number of hemodialysis outpatients with positive blood cultures per 100 hemodialysis patient-months.
Hypercalcemia, a clinical measure
Proportion of patient-months with 3-month rolling average of total uncorrected serum calcium greater than 10.2 mg/dL.
Standardized Readmission Ratio, a clinical measure
Standardized hospital readmissions ratio of the number of observed unplanned readmissions to the number of expected
unplanned readmissions.
Standardized Transfusion Ratio, a clinical measure
Risk-adjusted standardized transfusion ratio for all adult Medicare patients.
In-Center Hemodialysis Consumer Assessment of Healthcare Providers and Systems (ICH CAHPS) Survey Administration, a clinical measure
Facility administers, using a third-party CMS-approved vendor, the ICH CAHPS survey in accordance with survey specifications and submits survey results to CMS.
Mineral Metabolism Reporting, a reporting measure
Number of months for which facility reports serum phosphorus or serum plasma for each Medicare patient.
Anemia Management Reporting, a reporting measure
Number of months for which facility reports ESA dosage (as applicable) and hemoglobin/hematocrit for each Medicare patient.
Pain Assessment and Follow-Up, a reporting measure
Facility reports in CROWNWeb one of six conditions for each qualifying patient once before August 1 of the performance
period and once before February 1 of the year following the performance period.
Clinical Depression Screening and Follow-Up, a reporting measure
Facility reports in CROWNWeb one of six conditions for each qualifying patient once before February 1 of the year following the performance period.
NHSN Healthcare Personnel Influenza Vaccination, a reporting measure
Facility submits Healthcare Personnel Influenza Vaccination Summary Report to CDC’s NHSN system, according to the
specifications of the Healthcare Personnel Safety Component Protocol, by May 15 of the performance period.
0256 ........................
N/A1 ........................
1454 ........................
N/A ..........................
N/A ..........................
0258 ........................
N/A2 ........................
N/A ..........................
N/A3 ........................
N/A4 ........................
N/A5 ........................
1 We
note
note
3 We note
4 We note
5 We note
2 We
that
that
that
that
that
this
this
this
this
this
measure
measure
measure
measure
measure
is
is
is
is
is
based
based
based
based
based
upon
upon
upon
upon
upon
a current NQF-endorsed bloodstream infection measure (NQF#1460).
a current NQF-endorsed serum phosphorus measure (NQF #0255).
a current NQF-endorsed pain assessment and follow-up measure (NQF #0420).
a current NQF-endorsed clinical depression screening and follow-up measure (NQF #0418).
an NQF-endorsed HCP influenza vaccination measure (NQF #0431).
tkelley on DSK3SPTVN1PROD with PROPOSALS3
b. Proposed New Dialysis Adequacy
Clinical Measure Beginning With the PY
2019 ESRD QIP
Section 1881(h)(2)(A)(i) of the Act
states that the ESRD QIP measure set
must include measures on ‘‘dialysis
adequacy.’’ Kt/V is a widely accepted
measure of dialysis adequacy in the
ESRD community. It is a measure of
small solute (urea) removal from the
body, is relatively simple to measure
and report, and is associated with
survival among dialysis patients. While
the current dialysis adequacy measures
have allowed us to capture a greater
proportion of the ESRD population than
previously accounted for under the URR
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Hemodialysis Adequacy clinical
measure, the specifications for these
measures still result in the exclusion of
some patients from the measures. For
example, the Pediatric Hemodialysis
Adequacy clinical measure’s
specifications have limited the number
of pediatric patients included in the
ESRD QIP because very few facilities (10
facilities, based on CY 2013 data) were
eligible to receive a score on the
measure. We are therefore proposing to
adopt a single comprehensive Dialysis
Adequacy clinical measure under the
authority of section 1881(h)(2)(A)(i) of
the Act.
The Measure Applications
Partnership conditionally supported the
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proposed Dialysis Adequacy clinical
measure in its 2015 Pre-Rulemaking
Report, noting that this measure meets
critical program objectives to include
more outcome measures and measures
applicable to the pediatric population in
the set.3
The Dialysis Adequacy clinical
measure assesses the percentage of all
patient-months for both adult and
pediatric patients whose average
delivered dose of dialysis (either
hemodialysis or peritoneal dialysis) met
the specified threshold during the
performance period. A primary
difference between the single
3 https://www.qualityforum.org/map/
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comprehensive Dialysis Adequacy
clinical measure and the four previously
finalized dialysis adequacy clinical
measures is how facility eligibility for
the measure is determined. Under the
four previously finalized dialysis
adequacy clinical measures, facility
eligibility was determined based on the
number of qualifying patients treated for
each individual measure (for example,
the number of qualifying adult
hemodialysis patients for the
Hemodialysis Adequacy: Minimum
Delivered Hemodialysis Dose clinical
measure). As a result, a facility had to
treat at least 11 qualifying patients for
each of these measures in order to
receive a score on that measure. By
contrast, a facility’s eligibility to receive
a score on the proposed Dialysis
Adequacy clinical measure, which
includes both adults and children, and
both hemodialysis and peritoneal
dialysis modalities, is determined based
on the total number of qualifying
patients treated at a facility. As a result,
a facility that would not be eligible to
receive a score on one or more of our
current dialysis adequacy clinical
measures because it did not meet the
case minimum for one or more of those
measures would be eligible to receive a
score on the proposed dialysis adequacy
measure if it had at least 11 total
qualifying patients, defined as adults
and pediatric patients receiving either
hemodialysis or peritoneal dialysis.
Therefore, we anticipate that adopting
the single comprehensive Dialysis
Adequacy clinical measure will allow
us to evaluate the care provided to a
greater proportion of ESRD patients,
particularly pediatric ESRD patients.
We are proposing that patients’
dialysis adequacy would be assessed
based on the following Kt/V thresholds
previously assessed under the
individual dialysis adequacy clinical
measures:
• For hemodialysis patients, all ages:
spKt/V ≥ 1.2 (calculated from the last
measurement of the month)
• For pediatric (age < 18 years)
peritoneal dialysis patients: Kt/V urea >
1.8 (dialytic + residual, measured
within the past six months)
• For adult (age > 18 years) peritoneal
dialysis patients: Kt/V urea > 1.7
(dialytic + residual, measured within
the past four months)
These thresholds reflect the best
evidence-based minimum threshold for
adequate dialysis for the described
patient groups and are consistent with
dialysis adequacy measures previously
implemented in the QIP. Patient
eligibility for inclusion in the measure
would be determined on a patient-
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month level, based on the patient’s age,
treatment modality type, whether a
patient has been on dialysis for 90 days
or more, and the number of
hemodialysis treatments the patient
receives per week. All eligible patientmonths at a facility would be counted
toward the denominator. Eligible patient
months where the patient met the
specific dialysis adequacy threshold
would be counted toward the
numerator. Technical specifications for
the Dialysis Adequacy clinical measure
can be found at https://www.cms.gov/
Medicare/Quality-Initiatives-PatientAssessment-Instruments/ESRDQIP/061_
TechnicalSpecifications.html.
We seek comments on our proposal to
adopt this measure beginning with the
PY 2019 ESRD QIP.
c. Proposed New Reporting Measures
Beginning With the PY 2019 ESRD QIP
i. Proposed Ultrafiltration Rate
Reporting Measure
The ultrafiltration rate measures the
rapidity with which fluid (ml) is
removed at dialysis per unit (kg) body
weight in unit (hour) time. A patient’s
ultrafiltration rate is under the control
of the dialysis facility and is monitored
throughout a patient’s hemodialysis
session. Studies suggest that higher
ultrafiltration rates are associated with
higher mortality and higher odds of an
‘‘unstable’’ dialysis session,4 and that
rapid rates of fluid removal during
dialysis can precipitate events such as
intradialytic hypotension, subclinical
yet significantly decreased organ
perfusion, and in some cases myocardial
damage and heart failure.
Section 1881(h)(2)(A)(iv) gives the
Secretary authority to adopt other
measures for the ESRD QIP that cover a
wide variety of topics. Section
1881(h)(2)(B)(ii) of the Act states that
‘‘In the case of a specified area or
medical topic determined appropriate
by the Secretary for which a feasible and
practical measure has not been endorsed
by the entity with a contract under
section 1890(a) of Act [in this case
NQF], the Secretary may specify a
measure that is not so endorsed so long
as due consideration is given to
4 Flythe SE., Kimmel SE., Brunelli SM. Rapid
fluid removal during dialysis is associated with
cardiovascular morbidity and mortality. Kidney
International (2011) Jan; 79(2):250–7. Flythe JE,
Curhan GC, Brunelli SM. Disentangling the
ultrafiltration rate—mortality association: The
respective roles of session length and weight gain.
Clin J Am Soc Nephrol. 2013 Jul;8(7):1151–61.
Movilli, E et al. ‘‘Association between high
ultrafiltration rates and mortality in uraemic
patients on regular hemodialysis. A 5-year
prospective observational multicenter study.’’
Nephrology Dialysis Transplantation 22.12(2007):
3547–3552.
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measures that have been endorsed or
adopted by a consensus organization
identified by the Secretary.’’ We have
given due consideration to endorsed
measures, as well as those adopted by
a consensus organization. Because no
NQF-endorsed measures or measures
adopted by a consensus organization on
ultrafiltration rates currently exist, we
are proposing to adopt the
Ultrafiltration Rate reporting measure
under the authority of section
1881(h)(2)(B)(ii) of the Act.
We are proposing to adopt a measure
that is based on Measure Applications
Partnership #XAHMH, ‘‘Ultrafiltration
Rate Greater than 13 ml/kg/hr’’
(‘‘Ultrafiltration Rate measure’’). This
measure assesses the percentage of
patient-months for patients with an
ultrafiltration rate greater than 13 ml/kg/
hr. The Measure Applications
Partnership expressed conditional
support for the Ultrafiltration Rate
measure, noting it would ‘‘consider the
measure for inclusion in the program
once it has been reviewed for
endorsement.’’ The measure upon
which our proposed measure is based is
currently under review for endorsement
by NQF; however, we believe the
measure is ready for adoption because it
has been fully tested for reliability and
addresses a critical aspect of patients’
clinical care not currently addressed by
the ESRD QIP measure set.
For PY 2019 and future payment
years, we propose that facilities must
report an ultrafiltration rate for each
qualifying patient at least once per
month in CROWNWeb. Qualifying
patients for this proposed measure are
defined as patients 18 years of age or
older, on hemodialysis, and who are
assigned to the same facility for at least
the full calendar month (for example, if
a patient is admitted to a facility during
the middle of a month, the facility will
not be required to report for that patient
for that month). We further propose that
facilities will be granted a one month
period following the calendar month to
enter this data. For example, we would
require a facility to report ultrafiltration
rates for January 2017 on or before
February 28, 2017. Facilities would be
scored on whether they successfully
report the required data within the
timeframe provided, not on the values
reported. Technical specifications for
the Ultrafiltration Rate reporting
measure can be found at https://
www.cms.gov/Medicare/QualityInitiatives-Patient-AssessmentInstruments/ESRDQIP/061_Technical
Specifications.html.
We seek comments on this proposal.
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tkelley on DSK3SPTVN1PROD with PROPOSALS3
ii. Proposed Full-Season Influenza
Vaccination Reporting Measure
According to the Centers for Disease
Control and Prevention (CDC), seasonal
influenza, which occurs between
October and March/April of the
following year, is associated with
approximately 20,000 deaths 5 and
226,000 hospitalizations annually.6
While overall rates of influenza
infection are highest among children,
rates of serious illness and mortality are
highest among adults aged 65 years or
older, children aged two or younger,
and immunocompromised patients such
as patients with ESRD. Observational
data have found associations between
influenza vaccination and reduced
mortality and hospitalization in this
patient population. Specifically,
multiple studies have found that
vaccinated patients have significantly
lower odds of all-cause mortality and
modestly lower odds of all-cause
hospitalization compared to
unvaccinated patients.7 However,
influenza vaccination rates in the ESRD
population have historically been lower
than the Healthy People 2020 goal of 70
percent of both pediatric and adult
populations in the United States,8 with
recent reports from the U.S. Renal Data
System and Dialysis Facility Reports
showing vaccination rates of 67 percent
and 68 percent, respectively, among
ESRD patients for the 2011–2012
season.9 Based on these findings, we
believe that encouraging closer
evaluation of patients’ influenza
vaccination status in the dialysis facility
will increase the number of patients
with ESRD who receive an influenza
vaccination and increase influenza
vaccination rates in this population,
5 Centers for Disease Control and Prevention
(CDC). Estimates of Deaths Associated with
Seasonal Influenza—United States, 1976–2007.
MMWR (2010) 59:33. Available at: https://
www.cdc.gov/mmwr/preview/mmwrhtml/
mm5933a1.htm.
6 Centers for Disease Control and Prevention
(CDC). Prevention and Control of Influenza with
Vaccines: Recommendations of the Advisory
Committee on Immunization Practices (ACIP).
MMWR2010a;59(RR–8):1–62.
7 Bond TC, Spaulding AC, Krisher J, et al.
Mortality of dialysis patients according to influenza
and pneumococcal vaccination status. Am J Kidney
Dis. 2012;60:959–65; Gilbertson DT, Unruh M,
McBean AM, et al. Influenza vaccine delivery and
effectiveness in end-stage renal disease. Kidney Int.
2003;63:738–43.
8 https://www.healthypeople.gov/2020/topicsobjectives/topic/immunization-and-infectiousdiseases/objectives (Healthy People 2020 IID–12.11
and IID–12.12).
9 US Renal Data System, USRDS 2014 Annual
Data Report: An overview of the epidemiology of
kidney disease in the United States. National
Institutes of Health, National Institute of Diabetes
and Digestive and Kidney Diseases, Bethesda, MD,
2014.
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which will in turn improve patient
health and well-being.
We are proposing to use a measure
that is based on ‘‘ESRD Vaccination—
Full-Season Influenza Vaccination’’
(Measure Applications Partnership
#XDEFM). This measure assesses the
percentage of ESRD patients ≥ 6 months
of age on October 1 and on chronic
dialysis ≥ 30 days in a facility at any
point between October 1 and March 31
who either (1) received an influenza
vaccination; (2) were offered but
declined the vaccination; or (3) were
determined to have a medical
contraindication. The Measure
Applications Partnership conditionally
supported the use of the ESRD
Vaccination—Full-Season Influenza
Vaccination measure in the ESRD QIP in
its January 2014 Pre-Rulemaking Report
because ‘‘influenza vaccination is very
important for dialysis patients.’’
Nevertheless, the Measure Applications
Partnership declined to give the
measure full support because it was not
sure that the measure was more suitable
to drive improvement than NQF #0226:
‘‘Influenza Immunization in the ESRD
Population (Facility Level)’’. We have
reviewed the measure specifications for
NQF #0226 and determined that it is not
appropriate to use as the basis for a
reporting measure because the
denominator statement of NQF #0226
excludes all patients for whom data
during the flu season is incomplete,
potentially excluding patients who died
from influenza, but might not have died
if they had received an influenza
vaccination. We therefore believe it is
more appropriate to adopt a reporting
measure based on the ESRD
Vaccination—Full-Season Influenza
Vaccination measure (Measure
Applications Partnership #XDEFM)
because this measure includes patients
who died from influenza, but might not
have died if they had received an
influenza vaccination, and we believe it
is important to include such patients in
an influenza immunization clinical
measure for the ESRD QIP, should we
propose to adopt such a measure in the
future.
For these reasons, we are proposing to
adopt a reporting measure based on
‘‘ESRD Vaccination—Full-Season
Influenza Vaccination’’ (‘‘Full-Season
Influenza Vaccination reporting
measure’’) so that we can collect data
that we can use in the future to calculate
both achievement and improvement
scores, should we propose to adopt a
clinical version of this measure in future
rulemaking.
Section 1881(h)(2)(B)(ii) of the Act
states that ‘‘In the case of a specified
area or medical topic determined
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37847
appropriate by the Secretary for which
a feasible and practical measure has not
been endorsed by the entity with a
contract under section 1890(a) of the
Act [in this case NQF], the Secretary
may specify a measure that is not so
endorsed as long as due consideration is
given to measures that have been
endorsed or adopted by a consensus
organization identified by the
Secretary.’’ Because we have given due
consideration to endorsed measures, as
well as those adopted by a consensus
organization, and determined it is not
practical or feasible to adopt those
measures in the ESRD QIP, we are
proposing to adopt the Full-Season
Influenza Vaccination reporting
measure under the authority of section
1881(h)(2)(B)(ii) of the Act.
For PY 2019 and future payment
years, we propose that facilities must
report one of the following conditions in
CROWNWeb once per performance
period, for each qualifying patient
(defined below):
1. If the patient received an influenza
vaccination:
a. Influenza Vaccination Date
b. Where Influenza Vaccination
Received: (1) Documented at facility; (2)
Documented outside facility; or (3)
Patient self-reported outside facility
2. If the patient did not receive an
influenza vaccination:
a. Reason:
i. Already vaccinated this flu season
ii. Medical Reason: Allergic or
adverse reaction
iii. Other medical reason
iv. Declined
v. Other reason
We note that while facilities are
expected to retain patient influenza
immunization documentation for their
own records, facilities are not required
to supply this documentation to CMS
under the Full-Season Influenza
Vaccination reporting measure.
For this measure, a qualifying patient
would be defined as a patient aged six
months or older as of October 1 who has
been on chronic dialysis for 30 or more
days in a facility at any point between
October 1 and March 31. This measure
would include in-center hemodialysis,
peritoneal dialysis, and home dialysis
patients. This proposed measure would
capture the same data described in
‘‘ESRD Vaccination—Full-Season
Influenza Vaccination’’, but we would
require that facilities report the data on
or before May 15 following the
performance period for that year. We
believe this reporting deadline will
ensure that facilities have sufficient
time to collect and enter data for all
qualifying patients following the
influenza season, and aligns this
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reporting effort with that of the NHSN
Healthcare Personnel Influenza
Vaccination reporting measure finalized
in the CY 2015 ESRD PPS final rule for
PY 2018 (79 FR 66206 through 66208).
Second, we are proposing to score
facilities based on whether they
successfully report the data, and not
based on the measure results. Technical
specifications for the Full-Season
Influenza Vaccination reporting
measure can be found at https://
www.cms.gov/Medicare/QualityInitiatives-Patient-AssessmentInstruments/ESRDQIP/061_
TechnicalSpecifications.html.
We seek comments on this proposal.
3. Proposed Performance Period for the
PY 2019 ESRD QIP
Section 1881(h)(4)(D) of the Act
requires the Secretary to establish the
performance period with respect to a
payment year, and that the performance
period occur prior to the beginning of
such year. We are proposing to establish
CY 2017 as the performance period for
the PY 2019 ESRD QIP for all but the
influenza vaccination measures because
it is consistent with the performance
period we have historically used for
these measures and accounts for
seasonal variations that might affect a
facility’s measure score. We are
proposing that the performance period
for both the NHSN Healthcare Personnel
Influenza Vaccination reporting
measure and the proposed Full-Season
Influenza Vaccination reporting
measure will be from October 1, 2016
through March 31, 2017, because this
period spans the length of the 2016–
2017 influenza season.
We seek comments on these
proposals.
tkelley on DSK3SPTVN1PROD with PROPOSALS3
4. Proposed Performance Standards,
Achievement Thresholds, and
Benchmarks for the PY 2019 ESRD QIP
Section 1881(h)(4)(A) of the Act
provides that ‘‘the Secretary shall
establish performance standards with
respect to measures selected . . . for a
performance period with respect to a
year.’’ Section 1881(h)(4)(B) of the Act
further provides that the ‘‘performance
standards . . . shall include levels of
achievement and improvement, as
determined appropriate by the
Secretary.’’ We use the performance
standards to establish the minimum
score a facility must achieve to avoid a
Medicare payment reduction. We use
achievement thresholds and
benchmarks to calculate scores on the
clinical measures.
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a. Proposed Performance Standards,
Achievement Thresholds, and
Benchmarks for the Clinical Measures in
the PY 2019 ESRD QIP
For the same reasons stated in the CY
2013 ESRD PPS final rule (77 FR 67500
through 76502), we are proposing for PY
2019 to set the performance standards,
achievement thresholds, and
benchmarks for the clinical measures at
the 50th, 15th, and 90th percentile,
respectively, of national performance in
CY 2015, because this will give us
enough time to calculate and assign
numerical values to the proposed
performance standards for the PY 2019
program prior to the beginning of the
performance period. We continue to
believe these standards will provide an
incentive for facilities to continuously
improve their performance, while not
reducing incentives to facilities that
score at or above the national
performance rate for the clinical
measures.
We seek comments on these
proposals.
b. Estimated Performance Standards,
Achievement Thresholds, and
Benchmarks for the Clinical Measures
Proposed for the PY 2019 ESRD QIP
At this time, we do not have the
necessary data to assign numerical
values to the proposed performance
standards for the clinical measures,
because we do not yet have data from
CY 2015 or the first portion of CY 2016.
We will publish values for the clinical
measures, using data from CY 2015 and
the first portion of CY 2016, in the CY
2017 ESRD PPS final rule.
c. Proposed Performance Standards for
the PY 2019 Reporting Measures
In the CY 2014 ESRD PPS Final Rule,
we finalized performance standards for
the Anemia Management and Mineral
Metabolism reporting measures (78 FR
72213). In the CY 2015 ESRD PPS Final
Rule, we finalized our proposal to
modify the measure specifications for
the Mineral Metabolism reporting
measure to allow facilities to report
either serum phosphorus data or plasma
phosphorus data for the Mineral
Metabolism reporting measure (79 FR
66191). We are not proposing any
changes to these policies for the PY
2019 ESRD QIP.
In the CY 2015 ESRD PPS Final Rule,
we finalized performance standards for
the Screening for Clinical Depression
and Follow-Up, Pain Assessment and
Follow-Up, and NHSN Healthcare
Provider Influenza Vaccination
reporting measures (79 FR 66209). We
are not proposing any changes to these
policies.
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For the Ultrafiltration Rate reporting
measure, we propose to set the
performance standard as successfully
reporting an ultrafiltration rate for each
qualifying patient in CROWNWeb on a
monthly basis, for each month of the
reporting period.
For the Full-Season Influenza
Vaccination reporting measure, we
propose to set the performance standard
as successfully reporting one of the
above-listed vaccination statuses for
each qualifying patient in CROWNWeb
on or before May 15th of the
performance period.
We seek comments on these
proposals.
5. Proposal for Scoring the PY 2019
ESRD QIP
a. Scoring Facility Performance on
Clinical Measures Based on
Achievement
In the CY 2014 ESRD PPS Final Rule,
we finalized a policy for scoring
performance on clinical measures based
on achievement (78 FR 72215). Under
this methodology, facilities receive
points along an achievement range
based on their performance during the
performance period for each measure,
which we define as a scale between the
achievement threshold and the
benchmark. In determining a facility’s
achievement score for each clinical
measure under the PY 2019 ESRD QIP,
we propose to continue using this
methodology for all clinical measures
except the ICH CAHPS clinical measure.
The facility’s achievement score would
be calculated by comparing its
performance on the measure during CY
2017 (the proposed performance period)
to the achievement threshold and
benchmark (the 15th and 90th
percentiles of national performance on
the measure in CY 2015).
We seek comment on this proposal.
b. Scoring Facility Performance on
Clinical Measures Based on
Improvement
In the CY 2014 ESRD PPS Final Rule,
we finalized a policy for scoring
performance on clinical measures based
on improvement (78 FR 72215 through
72216). In determining a facility’s
improvement score for each measure
under the PY 2019 ESRD QIP, we
propose to continue using this
methodology for all clinical measures
except the ICH CAHPS clinical measure.
Under this methodology, facilities
receive points along an improvement
range, defined as a scale running
between the improvement threshold and
the benchmark. We propose to define
the improvement threshold as the
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facility’s performance on the measure
during CY 2016. The facility’s
improvement score would be calculated
by comparing its performance on the
measure during CY 2017 (the proposed
performance period) to the
improvement threshold and benchmark.
We seek comment on this proposal.
c. Scoring the ICH CAHPS Clinical
Measure
In the CY 2015 ESRD PPS final rule,
we finalized a policy for scoring
performance on the ICH CAHPS clinical
measure based on both achievement and
improvement (79 FR 66209 through
66210). Under this methodology,
facilities will receive an achievement
score and an improvement score for
each of the three composite measures
and three global ratings in the ICH
CAHPS survey instrument. A facility’s
ICH CAHPS score will be based on the
higher of the facility’s achievement or
improvement score for each of the
composite measures and global ratings,
and the resulting scores on each of the
composite measures and global ratings
will be averaged together to yield an
overall score on the ICH CAHPS clinical
measure. For PY 2019, the facility’s
achievement score would be calculated
by comparing where its performance on
each of the three composite measures
and three global ratings during CY 2017
falls relative to the achievement
threshold and benchmark for that
measure and rating based on CY 2015
data. The facility’s improvement score
would be calculated by comparing its
performance on each of the three
composite measures and three global
ratings during CY 2017 to its
performance rates on these items during
CY 2016.
We seek comments on this proposal.
d. Proposal for Calculating Facility
Performance on Reporting Measures
In the CY 2013 ESRD PPS final rule,
we finalized policies for scoring
performance on the Anemia
37849
Management and Mineral Metabolism
reporting measures in the ESRD QIP (77
FR 67506). We are not proposing any
changes to these policies for the PY
2019 ESRD QIP.
In the CY 2015 ESRD PPS final rule,
we finalized policies for scoring
performance on the Clinical Depression
Screening and Follow-Up, Pain
Assessment and Follow-Up, and NHSN
Healthcare Provider Influenza
Vaccination reporting measures (79 FR
66210 through 66211). We are not
proposing any changes to these policies.
With respect to the Ultrafiltration Rate
reporting measure, we are proposing to
score facilities with a CCN Open Date
before July 1, 2017 using the same
formula previously finalized for the
Mineral Metabolism and Anemia
Management reporting measures (77 FR
67506):
of eligible patients for which the facility
successfully submits one of the
vaccination status indicators listed
above by the May 15, 2017 deadline
using the following formula:
We seek comments on these
proposals.
consideration: (1) The number of
measures and measure topics in a
proposed subdomain; (2) how much
experience facilities have had with the
measures; and (3) how well the
measures align with CMS’ highest
priorities for quality improvement for
patients with ESRD.
In the same rule, we finalized the
Dialysis Adequacy measure topic and
Vascular Access Type measure topic’s
weights for PY 2018 at 18 percent of a
facility’s Clinical Measure Domain score
because facilities have substantially
more experience with the Dialysis
Adequacy measure topic as compared to
the other measures in the Clinical Care
subdomain (79 FR 66214). Beginning in
PY 2019, we are proposing to remove
the Dialysis Adequacy measure topic
and replace it with the Dialysis
Adequacy clinical measure. Because
this proposed measure is a composite of
the measures previously included in the
Dialysis Adequacy measure topic, with
the same Kt/V thresholds currently used
for those measures, we believe that
facilities are already familiar with the
concepts underlying this proposed
measure and that the measure should be
weighted at 18 percent of a facility’s
Clinical Measure Domain score. We are
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6. Weighting the Clinical Measure
Domain and Total Performance Score
i. Proposal for Weighting the Clinical
Measure Domain for PY 2019
In the CY 2015 ESRD PPS final rule,
we finalized policies regarding the
criteria we would use to assign weights
to measures in a facility’s Clinical
Measure Domain score (79 FR 66214
through 66216). Specifically, we stated
that in deciding how to weight measures
and measure topics within the Clinical
Measure Domain, we would take into
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EP01JY15.014
With respect to the Full-Season
Influenza Immunization reporting
measure, we are proposing to score
facilities with a CCN Open Date before
January 1, 2017 based on the proportion
EP01JY15.015
As with the Anemia Management and
Mineral Metabolism reporting measures,
we would round the result of this
formula (with half rounded up) to
generate a measure score from 0–10.
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not proposing any further changes to the
weighting for the remaining clinical
measures and measure topics within the
Clinical Measure Domain because the
previously finalized weights are aligned
with the criteria used to establish
measure and measure topic weights. For
these reasons, we propose to use the
following weighting system in Table 18
below for calculating a facility’s Clinical
Measure Domain score beginning in PY
2019.
TABLE 18—PROPOSED CLINICAL MEASURE DOMAIN WEIGHTING FOR THE PY 2019 ESRD QIP
Measure weight in the
Clinical Measure
Domain score
(%)
Measures/measure topics by subdomain
Safety Subdomain ...............................................................................................................................................................
NHSN Bloodstream Infection measure ........................................................................................................................
Patient and Family Engagement/Care Coordination Subdomain .......................................................................................
ICH CAHPS measure ...................................................................................................................................................
SRR measure ...............................................................................................................................................................
Clinical Care Subdomain .....................................................................................................................................................
STrR measure ..............................................................................................................................................................
Dialysis Adequacy measure .........................................................................................................................................
Vascular Access Type measure topic ..........................................................................................................................
Hypercalcemia measure ...............................................................................................................................................
We seek comments on this proposal
for weighting a facility’s Clinical
Measure Domain score.
tkelley on DSK3SPTVN1PROD with PROPOSALS3
ii. Weighting the Total Performance
Score
We continue to believe that while the
reporting measures are valuable, the
clinical measures evaluate actual patient
care and therefore justify a higher
combined weight (78 FR 72217). We are
therefore not proposing to change our
policy, finalized in the CY 2015 ESRD
PPS final rule (79 FR 66219), under
which clinical measures will be
weighted as finalized for the Clinical
Domain score, and the Clinical Domain
score will comprise 90 percent of a
facility’s TPS, with the reporting
measures weighted equally to form the
remaining 10 percent of a facility’s TPS.
We are also not proposing any changes
to the policy that facilities must be
eligible to receive a score on at least one
reporting measure and at least one
clinical measure to be eligible to receive
a TPS, or the policy that a facility’s TPS
will be rounded to the nearest integer,
with half of an integer being rounded
up.
7. Proposed Minimum Data for Scoring
Measures for the PY 2019 ESRD QIP
Our policy is to score facilities on
clinical and reporting measures for
which they have a minimum number of
qualifying patients during the
performance period. With the exception
of the Standardized Readmission Ratio,
Standardized Transfusion Ratio, and
ICH CAHPS clinical measures, a facility
must treat at least 11 qualifying cases
during the performance period in order
to be scored on a clinical or reporting
measure. A facility must have at least 11
index discharges to be eligible to receive
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a score on the SRR clinical measure and
10 patient-years at risk to be eligible to
receive a score on the STrR clinical
measure. In order to receive a score on
the ICH CAHPS clinical measure, a
facility must have treated at least 30
survey-eligible patients during the
eligibility period and receive 30
completed surveys during the
performance period. We are not
proposing to change these minimum
data policies for the measures that we
have proposed to continue including in
the PY 2019 ESRD QIP measure set.
For the proposed Dialysis Adequacy
clinical measure, we propose that
facilities with at least 11 qualifying
patients will receive a score on the
measure. We believe that maintaining a
case minimum of 11 for this measure
adequately addresses both the privacy
and reliability concerns previously
discussed in the CY 2013 ESRD PPS
final rule (77 FR 67510 through 67512),
and aligns with the case minimum
policy for the previously finalized
clinical process measures.
For the proposed Ultrafiltration Rate
and Full-Season Influenza reporting
measures, we also propose that facilities
with at least 11 qualifying patients will
receive a score on the measure. We
believe that setting the case minimum at
11 for these reporting measures strikes
the appropriate balance between the
need to maximize data collection and
the need to not unduly burden or
penalize small facilities. We further
believe that setting the case minimum at
11 is appropriate because this aligns
with case minimum policy for the vast
majority of the reporting measures in
the ESRD QIP.
Under our current policy, we begin
counting the number of months for
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20
20
30
20
10
50
7
18
18
7
which a facility is open on the first day
of the month after the facility’s CCN
Open Date. Only facilities with a CCN
Open Date before July 1, 2017 would be
eligible to be scored on the Anemia
Management, Mineral Metabolism, Pain
Assessment and Follow-Up, Clinical
Depression Screening and Follow-Up
reporting measures, and only facilities
with a CCN Open Date before January 1,
2017 would be eligible to be scored on
the NHSN Bloodstream Infection
clinical measure, ICH CAHPS clinical
measure, and NHSN Healthcare
Personnel (HCP) Influenza Vaccination
reporting measure. Consistent with our
policy regarding the NHSN HCP
Influenza Vaccination reporting
measure, we propose that facilities with
a CCN Open Date after January 1, 2017
would not be eligible to receive a score
on the Full-Season Influenza
Vaccination reporting measure because
these facilities might have difficulty
reporting the data by the proposed
reporting deadline of May 15, 2017. We
further propose that, consistent with our
CCN Open Date policy for other
reporting measures, facilities with a
CCN Open Date after July 1, 2017,
would not be eligible to receive a score
on the Ultrafiltration Rate reporting
measure because of the difficulties these
facilities may face in meeting the
requirements of this measure due to the
short period of time left in the
performance period.
We seek comments on these
proposals.
Table 19 displays the proposed
patient minimum requirements for each
of the measures, as well as the proposed
CCN Open Dates after which a facility
would not be eligible to receive a score
on a reporting measure.
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37851
TABLE 19—PROPOSED MINIMUM DATA RREQUIREMENTS FOR THE PY 2019 ESRD QIP
Measure
Minimum data requirements
CCN open date
Dialysis Adequacy (Clinical) ..........
Vascular Access Type: Catheter
(Clinical).
Vascular Access Type: Fistula
(Clinical).
Hypercalcemia (Clinical) ................
NHSN Bloodstream Infection (Clinical).
SRR (Clinical) ................................
STrR (Clinical) ................................
ICH CAHPS (Clinical) ....................
11 qualifying patients ....................
11 qualifying patients ....................
N/A ................................................
N/A ................................................
11–25 qualifying patients.
11–25 qualifying patients.
11 qualifying patients ....................
N/A ................................................
11–25 qualifying patients.
11 qualifying patients ....................
11 qualifying patients ....................
N/A ................................................
Before January 1, 2017 ................
11–25 qualifying patients.
11–25 qualifying patients.
11 index discharges .....................
10 patient-years at risk .................
Facilities with 30 or more surveyeligible patients during the calendar year preceding the performance period must submit
survey results. Facilities will not
receive a score if they do not
obtain a total of at least 30
completed surveys during the
performance period.
11 qualifying patients ....................
11 qualifying patients ....................
11 qualifying patients ....................
N/A ................................................
N/A ................................................
Before January 1, 2017 ................
11–41 index discharges.
10—21 patient-years at risk.
N/A.
Before July 1, 2017 ......................
Before July 1, 2017 ......................
Before July 1, 2017 ......................
N/A.
N/A.
N/A.
11 qualifying patients ....................
Before July 1, 2017 ......................
N/A.
N/A ................................................
Before January 1, 2017 ................
N/A.
11 qualifying patients ....................
11 qualifying patients ....................
Before July 1, 2017 ......................
Before January 1, 2017 ................
N/A.
N/A.
tkelley on DSK3SPTVN1PROD with PROPOSALS3
Anemia Management (Reporting) ..
Mineral Metabolism (Reporting) .....
Depression Screening and FollowUp (Reporting).
Pain Assessment and Follow-Up
(Reporting).
NHSN HCP Influenza Vaccination
(Reporting).
Ultrafiltration Rate (Reporting) .......
Full-Season Influenza Vaccination
(Reporting).
8. Proposed Payment Reductions for the
PY 2019 ESRD QIP
Section 1881(h)(3)(A)(ii) of the Act
requires the Secretary to ensure that the
application of the scoring methodology
results in an appropriate distribution of
payment reductions across facilities,
such that facilities achieving the lowest
TPSs receive the largest payment
reductions. We propose that, for the PY
2019 ESRD QIP, a facility will not
receive a payment reduction if it
achieves a minimum TPS that is equal
to or greater than the total of the points
it would have received if:
• It performed at the performance
standard for each clinical measure; and
• It received the number of points
for each reporting measure that
corresponds to the 50th percentile of
facility performance on each of the PY
2017 reporting measures. We recognize
that we are not proposing a policy
regarding the inclusion of measures for
which we are not able to establish a
numerical value for the performance
standard through the rulemaking
process before the beginning of the
performance period in the PY 2019
minimum TPS. We have not proposed
such a policy because no measures in
the proposed PY 2019 measure set meet
this criterion. However, should we
choose to adopt a clinical measure in
future rulemaking without the baseline
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data required to calculate a performance
standard before the beginning of the
performance period, we will propose a
criterion accounting for that measure in
the minimum TPS for the applicable
payment year at that time.
The PY 2017 program is the most
recent year for which we will have
calculated final measure scores before
the beginning of the proposed
performance period for PY 2019 (that is,
CY 2017). Because we have not yet
calculated final measure scores, we are
unable to determine the 50th percentile
of facility performance on the PY 2017
reporting measures. We will publish
that value in the CY 2017 ESRD PPS
final rule once we have calculated final
measure scores for the PY 2017
program.
Section 1881(h)(3)(A)(ii) of the Act
requires that facilities achieving the
lowest TPSs receive the largest payment
reductions. In the CY 2014 ESRD PPS
final rule (78 FR 72223 through 72224),
we finalized a payment reduction scale
for PY 2016 and future payment years:
for every 10 points a facility falls below
the minimum TPS, the facility would
receive an additional 0.5 percent
reduction on its ESRD PPS payments for
PY 2016 and future payment years, with
a maximum reduction of 2.0 percent.
We are not proposing any changes to
this policy for the PY 2019 ESRD QIP.
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Small facility adjuster
Because we are not yet able to
calculate the performance standards for
each of the clinical measures, we are
also not able to calculate a proposed
minimum TPS at this time. We will
publish the minimum TPS, based on
data from CY 2015 and the first part of
CY 2016, in the CY 2017 ESRD PPS final
rule.
We seek comments on this proposal.
H. Future Achievement Threshold
Policy Under Consideration
Under our current methodology, we
set performance standards, achievement
thresholds, and benchmarks for the
clinical measures at the 50th, 15th, and
90th percentiles, respectively, of
national performance on the measure
during the baseline period (77 FR 67500
through 67502). As we continue to
refine ESRD QIP’s policies, we are
evaluating different methods of ensuring
that facilities strive for continuous
improvement in their delivery of care to
patients with ESRD. For future
rulemaking, we are considering
increasing the achievement threshold
from the 15th percentile to the 25th
percentile of national performance
during the baseline period. We believe
this increase in the achievement
threshold will add additional incentives
for facilities to improve performance,
thereby improving patient outcomes and
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quality of care. We have analyzed the
impact of this policy change on facility
payment reductions using the same data
used to calculate the PY 2018 minimum
TPS. The full results of this analysis can
be found at https://www.cms.gov/
Medicare/Quality-Initiatives-PatientAssessment-Instruments/ESRDQIP/061_
TechnicalSpecifications.html.
We invite comment on this policy that
we are considering for adoption in the
ESRD QIP in the future.
tkelley on DSK3SPTVN1PROD with PROPOSALS3
I. Monitoring Access to Dialysis
Facilities
In the CY 2015 ESRD PPS final rule,
we finalized our commitment to
conduct a study to determine the impact
of adopting the Standardized
Readmission Ratio (SRR) and
Standardized Transfusion Ratio clinical
measures on access to care, and stated
that we would make further details
about the study and its methodology
available to the public for review (79 FR
66189). We intend to publish the
methodology for this study in the
second half of the year, and encourage
all interested parties to review this
methodology and submit any comments
using the process outlined on the Web
page.
IV. Advancing Health Information
Exchange
HHS has a number of initiatives
designed to improve health and health
care quality through the adoption of
health information technology and
nationwide health information
exchange. As discussed in the August
2013 Statement ‘‘Principles and
Strategies for Accelerating Health
Information Exchange’’ (available at
https://www.healthit.gov/sites/default/
files/acceleratinghieprinciples_
strategy.pdf), HHS believes that all
individuals, their families, their
healthcare and social service providers,
and payers should have consistent and
timely access to health information in a
standardized format that can be securely
exchanged between the patient,
providers, and others involved in the
individual’s care. Health IT that
facilitates the secure, efficient and
effective sharing and use of healthrelated information when and where it
is needed is an important tool for
settings across the continuum of care,
including ESRD facilities.
The Office of the National
Coordinator for Health Information
Technology (ONC) has released a
document entitled ‘‘Connecting Health
and Care for the Nation: A Shared
Nationwide Interoperability Roadmap
Draft Version 1.0 (draft Roadmap)
(available at https://www.healthit.gov/
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sites/default/files/nationwideinteroperability-roadmap-draft-version1.0.pdf) which describes barriers to
interoperability across the current
health IT landscape, the desired future
state that the industry believes will be
necessary to enable a learning health
system, and a suggested path for moving
from the current state to the desired
future state. In the near term, the draft
Roadmap focuses on actions that will
enable a majority of individuals and
providers across the care continuum to
send, receive, find and use a common
set of electronic clinical information at
the nationwide level by the end of 2017.
Moreover, the vision described in the
draft Roadmap significantly expands the
types of electronic health information,
information sources and information
users well beyond clinical information
derived from electronic health records
(EHRs). This shared strategy is intended
to reflect important actions that both
public and private sector stakeholders
can take to enable nationwide
interoperability of electronic health
information such as: (1) Establishing a
coordinated governance framework and
process for nationwide health IT
interoperability; (2) improving technical
standards and implementation guidance
for sharing and using a common clinical
data set; (3) enhancing incentives for
sharing electronic health information
according to common technical
standards, starting with a common
clinical data set; and (4) clarifying
privacy and security requirements that
enable interoperability.
In addition, ONC has released the
draft version of the 2015 Interoperability
Standards Advisory (available at https://
www.healthit.gov/standards-advisory),
which provides a list of the best
available standards and implementation
specifications to enable priority health
information exchange functions.
Providers, payers, and vendors are
encouraged to take these ‘‘best available
standards’’ into account as they
implement interoperable health
information exchange across the
continuum of care.
We encourage stakeholders to utilize
health information exchange and
certified health IT to effectively and
efficiently help providers improve
internal care delivery practices, support
management of care across the
continuum, enable the reporting of
electronically specified clinical quality
measures, and improve efficiencies and
reduce unnecessary costs. As adoption
of certified health IT increases and
interoperability standards continue to
mature, HHS will seek to reinforce
standards through relevant policies and
programs.
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V. Collection of Information
Requirements
A. Legislative Requirement for
Solicitation of Comments
Under the Paperwork Reduction Act
of 1995, we are required to provide 60day notice in the Federal Register and
solicit public comment before a
collection of information requirement is
submitted to the Office of Management
and Budget (OMB) for review and
approval.
In order to fairly evaluate whether an
information collection requirement
should be approved by OMB, section
3506(c)(2)(A) of the Paperwork
Reduction Act of 1995 requires that we
solicit comment on the following issues:
• The need for the information
collection and its usefulness in carrying
out the proper functions of our agency.
• The accuracy of our estimate of the
information collection burden.
• The quality, utility, and clarity of
the information to be collected.
• Recommendations to minimize the
information collection burden on the
affected public, including automated
collection techniques.
B. Requirements in Regulation Text
In sections II.B.1.d.ii, II.B.1.d.iii,
II.B.3, and II.B.4 of this proposed rule,
we are proposing changes to regulatory
text for the ESRD PPS in CY 2016.
However, the changes that are being
proposed do not impose any new
information collection requirements.
C. Additional Information Collection
Requirements
This proposed rule does not impose
any new information collection
requirements in the regulation text, as
specified above. However, this proposed
rule does make reference to several
associated information collections that
are not discussed in the regulation text
contained in this document. The
following is a discussion of these
information collections.
1. ESRD QIP
a. Wage Estimates
In previous rulemaking, we used the
mean hourly wage of a registered nurse
as the basis of the wage estimates for all
collection of information calculations in
the ESRD QIP (for example, 77 FR
67521). However, we believe that
reporting data for the ESRD QIP
measures can be accomplished by other
administrative staff within the dialysis
facility. The Bureau of Labor Statistiscs
(the Bureau) is ‘‘the principal Federal
agency responsible for measuring labor
market activity, working conditions, and
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price changes in the economy.’’ 10
Acting as an independent agency, the
Bureau provides objective information
not only for the government, but also for
the public. The Bureau’s National
Occupational Employment and Wage
Estimate describes Medical Records and
Health Information Technicians as those
responsible for organizing and managing
health information data.11 Therefore, we
believe it is reasonable assume these
individuals would be tasked with
submitting measure data to CROWNWeb
rather than a Registered Nurse, whose
duties are centered on providing and
coordinating care for patients.12 The
mean hourly wage of a Medical Records
and Health Information Technician is
$18.68 per hour.13 Under OMB Circular
76–A, in calculating direct labor,
agencies should not only include
salaries and wages, but also ‘‘other
entitlements’’ such as fringe benefits.14
This Circular provides that the civilian
position full fringe benefit cost factor is
36.25 percent. Therefore, using these
assumptions, we estimate an hourly
labor cost of $25.45 as the basis of the
wage estimates for all collection of
information calculations in the ESRD
QIP.
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b. Changes in Time Required To Submit
Data Based on Proposed Reporting
Requirements
In previous rulemaking, we estimated
that data entry associated with the ESRD
QIP took approximately 5 minutes per
data element to complete (for example,
77 FR 67521). However, a large number
of facilities now submit data using the
batch submission process, which allows
facilities to submit data extracted from
their internal Electronic Health Records
(EHRs) directly to CROWNWeb. Because
the batch submission process can be
automated with very little human
intervention, we believe the overall time
required to submit measure data using
CROWNWeb is substantially less than
previously estimated. We are therefore
revising our estimate to be 2.5 minutes
per data element submitted, a change of
¥2.5 minutes, which takes into account
the small percentage of data that is
manually reported, as well as the
human interventions required to modify
batch submission files such that they
meet CROWNWeb’s internal data
validation requirements.
10 https://www.bls.gov/bls/infohome.htm.
11 https://www.bls/gov/ooh/healthcare/medicalrecords-and-health-information-technicians.htm.
12 https://www.bls.gov/ooh/healthcare/registerednurses.htm.
13 https://www,bls.gov/ooh/healthcare/medicalrecords-and-health-information-technicians.html.
14 https://www.whitehouse.gov/omb/circulars_
a076_a76_incl_tech_correction.
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c. Data Validation Requirements for the
PY 2018 ESRD QIP
Section III.F.4 in this proposed rule
outlines our data validation proposals
for PY 2018. Specifically, we propose to
randomly sample records from 300
facilities as part of our continuing pilot
data-validation program. Each sampled
facility would be required to produce
approximately 10 records, and the
sampled facilities will be reimbursed by
our validation contractor for the costs
associated with copying and mailing the
requested records. The burden
associated with these validation
requirements is the time and effort
necessary to submit the requested
records to a CMS contractor. We
estimate that it will take each facility
approximately 2.5 hours to comply with
this requirement. If 300 facilities are
asked to submit records, we estimate
that the total combined annual burden
for these facilities will be 750 hours
(300 facilities × 2.5 hours). Since we
anticipate that Medical Records and
Health Information Technicians or
similar administrative staff would
submit this data, we estimate that the
aggregate cost of the CROWNWeb data
validation would be $19,088 (750 hours
× $25.45/hour) total or $64 ($19,088/300
facilities) per facility in the sample. The
burden associated with these
requirements is captured in an
information collection request currently
available for review and comment, OMB
control number 0938–NEW.
Under the proposed continuation of
the feasibility study for validating data
reported to the NHSN Dialysis Event
Module, we propose to randomly select
nine facilities to provide CMS with a
quarterly list of all positive blood
cultures drawn from their patients
during the quarter, including any
positive blood cultures collected on the
day of, or the day following, a facility
patient’s admission to a hospital. A
CMS contractor will review the lists to
determine if dialysis events for the
patients in question were accurately
reported to the NHSN Dialysis Event
Module. If we determine that additional
medical records are needed to validate
dialysis events, facilities will be
required to provide those records within
60 days of a request for this information.
We estimate fewer than ten respondents
in a 12-month period; therefore, in
accordance with the implementing
regulations of the PRA at 44 U.S.C.
3502(3)(A)(i), the burden associated
with the aforementioned requirements
is exempt.
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37853
d. Proposed Ultrafiltration Rate
Reporting Measure
We proposed to include, beginning
with the PY 2019 ESRD QIP, a reporting
measure requiring facilities to report in
CROWNWeb an ultrafiltration rate at
least once per month for each qualifying
patient. We estimate the burden
associated with this measure to be the
time and effort necessary for facilities to
collect and submit the information
required for the ultrafiltration rate
reporting measure. We estimated that
approximately 6,264 facilities will treat
773,737 ESRD patients nationwide in
PY 2019. The ultrafiltration rate
reporting measure has 12 elements per
patient per year, and we estimate it will
take facilities approximately 0.042
hours (2.5 minutes) to submit data for
each qualifying patient each month.
Therefore, the estimated total annual
burden associated with reporting this
measure in PY 2019 is approximately
389,963 hours (773,737 ESRD patients
nationwide × 12 data elements/year ×
0.042 hours per element), or 62 hours
per facility. We anticipate that Medical
Records and Health Information
Technicians or similar administrative
staff will be responsible for this
reporting. We therefore believe the cost
for all ESRD facilities to comply with
the reporting requirements associated
with the ultrafiltration rate reporting
measure would be approximately
$9,924,558 (389,963 × $25.45/hour), or
$1,584 per facility. The burden
associated with these requirements is
captured in an information collection
request currently available for review
and comment, OMB control number
0938—NEW.
e. Proposed Full-Season Influenza
Vaccination Reporting Measure
We proposed to include, beginning
with the PY 2019 ESRD QIP, a measure
requiring facilities to report patient
influenza vaccination status annually
using the CROWNWeb system. We
estimate the burden associated with this
measure to be the time and effort
necessary for facilities to collect and
submit the information required for this
measure. We estimated that
approximately 6,264 facilities will treat
773,737 ESRD patients nationwide in
PY 2019. The Full-Season Influenza
Vaccination reporting measure has just
1 element per patient per year, and we
estimate it will take facilities
approximately 0.042 hours, or 2.5
minutes, to submit this data for each
patient on an annual basis. Therefore,
the estimated total annual burden
associated with reporting this measure
in PY 2019 is approximately 32,497
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hours (737,773 ESRD patients
nationwide × 1 element/year × 0.042
hours/element), or 5 hours per facility.
Again, we anticipate that Medical
Records and Health Information
Technicians or similar administrative
staff will be responsible for this
reporting. In total, we stated that we
believe the cost for all ESRD facilities to
comply with the reporting requirements
associated with the Full-Season
Influenza Vaccination reporting
measure would be approximately
$827,049 (32,497 hours × $25.45/hour),
or $132 per facility. The burden
associated with these requirements is
captured in an information collection
request currently available for review
and comment, OMB control number
0938—NEW.
VI. Response to Comments
Because of the large number of public
comments we normally receive on
Federal Register documents, we are not
able to acknowledge or respond to them
individually. We will consider all
comments we receive by the date and
time specified in the DATES section of
this preamble, and, when we proceed
with a subsequent document, we will
respond to the comments in the
preamble to that document.
VII. Economic Analyses
tkelley on DSK3SPTVN1PROD with PROPOSALS3
A. Regulatory Impact Analysis
1. Introduction
We have examined the impacts of this
rule as required by Executive Order
12866 on Regulatory Planning and
Review (September 30, 1993), Executive
Order 13563 on Improving Regulation
and Regulatory Review (January 18,
2011), the Regulatory Flexibility Act
(RFA) (September 19, 1980, Pub. L. 96–
354), section 1102(b) of the Social
Security Act, section 202 of the
Unfunded Mandates Reform Act of 1995
(March 22, 1995; Pub. L. 104–4),
Executive Order 13132 on Federalism
(August 4, 1999) and the Congressional
Review Act (5 U.S.C. 804(2).
Executive Orders 12866 and 13563
direct agencies to assess all costs and
benefits of available regulatory
alternatives and, if regulation is
necessary, to select regulatory
approaches that maximize net benefits
(including potential economic,
environmental, public health and safety
effects, distributive impacts, and
equity). Section 3(f) of Executive Order
12866 defines a ‘‘significant regulatory
action’’ as an action that is likely to
result in a rule: (1) Having an annual
effect on the economy of $100 million
or more in any 1 year, or adversely and
materially affecting a sector of the
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economy, productivity, competition,
jobs, the environment, public health or
safety, or state, local or tribal
governments or communities (also
referred to as economically significant);
(2) creating a serious inconsistency or
otherwise interfering with an action
taken or planned by another agency; (3)
materially altering the budgetary
impacts of entitlement grants, user fees,
or loan programs or the rights and
obligations of recipients thereof; or (4)
raising novel legal or policy issues
arising out of legal mandates, the
President’s priorities, or the principles
set forth in the Executive Order.
A regulatory impact analysis (RIA)
must be prepared for major rules with
economically significant effects ($100
million or more in any 1 year). This rule
is not economically significant within
the meaning of section 3(f)(1) of the
Executive Order, since it does not meet
the $100 million threshold. However,
OMB has determined that the actions
are significant within the meaning of
section 3(f)(4) of the Executive Order.
Therefore, OMB has reviewed these
proposed regulations, and the
Departments have provided the
following assessment of their impact.
We solicit comments on the regulatory
impact analysis provided.
2. Statement of Need
This rule proposes a number of
routine updates and several policy
changes to the ESRD PPS in CY 2016.
The proposed routine updates include
the CY 2016 wage index values, the
wage index budget-neutrality
adjustment factor, and outlier payment
threshold amounts. Other proposed
policy changes include implementation
of section 1881(b)(14)(F)(i)(I), as
amended by section 217(b)(2) of PAMA,
which requires a 1.25 percent decrease
to the payment update as discussed in
section II.B.2.a.iv of this rule, the delay
in payment for oral-only drugs under
the ESRD PPS until January 1, 2025 as
required by section 204 of ABLE, the
implementation of a geographic facility
adjustment paid to rural facilities, and
the updated payment multipliers based
upon the regression analysis discussed
in section II.B.1 of this proposed rule.
Failure to publish this proposed rule
would result in ESRD facilities not
receiving appropriate payments in CY
2016.
This rule proposes to implement
requirements for the ESRD QIP,
including a proposal to adopt a measure
set for the PY 2019 program, as directed
by section 1881(h) of the Act. Failure to
propose requirements for the PY 2019
ESRD QIP would prevent continuation
of the ESRD QIP beyond PY 2018. In
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addition, proposing requirements for the
PY 2019 ESRD QIP provides facilities
with more time to review and fully
understand new measures before their
implementation in the ESRD QIP.
3. Overall Impact
We estimate that the proposed
revisions to the ESRD PPS will result in
an increase of approximately $20
million in payments to ESRD facilities
in CY 2016, which includes the amount
associated with updates to outlier
threshold amounts, updates to the wage
index, changes in the CBSA
delineations, changes in the laborrelated share, and changes involved
with the refinement.
For PY 2018, we anticipate that the
new burdens associated with the
collection of information requirements
will be approximately $19 thousand,
totaling an overall impact of
approximately $11.8 million as a result
of the PY 2018 ESRD QIP.15 For PY
2019, we estimate that the proposed
requirements related to the ESRD QIP
will cost approximately $10.7 million
dollars, and the payment reductions
will result in a total impact of
approximately $3.8 million across all
facilities, resulting in a total impact
from the proposed ESRD QIP of
approximately $14.6 million.
B. Detailed Economic Analysis
1. CY 2016 End-Stage Renal Disease
Prospective Payment System
a. Effects on ESRD Facilities
To understand the impact of the
changes affecting payments to different
categories of ESRD facilities, it is
necessary to compare estimated
payments in CY 2015 to estimated
payments in CY 2016. To estimate the
impact among various types of ESRD
facilities, it is imperative that the
estimates of payments in CY 2015 and
CY 2016 contain similar inputs.
Therefore, we simulated payments only
for those ESRD facilities for which we
are able to calculate both current
payments and new payments.
For this proposed rule, we used the
December 2014 update of CY 2014
National Claims History file as a basis
for Medicare dialysis treatments and
payments under the ESRD PPS. We
updated the 2014 claims to 2015 and
2016 using various updates. The
15 We note that the aggregate impact of the PY
2018 ESRD QIP was included in the CY 2015 ESRD
PPS final rule (79 FR 66256 through 66258). The
previously finalized aggregate impact of $11.8
million reflects the PY 2018 estimated payment
reductions and the collection of information
requirements for the NHSN Healthcare Personnel
Influenza Vaccination reporting measure.
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updates to the ESRD PPS base rate are
described in section II.B.2 of this
proposed rule. Table 20 shows the
impact of the estimated CY 2016 ESRD
payments compared to estimated
payments to ESRD facilities in CY 2015.
TABLE 20—IMPACT OF PROPOSED CHANGES IN PAYMENTS TO ESRD FACILITIES FOR CY 2016 PROPOSED RULE
Number of
facilities
Facility type
Number of
treatments
(in millions)
Effect of
2016
changes in
outlier policy
(percent)
Effect of 2016
changes in wage
indexes, CBSA
(percent)designations
and labor share
(percent)
Effect of
2016
changes in
payment
rate update
(percent)
Effect of
2016 proposed refinement
changes to
payment
rate
(percent)
Effect of
total 2016
proposed
changes
(refinement
and routine
updates to
the payment
rate)
(percent)
A
All Facilities .......................................................................
Type:
Freestanding ..............................................................
Hospital based ...........................................................
Ownership Type:
Large dialysis organization ........................................
Regional chain ...........................................................
Independent ...............................................................
Hospital based 1 .........................................................
Geographic Location:
Rural ..........................................................................
Urban .........................................................................
Census Region:
East North Central .....................................................
East South Central ....................................................
Middle Atlantic ...........................................................
Mountain ....................................................................
New England .............................................................
Pacific 2 ......................................................................
Puerto Rico and Virgin Islands ..................................
South Atlantic .............................................................
West North Central ....................................................
West South Central ...................................................
Facility Size:
Less than 4,000 treatments 3 .....................................
4,000 to 9,999 treatments .........................................
10,000 or more treatments ........................................
Unknown ....................................................................
Percentage of Pediatric Patients:
Less than 2% .............................................................
Between 2% and 19% ...............................................
Between 20% and 49% .............................................
More than 50% ..........................................................
B
C
D
E
F
G
6,264
40.0
0.1
0.0
0.15
0.0
0.3
5,812
452
37.7
2.3
0.1
0.1
0.0
0.1
0.15
0.16
0.0
0.1
0.2
0.5
4,380
926
584
374
28.5
6.0
3.6
1.9
0.1
0.1
0.1
0.1
¥0.1
0.2
0.1
0.0
0.15
0.15
0.15
0.16
0.1
¥0.3
¥0.1
0.4
0.3
0.2
0.2
0.7
1,239
5,025
5.9
34.1
0.1
0.1
¥1.2
0.2
0.15
0.15
1.0
¥0.2
0.0
0.3
1,036
518
680
359
182
760
47
1,386
455
841
5.8
3.0
4.9
2.0
1.3
5.6
0.3
9.3
2.1
5.8
0.1
0.1
0.1
0.1
0.1
0.1
0.1
0.1
0.1
0.1
¥0.3
¥1.2
0.9
¥0.1
1.1
1.4
¥4.0
¥0.4
¥0.6
¥0.7
0.15
0.15
0.15
0.15
0.15
0.15
0.15
0.15
0.15
0.15
0.2
0.7
¥0.3
¥0.1
¥0.6
¥0.8
¥0.2
0.3
0.4
0.2
0.1
¥0.2
0.8
0.1
0.7
0.8
¥3.9
0.2
0.0
¥0.2
1,305
2,239
2,514
206
3.5
10.8
25.3
0.3
0.1
0.1
0.1
0.1
¥0.3
¥0.3
0.2
0.1
0.15
0.15
0.15
0.15
0.4
0.1
¥0.1
¥0.2
0.3
0.1
0.3
0.1
6,156
42
14
52
39.6
0.4
0.0
0.0
0.1
0.1
0.1
0.1
0.0
¥0.1
¥0.2
0.0
0.15
0.15
0.15
0.15
0.0
0.4
0.4
0.5
0.3
0.5
0.4
0.7
1 Includes
hospital-based ESRD facilities not reported to have large dialysis organization or regional chain ownership.
Facilities located in Guam, American Samoa, and the Northern Mariana Islands.
the 1,305 Facilities with less than 4,000 treatments, only 385 qualify for the low-volume adjustment. The low-volume adjustment is mandated by Congress, and
is not applied to pediatric patients. The impact to these Low volume Facilities is a 7.0 percent increase in payments.
NOTE: Totals do not necessarily equal the sum of rounded parts, as percentages are multiplicative, not additive.
2 Includes
tkelley on DSK3SPTVN1PROD with PROPOSALS3
3 Of
Column A of the impact table
indicates the number of ESRD facilities
for each impact category and column B
indicates the number of dialysis
treatments (in millions). The overall
effect of the proposed changes to the
outlier payment policy described in
section II.B.2.c of this proposed rule is
shown in column C. For CY 2016, the
impact on all ESRD facilities as a result
of the changes to the outlier payment
policy will be a 0.1 percent increase in
estimated payments. Nearly all ESRD
facilities are anticipated to experience a
positive effect in their estimated CY
2016 payments as a result of the
proposed outlier policy changes.
Column D shows the effect of the
proposed CY 2016 wage indices, and the
final year of the transitions for the
implementation of both the new CBSA
delineations and the labor-related share.
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Facilities located in the census region of
Puerto Rico and the Virgin Islands
would receive a 4.0 percent decrease in
estimated payments in CY 2016. Since
most of the facilities in this category are
located in Puerto Rico, the decrease is
primarily due to the change in the laborrelated share. The other categories of
types of facilities in the impact table
show changes in estimated payments
ranging from a 1.2 percent decrease to
a 1.4 percent increase due to these
proposed updates.
Column E shows the effect of the
ESRD PPS payment rate update of 0.15
percent, which reflects the proposed
ESRDB market basket percentage
increase factor for CY 2016 of 2.0
percent, the 1.25 percent reduction as
required by the section
1881(b)(14)(F)(i)(I) of the Act, and the
MFP adjustment of 0.6 percent.
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Column F shows the effect of the
ESRD PPS refinement as discussed in
section II.B.1. While the overall
estimated impact of the refinement is
0.0 percent, the impact by categories
ranges from a 0.8 percent decrease to a
1.0 percent increase.
Column G reflects the overall impact
(that is, the effects of the proposed
outlier policy changes, the proposed
wage index, the effect of the change in
CBSA delineations, the effect of the
change in the labor-related share, the
effect of the payment rate update, and
the effect of the refinement). We expect
that overall ESRD facilities will
experience a 0.3 percent increase in
estimated payments in 2016. ESRD
facilities in Puerto Rico and the Virgin
Islands are expected to receive a 3.9
percent decrease in their estimated
payments in CY 2016. This larger
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decrease is primarily due to the negative
impact of the change in the labor-related
share. The other categories of types of
facilities in the impact table show
impacts ranging from a decrease of 0.2
percent to an increase of 0.8 percent in
their 2016 estimated payments.
b. Effects on Other Providers
Under the ESRD PPS, Medicare pays
ESRD facilities a single bundled
payment for renal dialysis services,
which may have been separately paid to
other providers, (for example,
laboratories, durable medical equipment
suppliers, and pharmacies) by Medicare
prior to the implementation of the ESRD
PPS. Therefore, in CY 2016, we estimate
that the proposed ESRD PPS will have
zero impact on these other providers.
c. Effects on the Medicare Program
We estimate that Medicare spending
(total Medicare program payments) for
ESRD facilities in CY 2016 will be
approximately $8.7 billion. This
estimate takes into account a projected
increase in fee-for-service Medicare
dialysis beneficiary enrollment of 1.5
percent in CY 2016.
d. Effects on Medicare Beneficiaries
Under the ESRD PPS, beneficiaries are
responsible for paying 20 percent of the
ESRD PPS payment amount. As a result
of the projected 0.3 percent overall
increase in the proposed ESRD PPS
payment amounts in CY 2016, we
estimate that there will be an increase
in beneficiary co-insurance payments of
0.3 percent in CY 2016, which translates
to approximately $10 million.
e. Alternatives Considered
1. CY 2016 ESRD PPS
In section II.B.1.c.i of this proposed
rule, we propose updated payment
multipliers for five age groups resulting
from our regression analysis. In section
II.B.2.d.ii, we propose a regression
budget-neutrality adjustment to account
for the overall effects of the refinement.
We are proposing a 4 percent reduction
(that is, a factor of 0.959703) to the
ESRD PPS base rate to account for the
additional dollars paid to facilities
through the payment adjustments and
indicate that a significant portion of
additional impact of the adjusters on the
base rate arises from changes in the age
adjustments. To mitigate some of the
reduction, we considered reducing the
number of age categories to three and
providing a payment adjustment for
only those patients in the youngest (18–
44) and oldest (80+) age groups. We did
not adopt this approach because while
it would reduce the impact of the age
adjustments on the base rate, it would
also significantly reduce the explanatory
power of the system and reduce
payments to facilities with patients who
are between the ages of 44 through 79,
that is, approximately 75 percent of
patients.
Also, in section II.B.1.d.ii of this
proposed rule, we are proposing to
modify the eligibility criteria for the
low-volume payment adjustment by
excluding facilities of common
ownership that are located within 5
road miles from one another. We
considered proposing a geographic
proximity criterion of 10 road miles;
however, this approach negatively
impacted rural facilities which are
important to ensure access of essential
renal dialysis services.
2. End-Stage Renal Disease Quality
Incentive Program
a. Effects of the PY 2019 ESRD QIP
The ESRD QIP provisions are
intended to prevent possible reductions
in the quality of ESRD dialysis facility
services provided to beneficiaries as a
result of payment changes under the
ESRD PPS. The methodology that we are
proposing to use to determine a
facility’s TPS for PY 2019 is described
in section III.G.9 of this proposed rule.
Any reductions in ESRD PPS payments
as a result of a facility’s performance
under the PY 2019 ESRD QIP would
affect the facility’s reimbursement rates
in CY 2019.
We estimate that, of the total number
of dialysis facilities (including those not
receiving a TPS), approximately 8
percent or 495 of the facilities would
likely receive a payment reduction in
PY 2019. Facilities that do not receive
a TPS are not eligible for a payment
reduction.
In conducting our impact assessment,
we have assumed that there will be an
initial count of 6,264 dialysis facilities
paid under the ESRD PPS. Table 21
shows the overall estimated distribution
of payment reductions resulting from
the PY 2019 ESRD QIP.
TABLE 21—ESTIMATED DISTRIBUTION OF PY 2019 ESRD QIP PAYMENT REDUCTIONS
Percentage reduction
Frequency
0 .......................................................................................................
0.5 ....................................................................................................
1 .......................................................................................................
1.5 ....................................................................................................
2 .......................................................................................................
Cumulative
frequency
Percent
5509
430
41
18
6
91.76
7.16
0.68
0.30
0.10
Cumulative
percent
5509
5939
5980
5998
6004
91.76
98.92
99.60
99.90
100.00
Note:This table excludes 260 facilities that we estimate will not receive a payment reduction because they will not report enough data to receive a Total Performance Score.
To estimate whether or not a facility
would receive a payment reduction in
PY 2019, we scored each facility on
achievement and improvement on
several measures we have previously
finalized and for which there were
available data from CROWNWeb and
Medicare claims. Measures used for the
simulation are shown in Table 22.
tkelley on DSK3SPTVN1PROD with PROPOSALS3
TABLE 22—DATA USED TO ESTIMATE PY 2019 ESRD QIP PAYMENT REDUCTIONS
Period of time used to calculate achievement thresholds,
performance standards, benchmarks, and improvement
thresholds
Measure
Vascular Access Type:
% Fistula ......................................................................
% Catheter ..................................................................
Dialysis Adequacy ..............................................................
Hypercalcemia ....................................................................
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Jan
Jan
Jan
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2013—Dec 2013 .........................................................
2013—Dec 2013 .........................................................
2013—June 2013 ........................................................
2013—Dec 2013 .........................................................
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Performance Period
Jan 2014—Dec 2014.
Jan 2014—Dec 2014.
July 2013—Dec 2013.
Jan 2014—Dec 2014.
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TABLE 22—DATA USED TO ESTIMATE PY 2019 ESRD QIP PAYMENT REDUCTIONS—Continued
Measure
Period of time used to calculate achievement thresholds,
performance standards, benchmarks, and improvement
thresholds
Performance Period
SRR ....................................................................................
STrR ...................................................................................
Jan 2012– Dec 2012 .........................................................
Jan 2012– Dec 2012 .........................................................
Jan 2013—Dec 2013.
Jan 2013—Dec 2013.
Clinical measure topic areas with less
than 11 cases for a facility were not
included in that facility’s Total
Performance Score. Each facility’s Total
Performance Score was compared to the
estimated minimum Total Performance
Score and the payment reduction table
found in section III.G.9 of this proposed
rule. Facility reporting measure scores
were estimated using available data
from CY 2014. Facilities were required
to have a score on at least one clinical
and one reporting measure in order to
receive a Total Performance Score.
To estimate the total payment
reductions in PY 2019 for each facility
resulting from this proposed rule, we
multiplied the total Medicare payments
to the facility during the one year period
between January 2014 and December
2014 by the facility’s estimated payment
reduction percentage expected under
the ESRD QIP, yielding a total payment
reduction amount for each facility:
(Total ESRD payment in January 2014
through December 2014 times the
estimated payment reduction
percentage). For PY 2014, the total
payment reduction for the 495 facilities
estimated to receive a reduction is
approximately $3.85 million
($3,859,742). Further, we estimate that
the total costs associated with the
collection of information requirements
for PY 2019 described in section III.C.1
of this proposed rule would be
approximately $10.7 million for all
ESRD facilities. As a result, we estimate
that ESRD facilities will experience an
aggregate impact of approximately $14.6
million ($10,751,607 + $3,859,742 =
$14,611,249) in PY 2019, as a result of
the PY 2019 ESRD QIP.
Table 23 below shows the estimated
impact of the finalized ESRD QIP
payment reductions to all ESRD
facilities for PY 2019. The table
estimates the distribution of ESRD
facilities by facility size (both among
facilities considered to be small entities
and by number of treatments per
facility), geography (both urban/rural
and by region), and by facility type
(hospital based/freestanding facilities).
Given that the time periods used for
these calculations will differ from those
we are proposing to use for the PY 2019
ESRD QIP, the actual impact of the PY
2019 ESRD QIP may vary significantly
from the values provided here.
TABLE 23—IMPACT OF PROPOSED QIP PAYMENT REDUCTIONS TO ESRD FACILITIES IN PY 2019
tkelley on DSK3SPTVN1PROD with PROPOSALS3
Number of
facilities
20:04 Jun 30, 2015
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Number of
facilities with QIP
score
Number of
facilities expected
to receive a
payment reduction
Payment reduction
(percent change in
total ESRD
payments)
6,264
6,004
495
¥0.04
37.7
2.3
5,614
390
464
31
¥0.04
¥0.06
4,380
926
584
374
28.5
6.0
3.6
1.9
4,259
888
538
319
356
55
56
28
¥0.04
¥0.03
¥0.07
¥0.07
5,306
958
34.5
5.5
5,147
857
411
84
¥0.04
¥0.07
1,332
4,932
6.5
33.5
1,257
4,747
66
429
¥0.03
¥0.05
861
1,490
2,744
1,112
57
6.2
7.9
18.1
7.5
0.4
825
1,386
2,655
1,085
53
50
112
243
77
13
¥0.03
¥0.05
¥0.05
¥0.04
¥0.16
1,036
518
680
359
182
760
1,386
455
841
47
5.8
3.0
4.9
2.0
1.3
5.6
9.3
2.1
5.8
0.3
962
500
658
348
167
744
1,337
424
818
46
86
48
43
25
7
53
143
26
52
12
¥0.05
¥0.06
¥0.03
¥0.04
¥0.02
¥0.04
¥0.06
¥0.03
¥0.03
¥0.17
1,305
2,239
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40.0
5,812
452
All Facilities ............................................
Facility Type:
Freestanding ...................................
Hospital-based ................................
Ownership Type:
Large Dialysis .................................
Regional Chain ...............................
Independent ....................................
Hospital-based (non-chain) .............
Facility Size:
Large Entities ..................................
Small Entities 1 ................................
Rural Status:
(1) Yes ............................................
(2) No ..............................................
Census Region:
Northeast ........................................
Midwest ...........................................
South ..............................................
West ................................................
US Territories 2 ...............................
Census Division:
East North Central ..........................
East South Central .........................
Middle Atlantic ................................
Mountain .........................................
New England ..................................
Pacific .............................................
South Atlantic .................................
West North Central .........................
West South Central ........................
US Territories2 ................................
Facility Size (# of total treatments):
Less than 4,000 treatments ............
4,000–9,999 treatments ..................
VerDate Sep<11>2014
Number of
treatments 2013
(in millions)
3.5
10.8
1,185
2,211
109
166
¥0.07
¥0.04
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Federal Register / Vol. 80, No. 126 / Wednesday, July 1, 2015 / Proposed Rules
TABLE 23—IMPACT OF PROPOSED QIP PAYMENT REDUCTIONS TO ESRD FACILITIES IN PY 2019—
Continued
Number of
treatments 2013
(in millions)
Number of
facilities
Over 10,000 treatments ..................
Unknown .........................................
2,514
206
Number of facilities
expected to receive a payment
reduction
Number of
facilities with QIP
score
25.3
0.3
2,491
117
Payment reduction
(percent change in
total ESRD
payments)
203
17
¥0.04
¥0.11
1 Small
Entities include hospital-based and satellite facilities and non-chain facilities based on DFC self-reported status.
Puerto Rico and Virgin Islands.
3 Based on claims and CROWNWeb data through December 2014.
2 Includes
b. Alternatives Considered
In section III.G.2.c.ii of this proposed
rule, we are proposing to adopt the FullSeason Influenza Vaccination reporting
measure. Under this proposed measure,
data on patient immunization status
would be entered into CROWNWeb for
each qualifying patient treated at the
facility during the performance period.
We considered proposing to collect
patient immunization data using the
CDC’s Surveillance for Dialysis Patient
Influenza Vaccination module within
the NHSN; however, the proposed
measure’s data sources are
administrative claims and ‘‘electronic
clinical data’’ which the Measure
Justification Form explains will be
collected via CROWNWeb (MAP
#XDEFM). Because the measure
specifications reviewed by the Measures
Application Partnership do not include
NHSN as a data source for this measure,
we have decided not to propose to use
the NHSN system to collect patient-level
influenza vaccination data for this
measure at this time.
We ultimately decided to have
facilities report data for this measure in
CROWNWeb rather than using an
alternative data source, for two main
reasons. First, the data elements needed
for this measure have already been
developed in CROWNWeb and will
appear in a new release soon. Second,
facilities are already familiar with the
use and functionality of CROWNWeb
because they are using it to report data
for other measures in the ESRD QIP, and
we believe that familiarity with
CROWNWeb will reduce the burden of
reporting data for the Full Season
Influenza reporting measure.
C. Accounting Statement
As required by OMB Circular A–4
(available at https://
www.whitehouse.gov/omb/circulars_
a004_a-4), in Table 24 below, we have
prepared an accounting statement
showing the classification of the
transfers and costs associated with the
various provisions of this proposed rule.
TABLE 24—ACCOUNTING STATEMENT: CLASSIFICATION OF ESTIMATED TRANSFERS AND COSTS/SAVINGS
ESRD PPS for CY 2016
Category
Transfers
Annualized Monetized Transfers ..............................................................
From Whom to Whom ..............................................................................
$20 million.
Federal government to ESRD providers.
Category
Transfers
Increased Beneficiary Co-insurance Payments .......................................
From Whom to Whom ..............................................................................
$ 10 million.
Beneficiaries to ESRD providers.
ESRD QIP for PY 2018 16
Category
Transfers
Annualized Monetized Transfers ..............................................................
$¥11.6 million.
Category
Costs
Annualized Monetized ESRD Provider Costs ..........................................
$19 thousand.
ESRD QIP for PY 2019
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Category
Transfers
Annualized Monetized Transfers ..............................................................
From Whom to Whom ..............................................................................
$¥3.8 million.
Federal government to ESRD providers.
Category
Costs
Annualized Monetized ESRD Provider Costs ..........................................
$10.7 million.
16 We
note that the aggregate impact of the PY 2018 ESRD QIP was included in the CY 2015 ESRD PPS final rule (79 FR 66256 through
66258). The values presented here capture those previously finalized impacts plus the collection of information requirements related for PY 2018
presented in this notice of proposed rulemaking.
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VIII. Regulatory Flexibility Act
Analysis
The Regulatory Flexibility Act
(September 19, 1980, Pub. L. 96–354)
(RFA) requires agencies to analyze
options for regulatory relief of small
entities, if a rule has a significant impact
on a substantial number of small
entities. For purposes of the RFA, small
entities include small businesses,
nonprofit organizations, and small
governmental jurisdictions.
Approximately 15 percent of ESRD
dialysis facilities are considered small
entities according to the Small Business
Administration’s (SBA) size standards,
which classifies small businesses as
those dialysis facilities having total
revenues of less than $38.5 million in
any 1 year. Individuals and States are
not included in the definitions of a
small entity. For more information on
SBA’s size standards, see the Small
Business Administration’s Web site at
https://www.sba.gov/content/smallbusiness-size-standards (Kidney
Dialysis Centers are listed as 621492
with a size standard of $38.5 million).
We do not believe ESRD facilities are
operated by small government entities
such as counties or towns with
populations of 50,000 or less, and
therefore, they are not enumerated or
included in this estimated RFA analysis.
Individuals and States are not included
in the definition of a small entity.
For purposes of the RFA, we estimate
that approximately 15 percent of ESRD
facilities are small entities as that term
is used in the RFA (which includes
small businesses, nonprofit
organizations, and small governmental
jurisdictions). This amount is based on
the number of ESRD facilities shown in
the ownership category in Table 20.
Using the definitions in this ownership
category, we consider the 584 facilities
that are independent and the 374
facilities that are shown as hospitalbased to be small entities. The ESRD
facilities that are owned and operated
by LDOs and regional chains would
have total revenues of more than $38.5
million in any year when the total
revenues for all locations are combined
for each business (individual LDO or
regional chain), and are not, therefore,
included as small entities.
For the ESRD PPS updates proposed
in this rule, a hospital-based ESRD
facility (as defined by ownership type)
is estimated to receive a 0.7 percent
increase in payments for CY 2016. An
independent facility (as defined by
ownership type) is also estimated to
receive a 0.2 percent increase in
payments for CY 2016.
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37859
We estimate that of the 495 ESRD
facilities expected to receive a payment
reduction in the PY 2019 ESRD QIP, 84
are ESRD small entity facilities. We
present these findings in Table 21
(‘‘Estimated Distribution of PY 2019
ESRD QIP Payment Reductions’’) and
Table 23 (‘‘Impact of Proposed QIP
Payment Reductions to ESRD Facilities
for PY 2019’’) above. We estimate that
the payment reductions will average
approximately $7,797 per facility across
the 495 facilities receiving a payment
reduction, and $7,509 for each small
entity facility. Using our estimates of
facility performance, we also estimated
the impact of payment reductions on
ESRD small entity facilities by
comparing the total estimated payment
reductions for 958 small entity facilities
with the aggregate ESRD payments to all
small entity facilities. We estimate that
there are a total of 958 small entity
facilities, and that the aggregate ESRD
PPS payments to these facilities would
decrease 0.07 percent in PY 2019.
Therefore, the Secretary has
determined that this proposed rule
would not have a significant economic
impact on a substantial number of small
entities. We solicit comment on the RFA
analysis provided.
In addition, section 1102(b) of the Act
requires us to prepare a regulatory
impact analysis if a rule may have a
significant impact on the operations of
a substantial number of small rural
hospitals. Any such regulatory impact
analysis must conform to the provisions
of section 603 of the RFA. For purposes
of section 1102(b) of the Act, we define
a small rural hospital as a hospital that
is located outside of a metropolitan
statistical area and has fewer than 100
beds. We do not believe this proposed
rule will have a significant impact on
operations of a substantial number of
small rural hospitals because most
dialysis facilities are freestanding.
While there are 139 rural hospital-based
dialysis facilities, we do not know how
many of them are based at hospitals
with fewer than 100 beds. However,
overall, the 139 rural hospital-based
dialysis facilities will experience an
estimated 0.1 percent decrease in
payments. As a result, this proposed
rule is not estimated to have a
significant impact on small rural
hospitals. Therefore, the Secretary has
determined that this proposed rule
would not have a significant impact on
the operations of a substantial number
of small rural hospitals.
also requires that agencies assess
anticipated costs and benefits before
issuing any rule whose mandates
require spending in any 1 year of $100
million in 1995 dollars, updated
annually for inflation. In 2015, that is
approximately $144 million. This
proposed rule does not include any
mandates that would impose spending
costs on State, local, or Tribal
governments in the aggregate, or by the
private sector, of $141 million.
IX. Unfunded Mandates Reform Act
Analysis
Section 202 of the Unfunded
Mandates Reform Act of 1995 (UMRA)
List of Subjects in 42 CFR Part 413
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X. Federalism Analysis
Executive Order 13132 on Federalism
(August 4, 1999) establishes certain
requirements that an agency must meet
when it promulgates a proposed rule
(and subsequent final rule) that imposes
substantial direct requirement costs on
State and local governments, preempts
State law, or otherwise has Federalism
implications. We have reviewed this
proposed rule under the threshold
criteria of Executive Order 13132,
Federalism, and have determined that it
will not have substantial direct effects
on the rights, roles, and responsibilities
of States, local or Tribal governments.
XI. Congressional Review Act
This proposed rule is subject to the
Congressional Review Act provisions of
the Small Business Regulatory
Enforcement Fairness Act of 1996 (5
U.S.C. 801 et seq.) and has been
transmitted to the Congress and the
Comptroller General for review.
In accordance with the provisions of
Executive Order 12866, this proposed
rule was reviewed by the Office of
Management and Budget.
XII. Files Available to the Public via the
Internet
The Addenda for the annual ESRD
PPS proposed and final rulemakings
will no longer appear in the Federal
Register. Instead, the Addenda will be
available only through the Internet and
is posted on the CMS Web site at
https://www.cms.gov/ESRDPayment/
PAY/list.asp In addition to the
Addenda, limited data set (LDS) files are
available for purchase at https://
www.cms.gov/Research-Statistics-Dataand-Systems/Files-for-Order/
LimitedDataSets/
EndStageRenalDiseaseSystemFile.html.
Readers who experience any problems
accessing the Addenda or LDS files,
should contact Michelle Cruse at (410)
786–7540.
Health facilities, Kidney diseases,
Medicare, Reporting and recordkeeping
requirements.
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Federal Register / Vol. 80, No. 126 / Wednesday, July 1, 2015 / Proposed Rules
§ 413.232
For the reasons set forth in the
preamble, the Centers for Medicare &
Medicaid Services proposes to amend
42 CFR chapter IV as follows:
*
*
*
*
(c) * * *
(2) 5 miles or less from the ESRD
facility in question.
*
*
*
*
*
■ 4. Add § 413.233 to read as follows:
PART 413—PRINCIPLES OF
REASONABLE COST
REIMBURSEMENT; PAYMENT FOR
END–STAGE RENAL DISEASE
SERVICES; OPTIONAL
PROSPECTIVELY DETERMINED
PAYMENT RATES FOR SKILLED
NURSING FACILITIES
§ 413.233
1. The authority citation for part 413
is revised to read as follows:
§ 413.234.
Authority: Secs. 1102, 1812(d), 1814(b),
1815, 1833(a), (i), and (n), 1861(v), 1871,
1881, 1883 and 1886 of the Social Security
Act (42 U.S.C. 1302, 1395d(d), 1395f(b),
1395g, 1395l(a), (i), and (n), 1395x(v),
1395hh, 1395rr, 1395tt, and 1395ww); and
sec. 124 of Pub.L. 106–113 (113 Stat. 1501A–
332), sec. 3201 of Pub. L. 112–96 (126 Stat.
156), sec. 632 of Pub. L. 112–240 (126 Stat.
2354), sec. 217 of Pub. L. 113–93, and sec.
204 of Pub. L. 113–295.
2. Section 413.174 is amended by
revising paragraph (f)(6) to read as
follows:
■
§ 413.174 Prospective rates for hospital
based and independent ESRD facilities.
tkelley on DSK3SPTVN1PROD with PROPOSALS3
*
*
*
*
(f) * * *
(6) Effective January 1, 2025, payment
to an ESRD facility for renal dialysis
service drugs and biologicals with only
an oral form furnished to ESRD patients
is incorporated within the prospective
payment system rates established by
CMS in § 413.230 and separate payment
will no longer be provided.
■ 3. Section 413.232 is amended by—
■ A. Revising paragraph (c)(2).
■ B. Removing paragraph (d).
■ C. Redesignating paragraphs (e), (f), (g)
and (h) as paragraphs (d), (e), (f) and (g)
respectively.
■ D. In newly redesignated paragraph
(e), the reference ‘‘paragraph (g)’’ is
removed and the reference ‘‘paragraph
(f)’’ is added in its place.
■ E. In newly redesignated paragraph (g)
introductory text, the reference
‘‘paragraph (f)’’ is removed and the
reference ‘‘paragraph (e)’’ is added in its
place.
■ F. In newly redesignated paragraph
(g)(1), the reference ‘‘paragraph (f)’’ is
removed and the reference ‘‘paragraph
(e)’’ is added in its place.
The revision reads as follows:
VerDate Sep<11>2014
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Rural facility adjustment.
CMS adjusts the base rate for facilities
in rural areas, as defined in
§ 413.231(b)(2).
■ 5. Add § 413.234 to read as follows:
■
*
Low-volume adjustment.
*
Drug designation process.
(a) Definitions. For purposes of this
section, the following definitions apply:
ESRD PPS functional category. A
distinct grouping of drugs or biologicals,
as determined by CMS, whose end
action effect is the treatment or
management of a condition or
conditions associated with ESRD.
New injectable or intravenous
product. An injectable or intravenous
product that is approved by the Food
and Drug Administration under section
505 of the Federal Food, Drug, and
Cosmetic Act or section 351 of the
Public Health Service Act, commercially
available, assigned a Healthcare
Common Procedure Coding System
code, and designated by CMS as a renal
dialysis service under § 413.171.
Oral-only drug. A drug or biological
with no injectable equivalent or other
form of administration other than an
oral form.
(b) Effective January 1, 2016, new
injectable or intravenous products are
included in the ESRD PPS bundled
payment using the following drug
designation process—
(1) If the new injectable or
intravenous product is used to treat or
manage a condition for which there is
an ESRD PPS functional category, the
new injectable or intravenous product is
considered included in the ESRD PPS
bundled payment and no separate
payment is available.
(2) If the new injectable or
intravenous product is used to treat or
manage a condition for which there is
not an ESRD PPS functional category,
the new injectable or intravenous
product is not considered included in
the ESRD PPS bundled payment and the
following steps occur:
(i) An existing ESRD PPS functional
category is revised or a new ESRD PPS
functional category is added for the
condition that the new injectable or
PO 00000
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intravenous product is used to treat or
manage;
(ii) The new injectable or intravenous
product is paid for using the transitional
drug add-on payment adjustment
described in paragraph (c) of this
section; and
(iii) The new injectable or intravenous
product is added to the ESRD PPS
bundled payment following payment of
the transitional drug add-on payment
adjustment.
(c) Transitional drug add-on payment
adjustment. (1) A new injectable or
intravenous product that is not
considered included in the ESRD PPS
base rate is paid for using a transitional
drug add-on payment adjustment,
which is based on ASP pricing
methodology.
(2) The transitional drug add-on
payment adjustment is paid until
sufficient claims data for rate setting
analysis for the new injectable or
intravenous product is available, but not
for less than two years.
(3) Following payment of the
transitional drug add-on payment
adjustment the ESRD PPS base rate will
be modified, if appropriate, to account
for the new injectable or intravenous
product in the ESRD PPS bundled
payment.
(d) An oral-only drug is no longer
considered oral-only if an injectable or
other form of administration of the oralonly drug is approved by the Food and
Drug Administration.
■ 6. Section 413.237 is amended by
revising paragraph (a)(1)(iv) to read as
follows:
§ 413.237
Outliers
(a) * * *
(1) * * *
(iv) Renal dialysis services drugs that
were or would have been, prior to
January 1, 2011, covered under
Medicare Part D, including ESRDrelated oral-only drugs effective January
1, 2025.
*
*
*
*
*
Dated: June 23, 2015.
Andrew M. Slavitt,
Acting Administrator, Centers for Medicare
& Medicaid Services.
Approved: June 24, 2015.
Sylvia M. Burwell,
Secretary, Department of Health and Human
Services.
[FR Doc. 2015–16074 Filed 6–26–15; 04:15 pm]
BILLING CODE 4120–01–P
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Agencies
[Federal Register Volume 80, Number 126 (Wednesday, July 1, 2015)]
[Proposed Rules]
[Pages 37807-37860]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2015-16074]
[[Page 37807]]
Vol. 80
Wednesday,
No. 126
July 1, 2015
Part III
Department of Health and Human Services
-----------------------------------------------------------------------
Center for Medicare & Medicaid Services
-----------------------------------------------------------------------
42 CFR Part 413
Medicare Program; End-Stage Renal Disease Prospective Payment System,
and Quality Incentive Program; Proposed Rules
Federal Register / Vol. 80 , No. 126 / Wednesday, July 1, 2015 /
Proposed Rules
[[Page 37808]]
-----------------------------------------------------------------------
DEPARTMENT OF HEALTH AND HUMAN SERVICES
Centers for Medicare & Medicaid Services
42 CFR Part 413
[CMS-1628-P]
RIN 0938-AS48
Medicare Program; End-Stage Renal Disease Prospective Payment
System, and Quality Incentive Program
AGENCY: Centers for Medicare & Medicaid Services (CMS), HHS.
ACTION: Proposed rule.
-----------------------------------------------------------------------
SUMMARY: This rule proposes to update and make revisions to the End-
Stage Renal Disease (ESRD) prospective payment system (PPS) for
calendar year (CY) 2016. The proposals in this rule are necessary to
ensure that ESRD facilities receive accurate Medicare payment amounts
for furnishing outpatient maintenance dialysis treatments during
calendar year 2016. This rule also proposes to set forth requirements
for the ESRD Quality Incentive Program (QIP) for CY 2016. In an effort
to incentivize ongoing quality improvement among eligible providers,
the ESRD QIP proposes to establish and revise requirements for quality
reporting and measurement, including the inclusion of new quality
measures for payment year (PY) 2019 and beyond and updates to
programmatic policies for the PY 2017 and PY 2018 ESRD QIP.
DATES: To be assured consideration, comments must be received at one of
the addresses provided below, no later than 5 p.m. E.S.T. on August 25,
2015.
ADDRESSES: In commenting, please refer to file code CMS-1628-P. Because
of staff and resource limitations, we cannot accept comments by
facsimile (FAX) transmission.
You may submit comments in one of four ways (please choose only one
of the ways listed):
1. Electronically. You may submit electronic comments on this
regulation to https://www.regulations.gov. Follow the ``Submit a
comment'' instructions.
2. By regular mail. You may mail written comments to the following
address ONLY: Centers for Medicare & Medicaid Services, Department of
Health and Human Services, Attention: CMS-1628-P, P.O. Box 8010,
Baltimore, MD 21244-8010.
Please allow sufficient time for mailed comments to be received
before the close of the comment period.
3. By express or overnight mail. You may send written comments to
the following address ONLY: Centers for Medicare & Medicaid Services,
Department of Health and Human Services, Attention: CMS-1628-P, Mail
Stop C4-26-05, 7500 Security Boulevard, Baltimore, MD 21244-1850.
4. By hand or courier. Alternatively, you may deliver (by hand or
courier) your written comments ONLY to the following addresses prior to
the close of the comment period:
a. For delivery in Washington, DC--Centers for Medicare & Medicaid
Services, Department of Health and Human Services, Room 445-G, Hubert
H. Humphrey Building, 200 Independence Avenue SW., Washington, DC 20201
(Because access to the interior of the Hubert H. Humphrey Building
is not readily available to persons without Federal government
identification, commenters are encouraged to leave their comments in
the CMS drop slots located in the main lobby of the building. A stamp-
in clock is available for persons wishing to retain a proof of filing
by stamping in and retaining an extra copy of the comments being
filed.)
b. For delivery in Baltimore, MD--Centers for Medicare & Medicaid
Services, Department of Health and Human Services, 7500 Security
Boulevard, Baltimore, MD 21244-1810.
If you intend to deliver your comments to the Baltimore address,
call telephone number (410) 786-9994 in advance to schedule your
arrival with one of our staff members.
Comments erroneously mailed to the addresses indicated as
appropriate for hand or courier delivery may be delayed and received
after the comment period.
For information on viewing public comments, see the beginning of
the SUPPLEMENTARY INFORMATION section.
FOR FURTHER INFORMATION CONTACT: Stephanie Frilling, (410) 786-4507,
for issues related to the ESRD PPS, refinement of the case-mix payment
adjustments, drug designation process, delay of payment for oral-only
drugs and biologicals, Part B payment for self-administered drugs, and
reporting of medical director fees on the cost report.
Michelle Cruse, (410) 786-7540, for issues related to the ESRD PPS,
refinement of the facility-level payment adjustments, and policy
clarifications.
Heidi Oumarou, (410) 786-7342, for issues related to the ESRD PPS
Market Basket Update.
Tamyra Garcia, (410) 786-0856, for issues related to the ESRD QIP.
SUPPLEMENTARY INFORMATION: Inspection of Public Comments: All comments
received before the close of the comment period are available for
viewing by the public, including any personally identifiable or
confidential business information that is included in a comment. We
post all comments received before the close of the comment period on
the following Web site as soon as possible after they have been
received: https://www.regulations.gov. Follow the search instructions on
that Web site to view public comments.
Comments received timely will also be available for public
inspection as they are received, generally beginning approximately 3
weeks after publication of a document, at the headquarters of the
Centers for Medicare & Medicaid Services, 7500 Security Boulevard,
Baltimore, Maryland 21244, Monday through Friday of each week from 8:30
a.m. to 4 p.m. To schedule an appointment to view public comments,
phone 1-800-743-3951.
Electronic Access
This Federal Register document is also available from the Federal
Register online database through Federal Digital System (FDsys), a
service of the U.S. Government Printing Office. This database can be
accessed via the internet at https://www.gpo.gov/fdsys/.
Addenda Are Only Available Through the Internet on the CMS Web site
In the past, a majority of the Addenda referred to throughout the
preamble of our proposed and final rules were available in the Federal
Register. However, the Addenda of the annual proposed and final rules
will no longer be available in the Federal Register. Instead, these
Addenda to the annual proposed and final rules will be available only
through the Internet on the CMS Web site. The Addenda to the End-Stage
Renal Disease (ESRD) Prospective Payment System (PPS) rules are
available at: https://www.cms.gov/ESRDPayment/PAY/list.asp. Readers who
experience any problems accessing any of the Addenda to the proposed
and final rules of the ESRD PPS that are posted on the CMS Web site
identified above should contact Michelle Cruse at 410-786-7540.
Table of Contents
To assist readers in referencing sections contained in this
preamble, we are providing a Table of Contents. Some of the issues
discussed in this preamble affect the payment policies, but do not
require changes to the regulations in the Code of Federal Regulations
(CFR).
I. Executive Summary
A. Purpose
1. End-Stage Renal Disease (ESRD) Prospective Payment System
(PPS)
[[Page 37809]]
2. End-Stage Renal Disease (ESRD) Quality Incentive Program
(QIP)
B. Summary of the Major provisions
1. ESRD PPS
2. ESRD QIP
C. Summary of Cost and Benefits
1. Impacts of the Proposed ESRD PPS
2. Impacts of the Proposed ESRD QIP
II. Calendar Year (CY) 2016 End-Stage Renal Disease (ESRD)
Prospective Payment System (PPS)
A. Background
1. Statutory Background
2. System for Payment of Renal Dialysis Services
3. Updates to the ESRD PPS
B. Provisions of the Proposed Rule
1. Analysis and Proposed Revision of the Payment Adjustments
under the ESRD PPS
a. Development and Implementation of the ESRD PPS Payment
Adjustments
b. Regression Model Used to Develop Payment Adjustment Factors
i. Regression Analysis
ii. Dependent Variables
(1) Average Cost per Treatment for Composite Rate Services
(2) Average Medicare Allowable Payment (MAP) for Previously
Separately Billable Services
iii. Independent Variables
iv. Control Variables
c. Analysis and Revision of the Payment Adjustments
i. Adult Case-Mix Payment Adjustments
(1) Patient Age
(2) Body Surface Area (BSA) and Body Mass Index (BMI)
(3) Onset of Dialysis
(4) Comorbidities
d. Proposed Refinement of Facility-Level Adjustments
i. Low-Volume Payment Adjustment
ii. CY 2016 Proposals for the Low-Volume Payment Adjustment
(LVPA)
(1) Background
(2) The United States Government Accountability Office Study on
the LVPA
(3) Addressing GAO's Recommendations
(4) Elimination of the Grandfathering Provision
(5) Geographic Proximity Mileage Criterion
iii. Geographic Payment Adjustment for ESRD Facilities Located
in Rural Areas
(1) Background
(2) Determining a Facility-Level Payment Adjustment for ESRD
Facilities Located in Rural Areas Beginning in CY 2016
(3) Further Investigation into Targeting High-Cost Rural ESRD
Facilities
e. Proposed Refinement of the Case-Mix Adjustments for Pediatric
Patients
f. Proposed Refinement Payment Multipliers
i. Proposed Adult Case-Mix and Facility-Level Payment
Adjustments
ii. Proposed Pediatric Case-Mix Payment Adjustments
2. Proposed CY 2016 ESRD PPS Update
a. ESRD Bundled Market Basket
i. Overview and Background
ii. Proposed Market Basket Update Increase Factor and Labor-
Related Share for ESRD Facilities for CY 2016
iii. Proposed Productivity Adjustment
iv. Calculation of the ESRDB Market Basket Update, Adjusted for
Multifactor Productivity for CY 2016
b. The Proposed CY 2016 ESRD PPS Wage Indices
i. Annual Update of the Wage Index
ii. Implementation of New Labor Market Delineations
c. CY 2016 Update to the Outlier Policy
i. CY 2016 Update to the Outlier Services MAP Amounts and Fixed-
Dollar Loss Amounts
ii. Outlier Policy Percentage
d. Annual Updates and Policy Changes to the CY 2016 ESRD PPS
i. ESRD PPS Base Rate
ii. Annual Payment Rate Update for CY 2016
3. Section 217(c) of PAMA and the ESRD PPS Drug Designation
Process
a. Stakeholder Comments from the CY 2015 ESRD PPS Proposed and
Final Rules
b. Background
c. Determination of When an Oral-Only Renal Dialysis Service
Drug is No Longer Oral-Only
d. Application of ESRD Drug and Biological Policies after
Implementation of the ESRD PPS
e. Implementation of a Transitional Drug Add-On Payment
Adjustment under the ESRD PPS
4. Delay of Payment for Oral-Only Renal Dialysis Services
5. Reporting Medical Director Fees on ESRD Facility Cost Reports
C. Clarifications Regarding the ESRD PPS
1. Laboratory Renal Dialysis Services
2. Renal Dialysis Service Drugs and Biologicals
a. 2014 Part D Call Letter Follow-up
b. Oral or Other Forms of Renal Dialysis Injectable Drugs and
Biologicals
c. Reporting of Composite Rate Drugs
III. End-Stage Renal Disease (ESRD) Quality Incentive Program (QIP)
for Payment Year (PY) 2019
A. Background
B. Clarification of ESRD QIP Terminology: ``CMS Certification
Number (CCN) Open Date''
C. Meeting PAMA Requirements for Measures Related to Conditions
Treated with Oral-Only Drugs in the ESRD QIP
D. Sub-Regulatory Measure Maintenance in the ESRD QIP
E. Proposed Requirements for the PY 2017 ESRD QIP
1. Proposal to Modify the Small Facility Adjuster Calculation
for All Clinical Measures for the PY 2017 ESRD QIP and Future
Payment Years
2. Proposal to Reinstate Qualifying Patient Attestations for the
ICH CAHPS Clinical Measure
F. Proposed Requirements for the PY 2018 ESRD QIP
1. Estimated Performance Standards, Achievement Thresholds, and
Benchmarks for the Clinical Measures Finalized for the PY 2018 ESRD
QIP
2. Proposed Modification to Scoring Facility Performance on the
Pain Assessment and Follow-Up Reporting Measure
3. Proposed Payment Reductions for the PY 2018 ESRD QIP
4. Data Validation
G. Proposed Requirements for the PY 2019 ESRD QIP
1. Proposed Replacement of the Four Measures Currently in the
Dialysis Adequacy Clinical Measure Topic Beginning with the PY 2019
Program Year
2. Proposed Measures for the PY 2019 ESRD QIP
a. PY 2018 Measures Continuing for PY 2019 and Future Payment
Years
b. Proposed New Dialysis Adequacy Clinical Measure Beginning
with the PY 2019 ESRD QIP
c. Proposed New Reporting Measures Beginning with the PY 2019
ESRD QIP
i. Proposed Ultrafiltration Rate Reporting Measure
ii. Proposed Full-Season Influenza Vaccination Reporting Measure
3. Proposed Performance Period for the PY 2019 ESRD QIP
4. Proposed Performance Standards, Achievement Thresholds, and
Benchmarks for the PY 2019 ESRD QIP
a. Proposed Performance Standards, Achievement Thresholds, and
Benchmarks for the Clinical Measures in the PY 2019 ESRD QIP
b. Estimated Performance Standards, Achievement Thresholds, and
Benchmarks for the Clinical Measures Proposed for the PY 2019 ESRD
QIP
c. Proposed Performance Standards for the PY 2019 Reporting
Measures
5. Proposal for Scoring the PY 2019 ESRD QIP Measures
a. Scoring Facility Performance on Clinical Measures Based on
Achievement
b. Scoring Facility Performance on Clinical Measures Based on
Improvement
c. Scoring the ICH CAHPS Clinical Measure
d. Proposal for Calculating Facility Performance on Reporting
Measures
6. Weighting the Clinical Measure Domain and Total Performance
Score
i. Proposal for Weighting the Clinical Measure Domain for PY
2019
ii. Weighting the Total Performance Score
7. Proposed Minimum Data for Scoring Measures for the PY 2019
ESRD QIP
8. Proposed Payment Reductions for the PY 2019 ESRD QIP
H. Future Achievement Threshold Policy Under Consideration
I. Monitoring Access to Dialysis Facilities
IV. Advancing Health Information Exchange
V. Collection of Information Requirements
VI. Response to Comments
VII. Economic Analyses
A. Regulatory Impact Analysis
1. Introduction
2. Statement of Need
3. Overall Impact
B. Detailed Economic Analysis
1. CY 2016 End-Stage Renal Disease Prospective Payment System
a. Effects on ESRD Facilities
b. Effects on Other Providers
c. Effects on the Medicare Program
d. Effects on Medicare Beneficiaries
e. Alternatives Considered
[[Page 37810]]
1. CY 2016 End-Stage Renal Disease
2. CY End-Stage Renal Disease Quality Incentive Program
C. Accounting Statement
VIII. Regulatory Flexibility Act Analysis
IX. Unfunded Mandates Reform Act Analysis
X. Federalism Analysis
XI. Congressional Review Act
XII. Files Available to the Public via the Internet
Regulations Text
Acronyms
Because of the many terms to which we refer by acronym in this
proposed rule, we are listing the acronyms used and their corresponding
meanings in alphabetical order below:
ABLE The Achieving a Better Life Experience Act of 2014
AHRQ Agency for Healthcare Research and Quality
AMCC Automated Multi-Channel Chemistry
ANOVA Analysis of Variance
ARM Adjusted Ranking Metric
ASP Average Sales Price
ATRA The American Taxpayer Relief Act of 2012
BEA Bureau of Economic Analysis
BLS Bureau of Labor Statistics
BMI Body Mass Index
BSA Body Surface Area
BSI Bloodstream Infection
CB Consolidated Billing
CBSA Core based statistical area
CCN CMS Certification Number
CDC Centers for Disease Control and Prevention
CKD Chronic Kidney Disease
CLABSI Central Line Access Bloodstream Infections
CFR Code of Federal Regulations
CIP Core Indicators Project
CMS Centers for Medicare & Medicaid Services
CPM Clinical Performance Measure
CPT Current Procedural Terminology
CROWNWeb Consolidated Renal Operations in a Web-Enabled Network
CY Calendar Year
DFC Dialysis Facility Compare
DFR Dialysis Facility Report
ESA Erythropoiesis stimulating agent
ESRD End-Stage Renal Disease
ESRDB End-Stage Renal Disease bundled
ESRD PPS End-Stage Renal Disease Prospective Payment System
ESRD QIP End-Stage Renal Disease Quality Incentive Program
FDA Food and Drug Administration
HCP Healthcare Personnel
HD Hemodialysis
HHD Home Hemodialysis
HAIs Healthcare-Acquired Infections
HCPCS Healthcare Common Procedure Coding System
HCFA Health Care Financing Administration
HHS Department of Health and Human Services
ICD International Classification of Diseases
ICD-9-CM International Classification of Disease, 9th Revision,
Clinical Modification
ICD-10-CM International Classification of Disease, 10th Revision,
Clinical Modification
ICH CAHPS In-Center Hemodialysis Consumer Assessment of Healthcare
Providers and Systems
IGI IHS Global Insight
IIC Inflation-indexed charge
IPPS Inpatient Prospective Payment System
IUR Inter-unit reliability
KDIGO Kidney Disease: Improving Global Outcomes
KDOQI Kidney Disease Outcome Quality Initiative
Kt/V A measure of dialysis adequacy where K is dialyzer clearance, t
is dialysis time, and V is total body water volume
LDO Large Dialysis Organization
MAC Medicare Administrative Contractor
MAP Medicare Allowable Payment
MCP Monthly Capitation Payment
MIPPA Medicare Improvements for Patients and Providers Act of 2008
(Pub. L. 110-275)
MMA Medicare Prescription Drug, Improvement and Modernization Act of
2003
MMEA Medicare and Medicaid Extenders Act of 2010 Pub. L. 111-309
MFP Multifactor Productivity
NHSN National Healthcare Safety Network
NQF National Quality Forum
NQS National Quality Strategy
MFP Multifactor Productivity
MIPPA Medicare Improvements for Patients and Providers Act of 2008
MLR Minimum Lifetime Requirement
MSA Metropolitan statistical areas
NAMES National Association of Medical Equipment Suppliers
NHSN National Healthcare Safety Network
NQF National Quality Forum
NQS National Quality Strategy
OBRA Omnibus Budget Reconciliation Act
OMB Office of Management and Budget
PAMA Protecting Access to Medicare Act of 2014
PC Product category
PD Peritoneal Dialysis
PEN Parenteral and Enteral nutrition
PFS Physician Fee Schedule
PPI Producer Price Index
PPS Prospective Payment System
PSR Performance Score Report
PY Payment Year
QIP Quality Incentive Program
RCE Reasonable Compensation Equivalent
REMIS Renal Management Information System
RFA Regulatory Flexibility Act
SBA Small Business Administration
SFA Small Facility Adjuster
SIMS Standard Information Management System
SRR Standardized Readmission Ratio
SSA Social Security Administration
STrR Standardized Transfusion Ratio
The Act Social Security Act
The Affordable Care Act The Patient Protection and Affordable Care
Act
The Secretary Secretary of the Department of Health and Human
Services
TPS Total Performance Score
URR Urea reduction ratio
VAT Vascular Access Type
VBP Value Based Purchasing
I. Executive Summary
A. Purpose
1. End-Stage Renal Disease (ESRD) Prospective Payment System (PPS)
On January 1, 2011, we implemented the ESRD PPS, a case-mix
adjusted bundled prospective payment system for renal dialysis services
furnished by ESRD facilities. This rule proposes to update and make
revisions to the End-Stage Renal Disease (ESRD) prospective payment
system (PPS) for calendar year (CY) 2016. Section 1881(b)(14) of the
Social Security Act (the Act), as added by section 153(b) of the
Medicare Improvements for Patients and Providers Act of 2008 (MIPPA)
(Pub. L. 110-275), and section 1881(b)(14)(F) of the Act, as added by
section 153(b) of MIPPA and amended by section 3401(h) of the
Affordable Care Act Public Law 111-148), established that beginning CY
2012, and each subsequent year, the Secretary shall annually increase
payment amounts by an ESRD market basket increase factor, reduced by
the productivity adjustment described in section 1886(b)(3)(B)(xi)(II)
of the Act.
Section 632 of the American Taxpayer Relief Act of 2012 (ATRA)
(Pub. L No. 112-240) included several provisions that apply to the ESRD
PPS. Section 632(a) of ATRA added section 1881(b)(14)(I) to the Act,
which required the Secretary of the Department of Health and Human
Services (the Secretary), by comparing per patient utilization data
from 2007 with such data from 2011, to reduce the single payment amount
to reflect the Secretary's utilization of ESRD-related drugs and
biologicals. We finalized the amount of the drug utilization adjustment
pursuant to this section in the CY 2014 ESRD PPS final rule with a 3-
to 4-year transition (78 FR 72161 through 72170). Section 632(b) of
ATRA prohibited the Secretary from paying for oral-only ESRD-related
drugs and biologicals under the ESRD PPS before January 1, 2016.
Section 632(c) of ATRA requires the Secretary, by no later than January
1, 2016, to analyze the case mix payment adjustments under section
1881(b)(14)(D)(i) of the Act and make appropriate revisions to those
adjustments.
On April 1, 2014, the Congress enacted the Protecting Access to
Medicare Act of 2014 (PAMA) (Pub. L. 113-93). Section 217 of PAMA
includes several provisions that apply to the ESRD PPS. Specifically,
sections 217(b)(1) and (2) of PAMA amend sections 1881(b)(14)(F) and
(I) of the Act. We interpreted the amendments to sections
1881(b)(14)(F) and (I) as
[[Page 37811]]
replacing the drug utilization adjustment that was finalized in the CY
2014 ESRD PPS final rule with specific provisions that dictate the
market basket update for CY 2015 (0.0 percent) and how it will be
reduced in CYs 2016 through 2018. Section 217(a)(1) of PAMA amended
section 632(b)(1) of ATRA to provide that the Secretary may not pay for
oral-only drugs and biologicals used for the treatment of ESRD under
the ESRD PPS prior to January 1, 2024. Section 217(c) of PAMA provides
that, as part of the CY 2016 ESRD PPS rulemaking, the Secretary shall
establish a process for (1) determining when a product is no longer an
oral-only drug; and (2) including new injectable and intravenous
products into the ESRD PPS bundled payment.
On December 19, 2014, the President signed the Stephen Beck, Jr.,
Achieving a Better Life Experience Act of 2014 (ABLE) (Pub. L. 113-
295). Section 204 of ABLE amended section 632(b)(1) of ATRA, as amended
by section 217(a)(1) of PAMA, to provide that payment for oral-only
renal dialysis services cannot be made under the ESRD PPS bundled
payment prior to January 1, 2025.
2. End-Stage Renal Disease (ESRD) Quality Incentive Program (QIP)
This rule also proposes to set forth requirements for the ESRD QIP,
including for payment years (PYs) 2017, 2018, and 2019. The program is
authorized under section 1881(h) of the Social Security Act (the Act).
The ESRD QIP is the most recent step in fostering improved patient
outcomes by establishing incentives for dialysis facilities to meet or
exceed performance standards established by CMS.
B. Summary of the Major Provisions
1. ESRD PPS
ESRD PPS refinement: In accordance with section 632(c) of
ATRA, we analyzed the case mix payment adjustments under the ESRD PPS
using more recent data. We are proposing to revise the adjustments by
changing the adjustment payment amounts based on our updated regression
analysis using CYs 2012 and 2013 ESRD claims and cost report data and
proposing to remove two comorbidity payment adjustments (bacterial
pneumonia and monoclonal gammopathy). Because we conducted an updated
regression analysis to enable us to analyze and revise the case-mix
payment adjustments, we are also proposing revisions to the other ESRD
PPS payment adjustments and a new adjustment based on that regression
analysis. In particular, we are proposing new patient and facility-
level adjustment factors. We are also proposing to add an adjustment
for rural ESRD facilities. Finally, we are proposing to revise the
geographic proximity eligibility criterion for the low-volume payment
adjustment (LVPA) and to remove grandfathering from the criteria for
the adjustment.
Drug designation process: In accordance with section
217(c) of PAMA, we are proposing a drug designation process for
determining when: (1) a product would no longer be considered an oral-
only drug and (2) including new injectable and intravenous renal
dialysis service drugs and biologicals in the bundled payment under the
ESRD PPS.
Update to the ESRD PPS base rate for CY 2016: The proposed
CY 2016 ESRD PPS base rate is $230.20. This amount reflects a reduced
market basket increase as required by section 1881(b)(14)(F)(i)(I)
(0.15 percent), application of the wage index budget-neutrality
adjustment factor (1.000332), and a refinement budget-neutrality
adjustment factor (0.959703), so that total projected PPS payments in
CY 2016 are equal to what the payments would have been in CY 2016 had
we not implemented the refinement. The proposed CY 2016 ESRD PPS base
rate is $230.20 ($239.43 x 1.0015 x 1.000332 x 0.959703 = $230.20).
Annual update to the wage index and wage index floor: We
adjust wage indices on an annual basis using the most current hospital
wage data and the latest core-based statistical area (CBSA)
delineations to account for differing wage levels in areas in which
ESRD facilities are located. For CY 2016, we are not proposing any
changes to the application of the wage index floor and we propose to
continue to apply the current wage index floor (0.400) to areas with
wage index values below the floor.
Update to the outlier policy: Consistent with our proposal
to annually update the outlier policy using the most current data, we
are proposing to update the outlier services fixed dollar loss amounts
for adult and pediatric patients and Medicare Allowable Payments (MAPs)
for adult patients for CY 2016 using 2014 claims data. Based on the use
of more current data, the fixed-dollar loss amount for pediatric
beneficiaries would decrease from $54.35 to $49.99 and the MAP amount
would decrease from $43.57 to $37.82, as compared to CY 2015 values.
For adult beneficiaries, the fixed-dollar loss amount would decrease
from $86.19 to $85.66 and the MAP amount would decrease from $51.29 to
$48.15. The 1 percent target for outlier payments was not achieved in
CY 2014. We believe using CY 2014 claims data to update the outlier MAP
and fixed dollar loss amounts for CY 2016 will increase payments for
ESRD beneficiaries requiring higher resource utilization in accordance
with a 1 percent outlier percentage.
2. ESRD QIP
This rule proposes to set forth requirements for the ESRD QIP,
including for payment years (PYs) 2017, 2018 and 2019.
PY 2019 Measure Set: For PY 2019 and future payment years,
we are proposing to remove four clinical measures--(1) Hemodialysis
Adequacy: Minimum delivered hemodialysis dose; (2) Peritoneal Dialysis
Adequacy: Delivered dose above minimum; (3) Pediatric Hemodialysis
Adequacy: minimum spKt/V; and (4) Pediatric Peritoneal Dialysis
Adequacy--on the grounds that a more broadly applicable measure for the
topic has become available. We are proposing to replace these measures
with a single comprehensive Dialysis Adequacy clinical measure.
Additionally, we are proposing to adopt two new reporting measures: (1)
The Ultrafiltration Rate reporting measure and (2) the Full-Season
Influenza Vaccination reporting measure.
Reinstating the In-Center Hemodialysis Consumer Assessment
of Healthcare Providers (ICH CAHPS) Attestation: Beginning with PY
2017, we are proposing to reinstate the ICH CAHPS attestation in
Consolidated Renal Operations in a Web-Enabled Network (CROWNWeb)
previously adopted in the CY 2014 ESRD PPS final rule (78 FR 72220
through 72222) using the eligibility criteria finalized in the CY 2015
ESRD PPS final rule (79 FR 66169). This would allow facilities to
attest in CROWNWeb that they did not treat enough eligible patients
during the eligibility period to receive a score on the ICH CAHPS
measure and thereby avoid receiving a score for this measure.
Revising the Small Facility Adjuster: Beginning with the
PY 2017 ESRD QIP, we are proposing to revise the Small Facility
Adjuster (SFA). We have developed an equation for determining the SFA
that does not rely upon a pooled within-facility standard error, but
nonetheless preserves the intent of the adjuster to include as many
facilities in the ESRD QIP as possible while ensuring that the measure
scores are reliable.
[[Page 37812]]
C. Summary of Costs and Benefits
In section VII of this proposed rule, we set forth a detailed
analysis of the impacts that the proposed changes would have on
affected entities and beneficiaries. The impacts include the following:
1. Impacts of the Proposed ESRD PPS
The impact chart in section VII.B.1.a of this proposed rule
displays the estimated change in payments to ESRD facilities in CY 2016
compared to estimated payments in CY 2015. The overall impact of the CY
2016 changes is projected to be a 0.3 percent increase in payments.
Hospital-based ESRD facilities have an estimated 0.5 percent increase
in payments compared with freestanding facilities with an estimated 0.2
percent increase.
We estimate that the aggregate ESRD PPS expenditures would increase
by approximately $20 million from CY 2015 to CY 2016. This reflects a
$10 million increase from the payment rate update and a $10 million
increase due to the updates to the outlier threshold amounts. As a
result of the projected 0.3 percent overall payment increase, we
estimate that there will be an increase in beneficiary co-insurance
payments of 0.3 percent in CY 2016, which translates to approximately
$10 million.
2. Impacts of the Proposed ESRD QIP
The overall economic impact of the ESRD QIP is an estimated $11.8
million in PY 2018 and $14.6 million in PY 2019. In PY 2018, we expect
the costs associated with the collection of information requirements
for the data validation studies to be approximately $21 thousand for
all ESRD facilities, totaling an overall impact of approximately $11.8
million as a result of the PY 2018 ESRD QIP.\1\ In PY 2019, we expect
the total payment reductions to be approximately $3.8 million, and the
costs associated with the collection of information requirements for
the proposed Ultrafiltration Rate and Full-Season Influenza Vaccination
reporting measures to be approximately $10.7 million for all ESRD
facilities.
---------------------------------------------------------------------------
\1\ We note that the aggregate impact of the PY 2018 ESRD QIP
was included in the CY 2015 ESRD PPS final rule (79 FR 66256 through
66258). The previously finalized aggregate impact of $11.8 million
reflects the PY 2018 estimated payment reductions and the collection
of information requirements for the NHSN Healthcare Personnel
Influenza Vaccination reporting measure.
---------------------------------------------------------------------------
The ESRD QIP will continue to incentivize facilities to provide
high-quality care to beneficiaries.
II. Calendar Year (CY) 2016 End-Stage Renal Disease (ESRD) Prospective
Payment System (PPS)
A. Background
1. Statutory Background
On January 1, 2011, we implemented the End-stage renal disease
(ESRD) Prospective Payment System (PPS), a case-mix adjusted bundled
PPS for renal dialysis services furnished by ESRD) facilities based on
the requirements of section 1881(b)(14) of the Social Security Act (the
Act), as added by section 153(b) of the Medicare Improvements for
Patients and Providers Act of 2008 (MIPPA) (Pub. L. 110-275). Section
1881(b)(14)(F) of the Act, as added by section 153(b) of MIPPA and
amended by section 3401(h) of the Patient Protection and Affordable
Care Act (the Affordable Care Act) (Pub. L. 111-148), established that
beginning calendar year (CY) 2012, and each subsequent year, the
Secretary of the Department of Health and Human Services (the
Secretary) shall annually increase payment amounts by an ESRD market
basket increase factor, reduced by the productivity adjustment
described in section 1886(b)(3)(B)(xi)(II) of the Act.
Section 632 of the American Taxpayer Relief Act of 2012 (ATRA)
(Pub. L. 112-240) included several provisions that apply to the ESRD
PPS. Section 632(a) of ATRA added section 1881(b)(14)(I) to the Act,
which required the Secretary, by comparing per patient utilization data
from 2007 with such data from 2012, to reduce the single payment for
renal dialysis services furnished on or after January 1, 2014 to
reflect the Secretary's estimate of the change in the utilization of
ESRD-related drugs and biologicals (excluding oral-only ESRD-related
drugs). Consistent with this requirement, in the CY 2014 ESRD PPS final
rule we finalized $29.93 as the total drug utilization reduction and
finalized a policy to implement the amount over a 3- to 4-year
transition period (78 FR 72161 through 72170).
Section 632(b) of ATRA prohibited the Secretary from paying for
oral-only ESRD-related drugs and biologicals under the ESRD PPS prior
to January 1, 2016. And section 632(c) of ATRA requires the Secretary,
by no later than January 1, 2016, to analyze the case-mix payment
adjustments under section 1881(b)(14)(D)(i) of the Act and make
appropriate revisions to those adjustments.
On April 1, 2014, the Congress enacted the Protecting Access to
Medicare Act of 2014 (PAMA) (Pub. L. 113-93). Section 217 of PAMA
included several provisions that apply to the ESRD PPS. Specifically,
sections 217(b)(1) and (2) of PAMA amended sections 1881(b)(14)(F) and
(I) of the Act and replaced the drug utilization adjustment that was
finalized in the CY 2014 ESRD PPS final rule (78 FR 72161 through
72170) with specific provisions that dictated the market basket update
for CY 2015 (0.0 percent) and how the market basket should be reduced
in CYs 2016 through CY 2018.
Section 217(a)(1) of PAMA amended section 632(b)(1) of ATRA to
provide that the Secretary may not pay for oral-only ESRD-related drugs
under the ESRD PPS prior to January 1, 2024. Section 217(a)(2) further
amended section 632(b)(1) of ATRA by requiring that in establishing
payment for oral-only drugs under the ESRD PPS, we must use data from
the most recent year available. Section 217(c) of PAMA provided that as
part of the CY 2016 ESRD PPS rulemaking, the Secretary shall establish
a process for (1) determining when a product is no longer an oral-only
drug; and (2) including new injectable and intravenous products into
the ESRD PPS bundled payment.
Finally, section 212 of PAMA provided that the Secretary may not
adopt the International Classification of Disease 10th Revision,
Clinical Modification (ICD-10-CM) code sets prior to October 1, 2015.
HHS published a final rule on August 4, 2014 that adopted October 1,
2015 as the new ICD-10-CM compliance date, and required the use of
International Classification of Disease, 9th Revision, Clinical
Modification (ICD-9-CM) through September 30, 2015 (79 FR 45128).
On December 19, 2014, the President signed the Stephen Beck, Jr.,
Achieving a Better Life Experience Act of 2014 (ABLE) (Pub. L. 113-
295). Section 204 of ABLE amended section 632(b)(1) of ATRA, as amended
by section 217(a)(1) of PAMA, to provide that payment for oral-only
renal dialysis services cannot be made under the ESRD PPS bundled
payment prior to January 1, 2025.
2. System for Payment of Renal Dialysis Services
Under the ESRD PPS, a single, per-treatment payment is made to an
ESRD facility for all of the renal dialysis services defined in section
1881(b)(14)(B) of the Act and furnished to individuals for the
treatment of ESRD in the ESRD facility or in a patient's home. We have
codified our definitions of renal dialysis services at 42 CFR 413.171
and our other payment policies are included in regulations at 42 CFR
[[Page 37813]]
subpart H. The ESRD PPS base rate is adjusted for characteristics of
both adult and pediatric patients and account for patient case-mix
variability. The adult case-mix adjusters include five categories of
age, body surface area (BSA), low body mass index (BMI), onset of
dialysis, six co-morbidity categories, and pediatric patient-level
adjusters consisting of two age categories and dialysis modalities (42
CFR 413.235(a) and(b)).
In addition, the ESRD PPS provides for two facility-level
adjustments. The first payment adjustment accounts for ESRD facilities
furnishing a low volume of dialysis treatments (42 CFR 413.232). The
second adjustment reflects differences in area wage levels developed
from Core Based Statistical Areas (CBSAs) (42 CFR 413.231).
The ESRD PPS allows for a training add-on payment adjustment for
home dialysis modalities (42 CFR 413.235(c). Lastly, the ESRD PPS
provides additional payment for high cost outliers due to unusual
variations in the type or amount of medically necessary care when
applicable (42 CFR 413.237).
3. Updates to the ESRD PPS
Updates and policy changes to the ESRD PPS are proposed and
finalized annually in the Federal Register. The CY 2011 ESRD PPS final
rule was published on August 12, 2010 in the Federal Register (75 FR
49030 through 49214). That rule implemented the ESRD PPS beginning on
January 1, 2011 in accordance with section 1881(b)(14) of the Act, as
added by section 153(b) of MIPPA, over a 4-year transition period.
Since the implementation of the ESRD PPS we have published annual rules
to make routine updates, policy changes, and clarifications.
On November 6, 2014, we published in the Federal Register a final
rule (79 FR 66120 through 66265) titled, ``End-Stage Renal Disease
Prospective Payment System, Quality Incentive Program, and Durable
Medical Equipment, Prosthetics, Orthotics, and Supplies'' (hereinafter
referred to as the CY 2015 ESRD PPS final rule). In that final rule, we
made a number of routine updates to the ESRD PPS for CY 2015, completed
a rebasing and revision of the ESRD bundled market basket, implemented
a 2-year transition for the revised labor-related share and a 2-year
transition of the new Core-Based Statistical Area (CBSA) delineations,
and made policy changes and clarifications. Specifically, in that rule,
we finalized the following:
Update to the ESRD PPS base rate for CY 2015. An ESRD PPS
base rate of $239.43 per treatment for renal dialysis services. This
amount reflected a 0.0 percent update to the payment rate as required
by section 1881(b)(14)(F)(i) of the Act, as amended by section
217(b)(2) of PAMA, and the application of the wage index budget-
neutrality adjustment factor of 1.001729.
Rebasing and revision of the end-stage renal disease
bundled market basket. For CY 2015, we rebased and revised the end-
stage renal disease bundled (ESRDB) market basket, which entailed an
update to the base year of the ESRDB market basket from 2008 to 2012.
The base year update resulted in a shift in relative costs from
prescription drugs to compensation. Additionally, we changed the price
measure for pharmaceuticals from a more general index Producer Price
Index (PPI) Pharmaceuticals for Human Use, Prescription) to a blend of
two indices, (78 percent PPI Biological Products, Human Use and 22
percent PPI Vitamin, Nutrient, and Hematinic Preparations). The
revision also refined the price measure used for compensation costs to
better reflect the occupational mix in the ESRD setting. As a result of
the update to the cost weights from 2008 to 2012, the labor-related
share increased by about 9 percent.
Labor-Related Share. As a result of the ESRDB market
basket rebasing and revision, described above, the CY 2015 labor-
related share was finalized at 50.673 percent. This change to the
labor-related share had a significant impact on payments for certain
ESRD facilities located in low wage areas. Therefore, we implemented
the labor-related share of 50.673 with a 2-year transition for all
facilities. The labor-related share for CY 2015 was 46.205.
Outlier Policy. For CY 2015, we used CY 2013 claims data
to update the outlier services' fixed-dollar loss and Medicare
Allowable Payment (MAP) amounts. As a result, we updated the fixed-
dollar loss amount for pediatric patients from $54.01 to $54.35, and
increased the MAP amount from $40.49 to $43.57. For adult patients, we
updated the fixed-dollar loss amount from $98.67 to $86.19 and
increased the MAP amount from $50.25 to $51.29.
Wage Index. We adjusted wage indices using the most
current hospital wage data available for the areas in which ESRD
facilities are located. For CY 2015, we implemented the new core-based
statistical area (CBSA) delineations, as described in the February 28,
2013 OMB Bulletin No. 13-01, for all ESRD facilities with a 2-year
transition (79 FR 66136 through 66142). In addition, we continued our
policy for the gradual phase-out of the wage index floor and reduced
the wage index floor value to 0.40, as finalized in our CY 2014 ESRD
PPS final rule (78 FR 72173 through 72174).
Timing of the Implementation of ICD-10. Section 212 of
PAMA provides that the Secretary may not adopt ICD-10-CM prior to
October 1, 2015. HHS published a final rule on August 4, 2014 that
adopted October 1, 2015 as the new ICD-10-CM compliance date, and
required the use of International Classification of Disease, 9th
Revision, Clinical Modification (ICD-9-CM) through September 30, 2015
(79 FR 45128). We finalized a policy that the ESRD PPS will continue to
use ICD-9-CM through September 30, 2015, and will require the use of
ICD-10-CM beginning October 1, 2015 for purposes of reporting the co-
morbidity payment adjustments. For CY 2015, we corrected several
typographical errors and omissions in the ICD-9-CM to ICD-10-CM
crosswalk tables that may be viewed in the CY 2015 ESRD PPS final rule
at 79 FR 66155 through 66159.
Low-Volume Payment Adjustment. We clarified the
eligibility criteria for the low-volume payment adjustment (LVPA) and
amended the supporting regulations in the Code of Federal Regulations
(CFR).
Payment for Oral-only Drugs under the ESRD PPS. Section
217(a)(1) of PAMA amended section 632(b)(1) of ATRA to provide that the
Secretary may not implement the policy under section 42 CFR
413.174(f)(6) (relating to oral-only ESRD-related drugs in the ESRD
prospective payment system), prior to January 1, 2024. Accordingly, we
amended the dates in 42 CFR 413.174(f)(6) and 42 CFR 413.237(a)(1)(iv)
from January 1, 2016 to January 1, 2024.
B. Provisions of the Proposed Rule
1. Analysis and Proposed Revision of the Payment Adjustments under the
ESRD PPS
a. Development and Implementation of the ESRD PPS Payment Adjustments
Section 153(b) of MIPPA amended section 1881(b) of the Act to
require the Secretary to implement the ESRD PPS effective January 1,
2011. Section 1881(b)(14)(D)(i) requires the ESRD PPS to include a
payment adjustment based on case mix that may take into account patient
weight, body mass index (BMI), comorbidities, length of time on
dialysis, age race, ethnicity, and other appropriate factors. Section
1881(b)(14)(D)(ii) through (iv) provide that the ESRD PPS must also
include an outlier payment adjustment and a low volume payment
adjustment, and may include such other payment
[[Page 37814]]
adjustments as the Secretary determines appropriate.
In response to the MIPPA amendments to section 1881(b), we
published our proposed ESRD PPS design and implementation strategy in
the Federal Register on September 29, 2009 (74 FR 49922). We received
over 1400 comments from dialysis facilities, Medicare beneficiaries,
physician groups, and other stakeholders in response to our proposals.
In consideration of these comments we finalized the case mix and
facility-level adjustments for the ESRD PPS in our CY 2011 ESRD PPS
final rule (75 FR 49030). For a complete discussion of public comments
and our finalized payment policies for the ESRD PPS, we refer the
reader to the CY 2011 ESRD PPS final rule (75 FR 49030 through 49214).
b. Regression Model Used To Develop Payment Adjustment Factors
i. Regression Analysis
In the CY 2011 ESRD PPS final rule (75 FR 49083), we discuss the
two-equation methodology used to develop the adjustment factors that
would be applied to the base rate to calculate each patient's case-mix
adjusted payment per treatment. The two-equation approach used to
develop the ESRD PPS included a facility-based regression model for
services historically paid for under the composite rate as indicated in
ESRD facility cost reports, and a patient-month-level regression model
for services historically billed separately. The models used for the
2011 final rule were based on 3 years of data (CY 2006 through 2008).
Section 632(c) of the American Taxpayer Relief Act of 2012 (ATRA)
(Pub. L. 11-240) requires the Secretary, by not later than January 1,
2016, to conduct an analysis of the case mix payment adjustments being
used under section 1881(b)(14)(D)(i) of the Act and to make appropriate
revisions to such case mix payment adjustments. While section 632(c) of
ATRA only requires us to analyze and make appropriate revisions to the
case-mix payment adjustments, we believe that because we are performing
a regression analysis that updates all of the payment multipliers with
updated data we should also update the low-volume payment adjustment.
Also, as discussed in section II.B.1.d.iii, we analyzed rural areas as
a payment variable in our regression analysis and are proposing to
implement a new adjustment for this facility characteristic.
For purposes of analyzing and proposing revisions to the payment
adjusters included in this proposed rule, we have updated the two-
equation methodology using CY 2012 and 2013 Medicare cost report and
claims data. These are the latest available cost reports and claims
given the time necessary for the preparation of this proposed rule. The
decision to use those 2 years for this proposed rule is because 2011
was the first year under the new bundled payment system. In addition,
the FDA ``black box'' warning for Erythropoiesis-Stimulating Agents
(ESA) was issued during 2011. These two factors may have been
associated with changing practice patterns since 2011. Updating the
regression analysis using the most recent claims and cost report data
allows the proposed case-mix adjustment model to reflect practice
patterns that have prevailed under the incentives of the expanded
bundled payment system.
In this rule we propose to reduce the number of comorbidities to
which payment adjusters apply and add an adjustment for rural
facilities. Our rationale for proposing to eliminate two of the
comorbidities for which we will make payment adjustments is discussed
in section II.B.1.c.i.4 of this proposed rule. The measures of resource
use, specified as the dependent variables for developing the payment
model in each of the two equations, are also explained below.
ii. Dependent Variables
(1) Average Cost per Treatment for Composite Rate Services
For purposes of this proposed rule, we measured resource use,
including time on a dialysis machine for the maintenance dialysis
services included in the current bundle of composite rate services,
using only ESRD facility data obtained from the Medicare cost reports
for independent ESRD facilities and hospital-based ESRD facilities. The
average composite rate cost per treatment for each ESRD facility was
calculated by dividing the total reported allowable costs for composite
rate services for cost reporting periods ending in CYs 2012 and 2013
(Worksheet B, column 13A, lines 8-17 on CMS-265-11; Worksheet I-2,
column 11, lines 2-11 on CMS-2552-10) by the total number of dialysis
treatments (Worksheet C, column 1, lines 8-17 on CMS 265-11; Worksheet
I-4, column 1, lines 1-10 on CMS-2552-10). CAPD and CCPD patient weeks
were multiplied by 3 to obtain the number of HD-equivalent treatments.
We note that our computation of the total composite rate costs included
in this per treatment calculation includes costs incurred for training
expenses, as well as all costs incurred by ESRD facilities for home
dialysis patients.
The resulting cost per treatment was adjusted to eliminate the
effects of varying wage levels among the areas in which ESRD facilities
are located using the ESRD PPS CY 2015 wage indices and the new CBSA
delineations which were discussed in the CY 2015 ESRD PPS final rule,
as well as the estimated labor-related share of costs from the
composite rate market basket. This was done so that the relationship of
the studied variables on dialysis facility costs would not be
confounded by differences in wage levels.
The proportion of composite rate costs determined to be labor-
related (53.711 percent of each ESRD facility's composite rate cost per
treatment) was divided by the ESRD wage index to control for area wage
differences. No floor or ceiling was imposed on the wage index values
used to deflate the composite rate costs per treatment in order to give
the full effect to the removal of actual differences in area wage
levels from the data. We applied a natural log transformation to the
wage-deflated composite rate costs per treatment to better satisfy the
statistical assumptions of the regression model, and to be consistent
with existing methods of adjusting for case-mix, in which a
multiplicative payment adjuster is applied for each case-mix variable.
As with other health care cost data, the cost distribution for
resource/dialyzing composite rate services was skewed (due to a
relatively small fraction of observations accounting for a
disproportionate fraction of costs). Cost per treatment values which
were determined to be unusually high or low in accordance with
predetermined statistical criteria were excluded from further analysis.
(For an explanation of the statistical outer fence methodology used to
identify unusually high and low composite rate costs per treatment, see
pages 45 through 48 of the Secretary's February 2008 Report to Congress
(RTC), A Design for a Bundled End Stage Renal Disease Prospective
Payment System. This document is available on the CMS Web site at the
following link: https://www.cms.gov/Medicare/End-Stage-Renal-Disease/ESRDGeneralInformation/downloads/ESRDReportToCongress.pdf.
(2) Average Medicare Allowable Payment (MAP) for Previously Separately
Billable Services
For purposes of this proposed rule, resource use for separately
billable items and services used for the treatment of ESRD was measured
at the
[[Page 37815]]
patient-level using the utilization data on the Medicare claims by
quarter for CYs 2012 and 2013 and average sales prices plus 6 percent
of the drug or biological, if applicable, for each quarter. This time
period corresponded to the most recent 2 years of Medicare cost report
data that were available to measure resource use for composite rate
services, such as time dialyzing. Measures of resource use included the
following separately billable services: injectable drugs billed by ESRD
facilities, including ESAs; laboratory services provided to ESRD
patients, billed by freestanding laboratory suppliers and ordered by
physicians who receive monthly capitation payments for treating ESRD
patients, or billed by ESRD facilities; and other services billed by
ESRD facilities.
iii. Independent Variables
Two types of independent or predictor variables were included in
the composite rate and separately billable regression equations--case-
mix payment variables and control variables. Case-mix payment variables
were included as factors that may be used to adjust payments in either
the composite rate or in the separately billable equation. Control
variables, which generally represent characteristics of ESRD facilities
such as size, type of ownership, facility type (whether hospital-based
or independent), were specifically included to obtain more accurate
estimates of the payment impact of the potential payment variables in
each equation. In the absence of using control variables in each
regression equation, the relationship between the payment variables and
measures of resource use may be biased because of correlations between
facility and patient characteristics.
iv. Control Variables
Several control variables were included in the regression analysis.
They were--(1) renal dialysis facility type (hospital-based versus
independent facility); (2) facility size (4,000 dialysis treatments or
fewer, but not eligible for the low volume payment adjustment, 4,000 to
4,999, 5,000 to 9999, and 10,000 or more dialysis treatments); (3) type
of ownership (independent, large dialysis organization, regional chain,
unknown); (4) calendar year (2012 and 2013); and (5) home dialysis
training treatments, in which the proportion of training treatments
furnished by each dialysis facility is specified. The use of training
treatments as a control was done in order to remove any confounding
cost effects of training on other independent variables included in the
payment model, particularly the onset of dialysis within 4-months
variable.
c. Analysis and Revision of the Payment Adjustments
As required by section 632(c) of ATRA, we have analyzed and are
proposing revisions to the following case mix payment adjustments. As
explained above, because we are conducting a regression analysis of all
of the costs associated with furnishing renal dialysis services, we are
also proposing revisions to the facility-level adjustment for low-
volume facilities.
i. Adult Case-Mix Payment Adjustments
(1) Patient Age
Section 1881(b)(14)(D)(i) of the Act requires that the ESRD PPS
include a payment adjustment based on case mix that may take into
account a patient's age. In the CY 2011 ESRD PPS final rule (75 FR
49088), we noted that the basic case-mix adjusted composite payment
system in effect from CYs 2005 through 2010 included payment
adjustments for age based on five age groups. Our analysis for the CY
2011 ESRD PPS final rule demonstrated a significant relationship
between composite rate and separately billable costs and patient age,
with a U-shaped relationship between age and cost where the youngest
and oldest age groups showed the highest costs. As a result of this
analysis, we established five age groups and identified the payment
multipliers through regression analysis. We established age group 60 to
69 as the reference group (the group with the lowest cost per
treatment) and the payment multipliers reflect the increase in facility
costs for each age group compared to the reference age group. We
proposed and finalized payment adjustment multipliers for five age
groups; ages 18 to 44, 45 to 59, 60 to 69, 70 to 79, and 80 and older.
We also finalized pediatric payment adjustments for age, which are
discussed in section II.B.1.e of this proposed rule.
Commenters and stakeholders were largely supportive of a case-mix
adjustment for age when the ESRD PPS was implemented. We noted in our
CY 2011 ESRD PPS final rule (75 FR 49088) that several commenters
stated that age is an objective and easily collected variable,
demonstrably related to cost, and that continuing to collect age data
would not be burdensome or require systems changes. In addition, a few
commenters requested that CMS consider an additional adjustment for
patient frailty and/or advanced age (75 FR 49089). In the CY 2011 ESRD
PPS final rule, we responded to these comments by noting that we
included an age adjustment for patients 80 years of age or older, but
that advanced age and frailty did not result in the identification of
additional age groups for the application of case-mix adjustments based
on age. In addition, we noted that the analysis did not identify a
separate variable for patient frailty, as this would be very difficult
to quantify.
The analysis we conducted to determine whether to revise the case
mix payment variable of patient age demonstrates the same U-shaped
relationship between facility costs and patient age as the analysis we
conducted when the ESRD PPS was implemented, however, the reference
group has changed to age group 70 to 79, and we note significantly
higher costs for older patients. We believe that the regression
analysis we performed on CY 2012 through 2013 Medicare cost reports and
claims has appropriately recognized increased facility costs when
caring for patients 80 years old or older, and that this adjustment
accounts for increased frailty in the aged. The CY 2016 proposed
payment multipliers presented below in Table 1 and in Table 4 in
section II.B.1.f.i of this proposed rule are reflective of the
regression analysis based upon CY 2012-2013 Medicare cost reports and
claims data.
Table 1--CY 2016 Proposed Payment Multipliers for Age
------------------------------------------------------------------------
Current Proposed
Age payment payment
multipliers multipliers
------------------------------------------------------------------------
18-44................................... 1.171 1.257
45-59................................... 1.013 1.068
60-69................................... 1.000 1.070
70-79................................... 1.011 1.000
80+..................................... 1.016 1.109
------------------------------------------------------------------------
(2) Body Surface Area (BSA) and Body Mass Index (BMI)
Section 1881(b)(14)(D)(i) of the Act requires that the ESRD PPS
include a payment adjustment based on case mix that may take into
account patient weight, body mass index (BMI), and other appropriate
factors. Through the use of claims data, we evaluated the patient
characteristics of height and weight and established two measurements
for body size when the ESRD PPS was implemented: body surface area
(BSA) and BMI. In our analysis for the CY 2011 ESRD PPS final rule, we
found that the BSA of larger patients and low BMI (<18.5 kg/m\2\) for
malnourished patients were
[[Page 37816]]
independent variables in the regression analysis that predicted
variations in payments for renal dialysis services and as such we
finalized two separate payment adjustments for body size in our CY 2011
ESRD PPS final rule (75 FR 49089 through 49090).
Commenters were supportive of BSA and BMI payment adjustments,
noting that body size was a payment adjustment under the composite rate
payment system, and that ESRD facilities would be able to capture this
information on the claim form without any additional burden. A few
commenters expressed concern regarding pre- versus post-dialysis
weight. In response to these comments we clarified that a patient's
weight should be taken after the last dialysis treatment of the month,
as directed in the Medicare Claims Processing Manual, Pub. 100-04,
Chapter 8, Section 50.3.
For this proposed rule, we analyzed both BSA and low BMI (<18.5kg/
m\2\) individually as part of the regression analysis and found that
both body size measures are strong predictors of variation in payments
for ESRD patients.
Body Surface Area (BSA)
Since CY 2005, Medicare payment for renal dialysis services has
included a payment adjustment for BSA. The current payment adjustment
under the ESRD PPS is l.020, which implies a 2.0 percent elevated cost
for every 0.l m\2\ increase in BSA compared to the national average BSA
of ESRD patients. The increased costs suggest that there are longer
treatment times and additional resources for larger patients. Including
the BSA variable improved the model's ability to predict ESRD facility
costs compared to using BMI or weight alone.
In the CY 2011 ESRD PPS proposed rule (74 FR 49951), we discussed
how we adopted the DuBois and DuBois formula to establish an ESRD
patient's BSA because this formula was the most widely known and
accepted. That is, a patient's BSA equals their Weight \0.425\ * Height
\0.725\* 0.007184, where weight is in kilograms and height is in
centimeters. (DuBois D. and DuBois, EF. ``A Formula to Estimate the
Approximate Surface Area if Height and Weight be Known'': Arch. Int.
Med. 1916 17:863-71.) Once the patient's BSA is determined, the payment
methodology compares the patient's BSA with the national average BSA of
ESRD beneficiaries and computes the patient-level payment adjustment
using the average cost increase for changes in BSA (per 0.1m\2\).
In developing the BSA payment adjustment under the ESRD PPS, we
explored several options for setting the reference values for the BSA
(74 FR 49951). We examined the distributions for both the midpoint of
the BSA and the count of dialysis patients by age, body surface and low
BMI. Based on that analysis, in our CY 2012 ESRD PPS final rule (76 FR
70244) we set the reference point at a BSA of 1.87 which is the
Medicare ESRD patient national average BSA. Setting the reference point
at the average BSA reflects the relationship of a specific patient's
BSA to the average BSA of all ESRD patients. As a result, some payment
adjusters would be greater than 1.0 and some would be less than 1.0. In
this way, we were able to minimize the magnitude of the budget
neutrality offset to the ESRD PPS base rate. (For more information on
this discussion, we refer readers to the CY 2005 Physician Fee Schedule
final rule (69 FR 66239, 66328 through 66329) and the CY 2011 ESRD PPS
proposed rule (74 FR 49951)). The BSA factor is defined as an exponent
equal to the value of the patient's BSA minus the reference BSA of 1.87
divided by 0.1.
In the CY 2012 ESRD PPS final rule (76 FR 70245) and the CY 2013
ESRD PPS proposed rule (77 FR 40957), we stated our intent to review
claims data from CY 2012 and every 5 years thereafter to determine if
any adjustment to the national average BSA of Medicare ESRD
beneficiaries is required. Although the CY 2012 claims showed an
increase in the national average BSA, we did not implement an update in
the CY 2013 ESRD PPS rule. Rather, in light of the requirement in
section 632(c) of ATRA that we analyze and make appropriate revisions
to the ESRD PPS case mix adjustments for CY 2016, we decided to
incorporate the new national average BSA into the overall refinement of
our payment adjustments that we are making as a result of that
requirement.
In accordance with our commitment to update the Medicare national
average BSA and because of the statutory requirement to analyze and
make appropriate revisions to the case-mix payment adjustments for CY
2016, we are proposing to update the BSA Medicare national average from
1.87m\2\ to 1.90 m\2\ for CY 2016 to reflect the new Medicare ESRD
national average BSA. The average is based on an analysis of the
patient height and weight information reported on ESRD facility claims
in CY 2013. We note that this average is an increase of 1.6 percent
over the Medicare ESRD national average BSA of 1.87m\2\ used to compute
the payment adjustment when the ESRD PPS was implemented in CY 2011.
Based upon the regression analysis for CY 2016 using the DuBois and
DuBois formula for computing a patient's BSA and the updated Medicare
national average BSA of 1.90m\2\, we propose that the BSA payment
adjustment would be 1.032 and the BSA payment adjustment would be based
on the following formula:
1.032((Patient\'\s BSA- 1.90)/0.1).
Low-Body Mass Index (BMI)
The basic case-mix adjusted composite payment system in effect from
CYs 2005 through 2010 and the current ESRD PPS include a payment
adjustment for low BMI. In order to be consistent with other Department
of Health and Human Services components (that is, Centers for Disease
Control and Prevention and National Institutes for Health), we defined
low BMI as less than 18.5 kg/m\2\. The regression indicated that
patients who are underweight consume more resources than other
patients. The current payment adjustment for low BMI under the ESRD PPS
is 1.025.
Based on the regression analysis conducted for this proposed rule,
we continue to find low BMI to be a strong predictor of cost variation
among ESRD patients. The payment adjustment would be 1.017 as indicated
in Table 4 in section II.B.1.f.i of this proposed rule, reflective of
the regression analysis based upon CY 2012-2013 Medicare cost report
and claims data.
(3) Onset of Dialysis
Section 1881(b)(14)(D)(i) of the Act required the ESRD PPS to
include a payment adjustment based on case-mix that may take into
account a patient's length of time on dialysis. For the CY 2011 ESRD
PPS final rule (75 FR 499090), we analyzed the length of time
beneficiaries have been receiving dialysis and found that patients who
are in their first 4 months of dialysis have higher costs and noted
that there was a drop in the separately billable payment amounts after
the first 4 months of dialysis. Based upon this analysis, we proposed
and finalized the definition of onset of dialysis as beginning on the
first date of reported dialysis on CMS Form 2728 through the first 4
months a patient is receiving dialysis. We finalized a 1.510 onset of
dialysis payment adjustment for both home and in-facility patients (75
FR 49092). In addition, we acknowledged that there may be patients
whose first 4 months of dialysis occur when they are in the
coordination of benefits period and not yet eligible for the Medicare
ESRD
[[Page 37817]]
benefit. We explained that in these circumstances, no onset of dialysis
adjustment would be made (75 FR 49090).
Most commenters supported inclusion of an onset of dialysis
patient-level adjustment and noted that the higher costs for new
patients are due to the stabilization of the health status of the
patient and dialysis training. Because the Medicare onset of dialysis
payment adjustment reflects the costs associated with all of the renal
dialysis services furnished to a Medicare beneficiary in the first 4
months of dialysis, additional payment adjustments are not made for
comorbidities or training during the months in which the onset of
dialysis payment adjustment is made. We discussed and finalized this
payment adjustment in the CY 2011 ESRD PPS final rule (75 FR 49092
through 49094)
Based on the regression analysis conducted for this proposed rule,
we find that the onset of dialysis continues to be a strong predictor
of cost variation among ESRD patients. The updated payment adjustment
would be 1.327 as indicated in Table 4 in section II.B.1.f.i of this
proposed rule.
(4) Comorbidities
Section 1881(b)(14)(D)(i) of the Act requires that the ESRD PPS
include a payment adjustment based on case-mix that may take into
account patient comorbidities. In our CY 2011 ESRD PPS proposed and
final rules (74 FR 49952 through 49961 and 75 FR 49094 through 49108,
respectively), we described the proposed and finalized comorbidity
payment adjustors under the ESRD PPS. Our analysis found that certain
comorbidity categories are predictors of variation in costs for ESRD
patients and, as such, we proposed the following comorbidity categories
as payment adjustors: cardiac arrest; pericarditis; alcohol or drug
dependence; positive HIV status or AIDS; gastrointestinal tract
bleeding; cancer (excluding non-melanoma skin cancer); septicemia/
shock; bacterial pneumonia and other pneumonias/opportunistic
infections; monoclonal gammopathy; myelodysplastic syndrome; hereditary
hemolytic or sickle cell anemias; and hepatitis B (74 FR 49954).
While all of the proposed comorbidity categories demonstrated a
statistically significant relationship for additional cost in the
payment model, the various issues and concerns raised in the public
comments regarding the proposed categories caused us to do further
evaluations. Specifically, we created exclusion criteria that assisted
in deciding which categories would be recognized for the payment
adjustment. As discussed in the CY 2011 ESRD PPS final rule (75 FR
49095) we further evaluated the comorbidity categories with regard to--
(1) inability to create accurate clinical definitions; (2) potential
for adverse incentives regarding care; and (3) potential for ESRD
facilities to directly influence the prevalence of the comorbidity
either by altering dialysis care, diagnostic testing patterns, or
liberalizing the diagnostic criteria. As a result of this evaluation,
we finalized 6 comorbid patient conditions eligible for additional
payment under the ESRD PPS (75 FR 49099 through 49100): pericarditis,
bacterial pneumonia, gastrointestinal tract bleeding with hemorrhage,
hereditary hemolytic or sickle cell anemias, myelodysplastic syndrome,
and monoclonal gammopathy.
Many stakeholders have criticized the comorbidity payment
adjustments available under the ESRD PPS. Through industry public
comments and stakeholder meetings we have become aware of the
documentation burden placed upon facilities in their effort to obtain
discharge information from hospitals or other providers or diagnostic
information from physicians and other practitioners necessary to
substantiate the comorbidity on the facility claim form. Public
comments have suggested that we remove all comorbidity payment
adjustments from the payment system and return any allocated monies to
the base rate. Other commenters have indicated that patient privacy
laws have also limited the ability of facilities to obtain the
diagnosis documentation necessary in order to append the appropriate
International Classification of Diseases code on the claim form.
Acute Comorbidity Categories
There are three acute comorbidity categories (pericarditis,
bacterial pneumonia, and gastrointestinal tract bleeding with
hemorrhage) finalized in the CY 2011 ESRD PPS final rule (75 FR 49100)
due to predicted short term increased facility costs when furnishing
dialysis services. Specifically, the costs were identified with
increased utilization of ESAs and other services. The payment
adjustments are applied to the ESRD PPS base rate for 4 months
following an appropriate diagnosis reported on the facility monthly
claim. In the CY 2011 ESRD PPS final rule we finalized payment
variables as indicated in Table 2 below, effective January 1, 2011.
Table 2--Acute Comorbidity Categories Recognized for a Payment
Adjustment Under the ESRD PPS
------------------------------------------------------------------------
Current Proposed
Acute comorbidity category payment payment
multiplier multiplier
------------------------------------------------------------------------
Pericarditis.................................. 1.114 1.040
Bacterial Pneumonia........................... 1.135 ...........
Gastrointestinal Tract Bleeding w/Hemorrhage.. 1.183 1.082
------------------------------------------------------------------------
Analysis of CYs 2012 and 2013 claims data for the regression
analysis continues to demonstrate significant facility resources when
furnishing dialysis services to ESRD patients with these acute
comorbidities. However, in accordance with section 632(c) of ATRA and
in response to stakeholders' public comments and requests for the
elimination of all of the comorbid payment adjustments, we have
compared the frequency of how often these conditions were indicated on
the facility monthly bill type with how often a corroborating claim in
another Medicare setting is identified in a 4-month look back period.
Of the three acute comorbidity categories, we were unable to
corroborate the diagnoses of bacterial pneumonia on ESRD facility
claims with the presence of a diagnosis on claims from another Medicare
setting because of significant under-reporting of bacterial pneumonia
in these settings.
In order for the bacterial pneumonia comorbid payment adjustment to
apply, we require three specific sources of documentation: An X-ray, a
sputum culture, and a provider assessment. Since 2011, facilities have
expressed concern regarding these documentation requirements.
Specifically, facilities cite a `documentation burden' in that they are
unable to obtain hospital or other discharge information for the
patients in their care, and are therefore unable to submit the
diagnosis on the claim form necessary to receive a payment adjustment.
In addition, stakeholders have indicated that our requirements are out
of step with treatment protocols where many physicians and Medicare
providers will diagnose bacterial pneumonia simply by patient
assessment and would not consider the X-ray or the sputum culture
necessary to their diagnosis.
Because in the opinion of stakeholders the ESRD PPS comorbidity
payment adjustments often go unpaid, facilities have encouraged CMS to
eliminate these adjustments through the authority granted in section
632(c) of
[[Page 37818]]
ATRA. However, we find that all of the acute comorbid payment adjustors
continue to be strong predictors of cost variation among ESRD patients
based on the regression analysis conducted for this proposed rule.
Accordingly, we continue to believe it is appropriate to apply a
comorbidity payment adjustment for the acute comorbidities of
pericarditis and gastrointestinal tract bleeding with hemorrhage. In
consideration of stakeholder concerns about the burden associated with
meeting the documentation requirements for bacterial pneumonia,
however, we are proposing to eliminate the case-mix payment adjustment
for the comorbidity category of bacterial pneumonia beginning in CY
2016. We find that the condition is underreported on facility claims
and that we are unable to confirm a positive diagnosis without the
additional burden of an X-ray or sputum culture.
Based upon the regression analysis of CY 2012 through 2013 Medicare
claims and cost report data, where comorbidities are measured only on
72x claims, the updated payment adjustment for pericarditis would be
1.040 and the adjustment for gastrointestinal tract bleeding with
hemorrhage would be 1.082 as indicated in Table 4 in section II.B.1.f.i
of this proposed rule.
Chronic Comorbidity Categories
There are three chronic comorbidity categories (hereditary
hemolytic and sickle cell anemias, myelodysplastic syndrome, and
monoclonal gammopathy), which were finalized as payment adjustors in
the CY 2011 ESRD PPS final rule (75 FR 49100) due to a demonstrated
prediction of increased facility costs when furnishing dialysis
services. In addition, these conditions have demonstrated a persistent
effect on costs over time; that is, once the condition is diagnosed for
a patient, the condition is likely to persist. For this reason, the
payment adjustments are paid continuously when an appropriate diagnosis
code is reported on the facility's monthly claim. In the CY 2011 ESRD
PPS final rule, we finalized payment variables as indicated in Table 3
below for chronic comorbidities, effective January 1, 2011.
Table 3--Chronic Comorbidity Categories Recognized for a Payment
Adjustment Under the ESRD PPS
------------------------------------------------------------------------
Current Proposed
Chronic comorbidity category payment payment
multiplier multiplier
------------------------------------------------------------------------
Hereditary Hemolytic or Sickle Cell 1.072 1.192
Anemias................................
Myelodysplastic Syndrome................ 1.099 1.095
Monoclonal Gammopathy................... 1.024 --
------------------------------------------------------------------------
Analysis of CY 2012 through 2013 claims and cost report data for
the purposes of regression analysis has continued to demonstrate that
significant facility resources are used when furnishing dialysis
services to ESRD patients with these chronic comorbidities. However, in
accordance with section 632(c) of ATRA and in response to stakeholders'
public comments and requests for the elimination of all of the comorbid
payment adjustments, we compared the frequency of how often these
conditions were reported on the facility monthly bill type with how
often a corroborating claim is reported in another Medicare setting in
a 12-month look back period. This analysis demonstrated significant
differences in the reporting of monoclonal gammopathy by ESRD
facilities and in other treatment settings.
In order for the monoclonal gammopathy comorbid payment adjustment
to apply, Medicare requires a positive serum test and a bone marrow
biopsy test. We believe that billing inconsistency may result from poor
compliance with these payment policy guidelines. We believe that some
facilities may report the diagnosis based upon only the positive serum
test, and forgo the bone marrow biopsy, while other facilities may view
the bone marrow biopsy as excessive for what is often an asymptomatic
condition and therefore forgo the payment adjustment all together.
CMS has historically required the bone marrow biopsy for
confirmation of a diagnosis of monoclonal gammopathy because often it
is a laboratory-defined disorder, where the disease has no symptoms but
where the patient is identified to be at considerable risk for the
development of multiple myeloma. Because many ESRD patients suffer from
anemic conditions due to their dialysis, they can test false positive
for monoclonal gammopathy. We considered modifying our documentation
policies for requiring the bone marrow biopsy when making the payment
adjustment. However, we are concerned that we will be unable to confirm
the diagnosis without a bone marrow test.
Based on the regression analysis conducted for this proposed rule,
using CY 2013 ESRD PPS claims and cost report data, we find that all of
the chronic comorbid payment adjustors continue to be strong predictors
of cost variation among ESRD patients and accordingly, we will continue
to make a payment adjustment for the chronic comorbid conditions of
hereditary hemolytic and sickle cell anemias and myelodysplastic
syndrome. However, in consideration of stakeholders concerns about the
excessive burden of meeting the documentation requirements for
monoclonal gammopathy, we are proposing to eliminate the case mix
payment adjustment for the comorbid condition of monoclonal gammopathy
beginning in CY 2016. We no longer believe that it is appropriate to
require the patient to submit to an invasive and painful procedure in
order to make a payment adjustment to their ESRD facility. Based upon
the regression analysis of CY 2012 through 2013 ESRD facility claims
and cost report data, the updated payment adjustment for hereditary
hemolytic and sickle cell anemias would be 1.192 and for
myelodysplastic syndrome the payment adjustment would be 1.095 as
indicated in Table 4 in section II.B.1.f.i of this proposed rule. These
adjustment amounts reflect the regression analysis based upon CY 2012
and 2013 Medicare claims data.
d. Proposed Refinement of Facility-Level Adjustments
i. Low-Volume Payment Adjustment
Section 1881(b)(14)(D)(iii) of the Act requires a payment
adjustment that reflects the extent to which costs incurred by low-
volume facilities (as defined by the Secretary) in furnishing renal
dialysis services exceed the costs incurred by other facilities in
furnishing such services, and for payment for renal dialysis services
furnished on or after January 1, 2011, and before January 1, 2014, such
payment adjustment shall not be less than 10 percent. As required by
this provision, the ESRD PPS provides a facility-level payment
adjustment to ESRD facilities that meet the definition of a low-volume
facility.
[[Page 37819]]
A background discussion on the low-volume payment adjustment (LVPA) and
a proposal regarding the LVPA eligibility criteria is provided below.
The current amount of the LVPA is 18.9 percent. In the CY 2011 ESRD
PPS final rule (75 FR 49125), we indicated that this increase to the
base rate is an appropriate adjustment that will encourage small
facilities to continue to provide access to care. With regard to the
magnitude of the payment adjustment for low-volume facilities, we
stated that it is more appropriate to use the regression-driven
adjustment rather than the 10 percent minimum adjustment mentioned in
the statute because it is based on empirical evidence and allows us to
implement a payment adjustment that is a more accurate depiction of
higher costs.
For this proposed rule, we analyzed those ESRD facilities that met
the definition of a low-volume facility as specified in 42 CFR
413.232(b) as part of the regression analysis. We found that the cost
per treatment for these facilities is still high compared to other
facilities. With regard to the magnitude of the payment adjustment for
low-volume facilities, we continue to believe that it is appropriate to
use the regression-driven adjustment because it is based on empirical
evidence and allows us to implement a payment adjustment that is a more
accurate depiction of higher costs. The regression analysis indicates a
payment multiplier of 1.239 percent as indicated in Table 4 in section
II.B.1.f.i of this proposed rule. Accordingly, we propose a new LVPA
adjustment factor of 23.9 percent for CY 2016 and future years.
ii. CY 2016 Proposals for the Low-Volume Payment Adjustment (LVPA)
(1) Background
As required by section 1881(b)(14)(D)(iii) of the Act, the ESRD PPS
provides a facility-level payment adjustment of 18.9 percent to ESRD
facilities that meet the definition of a low-volume facility. Under 42
CFR 413.232(b), a low-volume facility is an ESRD facility that, based
on the documentation submitted pursuant to 42 CFR 413.232(h): (1)
Furnished less than 4,000 treatments in each of the 3 cost reporting
years (based on as-filed or final settled 12-consecutive month cost
reports, whichever is most recent) preceding the payment year; and (2)
Has not opened, closed, or received a new provider number due to a
change in ownership in the 3 cost reporting years (based on as-filed or
final settled 12-consecutive month cost reports, whichever is most
recent) preceding the payment year. Under 42 CFR 413.232(c), for
purposes of determining the number of treatments furnished by the ESRD
facility, the number of treatments considered furnished by the ESRD
facility equals the aggregate number of treatments furnished by the
ESRD facility and the number of treatments furnished by other ESRD
facilities that are both under common ownership and 25 road miles or
less from the ESRD facility in question. Our regulation at 42 CFR
413.232(d) exempts facilities that were in existence and Medicare-
certified prior to January 1, 2011 from the 25-mile geographic
proximity criterion, thereby grandfathering them into the LVPA.
For purposes of determining eligibility for the LVPA,
``treatments'' means total hemodialysis (HD) equivalent treatments
(Medicare and non-Medicare). For peritoneal dialysis (PD) patients, one
week of PD is considered equivalent to 3 HD treatments. In the CY 2012
ESRD PPS final rule (76 FR 70236), we clarified that we base
eligibility on the three years preceding the payment year and those
years are based on cost reporting periods. We further clarified that
the ESRD facility's cost reports for the periods ending in the three
years preceding the payment year must report costs for 12-consecutive
months (76 FR 70237).
In the CY 2015 ESRD PPS final rule (79 FR 66152 through 66153), we
clarified that hospital-based ESRD facilities' eligibility for the LVPA
should be determined at an individual facility level and their total
treatment counts should not be aggregated with other ESRD facilities
that are affiliated with the hospital unless the affiliated facilities
are commonly owned and within 25 miles. Therefore, the MAC can consider
other supporting data in addition to the total treatments reported in
each of the 12-consecutive month cost reports, such as the individual
facility's total treatment counts, to verify the number of treatments
that were furnished by the individual hospital-based facility that is
seeking the adjustment.
In the CY 2015 ESRD PPS final rule (79 FR 66153), with regards to
the cost reporting periods used for eligibility, we clarified that when
there is a change of ownership that does not result in a new Medicare
Provider Transaction Access Number but creates two non-standard cost
reporting periods (that is, periods that are shorter or longer than 12
months) the MAC is either to add the two non-standard cost reporting
periods together where combined they would equal 12-consecutive months
or prorate the data when they would exceed 12-consecutive months to
determine the total treatments furnished for a full cost reporting
period as if there had not been a CHOW.
In order to receive the LVPA under the ESRD PPS, an ESRD facility
must submit a written attestation statement to its MAC confirming that
it meets all of the requirements specified at 42 CFR 413.232 and
qualifies as a low-volume ESRD facility. In the CY 2012 ESRD PPS final
rule (76 FR 70236), we finalized a yearly November 1 deadline for
attestation submission and we revised the regulation at Sec.
413.232(f) to reflect this date. We noted that this timeframe provides
60 days for a MAC to verify that an ESRD facility meets the LVPA
eligibility criteria. In the CY 2015 ESRD PPS final rule (79 FR 66153
through 66154), we amended Sec. 413.232(f) to accommodate the timing
of the policy clarifications finalized for that rule. Specifically, we
extended the deadline for the CY 2015 LVPA attestations until December
31, 2014 to allow ESRD facilities time to assess their eligibility
based on the policy clarifications for prior years under the ESRD PPS
and apply for the LVPA for CY 2015. Further information regarding the
administration of the LVPA is provided in the Medicare Benefit Policy
Manual, CMS Pub. 100-02, Chapter 11, section 60.B.1.
(2) The United States Government Accountability Office Study on the
LVPA
In the CY 2015 ESRD PPS final rule (79 FR 66151 through 66152), we
discussed the study that the United States Government Accountability
Office (the GAO) completed on the LVPA. We also provided a summary of
the GAO's main findings and recommendations. We stated that the GAO
found that many of the facilities eligible for the LVPA were located
near other facilities, indicating that they may not have been necessary
to ensure sufficient access to dialysis care. They also identified
certain facilities with relatively low volume that were not eligible
for the LVPA, but had above-average costs and appeared to be necessary
for ensuring access to care. Lastly, the GAO stated the design of the
LVPA provides facilities with an adverse incentive to restrict their
service provision to avoid reaching the 4,000 treatment threshold.
In the conclusion of their study, the GAO provided the Congress
with the following recommendations: 1) To more effectively target
facilities necessary for ensuring access to care, the Administrator of
CMS should consider
[[Page 37820]]
restricting the LVPA to low-volume facilities that are isolated; 2) To
reduce the incentive for facilities to restrict their service provision
to avoid reaching the LVPA treatment threshold, the Administrator of
CMS should consider revisions such as changing the LVPA to a tiered
adjustment; 3) To ensure that future LVPA payments are made only to
eligible facilities and to rectify past overpayments, the Administrator
of CMS should take the following four actions: (i) Require Medicare
contractors to promptly recoup 2011 LVPA payments that were made in
error; (ii) investigate any errors that contributed to eligible
facilities not consistently receiving the 2011 LVPA and ensure that
such errors are corrected; (iii) take steps to ensure that CMS
regulations and guidance regarding the LVPA are clear, timely, and
effectively disseminated to both dialysis facilities and Medicare
contractors; and (iv) improve the timeliness and efficacy of CMS's
monitoring regarding the extent to which Medicare contractors are
determining LVPA eligibility correctly and promptly re-determining
eligibility when all necessary data become available.
As we explained in the CY 2015 ESRD PPS final rule (79 FR 66152),
we concurred with the need to ensure that the LVPA is targeted
effectively at low-volume high-cost facilities in areas where
beneficiaries may lack dialysis care options. We also agreed to take
action to ensure appropriate payment is made in the following ways: 1)
evaluating our policy guidance and contractor instructions to ensure
appropriate application of the LVPA; 2) using multiple methods of
communication to MACs and ESRD facilities to deliver clear and timely
guidance; and 3) improving our monitoring of MACs and considering
measures that can provide specific expectations.
(3) Addressing GAO's Recommendations
As discussed above, in the CY 2015 ESRD PPS final rule (79 FR
66152), we made two clarifications of the LVPA eligibility criteria
that were responsive to stakeholder concerns and GAO's concern that the
LVPA should effectively target low-volume, high-cost facilities.
However, we explained that we did not make changes to the adjustment
factor or significant changes to the eligibility criteria because of
the interaction of the LVPA with other payment adjustments under the
ESRD PPS. Instead, we stated that in accordance with section 632(c) of
ATRA, for CY 2016 we would assess facility-level adjustments and
address necessary LVPA policy changes when we would use updated data in
a regression analysis similar to the analysis that is discussed in the
CY 2011 ESRD PPS final rule (75 FR 49083).
For CY 2016, because we are refining the ESRD PPS as discussed in
section II.B.1.a of this proposed rule, we reviewed the LVPA
eligibility criteria and are proposing changes that we believe address
the GAO recommendation to effectively target the LVPA to ESRD
facilities necessary for ensuring access to care.
(4) Elimination of the Grandfathering Provision
In the CY 2011 ESRD PPS final rule (75 FR 49118 through 49119), we
expressed concern about potential misuse of the LVPA. Specifically, our
concern was that the LVPA could incentivize dialysis companies to
establish small ESRD facilities in close geographic proximity to other
ESRD facilities in order to obtain the LVPA, thereby leading to
unnecessary inefficiencies. To address this concern, we finalized that
for the purposes of determining the number of treatments under the
definition of a low-volume facility, the number of treatments
considered furnished by the ESRD facility would be equal to the
aggregate number of treatments furnished by the ESRD facility and other
ESRD facilities that are both: (i) Under common ownership with; and
(ii) 25 road miles or less from the ESRD facility in question. However,
we finalized the grandfathering of those commonly owned ESRD facilities
that were certified for Medicare participation on or before December
31, 2010, thereby exempting them from the geographic proximity
restriction.
We established the grandfathering policy in 2011 in an effort to
support low-volume facilities and avoid disruptions in access to
essential renal dialysis services while the ESRD PPS was being
implemented. However, now that the ESRD PPS transition is over and
facilities have adjusted to the ESRD PPS payments and incentives, we
believe it is appropriate to eliminate the grandfathering provision.
Because we are doing a refinement of the payment adjustments under the
ESRD PPS for CY 2016, the timing is appropriate for eliminating the
grandfathering policy so that this change can be assessed along with
other proposed changes to the ESRD PPS resulting from the regression
analysis.
We are proposing that for the purposes of determining the number of
treatments under the definition of a low-volume facility, beginning in
CY 2016, the number of treatments considered furnished by any ESRD
facility regardless of when it came into existence and was Medicare
certified would be equal to the aggregate number of treatments actually
furnished by the ESRD facility and the number of treatments furnished
by other ESRD facilities that are both: (i) Under common ownership
with; and (ii) 5 road miles or less from the ESRD facility in question.
The proposed 5 road mile geographic proximity mileage criterion is
discussed below. We propose to amend the regulation text by removing
paragraph (d) in 42 CFR 413.232 to reflect that the geographic
proximity provision described in paragraph (c) and discussed below is
applicable to any ESRD facility that is Medicare certified to furnish
outpatient maintenance dialysis. We are soliciting comment on the
proposed change to remove the grandfathering provision by deleting
paragraph (d) from our regulation at 42 CFR 413.232.
(5) Geographic Proximity Mileage Criterion
In GAO's report, they stated that the LVPA did not effectively
target low-volume facilities that had high costs and appeared necessary
for ensuring access to care. The GAO stated that nearly 30 percent of
LVPA-eligible facilities were located within 1 mile of another facility
in 2011, and about 54 percent were within 5 miles, which indicated to
them that these facilities might not have been necessary for ensuring
access to care. Furthermore, the GAO indicated that in many cases, the
LVPA-eligible facilities were located near high-volume facilities. The
GAO explained in the report that providers that furnish a low volume of
services may incur higher costs of care because they cannot achieve the
economies of scale that are possible for larger providers. They also
stated that low-volume providers in areas where other care options are
limited may warrant higher payments because, if Medicare's payment
methods did not account for these providers' higher cost of care,
beneficiary access to care could be reduced if these providers were
unable to continue operating. They further explained that in contrast,
low-volume providers that are in close proximity to other providers may
not warrant an adjustment because beneficiaries have other care options
nearby.
We agree with the GAO's assertion that it may not be appropriate to
provide additional payment to an ESRD facility that is located in close
proximity to another ESRD facility when the facilities
[[Page 37821]]
are commonly owned. The purpose of the LVPA is to recognize high cost,
low-volume facilities that are unable to achieve the economies of scale
that are possible for larger providers such as large dialysis
organizations (LDO) and medium dialysis organizations (MDO). In
addition, we note that under the current LVPA eligibility criteria,
approximately half of low-volume facilities are LDO and MDO facilities
that have the support of their parent companies in controlling their
cost of care.
We analyzed the ESRD facilities receiving payment under Medicare
for furnishing renal dialysis services in CY 2013 for purposes of
simulating different eligibility scenarios for the LVPA. The CY 2013
claims and cost report data is the best data available. The CY 2014
cost reports will not be available until later this year. We simulated
the MAC's verification process in order to determine LVPA eligibility.
Our analysis considered the treatment counts on cost reporting periods
ending in 2010 through 2012, the corresponding CY 2013 LVPA eligibility
criteria defined at 42 CFR 413.232, and the location of low-volume
facilities to assess the impact of various potential geographic
proximity criteria. Because we used the CY 2013 claims and
attestations, our analysis may not match the facilities currently
receiving the LVPA because we are unable to analyze 2014 cost reports
of LVPA facilities at this time. However, this analysis allowed us to
test various geographic proximity mileage amounts to determine whether
facilities eligible for the LVPA in 2013 would continue to be eligible
for the LVPA as well as allowing us to determine the existence of any
other ESRD facilities in those areas.
Initially, we applied the low-volume eligibility criteria (without
grandfathering) and the current 25 road mile criterion and categorized
facilities by urban/rural location, type of ownership, and other
factors, and determined that out of the total of 434 low-volume
facilities, 38 percent of LVPA facilities would lose low-volume status,
including 19 percent in rural areas. For those determined to meet the
LVPA criteria, we also assessed the extent to which there were other
ESRD facilities (in the same chain or other chain), located within 5
road miles and 10 road miles from the LVPA facilities. Based on our
concern that too many rural and independent facilities would lose low-
volume status based on the 25 road mile geographic proximity criterion,
we then analyzed 1 road mile, 5 road miles, 10 road miles, 15 road
miles, and 20 road miles in order to determine a mileage criterion that
protected rural facilities and supporting access to renal dialysis
services in rural areas. We believe that ESRD facilities located in
rural areas are necessary for access to care and we would not want to
limit LVPA eligibility for rural providers.
Based on this analysis, we are proposing to reduce the geographic
proximity criterion from 25 road miles to 5 road miles because our
analysis showed that no rural facilities would lose LVPA eligibility
due to the proposed 5 road mile geographic proximity criterion. This
policy would discourage ESRD facilities from inefficiently operating
two ESRD facilities within close proximity of each other. This policy
would also allow ESRD facilities that are commonly owned to be
considered individually when they are more than 5 miles from another
facility that is under common ownership. We propose to amend the
regulation text by revising paragraph (c)(2) in 42 CFR 413.232 to
reflect the change in the mileage for the geographic proximity
provision. We are soliciting comment on the proposed change to 42 CFR
413.232(c)(2). We note that our analysis indicated that approximately
30 facilities that are part of LDOs and MDOs would lose the LVPA due to
the 5 mile proximity change and the elimination of grandfathering which
caused many facilities to exceed 4000 treatments. For this reason, we
are considering whether a transition would be appropriate and are
requesting public comments.
iii. Geographic Payment Adjustment for ESRD Facilities Located in Rural
Areas
(1) Background
Section 1881(b)(14)(D)(iv)(III) of the Act provides that the ESRD
PPS may include such payment adjustments as the Secretary determines
appropriate, such as a payment adjustment for ESRD facilities located
in rural areas. Accordingly, in the CY 2011 ESRD PPS proposed rule we
analyzed rural status as part of the regression analysis used to
develop the payment adjustments under the ESRD PPS. In the CY 2011 ESRD
PPS proposed rule (74 FR 49978), we discuss our analysis of rural
status as part of the regression analysis and explained that to
decrease distortion among independent variables, rural facilities were
considered control variables rather than payment variables. We
indicated that based on our impact analysis, rural facilities would be
adequately reimbursed under the proposed ESRD PPS. Therefore, we did
not propose a facility-level adjustment based on rural location and we
invited public comments on our proposal.
In the CY 2011 ESRD PPS final rule (75 FR 49125 through 49126), we
addressed commenters' concerns regarding not having a facility-level
adjustment based on rural location. Some of the commenters provided an
explanation of the unique situations that exist for rural areas and the
associated costs. Specifically, the commenters identified several
factors that contribute to higher costs including higher recruitment
costs to secure qualified staff; a limited ability to offset costs
through economies of scale; and decreased negotiating power in
contractual arrangements for medications, laboratory services, and
equipment maintenance. The commenters were concerned about a negative
impact on beneficiary access to care that may result from insufficient
payment to cover these costs. In addition, the commenters further noted
that rural ESRD facilities have lower revenues because they serve a
smaller volume of patients of which a larger proportion are indigent
and lack insurance, and a smaller proportion have higher paying private
insurance.
In response to the comments discussed above, we indicated that
according to our impact analysis for the CY 2011 ESRD PPS final rule,
rural facilities, as a group, were projected to receive less of a
reduction in payments as a result of implementation of the ESRD PPS
than urban facilities and many other subgroups of ESRD facilities and,
therefore, we did not implement a facility-level payment adjustment
that is based on rural location. However, we stated our intention to
monitor how rural ESRD facilities fared under the ESRD PPS and consider
other options if access to renal dialysis services in rural areas is
compromised under the ESRD PPS.
(2) Determining a Facility-Level Payment Adjustment for ESRD Facilities
Located in Rural Areas Beginning in CY 2016
Since implementing the ESRD PPS, we have heard from industry
stakeholders that rural areas continue to have the unique difficulties
described above when furnishing renal dialysis services that cause low
to negative Medicare margins. Because we are committed to promoting
beneficiary access to renal dialysis services, especially in rural
areas, we analyzed rural location as a payment variable in the
regression analysis conducted for this proposed rule.
[[Page 37822]]
Including rural areas as a payment variable in the regression
analysis showed that this facility characteristic was a significant
predictor of higher costs among ESRD facilities. Accordingly, we
propose a payment multiplier of 1.008 as indicated in Table 4 in
section II.B.1.f.i of this proposed rule. This adjustment would be
applied to the ESRD PPS base rate for all ESRD facilities that are
located in a rural area. In the CY 2011 ESRD PPS final rule (75 FR
49126), we finalized the definition of rural areas in 42 CFR
413.231(b)(2) as any area outside an urban area. We define urban area
in 42 CFR 413.231(b)(1) as a Metropolitan Statistical Area or a
Metropolitan division (in the case where Metropolitan Statistical Area
is divided into Metropolitan Divisions). We propose to add a new Sec.
413.233 to provide that the base rate will be adjusted for facilities
that are located in rural areas, as defined in Sec. 413.231(b)(2). The
rural facility adjustment would also apply in situations where a
facility is eligible to receive the low-volume payment adjustment. In
other words, a facility could be eligible to receive both the rural and
low-volume payment adjustments. Low-volume and rural areas are two
independent variables in the regression analysis. We believe that the
low-volume variable measures costs facilities incur as a result of
furnishing a small number of treatments whereas the rural area variable
measures the costs associated with locality. The regression analysis
indicated that being in a rural area--regardless of treatments
furnished--explains an increase in costs for furnishing dialysis
compared to urban areas. Since low-volume and rural areas are
independent variables in the regression we believe that a low-volume
facility located in a rural area would be eligible for both adjustments
because measure. We believe that while the magnitude of the payment
multiplier is small, rural facilities would still benefit from the
adjustment and, therefore, we propose a 1.008 facility-level payment
multiplier under the ESRD PPS for rural areas. We solicit comment on
this proposal.
(3) Further Investigation Into Targeting High-Cost Rural ESRD
Facilities
Section 3127 of the Patient Protection and Affordable Care Act of
2010 (the Affordable Care Act) required that the Medicare Payment
Advisory Commission (MedPAC) study and report to Congress on: 1)
Adjustments in payments to providers of services and suppliers that
furnish items and services in rural areas; 2) access by Medicare
beneficiaries' to items and services in rural areas; 3) the adequacy of
payments to providers of services and suppliers that furnish items and
services in rural areas; and 4) the quality of care furnished in rural
areas. The report required by section 3127(b) of the Affordable Care
Act was published in the MedPAC June 2012 Report to Congress: Medicare
and the Health Care Delivery System (hereinafter referred to as June
2012 Report to Congress), which is available at https://medpac.gov/-documents-/reports. In addition to the findings presented on each of
the four topics, this report presented a set of principles designed to
guide expectations and policies with respect to rural access, quality,
and payments for all sectors, which can be used to guide Medicare
payment policy. For purposes of this proposed rule, we were most
interested in the principles of payment adequacy and special payments
to rural providers.
In the June 2012 Report to Congress, MedPAC explained that
providers in rural areas often have a low volume of patients and in
some cases, this lack of scale increases costs and puts the provider at
risk of closure. MedPAC stated that to maintain access in these cases,
Medicare may need to make higher payments to low-volume providers that
cannot achieve the economies of scale available to urban providers.
However, they explained that low volume alone is not a sufficient
measure to assess whether higher payments are warranted and that
Medicare should not pay higher rates to two competing low-volume
providers in close proximity. They stated that these payments may deter
small neighboring providers from consolidating care in one facility,
which results in poorly targeted payments and can contribute to poorer
outcomes for the types of care where there is a volume-outcome
relationship. MedPAC further explained that to target special payments
when warranted, Medicare should direct these payments to providers that
are uniquely essential for maintaining access to care in a given
community. The payments need to be structured in a way that encourages
efficient delivery of healthcare services.
MedPAC presented three principles guiding special payments that
will allow beneficiaries' needs to be met efficiently: 1) Payments
should be targeted toward low-volume isolated providers--that is,
providers that have low patient volume and are at a distance from other
providers. Distance is required because supporting two neighboring
providers who both struggle with low-volume can discourage mergers that
could lead to lower cost and higher quality care; 2) the magnitude of
special rural payment adjustments should be empirically justified--that
is, the payments should increase to the extent that factors beyond the
providers' control increase their costs; and 3) rural payment
adjustments should be designed in ways that encourage cost control on
the part of providers.
We were interested in the information that MedPAC provided in their
report regarding services furnished to Medicare beneficiaries in rural
areas. We believe that the adjustment that we proposed in this rule,
which we arrived at through a regression analysis, is consistent with
principle two above, which states that the magnitude of special rural
payment adjustments should be empirically justified. We considered
alternatives to deriving the adjustment from the regression analysis in
an effort to increase the value of the adjustment. For example, we
could establish a larger adjustment outside of the regression and
offset it by a reduction to the base rate. We also considered analyzing
different subsets of rural areas and designating those areas as the
payment variable in our model. Because we were able to determine
through the regression analysis that rural location is a predictor of
cost variation among ESRD facilities, we are planning to analyze the
facilities that are located in rural areas to see if there are subsets
of rural providers that experience higher costs. We are also planning
to explore potential policies to target areas that are isolated or
identify where there is a need for health care services, such as, for
example, the frontier counties (that is, counties with a population
density of six or fewer people per square mile) and we would also
consider the use of Health Professional Shortage Area (HPSA)
designations managed by the Health Resources and Services
Administration (HRSA). Information regarding HPSAs can be found on the
HRSA Web site:https://bhpr.hrsa.gov/shortage/hpsas/designationcriteria/.
We believe that this type of analysis would be consistent with the
June 2012 Report to Congress's principle that special payments should
target the low-volume facilities that are isolated. We are soliciting
comments on establishing a larger payment adjustment outside of the
regression analysis. We note that such an adjustment would need to be
offset by a further reduction to the base rate. For example, we could
compare the average cost per treatment reported on the cost report of
ESRD facilities located in rural areas with ESRD facilities located in
urban areas and develop a methodology to derive the
[[Page 37823]]
magnitude of the adjustment. In addition, we are soliciting comments on
targeting subsets of rural areas for purposes of using those facilities
located in those areas for analysis as payment variables in the
regression analysis used to develop the payment multipliers for the
refinement for CY 2016.
e. Proposed Refinement of the Case-Mix Adjustments for Pediatric
Patients
Section 1881(b)(14)(A)(i) of the Act requires the Secretary to
implement a payment system under which a single payment is made for
renal dialysis services. This provision does not distinguish between
services furnished to adult and pediatric patients. Therefore, we
developed a methodology that used the ESRD PPS base rate for pediatric
patients and finalized pediatric payment adjusters in our CY 2011 ESRD
PPS final rule at 75 FR 49131 through 49134. Specifically, the
methodology for calculating the pediatric payment adjusters reflects
case mix adjustments for age and modality. We noted in our CY 2011 ESRD
PPS final rule that the payment adjustments applicable to composite
rate services for pediatric patients were obtained from the facility
level model of composite rate costs for patients less than 18 years of
age and yielded a regression-based multiplier of 1.199. However, based
upon public comments received expressing concern that the payment
multiplier was inadequate for pediatric care, we revised our
methodology and we finalized pediatric payment adjusters that reflected
the overall difference in average payments per treatment between
pediatric and adult dialysis patients for composite rate (CR) services
and separately billable (SB) items in CY 2007 based on the 872
pediatric dialysis patients reflected in the data.
We indicated in the CY 2011 ESRD PPS final rule (75 FR 49131
through 49134), that the average CY 2007 MAP for composite rate
services for pediatric dialysis patients was $216.46, compared
to$156.12 for adult patients. The difference in composite rate payment
is reflected in the overall adjustment for pediatric patients as
calculated using the variables of (1) age less than 13 years, or 13
through 17 years; (2) dialysis modality PD or HD. While the composite
rate Medicare Allowable Payment (MAP) for pediatric patients was higher
than that for adult patients ($216.46 versus $156.12), the separately
billable MAP was lower for pediatric patients ($48.09versus $83.27), in
CY 2007. There are fewer separately billable items in the pediatric
model, largely because of the predominance of the PD modality for
younger patients and the smaller body size of pediatric patients. The
overall difference in the CY 2007 MAP between adult and pediatric
dialysis patients was computed at 10.5 percent or $216.46 + $48.09 =
$264.55 and $156.12 + $83.27 = $239.39. $264.55/$239.39 = 1.105.
For purposes of regression analysis, we are not proposing any
changes to the formula used to establish the pediatric payment
multipliers and will continue to apply the computations of MultEB= P *
C * (WCR + WSB * MultSB), where P is the ratio of the average MAP per
session for pediatric patients to the average MAP per session for adult
patients as shown below, C is the average payment multiplier for adult
patients (1.1151), WCR (0.798) and WSB (0.202) are the proportion of
MAP for CR and SB services, respectively, among pediatric patients, and
MultSB represents the SB model multipliers. We are using updated values
for P, C, WCR, and WSB along with the updated SB multipliers to
calculate the updated EB multipliers. The overall difference in the CY
2013 MAP between adult and pediatric dialysis patients was computed at
8.2 percent (P = $283.42/$ 261.91= 1.082). The regression analysis for
a new pediatric payment model for Medicare pediatric ESRD patients for
CY 2016 will use the same methodology that was used for the CY 2011
ESRD PPS final rule, except for the use of more recent data years (2012
through 2013) and in the method of obtaining payment data.
Specifically, we used the projected total expanded bundle MAP based on
2013 claims to calculate the ratio of pediatric total MAP per session
to adult total MAP per session. The projected MAP was calculated by
pricing out utilization of SBs based on line items in the claims,
rather than using actual payments from the claims as in the pre-2011
data. These adjustment factors reflect a proposed 8.21 percent increase
to account for the overall difference in average payments per treatment
for pediatric patients. The proposed updated pediatric SB and EB
multipliers are shown below in Table 5.
f. Proposed Refinement Payment Multipliers
i. Proposed Adult Case-Mix and Facility-Level Payment Adjustments
Table 4--CY 2016 Proposed Adult Case-Mix and Facility-Level Payment Adjustments
--------------------------------------------------------------------------------------------------------------------------------------------------------
PY2011 Final Rule (based on PY2016 NPRM (based on 2012-2013 data)
2006-2008 data) ---------------------------------------------------------------
-------------------------------- Composite rate
multipliers
% of Medicare % of Medicare based on Separately Expanded
dialysis Expanded dialysis Freestanding billable bundle payment
treatments on bundle payment treatments on and Hospital- multipliers multiplier
average multiplier average based
facilities
--------------------------------------------------------------------------------------------------------------------------------------------------------
Age:
18-44............................................... 13.5 1.171 12.8 1.308 1.044 1.257
45-59............................................... 26.8 1.013 27.8 1.084 1.000 1.068
60-69............................................... 23.8 1.000 25.8 1.086 1.005 1.070
70-79............................................... 22.9 1.011 21.1 1.000 1.000 1.000
80+................................................. 13.0 1.016 12.4 1.145 0.961 1.109
Body surface area (per 0.1 m\2\)\3\..................... .............. 1.020 .............. 1.039 1.000 1.032
Underweight (BMI < 18.5)................................ 4.0 1.025 3.3 1.000 1.090 1.017
Time since onset of renal dialysis < 4 months........... 4.8 1.510 4.0 1.307 1.409 1.327
Facility low volume status.............................. 1.8 1.189 1.7 1.368 0.955 1.239
Comorbidities: \4\
Pericarditis (acute)................................ 0.4 1.114 0.1 1.000 1.209 1.040
Gastro-intestinal tract bleeding (acute)............ 1.1 1.183 0.5 1.000 1.426 1.082
Bacterial pneumonia (acute)......................... 2.0 1.135 .............. .............. .............. ..............
[[Page 37824]]
Hereditary hemolytic or sickle cell anemia (chronic) 2.0 1.072 0.1 1.000 1.999 1.192
Myelodysplastic syndrome (chronic).................. 1.6 1.099 0.3 1.000 1.494 1.095
Monoclonal gammopathy (chronic)..................... 1.2 1.024 .............. .............. .............. ..............
Rural................................................... -- -- 15.0 1.015 0.978 1.008
--------------------------------------------------------------------------------------------------------------------------------------------------------
ii. Proposed Pediatric Case-Mix Payment Adjustments
Table 5--CY 2016 Proposed Pediatric Case-Mix Payment Adjustments
--------------------------------------------------------------------------------------------------------------------------------------------------------
Patient characteristics PY 2011 Final rule (based on PY 2016 NPRM (based on 2012 and 2013 data)
------------------------------------- 2006-2008 data) -----------------------------------------------
Cell -------------------------------- Separately Expanded
Age Modality Payment Population % billable bundle payment
Population % multiplier multiplier multiplier
--------------------------------------------------------------------------------------------------------------------------------------------------------
1.................................. <13 PD.................... 20.58 1.033 27.62 0.410 1.063
2.................................. <13 HD.................... 16.57 1.219 19.23 1.406 1.306
3.................................. 13-17 PD.................... 18.20 1.067 20.19 0.569 1.102
4.................................. 13-17 HD.................... 44.66 1.277 32.96 1.494 1.327
--------------------------------------------------------------------------------------------------------------------------------------------------------
2. Proposed CY 2016 ESRD PPS Update
a. ESRD Bundled Market Basket
i. Overview and Background
In accordance with section 1881(b)(14)(F)(i) of the Act, as added
by section 153(b) of MIPPA and amended by section 3401(h) of the
Affordable Care Act, beginning in 2012, the ESRD payment amounts are
required to be annually increased by an ESRD market basket increase
factor that is reduced by the productivity adjustment described in
section 1886(b)(3)(B)(xi)(II) of the Act. The application of the
productivity adjustment may result in the increase factor being less
than 0.0 for a year and may result in payment rates for a year being
less than the payment rates for the preceding year. The statute also
provides that the market basket increase factor should reflect the
changes over time in the prices of an appropriate mix of goods and
services used to furnish renal dialysis services.
Section 1881(b)(14)(F)(i)(I) of the Act, as added by section
217(b)(2)(A) of PAMA, provides that in order to accomplish the purposes
of subparagraph (I) with respect to 2016, 2017, and 2018, after
determining the market basket percentage increase factor for each of
2016, 2017, and 2018, the Secretary shall reduce such increase factor
by 1.25 percentage points for each of 2016 and 2017 and by 1 percentage
point for 2018.. Accordingly, for CY 2016, we will reduce the proposed
amount of the market basket percentage increase factor by 1.25 percent
as required by section 1881(b)(14)(F)(i)(I) of the Act, and will
further reduce it by the productivity adjustment.
ii. Proposed Market Basket Update Increase Factor and Labor-Related
Share for ESRD Facilities for CY 2016
As required under section 1881(b)(14)(F)(i) of the Act, CMS
developed an all-inclusive ESRDB input price index (75 FR 49151 through
49162) and subsequently revised and rebased the ESRDB input price index
in the CY 2015 ESRD final rule (79 FR 66129 through 66136). Although
``market basket'' technically describes the mix of goods and services
used for ESRD treatment, this term is also commonly used to denote the
input price index (that is, cost categories, their respective weights,
and price proxies combined) derived from a market basket. Accordingly,
the term ``ESRDB market basket,'' as used in this document, refers to
the ESRDB input price index.
We propose to use the CY 2012-based ESRDB market basket as
finalized and described in the CY 2015 ESRD PPS final rule (79 FR 66129
through 66136) to compute the CY 2016 ESRDB market basket increase
factor and labor-related share based on the best available data.
Consistent with historical practice, we estimate the ESRDB market
basket update based on IHS Global Insight (IGI), Inc.'s forecast using
the most recently available data. IGI is a nationally recognized
economic and financial forecasting firm that contracts with CMS to
forecast the components of the market baskets.
Using this methodology and the IGI forecast for the first quarter
of 2015 of the CY 2012-based ESRDB market basket (with historical data
through the fourth quarter of 2014), and consistent with our historical
practice of estimating market basket increases based on the best
available data, the proposed CY 2016 ESRDB market basket increase
factor is 2.0 percent. As required by section 1881(b)(14)(F)(i)(I) of
the Act as amended by section 217(b)(2) of PAMA, we must reduce the
amount of the market basket increase factor by 1.25 percent, resulting
in a proposed CY 2016 ESRDB market basket percentage increase factor of
0.75 percent.
For the CY 2016 ESRD payment update, we propose to continue using a
labor-related share of 50.673 percent for the ESRD PPS payment, which
was finalized in the CY 2015 ESRD final rule (79 FR 66136) but was
applied in CY 2015 using a 2-year transition.
[[Page 37825]]
iii. Proposed Productivity Adjustment
Under section 1881(b)(14)(F)(i) of the Act, as amended by section
3401(h) of the Affordable Care Act, for CY 2012 and each subsequent
year, the ESRD market basket percentage increase factor shall be
reduced by the productivity adjustment described in section
1886(b)(3)(B)(xi)(II) of the Act. The statute defines the productivity
adjustment as equal to the 10-year moving average of changes in annual
economy-wide private nonfarm business MFP (as projected by the
Secretary for the 10-year period ending with the applicable fiscal
year, year, cost reporting period, or other annual period) (the ``MFP
adjustment''). The Bureau of Labor Statistics (BLS) is the agency that
publishes the official measure of private nonfarm business MFP. Please
see https://www.bls.gov/mfp to obtain the BLS historical published MFP
data.
MFP is derived by subtracting the contribution of labor and capital
input growth from output growth. The projections of the components of
MFP are currently produced by IGI, a nationally recognized economic
forecasting firm with which CMS contracts to forecast the components of
the market basket and MFP. As described in the CY 2012 ESRD PPS final
rule (76 FR 40503 through 40504), to generate a forecast of MFP, IGI
replicates the MFP measure calculated by the BLS using a series of
proxy variables derived from IGI's U.S. macroeconomic models. In the CY
2012 ESRD PPS final rule, we identified each of the major MFP component
series employed by the BLS to measure MFP as well as provided the
corresponding concepts determined to be the best available proxies for
the BLS series.
Beginning with the CY 2016 rulemaking cycle, the MFP adjustment is
calculated using a revised series developed by IGI to proxy the
aggregate capital inputs. Specifically, IGI has replaced the Real
Effective Capital Stock used for Full Employment GDP with a forecast of
BLS aggregate capital inputs recently developed by IGI using a
regression model. This series provides a better fit to the BLS capital
inputs, as measured by the differences between the actual BLS capital
input growth rates and the estimated model growth rates over the
historical time period. Therefore, we are using IGI's most recent
forecast of the BLS capital inputs series in the MFP calculations
beginning with the CY 2016 rulemaking cycle. A complete description of
the MFP projection methodology is available on our Web site at https://www.cms.gov/Research-Statistics-Data-and-Systems/Statistics-Trends-and-Reports/MedicareProgramRatesStats/MarketBasketResearch.html. Although
we discuss the IGI changes to the MFP proxy series in this proposed
rule, in the future, when IGI makes changes to the MFP methodology, we
will announce them on our Web site rather than in the annual
rulemaking.
Using IGI's first quarter 2015 forecast, the MFP adjustment for CY
2016 (the 10-year moving average of MFP for the period ending CY 2016)
is projected to be 0.6 percent. We invite public comment on these
proposals.
iv. Calculation of the ESRDB Market Basket Update, Adjusted for
Multifactor Productivity for CY 2016
Under section 1881(b)(14)(F) of the Act, beginning in CY 2012, ESRD
PPS payment amounts shall be annually increased by an ESRD market
basket percentage increase factor reduced by the productivity
adjustment. For CY 2016, section 1881(b)(14)(F)(i)(I) of the Act, as
amended by section 217(b)(2)(A)(ii) of PAMA, requires the Secretary to
implement a 1.25 percentage point reduction to the ESRDB market basket
increase factor in addition to the productivity adjustment.
As a result of these provisions, the proposed CY 2016 ESRD market
basket increase is 0.15 percent. The proposed ESRDB market basket
percentage increase factor for CY 2016 is 2.0 percent, which is based
on the 1st quarter 2015 forecast of the CY 2012-based ESRDB market
basket. This market basket percentage is then reduced by the 1.25
percent, as required by the section 1881(b)(14)(F)(i)(I). The market
basket percentage increase is then further reduced by the MFP
adjustment (the 10-year moving average of MFP for the period ending CY
2016) of 0.6 percent, which is also based on IGI's 1st quarter 2015
forecast. As is our general practice, if more recent data is
subsequently available (for example, a more recent estimate of the
market basket or MFP adjustment), we will use such data to determine
the CY 2016 market basket update and MFP adjustment in the CY 2016 ESRD
PPS final rule.
b. The Proposed CY 2016 ESRD PPS Wage Indices
i. Annual Update of the Wage Index
Section 1881(b)(14)(D)(iv)(II) of the Act provides that the ESRD
PPS may include a geographic wage index payment adjustment, such as the
index referred to in section 1881(b)(12)(D) of the Act, as the
Secretary determines to be appropriate. In the CY 2011 ESRD PPS final
rule (75 FR 49117), we finalized the use of the Office of Management
and Budget's (OMB) Core-Based Statistical Areas (CBSAs)-based
geographic area designations to define urban and rural areas and their
corresponding wage index values.
For CY 2016, we would continue to use the same methodology as
finalized in the CY 2011 ESRD PPS final rule (75 FR 49117) for
determining the wage indices for ESRD facilities. Specifically, we are
updating the wage indices for CY 2016 to account for updated wage
levels in areas in which ESRD facilities are located. We use the most
recent pre-floor, pre-reclassified hospital wage data collected
annually under the inpatient prospective payment system. The ESRD PPS
wage index values are calculated without regard to geographic
reclassifications authorized under section 1886(d)(8) and (d)(10) of
the Act and utilize pre-floor hospital data that are unadjusted for
occupational mix. The proposed CY 2016 wage index values for urban
areas are listed in Addendum A (Wage Indices for Urban Areas) and the
proposed CY 2016 wage index values for rural areas are listed in
Addendum B (Wage Indices for Rural Areas). Addenda A and B are located
on the CMS Web site athttps://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/ESRDpayment/End-Stage-Renal-Disease-ESRD-Payment-Regulations-and-Notices.html.
In the CY 2011 and CY 2012 ESRD PPS final rules (75 FR 49116
through 49117 and 76 FR 70239 through 70241, respectively), we also
discussed and finalized the methodologies we use to calculate wage
index values for ESRD facilities that are located in urban and rural
areas where there is no hospital data. For urban areas with no hospital
data, we compute the average wage index value of all urban areas within
the State and use that value as the wage index. For rural areas with no
hospital data, we compute the wage index using the average wage index
values from all contiguous CBSAs to represent a reasonable proxy for
that rural area.
For CY 2016, we are applying this criteria to American Samoa and
the Northern Mariana Islands, where we apply the wage index for Guam as
established in the CY 2014 ESRD PPS final rule (78 FR 72172) (0.9611),
and Hinesville-Fort Stewart, Georgia, where we apply the statewide
urban average based on the average of all urban areas within the state
(78 FR 72173) (0.8699). We note that if hospital data becomes available
for these areas, we will use that data for the appropriate CBSAs
instead of the proxy.
[[Page 37826]]
A wage index floor value has been used in lieu of the calculated
wage index values below the floor in making payment for renal dialysis
services under the ESRD PPS. In the CY 2011 ESRD PPS final rule (75 FR
49116 through 49117), we finalized that we would continue to reduce the
wage index floor by 0.05 for each of the remaining years of the ESRD
PPS transition. In the CY 2012 ESRD PPS final rule (76 FR 70241), we
finalized the 0.05 reduction to the wage index floor for CYs 2012 and
2013, resulting in a wage index floor of 0.5500 and 0.5000,
respectively. We continued to apply and to reduce the wage index floor
by 0.05 in the CY 2013 ESRD PPS final rule (77 FR 67459 through 67461).
Although our intention initially was to provide a wage index floor only
through the 4-year transition to 100 percent implementation of the ERSD
PPS (75 FR 49116 through 49117; 76 FR 70240 through 70241), in the CY
2014 ESRD PPS final rule (78 FR 72173), we continued to apply the wage
index floor and continued to reduce the floor by 0.05 per year for CY
2014 and for CY 2015.
For CY 2016, we are proposing to continue to apply the CY 2015 wage
index floor, that is, 0.4000, to areas with wage index values below the
floor but we are not proposing to reduce the wage index floor for CY
2016. Our review of the wage indices show that CBSAs in Puerto Rico
continue to be the only areas with wage index values that would benefit
from a wage index floor because they are so low. Therefore, we believe
that we need more time to study the wage indices that are reported for
Puerto Rico to assess the appropriateness of discontinuing the wage
index floor and leave it at 0.4000. Because the wage index floor is
only applicable to a small number of CBSAs, the impact to the base rate
through the wage index budget neutrality factor would be insignificant.
To the extent other geographical areas fall below the floor in CY 2016
or beyond, we believe they should have the benefit of the 0.4000 wage
index floor as well. We will continue to review wage index values and
the appropriateness of a wage index floor in the future.
ii. Implementation of New Labor Market Delineations
As noted earlier in this section, in the CY 2011 ESRD PPS final
rule (75 FR 49117), we finalized for the ESRD PPS the use of the CBSA-
based geographic area designations described in OMB bulletin 03-04,
issued June 6, 2003 as the basis for revising the urban and rural areas
and their corresponding wage index values. This bulletin, as well as
subsequent bulletins, is available online at https://www.whitehouse.gov/omb/bulletins_index2003-2005.
OMB publishes bulletins regarding CBSA changes, including changes
to CBSA numbers and titles. In accordance with our established
methodology, we have historically adopted via rulemaking CBSA changes
that are published in the latest OMB bulletin. On February 28, 2013,
OMB issued OMB Bulletin No. 13-01, which established revised
delineations for Metropolitan Statistical Areas, Micropolitan
Statistical Areas, and Combined Statistical Areas, and provided
guidance on the use of the delineations of these statistical areas. A
copy of this bulletin may be obtained at https://www.whitehouse.gov/sites/default/files/omb/bulletins/2013/b-13-01.pdf. According to OMB,
``[t]his bulletin provides the delineations of all Metropolitan
Statistical Areas, Metropolitan Divisions, Micropolitan Statistical
Areas, Combined Statistical Areas, and New England City and Town Areas
in the United States and Puerto Rico based on the standards published
on June 28, 2010, in the Federal Register (75 FR 37246 through 37252)
and Census Bureau data.'' In the CY 2015 ESRD PPS final rule (79 FR
40226) and this proposed rule, when referencing the new OMB geographic
boundaries of statistical areas, we use the term ``delineations''
rather than the term ``definitions'' that we have used in the past,
consistent with OMB's use of the terms (75 FR 37249). Because the
bulletin was not issued until February 28, 2013, with supporting data
not available until later, and because the changes made by the bulletin
and their ramifications needed to be extensively reviewed and verified,
we were unable to undertake such a lengthy process before publication
of the FY 2014 IPPS/LTCH PPS proposed rule and, thus, did not implement
changes to the hospital wage index for FY 2014 based on these new CBSA
delineations.
Likewise, for the same reasons, the CY 2014 ESRD PPS wage index
(based upon the pre-floor, pre-reclassified hospital wage data, which
is unadjusted for occupational mix) also did not reflect the new CBSA
delineations. In the FY 2015 IPPS/LTCH PPS final rule, we implemented
the new CBSA delineations as described in the February 28, 2013 OMB
Bulletin No. 13-01, beginning with the FY 2015 IPPS wage index (79 FR
49951 through 49963). Similarly, in the CY 2015 ESRD PPS final rule (79
FR 66137 through 66142), we implemented the new CBSA delineations as
described in the February 28, 2013 OMB Bulletin No. 13-01, beginning
with the CY 2015 ESRD PPS wage index.
In order to implement these changes for the ESRD PPS, we identified
the new labor market area delineation for each county and facility in
the country and determined that there would be new CBSAs, urban
counties that would become rural, rural counties that would become
urban, and existing CBSAs that would be split apart. In the CY 2015
final rule (79 FR 66137 and 66138), we provided tables that showed the
CBSA delineations and wage index values for CY 2014 and the CY 2015
CBSA delineations, wage index values, and the percentage change in
these values for those counties that changed from rural to urban, from
urban to rural, and from one urban area to another and also showed the
changes to the statewide rural wage index.
While we believe that the new CBSA delineations result in wage
index values that are more representative of the actual costs of labor
in a given area, we recognized that use of the new CBSA delineations
results in reduced payments to some facilities. For this reason, we
implemented the new CBSA delineations using a 2-year transition with a
50/50 blended wage index value for all facilities in CY 2015 and 100
percent of the wage index based on the new CBSA delineations in CY
2016. Therefore, for CY 2016, we are completing the transition and will
apply 100 percent of the wage index based on the new CBSA delineations
and the most recent hospital wage data.
A facility's wage index is applied to the labor-related share of
the ESRD PPS base rate. In the CY 2011 ESRD PPS final rule (75 FR
49117), we finalized a policy to use the labor-related share of 41.737
percent for the ESRD PPS which was based on the ESRDB market basket
finalized in that rule. In the CY 2015 ESRD PPS final rule (79 FR
66136), we finalized a new labor-related share of 50.673 percent, which
was based on the rebased and revised ESRDB market basket finalized in
that rule, and transitioned the new labor-related share over a 2-year
period. For CY 2015, the labor-related share is based 50 percent on the
old labor-related share and 50 percent on the new labor-related share,
and the labor-related share in CY 2016 is based 100 percent on the new
labor-related share.
c. CY 2016 Update to the Outlier Policy
Section 1881(b)(14)(D)(ii) of the Act requires that the ESRD PPS
include a payment adjustment for high cost outliers due to unusual
variations in the type or amount of medically necessary
[[Page 37827]]
care, including variability in the amount of erythropoiesis stimulating
agents (ESAs) necessary for anemia management. Some examples of the
patient conditions that may be reflective of higher facility costs when
furnishing dialysis care would be frailty, obesity, comorbidities such
as cancer, and possibly race and gender. The ESRD PPS recognizes high
cost patients, and we have codified the outlier policy in our
regulations at 42 CFR 413.237, which provide that ESRD outlier services
are the following items and services that are included in the ESRD PPS
bundle: (i) ESRD-related drugs and biologicals that were or would have
been, prior to January 1, 2011, separately billable under Medicare Part
B; (ii) ESRD-related laboratory tests that were or would have been,
prior to January 1, 2011, separately billable under Medicare Part B;
(iii) medical/surgical supplies, including syringes, used to administer
ESRD-related drugs, that were or would have been, prior to January 1,
2011, separately billable under Medicare Part B; and (iv) renal
dialysis service drugs that were or would have been, prior to January
1, 2011, covered under Medicare Part D, excluding oral-only drugs used
in the treatment of ESRD.
In the CY 2011 ESRD PPS final rule (75 FR 49142), we stated that
for purposes of determining whether an ESRD facility would be eligible
for an outlier payment, it would be necessary for the facility to
identify the actual ESRD outlier services furnished to the patient by
line item on the monthly claim. Renal dialysis drugs, laboratory tests,
and medical/surgical supplies that are recognized as outlier services
were originally specified in Attachment 3 of Change Request 7064,
Transmittal 2033 issued August 20, 2010, rescinded and replaced by
Transmittal 2094, dated November 17, 2010. Transmittal 2094 identified
additional drugs and laboratory tests that may also be eligible for
ESRD outlier payment. Transmittal 2094 was rescinded and replaced by
Transmittal 2134, dated January 14, 2011, which was issued to correct
the subject on the Transmittal page and made no other changes.
Furthermore, we use administrative issuance and guidance to continually
update the renal dialysis service items available for outlier payment
via our quarterly update CMS Change Requests, when applicable. We use
this separate guidance to identify renal dialysis service drugs which
were or would have been covered under Part D for outlier eligibility
purposes and in order to provide unit prices for calculating imputed
outlier services. In addition, we also identify through our monitoring
efforts items and services that are either incorrectly being identified
as eligible outlier services or any new items and services that may
require an update to the list of renal dialysis items and services that
qualify as outlier services, which are made through administrative
issuances.
Our regulations at 42 CFR 413.237 specify the methodology used to
calculate outlier payments. An ESRD facility is eligible for an outlier
payment if its actual or imputed MAP amount per treatment for ESRD
outlier services exceeds a threshold. The MAP amount represents the
average incurred amount per treatment for services that were or would
have been considered separately billable services prior to January 1,
2011. The threshold is equal to the ESRD facility's predicted ESRD
outlier services MAP amount per treatment (which is case-mix adjusted)
plus the fixed-dollar loss amount. In accordance with Sec. 413.237(c)
of the regulations, facilities are paid 80 percent of the per treatment
amount by which the imputed MAP amount for outlier services (that is,
the actual incurred amount) exceeds this threshold. ESRD facilities are
eligible to receive outlier payments for treating both adult and
pediatric dialysis patients.
In the CY 2011 ESRD PPS final rule, using 2007 data, we established
the outlier percentage at 1.0 percent of total payments (75 FR 49142
through 49143). We also established the fixed-dollar loss amounts that
are added to the predicted outlier services MAP amounts. The outlier
services MAP amounts and fixed-dollar loss amounts are different for
adult and pediatric patients due to differences in the utilization of
separately billable services among adult and pediatric patients (75 FR
49140). As we explained in the CY 2011 ESRD PPS final rule (75 FR 49138
through 49139), the predicted outlier services MAP amounts for a
patient are determined by multiplying the adjusted average outlier
services MAP amount by the product of the patient-specific case-mix
adjusters applicable using the outlier services payment multipliers
developed from the regression analysis to compute the payment
adjustments.
For the CY 2016 outlier policy, we would use the existing
methodology for determining outlier payments by applying outlier
services payment multipliers that resulted from the updated regression
analyses performed for this proposed rule. The updated outlier services
payment multipliers are represented by the updated separately billable
payment multipliers presented in Table 4 for patients age 18 years and
older and in Table 5 for patients age <18 years. We used these updated
outlier services payment multipliers to calculate the predicted outlier
service MAP amounts and projected outlier payments for CY 2016.
For CY 2016, we propose that the outlier services MAP amounts and
fixed-dollar loss amounts would be derived from claims data from CY
2014. Because we believe that any adjustments made to the MAP amounts
under the ESRD PPS should be based upon the most recent data year
available in order to best predict any future outlier payments, we
propose the outlier thresholds for CY 2016 would be based on
utilization of renal dialysis items and services furnished under the
ESRD PPS in CY 2014. We recognize that the utilization of ESAs and
other outlier services have continued to decline under the ESRD PPS,
and that we have lowered the MAP amounts and fixed-dollar loss amounts
every year under the ESRD PPS. However, we believe for the first time
since the implementation of the ESRD PPS that data for CY 2014 is
reflective of relatively stable ESA use. We have included Table 6
(Total Medicare ESA Utilization in the ESRD Population) below to
demonstrate the leveling off of the decline in ESA utilization.
Table 6--Total Medicare ESA Utilization in the ESRD Population
--------------------------------------------------------------------------------------------------------------------------------------------------------
2009 2010 2011 2012 2013 2014 \1\
--------------------------------------------------------------------------------------------------------------------------------------------------------
Total ESA Utilization
--------------------------------------------------------------------------------------------------------------------------------------------------------
Epogen (x100,000)....................................... 2,083,893 2,075,217 1,655,778 1,319,383 1,262,186 1,143,405
Darbepoetin (x100,000).................................. 533 496 379 280 242 291
--------------------------------------------------------------------------------------------------------------------------------------------------------
[[Page 37828]]
ESA Utilization per Session
--------------------------------------------------------------------------------------------------------------------------------------------------------
Epogen.................................................. 5,404 5,171 3,995 3,078 2,895 2,858
Darbepoetin............................................. 1.38 1.24 0.91 0.65 0.55 0.73
--------------------------------------------------------------------------------------------------------------------------------------------------------
\1\ 2014 based on December 2014 claims.
i. CY 2016 Update to the Outlier Services MAP Amounts and Fixed-Dollar
Loss Amounts
For CY 2016, we are not proposing any change to the methodology
used to compute the MAP or fixed-dollar loss amounts. Rather, we will
continue to update the outlier services MAP amounts and fixed-dollar
loss amounts to reflect the utilization of outlier services reported on
2014 claims. For this proposed rule, the outlier services MAP amounts
and fixed dollar loss amounts were updated using the 2014 claims from
the March 2015 claims file. The impact of this update is shown in Table
7, which compares the outlier services MAP amounts and fixed-dollar
loss amounts used for the outlier policy in CY 2015 with the updated
proposed estimates for this rule. The estimates for the proposed CY
2016 outlier policy, which are included in Column II of Table 7, were
inflation adjusted to reflect projected 2016 prices for outlier
services.
Table 7--Outlier Policy: Impact of Using Updated Data to Define the Outlier Policy
----------------------------------------------------------------------------------------------------------------
Column I Final outlier policy Column II Proposed outlier
for CY 2015 (based on 2013 policy for CY 2016 (based on
data price inflated to 2015) * 2014 data price inflated to
-------------------------------- 2016) *
-------------------------------
Age < 18 Age >= 18 Age < 18 Age >= 18
----------------------------------------------------------------------------------------------------------------
Average outlier services MAP amount per $39.89 $52.98 $38.87 $50.20
treatment......................................
Adjustments:
Standardization for outlier services........ 1.1145 0.9878 0.9929 0.9788
MIPPA reduction............................. 0.98 0.98 0.98 0.98
Adjusted average outlier services MAP amount 43.57 51.29 37.82 48.15
Fixed-dollar loss amount that is added to the 54.35 86.19 49.99 85.66
predicted MAP to determine the outlier
threshold......................................
Patient months qualifying for outlier payment... 6.3% 6.3% 7.7% 6.4%
----------------------------------------------------------------------------------------------------------------
As demonstrated in Table 7, the estimated fixed-dollar loss amount
per treatment that determines the CY 2016 outlier threshold amount for
adults (Column II; $85.66) is slightly lower than that used for the CY
2015 outlier policy (Column I; $86.19). The lower threshold is
accompanied by a decline in the adjusted average MAP for outlier
services from $51.29 to $48.15. For pediatric patients, the fixed
dollar loss amount also fell, from $54.35 to $49.99. Likewise, the
adjusted average MAP for outlier services fell from $43.57 to $37.82.
We estimate that the percentage of patient months qualifying for
outlier payments in CY 2016 will be 6.4 percent for adult patients and
7.7 percent for pediatric patients, based on the 2014 claims data. The
pediatric outlier MAP and fixed-dollar loss amounts continue to be
lower for pediatric patients than adults due to the continued lower use
of outlier services (primarily reflecting lower use of ESAs and other
injectable drugs).
ii. Outlier Policy Percentage
In the CY 2011 ESRD PPS final rule (75 FR 49081), in accordance
with 42 CFR 413.220(b)(4), we reduced the per treatment base rate by 1
percent to account for the proportion of the estimated total payments
under the ESRD PPS that are outlier payments. Based on the 2014 claims,
outlier payments represented approximately 0.9 percent of total
payments, slightly below the 1 percent target due to small declines in
the use of outlier services. Recalibration of the thresholds using 2014
data is expected to result in aggregate outlier payments close to the 1
percent target in CY 2016. We believe the update to the outlier MAP and
fixed-dollar loss amounts for CY 2016 will increase payments for ESRD
beneficiaries requiring higher resource utilization and move us closer
to meeting our 1 percent outlier policy. We note that recalibration of
the fixed-dollar loss amounts in this proposed rule would result in no
change in payments to ESRD facilities for beneficiaries with renal
dialysis items and services that are not eligible for outlier payments,
but would increase payments to ESRD facilities for beneficiaries with
renal dialysis items and services that are eligible for outlier
payments. Therefore, beneficiary co-insurance obligations would also
increase for renal dialysis services eligible for outlier payments.
We note that many industry stakeholder associations and renal
facilities have expressed disappointment that the outlier target
percentage has not been achieved under the ESRD PPS and have asked that
CMS eliminate the outlier policy. With regard to the suggestion that we
eliminate the outlier adjustment altogether, we note that, under
section 1881(b)(14)(D)(ii) of the Act, the ESRD PPS must include a
payment adjustment for high cost outliers due to unusual variations in
the type or amount of medically necessary care, including variations in
the amount of erythropoiesis stimulating agents necessary for anemia
management. We believe that the ESRD PPS is required to include an
outlier adjustment in order to comply with section 1881(b)(14)(D)(ii)
of the Act.
[[Page 37829]]
In addition, we believe that the ESRD PPS base rate captures the
cost for the average renal patient, and to the extent data analysis
continues to show that certain patients, including certain racial and
ethnic groups, receive more ESAs than the average patient, we believe
an outlier policy, even a small one, is an important payment adjustment
to provide under the ESRD PPS. We are not proposing to modify the 1
percent outlier percentage for CY 2016 because we believe that the
regression analysis continues to demonstrate high cost patients and
that the proposed elimination of the comorbidity categories of
bacterial pneumonia and monoclonal gammopathy and other regression
updates would assist facilities in receiving outlier payments in CY
2016 that are 1 percent of total ESRD PPS payments.
We understand the industry's frustration that payments under the
outlier policy have not reached 1 percent of total ESRD PPS payments
since the implementation of the payment system. As we explained in the
CY 2014 ESRD PPS final rule (78 FR 72165), each year we simulate
payments under the ESRD PPS in order to set the outlier fixed-dollar
loss and MAP amounts for adult and pediatric patients to try to achieve
the 1 percent outlier policy. We would not increase the base rate to
account for years where outlier payments were less than 1 percent of
total ESRD PPS payments, nor would we reduce the base rate if the
outlier payments exceed 1 percent of total ESRD PPS payments.
We believe the 1 percent outlier percentage has not been reached
under the payment system due to the significant drop, over 25 percent,
in the utilization of high cost drugs such as Epogen since the
implementation of the payment system. However, we have learned in our
discussions with ESRD facilities that many facilities are not willing
to report outlier services on the ESRD facility monthly claim form as
they do not believe that they will reach the outlier threshold. We
issued sub-regulatory guidance for CY 2015 that instructs ESRD
facilities to include all composite rate drugs and biologicals
furnished to the beneficiary on the monthly claim form (Change Request
8978, issued December 2, 2014). In CY 2015 ESRD PPS final rule (79 FR
66149 through 66150), we discussed the drug categories that we consider
to be used for the treatment of ESRD with the expectation that all of
those drugs and biologicals would be reported on the claim. In addition
to this guidance, we also have included a clarification for how
facilities are to report laboratory services and drugs and biologicals
on the monthly claim form in sections II.C.1 and II.C.2 of this
proposed rule, respectively.
d. Annual Updates and Policy Changes to the CY 2016 ESRD PPS
i. ESRD PPS Base Rate
In the CY 2011 ESRD PPS final rule (75 FR 49071 through 49083), we
discussed the implementation of the ESRD PPS per treatment base rate
that is codified in the Medicare regulations at Sec. 413.220 and Sec.
413.230. The CY 2011 ESRD PPS final rule also provides a detailed
discussion of the methodology used to calculate the ESRD PPS base rate
and the computation of factors used to adjust the ESRD PPS base rate,
outlier payments, and geographic wage budget neutrality in accordance
with sections 1881(b)(14)(D)(ii) and 1881(b)(14)(A)(ii) of the Act,
respectively. Specifically, the ESRD PPS base rate was developed from
CY 2007 claims, that is, the lowest per patient utilization year as
required by section 1881(b)(14)(A)(ii) of the Act, updated to CY 2011,
and represented the average per treatment MAP for renal dialysis
services. The payment system is updated annually by the ESRDB market
basket less productivity adjustment which is discussed in section
II.B.2.a.iv of this proposed rule.
ii. Annual Payment Rate Update for CY 2016
We are proposing an ESRD PPS base rate for CY 2016 of $230.20. This
update reflects several factors, described in more detail below.
Market Basket Increase: Section 1881(b)(14)(F)(i)(I) of the Act
provides that, beginning in 2012, the ESRD PPS payment amounts are
required to be annually increased by the ESRD market basket percentage
increase factor. The latest CY 2016 projection for the ESRDB market
basket is 2.0 percent. In CY 2016, this amount must be reduced by 1.25
percentage points as required by section 1881(b)(14)(F)(i)(I), as
amended by section 217(b)(2)(A) of PAMA, which is calculated as 2.0-
1.25 = 0.75. This amount is then further reduced by the productivity
adjustment described in section 1886(b)(3)(B)(xi)(II) of the Act as
required by section 1881(b)(14)(F)(i)(II) of the Act. The proposed
multi-factor productivity adjustment for CY 2016 is 0.6, thus yielding
a proposed update to the base rate of 0.15 percent for CY 2016 (0.75-
0.6 = 0.15 percent).
Wage Index Budget-Neutrality Adjustment Factor: We compute a wage
index budget-neutrality adjustment factor that is applied to the ESRD
PPS base rate. For CY 2016, we are not proposing any changes to the
methodology used to calculate this factor which is described in detail
in CY 2014 ESRD PPS final rule (78 FR 72174). The CY 2016 proposed wage
index budget-neutrality adjustment factor is 1.000332.
Refinement Budget-Neutrality Adjustment Factor: In order to
implement the refinement in a budget-neutral manner, we are proposing
to adjust the ESRD PPS base rate by a budget-neutrality adjustment
factor so that total projected PPS payments in CY 2016 are equal to
what the payments would have been in CY 2016 had we not implemented the
refinement. In CY 2011, we standardized the base rate to account for
the overall effects of the ESRD PPS adjustment factors by making a 5.93
percent reduction to the base rate. To account for the overall effects
of the refinement, we are proposing a 4 percent reduction (that is, a
factor of 0.959703) to the ESRD PPS base rate to account for the
additional dollars paid to facilities through the payment adjustments.
While the per treatment base rate would be reduced, we believe that
this refinement improves payment accuracy and we would expect payments
to be better targeted to those characteristics that increase costs for
facilities. Notably, a significant portion of impact of the adjusters
on the base rate arises from changes in the age adjustments.
In summary, we are proposing a CY 2016 ESRD PPS base rate of
$230.20. This reflects a market basket increase of 0.15 percent, the CY
2016 wage index budget-neutrality adjustment factor of 1.000332, and
the refinement budget-neutrality adjustment of 0.959703.
3. Section 217(c) of PAMA and the ESRD PPS Drug Designation Process
As part of the CY 2016 ESRD PPS rulemaking, section 217(c) of PAMA
requires the Secretary to implement a drug designation process for--
(1) Determining when a product is no longer an oral-only drug; and
(2) Including new injectable and intravenous products into the
bundled payment under such system.
In accordance with section 217(c) of PAMA, we are proposing a
process that would allow us to recognize when an oral-only renal
dialysis service drug or biological is no longer oral only and to
include new injectable and intravenous products into the ESRD PPS
bundled payment, and, when appropriate, to modify the ESRD PPS payment
amount to reflect the costs of furnishing a new injectable or
intravenous renal dialysis service drug or biological that is not
bundled in the ESRD PPS payment
[[Page 37830]]
amount. We believe that this process, which we refer to as the drug
designation process under the ESRD PPS, would provide a systematic
method for including new injectable and intravenous drugs and
biologicals that are designated as renal dialysis services in the ESRD
PPS bundled payment.
a. Stakeholder Comments From the CY 2015 ESRD PPS Proposed and Final
Rules
In the CY 2015 ESRD PPS proposed rule (79 FR 40235), we sought
stakeholder comments on the potential components of a drug designation
process. While we did not directly address these comments in our CY
2015 final rule, we committed to considering the comments in
formulating our drug designation process proposal in CY 2016. We were
encouraged by the consensus among stakeholders regarding the
significant and fundamental elements of a drug designation process and
the recommendation that CMS rely upon the rulemaking process when
considering any change to the ESRD PPS to account for new injectable
and intravenous drugs or biologicals. We contemplated these comments in
the development of the drug designation process proposed below.
We note that commenters largely emphasized the additional costs
associated with furnishing new injectable and intravenous renal
dialysis services and encouraged CMS to use the most recent year of
data for pricing and utilization when adding new injectable drugs and
biologicals to the bundled payment. Specifically, an industry
association and many of its members offered a 7-principle drug
designation process that included:
A clear definition of what drugs and biologicals are in
the ESRD PPS.
A criterion related to the frequency with which a drug or
biological may be used.
A criterion for determining when drugs or biologicals are
equivalent or interchangeable with existing products that are already
in the bundle.
Reliance upon rulemaking whenever making changes to the
bundle.
A transition for adding new drugs and biologicals to the
ESRD bundle.
Tracking of costs of new drugs and biologicals before
adding them to the ESRD bundle.
An increase in the bundled rate to cover the costs of
providing such drugs and biologicals.
b. Background
Section 1881(b)(14)(A)(i) of the Act requires the Secretary to
implement the ESRD PPS, under which a single payment is made to a
provider of services or a renal dialysis facility for renal dialysis
services in lieu of any other payment. The renal dialysis services that
are included in the ESRD PPS bundle are described in section
1881(b)(14)(B) of the Act and include: (i) Items and services included
in the composite rate for renal dialysis services as of December 31,
2010; (ii) erythropoiesis stimulating agents (ESAs) and any oral form
of such agents that are furnished to individuals for the treatment of
ESRD; (iii) other drugs and biologicals that are furnished to
individuals for the treatment of ESRD and for which payment was made
separately under Title XVIII of the Act, and any oral equivalent form
of such drug or biological; and (iv) diagnostic laboratory tests and
other items and services not described in clause (i) that are furnished
to individuals for the treatment of ESRD.
We implemented the ESRD PPS in our CY 2011 ESRD PPS final rule (75
FR 49030 through 49214) and codified our definition of renal dialysis
services at 42 CFR 413.171. In addition to former composite rate items
and services and ESAs, we defined renal dialysis services at 42 CFR
413.171(3) as including other drugs and biologicals that are furnished
to individuals for the treatment of ESRD and for which payment was
(prior to January 1, 2011) made separately under Title XVIII of the Act
(including drugs and biologicals with only an oral form). In the CY
2011 ESRD PPS final rule (75 FR 49037 through 49053), we discussed the
other drugs and biologicals referenced at 42 CFR 413.171(3) and
finalized how they were included in the ESRD PPS. We explained that we
interpreted clause (iii) as encompassing not only injectable drugs and
biologicals (other than ESAs) used for the treatment of ESRD, but also
all non-injectable drugs furnished under Title XVIII of the Act (75 FR
49039). Under this interpretation, the ``any oral equivalent form of
such drug or biological'' language pertains to the oral versions of
injectable drugs other than ESAs. In addition, as we discuss in section
II.B.4 of this proposed rule (75 FR 49040), we concluded that, to the
extent oral-only drugs and biologicals that are used for the treatment
of ESRD do not fall within clause (iii) of the statutory definition of
renal dialysis services, such drugs would fall under clause (iv).
In the CY 2011 ESRD PPS final rule (75 FR 49044 through 49053) we
explained that to identify drugs and biologicals that are used for the
treatment of ESRD and that therefore meet the definition of renal
dialysis services that would be included in the ESRD PPS base rate, we
performed an extensive analysis of Medicare payments for Part B drugs
and biologicals billed on ESRD claims and said that we evaluated each
drug and biological to identify its category by indication or mode of
action. We also explained that categorizing drugs and biologicals on
the basis of drug action would allow us to determine which categories
(and therefore, the drugs and biologicals within the categories) would
be considered used for the treatment of ESRD (75 FR 49047).
Using this approach, in our CY 2011 ESRD PPS final rule we
established categories of drugs and biologicals that are not considered
used for the treatment of ESRD (75 FR 49049-49050), categories that are
always considered used for the treatment of ESRD (75 FR 49050), and
categories of drugs that may be used for the treatment of ESRD but are
also commonly used to treat other conditions (75 FR 49051). Those drugs
and biologicals that were identified as not used for the treatment of
ESRD were not considered renal dialysis services and therefore these
drugs were not included in computing the base rate. The categories of
drugs and biologicals that are always considered used for the treatment
of ESRD were identified as access management, anemia management, anti-
infectives (specifically vancomycin and daptomycin used to treat access
site infections) bone and mineral metabolism, and cellular management
(75 FR 49050). We note that we removed anti-infectives from the list of
categories of drugs and biologicals that are included in the ESRD PPS
base rate and not separately payable in the CY 2015 ESRD PPS final rule
(79 FR 66149-66150). The current categories of drugs that are included
in the ESRD PPS base rate and that may be used for the treatment of
ESRD but are also commonly used to treat other conditions are
antiemetics, anti-infectives, antipruritics, anxiolytics, drugs used
for excess fluid management, drugs used for fluid and electrolyte
management including volume expanders, and pain management (analgesics)
(79 FR 66150).
In the CY 2011 ESRD PPS final rule (75 FR 49050) we explained that
for those categories of drugs and biologicals that are always
considered used for the treatment of ESRD we used the payments for the
drugs included in the category in computing the ESRD PPS base rate,
that is, the injectable forms
[[Page 37831]]
(previously covered under Part B) and oral or other forms of
administration (covered under Part D). For purposes of the inclusion of
payments related to the oral or other forms of administration for those
drugs that are always considered used for the treatment of ESRD, we
stated that based on our determination at the time of the final rule,
there were oral or other forms of injectable drugs only for the bone
and mineral metabolism and cellular management categories. Therefore,
we included the payments under Part D for oral vitamin D (calcitrol,
doxercalcitrol and paracalcitrol) and oral levocarnitine in our
computation of the base rate (75 FR 49042).
Regarding why we chose to identify ESRD drugs and biologicals by
category rather than in a specific list, in response to a commenter's
request to provide a specific list of ESRD-only drugs, we explained
that using categories of drugs and biologicals allows us to respond to
changes in drug therapies over time based upon many factors including
new developments, evidence-based medicine, and patient outcomes (75 FR
49050). By categorizing drugs and biologicals based on drug action, we
can account for other drugs and biologicals that may be used for those
same actions in the future under the ESRD PPS. We further explained
that, while we have included drugs and biologicals used in 2007 in the
final ESRD base rate, we recognize that these may change. Because there
are many drugs and biologicals that have many uses and because new
drugs and biologicals are being developed, we stated that we did not
believe that a drug-specific list would be beneficial (75 FR 49050).
Rather than specifying the specific drugs and biologicals used for the
treatment of ESRD, we identified drugs and biologicals based on the
mechanism of action. We stated that we did not finalize a specific list
of the drugs and biologicals because we did not want to inadvertently
exclude drugs that may be substitutes for drugs identified and we
wanted the ability to reflect new drugs and biologicals as they become
available. We did, however, provide a list of the specific Part B drugs
and biologicals that were included in the proposed and final ESRD PPS
base rate in Table C in the Appendix of the CY 2011 ESRD PPS final rule
(75 FR 49205 through 49209) and a list of the former Part D drugs that
were bundled in the ESRD PPS in Table C in the Appendix of the final
rule (75 FR 49210). This list is located at the following address:
https://www.gpo.gov/fdsys/pkg/FR-2010-08-12/pdf/2010-18466.pdf.
We emphasized that any drug or biological furnished for the purpose
of access management, anemia management, vascular access or
peritonitis, cellular management and bone and mineral metabolism will
be considered a renal dialysis service under the ESRD PPS and will not
be eligible for separate payment. We also noted that any ESRD drugs or
biologicals developed in the future that are administered by a route of
administration other than injection or oral would be considered renal
dialysis services and would be in the ESRD PPS bundled base rate. We
also stated that any drug or biological used as a substitute for a drug
or biological that was included in the ESRD PPS bundled base rate would
also be a renal dialysis service and would not be eligible for separate
payment (75 FR 49050).
In the CY 2011 ESRD PPS final rule (75 FR 49050 through 49051) we
explained that for categories of drugs and biologicals that may be used
for the treatment of ESRD but are also commonly used to treat other
conditions, we used the payments made under Part B in 2007 for these
drugs in computing the ESRD PPS base rate, which only included payments
made for the injectable forms of the drugs. We excluded the Part D
payments for the oral (or other form of administration) substitutes for
the drugs and biological described above because they were not
furnished or billed by ESRD facilities or furnished in conjunction with
dialysis treatments (75 FR 49051). For those reasons, we presumed that
these drugs and biologicals that were paid under Part D were prescribed
for reasons other than for the treatment of ESRD. However, we noted
that if these drugs and biologicals currently paid under Part D are
furnished by an ESRD facility for the treatment of ESRD, they would be
considered renal dialysis services and we would not provide separate
payment.
In the CY 2011 ESRD PPS final rule (75 FR 49075), we included in
Table 19 the Medicare allowable payments for all of the components of
the ESRD PPS base rate for CY 2007 inflated to CY 2009, including
payments for drugs and biologicals and the amount each contributed to
the base rate, except for the oral-only renal dialysis drugs where
payment under the ESRD PPS has been delayed. We grouped the injectable
and intravenous drugs and biologicals by action, specifically, into
functional categories. In past rules we have referred to these
categories as drug categories but we believe the term functional
categories is more precise and better reflects how we use the
categories. We propose to define this term in 42 CFR 413.234(a) later
in this discussion. Since the ESRD PPS CY 2011 final rule was
published, the base rate has been updated by the ESRDB market basket,
discussed in section II.B.2.a of this proposed rule, which reflects
changes in the drug price indices. In addition, we have designated
several new drugs and biologicals as renal dialysis services because
they fit within the functional categories captured in the base rate and
no adjustment to the base rate was made. We are proposing that this
approach of considering drugs and biologicals as included in the ESRD
PPS base rate if they fit within one of our functional categories would
continue as part of the drug designation process described below.
c. Proposed Drug Designation Process
i. Inclusion of New Injectable and Intravenous Products in the ESRD PPS
Bundled Payment
In accordance with section 217(c)(2) of PAMA, we propose to include
new injectable and intravenous products in the ESRD PPS bundled payment
by first determining whether the new injectable or intravenous products
are reflected currently in the ESRD PPS. We propose to make this
determination by assessing whether the product can be used to treat or
manage a condition for which there is an ESRD PPS functional category.
Under our proposed regulation at 42 CFR 413.234(b)(1), if the new
injectable or intravenous product can be used to treat or manage a
condition for which there is an ESRD PPS functional category, the new
injectable or intravenous product would be considered reflected in the
ESRD PPS bundled payment and no separate payment would be available.
Specifically, any new drug, biosimilar, or biologic that fits into one
of the ESRD functional categories would be considered to be included in
the ESRD PPS. These drugs and biologicals would count toward the
calculation of an outlier payment. In the calculation of the outlier
payment we price drugs using the ASP payment methodology, which is
currently ASP+6 percent.
If, however, the new injectable or intravenous product is used to
treat or manage a condition for which there is not an ESRD PPS
functional category, the new injectable or intravenous product would
not be considered included in the ESRD PPS bundled payment, and we
propose to take the following steps as described in our proposed
regulation at Sec. 413.234(b)(2): (i) Revise an existing ESRD PPS
[[Page 37832]]
functional category or add a new ESRD PPS functional category for the
condition that the new injectable or intravenous product is used to
treat or manage; (ii) pay for the new injectable or intravenous product
using the transitional drug add-on payment adjustment discussed in
section II.B.3.c.ii below; and (iii) add the new injectable or
intravenous product to the ESRD PPS bundled payment following payment
of the transitional drug add-on payment adjustment.
For purposes of the drug designation process, we propose to define
a new injectable or intravenous product in our regulation at Sec.
413.234(a) as an injectable or intravenous product that is approved by
the Food and Drug Administration (FDA) under section 505 of the Federal
Food, Drug, and Cosmetic Act or section 351 of the Public Health
Service Act, commercially available, assigned a Healthcare Common
Procedure Coding System (HCPCS) code, and designated by CMS as a renal
dialysis service under Sec. 413.171. Following FDA approval,
injectable or intravenous drugs then go through a process to establish
a billing code, specifically a HCPCS code. Information regarding the
HCPCS process is available on the CMS Web site at https://www.cms.gov/medicare/coding/MedHCPCSGenInfo/Application_Form_and_Instructions.html.
We would designate injectable and intravenous products as renal
dialysis services under the ESRD PPS by analyzing the FDA labeling
information, the HCPCS application information, and studies submitted
as part of these two standardized processes. A change request would be
issued to include new drugs added to the functional categories.
We propose to define ESRD PPS functional category at Sec.
413.234(a) as a distinct grouping of drugs and biologicals, as
determined by CMS, whose end action effect is the treatment or
management of a condition or conditions associated with ESRD. We would
codify this definition in regulation text to formalize the approach we
adopted in CY 2011 because the drug designation process is dependent on
the functional categories. As discussed above, we have established 12
functional categories that are used to treat conditions associated with
ESRD, which are displayed in Table 8 below.
Table 8--ESRD PPS Functional Categories
----------------------------------------------------------------------------------------------------------------
Category Rationale for association
----------------------------------------------------------------------------------------------------------------
Access Management...................... Drugs used to ensure access by removing clots from grafts, reverse
anticoagulation if too much medication is given, and provide
anesthetic for access placement.
Anemia Management...................... Drugs used to stimulate red blood cell production and/or treat or
prevent anemia. This category includes ESAs as well as iron.
Bone and Mineral Metabolism............ Drugs used to prevent/treat bone disease secondary to dialysis. This
category includes phosphate binders and calcimimetics.
Cellular Management.................... Drugs used for deficiencies of naturally occurring substances needed
for cellular management. This category includes levocarnitine.
Antiemetic............................. Used to prevent or treat nausea and vomiting secondary to dialysis.
Excludes antiemetics used in conjunction with chemotherapy as these
are covered under a separate benefit category.
Anti-infectives........................ Used to treat infections. May include antibacterial and antifungal
drugs.
Antipruritic........................... Drugs in this classification have multiple clinical indications and are
included for their action to treat itching secondary to dialysis.
Anxiolytic............................. Drugs in this classification have multiple actions but are included for
the treatment of restless leg syndrome secondary to dialysis.
Excess Fluid Management................ Drug/fluids used to treat fluid excess/overload.
Fluid and Electrolyte Management Intravenous drugs/fluids used to treat fluid and electrolyte needs.
Including Volume Expanders.
Pain Management........................ Drugs used to treat graft site pain and to treat pain medication
overdose.
----------------------------------------------------------------------------------------------------------------
We propose to determine whether a new injectable or intravenous
product falls into one of our existing functional categories by
assessing whether the product is used to treat or manage the condition
for which we have created a category. We believe that this approach to
determining whether a new drug falls into one of our existing drug
categories is consistent with the policy we finalized in the CY 2011
ESRD PPS final rule (75 FR 49047 through 49052).
ii. Transitional Drug Add-On Payment Adjustment
We anticipate that there may be new drugs that do not fall within
the existing ESRD PPS functional categories and therefore, are not
reflected in the ESRD PPS payment amount. Where a new injectable or
intravenous product is used to treat or manage a condition for which
there is not a functional category, we propose to pay for the new
injectable or intravenous product using a transitional drug add-on
payment adjustment under the authority of section 1881(b)(14)(D)(iv) of
the Act. The transitional drug add-on payment adjustment would be based
on the ASP pricing methodology and would be paid until we have
collected sufficient claims data for rate setting for the new
injectable or intravenous product, but not for less than 2 years. We
believe that a 2-year timeframe is necessary for adequate data
collection, rate-setting and regulation development. Two years is
necessary for rulemaking purposes because it is a year-long process
that involves developing policies based on data, proposing those
policies, allowing for public comment, finalizing the proposed rule,
and allowing for a period of time before the rule becomes effective.
The minimum 2-year period also allows 1 year for payment of the
adjustment before the beginning of a rulemaking cycle in which we could
propose to add the drug to the bundled payment. For these reasons, we
believe 2 years is the minimum amount of time necessary to pay the
adjustment. The proposed regulation text for the transitional drug add-
on payment adjustment is at Sec. 413.234(c).
We believe paying a transitional drug add-on payment adjustment for
new injectable and intravenous products will allow us to analyze price
and utilization data for both the injectable and, if applicable, any
oral or other forms of the drug in order to pay for the drugs under the
ESRD PPS. We propose that when a facility furnishes the new injectable
drug they would report the drug to Medicare on the monthly facility
bill and would append a CMS payment modifier that would instruct our
claims
[[Page 37833]]
processing systems to include a payment amount that equals the Part B
drug payment amount, which is derived using the ASP methodology. We
believe that this payment approach is consistent with the policy we
finalized in the CY 2013 ESRD PPS final rule (77 FR 67463) which states
that we will use the ASP methodology, including any modifications
finalized in the Physician Fee Schedule (PFS) final rules, to compute
outlier MAP amounts, the drug add-on (formerly paid under the composite
rate and no longer paid as part of the ESRD PPS), and any other policy
that requires the use of payment amounts for drugs and biologicals that
would be separately paid absent the ESRD PPS. We would issue sub-
regulatory billing and payment guidance along with the payment modifier
in conjunction with our final rule guidance. Under our proposed
regulations at Sec. 413.234(c), following payment of the transitional
drug add-on payment adjustment, we would propose to modify the ESRD PPS
base rate, if appropriate, to account for the new injectable or
intravenous product.
We note that outlier payments would not be available for new
injectable or intravenous products during the time in which these
products are paid for using the new transitional drug add-on payment
adjustment. While a new injectable drug or biological being paid under
the transitional drug-add would otherwise be considered an outlier
service because the drug or biological would have been considered
separately billable prior to the implementation of the ESRD PPS, we do
not believe that it would be appropriate to include the payment amount
for the new drug or biological in the outlier calculation during this
interim transition period. This is because during the interim period we
would be making a payment for the specific drug in addition to the base
rate, whereas outlier services have been incorporated into the base
rate. For example, we have included the MAP amount for EPO in the base
rate and it qualifies as an outlier. However, when the product is
reflected in the base rate after payment of the transitional drug add-
on payment adjustment, it would be considered eligible for outlier
payments discussed in section II.B.2.c of this rule.
iii. Determination of When an Oral-Only Renal Dialysis Service Drug is
no Longer Oral-Only
Section 217(c)(1) of PAMA requires us to adopt a process for
determining when oral-only drugs are no longer oral-only. In our CY
2011 ESRD PPS final rule (75 FR 49038 through 49039), we described
oral-only drugs as those that have no injectable equivalent or other
form of administration. We propose to define the term oral-only drug as
part of our drug designation process in our regulations at 42 CFR
413.234(a). For CY 2016, and in accordance with Section 217(c)(1) of
PAMA, we propose that an oral-only drug would no longer be considered
oral-only if an injectable or other form of administration of the oral-
only drug is approved by the FDA. We propose to codify this process in
our regulations at 42 CFR 413.234(d).
We note that the FDA has well defined standards for identifying all
drug dosages and forms of administration that are approved for use in
the United States and this list may be viewed at www.FDA.gov/developmentapprovalprocess.gov.
In the CY 2011 ESRD PPS proposed and final rules (74 FR 49929 and
75 FR 49038), we noted that the only oral-only drugs and biologicals
that we identified were phosphate binders and calcimimetics, which fall
into the bone and mineral metabolism category. We defined these oral-
only drugs as renal dialysis services in our regulations at Sec.
413.171 (75 FR 49044), we delayed the Medicare Part B payment for these
oral-only drugs until CY 2014 at Sec. 413.174(f)(6) and continued to
pay for them under Medicare Part D. If injectable or intravenous forms
of phosphate binders or calcimimetics are approved by the FDA, under
our proposed drug designation process at Sec. 413.234(b)(1), these
drugs would be considered reflected in the ESRD PPS bundled payment
because these drugs are included in an existing functional category so
no additional payment would be available for inclusion of these drugs.
However, we are proposing that we would not apply this process to
injectable or intravenous forms of phosphate binders and calcimimetics
when they are approved because payment for the oral forms of these
drugs was delayed. As we discussed above, we determined in CY 2011 that
both classes of drugs (phosphate binders and calcimimetics) were
furnished for the treatment of ESRD and are therefore renal dialysis
services. In addition, we had utilization data for both classes of
drugs because the oral versions existed at that time. However, for
reasons discussed in the CY 2011 ESRD PPS final rule (75 FR 49043
through 49044), we chose to delay their inclusion in the payment
amount. We propose that when a non-oral version of a phosphate binder
or calcimimetic is approved by the FDA, we would include the oral and
any non-oral version of the drug in the ESRD PPS bundled payment.
Specifically, we propose that we would develop a computation for the
inclusion of the oral and non-oral forms of the phosphate binder or
calcimimetic so that the drug could be appropriately reflected in the
ESRD PPS base rate. We would not take this approach for any subsequent
drugs that are approved by the FDA and fall within the bone and mineral
metabolism functional category (or any other functional categories)
because we did not delay payment for any other drugs or biologicals for
which we had 2007 utilization data when the ESRD PPS was implemented in
CY 2011 and, therefore, we believe the other functional categories
appropriately reflect renal dialysis service drugs and biologicals.
4. Delay of Payment for Oral-Only Renal Dialysis Services
As we discussed in the CY 2014 ESRD PPS final rule (78 FR 72185
through 72186) and again in the CY 2015 ESRD PPS final rule (79 FR
66147 through 66148), section 1881(b)(14)(A)(i) of the Act requires the
Secretary to implement a payment system under which a single payment is
made to a provider of services or a renal dialysis facility for renal
dialysis services in lieu of any other payment. Section 1881(b)(14)(B)
of the Act defines renal dialysis services, and subclause (iii) of such
section states that these services include other drugs and biologicals
that are furnished to individuals for the treatment of ESRD and for
which payment was made separately under this title, and any oral
equivalent form of such drug or biological.
We interpreted this provision as including not only injectable
drugs and biologicals used for the treatment of ESRD (other than ESAs
and any oral form of ESAs, which are included under clause (ii) of
section 1881(b)(14)(B) of the Act), but also all oral drugs and
biologicals used for the treatment of ESRD and furnished under title
XVIII of the Act. We also concluded that, to the extent oral-only drugs
or biologicals used for the treatment of ESRD do not fall within clause
(iii) of section 1881(b)(14)(B), such drugs or biologicals would fall
under clause (iv) of such section, and constitute other items and
services used for the treatment of ESRD that are not described in
clause (i) of section 1881(b)(14)(B).
We finalized and promulgated the payment policies for oral-only
renal dialysis service drugs or biologicals in the CY 2011 ESRD PPS
final rule (75 FR 49038 through 49053), where we defined renal dialysis
services at 42 CFR 413.171 as including other drugs and biologicals
that are furnished to
[[Page 37834]]
individuals for the treatment of ESRD and for which payment was made
separately prior to January 1, 2011 under Title XVIII of the Act,
including drugs and biologicals with only an oral form. Although we
included oral-only renal dialysis service drugs and biologicals in the
definition of renal dialysis services in the CY 2011 ESRD PPS final
rule (75 FR 49044), we also finalized a policy to delay payment for
these drugs under the PPS until January 1, 2014 in the same rule. We
stated that there were certain advantages to delaying the
implementation of payment for oral-only drugs and biologicals,
including allowing ESRD facilities additional time to make operational
changes and logistical arrangements in order to furnish oral-only renal
dialysis service drugs and biologicals to their patients. Accordingly,
we codified the delay in payment for oral-only renal dialysis service
drugs and biologicals at 42 CFR 413.174(f)(6), and provided that
payment to an ESRD facility for renal dialysis service drugs and
biologicals with only an oral form is incorporated into the PPS payment
rates effective January 1, 2014.
On January 3, 2013, ATRA was enacted. Section 632(b) of ATRA
precluded the Secretary from implementing the policy under 42 CFR
413.176(f)(6) relating to oral-only renal dialysis service drugs and
biologicals prior to January 1, 2016. Accordingly, in the CY 2014 ESRD
PPS final rule (78 FR 72185 through 72186), we delayed payment for
oral-only renal dialysis service drugs and biologicals under the ESRD
PPS until January 1, 2016. We implemented this delay by revising the
effective date at Sec. 413.174(f)(6) for providing payment for oral-
only renal dialysis service drugs under the ESRD PPS from January 1,
2014 to January 1, 2016. In addition, we changed the date when oral-
only renal dialysis service drugs and biologicals would be eligible for
outlier services under the outlier policy described in Sec.
413.237(a)(1)(iv) from January 1, 2014 to January 1, 2016.
On April 1, 2014, PAMA was enacted. Section 217(a)(1) of PAMA
amended section 632(b)(1) of ATRA, which now precludes the Secretary
from implementing the policy under 42 CFR 413.174(f)(6) relating to
oral-only renal dialysis service drugs and biologicals prior to January
1, 2024. We implemented this delay in the CY 2015 ESRD PPS final rule
(79 FR 66262) by modifying the effective date for providing payment for
oral-only renal dialysis service drugs and biologicals under the ESRD
PPS at Sec. 413.174(f)(6) from January 1, 2016 to January 1, 2024. We
also changed the date in Sec. 413.237(a)(1)(iv) regarding outlier
payments for oral-only renal dialysis service drugs made under the ESRD
PPS from January 1, 2016 to January 1, 2024.
On December 19, 2014, section 204 of ABLE was enacted, which delays
the inclusion of renal dialysis service oral-only drugs and biologicals
under the ESRD PPS until 2025. It amended section 632(b)(1) of ATRA, as
amended by section 217(a)(1) of PAMA by striking ``2024'' and inserting
``2025.'' As we did in the CY 2014 ESRD PPS final rule (78 FR 72186)
and the CY 2015 ESRD PPS final rule (79 FR 66148) referenced above, we
are proposing to implement this delay by modifying the effective date
for providing payment for oral-only renal dialysis service drugs and
biologicals under the ESRD PPS at 42 CFR 413.174(f)(6) from January 1,
2024 to January 1, 2025. We also are proposing to change the date in
Sec. 413.237(a)(1)(iv) regarding outlier payments for oral-only renal
dialysis service drugs made under the ESRD PPS from January 1, 2024 to
January 1, 2025. We continue to believe that oral-only renal dialysis
service drugs and biologicals are an essential part of the ESRD PPS
bundle and should be paid for under the ESRD PPS.
5. Reporting Medical Director Fees on ESRD Facility Cost Reports
In the 1980s, following audits by the Office of the Inspector
General and the Medicare administrative contractors (MACs) that
revealed instances in which independent facilities compensated their
medical directors and administrators excessively, CMS set limits for
reasonable compensation when reporting medical director fees on ESRD
facility cost reports. End-Stage Renal Disease Program; Prospective
Reimbursement for Dialysis Services and Approval of Special Purpose
Renal Dialysis Facilities, 48 FR 21254, 21261 through 21262 (May 11,
1983); End-Stage Renal Disease Program: Composite Rates and Methodology
for Determining the Rates, 51 FR 29404, 29407 (Aug. 15, 1986). In
Transmittal 12, issued in July 1989, of the Provider Reimbursement
Manual Part I, Chapter 27, titled, ``Reimbursement for ESRD and
Transplant Services'', CMS adopted a policy for reporting allowable
compensation for physician owners and medical directors of ESRD
facilities and set a limit at the Reasonable Compensation Equivalent
(RCE) limit of the specialty of internal medicine for a metropolitan
area of greater than one million people. In the Provider Reimbursement
Manual Part I, Chapter 27--Outpatient Maintenance Dialysis Services,
2723--Responsibility of Intermediaries, we explain that the
intermediary reviews facility cost reports to ensure that the
compensation paid to medical directors does not exceed the RCE limit.
The RCE limit for a board-certified physician of internal medicine has
been updated over the interim years. The most recent update to the RCE
limit was finalized in the FY 2015 IPPS final rule published on August
22, 2014 (79 FR 50157 through 50162). In that rule, CMS finalized an
RCE limit of $197,500 per year beginning in CY 2015 for a board-
certified physician of internal medicine.
The requirements for medical directors of ESRD facilities are
discussed in the Conditions for Coverage for ESRD facilities, which
were updated in 2008 to reflect advances in dialysis technology and
standard care practices since the requirements were last revised in
their entirety in 1976. Conditions for Coverage for ESRD Facilities,
(73 FR 20470) April 15, 2008). With the update to the Conditions for
Coverage, all Medicare-certified ESRD facilities are required to have a
medical director who is responsible for the delivery of patient care
and outcomes in the facility as codified in 42 CFR part 494 (Conditions
for Coverage for End-Stage Renal Disease Facilities). We discuss the
qualifications of an ESRD facility medical director in 42 CFR
494.140(a) (Standard: Medical director), where we require that a
medical director must be a board-certified physician in internal
medicine or pediatrics by a professional board and have completed a
board-approved training program in nephrology with at least 12 months
of experience providing care to patients receiving dialysis, but if
such a physician is not available, another physician may direct the
facility, subject to the approval of the Secretary. We recognize that
the RCE limit of $197,500 per year for a board-certified physician of
internal medicine may be less than the expense a facility incurs if
they employ a board-certified nephrologist as their medical director.
We also appreciate that the reasonable compensation limits are
generally used when determining payment for providers that are
reimbursed on a reasonable cost basis; they typically are not used in
prospective payment systems, like the ESRD PPS, that update payment
rates using market basket methodologies. We believe that the
application of the RCE limit is no longer relevant now that 100 percent
of ESRD facilities are paid under the ESRD PPS beginning in CY 2014.
Therefore, beginning in CY 2016 we propose to
[[Page 37835]]
eliminate the RCE limit for reporting an ESRD facility's medical
director fees on ESRD facility cost reports. We note that the
elimination of the RCE limit does not supersede or alter in any way the
reporting guidance furnished in the Provider Reimbursement Manual, Part
2, Chapter 42, sections 4210, 4210.1 and 4210.2. In addition, we will
continue to apply the ESRD facility-specific policy under which the
time spent by a physician in an ESRD facility on administrative duties
is limited to 25 percent per facility unless documentation is furnished
supporting the claim. In addition, if an individual provides services
to more than one dialysis facility, the individual's time must be
prorated among the different facilities and may not exceed 100 percent.
C. Clarifications Regarding the ESRD PPS
1. Laboratory Renal Dialysis Services
Section 1881(b)(14)(B)(iv) of the Act requires diagnostic
laboratory tests not included under the composite payment rate (that
is, laboratory services separately paid prior to January 1, 2011) to be
included as part of the ESRD PPS payment bundle. In the CY 2011 ESRD
PPS final rule (75 FR 49053), we defined renal dialysis services at 42
CFR 413.171 to include items and services included in the composite
payment rate for renal dialysis services as of December 31, 2010 and
diagnostic laboratory tests and other items and services not included
in the composite rate that are furnished to individuals for the
treatment of ESRD. The composite payment rate covered routine items and
services furnished to ESRD beneficiaries for outpatient maintenance
dialysis, including some laboratory tests. We finalized a policy to
include in the definition of laboratory tests under 42 CFR 413.171(4)
those laboratory tests that were separately billed by ESRD facilities
as of December 31, 2010 and laboratory tests ordered by a physician who
receives monthly capitation payments (MCPs) for treating ESRD patients
that were separately billed by independent laboratories (75 FR 49055).
We determined the average Medicare Allowable Payment (MAP) amount was
$8.40, as listed on Table 19 titled, ``Average Medicare Allowable
Payments for composite rate and separately billable services, 2007,
with adjustment for price inflation to 2009'' (75 FR 49075). This
amount included the laboratory tests that were already included under
the composite rate, as well as laboratory tests billed separately by
ESRD facilities (that is, all laboratory services paid on the 72X claim
furnished in CY 2007) and laboratory tests that were ordered by Monthly
Capitation Payment (MCP) practitioners that were separately billed by
independent labs in CY 2007.
Through the comments we received on the CY 2011 ESRD PPS proposed
rule, we learned that holding the ESRD facilities responsible for any
laboratory test that is furnished in the ESRD facility or ordered by an
MCP could have unintended consequences to patients (75 FR 49054). In
particular, commenters noted that in many instances the MCP physician
is the ESRD patient's primary care physician and often orders
laboratory tests that are unrelated to the patient's ESRD. These
commenters raised concerns that requiring ESRD facilities to pay for
these tests would result in large numbers of tests that are unrelated
to ESRD being included in the ESRD bundle. We agreed with commenters
that it would be in the best interest of the beneficiaries for an ESRD
facility to draw blood for laboratory tests that are not for the
treatment of ESRD during the dialysis session.
Commenters also requested that we produce a list of the ESRD-
related laboratory tests that are included in the ESRD PPS bundle (75
FR 49054). We received several laboratory service lists from the
commenters that they considered to be generally furnished for the
treatment of ESRD. While there was agreement for many of the laboratory
services, the lists were inconsistent and lacked stakeholder consensus.
When Medicare provides a payment for a benefit that is based on a
bundle of items and services, CMS establishes claims processing edits
that prevent payment in other settings for items and services that are
identified as being accounted for in the bundled payment. Therefore, we
needed to develop a list of ESRD-related laboratory tests to implement
claims processing edits that prevent payment in other settings for
items and services that are identified as renal dialysis services to
ensure that payment is not made to independent laboratories for ESRD-
related laboratory tests. Under the ESRD PPS we call these edits
consolidated billing (CB) requirements. We performed a clinical review
of the lists provided by the industry and all of the laboratory tests
reported in the claims data to determine which laboratory tests are
routinely furnished to ESRD beneficiaries for the treatment of ESRD.
Our clinical review resulted in Table F in the Addendum of the CY 2011
ESRD PPS final rule as the list of laboratory tests that are subject to
the ESRD PPS CB requirements (75 FR 49213). We acknowledged in that
rule that the list of laboratory tests displayed in Table F is not an
all-inclusive list and we recognized that there are other laboratory
tests that may be furnished for the treatment of ESRD (75 FR 49169). We
stated in the Medicare Benefit Policy Manual, Pub. 100-02, Chapter 11--
End-Stage Renal Disease, Section 20.2 Laboratory Services, that the
determination of whether a laboratory test is ESRD-related is a
clinical decision for the ESRD patient's ordering practitioner. If a
laboratory test is ordered for the treatment of ESRD, then the
laboratory test is not paid separately.
Due to the commenters' concerns that ESRD beneficiaries should be
able to have blood drawn for non-ESRD-related laboratory tests in the
ESRD facility, we created a methodology for allowing ESRD facilities to
receive separate payment when a laboratory service is furnished for
reasons other than for the treatment of ESRD (75 FR 49054). We created
CB requirements using a modifier to allow independent labs or ESRD
facilities (with the appropriate clinical laboratory certification in
accordance with the Clinical Laboratory Improvement Amendments), to
receive separate payment. This modifier, which is called the AY
modifier, serves as an attestation that the item or service is
medically necessary for the patient but is not being used for the
treatment of ESRD.
Following publication of the CY 2011 ESRD PPS final rule, we
received numerous inquiries regarding Table F (75 FR 49213).
Stakeholders have communicated to us that having a list of laboratory
services that is not all-inclusive is confusing because there is no
definitive guidance on which laboratory tests are included in, and
excluded from, the ESRD PPS. They further stated that leaving the
determination of when a laboratory test is ordered for the treatment of
ESRD to the practitioner creates inconsistent billing practices and
potential overuse of the AY modifier. Stakeholders stated that
practitioners can have different positions on when a laboratory test is
being ordered for the treatment of ESRD. For example, some
practitioners may believe that laboratory tests ordered commonly for
diabetes could be considered as for the treatment of ESRD because in
certain situations a patient's ESRD is a macro vascular complication of
the diabetes. Commenters believe these varying perspectives among
practitioners can translate into inconsistent billing practices.
Stakeholders have also expressed concern about potential overuse of
the AY modifier because they are aware that
[[Page 37836]]
CMS monitors the claims data for trends and behaviors. The industry's
position is that if there is a laboratory service that is subject to
the CB requirements, it is because CMS has determined that test to be
routinely furnished for the treatment of ESRD and if certain tests are
frequently reported with the AY modifier, then those laboratories or
ESRD facilities could appear to be inappropriately billing Medicare.
While we recognize stakeholders' concerns, for CY 2016, we are
reiterating our policy that any laboratory test furnished to an ESRD
beneficiary for the treatment of ESRD is considered to be a renal
dialysis service and is not payable outside of the ESRD PPS. We
continue to believe that it is necessary to use a list of laboratory
services that are routinely furnished for the treatment of ESRD for
enforcing the CB requirements. In addition, we continue to believe it
is convenient for ESRD beneficiaries to have their blood drawn at the
time of dialysis for laboratory testing for reasons other than for the
treatment of ESRD.
We have included appropriate payments into the base rate to account
for any laboratory test that a practitioner determines to be used for
the treatment of ESRD. It is important that medical necessity be the
reason for how items and services are reported to Medicare. When
services are reported appropriately, payments are made appropriately
out of the Trust Fund and ESRD beneficiaries are not unfairly
inconvenienced by constraints placed upon them because a certain
laboratory test is or is not included in the ESRD PPS. Therefore, in
order to maintain practitioner flexibility for ordering tests believed
medically necessary for the treatment of ESRD, and have those tests
included and paid under the ESRD PPS, we are not proposing a specific
list of laboratory services that are always considered furnished for
the treatment of ESRD.
We are, however, soliciting comment on the current list of
laboratory services that is used for the ESRD PPS CB requirements to
determine if there is consensus among stakeholders regarding whether
the list includes those laboratory tests that are routinely furnished
for the treatment of ESRD. Table 9 is the list of laboratory tests that
is used for the CB requirements. We agree with the stakeholders that
there can be different interpretations among practitioners as to what
is considered to be furnished for the treatment of ESRD and that there
can be some views that are more conservative than others. Stakeholder
comments will assist us in determining whether any of the laboratory
services included in the current list generally are not furnished for
ESRD treatment.
In the context of this clarification, we are proposing to remove
the lipid panel from the CB list. As we stated in the CY 2013 ESRD PPS
final rule (77 FR 67470), it was our understanding that the lipid panel
was routinely used for the treatment of ESRD. We explained that because
some forms of dialysis, particularly peritoneal dialysis, are
associated with increased cholesterol and triglyceride levels, a lipid
profile laboratory test to assess these levels would be considered
furnished for the treatment of ESRD. However, since the CY 2013 final
rule was published we have learned from stakeholders that the lipid
panel is mostly used to monitor cardiac conditions and is not routinely
furnished for the treatment of ESRD. We believe that the proposal to
remove the lipid panel is consistent with the clarification provided in
this rule that laboratory services included in Table 9 and subject to
ESRD consolidated billing are those that are routinely furnished for
the treatment of ESRD but that may occasionally be used to treat non-
ESRD-related conditions. In contrast, the lipid profile laboratory test
is not routinely used for the treatment of ESRD. We solicit comment on
this proposal.
Table 9--Laboratory Services Subject to ESRD Consolidated billing
------------------------------------------------------------------------
Short description CPT/HCPCS
------------------------------------------------------------------------
Basic Metabolic Panel (Calcium, ionized)................... 80047
Basic Metabolic Panel (Calcium, total)..................... 80048
Electrolyte Panel.......................................... 80051
Comprehensive Metabolic Panel.............................. 80053
Lipid Panel................................................ 80061
Renal Function Panel....................................... 80069
Hepatic Function Panel..................................... 80076
Assay of serum albumin..................................... 82040
Assay of aluminum.......................................... 82108
Vitamin d, 25 hydroxy...................................... 82306
Assay of calcium........................................... 82310
Assay of calcium, Ionized.................................. 82330
Assay, blood carbon dioxide................................ 82374
Assay of carnitine......................................... 82379
Assay of blood chloride.................................... 82435
Assay of creatinine........................................ 82565
Assay of urine creatinine.................................. 82570
Creatinine clearance test.................................. 82575
Vitamin B-12............................................... 82607
Vit d 1, 25-dihydroxy...................................... 82652
Assay of erythropoietin.................................... 82668
Assay of ferritin.......................................... 82728
Blood folic acid serum..................................... 82746
Assay of iron.............................................. 83540
Iron binding test.......................................... 83550
Assay of magnesium......................................... 83735
Assay of parathormone...................................... 83970
Assay alkaline phosphatase................................. 84075
Assay of phosphorus........................................ 84100
Assay of serum potassium................................... 84132
Assay of prealbumin........................................ 84134
Assay of protein, serum.................................... 84155
Assay of protein by other source........................... 84157
Assay of serum sodium...................................... 84295
Assay of transferrin....................................... 84466
Assay of urea nitrogen..................................... 84520
Assay of urine/urea-n...................................... 84540
Urea-N clearance test...................................... 84545
Hematocrit................................................. 85014
Hemoglobin................................................. 85018
Complete (cbc), automated (HgB, Hct, RBC, WBC, and Platelet 85025
count) and automated differential WBC count...............
Complete (cbc), automated (HgB, Hct, RBC, WBC, and Platelet 85027
count)....................................................
Automated rbc count........................................ 85041
Manual reticulocyte count.................................. 85044
Automated reticulocyte count............................... 85045
Reticyte/hgb concentrate................................... 85046
Automated leukocyte count.................................. 85048
Hep b core antibody, total................................. 86704
Hep b core antibody, igm................................... 86705
Hep b surface antibody..................................... 86706
Blood culture for bacteria................................. 87040
Culture, bacteria, other................................... 87070
Culture bacteri aerobic othr............................... 87071
Culture bacteria anaerobic................................. 87073
Cultr bacteria, except blood............................... 87075
Culture anaerobe ident, each............................... 87076
Culture aerobic identify................................... 87077
Culture screen only........................................ 87081
Hepatitis b surface ag, eia................................ 87340
CBC/diff wbc w/o platelet.................................. G0306
CBC without platelet....................................... G0307
------------------------------------------------------------------------
Although we are not proposing to change our policy related to
payment for ESRD-related laboratory services under the ESRD PPS, we are
clarifying that to the extent a laboratory test is performed to monitor
the levels or effects of any of the drugs that we have specifically
excluded from the ESRD PPS, these tests would be separately billable.
In the CY 2011 ESRD PPS final rule, we discuss when certain drugs and
biologicals would not be considered for the treatment of ESRD.
Specifically, Table 10, which appeared as Table 3--ESRD Drug Category
Excluded from the Final ESRD PPS Base Rate in the CY 2011 ESRD PPS
final rule (75 FR 49049), lists the drug categories that were excluded
from the ESRD PPS and the rationale for their exclusion. Laboratory
services that are furnished to monitor the medication levels or effects
of drugs and biologicals that fall in those categories would not be
considered to be furnished for the
[[Page 37837]]
treatment of ESRD. We are soliciting comment on this clarification.
Table 10--ESRD Drug Categories Excluded From the Final ESRD PPS Base
Rate
------------------------------------------------------------------------
Drug category Rationale for exclusion
------------------------------------------------------------------------
Anticoagulant................ Drugs labeled for non-renal dialysis
conditions and not for vascular access.
Antidiuretic................. Used to prevent fluid loss.
Antiepileptic................ Used to prevent seizures.
Anti-inflammatory............ May be used to treat kidney disease
(glomerulonephritis) and other
inflammatory conditions.
Antipsychotic................ Used to treat psychosis.
Antiviral.................... Used to treat viral conditions such as
shingles.
Cancer management............ Includes oral, parenteral and infusions.
Cancer drugs are covered under a
separate benefit category.
Cardiac management........... Drugs that manage blood pressure and
cardiac conditions.
Cartilage.................... Used to replace synovial fluid in a joint
space.
Coagulants................... Drugs that cause blood to clot after anti-
coagulant overdose or factor VII
deficiency.
Cytoprotective agents........ Used after chemotherapy treatment.
Endocrine/metabolic Used for endocrine/metabolic disorders
management. such as thyroid or endocrine deficiency,
hypoglycemia, and hyperglycemia.
Erectile dysfunction Androgens were used prior to the
management. development of ESAs for anemia
management and currently are not
recommended practice. Also used for
hypogonadism and erectile dysfunction.
Gastrointestinal management.. Used to treat gastrointestinal conditions
such as ulcers and gallbladder disease.
Immune system management..... Anti-rejection drugs covered under a
separate benefit category.
Migraine management.......... Used to treat migraine headaches and
symptoms.
Musculoskeletal management... Used to treat muscular disorders such as
prevent muscle spasms, relax muscles,
improve muscle tone as in myasthenia
gravis, relax muscles for intubation and
induce uterine contractions.
Pharmacy handling for oral Not a function performed by an ESRD
anti-cancer, anti-emetics facility.
and immunosuppressant drugs.
Pulmonary system management.. Used for respiratory/lung conditions such
as opening airways and newborn apnea.
Radiopharmaceutical Includes contrasts and procedure
procedures. preparation.
Unclassified drugs........... Should only be used for drugs that do not
have a HCPCS code and therefore cannot
be identified.
Vaccines..................... Covered under a separate benefit
category.
------------------------------------------------------------------------
2. Renal Dialysis Service Drugs and Biologicals
a. 2014 Part D Call Letter Follow-up
Last year, we received public comments that expressed concern that
the 2014 Part D Call Letter provision for prior authorization for drug
categories that may be used for ESRD as well as other conditions
resulted in Part D plan sponsors' inappropriately refusing to cover
oral drugs that are not renal dialysis services. Specifically, they
noted that beneficiaries had difficulties obtaining necessary
medications such as oral antibiotics prescribed for pneumonia and that
the 2014 Part D Call Letter provision led to confusion for Part D plan
sponsors and delays in beneficiaries obtaining essential medications at
the pharmacy.
In response to the comments, we explained that the guidance in the
2014 Part D Call Letter was issued in response to increases in billing
under Part D for drugs that may be prescribed for renal dialysis
services but may also be prescribed for other conditions. The guidance
strongly encouraged Part D sponsors to place beneficiary-level prior
authorization edits on all drugs in the seven categories identified in
the CY 2011 ESRD PPS final rule as drugs that may be used for dialysis
and non-dialysis purposes (75 FR 49051). These include: Antiemetics,
anti-infectives, anti-pruritics, anxiolytics, drugs used for excess
fluid management, drugs used for fluid and electrolyte management
including volume expanders, and drugs used for pain management
(analgesics). We indicated in the CY 2015 ESRD PPS final rule (79 FR
66151) that we were considering various alternatives for dealing with
this issue, as it has always been our intention to eliminate or
minimize disruptions or delays in ESRD beneficiaries receiving
essential medications and that we planned to issue further guidance to
address the issue.
In the Health Plan Management System memo issued on November 14,
2014, we encouraged sponsors to remove the beneficiary-level prior
authorization (PA) edits on these drugs. When claims are submitted to
Part D for drugs in the seven categories, we expect that they are not
being used for the treatment of ESRD and, therefore, may be coverable
under Part D. We also expect that Medicare ESRD facilities will
continue to provide all of the medications used for the treatment of
ESRD, including drugs in the seven categories. We will continue to
monitor the utilization of renal dialysis drugs and biologicals under
Part B and Part D.
b. Oral or Other Forms of Renal Dialysis Injectable Drugs and
Biologicals
The ESRD PPS includes certain drugs and biologicals that were
previously paid under Part D. Oral or other forms of injectable drugs
and biologicals used for the treatment of ESRD, for example, vitamin D
analogs, levocarnitine, antibiotics or any other oral or other form of
a renal dialysis injectable drug or biological are also included in the
ESRD PPS and may not be separately paid. These drugs are included in
the ESRD PPS payment because the payments made for both the injectable
and oral forms were included in the ESRD PPS base rate. As discussed in
section II.B.4 of this proposed rule, implementation of oral-only drugs
used in the treatment of ESRD (that is, drugs with no injectable
equivalent) under the ESRD PPS payment has been delayed until 2025.
In the CY 2011 ESRD PPS final rule (75 FR 49172), we stated that
ESRD facilities are required to record the quantity of oral medications
provided for the monthly billing period. In addition, ESRD facilities
would submit claims for oral drugs only after having
[[Page 37838]]
received an invoice of payment. We indicated that we would address
recording of drugs on an ESRD claim in future guidance. We included
this requirement because renal dialysis drugs and biologicals that were
paid separately prior to the ESRD PPS, as many of these oral
medications were, are eligible outlier items and services. If an ESRD
facility were to report a 90-day supply of a drug on a monthly claim,
the claim could receive an outlier payment erroneously.
On June 7, 2013, we issued an update to the Medicare Benefits
Policy Manual, Pub. 100-02, Chapter 11 to reflect implementation of the
ESRD PPS in Change Request 8261. In section 20.3.C of the updated
Medicare Benefits Policy Manual, we stated that for ESRD-related oral
or other forms of drugs that are filled at the pharmacy for home use,
ESRD facilities should report one line item per prescription, but only
for the quantity of the drug expected to be taken during the claim
billing period.
Example: A prescription for oral vitamin D was ordered for one
pill to be taken 3 times daily for a period of 45 days. The patient
began taking the medication on April 15, 2011. On the April claim,
the ESRD facility would report the appropriate National Drug Code
(NDC) code for the drug with the quantity 45 (15 days x 3 pills per
day). The remaining pills which would be taken in May would appear
on the May claim for a quantity of 90 (30 days x 3 pills per day).
Prescriptions for a 3 month supply of the drug would never be
reported on a single claim. Only the amount expected to be taken
during the month would be reported on that month's claim.
In February 2015, we were informed by one of the large dialysis
organizations that they, and many other ESRD chain organizations, are
out of compliance with the requirement that only the quantity of the
drug expected to be taken during the claim billing period should be
indicated on the ESRD monthly claim. They indicated that some
facilities are incorrectly reporting units that reflect a 60-day or 90-
day prescription while other facilities are not reporting the oral
drugs prescribed. The reason given for these reporting errors is the
lack of prescription processing information. Specifically, while the
facilities know when the pharmacy fills the prescription, they do not
know when the patient picks up the drug from the pharmacy and begins to
take the drug.
Due to this confusion and lack of compliance, we are reiterating
our current policy that all renal dialysis service drugs and
biologicals prescribed for ESRD patients, including the oral forms of
renal dialysis injectable drugs, must be reported by ESRD facilities
and the units reported on the monthly claim must reflect the amount
expected to be taken during that month. The facilities should use the
best information they have in determining the amount expected to be
taken in a given month, including fill information from the pharmacy
and the patient's plan of care. Any billing system changes to
effectuate this change must be made as soon as possible as this
requirement has been in effect since the ESRD PPS began in 2011. We are
analyzing ESRD facility claims data to determine the extent of the
reporting error and may take additional actions in the future.
c. Reporting of Composite Rate Drugs
As we indicated in the Medicare Claims Processing Manual, Pub. 100-
04, Chapter 8, section 50.3, as revised by Change Request 8978, issued
December 2, 2014, in an effort to enhance the ESRD claims data for
possible future refinements to the ESRD PPS, CMS announced that ESRD
facilities should begin reporting composite rate drugs on their monthly
claims. Specifically, ESRD facilities should only report the composite
rate drugs identified on the consolidated billing drug list and
provided below in Table 11.
Table 11--Composite Rate Drugs and Biologicals
------------------------------------------------------------------------
------------------------------------------------------------------------
Composite Rate Drugs and A4802 INJ PROTAMINE SULFATE
Biologicals.
J0670 INJ MEPIVACAINE
HYDROCHLORIDE
J1200 INJ DIPHENHYDRAMINE HCL
J1205 INJ CHLOROTHIAZIDE
SODIUM
J1240 INJ DIMENHYDRINATE
J1940 INJ FUROSEMIDE
J2001 INJ LIDOCAINE HCL FOR
INTRAVENOUS INFUSION,
10 MG
J2150 INJ MANNITOL
J2720 INJ PROTAMINE SULFATE
J2795 INJ ROPIVACAINE
HYDROCHLORIDE
J3410 INJ HYDROXYZINE HCL
J3480 INJ. POTASSIUM CHLORIDE,
PER 2 MEQ.
Q0163 DIPHENHYDRAMINE
HYDROCHLORIDE
------------------------------------------------------------------------
The ESRD PPS payment policy remains the same for composite rate
drugs, therefore, no separate payment is made and these drugs will not
be designated as eligible outlier services. This information will
provide CMS with the full scope of renal dialysis services which may
better target outlier services to the most costly patients.
III. End-Stage Renal Disease (ESRD) Quality Incentive Program (QIP) for
Payment Year (PY) 2019
A. Background
For more than 30 years, monitoring the quality of care provided by
dialysis facilities to patients with end-stage renal disease (ESRD) has
been an important component of the Medicare ESRD payment system. The
ESRD Quality Incentive Program (QIP) is the most recent step in
fostering improved patient outcomes by establishing incentives for
dialysis facilities to meet or exceed performance standards established
by CMS. The ESRD QIP is authorized by section 1881(h) of the Social
Security Act (the Act), which was added by section 153(c) of the
Medicare Improvements for Patients and Providers Act (MIPPA).
Section 1881(h) of the Act requires the Secretary to establish an
ESRD QIP by (1) selecting measures; (2) establishing the performance
standards that apply to the individual measures; (3) specifying a
performance period with respect to a year; (4) developing a methodology
for assessing the total performance of each facility based on the
performance standards with respect to the measures for a performance
period; and (5) applying an appropriate payment reduction to facilities
that do not meet or exceed the established Total Performance Score
(TPS). This proposed rule discusses each of these elements and our
proposals for their application to PY 2019 and future years of the ESRD
QIP.
B. Clarification of ESRD QIP Terminology: ``CMS Certification Number
(CCN) Open Date''
Some stakeholders have expressed confusion about the use of the
term
[[Page 37839]]
``CMS Certification Number (CCN) Open Date'' under the ESRD QIP (for
example, see 79 FR 66186). We interpret this term to mean the
``Medicare effective date'' under 42 CFR 489.13, which governs when the
facility can begin to receive Medicare reimbursement for ESRD services
under the ESRD PPS. Thus, a facility is eligible, with respect to a
particular payment year, to receive scores on individual measures and
participate in general in the ESRD QIP based on the facility's CCN Open
Date (i.e., Medicare effective date).
C. Proposal To Use the Hypercalcemia Measure as a Measure Specific to
the Conditions Treated With Oral-Only Drugs
Section 217(d) of The Protecting Access to Medicare Act of 2014
(PAMA) (Pub. L. 113-93), enacted on April 1, 2014, amends section
1881(h)(2) of the Act to require the Secretary to adopt measures in the
ESRD QIP (outcomes based, to the extent feasible) that are specific to
the conditions treated with oral-only drugs for 2016 and subsequent
years. We stated in the CY 2015 ESRD PPS final rule (79 FR 66168-69)
that we believed the Hypercalcemia clinical measure, which was adopted
beginning with the PY 2016 program meets this new statutory
requirement; nevertheless, we also recognized that, consistent with
PAMA, we could adopt measures as late as for CY 2016, which would be
included in the PY 2018 ESRD QIP. We also stated that we would take
into account comments on whether the Hypercalcemia clinical measure can
be appropriately characterized as a measure specific to the conditions
treated with oral-only drugs.
Although section 1881(h)(2)(E)(i) does not define the term ``oral-
only drugs,'' we have previously interpreted that term to mean ``drugs
for which there is no injectable equivalent or other form of
administration'' (75 FR 49038). We have also previously identified
calcimimetics and phosphate binders as two types of ``oral-only drugs''
(75 FR 49044).
We are currently aware of three conditions that are treated with
calcimimetics and phosphate binders: Secondary Hyperparathyroidism,
Tertiary Hyperparathyroidism, and Hypercalcemia. Hypercalcemia is a
condition that results when the entry of calcium into the blood exceeds
the excretion of calcium into the urine or deposition in bone; the
condition may be caused by a number of other conditions, including
hyperparathyroidism. Although multiple treatment options are available
for patients with early forms of hypercalcemia, calcimimetics are
frequently prescribed for those patients who develop hypercalcemia
secondary to tertiary hyperparathyroidism, in order to most easily
control the patients' serum calcium levels. Because hypercalcemia is a
condition that is frequently treated with calcimimetics, and because
calcimimetics are oral-only drugs, we believe that the current
Hypercalcemia clinical measure (NQF #1454) meets the requirement that
the ESRD QIP measure set include for 2016 and subsequent years measures
that are specific to the conditions treated with oral-only drugs.
We acknowledge that the Hypercalcemia clinical measure is not an
outcome-based measure, and we have considered the possibility of
adopting outcome-based measures that are specific to the conditions
treated with oral-only drugs. However, we are currently not aware of
any outcome-based measures that would satisfy this requirement. We
welcome comments on whether such outcome-based measures are either
ready for implementation now or are being developed, and we intend to
consider the feasibility of developing such a measure in the future.
We seek comments on this proposal.
D. Sub-Regulatory Measure Maintenance in the ESRD QIP
In the CY 2013 ESRD PPS final rule, we finalized our policy to use
a sub-regulatory process to make non-substantive updates to measures
(77 FR 67477). We currently make available the technical specifications
for ESRD QIP measures at https://www.cms.gov/Medicare/Quality-Initiatives-Patient-Assessment-Instruments/ESRDQIP/061_TechnicalSpecifications.html but are in the process of drafting a
CMS ESRD Measures Manual which will include not only the ESRD QIP
measure specifications, but also technical information on quality
indicators that facilities report for other CMS ESRD programs. We
expect to release the first version of the CMS ESRD Measures Manual in
the near future at the following web address: https://www.cms.gov/Medicare/Quality-Initiatives-Patient-Assessment-Instruments/ESRDQIP/. The manual will be released before the beginning of the
applicable performance period, preferably at least 6 months in advance.
We believe that this update frequency will be sufficient to provide
facilities with information needed to incorporate these updates into
their ESRD data collection activities. We note that this policy is
consistent with our policy for updating the CMS National Hospital
Inpatient Quality Measures Specifications Manual, which is posted on
the QualityNet Web site (www.qualitynet.org).
We welcome recommendations from the public on technical updates to
ESRD QIP measures. We will consider the appropriateness of all
recommendations, notify those who submit recommendations as to whether
we accept the recommendation, and incorporate accepted recommendations
in a future release of the CMS ESRD Measure Manual. At present, we
intend to use JIRA, a web-based collaboration platform maintained by
the Office of the National Coordinator for Health Information
Technology, to receive, consider, and respond to recommendations for
non-substantive measure changes. Further information about how to use
the JIRA tool to make such recommendations will be published in an
upcoming CROWN Memo and will be posted to https://www.cms.gov/Medicare/Quality-Initiatives-Patient-Assessment-Instruments/ESRDQIP/.
E. Proposed Revision to the Requirements for the PY 2017 ESRD QIP
1. Proposal To Modify the Small Facility Adjuster Calculation for All
Clinical Measures Beginning With the PY 2017 ESRD QIP
In the CY 2013 ESRD PPS final rule we adopted a scoring adjustment
for facilities with relatively small numbers of patients, called the
small facility adjuster, which aims to ensure that any error in measure
rates due to a small number of cases will not adversely affect facility
payment (77 FR 67511). Since we first implemented the methodology to
implement the small facility adjuster, we have encountered two issues
related to basing the adjustment on the within-facility standard error.
First, facility scores for some of the outcome measures adopted in the
ESRD QIP, such as the National Healthcare Safety Network (NHSN)
Bloodstream Infection (BSI) clinical measure, do not approximate a
normal or ``bell-shaped'' distribution. In such cases, the within-
facility standard error does not necessarily capture the spread of the
data as it would if facility scores were normally distributed. Second,
facilities and other stakeholders have commented that it is difficult
for them to independently calculate pooled within-facility standard
errors because doing so requires data for all patient-months across all
facilities, which makes the small facility adjuster unnecessarily
opaque. For these reasons, we have developed an equation for
determining the small facility adjuster that does not rely upon a
[[Page 37840]]
within-facility standard error, but nonetheless preserves the intent of
the adjuster to include as many facilities in the ESRP QIP as possible
while ensuring that the measure scores are reliable.
Therefore, beginning with the PY 2017 ESRD QIP, we propose to use
the following methodology to determine the small facility adjustment:
For the ith facility, suppose the facility's original
measure rate is pi and the number of patients (or other unit used to
establish data minimums for the measure. For example, index discharges
for the Standardized Readmission Ratio clinical measure) at the ith
facility is ni.
Where the number of eligible patients (or other
appropriate unit) needed to receive a score on a measure is L and the
upper threshold for applying the small facility adjuster is C, the ith
facility will be eligible for the adjustment when L<=ni Assuming
[GRAPHIC] [TIFF OMITTED] TP01JY15.012
where ni is the number of patients ( or other appropriate unit) at the
ith facility and C is the upper thresholds of eligible patients (or
other appropriate unit) a facility needs to have in order to be
considered for a small facility adjustment. This calculation will
produce the facility's weighting coefficient for a given clinical
measure, wi, which provides a metric for assessing the uncertainty due
to small facility sizes.
For measures where higher scores are better (for example,
the Vascular Access Type (VAT): Fistula clinical measure and the
Dialysis Adequacy clinical measures), a small facility's adjusted
performance rates (ti) will be pegged to the national mean performance
rate (P) as follows:
[cir] If pi For measures where lower scores are better (for example,
VAT: Catheter, NHSN BSI, Hypercalcemia, Standardized Readmission Ratio
(SRR), and Standardized Transfusion Ratio (STrR) clinical measures), a
small facility's adjusted performance rates (ti) will be pegged to the
national mean performance rate (P) as follows:
[cir] If pi>P, then ti = wi * pi + (1-wi) * P
[cir] If pi is less than or equal to P, the facility will not
receive an adjustment.
For the standardized ratio measures, such as the SRR and
STrR clinical measures, the national mean measure rate (that is, P) is
set to 1.
We note that the equation ti = wi * pi + (1-wi) * P is designed to
``shrink'' the facility mean toward the national mean, and that wi
reflects the degree of confidence in the estimation of the facility
mean, because it depends on facility size. Some research has shown that
this type of ``shrinkage estimator'' equation gives a small mean
squared error (that is, the combination of bias and variance) if the
national mean truly reflects the performance of a small facility, which
was the intention of the equation.\2\
---------------------------------------------------------------------------
\2\ Efron B, Morris C. Empirical Bayes on vector observations:
An extension of Stein's method. Biometrika, 59(2):335-347. Ahmed SE,
Khan SM. Improved estimation of the Poisson parameter. Statistica,
anno LIII n.2, 268-286, 1993. Ahmed SE. Combining Poisson means.
Communications in Statistics: Theory and Methods, 20, 771-789, 1991.
---------------------------------------------------------------------------
To assess the impact of the proposed small facility adjuster, we
conducted an impact analysis of this proposed methodology on individual
measure scores and facility TPSs, using the final dataset used to
calculate PY 2015 ESRD QIP scores. The full results of this analysis
can be found at https://www.cms.gov/Medicare/Quality-Initiatives-Patient-Assessment-Instruments/ESRDQIP/061_TechnicalSpecifications.html. Table 12 summarizes these results,
presenting changes in measure scores observed after applying the
proposed small facility adjuster, as compared to measure scores
calculated with the existing small facility adjuster. For the purposes
of this analysis and for all of the measures, L was set to 11 and C was
set to 26.
Table 12--Impact of Proposed Small Facility Adjuster on Individual Measure Scores, Using the Final Dataset for
the PY 2015 ESRD QIP
----------------------------------------------------------------------------------------------------------------
# facilities # #
# National # with score facilities facilities
facilities mean in the facilities change due to with higher with lower
Measure received performance receiving new SFA method N score under score under
SFA in PY period (CY SFA under (% out of scored new SFA new SFA
2015 2013) (%) new method facilities) method method
----------------------------------------------------------------------------------------------------------------
Hgb=12............ 1,253 0.4 63 32 out of 5,513 32 0
(0.6%).
Fistula...................... 938 64.1 391 341 out of 5,547 66 275
(6.1%).
Catheter..................... 826 11.7 352 301 out of 5,562 65 236
(5.4%).
HD Kt/V...................... 588 91.1 173 248 out of 5,641 22 226
(4.4%).
Ped HD Kt/V.................. 11 80.1 1 8 out of 11 0 8
(72.7%).
PD Kt/V...................... 787 76.4 192 400 out of 1,203 62 338
(33.3%).
----------------------------------------------------------------------------------------------------------------
TPS.......................... ........... ........... ........... 513 out of 5,650 96 417
(9.1%).
Reduction.................... ........... ........... ........... 43 out of 5,650 23 20
(0.8%).
----------------------------------------------------------------------------------------------------------------
As the results in Table 12 indicate, fewer facilities received an
adjustment under the proposed small facility adjuster methodology,
because small facilities with performance rates above the national mean
do not receive an adjustment. However, those facilities that did
receive an adjustment generally received a larger adjustment under the
proposed methodology. For example, of the 43 facilities that received a
different payment reduction under the proposed small facility adjuster,
23 (53 percent) received a lower payment reduction.
[[Page 37841]]
We also assessed the impact of the proposed small facility adjuster
on the distribution of payment reductions, using the final dataset used
to calculate PY 2015 ESRD QIP payment reductions. The full results of
this analysis can be found at https://www.cms.gov/Medicare/Quality-Initiatives-Patient-Assessment-Instruments/ESRDQIP/061_TechnicalSpecifications.html. Table 13 below compares the
distribution of payment reductions using the existing small facility
adjuster to the distribution of payment reductions using the proposed
small facility adjuster. For the purposes of this analysis and for all
of the measures, L was set to 11 and C was set to 26.
TABLE 13--Comparison of the Distribution of Payment Reductions Determined With the Existing and Proposed Small
Facility Adjuster, Using the Final Dataset for the PY 2015 ESRD QIP
----------------------------------------------------------------------------------------------------------------
Payment reduction distribution in PY 2015 using the existing SFA Estimated payment reduction distribution in PY
----------------------------------------------------------------- 2015 using the new SFA
-----------------------------------------------
Number of Percent of Percent of
Payment reduction (%) facilities facilities Payment Number of facilities
(%) reduction (%) facilities (%)
----------------------------------------------------------------------------------------------------------------
0.0............................. 5,307 93.93 0.0 5,296 93.73
0.5............................. 242 4.28 0.5 255 4.51
1.0............................. 41 0.73 1.0 45 0.80
1.5............................. 23 0.41 1.5 26 0.46
2.0............................. 378 0.65 2.0 28 0.50
----------------------------------------------------------------------------------------------------------------
Note: This table excludes 488 facilities that did not receive a score because they did not have enough data to
receive a TPS.
These results suggest that a similar number of facilities would
receive a payment reduction under the proposed small facility adjuster
methodology. A total of 343 (6.1 percent) facilities would receive a
payment reduction with the existing small facility adjuster; under the
proposed small facility adjuster methodology, a total of 354 (6.3
percent) facilities would have received a payment reduction. Based on
the results of these analyses, we believe that the proposed small
facility adjuster does not systematically alter the distribution of
measure scores, TPSs, and payment reductions, as compared to the
existing small facility adjuster. Coupled with the benefits of removing
the within-facility standard error variable from the existing adjuster
(discussed above), this leads us to believe that the benefits of the
proposed adjuster outweigh the benefits of the existing adjuster. We
therefore propose to modify the methodology for determining the small
facility adjustment as explained above.
We seek comments on this proposal.
2. Proposal To Reinstate Qualifying Patient Attestations for the ICH
CAHPS Clinical Measure
In the CY 2015 ESRD PPS final rule, we finalized our proposal to
remove the case minimum attestation for the ICH CAHPS reporting measure
due to facility confusion regarding the attestation process (79 FR
66185). We further finalized that we would determine facility
eligibility for the ICH CAHPS reporting measure based on available data
submitted via CROWNWeb, Medicare claims, and other CMS administrative
data sources. Following the publication of that rule we have determined
that we do not have reliable data sources for determining some of the
patient-level exclusions. For example, we have been unable to locate a
reliable data source for determining whether a patient is receiving
hospice care or is residing in an institution such as a prison or a
jail.
Although some facilities may be experiencing issues related to the
attestation process (for example, during the preview period, we have
encountered numerous instances where facilities have either attested
inappropriately or have failed to attest in a timely fashion), we
believe that facilities are generally able to determine whether their
patients meet one or more of the exclusion criteria for the measure.
For this reason, we believe that having facilities attest that they are
ineligible for the measure will result in more accurate measure scores,
as compared to using unreliable data sources to determine whether
facilities treated the requisite number of eligible patients during the
eligibility period, (defined as the calendar year immediately preceding
the performance period). Because we have no reason to believe that
reliable data sources for some of the patient-level exclusions for the
ICH CAHPS clinical measure will become available in the near term, and
because the PY 2017 ICH CAHPS reporting measure and the PY 2018 ICH
CAHPS clinical measure employ the same exclusion criteria, we propose
to reinstate the attestation process we previously adopted in the CY
2014 ESRD PPS final rule (78 FR 72220 through 72222) beginning with the
PY 2017 program year. However, we are now proposing to have facilities
attest on the basis of the eligibility criteria finalized in the CY
2015 ESRD PPS final rule (79 FR 66169 through 66170). Accordingly,
facilities seeking to avoid scoring on the ICH CAHPS measure due to
ineligibility must attest in CROWNWeb by January 31 of the year
immediately following the performance period (for example, January 31,
2017, for the PY 2018 ESRD QIP) that they did not treat enough eligible
patients during the eligibility period to receive a score on the ICH
CAHPS measure. Facilities that submit attestations regarding the number
of eligible patients treated at the facility during the eligibility
period by the applicable deadline will not receive a score on the ICH
CAHPS clinical measure for that program year. Facilities that do not
submit such attestations will be eligible to receive a score on the
measure. However, even if a facility is eligible to receive a score on
the measure because it has treated at least 30 survey-eligible patients
during the eligibility period (defined as the calendar year before the
performance period), the facility will still not receive a score on the
measure if it cannot collect at least 30 survey completes during the
performance period. Facility attestations are limited to the number of
eligible patients treated at the facility during the eligibility
period, and are not intended to capture the number of completed surveys
at a facility during the performance period. The ESRD QIP system will
determine how many completed surveys a facility received during the
performance period. We are not proposing to change any of the other
data minimum requirements for the PY 2017 ICH CAHPS reporting measure,
or for the ICH CAHPS clinical measure in PY 2018 and future payment
years. To reduce confusion, we will release a
[[Page 37842]]
CROWN Memo detailing how facilities are expected to attest.
We seek comments on this proposal.
F. Proposed Requirements for the PY 2018 ESRD QIP
1. Estimated Performance Standards, Achievement Thresholds, and
Benchmarks for the Clinical Measures Finalized for the PY 2018 ESRD QIP
In the CY 2015 ESRD PPS final rule, we stated that we would publish
values for the PY 2018 clinical measures, using data from CY 2014 and
the first portion of CY 2015, in the CY 2016 ESRD PPS final rule (79 FR
66209). At this time, we do not have the necessary data to assign
numerical values to the proposed performance standards, achievement
thresholds, and benchmarks because we do not yet have complete data
from CY 2014. Nevertheless, we are able to estimate these numerical
values based on the most recent data available. For the Vascular Access
Type and Hypercalcemia clinical measures, this data comes from the
period of January through December 2014. For the SRR and STrR clinical
measures, this data comes from the period of January through December
2013. In Table 14, we have provided the estimated numerical values for
all of the finalized PY 2018 ESRD QIP clinical measures, except the ICH
CAHPS clinical measure, because the performance standards for that
measure will be calculated using CY 2015 data. We will publish updated
values for the clinical measures, using data from the first part of CY
2015, in the CY 2016 ESRD PPS final rule.
Table 14--Estimated Numerical Values for the Performance Standards for the PY 2018 ESRD QIP Clinical Measures
Using The Most Recently Available Data
----------------------------------------------------------------------------------------------------------------
Measure Achievement threshold Benchmark Performance standard
----------------------------------------------------------------------------------------------------------------
Vascular Access Type:................
% Fistula........................ 53.52%................. 79.67%................. 66.02%.
% Catheter....................... 17.44%................. 2.73%.................. 9.24%.
Kt/V.................................
Adult Hemodialysis............... 89.83%................. 98.22%................. 95.07%.
Adult Peritoneal Dialysis........ 74.68%................. 96.50%................. 88.67%.
Pediatric Hemodialysis........... 50.00%................. 96.90%................. 89.45%.
Pediatric Peritoneal Dialysis.... 43.22%................. 88.39%................. 72.60%.
Hypercalcemia........................ 3.86%.................. 0.00%.................. 1.13%.
NHSN Bloodstream Infection SIR....... 1.811.................. 0...................... 0.861.
Standardized Readmission Ratio....... 1.261.................. 0.649.................. 0.998.
Standardized Transfusion Ratio....... 1.488.................. 0.451.................. 0.915.
ICH CAHPS............................ 50th percentile of 15th percentile of 90th percentile of
eligible facilities' eligible facilities' eligible facilities'
performance during CY performance during CY performance during CY
2015. 2015. 2015.
----------------------------------------------------------------------------------------------------------------
We believe that the ESRD QIP should not have lower performance
standards than in previous years. Accordingly, if the final numerical
value for a performance standard, achievement threshold, and/or
benchmark is worse than it was for that measure in the PY 2017 ESRD
QIP, then we propose to substitute the PY 2017 performance standard,
achievement threshold, and/or benchmark for that measure.
We seek comments on this proposal.
2. Proposed Modification to Scoring Facility Performance on the Pain
Assessment and Follow-Up Reporting Measure
In the CY 2015 ESRD PPS final rule, we finalized the following
calculation for scoring facility performance on the Pain Assessment and
Follow-Up reporting measure under the PY 2018 ESRD QIP (79 FR 66211):
[GRAPHIC] [TIFF OMITTED] TP01JY15.013
We have since determined that this calculation may unduly penalize
facilities that treat no eligible patients in one of the two six-month
periods evaluated under this measure; under this calculation, those
facilities would have a ``0'' for the applicable period's data, in
effect giving the facility half of its score on the remaining six-month
period as a measure score. In order to avoid such an undue impact on
facility scores, we propose that, beginning with the PY 2018 ESRD QIP,
if a facility treats no eligible patients in one of the two six-month
periods, then that facility's score will be based solely on the
percentage of eligible patients treated in the other six-month period
for whom the facility reports one of six conditions.
We seek comments on this proposal.
3. Proposed Payment Reductions for the PY 2018 ESRD QIP
Section 1881(h)(3)(A)(ii) of the Act requires the Secretary to
ensure that the application of the ESRD QIP scoring methodology results
in an appropriate distribution of payment reductions across facilities,
such that facilities achieving the lowest TPSs receive the largest
payment reductions. In the CY 2015 ESRD PPS final rule, we finalized
our proposal for calculating the minimum TPS for PY 2018 and future
payment years (79 FR 66221 through 66222). Under our current policy, a
facility will not receive a payment reduction if it achieves a minimum
TPS
[[Page 37843]]
that is equal to or greater than the total of the points it would have
received if: (i) It performs at the performance standard for each
clinical measure; and (ii) it receives the number of points for each
reporting measure that corresponds to the 50th percentile of facility
performance on each of the PY 2016 reporting measures (79 FR 66221). We
are proposing to clarify how we will account for measures in the
minimum TPS when we lack the baseline data necessary to calculate a
numerical performance standard before the beginning of the performance
period (per criterion (i) above), because we inadvertently omitted this
detail in the CY 2015 ESRD PPS final rule. Specifically, we propose,
for the PY 2018 ESRD QIP, to add the following criterion previously
adopted for the PY 2017 program (79 FR 66187): ``it received zero
points for each clinical measure that does not have a numerical value
for the performance standard established through rulemaking before the
beginning of the PY 2018 performance period.'' Under this proposal, for
PY 2018, a facility will not receive a payment reduction if it achieves
a minimum TPS that is equal to or greater than the total of the points
it would have received if: (i) It performs at the performance standard
for each clinical measure; (ii) it received zero points for each
clinical measure that does not have a numerical value for the
performance standard established through rulemaking before the
beginning of the PY 2018 performance period; and (iii) it receives the
number of points for each reporting measure that corresponds to the
50th percentile of facility performance on each of the PY 2016
reporting measures.
We were unable to calculate a minimum TPS for PY 2018 in the CY
2015 ESRD PPS final rule because we were not yet able to calculate the
performance standards for each of the clinical measures. We therefore
stated that we would publish the minimum TPS for the PY 2018 ESRD QIP
in the CY 2016 ESRD PPS final rule (79 FR 66222).
Based on the estimated performance standards listed above, we
estimate that a facility must meet or exceed a minimum TPS of 39 for PY
2018. For all of the clinical measures except the SRR, STrR, and ICH
CAHPS clinical measures, these data come from CY 2014. The data for the
SRR and STrR clinical measures come from CY 2013 Medicare claims. For
the ICH CAHPS clinical measure, we set the performance standard to zero
for the purposes of determining this minimum TPS, because we are not
able to establish a numerical value for the performance standard
through the rulemaking process before the beginning of the PY 2018
performance period. We are proposing that a facility failing to meet
the minimum TPS, as established in the CY 2016 ESRD PPS final rule,
will receive a payment reduction based on the estimated TPS ranges
indicated in Table 15 below.
Table 15--Estimated Payment Reduction Scale for PY 2018 Based on the
Most Recently Available Data From CY 2014
------------------------------------------------------------------------
Total performance score Reduction %
------------------------------------------------------------------------
100-39.................................................. 0.0
38-29................................................... 0.5
28-19................................................... 1.0
18-9.................................................... 1.5
8-0..................................................... 2.0
------------------------------------------------------------------------
We seek comments on these proposals.
4. Data Validation
One of the critical elements of the ESRD QIP's success is ensuring
that the data submitted to calculate measure scores and TPSs are
accurate. We began a pilot data-validation program in CY 2013 for the
ESRD QIP, and procured the services of a data-validation contractor
that was tasked with validating a national sample of facilities'
records as reported to CROWNWeb. For validation of CY 2014 data, our
first priority was to develop a methodology for validating data
submitted to CROWNWeb under the pilot data-validation program. That
methodology was fully developed and adopted through the rulemaking
process. For the PY 2016 ESRD QIP (78 FR 72223 through 72224), we
finalized a requirement to sample approximately 10 records from 300
randomly selected facilities; these facilities had 60 days to comply
once they received requests for records. We continued this pilot for
the PY 2017 ESRD QIP, and propose to continue doing so for the PY 2018
ESRD QIP. Under this continued validation study, we will sample the
same number of records (approximately 10 per facility) from the same
number of facilities (that is, 300) during CY 2016. If a facility is
randomly selected to participate in the pilot validation study but does
not provide us with the requisite medical records within 60 days of
receiving a request, then we propose to deduct 10 points from the
facility's TPS. Once we have developed and adopted a methodology for
validating the CROWNWeb data, we intend to consider whether payment
reductions under the ESRD QIP should be based, in part, on whether a
facility has met our standards for data validation.
In the CY 2015 ESRD PPS final rule, we also finalized that there
will be a feasibility study for validating data reported to CDC's NHSN
Dialysis Event Module for the NHSN Bloodstream Infection clinical
measure. Healthcare-Acquired Infections (HAI) are relatively rare, and
we finalized that the feasibility study would target records with a
higher probability of including a dialysis event, because this would
enrich the validation sample while reducing the burden on facilities.
For PY 2018, we propose to use the same methodology that was discussed
in the CY 2015 ESRD QIP final rule (79 FR 66187). This methodology
resembles the methodology we use in the Hospital Inpatient Quality
Reporting Program to validate the central line-associated bloodstream
infection measure, the catheter-associated urinary tract infection
measure, and the surgical site infection measure (77 FR 53539 through
53553). For the PY 2018 ESRD QIP, we propose to randomly select nine
facilities to participate in the feasibility study for data reported in
CY 2016. A CMS contractor will send these facilities quarterly requests
for lists of candidate dialysis events (for example, all positive blood
cultures drawn from its patients during the quarter, including any
positive blood cultures that were collected from the facility's
patients on the day of, or the day following, their admission to a
hospital). Facilities will have 60 days to respond to quarterly
requests for lists of positive blood cultures and other candidate
events. A CMS contractor will then determine when a positive blood
culture or other ``candidate dialysis event'' is appropriate for
further validation. With input from CDC, the CMS contractor will
utilize a methodology for identifying and requesting the candidate
dialysis events other than positive blood cultures. The contractor will
analyze the records of patients who had candidate events in order to
determine whether the facility reported dialysis events for those
patients in accordance with the NHSN Dialysis Event Protocol. If the
contractor determines that additional medical records are needed from a
facility to validate whether the facility accurately reported the
dialysis events, then the contractor will send a request for additional
information to the facility, and the facility will have 60 days from
the date of the letter to respond to the request. Overall, we estimate
that, on
[[Page 37844]]
average, quarterly lists will include two positive blood cultures per
facility, but we recognize these estimates may vary considerably from
facility to facility. If a facility is randomly selected to participate
in the feasibility study but does not provide CMS with the requisite
lists of positive blood cultures or the requisite medical records
within 60 days of receiving a request, then we proposed to deduct 10
points from the facility's TPS.
We seek comments on these proposals.
G. Proposed Requirements for the PY 2019 ESRD QIP
1. Proposed Replacement of the Four Measures Currently in the Dialysis
Adequacy Clinical Measure Topic Beginning With the PY 2019 Program Year
We consider a quality measure for removal or replacement if: (1)
Measure performance among the majority of ESRD facilities is so high
and unvarying that meaningful distinctions in improvements or
performance can no longer be made (in other words, the measure is
topped-out); (2) performance or improvement on a measure does not
result in better or the intended patient outcomes; (3) a measure no
longer aligns with current clinical guidelines or practice; (4) a more
broadly applicable (across settings, populations, or conditions)
measure for the topic becomes available; (5) a measure that is more
proximal in time to desired patient outcomes for the particular topic
becomes available; (6) a measure that is more strongly associated with
desired patient outcomes for the particular topic becomes available; or
(7) collection or public reporting of a measure leads to negative or
unintended consequences (77 FR 67475). In the CY 2015 ESRD PPS final
rule, we adopted statistical criteria for determining whether a
clinical measure is topped out, and also adopted a policy under which
we could retain an otherwise topped-out measure if we determined that
its continued inclusion in the ESRD QIP measure would address the
unique needs of a specific subset of the ESRD population (79 FR 66172
through 66174).
Subsequent to the publication of the CY 2015 ESRD PPS final rule,
we evaluated the finalized PY 2018 ESRD QIP measures against all of
these criteria. We determined that none of these measures met criterion
(1), (2), (3), (5), (6), or (7). As part of this evaluation for
criterion one, we performed a statistical analysis of the PY 2018
measures to determine whether any measures were ``topped out.'' The
full results of this analysis can be found at https://www.cms.gov/Medicare/Quality-Initiatives-Patient-Assessment-Instruments/ESRDQIP/061_TechnicalSpecifications.html and a summary of our topped-out
analysis results appears in Table 16 below.
Table 16--PY 2018 Clinical Measures Using CROWNWeb and Medicare Claims Data
--------------------------------------------------------------------------------------------------------------------------------------------------------
75th 90th Statistically
Measure N percentile percentile Std. Error indistinguishable Truncated CV TCV < 0.10
--------------------------------------------------------------------------------------------------------------------------------------------------------
Adult HD Kt/V................. 5822 97.0 98.3 0.09 No................. 0.03............ Yes.
Pediatric HD Kt/V............. 7 94.4 96.9 13.4 Yes................ 0.23............ No.
Adult PD Kt/V................. 1287 94.4 97.1 0.45 No................. 0.10............ No.
Pediatric PD Kt/V............. 3 88.4 88.4 13.9 Yes................ N/A\1\.......... N/A.\1\
VAT: Fistula\2\............... 5763 73.3 79.7 0.15 No................. 0.14............ No.
VAT: Catheter\3\.............. 5744 5.4 2.7 0.10 No................. <0.01........... Yes.
Hypercalcemia\2\.............. 6042 0.33 0.0 0.03 No................. <0.01........... Yes.
--------------------------------------------------------------------------------------------------------------------------------------------------------
\1\ Insufficient data
\2\ Medicare claims data from CY 2014 were used in these calculations.
\3\ CROWNWeb data from CY 2014 was used in this calculation.
As the information presented in Table 16 indicates, none of these
clinical measures are currently topped-out in the ESRD QIP. We note
that only three facilities had 11 or more qualifying patients for the
Pediatric Peritoneal Dialysis Adequacy clinical measure, resulting in
insufficient data available to calculate a truncated coefficient of
variation. However, because the Pediatric Peritoneal Dialysis Adequacy
clinical measure addresses the unique needs of the pediatric
population, we are not proposing to remove the measure at this time.
Accordingly, we are not proposing to remove any of these measures from
the ESRD QIP.
Beginning with the PY 2019 ESRD QIP, we are proposing to replace
the four measures in the Kt/V Dialysis Adequacy measure topic--(1)
Hemodialysis Adequacy: Minimum delivered hemodialysis dose; (2)
Peritoneal Dialysis Adequacy: Delivered dose above minimum; (3)
Pediatric Hemodialysis Adequacy: Minimum spKt/V; and (4) Pediatric
Peritoneal Dialysis Adequacy--with a single more broadly applicable
measure for the topic. The new measure, Delivered Dose of Dialysis
above Minimum--Composite Score clinical measure (``Dialysis Adequacy
clinical measure'') (Measure Applications Partnership #X3717), is a
single comprehensive measure of dialysis adequacy assessing the
percentage of all patient-months, for both pediatric and adult
patients, whose average delivered dose of dialysis (either hemodialysis
or peritoneal dialysis) met the specified Kt/V threshold during the
performance period. As discussed in more detail below, this measure's
specifications allow the measure to capture a greater number of
patients, particularly pediatric hemodialysis and peritoneal dialysis
patients, than the four individual dialysis adequacy measures, and will
result in a larger and broader collection of data from patients whose
dialysis adequacy is assessed under the ESRD QIP. The measure assesses
the adequacy of dialysis using the same thresholds applied to those
patients by the existing dialysis adequacy measures, as described
below. For these reasons, we believe the new dialysis adequacy measure
meets criterion four above. We therefore propose to remove the four
individual measures within the Kt/V Dialysis Adequacy Measure Topic, as
well as the measure topic itself, and to replace those measures with a
single Dialysis Adequacy clinical measure beginning with the PY 2019
ESRD QIP. However, if based on public comments, we do not finalize our
proposal to adopt the Dialysis Adequacy clinical measure, then we would
not finalize this proposal to remove these measures and the Dialysis
Adequacy measure topic.
We seek comments on this proposal.
[[Page 37845]]
2. Proposed Measures for the PY 2019 ESRD QIP
a. PY 2018 Measures Continuing for PY 2019 and Future Payment Years
We previously finalized 16 measures in the CY 2015 ESRD PPS final
rule for the PY 2018 ESRD QIP, and these measures are summarized in
Table 17 below. In accordance with our policy to continue using
measures unless we propose to remove or replace them, (77 FR 67477), we
will continue to use 12 of these measures in the PY 2019 ESRD QIP. As
noted above, we are proposing to remove four of these clinical
measures--(1) Hemodialysis Adequacy: Minimum delivered hemodialysis
dose; (2) Peritoneal Dialysis Adequacy: Delivered dose above minimum;
(3) Pediatric Hemodialysis Adequacy: Minimum spKt/V; and (4) Pediatric
Peritoneal Dialysis Adequacy--and replace them with a single,
comprehensive clinical measure covering the patient populations
previously captured by these four individual clinical measures.
Table 17--PY 2018 ESRD QIP Measures Being Continued in PY 2019
------------------------------------------------------------------------
NQF # Measure title and description
------------------------------------------------------------------------
0257.............................. Vascular Access Type: AV Fistula, a
clinical measure
Percentage of patient-months on
hemodialysis during the last
hemodialysis treatment of the month
using an autogenous AV fistula with
two needles.
0256.............................. Vascular Access Type: Catheter >= 90
days, a clinical measure
Percentage of patient-months for
patients on hemodialysis during the
last hemodialysis treatment of
month with a catheter continuously
for 90 days or longer prior to the
last hemodialysis session.
N/A\1\............................ National Healthcare Safety Network
(NHSN) Bloodstream Infection in
Hemodialysis Patients, a clinical
measure
Number of hemodialysis outpatients
with positive blood cultures per
100 hemodialysis patient-months.
1454.............................. Hypercalcemia, a clinical measure
Proportion of patient-months with 3-
month rolling average of total
uncorrected serum calcium greater
than 10.2 mg/dL.
N/A............................... Standardized Readmission Ratio, a
clinical measure
Standardized hospital readmissions
ratio of the number of observed
unplanned readmissions to the
number of expected unplanned
readmissions.
N/A............................... Standardized Transfusion Ratio, a
clinical measure
Risk-adjusted standardized
transfusion ratio for all adult
Medicare patients.
0258.............................. In-Center Hemodialysis Consumer
Assessment of Healthcare Providers
and Systems (ICH CAHPS) Survey
Administration, a clinical measure
Facility administers, using a third-
party CMS-approved vendor, the ICH
CAHPS survey in accordance with
survey specifications and submits
survey results to CMS.
N/A\2\............................ Mineral Metabolism Reporting, a
reporting measure
Number of months for which facility
reports serum phosphorus or serum
plasma for each Medicare patient.
N/A............................... Anemia Management Reporting, a
reporting measure
Number of months for which facility
reports ESA dosage (as applicable)
and hemoglobin/hematocrit for each
Medicare patient.
N/A\3\............................ Pain Assessment and Follow-Up, a
reporting measure
Facility reports in CROWNWeb one of
six conditions for each qualifying
patient once before August 1 of the
performance period and once before
February 1 of the year following
the performance period.
N/A\4\............................ Clinical Depression Screening and
Follow-Up, a reporting measure
Facility reports in CROWNWeb one of
six conditions for each qualifying
patient once before February 1 of
the year following the performance
period.
N/A\5\............................ NHSN Healthcare Personnel Influenza
Vaccination, a reporting measure
Facility submits Healthcare
Personnel Influenza Vaccination
Summary Report to CDC's NHSN
system, according to the
specifications of the Healthcare
Personnel Safety Component
Protocol, by May 15 of the
performance period.
------------------------------------------------------------------------
\1\ We note that this measure is based upon a current NQF-endorsed
bloodstream infection measure (NQF#1460).
\2\ We note that this measure is based upon a current NQF-endorsed serum
phosphorus measure (NQF #0255).
\3\ We note that this measure is based upon a current NQF-endorsed pain
assessment and follow-up measure (NQF #0420).
\4\ We note that this measure is based upon a current NQF-endorsed
clinical depression screening and follow-up measure (NQF #0418).
\5\ We note that this measure is based upon an NQF-endorsed HCP
influenza vaccination measure (NQF #0431).
b. Proposed New Dialysis Adequacy Clinical Measure Beginning With the
PY 2019 ESRD QIP
Section 1881(h)(2)(A)(i) of the Act states that the ESRD QIP
measure set must include measures on ``dialysis adequacy.'' Kt/V is a
widely accepted measure of dialysis adequacy in the ESRD community. It
is a measure of small solute (urea) removal from the body, is
relatively simple to measure and report, and is associated with
survival among dialysis patients. While the current dialysis adequacy
measures have allowed us to capture a greater proportion of the ESRD
population than previously accounted for under the URR Hemodialysis
Adequacy clinical measure, the specifications for these measures still
result in the exclusion of some patients from the measures. For
example, the Pediatric Hemodialysis Adequacy clinical measure's
specifications have limited the number of pediatric patients included
in the ESRD QIP because very few facilities (10 facilities, based on CY
2013 data) were eligible to receive a score on the measure. We are
therefore proposing to adopt a single comprehensive Dialysis Adequacy
clinical measure under the authority of section 1881(h)(2)(A)(i) of the
Act.
The Measure Applications Partnership conditionally supported the
proposed Dialysis Adequacy clinical measure in its 2015 Pre-Rulemaking
Report, noting that this measure meets critical program objectives to
include more outcome measures and measures applicable to the pediatric
population in the set.\3\
---------------------------------------------------------------------------
\3\ https://www.qualityforum.org/map/
---------------------------------------------------------------------------
The Dialysis Adequacy clinical measure assesses the percentage of
all patient-months for both adult and pediatric patients whose average
delivered dose of dialysis (either hemodialysis or peritoneal dialysis)
met the specified threshold during the performance period. A primary
difference between the single
[[Page 37846]]
comprehensive Dialysis Adequacy clinical measure and the four
previously finalized dialysis adequacy clinical measures is how
facility eligibility for the measure is determined. Under the four
previously finalized dialysis adequacy clinical measures, facility
eligibility was determined based on the number of qualifying patients
treated for each individual measure (for example, the number of
qualifying adult hemodialysis patients for the Hemodialysis Adequacy:
Minimum Delivered Hemodialysis Dose clinical measure). As a result, a
facility had to treat at least 11 qualifying patients for each of these
measures in order to receive a score on that measure. By contrast, a
facility's eligibility to receive a score on the proposed Dialysis
Adequacy clinical measure, which includes both adults and children, and
both hemodialysis and peritoneal dialysis modalities, is determined
based on the total number of qualifying patients treated at a facility.
As a result, a facility that would not be eligible to receive a score
on one or more of our current dialysis adequacy clinical measures
because it did not meet the case minimum for one or more of those
measures would be eligible to receive a score on the proposed dialysis
adequacy measure if it had at least 11 total qualifying patients,
defined as adults and pediatric patients receiving either hemodialysis
or peritoneal dialysis. Therefore, we anticipate that adopting the
single comprehensive Dialysis Adequacy clinical measure will allow us
to evaluate the care provided to a greater proportion of ESRD patients,
particularly pediatric ESRD patients.
We are proposing that patients' dialysis adequacy would be assessed
based on the following Kt/V thresholds previously assessed under the
individual dialysis adequacy clinical measures:
For hemodialysis patients, all ages: spKt/V >= 1.2
(calculated from the last measurement of the month)
For pediatric (age < 18 years) peritoneal dialysis
patients: Kt/V urea 1.8 (dialytic + residual, measured
within the past six months)
For adult (age 18 years) peritoneal dialysis
patients: Kt/V urea 1.7 (dialytic + residual, measured
within the past four months)
These thresholds reflect the best evidence-based minimum threshold for
adequate dialysis for the described patient groups and are consistent
with dialysis adequacy measures previously implemented in the QIP.
Patient eligibility for inclusion in the measure would be determined on
a patient-month level, based on the patient's age, treatment modality
type, whether a patient has been on dialysis for 90 days or more, and
the number of hemodialysis treatments the patient receives per week.
All eligible patient-months at a facility would be counted toward the
denominator. Eligible patient months where the patient met the specific
dialysis adequacy threshold would be counted toward the numerator.
Technical specifications for the Dialysis Adequacy clinical measure can
be found at https://www.cms.gov/Medicare/Quality-Initiatives-Patient-Assessment-Instruments/ESRDQIP/061_TechnicalSpecifications.html.
We seek comments on our proposal to adopt this measure beginning
with the PY 2019 ESRD QIP.
c. Proposed New Reporting Measures Beginning With the PY 2019 ESRD QIP
i. Proposed Ultrafiltration Rate Reporting Measure
The ultrafiltration rate measures the rapidity with which fluid
(ml) is removed at dialysis per unit (kg) body weight in unit (hour)
time. A patient's ultrafiltration rate is under the control of the
dialysis facility and is monitored throughout a patient's hemodialysis
session. Studies suggest that higher ultrafiltration rates are
associated with higher mortality and higher odds of an ``unstable''
dialysis session,\4\ and that rapid rates of fluid removal during
dialysis can precipitate events such as intradialytic hypotension,
subclinical yet significantly decreased organ perfusion, and in some
cases myocardial damage and heart failure.
---------------------------------------------------------------------------
\4\ Flythe SE., Kimmel SE., Brunelli SM. Rapid fluid removal
during dialysis is associated with cardiovascular morbidity and
mortality. Kidney International (2011) Jan; 79(2):250-7. Flythe JE,
Curhan GC, Brunelli SM. Disentangling the ultrafiltration rate--
mortality association: The respective roles of session length and
weight gain. Clin J Am Soc Nephrol. 2013 Jul;8(7):1151-61. Movilli,
E et al. ``Association between high ultrafiltration rates and
mortality in uraemic patients on regular hemodialysis. A 5-year
prospective observational multicenter study.'' Nephrology Dialysis
Transplantation 22.12(2007): 3547-3552.
---------------------------------------------------------------------------
Section 1881(h)(2)(A)(iv) gives the Secretary authority to adopt
other measures for the ESRD QIP that cover a wide variety of topics.
Section 1881(h)(2)(B)(ii) of the Act states that ``In the case of a
specified area or medical topic determined appropriate by the Secretary
for which a feasible and practical measure has not been endorsed by the
entity with a contract under section 1890(a) of Act [in this case NQF],
the Secretary may specify a measure that is not so endorsed so long as
due consideration is given to measures that have been endorsed or
adopted by a consensus organization identified by the Secretary.'' We
have given due consideration to endorsed measures, as well as those
adopted by a consensus organization. Because no NQF-endorsed measures
or measures adopted by a consensus organization on ultrafiltration
rates currently exist, we are proposing to adopt the Ultrafiltration
Rate reporting measure under the authority of section 1881(h)(2)(B)(ii)
of the Act.
We are proposing to adopt a measure that is based on Measure
Applications Partnership #XAHMH, ``Ultrafiltration Rate Greater than 13
ml/kg/hr'' (``Ultrafiltration Rate measure''). This measure assesses
the percentage of patient-months for patients with an ultrafiltration
rate greater than 13 ml/kg/hr. The Measure Applications Partnership
expressed conditional support for the Ultrafiltration Rate measure,
noting it would ``consider the measure for inclusion in the program
once it has been reviewed for endorsement.'' The measure upon which our
proposed measure is based is currently under review for endorsement by
NQF; however, we believe the measure is ready for adoption because it
has been fully tested for reliability and addresses a critical aspect
of patients' clinical care not currently addressed by the ESRD QIP
measure set.
For PY 2019 and future payment years, we propose that facilities
must report an ultrafiltration rate for each qualifying patient at
least once per month in CROWNWeb. Qualifying patients for this proposed
measure are defined as patients 18 years of age or older, on
hemodialysis, and who are assigned to the same facility for at least
the full calendar month (for example, if a patient is admitted to a
facility during the middle of a month, the facility will not be
required to report for that patient for that month). We further propose
that facilities will be granted a one month period following the
calendar month to enter this data. For example, we would require a
facility to report ultrafiltration rates for January 2017 on or before
February 28, 2017. Facilities would be scored on whether they
successfully report the required data within the timeframe provided,
not on the values reported. Technical specifications for the
Ultrafiltration Rate reporting measure can be found at https://www.cms.gov/Medicare/Quality-Initiatives-Patient-Assessment-Instruments/ESRDQIP/061_TechnicalSpecifications.html.
We seek comments on this proposal.
[[Page 37847]]
ii. Proposed Full-Season Influenza Vaccination Reporting Measure
According to the Centers for Disease Control and Prevention (CDC),
seasonal influenza, which occurs between October and March/April of the
following year, is associated with approximately 20,000 deaths \5\ and
226,000 hospitalizations annually.\6\ While overall rates of influenza
infection are highest among children, rates of serious illness and
mortality are highest among adults aged 65 years or older, children
aged two or younger, and immunocompromised patients such as patients
with ESRD. Observational data have found associations between influenza
vaccination and reduced mortality and hospitalization in this patient
population. Specifically, multiple studies have found that vaccinated
patients have significantly lower odds of all-cause mortality and
modestly lower odds of all-cause hospitalization compared to
unvaccinated patients.\7\ However, influenza vaccination rates in the
ESRD population have historically been lower than the Healthy People
2020 goal of 70 percent of both pediatric and adult populations in the
United States,\8\ with recent reports from the U.S. Renal Data System
and Dialysis Facility Reports showing vaccination rates of 67 percent
and 68 percent, respectively, among ESRD patients for the 2011-2012
season.\9\ Based on these findings, we believe that encouraging closer
evaluation of patients' influenza vaccination status in the dialysis
facility will increase the number of patients with ESRD who receive an
influenza vaccination and increase influenza vaccination rates in this
population, which will in turn improve patient health and well-being.
---------------------------------------------------------------------------
\5\ Centers for Disease Control and Prevention (CDC). Estimates
of Deaths Associated with Seasonal Influenza--United States, 1976-
2007. MMWR (2010) 59:33. Available at: https://www.cdc.gov/mmwr/preview/mmwrhtml/mm5933a1.htm.
\6\ Centers for Disease Control and Prevention (CDC). Prevention
and Control of Influenza with Vaccines: Recommendations of the
Advisory Committee on Immunization Practices (ACIP).
MMWR2010a;59(RR-8):1-62.
\7\ Bond TC, Spaulding AC, Krisher J, et al. Mortality of
dialysis patients according to influenza and pneumococcal
vaccination status. Am J Kidney Dis. 2012;60:959-65; Gilbertson DT,
Unruh M, McBean AM, et al. Influenza vaccine delivery and
effectiveness in end-stage renal disease. Kidney Int. 2003;63:738-
43.
\8\ https://www.healthypeople.gov/2020/topics-objectives/topic/immunization-and-infectious-diseases/objectives (Healthy People 2020
IID-12.11 and IID-12.12).
\9\ US Renal Data System, USRDS 2014 Annual Data Report: An
overview of the epidemiology of kidney disease in the United States.
National Institutes of Health, National Institute of Diabetes and
Digestive and Kidney Diseases, Bethesda, MD, 2014.
---------------------------------------------------------------------------
We are proposing to use a measure that is based on ``ESRD
Vaccination--Full-Season Influenza Vaccination'' (Measure Applications
Partnership #XDEFM). This measure assesses the percentage of ESRD
patients = 6 months of age on October 1 and on chronic
dialysis = 30 days in a facility at any point between
October 1 and March 31 who either (1) received an influenza
vaccination; (2) were offered but declined the vaccination; or (3) were
determined to have a medical contraindication. The Measure Applications
Partnership conditionally supported the use of the ESRD Vaccination--
Full-Season Influenza Vaccination measure in the ESRD QIP in its
January 2014 Pre-Rulemaking Report because ``influenza vaccination is
very important for dialysis patients.'' Nevertheless, the Measure
Applications Partnership declined to give the measure full support
because it was not sure that the measure was more suitable to drive
improvement than NQF #0226: ``Influenza Immunization in the ESRD
Population (Facility Level)''. We have reviewed the measure
specifications for NQF #0226 and determined that it is not appropriate
to use as the basis for a reporting measure because the denominator
statement of NQF #0226 excludes all patients for whom data during the
flu season is incomplete, potentially excluding patients who died from
influenza, but might not have died if they had received an influenza
vaccination. We therefore believe it is more appropriate to adopt a
reporting measure based on the ESRD Vaccination--Full-Season Influenza
Vaccination measure (Measure Applications Partnership #XDEFM) because
this measure includes patients who died from influenza, but might not
have died if they had received an influenza vaccination, and we believe
it is important to include such patients in an influenza immunization
clinical measure for the ESRD QIP, should we propose to adopt such a
measure in the future.
For these reasons, we are proposing to adopt a reporting measure
based on ``ESRD Vaccination--Full-Season Influenza Vaccination''
(``Full-Season Influenza Vaccination reporting measure'') so that we
can collect data that we can use in the future to calculate both
achievement and improvement scores, should we propose to adopt a
clinical version of this measure in future rulemaking.
Section 1881(h)(2)(B)(ii) of the Act states that ``In the case of a
specified area or medical topic determined appropriate by the Secretary
for which a feasible and practical measure has not been endorsed by the
entity with a contract under section 1890(a) of the Act [in this case
NQF], the Secretary may specify a measure that is not so endorsed as
long as due consideration is given to measures that have been endorsed
or adopted by a consensus organization identified by the Secretary.''
Because we have given due consideration to endorsed measures, as well
as those adopted by a consensus organization, and determined it is not
practical or feasible to adopt those measures in the ESRD QIP, we are
proposing to adopt the Full-Season Influenza Vaccination reporting
measure under the authority of section 1881(h)(2)(B)(ii) of the Act.
For PY 2019 and future payment years, we propose that facilities
must report one of the following conditions in CROWNWeb once per
performance period, for each qualifying patient (defined below):
1. If the patient received an influenza vaccination:
a. Influenza Vaccination Date
b. Where Influenza Vaccination Received: (1) Documented at
facility; (2) Documented outside facility; or (3) Patient self-reported
outside facility
2. If the patient did not receive an influenza vaccination:
a. Reason:
i. Already vaccinated this flu season
ii. Medical Reason: Allergic or adverse reaction
iii. Other medical reason
iv. Declined
v. Other reason
We note that while facilities are expected to retain patient
influenza immunization documentation for their own records, facilities
are not required to supply this documentation to CMS under the Full-
Season Influenza Vaccination reporting measure.
For this measure, a qualifying patient would be defined as a
patient aged six months or older as of October 1 who has been on
chronic dialysis for 30 or more days in a facility at any point between
October 1 and March 31. This measure would include in-center
hemodialysis, peritoneal dialysis, and home dialysis patients. This
proposed measure would capture the same data described in ``ESRD
Vaccination--Full-Season Influenza Vaccination'', but we would require
that facilities report the data on or before May 15 following the
performance period for that year. We believe this reporting deadline
will ensure that facilities have sufficient time to collect and enter
data for all qualifying patients following the influenza season, and
aligns this
[[Page 37848]]
reporting effort with that of the NHSN Healthcare Personnel Influenza
Vaccination reporting measure finalized in the CY 2015 ESRD PPS final
rule for PY 2018 (79 FR 66206 through 66208). Second, we are proposing
to score facilities based on whether they successfully report the data,
and not based on the measure results. Technical specifications for the
Full-Season Influenza Vaccination reporting measure can be found at
https://www.cms.gov/Medicare/Quality-Initiatives-Patient-Assessment-Instruments/ESRDQIP/061_TechnicalSpecifications.html.
We seek comments on this proposal.
3. Proposed Performance Period for the PY 2019 ESRD QIP
Section 1881(h)(4)(D) of the Act requires the Secretary to
establish the performance period with respect to a payment year, and
that the performance period occur prior to the beginning of such year.
We are proposing to establish CY 2017 as the performance period for the
PY 2019 ESRD QIP for all but the influenza vaccination measures because
it is consistent with the performance period we have historically used
for these measures and accounts for seasonal variations that might
affect a facility's measure score. We are proposing that the
performance period for both the NHSN Healthcare Personnel Influenza
Vaccination reporting measure and the proposed Full-Season Influenza
Vaccination reporting measure will be from October 1, 2016 through
March 31, 2017, because this period spans the length of the 2016-2017
influenza season.
We seek comments on these proposals.
4. Proposed Performance Standards, Achievement Thresholds, and
Benchmarks for the PY 2019 ESRD QIP
Section 1881(h)(4)(A) of the Act provides that ``the Secretary
shall establish performance standards with respect to measures selected
. . . for a performance period with respect to a year.'' Section
1881(h)(4)(B) of the Act further provides that the ``performance
standards . . . shall include levels of achievement and improvement, as
determined appropriate by the Secretary.'' We use the performance
standards to establish the minimum score a facility must achieve to
avoid a Medicare payment reduction. We use achievement thresholds and
benchmarks to calculate scores on the clinical measures.
a. Proposed Performance Standards, Achievement Thresholds, and
Benchmarks for the Clinical Measures in the PY 2019 ESRD QIP
For the same reasons stated in the CY 2013 ESRD PPS final rule (77
FR 67500 through 76502), we are proposing for PY 2019 to set the
performance standards, achievement thresholds, and benchmarks for the
clinical measures at the 50th, 15th, and 90th percentile, respectively,
of national performance in CY 2015, because this will give us enough
time to calculate and assign numerical values to the proposed
performance standards for the PY 2019 program prior to the beginning of
the performance period. We continue to believe these standards will
provide an incentive for facilities to continuously improve their
performance, while not reducing incentives to facilities that score at
or above the national performance rate for the clinical measures.
We seek comments on these proposals.
b. Estimated Performance Standards, Achievement Thresholds, and
Benchmarks for the Clinical Measures Proposed for the PY 2019 ESRD QIP
At this time, we do not have the necessary data to assign numerical
values to the proposed performance standards for the clinical measures,
because we do not yet have data from CY 2015 or the first portion of CY
2016. We will publish values for the clinical measures, using data from
CY 2015 and the first portion of CY 2016, in the CY 2017 ESRD PPS final
rule.
c. Proposed Performance Standards for the PY 2019 Reporting Measures
In the CY 2014 ESRD PPS Final Rule, we finalized performance
standards for the Anemia Management and Mineral Metabolism reporting
measures (78 FR 72213). In the CY 2015 ESRD PPS Final Rule, we
finalized our proposal to modify the measure specifications for the
Mineral Metabolism reporting measure to allow facilities to report
either serum phosphorus data or plasma phosphorus data for the Mineral
Metabolism reporting measure (79 FR 66191). We are not proposing any
changes to these policies for the PY 2019 ESRD QIP.
In the CY 2015 ESRD PPS Final Rule, we finalized performance
standards for the Screening for Clinical Depression and Follow-Up, Pain
Assessment and Follow-Up, and NHSN Healthcare Provider Influenza
Vaccination reporting measures (79 FR 66209). We are not proposing any
changes to these policies.
For the Ultrafiltration Rate reporting measure, we propose to set
the performance standard as successfully reporting an ultrafiltration
rate for each qualifying patient in CROWNWeb on a monthly basis, for
each month of the reporting period.
For the Full-Season Influenza Vaccination reporting measure, we
propose to set the performance standard as successfully reporting one
of the above-listed vaccination statuses for each qualifying patient in
CROWNWeb on or before May 15th of the performance period.
We seek comments on these proposals.
5. Proposal for Scoring the PY 2019 ESRD QIP
a. Scoring Facility Performance on Clinical Measures Based on
Achievement
In the CY 2014 ESRD PPS Final Rule, we finalized a policy for
scoring performance on clinical measures based on achievement (78 FR
72215). Under this methodology, facilities receive points along an
achievement range based on their performance during the performance
period for each measure, which we define as a scale between the
achievement threshold and the benchmark. In determining a facility's
achievement score for each clinical measure under the PY 2019 ESRD QIP,
we propose to continue using this methodology for all clinical measures
except the ICH CAHPS clinical measure. The facility's achievement score
would be calculated by comparing its performance on the measure during
CY 2017 (the proposed performance period) to the achievement threshold
and benchmark (the 15th and 90th percentiles of national performance on
the measure in CY 2015).
We seek comment on this proposal.
b. Scoring Facility Performance on Clinical Measures Based on
Improvement
In the CY 2014 ESRD PPS Final Rule, we finalized a policy for
scoring performance on clinical measures based on improvement (78 FR
72215 through 72216). In determining a facility's improvement score for
each measure under the PY 2019 ESRD QIP, we propose to continue using
this methodology for all clinical measures except the ICH CAHPS
clinical measure. Under this methodology, facilities receive points
along an improvement range, defined as a scale running between the
improvement threshold and the benchmark. We propose to define the
improvement threshold as the
[[Page 37849]]
facility's performance on the measure during CY 2016. The facility's
improvement score would be calculated by comparing its performance on
the measure during CY 2017 (the proposed performance period) to the
improvement threshold and benchmark.
We seek comment on this proposal.
c. Scoring the ICH CAHPS Clinical Measure
In the CY 2015 ESRD PPS final rule, we finalized a policy for
scoring performance on the ICH CAHPS clinical measure based on both
achievement and improvement (79 FR 66209 through 66210). Under this
methodology, facilities will receive an achievement score and an
improvement score for each of the three composite measures and three
global ratings in the ICH CAHPS survey instrument. A facility's ICH
CAHPS score will be based on the higher of the facility's achievement
or improvement score for each of the composite measures and global
ratings, and the resulting scores on each of the composite measures and
global ratings will be averaged together to yield an overall score on
the ICH CAHPS clinical measure. For PY 2019, the facility's achievement
score would be calculated by comparing where its performance on each of
the three composite measures and three global ratings during CY 2017
falls relative to the achievement threshold and benchmark for that
measure and rating based on CY 2015 data. The facility's improvement
score would be calculated by comparing its performance on each of the
three composite measures and three global ratings during CY 2017 to its
performance rates on these items during CY 2016.
We seek comments on this proposal.
d. Proposal for Calculating Facility Performance on Reporting Measures
In the CY 2013 ESRD PPS final rule, we finalized policies for
scoring performance on the Anemia Management and Mineral Metabolism
reporting measures in the ESRD QIP (77 FR 67506). We are not proposing
any changes to these policies for the PY 2019 ESRD QIP.
In the CY 2015 ESRD PPS final rule, we finalized policies for
scoring performance on the Clinical Depression Screening and Follow-Up,
Pain Assessment and Follow-Up, and NHSN Healthcare Provider Influenza
Vaccination reporting measures (79 FR 66210 through 66211). We are not
proposing any changes to these policies.
With respect to the Ultrafiltration Rate reporting measure, we are
proposing to score facilities with a CCN Open Date before July 1, 2017
using the same formula previously finalized for the Mineral Metabolism
and Anemia Management reporting measures (77 FR 67506):
[GRAPHIC] [TIFF OMITTED] TP01JY15.015
As with the Anemia Management and Mineral Metabolism reporting
measures, we would round the result of this formula (with half rounded
up) to generate a measure score from 0-10.
With respect to the Full-Season Influenza Immunization reporting
measure, we are proposing to score facilities with a CCN Open Date
before January 1, 2017 based on the proportion of eligible patients for
which the facility successfully submits one of the vaccination status
indicators listed above by the May 15, 2017 deadline using the
following formula:
[GRAPHIC] [TIFF OMITTED] TP01JY15.014
We seek comments on these proposals.
6. Weighting the Clinical Measure Domain and Total Performance Score
i. Proposal for Weighting the Clinical Measure Domain for PY 2019
In the CY 2015 ESRD PPS final rule, we finalized policies regarding
the criteria we would use to assign weights to measures in a facility's
Clinical Measure Domain score (79 FR 66214 through 66216).
Specifically, we stated that in deciding how to weight measures and
measure topics within the Clinical Measure Domain, we would take into
consideration: (1) The number of measures and measure topics in a
proposed subdomain; (2) how much experience facilities have had with
the measures; and (3) how well the measures align with CMS' highest
priorities for quality improvement for patients with ESRD.
In the same rule, we finalized the Dialysis Adequacy measure topic
and Vascular Access Type measure topic's weights for PY 2018 at 18
percent of a facility's Clinical Measure Domain score because
facilities have substantially more experience with the Dialysis
Adequacy measure topic as compared to the other measures in the
Clinical Care subdomain (79 FR 66214). Beginning in PY 2019, we are
proposing to remove the Dialysis Adequacy measure topic and replace it
with the Dialysis Adequacy clinical measure. Because this proposed
measure is a composite of the measures previously included in the
Dialysis Adequacy measure topic, with the same Kt/V thresholds
currently used for those measures, we believe that facilities are
already familiar with the concepts underlying this proposed measure and
that the measure should be weighted at 18 percent of a facility's
Clinical Measure Domain score. We are
[[Page 37850]]
not proposing any further changes to the weighting for the remaining
clinical measures and measure topics within the Clinical Measure Domain
because the previously finalized weights are aligned with the criteria
used to establish measure and measure topic weights. For these reasons,
we propose to use the following weighting system in Table 18 below for
calculating a facility's Clinical Measure Domain score beginning in PY
2019.
Table 18--Proposed Clinical Measure Domain Weighting for the PY 2019
ESRD QIP
------------------------------------------------------------------------
Measure weight in the
Measures/measure topics by subdomain Clinical Measure Domain
score (%)
------------------------------------------------------------------------
Safety Subdomain............................... 20
NHSN Bloodstream Infection measure......... 20
Patient and Family Engagement/Care Coordination 30
Subdomain.....................................
ICH CAHPS measure.......................... 20
SRR measure................................ 10
Clinical Care Subdomain........................ 50
STrR measure............................... 7
Dialysis Adequacy measure.................. 18
Vascular Access Type measure topic......... 18
Hypercalcemia measure...................... 7
------------------------------------------------------------------------
We seek comments on this proposal for weighting a facility's
Clinical Measure Domain score.
ii. Weighting the Total Performance Score
We continue to believe that while the reporting measures are
valuable, the clinical measures evaluate actual patient care and
therefore justify a higher combined weight (78 FR 72217). We are
therefore not proposing to change our policy, finalized in the CY 2015
ESRD PPS final rule (79 FR 66219), under which clinical measures will
be weighted as finalized for the Clinical Domain score, and the
Clinical Domain score will comprise 90 percent of a facility's TPS,
with the reporting measures weighted equally to form the remaining 10
percent of a facility's TPS. We are also not proposing any changes to
the policy that facilities must be eligible to receive a score on at
least one reporting measure and at least one clinical measure to be
eligible to receive a TPS, or the policy that a facility's TPS will be
rounded to the nearest integer, with half of an integer being rounded
up.
7. Proposed Minimum Data for Scoring Measures for the PY 2019 ESRD QIP
Our policy is to score facilities on clinical and reporting
measures for which they have a minimum number of qualifying patients
during the performance period. With the exception of the Standardized
Readmission Ratio, Standardized Transfusion Ratio, and ICH CAHPS
clinical measures, a facility must treat at least 11 qualifying cases
during the performance period in order to be scored on a clinical or
reporting measure. A facility must have at least 11 index discharges to
be eligible to receive a score on the SRR clinical measure and 10
patient-years at risk to be eligible to receive a score on the STrR
clinical measure. In order to receive a score on the ICH CAHPS clinical
measure, a facility must have treated at least 30 survey-eligible
patients during the eligibility period and receive 30 completed surveys
during the performance period. We are not proposing to change these
minimum data policies for the measures that we have proposed to
continue including in the PY 2019 ESRD QIP measure set.
For the proposed Dialysis Adequacy clinical measure, we propose
that facilities with at least 11 qualifying patients will receive a
score on the measure. We believe that maintaining a case minimum of 11
for this measure adequately addresses both the privacy and reliability
concerns previously discussed in the CY 2013 ESRD PPS final rule (77 FR
67510 through 67512), and aligns with the case minimum policy for the
previously finalized clinical process measures.
For the proposed Ultrafiltration Rate and Full-Season Influenza
reporting measures, we also propose that facilities with at least 11
qualifying patients will receive a score on the measure. We believe
that setting the case minimum at 11 for these reporting measures
strikes the appropriate balance between the need to maximize data
collection and the need to not unduly burden or penalize small
facilities. We further believe that setting the case minimum at 11 is
appropriate because this aligns with case minimum policy for the vast
majority of the reporting measures in the ESRD QIP.
Under our current policy, we begin counting the number of months
for which a facility is open on the first day of the month after the
facility's CCN Open Date. Only facilities with a CCN Open Date before
July 1, 2017 would be eligible to be scored on the Anemia Management,
Mineral Metabolism, Pain Assessment and Follow-Up, Clinical Depression
Screening and Follow-Up reporting measures, and only facilities with a
CCN Open Date before January 1, 2017 would be eligible to be scored on
the NHSN Bloodstream Infection clinical measure, ICH CAHPS clinical
measure, and NHSN Healthcare Personnel (HCP) Influenza Vaccination
reporting measure. Consistent with our policy regarding the NHSN HCP
Influenza Vaccination reporting measure, we propose that facilities
with a CCN Open Date after January 1, 2017 would not be eligible to
receive a score on the Full-Season Influenza Vaccination reporting
measure because these facilities might have difficulty reporting the
data by the proposed reporting deadline of May 15, 2017. We further
propose that, consistent with our CCN Open Date policy for other
reporting measures, facilities with a CCN Open Date after July 1, 2017,
would not be eligible to receive a score on the Ultrafiltration Rate
reporting measure because of the difficulties these facilities may face
in meeting the requirements of this measure due to the short period of
time left in the performance period.
We seek comments on these proposals.
Table 19 displays the proposed patient minimum requirements for
each of the measures, as well as the proposed CCN Open Dates after
which a facility would not be eligible to receive a score on a
reporting measure.
[[Page 37851]]
Table 19--Proposed Minimum Data Rrequirements for the PY 2019 ESRD QIP
----------------------------------------------------------------------------------------------------------------
Minimum data
Measure requirements CCN open date Small facility adjuster
----------------------------------------------------------------------------------------------------------------
Dialysis Adequacy (Clinical)......... 11 qualifying patients. N/A.................... 11-25 qualifying
patients.
Vascular Access Type: Catheter 11 qualifying patients. N/A.................... 11-25 qualifying
(Clinical). patients.
Vascular Access Type: Fistula 11 qualifying patients. N/A.................... 11-25 qualifying
(Clinical). patients.
Hypercalcemia (Clinical)............. 11 qualifying patients. N/A.................... 11-25 qualifying
patients.
NHSN Bloodstream Infection (Clinical) 11 qualifying patients. Before January 1, 2017. 11-25 qualifying
patients.
SRR (Clinical)....................... 11 index discharges.... N/A.................... 11-41 index discharges.
STrR (Clinical)...................... 10 patient-years at N/A.................... 10--21 patient-years at
risk. risk.
ICH CAHPS (Clinical)................. Facilities with 30 or Before January 1, 2017. N/A.
more survey-eligible
patients during the
calendar year
preceding the
performance period
must submit survey
results. Facilities
will not receive a
score if they do not
obtain a total of at
least 30 completed
surveys during the
performance period.
Anemia Management (Reporting)........ 11 qualifying patients. Before July 1, 2017.... N/A.
Mineral Metabolism (Reporting)....... 11 qualifying patients. Before July 1, 2017.... N/A.
Depression Screening and Follow-Up 11 qualifying patients. Before July 1, 2017.... N/A.
(Reporting).
Pain Assessment and Follow-Up 11 qualifying patients. Before July 1, 2017.... N/A.
(Reporting).
NHSN HCP Influenza Vaccination N/A.................... Before January 1, 2017. N/A.
(Reporting).
Ultrafiltration Rate (Reporting)..... 11 qualifying patients. Before July 1, 2017.... N/A.
Full-Season Influenza Vaccination 11 qualifying patients. Before January 1, 2017. N/A.
(Reporting).
----------------------------------------------------------------------------------------------------------------
8. Proposed Payment Reductions for the PY 2019 ESRD QIP
Section 1881(h)(3)(A)(ii) of the Act requires the Secretary to
ensure that the application of the scoring methodology results in an
appropriate distribution of payment reductions across facilities, such
that facilities achieving the lowest TPSs receive the largest payment
reductions. We propose that, for the PY 2019 ESRD QIP, a facility will
not receive a payment reduction if it achieves a minimum TPS that is
equal to or greater than the total of the points it would have received
if:
It performed at the performance standard for each clinical
measure; and
It received the number of points for each reporting
measure that corresponds to the 50th percentile of facility performance
on each of the PY 2017 reporting measures. We recognize that we are not
proposing a policy regarding the inclusion of measures for which we are
not able to establish a numerical value for the performance standard
through the rulemaking process before the beginning of the performance
period in the PY 2019 minimum TPS. We have not proposed such a policy
because no measures in the proposed PY 2019 measure set meet this
criterion. However, should we choose to adopt a clinical measure in
future rulemaking without the baseline data required to calculate a
performance standard before the beginning of the performance period, we
will propose a criterion accounting for that measure in the minimum TPS
for the applicable payment year at that time.
The PY 2017 program is the most recent year for which we will have
calculated final measure scores before the beginning of the proposed
performance period for PY 2019 (that is, CY 2017). Because we have not
yet calculated final measure scores, we are unable to determine the
50th percentile of facility performance on the PY 2017 reporting
measures. We will publish that value in the CY 2017 ESRD PPS final rule
once we have calculated final measure scores for the PY 2017 program.
Section 1881(h)(3)(A)(ii) of the Act requires that facilities
achieving the lowest TPSs receive the largest payment reductions. In
the CY 2014 ESRD PPS final rule (78 FR 72223 through 72224), we
finalized a payment reduction scale for PY 2016 and future payment
years: for every 10 points a facility falls below the minimum TPS, the
facility would receive an additional 0.5 percent reduction on its ESRD
PPS payments for PY 2016 and future payment years, with a maximum
reduction of 2.0 percent. We are not proposing any changes to this
policy for the PY 2019 ESRD QIP.
Because we are not yet able to calculate the performance standards
for each of the clinical measures, we are also not able to calculate a
proposed minimum TPS at this time. We will publish the minimum TPS,
based on data from CY 2015 and the first part of CY 2016, in the CY
2017 ESRD PPS final rule.
We seek comments on this proposal.
H. Future Achievement Threshold Policy Under Consideration
Under our current methodology, we set performance standards,
achievement thresholds, and benchmarks for the clinical measures at the
50th, 15th, and 90th percentiles, respectively, of national performance
on the measure during the baseline period (77 FR 67500 through 67502).
As we continue to refine ESRD QIP's policies, we are evaluating
different methods of ensuring that facilities strive for continuous
improvement in their delivery of care to patients with ESRD. For future
rulemaking, we are considering increasing the achievement threshold
from the 15th percentile to the 25th percentile of national performance
during the baseline period. We believe this increase in the achievement
threshold will add additional incentives for facilities to improve
performance, thereby improving patient outcomes and
[[Page 37852]]
quality of care. We have analyzed the impact of this policy change on
facility payment reductions using the same data used to calculate the
PY 2018 minimum TPS. The full results of this analysis can be found at
https://www.cms.gov/Medicare/Quality-Initiatives-Patient-Assessment-Instruments/ESRDQIP/061_TechnicalSpecifications.html.
We invite comment on this policy that we are considering for
adoption in the ESRD QIP in the future.
I. Monitoring Access to Dialysis Facilities
In the CY 2015 ESRD PPS final rule, we finalized our commitment to
conduct a study to determine the impact of adopting the Standardized
Readmission Ratio (SRR) and Standardized Transfusion Ratio clinical
measures on access to care, and stated that we would make further
details about the study and its methodology available to the public for
review (79 FR 66189). We intend to publish the methodology for this
study in the second half of the year, and encourage all interested
parties to review this methodology and submit any comments using the
process outlined on the Web page.
IV. Advancing Health Information Exchange
HHS has a number of initiatives designed to improve health and
health care quality through the adoption of health information
technology and nationwide health information exchange. As discussed in
the August 2013 Statement ``Principles and Strategies for Accelerating
Health Information Exchange'' (available at https://www.healthit.gov/sites/default/files/acceleratinghieprinciples_strategy.pdf), HHS
believes that all individuals, their families, their healthcare and
social service providers, and payers should have consistent and timely
access to health information in a standardized format that can be
securely exchanged between the patient, providers, and others involved
in the individual's care. Health IT that facilitates the secure,
efficient and effective sharing and use of health-related information
when and where it is needed is an important tool for settings across
the continuum of care, including ESRD facilities.
The Office of the National Coordinator for Health Information
Technology (ONC) has released a document entitled ``Connecting Health
and Care for the Nation: A Shared Nationwide Interoperability Roadmap
Draft Version 1.0 (draft Roadmap) (available at https://www.healthit.gov/sites/default/files/nationwide-interoperability-roadmap-draft-version-1.0.pdf) which describes barriers to
interoperability across the current health IT landscape, the desired
future state that the industry believes will be necessary to enable a
learning health system, and a suggested path for moving from the
current state to the desired future state. In the near term, the draft
Roadmap focuses on actions that will enable a majority of individuals
and providers across the care continuum to send, receive, find and use
a common set of electronic clinical information at the nationwide level
by the end of 2017. Moreover, the vision described in the draft Roadmap
significantly expands the types of electronic health information,
information sources and information users well beyond clinical
information derived from electronic health records (EHRs). This shared
strategy is intended to reflect important actions that both public and
private sector stakeholders can take to enable nationwide
interoperability of electronic health information such as: (1)
Establishing a coordinated governance framework and process for
nationwide health IT interoperability; (2) improving technical
standards and implementation guidance for sharing and using a common
clinical data set; (3) enhancing incentives for sharing electronic
health information according to common technical standards, starting
with a common clinical data set; and (4) clarifying privacy and
security requirements that enable interoperability.
In addition, ONC has released the draft version of the 2015
Interoperability Standards Advisory (available at https://www.healthit.gov/standards-advisory), which provides a list of the best
available standards and implementation specifications to enable
priority health information exchange functions. Providers, payers, and
vendors are encouraged to take these ``best available standards'' into
account as they implement interoperable health information exchange
across the continuum of care.
We encourage stakeholders to utilize health information exchange
and certified health IT to effectively and efficiently help providers
improve internal care delivery practices, support management of care
across the continuum, enable the reporting of electronically specified
clinical quality measures, and improve efficiencies and reduce
unnecessary costs. As adoption of certified health IT increases and
interoperability standards continue to mature, HHS will seek to
reinforce standards through relevant policies and programs.
V. Collection of Information Requirements
A. Legislative Requirement for Solicitation of Comments
Under the Paperwork Reduction Act of 1995, we are required to
provide 60-day notice in the Federal Register and solicit public
comment before a collection of information requirement is submitted to
the Office of Management and Budget (OMB) for review and approval.
In order to fairly evaluate whether an information collection
requirement should be approved by OMB, section 3506(c)(2)(A) of the
Paperwork Reduction Act of 1995 requires that we solicit comment on the
following issues:
The need for the information collection and its usefulness
in carrying out the proper functions of our agency.
The accuracy of our estimate of the information collection
burden.
The quality, utility, and clarity of the information to be
collected.
Recommendations to minimize the information collection
burden on the affected public, including automated collection
techniques.
B. Requirements in Regulation Text
In sections II.B.1.d.ii, II.B.1.d.iii, II.B.3, and II.B.4 of this
proposed rule, we are proposing changes to regulatory text for the ESRD
PPS in CY 2016. However, the changes that are being proposed do not
impose any new information collection requirements.
C. Additional Information Collection Requirements
This proposed rule does not impose any new information collection
requirements in the regulation text, as specified above. However, this
proposed rule does make reference to several associated information
collections that are not discussed in the regulation text contained in
this document. The following is a discussion of these information
collections.
1. ESRD QIP
a. Wage Estimates
In previous rulemaking, we used the mean hourly wage of a
registered nurse as the basis of the wage estimates for all collection
of information calculations in the ESRD QIP (for example, 77 FR 67521).
However, we believe that reporting data for the ESRD QIP measures can
be accomplished by other administrative staff within the dialysis
facility. The Bureau of Labor Statistiscs (the Bureau) is ``the
principal Federal agency responsible for measuring labor market
activity, working conditions, and
[[Page 37853]]
price changes in the economy.'' \10\ Acting as an independent agency,
the Bureau provides objective information not only for the government,
but also for the public. The Bureau's National Occupational Employment
and Wage Estimate describes Medical Records and Health Information
Technicians as those responsible for organizing and managing health
information data.\11\ Therefore, we believe it is reasonable assume
these individuals would be tasked with submitting measure data to
CROWNWeb rather than a Registered Nurse, whose duties are centered on
providing and coordinating care for patients.\12\ The mean hourly wage
of a Medical Records and Health Information Technician is $18.68 per
hour.\13\ Under OMB Circular 76-A, in calculating direct labor,
agencies should not only include salaries and wages, but also ``other
entitlements'' such as fringe benefits.\14\ This Circular provides that
the civilian position full fringe benefit cost factor is 36.25 percent.
Therefore, using these assumptions, we estimate an hourly labor cost of
$25.45 as the basis of the wage estimates for all collection of
information calculations in the ESRD QIP.
---------------------------------------------------------------------------
\10\ https://www.bls.gov/bls/infohome.htm.
\11\ https://www.bls/gov/ooh/healthcare/medical-records-and-health-information-technicians.htm.
\12\ https://www.bls.gov/ooh/healthcare/registered-nurses.htm.
\13\ https://www,bls.gov/ooh/healthcare/medical-records-and-health-information-technicians.html.
\14\ https://www.whitehouse.gov/omb/circulars_a076_a76_incl_tech_correction.
---------------------------------------------------------------------------
b. Changes in Time Required To Submit Data Based on Proposed Reporting
Requirements
In previous rulemaking, we estimated that data entry associated
with the ESRD QIP took approximately 5 minutes per data element to
complete (for example, 77 FR 67521). However, a large number of
facilities now submit data using the batch submission process, which
allows facilities to submit data extracted from their internal
Electronic Health Records (EHRs) directly to CROWNWeb. Because the
batch submission process can be automated with very little human
intervention, we believe the overall time required to submit measure
data using CROWNWeb is substantially less than previously estimated. We
are therefore revising our estimate to be 2.5 minutes per data element
submitted, a change of -2.5 minutes, which takes into account the small
percentage of data that is manually reported, as well as the human
interventions required to modify batch submission files such that they
meet CROWNWeb's internal data validation requirements.
c. Data Validation Requirements for the PY 2018 ESRD QIP
Section III.F.4 in this proposed rule outlines our data validation
proposals for PY 2018. Specifically, we propose to randomly sample
records from 300 facilities as part of our continuing pilot data-
validation program. Each sampled facility would be required to produce
approximately 10 records, and the sampled facilities will be reimbursed
by our validation contractor for the costs associated with copying and
mailing the requested records. The burden associated with these
validation requirements is the time and effort necessary to submit the
requested records to a CMS contractor. We estimate that it will take
each facility approximately 2.5 hours to comply with this requirement.
If 300 facilities are asked to submit records, we estimate that the
total combined annual burden for these facilities will be 750 hours
(300 facilities x 2.5 hours). Since we anticipate that Medical Records
and Health Information Technicians or similar administrative staff
would submit this data, we estimate that the aggregate cost of the
CROWNWeb data validation would be $19,088 (750 hours x $25.45/hour)
total or $64 ($19,088/300 facilities) per facility in the sample. The
burden associated with these requirements is captured in an information
collection request currently available for review and comment, OMB
control number 0938-NEW.
Under the proposed continuation of the feasibility study for
validating data reported to the NHSN Dialysis Event Module, we propose
to randomly select nine facilities to provide CMS with a quarterly list
of all positive blood cultures drawn from their patients during the
quarter, including any positive blood cultures collected on the day of,
or the day following, a facility patient's admission to a hospital. A
CMS contractor will review the lists to determine if dialysis events
for the patients in question were accurately reported to the NHSN
Dialysis Event Module. If we determine that additional medical records
are needed to validate dialysis events, facilities will be required to
provide those records within 60 days of a request for this information.
We estimate fewer than ten respondents in a 12-month period; therefore,
in accordance with the implementing regulations of the PRA at 44 U.S.C.
3502(3)(A)(i), the burden associated with the aforementioned
requirements is exempt.
d. Proposed Ultrafiltration Rate Reporting Measure
We proposed to include, beginning with the PY 2019 ESRD QIP, a
reporting measure requiring facilities to report in CROWNWeb an
ultrafiltration rate at least once per month for each qualifying
patient. We estimate the burden associated with this measure to be the
time and effort necessary for facilities to collect and submit the
information required for the ultrafiltration rate reporting measure. We
estimated that approximately 6,264 facilities will treat 773,737 ESRD
patients nationwide in PY 2019. The ultrafiltration rate reporting
measure has 12 elements per patient per year, and we estimate it will
take facilities approximately 0.042 hours (2.5 minutes) to submit data
for each qualifying patient each month. Therefore, the estimated total
annual burden associated with reporting this measure in PY 2019 is
approximately 389,963 hours (773,737 ESRD patients nationwide x 12 data
elements/year x 0.042 hours per element), or 62 hours per facility. We
anticipate that Medical Records and Health Information Technicians or
similar administrative staff will be responsible for this reporting. We
therefore believe the cost for all ESRD facilities to comply with the
reporting requirements associated with the ultrafiltration rate
reporting measure would be approximately $9,924,558 (389,963 x $25.45/
hour), or $1,584 per facility. The burden associated with these
requirements is captured in an information collection request currently
available for review and comment, OMB control number 0938--NEW.
e. Proposed Full-Season Influenza Vaccination Reporting Measure
We proposed to include, beginning with the PY 2019 ESRD QIP, a
measure requiring facilities to report patient influenza vaccination
status annually using the CROWNWeb system. We estimate the burden
associated with this measure to be the time and effort necessary for
facilities to collect and submit the information required for this
measure. We estimated that approximately 6,264 facilities will treat
773,737 ESRD patients nationwide in PY 2019. The Full-Season Influenza
Vaccination reporting measure has just 1 element per patient per year,
and we estimate it will take facilities approximately 0.042 hours, or
2.5 minutes, to submit this data for each patient on an annual basis.
Therefore, the estimated total annual burden associated with reporting
this measure in PY 2019 is approximately 32,497
[[Page 37854]]
hours (737,773 ESRD patients nationwide x 1 element/year x 0.042 hours/
element), or 5 hours per facility. Again, we anticipate that Medical
Records and Health Information Technicians or similar administrative
staff will be responsible for this reporting. In total, we stated that
we believe the cost for all ESRD facilities to comply with the
reporting requirements associated with the Full-Season Influenza
Vaccination reporting measure would be approximately $827,049 (32,497
hours x $25.45/hour), or $132 per facility. The burden associated with
these requirements is captured in an information collection request
currently available for review and comment, OMB control number 0938--
NEW.
VI. Response to Comments
Because of the large number of public comments we normally receive
on Federal Register documents, we are not able to acknowledge or
respond to them individually. We will consider all comments we receive
by the date and time specified in the DATES section of this preamble,
and, when we proceed with a subsequent document, we will respond to the
comments in the preamble to that document.
VII. Economic Analyses
A. Regulatory Impact Analysis
1. Introduction
We have examined the impacts of this rule as required by Executive
Order 12866 on Regulatory Planning and Review (September 30, 1993),
Executive Order 13563 on Improving Regulation and Regulatory Review
(January 18, 2011), the Regulatory Flexibility Act (RFA) (September 19,
1980, Pub. L. 96-354), section 1102(b) of the Social Security Act,
section 202 of the Unfunded Mandates Reform Act of 1995 (March 22,
1995; Pub. L. 104-4), Executive Order 13132 on Federalism (August 4,
1999) and the Congressional Review Act (5 U.S.C. 804(2).
Executive Orders 12866 and 13563 direct agencies to assess all
costs and benefits of available regulatory alternatives and, if
regulation is necessary, to select regulatory approaches that maximize
net benefits (including potential economic, environmental, public
health and safety effects, distributive impacts, and equity). Section
3(f) of Executive Order 12866 defines a ``significant regulatory
action'' as an action that is likely to result in a rule: (1) Having an
annual effect on the economy of $100 million or more in any 1 year, or
adversely and materially affecting a sector of the economy,
productivity, competition, jobs, the environment, public health or
safety, or state, local or tribal governments or communities (also
referred to as economically significant); (2) creating a serious
inconsistency or otherwise interfering with an action taken or planned
by another agency; (3) materially altering the budgetary impacts of
entitlement grants, user fees, or loan programs or the rights and
obligations of recipients thereof; or (4) raising novel legal or policy
issues arising out of legal mandates, the President's priorities, or
the principles set forth in the Executive Order.
A regulatory impact analysis (RIA) must be prepared for major rules
with economically significant effects ($100 million or more in any 1
year). This rule is not economically significant within the meaning of
section 3(f)(1) of the Executive Order, since it does not meet the $100
million threshold. However, OMB has determined that the actions are
significant within the meaning of section 3(f)(4) of the Executive
Order. Therefore, OMB has reviewed these proposed regulations, and the
Departments have provided the following assessment of their impact. We
solicit comments on the regulatory impact analysis provided.
2. Statement of Need
This rule proposes a number of routine updates and several policy
changes to the ESRD PPS in CY 2016. The proposed routine updates
include the CY 2016 wage index values, the wage index budget-neutrality
adjustment factor, and outlier payment threshold amounts. Other
proposed policy changes include implementation of section
1881(b)(14)(F)(i)(I), as amended by section 217(b)(2) of PAMA, which
requires a 1.25 percent decrease to the payment update as discussed in
section II.B.2.a.iv of this rule, the delay in payment for oral-only
drugs under the ESRD PPS until January 1, 2025 as required by section
204 of ABLE, the implementation of a geographic facility adjustment
paid to rural facilities, and the updated payment multipliers based
upon the regression analysis discussed in section II.B.1 of this
proposed rule. Failure to publish this proposed rule would result in
ESRD facilities not receiving appropriate payments in CY 2016.
This rule proposes to implement requirements for the ESRD QIP,
including a proposal to adopt a measure set for the PY 2019 program, as
directed by section 1881(h) of the Act. Failure to propose requirements
for the PY 2019 ESRD QIP would prevent continuation of the ESRD QIP
beyond PY 2018. In addition, proposing requirements for the PY 2019
ESRD QIP provides facilities with more time to review and fully
understand new measures before their implementation in the ESRD QIP.
3. Overall Impact
We estimate that the proposed revisions to the ESRD PPS will result
in an increase of approximately $20 million in payments to ESRD
facilities in CY 2016, which includes the amount associated with
updates to outlier threshold amounts, updates to the wage index,
changes in the CBSA delineations, changes in the labor-related share,
and changes involved with the refinement.
For PY 2018, we anticipate that the new burdens associated with the
collection of information requirements will be approximately $19
thousand, totaling an overall impact of approximately $11.8 million as
a result of the PY 2018 ESRD QIP.\15\ For PY 2019, we estimate that the
proposed requirements related to the ESRD QIP will cost approximately
$10.7 million dollars, and the payment reductions will result in a
total impact of approximately $3.8 million across all facilities,
resulting in a total impact from the proposed ESRD QIP of approximately
$14.6 million.
---------------------------------------------------------------------------
\15\ We note that the aggregate impact of the PY 2018 ESRD QIP
was included in the CY 2015 ESRD PPS final rule (79 FR 66256 through
66258). The previously finalized aggregate impact of $11.8 million
reflects the PY 2018 estimated payment reductions and the collection
of information requirements for the NHSN Healthcare Personnel
Influenza Vaccination reporting measure.
---------------------------------------------------------------------------
B. Detailed Economic Analysis
1. CY 2016 End-Stage Renal Disease Prospective Payment System
a. Effects on ESRD Facilities
To understand the impact of the changes affecting payments to
different categories of ESRD facilities, it is necessary to compare
estimated payments in CY 2015 to estimated payments in CY 2016. To
estimate the impact among various types of ESRD facilities, it is
imperative that the estimates of payments in CY 2015 and CY 2016
contain similar inputs. Therefore, we simulated payments only for those
ESRD facilities for which we are able to calculate both current
payments and new payments.
For this proposed rule, we used the December 2014 update of CY 2014
National Claims History file as a basis for Medicare dialysis
treatments and payments under the ESRD PPS. We updated the 2014 claims
to 2015 and 2016 using various updates. The
[[Page 37855]]
updates to the ESRD PPS base rate are described in section II.B.2 of
this proposed rule. Table 20 shows the impact of the estimated CY 2016
ESRD payments compared to estimated payments to ESRD facilities in CY
2015.
Table 20--Impact of Proposed Changes in Payments to ESRD Facilities for CY 2016 Proposed Rule
--------------------------------------------------------------------------------------------------------------------------------------------------------
Effect of Effect of
2016 changes Effect of total 2016
Effect of in wage Effect of 2016 proposed
Number of 2016 indexes, 2016 proposed changes
Number of treatments changes in CBSA changes in refinement (refinement
Facility type facilities (in outlier (percent) payment changes to and routine
millions) policy designations rate update payment updates to
(percent) and labor (percent) rate the payment
share (percent) rate)
(percent) (percent)
A B C D E F G
--------------------------------------------------------------------------------------------------------------------------------------------------------
All Facilities.............................................. 6,264 40.0 0.1 0.0 0.15 0.0 0.3
Type:
Freestanding............................................ 5,812 37.7 0.1 0.0 0.15 0.0 0.2
Hospital based.......................................... 452 2.3 0.1 0.1 0.16 0.1 0.5
Ownership Type:
Large dialysis organization............................. 4,380 28.5 0.1 -0.1 0.15 0.1 0.3
Regional chain.......................................... 926 6.0 0.1 0.2 0.15 -0.3 0.2
Independent............................................. 584 3.6 0.1 0.1 0.15 -0.1 0.2
Hospital based \1\...................................... 374 1.9 0.1 0.0 0.16 0.4 0.7
Geographic Location:
Rural................................................... 1,239 5.9 0.1 -1.2 0.15 1.0 0.0
Urban................................................... 5,025 34.1 0.1 0.2 0.15 -0.2 0.3
Census Region:
East North Central...................................... 1,036 5.8 0.1 -0.3 0.15 0.2 0.1
East South Central...................................... 518 3.0 0.1 -1.2 0.15 0.7 -0.2
Middle Atlantic......................................... 680 4.9 0.1 0.9 0.15 -0.3 0.8
Mountain................................................ 359 2.0 0.1 -0.1 0.15 -0.1 0.1
New England............................................. 182 1.3 0.1 1.1 0.15 -0.6 0.7
Pacific \2\............................................. 760 5.6 0.1 1.4 0.15 -0.8 0.8
Puerto Rico and Virgin Islands.......................... 47 0.3 0.1 -4.0 0.15 -0.2 -3.9
South Atlantic.......................................... 1,386 9.3 0.1 -0.4 0.15 0.3 0.2
West North Central...................................... 455 2.1 0.1 -0.6 0.15 0.4 0.0
West South Central...................................... 841 5.8 0.1 -0.7 0.15 0.2 -0.2
Facility Size:
Less than 4,000 treatments \3\.......................... 1,305 3.5 0.1 -0.3 0.15 0.4 0.3
4,000 to 9,999 treatments............................... 2,239 10.8 0.1 -0.3 0.15 0.1 0.1
10,000 or more treatments............................... 2,514 25.3 0.1 0.2 0.15 -0.1 0.3
Unknown................................................. 206 0.3 0.1 0.1 0.15 -0.2 0.1
Percentage of Pediatric Patients:
Less than 2%............................................ 6,156 39.6 0.1 0.0 0.15 0.0 0.3
Between 2% and 19%...................................... 42 0.4 0.1 -0.1 0.15 0.4 0.5
Between 20% and 49%..................................... 14 0.0 0.1 -0.2 0.15 0.4 0.4
More than 50%........................................... 52 0.0 0.1 0.0 0.15 0.5 0.7
--------------------------------------------------------------------------------------------------------------------------------------------------------
\1\ Includes hospital-based ESRD facilities not reported to have large dialysis organization or regional chain ownership.
\2\ Includes Facilities located in Guam, American Samoa, and the Northern Mariana Islands.
\3\ Of the 1,305 Facilities with less than 4,000 treatments, only 385 qualify for the low-volume adjustment. The low-volume adjustment is mandated by
Congress, and is not applied to pediatric patients. The impact to these Low volume Facilities is a 7.0 percent increase in payments.
Note: Totals do not necessarily equal the sum of rounded parts, as percentages are multiplicative, not additive.
Column A of the impact table indicates the number of ESRD
facilities for each impact category and column B indicates the number
of dialysis treatments (in millions). The overall effect of the
proposed changes to the outlier payment policy described in section
II.B.2.c of this proposed rule is shown in column C. For CY 2016, the
impact on all ESRD facilities as a result of the changes to the outlier
payment policy will be a 0.1 percent increase in estimated payments.
Nearly all ESRD facilities are anticipated to experience a positive
effect in their estimated CY 2016 payments as a result of the proposed
outlier policy changes.
Column D shows the effect of the proposed CY 2016 wage indices, and
the final year of the transitions for the implementation of both the
new CBSA delineations and the labor-related share. Facilities located
in the census region of Puerto Rico and the Virgin Islands would
receive a 4.0 percent decrease in estimated payments in CY 2016. Since
most of the facilities in this category are located in Puerto Rico, the
decrease is primarily due to the change in the labor-related share. The
other categories of types of facilities in the impact table show
changes in estimated payments ranging from a 1.2 percent decrease to a
1.4 percent increase due to these proposed updates.
Column E shows the effect of the ESRD PPS payment rate update of
0.15 percent, which reflects the proposed ESRDB market basket
percentage increase factor for CY 2016 of 2.0 percent, the 1.25 percent
reduction as required by the section 1881(b)(14)(F)(i)(I) of the Act,
and the MFP adjustment of 0.6 percent.
Column F shows the effect of the ESRD PPS refinement as discussed
in section II.B.1. While the overall estimated impact of the refinement
is 0.0 percent, the impact by categories ranges from a 0.8 percent
decrease to a 1.0 percent increase.
Column G reflects the overall impact (that is, the effects of the
proposed outlier policy changes, the proposed wage index, the effect of
the change in CBSA delineations, the effect of the change in the labor-
related share, the effect of the payment rate update, and the effect of
the refinement). We expect that overall ESRD facilities will experience
a 0.3 percent increase in estimated payments in 2016. ESRD facilities
in Puerto Rico and the Virgin Islands are expected to receive a 3.9
percent decrease in their estimated payments in CY 2016. This larger
[[Page 37856]]
decrease is primarily due to the negative impact of the change in the
labor-related share. The other categories of types of facilities in the
impact table show impacts ranging from a decrease of 0.2 percent to an
increase of 0.8 percent in their 2016 estimated payments.
b. Effects on Other Providers
Under the ESRD PPS, Medicare pays ESRD facilities a single bundled
payment for renal dialysis services, which may have been separately
paid to other providers, (for example, laboratories, durable medical
equipment suppliers, and pharmacies) by Medicare prior to the
implementation of the ESRD PPS. Therefore, in CY 2016, we estimate that
the proposed ESRD PPS will have zero impact on these other providers.
c. Effects on the Medicare Program
We estimate that Medicare spending (total Medicare program
payments) for ESRD facilities in CY 2016 will be approximately $8.7
billion. This estimate takes into account a projected increase in fee-
for-service Medicare dialysis beneficiary enrollment of 1.5 percent in
CY 2016.
d. Effects on Medicare Beneficiaries
Under the ESRD PPS, beneficiaries are responsible for paying 20
percent of the ESRD PPS payment amount. As a result of the projected
0.3 percent overall increase in the proposed ESRD PPS payment amounts
in CY 2016, we estimate that there will be an increase in beneficiary
co-insurance payments of 0.3 percent in CY 2016, which translates to
approximately $10 million.
e. Alternatives Considered
1. CY 2016 ESRD PPS
In section II.B.1.c.i of this proposed rule, we propose updated
payment multipliers for five age groups resulting from our regression
analysis. In section II.B.2.d.ii, we propose a regression budget-
neutrality adjustment to account for the overall effects of the
refinement. We are proposing a 4 percent reduction (that is, a factor
of 0.959703) to the ESRD PPS base rate to account for the additional
dollars paid to facilities through the payment adjustments and indicate
that a significant portion of additional impact of the adjusters on the
base rate arises from changes in the age adjustments. To mitigate some
of the reduction, we considered reducing the number of age categories
to three and providing a payment adjustment for only those patients in
the youngest (18-44) and oldest (80+) age groups. We did not adopt this
approach because while it would reduce the impact of the age
adjustments on the base rate, it would also significantly reduce the
explanatory power of the system and reduce payments to facilities with
patients who are between the ages of 44 through 79, that is,
approximately 75 percent of patients.
Also, in section II.B.1.d.ii of this proposed rule, we are
proposing to modify the eligibility criteria for the low-volume payment
adjustment by excluding facilities of common ownership that are located
within 5 road miles from one another. We considered proposing a
geographic proximity criterion of 10 road miles; however, this approach
negatively impacted rural facilities which are important to ensure
access of essential renal dialysis services.
2. End-Stage Renal Disease Quality Incentive Program
a. Effects of the PY 2019 ESRD QIP
The ESRD QIP provisions are intended to prevent possible reductions
in the quality of ESRD dialysis facility services provided to
beneficiaries as a result of payment changes under the ESRD PPS. The
methodology that we are proposing to use to determine a facility's TPS
for PY 2019 is described in section III.G.9 of this proposed rule. Any
reductions in ESRD PPS payments as a result of a facility's performance
under the PY 2019 ESRD QIP would affect the facility's reimbursement
rates in CY 2019.
We estimate that, of the total number of dialysis facilities
(including those not receiving a TPS), approximately 8 percent or 495
of the facilities would likely receive a payment reduction in PY 2019.
Facilities that do not receive a TPS are not eligible for a payment
reduction.
In conducting our impact assessment, we have assumed that there
will be an initial count of 6,264 dialysis facilities paid under the
ESRD PPS. Table 21 shows the overall estimated distribution of payment
reductions resulting from the PY 2019 ESRD QIP.
Table 21--Estimated Distribution of PY 2019 ESRD QIP Payment Reductions
----------------------------------------------------------------------------------------------------------------
Cumulative Cumulative
Percentage reduction Frequency Percent frequency percent
----------------------------------------------------------------------------------------------------------------
0....................................... 5509 91.76 5509 91.76
0.5..................................... 430 7.16 5939 98.92
1....................................... 41 0.68 5980 99.60
1.5..................................... 18 0.30 5998 99.90
2....................................... 6 0.10 6004 100.00
----------------------------------------------------------------------------------------------------------------
Note:This table excludes 260 facilities that we estimate will not receive a payment reduction because they will
not report enough data to receive a Total Performance Score.
To estimate whether or not a facility would receive a payment reduction
in PY 2019, we scored each facility on achievement and improvement on
several measures we have previously finalized and for which there were
available data from CROWNWeb and Medicare claims. Measures used for the
simulation are shown in Table 22.
Table 22--Data Used To Estimate PY 2019 ESRD QIP Payment Reductions
----------------------------------------------------------------------------------------------------------------
Period of time used to
calculate achievement
Measure thresholds, performance Performance Period
standards, benchmarks, and
improvement thresholds
----------------------------------------------------------------------------------------------------------------
Vascular Access Type:
% Fistula......................... Jan 2013--Dec 2013............ Jan 2014--Dec 2014.
% Catheter........................ Jan 2013--Dec 2013............ Jan 2014--Dec 2014.
Dialysis Adequacy..................... Jan 2013--June 2013........... July 2013--Dec 2013.
Hypercalcemia......................... Jan 2013--Dec 2013............ Jan 2014--Dec 2014.
[[Page 37857]]
SRR................................... Jan 2012- Dec 2012............ Jan 2013--Dec 2013.
STrR.................................. Jan 2012- Dec 2012............ Jan 2013--Dec 2013.
----------------------------------------------------------------------------------------------------------------
Clinical measure topic areas with less than 11 cases for a facility
were not included in that facility's Total Performance Score. Each
facility's Total Performance Score was compared to the estimated
minimum Total Performance Score and the payment reduction table found
in section III.G.9 of this proposed rule. Facility reporting measure
scores were estimated using available data from CY 2014. Facilities
were required to have a score on at least one clinical and one
reporting measure in order to receive a Total Performance Score.
To estimate the total payment reductions in PY 2019 for each
facility resulting from this proposed rule, we multiplied the total
Medicare payments to the facility during the one year period between
January 2014 and December 2014 by the facility's estimated payment
reduction percentage expected under the ESRD QIP, yielding a total
payment reduction amount for each facility: (Total ESRD payment in
January 2014 through December 2014 times the estimated payment
reduction percentage). For PY 2014, the total payment reduction for the
495 facilities estimated to receive a reduction is approximately $3.85
million ($3,859,742). Further, we estimate that the total costs
associated with the collection of information requirements for PY 2019
described in section III.C.1 of this proposed rule would be
approximately $10.7 million for all ESRD facilities. As a result, we
estimate that ESRD facilities will experience an aggregate impact of
approximately $14.6 million ($10,751,607 + $3,859,742 = $14,611,249) in
PY 2019, as a result of the PY 2019 ESRD QIP.
Table 23 below shows the estimated impact of the finalized ESRD QIP
payment reductions to all ESRD facilities for PY 2019. The table
estimates the distribution of ESRD facilities by facility size (both
among facilities considered to be small entities and by number of
treatments per facility), geography (both urban/rural and by region),
and by facility type (hospital based/freestanding facilities). Given
that the time periods used for these calculations will differ from
those we are proposing to use for the PY 2019 ESRD QIP, the actual
impact of the PY 2019 ESRD QIP may vary significantly from the values
provided here.
TABLE 23--IMPACT OF PROPOSED QIP PAYMENT REDUCTIONS TO ESRD FACILITIES IN PY 2019
--------------------------------------------------------------------------------------------------------------------------------------------------------
Number of
Number of Number of facilities Payment reduction
Number of treatments 2013 facilities with expected to (percent change
facilities (in millions) QIP score receive a in total ESRD
payment reduction payments)
--------------------------------------------------------------------------------------------------------------------------------------------------------
All Facilities........................................... 6,264 40.0 6,004 495 -0.04
Facility Type:
Freestanding......................................... 5,812 37.7 5,614 464 -0.04
Hospital-based....................................... 452 2.3 390 31 -0.06
Ownership Type:
Large Dialysis....................................... 4,380 28.5 4,259 356 -0.04
Regional Chain....................................... 926 6.0 888 55 -0.03
Independent.......................................... 584 3.6 538 56 -0.07
Hospital-based (non-chain)........................... 374 1.9 319 28 -0.07
Facility Size:
Large Entities....................................... 5,306 34.5 5,147 411 -0.04
Small Entities \1\................................... 958 5.5 857 84 -0.07
Rural Status:
(1) Yes.............................................. 1,332 6.5 1,257 66 -0.03
(2) No............................................... 4,932 33.5 4,747 429 -0.05
Census Region:
Northeast............................................ 861 6.2 825 50 -0.03
Midwest.............................................. 1,490 7.9 1,386 112 -0.05
South................................................ 2,744 18.1 2,655 243 -0.05
West................................................. 1,112 7.5 1,085 77 -0.04
US Territories \2\................................... 57 0.4 53 13 -0.16
Census Division:
East North Central................................... 1,036 5.8 962 86 -0.05
East South Central................................... 518 3.0 500 48 -0.06
Middle Atlantic...................................... 680 4.9 658 43 -0.03
Mountain............................................. 359 2.0 348 25 -0.04
New England.......................................... 182 1.3 167 7 -0.02
Pacific.............................................. 760 5.6 744 53 -0.04
South Atlantic....................................... 1,386 9.3 1,337 143 -0.06
West North Central................................... 455 2.1 424 26 -0.03
West South Central................................... 841 5.8 818 52 -0.03
US Territories\2\.................................... 47 0.3 46 12 -0.17
Facility Size (# of total treatments):
Less than 4,000 treatments........................... 1,305 3.5 1,185 109 -0.07
4,000-9,999 treatments............................... 2,239 10.8 2,211 166 -0.04
[[Page 37858]]
Over 10,000 treatments............................... 2,514 25.3 2,491 203 -0.04
Unknown.............................................. 206 0.3 117 17 -0.11
--------------------------------------------------------------------------------------------------------------------------------------------------------
\1\ Small Entities include hospital-based and satellite facilities and non-chain facilities based on DFC self-reported status.
\2\ Includes Puerto Rico and Virgin Islands.
\3\ Based on claims and CROWNWeb data through December 2014.
b. Alternatives Considered
In section III.G.2.c.ii of this proposed rule, we are proposing to
adopt the Full-Season Influenza Vaccination reporting measure. Under
this proposed measure, data on patient immunization status would be
entered into CROWNWeb for each qualifying patient treated at the
facility during the performance period. We considered proposing to
collect patient immunization data using the CDC's Surveillance for
Dialysis Patient Influenza Vaccination module within the NHSN; however,
the proposed measure's data sources are administrative claims and
``electronic clinical data'' which the Measure Justification Form
explains will be collected via CROWNWeb (MAP #XDEFM). Because the
measure specifications reviewed by the Measures Application Partnership
do not include NHSN as a data source for this measure, we have decided
not to propose to use the NHSN system to collect patient-level
influenza vaccination data for this measure at this time.
We ultimately decided to have facilities report data for this
measure in CROWNWeb rather than using an alternative data source, for
two main reasons. First, the data elements needed for this measure have
already been developed in CROWNWeb and will appear in a new release
soon. Second, facilities are already familiar with the use and
functionality of CROWNWeb because they are using it to report data for
other measures in the ESRD QIP, and we believe that familiarity with
CROWNWeb will reduce the burden of reporting data for the Full Season
Influenza reporting measure.
C. Accounting Statement
As required by OMB Circular A-4 (available at https://www.whitehouse.gov/omb/circulars_a004_a-4), in Table 24 below, we have
prepared an accounting statement showing the classification of the
transfers and costs associated with the various provisions of this
proposed rule.
TABLE 24--Accounting Statement: Classification of Estimated Transfers
and Costs/Savings
------------------------------------------------------------------------
------------------------------------------------------------------------
ESRD PPS for CY 2016
------------------------------------------------------------------------
Category Transfers
------------------------------------------------------------------------
Annualized Monetized Transfers......... $20 million.
From Whom to Whom...................... Federal government to ESRD
providers.
------------------------------------------------------------------------
Category Transfers
------------------------------------------------------------------------
Increased Beneficiary Co-insurance $ 10 million.
Payments.
From Whom to Whom...................... Beneficiaries to ESRD
providers.
------------------------------------------------------------------------
ESRD QIP for PY 2018 \16\
------------------------------------------------------------------------
Category Transfers
------------------------------------------------------------------------
Annualized Monetized Transfers......... $-11.6 million.
------------------------------------------------------------------------
Category Costs
------------------------------------------------------------------------
Annualized Monetized ESRD Provider $19 thousand.
Costs.
------------------------------------------------------------------------
ESRD QIP for PY 2019
------------------------------------------------------------------------
Category Transfers
------------------------------------------------------------------------
Annualized Monetized Transfers......... $-3.8 million.
From Whom to Whom...................... Federal government to ESRD
providers.
------------------------------------------------------------------------
Category Costs
------------------------------------------------------------------------
Annualized Monetized ESRD Provider $10.7 million.
Costs.
------------------------------------------------------------------------
\16\ We note that the aggregate impact of the PY 2018 ESRD QIP was
included in the CY 2015 ESRD PPS final rule (79 FR 66256 through
66258). The values presented here capture those previously finalized
impacts plus the collection of information requirements related for PY
2018 presented in this notice of proposed rulemaking.
[[Page 37859]]
VIII. Regulatory Flexibility Act Analysis
The Regulatory Flexibility Act (September 19, 1980, Pub. L. 96-354)
(RFA) requires agencies to analyze options for regulatory relief of
small entities, if a rule has a significant impact on a substantial
number of small entities. For purposes of the RFA, small entities
include small businesses, nonprofit organizations, and small
governmental jurisdictions. Approximately 15 percent of ESRD dialysis
facilities are considered small entities according to the Small
Business Administration's (SBA) size standards, which classifies small
businesses as those dialysis facilities having total revenues of less
than $38.5 million in any 1 year. Individuals and States are not
included in the definitions of a small entity. For more information on
SBA's size standards, see the Small Business Administration's Web site
at https://www.sba.gov/content/small-business-size-standards (Kidney
Dialysis Centers are listed as 621492 with a size standard of $38.5
million).
We do not believe ESRD facilities are operated by small government
entities such as counties or towns with populations of 50,000 or less,
and therefore, they are not enumerated or included in this estimated
RFA analysis. Individuals and States are not included in the definition
of a small entity.
For purposes of the RFA, we estimate that approximately 15 percent
of ESRD facilities are small entities as that term is used in the RFA
(which includes small businesses, nonprofit organizations, and small
governmental jurisdictions). This amount is based on the number of ESRD
facilities shown in the ownership category in Table 20. Using the
definitions in this ownership category, we consider the 584 facilities
that are independent and the 374 facilities that are shown as hospital-
based to be small entities. The ESRD facilities that are owned and
operated by LDOs and regional chains would have total revenues of more
than $38.5 million in any year when the total revenues for all
locations are combined for each business (individual LDO or regional
chain), and are not, therefore, included as small entities.
For the ESRD PPS updates proposed in this rule, a hospital-based
ESRD facility (as defined by ownership type) is estimated to receive a
0.7 percent increase in payments for CY 2016. An independent facility
(as defined by ownership type) is also estimated to receive a 0.2
percent increase in payments for CY 2016.
We estimate that of the 495 ESRD facilities expected to receive a
payment reduction in the PY 2019 ESRD QIP, 84 are ESRD small entity
facilities. We present these findings in Table 21 (``Estimated
Distribution of PY 2019 ESRD QIP Payment Reductions'') and Table 23
(``Impact of Proposed QIP Payment Reductions to ESRD Facilities for PY
2019'') above. We estimate that the payment reductions will average
approximately $7,797 per facility across the 495 facilities receiving a
payment reduction, and $7,509 for each small entity facility. Using our
estimates of facility performance, we also estimated the impact of
payment reductions on ESRD small entity facilities by comparing the
total estimated payment reductions for 958 small entity facilities with
the aggregate ESRD payments to all small entity facilities. We estimate
that there are a total of 958 small entity facilities, and that the
aggregate ESRD PPS payments to these facilities would decrease 0.07
percent in PY 2019.
Therefore, the Secretary has determined that this proposed rule
would not have a significant economic impact on a substantial number of
small entities. We solicit comment on the RFA analysis provided.
In addition, section 1102(b) of the Act requires us to prepare a
regulatory impact analysis if a rule may have a significant impact on
the operations of a substantial number of small rural hospitals. Any
such regulatory impact analysis must conform to the provisions of
section 603 of the RFA. For purposes of section 1102(b) of the Act, we
define a small rural hospital as a hospital that is located outside of
a metropolitan statistical area and has fewer than 100 beds. We do not
believe this proposed rule will have a significant impact on operations
of a substantial number of small rural hospitals because most dialysis
facilities are freestanding. While there are 139 rural hospital-based
dialysis facilities, we do not know how many of them are based at
hospitals with fewer than 100 beds. However, overall, the 139 rural
hospital-based dialysis facilities will experience an estimated 0.1
percent decrease in payments. As a result, this proposed rule is not
estimated to have a significant impact on small rural hospitals.
Therefore, the Secretary has determined that this proposed rule would
not have a significant impact on the operations of a substantial number
of small rural hospitals.
IX. Unfunded Mandates Reform Act Analysis
Section 202 of the Unfunded Mandates Reform Act of 1995 (UMRA) also
requires that agencies assess anticipated costs and benefits before
issuing any rule whose mandates require spending in any 1 year of $100
million in 1995 dollars, updated annually for inflation. In 2015, that
is approximately $144 million. This proposed rule does not include any
mandates that would impose spending costs on State, local, or Tribal
governments in the aggregate, or by the private sector, of $141
million.
X. Federalism Analysis
Executive Order 13132 on Federalism (August 4, 1999) establishes
certain requirements that an agency must meet when it promulgates a
proposed rule (and subsequent final rule) that imposes substantial
direct requirement costs on State and local governments, preempts State
law, or otherwise has Federalism implications. We have reviewed this
proposed rule under the threshold criteria of Executive Order 13132,
Federalism, and have determined that it will not have substantial
direct effects on the rights, roles, and responsibilities of States,
local or Tribal governments.
XI. Congressional Review Act
This proposed rule is subject to the Congressional Review Act
provisions of the Small Business Regulatory Enforcement Fairness Act of
1996 (5 U.S.C. 801 et seq.) and has been transmitted to the Congress
and the Comptroller General for review.
In accordance with the provisions of Executive Order 12866, this
proposed rule was reviewed by the Office of Management and Budget.
XII. Files Available to the Public via the Internet
The Addenda for the annual ESRD PPS proposed and final rulemakings
will no longer appear in the Federal Register. Instead, the Addenda
will be available only through the Internet and is posted on the CMS
Web site at https://www.cms.gov/ESRDPayment/PAY/list.asp In addition to
the Addenda, limited data set (LDS) files are available for purchase at
https://www.cms.gov/Research-Statistics-Data-and-Systems/Files-for-Order/LimitedDataSets/EndStageRenalDiseaseSystemFile.html. Readers who
experience any problems accessing the Addenda or LDS files, should
contact Michelle Cruse at (410) 786-7540.
List of Subjects in 42 CFR Part 413
Health facilities, Kidney diseases, Medicare, Reporting and
recordkeeping requirements.
[[Page 37860]]
For the reasons set forth in the preamble, the Centers for Medicare
& Medicaid Services proposes to amend 42 CFR chapter IV as follows:
PART 413--PRINCIPLES OF REASONABLE COST REIMBURSEMENT; PAYMENT FOR
END-STAGE RENAL DISEASE SERVICES; OPTIONAL PROSPECTIVELY DETERMINED
PAYMENT RATES FOR SKILLED NURSING FACILITIES
0
1. The authority citation for part 413 is revised to read as follows:
Authority: Secs. 1102, 1812(d), 1814(b), 1815, 1833(a), (i), and
(n), 1861(v), 1871, 1881, 1883 and 1886 of the Social Security Act
(42 U.S.C. 1302, 1395d(d), 1395f(b), 1395g, 1395l(a), (i), and (n),
1395x(v), 1395hh, 1395rr, 1395tt, and 1395ww); and sec. 124 of
Pub.L. 106-113 (113 Stat. 1501A-332), sec. 3201 of Pub. L. 112-96
(126 Stat. 156), sec. 632 of Pub. L. 112-240 (126 Stat. 2354), sec.
217 of Pub. L. 113-93, and sec. 204 of Pub. L. 113-295.
0
2. Section 413.174 is amended by revising paragraph (f)(6) to read as
follows:
Sec. 413.174 Prospective rates for hospital based and independent
ESRD facilities.
* * * * *
(f) * * *
(6) Effective January 1, 2025, payment to an ESRD facility for
renal dialysis service drugs and biologicals with only an oral form
furnished to ESRD patients is incorporated within the prospective
payment system rates established by CMS in Sec. 413.230 and separate
payment will no longer be provided.
0
3. Section 413.232 is amended by--
0
A. Revising paragraph (c)(2).
0
B. Removing paragraph (d).
0
C. Redesignating paragraphs (e), (f), (g) and (h) as paragraphs (d),
(e), (f) and (g) respectively.
0
D. In newly redesignated paragraph (e), the reference ``paragraph (g)''
is removed and the reference ``paragraph (f)'' is added in its place.
0
E. In newly redesignated paragraph (g) introductory text, the reference
``paragraph (f)'' is removed and the reference ``paragraph (e)'' is
added in its place.
0
F. In newly redesignated paragraph (g)(1), the reference ``paragraph
(f)'' is removed and the reference ``paragraph (e)'' is added in its
place.
The revision reads as follows:
Sec. 413.232 Low-volume adjustment.
* * * * *
(c) * * *
(2) 5 miles or less from the ESRD facility in question.
* * * * *
0
4. Add Sec. 413.233 to read as follows:
Sec. 413.233 Rural facility adjustment.
CMS adjusts the base rate for facilities in rural areas, as defined
in Sec. 413.231(b)(2).
0
5. Add Sec. 413.234 to read as follows:
Sec. 413.234. Drug designation process.
(a) Definitions. For purposes of this section, the following
definitions apply:
ESRD PPS functional category. A distinct grouping of drugs or
biologicals, as determined by CMS, whose end action effect is the
treatment or management of a condition or conditions associated with
ESRD.
New injectable or intravenous product. An injectable or intravenous
product that is approved by the Food and Drug Administration under
section 505 of the Federal Food, Drug, and Cosmetic Act or section 351
of the Public Health Service Act, commercially available, assigned a
Healthcare Common Procedure Coding System code, and designated by CMS
as a renal dialysis service under Sec. 413.171.
Oral-only drug. A drug or biological with no injectable equivalent
or other form of administration other than an oral form.
(b) Effective January 1, 2016, new injectable or intravenous
products are included in the ESRD PPS bundled payment using the
following drug designation process--
(1) If the new injectable or intravenous product is used to treat
or manage a condition for which there is an ESRD PPS functional
category, the new injectable or intravenous product is considered
included in the ESRD PPS bundled payment and no separate payment is
available.
(2) If the new injectable or intravenous product is used to treat
or manage a condition for which there is not an ESRD PPS functional
category, the new injectable or intravenous product is not considered
included in the ESRD PPS bundled payment and the following steps occur:
(i) An existing ESRD PPS functional category is revised or a new
ESRD PPS functional category is added for the condition that the new
injectable or intravenous product is used to treat or manage;
(ii) The new injectable or intravenous product is paid for using
the transitional drug add-on payment adjustment described in paragraph
(c) of this section; and
(iii) The new injectable or intravenous product is added to the
ESRD PPS bundled payment following payment of the transitional drug
add-on payment adjustment.
(c) Transitional drug add-on payment adjustment. (1) A new
injectable or intravenous product that is not considered included in
the ESRD PPS base rate is paid for using a transitional drug add-on
payment adjustment, which is based on ASP pricing methodology.
(2) The transitional drug add-on payment adjustment is paid until
sufficient claims data for rate setting analysis for the new injectable
or intravenous product is available, but not for less than two years.
(3) Following payment of the transitional drug add-on payment
adjustment the ESRD PPS base rate will be modified, if appropriate, to
account for the new injectable or intravenous product in the ESRD PPS
bundled payment.
(d) An oral-only drug is no longer considered oral-only if an
injectable or other form of administration of the oral-only drug is
approved by the Food and Drug Administration.
0
6. Section 413.237 is amended by revising paragraph (a)(1)(iv) to read
as follows:
Sec. 413.237 Outliers
(a) * * *
(1) * * *
(iv) Renal dialysis services drugs that were or would have been,
prior to January 1, 2011, covered under Medicare Part D, including
ESRD-related oral-only drugs effective January 1, 2025.
* * * * *
Dated: June 23, 2015.
Andrew M. Slavitt,
Acting Administrator, Centers for Medicare & Medicaid Services.
Approved: June 24, 2015.
Sylvia M. Burwell,
Secretary, Department of Health and Human Services.
[FR Doc. 2015-16074 Filed 6-26-15; 04:15 pm]
BILLING CODE 4120-01-P