Medicare Program; End-Stage Renal Disease Prospective Payment System, Payment for Renal Dialysis Services Furnished to Individuals With Acute Kidney Injury, and End-Stage Renal Disease Quality Incentive Program, 50738-50797 [2017-23671]
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50738
Federal Register / Vol. 82, No. 210 / Wednesday, November 1, 2017 / Rules and Regulations
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 ESRDPayment@
cms.hhs.gov.
DEPARTMENT OF HEALTH AND
HUMAN SERVICES
Centers for Medicare & Medicaid
Services
42 CFR Parts 413 and 414
[CMS–1674–F]
RIN 0938–AT04
Medicare Program; End-Stage Renal
Disease Prospective Payment System,
Payment for Renal Dialysis Services
Furnished to Individuals With Acute
Kidney Injury, and End-Stage Renal
Disease Quality Incentive Program
Centers for Medicare &
Medicaid Services (CMS), HHS.
ACTION: Final rule.
AGENCY:
This rule updates and makes
revisions to the end-stage renal disease
(ESRD) prospective payment system
(PPS) for calendar year (CY) 2018. It also
updates the payment rate for renal
dialysis services furnished by an ESRD
facility to individuals with acute kidney
injury (AKI). This rule also sets forth
requirements for the ESRD Quality
Incentive Program (QIP), including for
payment years (PYs) 2019 through 2021.
DATES: These regulations are effective
January 1, 2018.
FOR FURTHER INFORMATION CONTACT:
ESRDPayment@cms.hhs.gov, for
issues related to the ESRD PPS and
coverage and payment for renal dialysis
services furnished to individuals with
AKI.
Delia Houseal, (410) 786–2724, for
issues related to the ESRD QIP.
Joel Andress, (410) 786–5237, for
measure related issues with ESRD QIP.
SUPPLEMENTARY INFORMATION:
SUMMARY:
Electronic Access
This Federal Register document is
also available from the Federal Register
online database through Federal Digital
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Government Printing Office. This
database can be accessed via the
internet at https://www.gpo.gov/fdsys/.
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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
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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)
2. Coverage and Payment for Renal Dialysis
Services Furnished to Individuals With
Acute Kidney Injury (AKI)
3. End-Stage Renal Disease (ESRD) Quality
Incentive Program (QIP)
B. Summary of the Major Provisions
1. ESRD PPS
2. Payment for Renal Dialysis Services
Furnished to Individuals With AKI
3. ESRD QIP
C. Summary of Cost and Benefits
1. Final Impacts of the ESRD PPS
2. Final Impacts of Payment for Renal
Dialysis Services Furnished to
Individuals With AKI
3. Final Impacts of the ESRD QIP
II. Calendar Year (CY) 2018 End-Stage Renal
Disease (ESRD) Prospective Payment
System (PPS)
A. Background
1. Statutory Background
2. Description of the System for Payment
of Renal Dialysis Services
3. Updates to the ESRD PPS
B. Summary of the Proposed Provisions,
Public Comments, and Responses to
Comments on the Calendar Year (CY)
2018 ESRD PPS
1. Pricing Eligible Outlier Drugs and
Biologicals That Were or Would Have
Been, Prior to January 1, 2011,
Separately Billable Under Medicare
Part B
a. Summary of Outlier Calculation
b. Use of ASP Methodology Under the
ESRD PPS
c. Pricing Methodologies Under Section
1847A of the Act
d. Pricing Eligible Outlier Drugs and
Biologicals That Were or Would Have
Been, Prior to January 1, 2011,
Separately Billable Under Medicare
Part B
2. CY 2018 ESRD PPS Update
a. CY 2018 ESRD Bundled Market Basket
Update, Productivity Adjustment, and
Labor-Related Share for the ESRD PPS
b. Final CY 2018 ESRD PPS Wage Indices
i. Annual Update of the Wage Index
ii. Application of the Wage Index Under
the ESRD PPS
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c. CY 2018 Update to the Outlier Policy
i. CY 2018 Update to the Outlier Services
MAP Amounts and FDL Amounts
ii. Outlier Percentage
d. Final Impacts to the CY 2018 ESRD PPS
Base Rate
i. ESRD PPS Base Rate
ii. Annual Payment Rate Update for CY
2018
C. Miscellaneous Comments
III. Calendar Year (CY) 2018 Payment for
Renal Dialysis Services Furnished to
Individuals With Acute Kidney Injury
(AKI)
A. Background
B. Summary of the Proposed Provisions,
Public Comments, and Responses to
Comments on CY 2018 Payment for
Renal Dialysis Services Furnished to
Individuals With AKI
1. Annual Payment Rate Update for CY
2018
a. CY 2018 AKI Dialysis Payment Rate
b. Geographic Adjustment Factor
IV. End-Stage Renal Disease (ESRD) Quality
Incentive Program (QIP) for Payment
Year (PY) 2021
A. Background
B. Summary of the Proposed Provisions,
Public Comments, Responses to
Comments, and Newly Finalized Policies
for the End-Stage Renal Disease (ESRD)
Quality Incentive Program (QIP)
1. Accounting for Social Risk Factors in the
ESRD QIP
2. Change to the Performance Score
Certificate (PSC) Beginning With PY
2019 ESRD QIP
3. Requirements Beginning With the PY
2020 ESRD QIP
a. Clarification on the Minimum Data
Policy for Scoring Measures Finalized for
the PY 2020 ESRD QIP
b. Changes to the Extraordinary
Circumstances Exception (ECE) Policy
c. Solicitation of Comments on the
Inclusion of Acute Kidney Injury (AKI)
Patients in the ESRD QIP
d. Estimated Performance Standards,
Achievement Thresholds, and
Benchmarks for the Clinical Measures
Finalized for the PY 2020 ESRD QIP
e. Policy for Weighting the Clinical
Measure Domain for PY 2020
f. Payment Reductions for the PY 2020
ESRD QIP
g. Data Validation
4. Requirements for the PY 2021 ESRD QIP
a. Measures for the PY 2021 ESRD QIP
b. Replacement of the Vascular Access
Type (VAT) Clinical Measures Beginning
With the PY 2021 Program Year
c. Revision of the Standardized
Transfusion Ratio (STrR) Clinical
Measure Beginning With the PY 2021
Program Year
d. New Vascular Access Measures
Beginning With the PY 2021 ESRD QIP
i. New Hemodialysis Vascular Access:
Standardized Fistula Rate Clinical
Measure (NQF #2977)
ii. New Hemodialysis Vascular Access:
Long-Term Catheter Rate (NQF #2978)
Beginning With the PY 2021 ESRD QIP
e. Performance Period for the PY 2021
ESRD QIP
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f. Performance Standards, Achievement
Thresholds, and Benchmarks for the PY
2021 ESRD QIP
i. Performance Standards, Achievement
Thresholds, and Benchmarks for the
Clinical Measures in the PY 2021 ESRD
QIP
ii. Performance Standards, Achievement
Thresholds, and Benchmarks for the
Clinical Measures Proposed for the PY
2021 ESRD QIP
iii. Performance Standards for the PY 2021
Reporting Measures
g. Scoring the PY 2021 ESRD QIP
i. Scoring Facility Performance on Clinical
Measures Based on Achievement
ii. Scoring Facility Performance on Clinical
Measures Based on Improvement
iii. Scoring the ICH CAHPS Clinical
Measure
iv. Scoring the Proposed Hemodialysis
Vascular Access: Standardized Fistula
Rate and Long-Term Catheter Rate
Measures and the Vascular Access
Measure Topic
v. Calculating Facility Performance on
Reporting Measures
h. Weighting the Measure Domains, and
Weighting the TPS for PY 2021
i. Example of the PY 2021 ESRD QIP
Scoring Methodology
j. Minimum Data for Scoring Measures for
the PY 2021 ESRD QIP
k. Payment Reductions for the PY 2021
ESRD QIP
C. Miscellaneous Comments
V. Advancing Health Information Exchange
VI. Collection of Information Requirements
A. Legislative Requirement for the
Solicitation of Comments
B. Requirements in Regulation Text
C. Additional Information Collection
Requirements
1. ESRD QIP
a. Wage Estimates
b. Time Required To Submit Data Based on
Reporting Requirements for PY 2020
c. Data Validation Requirements for the PY
2020 ESRD QIP
VII. Economic Analyses
A. Regulatory Impact Analysis
1. Introduction
2. Statement of Need
3. Overall Impact
B. Detailed Economic Analysis
1. CY 2018 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
2. CY 2018 Payment for Renal Dialysis
Services Furnished to Individuals With
AKI
a. Effects on ESRD Facilities
b. Effects on Other Providers
c. Effects on the Medicare Program
d. Effects on Medicare Beneficiaries
e. Alternatives Considered
3. ESRD QIP
a. Effects of the PY 2021 ESRD QIP on
ESRD Facilities
b. Effects on Other Providers
d. Effects on Medicare Beneficiaries
e. Alternatives Considered
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C. Accounting Statement
VIII. Regulatory Flexibility Act Analysis
IX. Unfunded Mandates Reform Act Analysis
X. Federalism Analysis
XI. Reducing Regulation and Controlling
Regulatory Costs
XII. Congressional Review Act
XIII. Files Available to the Public via the
Internet
Acronyms
Because of the many terms to which
we refer by acronym in this final rule,
we are listing the acronyms used and
their corresponding meanings in
alphabetical order below:
Affordable Care Act the Patient Protection
and Affordable Care Act
ABLE Stephen Beck, Jr., Achieving a Better
Life Experience Act of 2014
AKI Acute Kidney Injury
AMP Average Manufacturer Price
ASP Average Sales Price
ASPE Office of the Assistant Secretary for
Planning and Evaluation
ATRA American Taxpayer Relief Act of
2012
AV Arterial Venous
BLS Bureau of Labor Statistics
BSI Bloodstream Infection
CBSA Core Based Statistical Area
CCN CMS Certification Number
CDC Centers for Disease Control and
Prevention
CEO Chief Executive Officer
CFR Code of Federal Regulations
CMS Centers for Medicare & Medicaid
Services
CROWNWeb Consolidated Renal
Operations in a Web-Enabled Network
CY Calendar Year
DFC Dialysis Facility Compare
DFR Dialysis Facility Report
ECE Extraordinary Circumstances
Exception
EPO Epoetin
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
FFS Fee-For-Service
FDA Food and Drug Administration
FDL Fixed-Dollar Loss
HCPCS Healthcare Common Procedure
Coding System
ICD International Classification of Diseases
ICH CAHPS In-Center Hemodialysis
Consumer Assessment of Healthcare
Providers and Systems
IGI IHS Global Inc.
IPPS Inpatient Prospective Payment System
IQR Interquartile Range
IUR Inter-unit Reliability
Kt/V A measure of dialysis adequacy where
K is dialyzer clearance, t is dialysis time,
and V is total body water volume
MAP Medicare Allowable Payment
MFP Multifactor Productivity
MIPPA Medicare Improvements for Patients
and Providers Act of 2008 (Pub. L. 110–
275)
NHSN National Healthcare Safety Network
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NQF National Quality Forum
OMB Office of Management and Budget
PAMA Protecting Access to Medicare Act of
2014
PD Peritoneal Dialysis
PPS Prospective Payment System
PY Payment Year
QIP Quality Incentive Program
RFA Regulatory Flexibility Act
SBA Small Business Administration
SHR Standardized Hospitalization Ratio
SRR Standardized Readmission Ratio
STrR Standardized Transfusion Ratio
TCV Truncated Coefficient of Variation
TDAPA Transitional Drug Add-on Payment
Adjustment
TEP Technical Expert Panel
The Act Social Security Act
The Secretary Secretary of the Department
of Health and Human Services
TPEA Trade Preferences Extension Act of
2015
TPS Total Performance Score
UFR Ultrafiltration Rate
VAT Vascular Access Type
WAMP Widely Available Market Price
I. Executive Summary
A. Purpose
1. End-Stage Renal Disease (ESRD)
Prospective Payment System (PPS)
On January 1, 2011, we implemented
the end-stage renal disease (ESRD)
prospective payment system (PPS), a
case-mix adjusted, bundled prospective
payment system for renal dialysis
services furnished by ESRD facilities.
This rule updates and makes revisions
to the ESRD PPS for calendar year (CY)
2018. 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 Patient Protection and Affordable
Care Act (the Affordable Care Act) (Pub.
L. 111–148), established that beginning
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.
2. Coverage and Payment for Renal
Dialysis Services Furnished to
Individuals With Acute Kidney Injury
(AKI)
On June 29, 2015, the President
signed the Trade Preferences Extension
Act of 2015 (TPEA) (Pub. L. 114–27).
Section 808(a) of TPEA amended
section 1861(s)(2)(F) of the Act to
provide coverage for renal dialysis
services furnished on or after January 1,
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2017, by a renal dialysis facility or a
provider of services paid under section
1881(b)(14) of the Act to an individual
with AKI. Section 808(b) of TPEA
amended section 1834 of the Act by
adding a new subsection (r) that
provides for payment for renal dialysis
services furnished by renal dialysis
facilities or providers of services paid
under section 1881(b)(14) of the Act to
individuals with AKI at the ESRD PPS
base rate beginning January 1, 2017.
3. End-Stage Renal Disease (ESRD)
Quality Incentive Program (QIP)
This rule also finalizes requirements
for the end-stage renal disease (ESRD)
quality incentive program (QIP),
including for payment years (PYs) 2019,
2020, and 2021. 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 the Centers for
Medicare & Medicaid Services (CMS).
B. Summary of the Major Provisions
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1. ESRD PPS
• Update to the ESRD PPS base rate
for CY 2018: The CY 2018 ESRD PPS
base rate is $232.37. This amount
reflects a reduced market basket
increase as required by section
1881(b)(14)(F)(i)(I) of the Act (0.3
percent), and application of the wage
index budget-neutrality adjustment
factor (1.000531), equaling $232.37
($231.55 × 1.003 × 1.000531 = $232.37).
• Annual update to the wage index:
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 2018, we did not
propose any changes to the application
of the wage index floor and we will
continue to apply the current wage
index floor (0.4000) to areas with wage
index values below the floor.
• Update to the outlier policy:
Consistent with our policy to annually
update the outlier policy using the most
current data, we are updating the outlier
services fixed-dollar loss (FDL) amounts
for adult and pediatric patients and
Medicare Allowable Payment (MAP)
amounts for adult and pediatric patients
for CY 2018 using CY 2016 claims data.
Based on the use of more current data,
the FDL amount for pediatric
beneficiaries would decrease from
$68.49 to $47.79 and the MAP amount
would decrease from $38.29 to $37.31,
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as compared to CY 2017 values. For
adult beneficiaries, the FDL amount
would decrease from $82.92 to $77.54
and the MAP amount would decrease
from $45.00 to $42.41. The 1 percent
target for outlier payments was not
achieved in CY 2016. Outlier payments
represented approximately 0.78 percent
of total payments rather than 1.0
percent. We believe using CY 2016
claims data to update the outlier MAP
and FDL amounts for CY 2018 will
increase payments for ESRD
beneficiaries requiring higher resource
utilization in accordance with a 1
percent outlier percentage.
• Update to the pricing of drugs and
biologicals under the outlier policy: We
are finalizing a change to the ESRD PPS
outlier policy to allow the use of any
pricing methodology available under
section 1847A of the Act to determine
the cost of certain eligible outlier service
drugs and biologicals in computing
outlier payments when average sales
price (ASP) data is not available.
2. Payment for Renal Dialysis Services
Furnished to Individuals With AKI
We are updating the AKI payment rate
for CY 2018. The final CY 2018 payment
rate is $232.37, which is equal to the CY
2018 ESRD PPS base rate.
3. ESRD QIP
This rule sets forth requirements for
the ESRD QIP, for payment years (PYs)
2019, 2020 and 2021 as follows:
• Updating the Performance Score
(PSC) Certificate Beginning in PY 2019:
We are updating the Performance Score
Certificate (PSC) beginning in PY 2019
by shortening and simplifying it.
• Changes to the Extraordinary
Circumstances Exception (ECE) Policy:
In an effort to align our policy with the
Extraordinary Circumstances Exception
(ECE) policy adopted by other quality
reporting and value-based purchasing
programs, we are updating the ECE
Policy for the ESRD QIP. Specifically,
we are updating this policy to (1) allow
the facility to submit a form signed by
the facility’s CEO or designated
personnel; (2) expand the reasons for
which an ECE can be requested to
include an unresolved issue with a CMS
data system which affected the ability of
the facility to submit data; and (3)
specify that a facility does not need to
be closed in order to request and receive
consideration for an ECE, as long as the
facility can demonstrate that its normal
operations have been significantly
affected by an extraordinary
circumstance outside of its control.
• PY 2021 Measure Set: Beginning
with PY 2021, we are updating the
Standardized Transfusion Ratio (STrR)
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Clinical Measure to align the measure
specifications used in the ESRD QIP
with those endorsed by the National
Quality Forum (NQF), and replacing the
two existing Vascular Access Type
(VAT) measures with newly NQFendorsed vascular access measures that
address long-held concerns of the ESRD
community. Specifically, we are
replacing the VAT measures with the
Hemodialysis Vascular Access:
Standardized Fistula Rate Clinical
Measure and the Hemodialysis Vascular
Access: Long-Term Catheter Rate
Clinical Measure.
• Data Validation: For PY 2020, we
are continuing the pilot validation study
for validation of Consolidated Renal
Operations in a Web-Enabled Network
(CROWNWeb) data. Under this
continued pilot validation study, we
will continue using the same
methodology used for the PY 2018 and
PY 2019 ESRD QIP. Under this
methodology, we will sample
approximately 10 records per facility
from 300 facilities during CY 2018.
For PY 2020, we are also continuing
the National Healthcare Safety Network
(NHSN) Bloodstream Infection (BSI)
Data Validation study that we finalized
in the CY 2017 ESRD PPS final rule (81
FR 77894 through 77896), with a minor
update to the sampling methodology.
Under the updated sampling
methodology, we will incorporate a
targeted sample to select 35 facilities to
participate in an NHSN dialysis event
validation study for two quarters of data
reported in CY 2018.
C. Summary of Costs and Benefits
In section VII of this final rule, we set
forth a detailed analysis of the impacts
of the finalized changes for affected
entities and beneficiaries. The impacts
include the following:
1. Final Impacts of the ESRD PPS
The impact chart in section VII of this
final rule displays the estimated change
in payments to ESRD facilities in CY
2018 compared to estimated payments
in CY 2017. The overall impact of the
CY 2018 changes is projected to be a 0.5
percent increase in payments. Hospitalbased ESRD facilities have an estimated
0.7 percent increase in payments
compared with freestanding facilities
with an estimated 0.5 percent increase.
We estimate that the aggregate ESRD
PPS expenditures will increase by
approximately $60 million from CY
2017 to CY 2018. This reflects a $40
million increase from the payment rate
update and a $20 million increase due
to the updates to the outlier threshold
amounts. We note that the decrease in
the projection of aggregate ESRD PPS
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expenditures from the figure in the CY
2018 ESRD PPS proposed rule ($100
million) is due to the decrease in the
ESRD PPS base rate update factor (that
is, from 0.7 percent to 0.3 percent). As
a result of the projected 0.5 percent
overall payment increase, we estimate
that there will be an increase in
beneficiary co-insurance payments of
0.5 percent in CY 2018, equivalent to
approximately $10 million.
2. Final Impacts of Payment for Renal
Dialysis Services Furnished to
Individuals With AKI
We anticipate an estimated $20
million will be paid to ESRD facilities
in CY 2018 as a result of AKI patients
receiving renal dialysis services in the
ESRD facility at the ESRD PPS base rate
versus receiving those services in the
hospital outpatient setting. In the CY
2018 ESRD PPS proposed rule, we
estimated $2 million would be paid to
ESRD facilities in CY 2018 for AKI
patients. Based on actual preliminary
ESRD facility claims data available after
publication of the CY 2018 ESRD PPS
proposed rule, we have updated this
estimate for the final rule.
3. Final Impacts of the ESRD QIP
The impact chart in section VII of this
final rule displays estimated impacts of
the ESRD QIP for payment year (PY)
2021. The overall impact is an expected
reduction in payment to all facilities of
$29 million. The PY 2021 estimated
total facility burden for the collection of
data is $91 million, which represents a
zero net increase from PY 2020.
II. Calendar Year (CY) 2018 End-Stage
Renal Disease (ESRD) Prospective
Payment System (PPS)
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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 as required by 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 with calendar
year (CY) 2012, and each subsequent
year, the Secretary of the Department of
Health and Human Services (the
Secretary) shall annually increase
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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, 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 in the CY 2014 ESRD PPS final
rule (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
required 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 Protecting
Access to Medicare Act of 2014 (PAMA)
(Pub. L. 113–93) was enacted. 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 oralonly ESRD-related drugs under the
ESRD PPS prior to January 1, 2024.
Section 217(a)(2) of PAMA further
amended section 632(b)(1) of ATRA by
requiring that in establishing payment
for oral-only drugs under the ESRD PPS,
the Secretary 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
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50741
intravenous products into the ESRD PPS
bundled payment.
Finally, 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. Description of the 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, which is in subpart H of 42
CFR part 413. Our other payment
policies are also included in regulations
in subpart H of 42 CFR part 413. The
ESRD PPS base rate is adjusted for
characteristics of both adult and
pediatric patients and accounts for
patient case-mix variability. The ESRD
PPS provides for the following adult
and pediatric patient-level adjustments:
The adult patient-level adjusters include
five age categories, body surface area,
low body mass index, onset of dialysis,
and four co-morbidity categories; while
the pediatric patient-level adjusters
include two age categories and two
dialysis modalities (§§ 413.235(a) and
(b)).
The ESRD PPS provides for three
facility-level adjustments. The first
payment adjustment accounts for ESRD
facilities furnishing a low volume of
dialysis treatments (§ 413.232). The
second adjustment reflects differences
in area wage levels developed from Core
Based Statistical Areas (CBSAs)
(§ 413.231). The third payment
adjustment accounts for ESRD facilities
furnishing renal dialysis services in a
rural area (§ 413.233).
The ESRD PPS allows for a training
add-on for home and self-dialysis
modalities (§ 413.235(c)) and an
additional payment for high cost
outliers due to unusual variations in the
type or amount of medically necessary
care when applicable (§ 413.237).
The ESRD PPS also provides for a
transitional drug add-on payment
adjustment (TDAPA) to pay for a new
injectable or intravenous product that is
not considered included in the ESRD
PPS base rate, meaning a product that is
used to treat or manage a condition for
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which there is not an existing ESRD PPS
functional category (§ 413.234). The
ESRD PPS functional categories
represent distinct groupings 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 products that
are not included in a functional category
in the ESRD PPS base rate are paid for
using the TDAPA for a minimum of 2
years, until sufficient claims data for
rate setting analysis is available. At that
point, utilization would be reviewed
and the ESRD PPS base rate modified,
if appropriate, to account for these
products. The TDAPA is based on
pricing methodologies under section
1847A of the Act (§ 413.234(c)).
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3. Updates to the ESRD PPS
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 4year transition period. Since the
implementation of the ESRD PPS, we
have published annual rules to make
routine updates, policy changes, and
clarifications.
On November 4, 2016, we published
in the Federal Register a final rule (81
FR 77384 through 77969) entitled,
‘‘Medicare Program; End-Stage Renal
Disease Prospective Payment System,
Coverage and Payment for Renal
Dialysis Services Furnished to
Individuals With Acute Kidney Injury,
End-Stage Renal Disease Quality
Incentive Program, Durable Medical
Equipment, Prosthetics, Orthotics and
Supplies Competitive Bidding Program
Bid Surety Bonds, State Licensure and
Appeals Process for Breach of Contract
Actions, Durable Medical Equipment,
Prosthetics, Orthotics and Supplies
Competitive Bidding Program and Fee
Schedule Adjustments, Access to Care
Issues for Durable Medical Equipment;
and the Comprehensive End-Stage Renal
Disease Care Model; Final Rule’’
(hereinafter referred to as the CY 2017
ESRD PPS final rule). In that rule, we
updated the ESRD PPS base rate for CY
2017, the wage index and wage index
floor, the outlier policy, and the home
and self-dialysis training add-on
payment adjustment. For further
detailed information regarding these
updates, see 81 FR 77384.
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B. Summary of the Proposed Provisions,
Public Comments, and Responses to
Comments on the Calendar Year (CY)
2018 ESRD PPS
The proposed rule, entitled ‘‘Medicare
Program; End-Stage Renal Disease
Prospective Payment System, Payment
for Renal Dialysis Services Furnished to
Individuals with Acute Kidney Injury,
and End-Stage Renal Disease Quality
Incentive Program’’ (82 FR 31190
through 31233), hereinafter referred to
as the CY 2018 ESRD PPS proposed
rule, was published in the Federal
Register on July 5, 2017, with a
comment period that ended on August
28, 2017. In that proposed rule, for the
ESRD PPS, we proposed to make a
number of annual updates for CY 2018,
including updates to the ESRD PPS base
rate, wage index and outlier thresholds,
and to update the pricing of certain
drugs and biologicals under the outlier
policy. We received approximately 58
public comments on our proposals,
including comments from ESRD
facilities; national renal groups,
nephrologists and patient organizations;
patients and care partners;
manufacturers; health care systems; and
nurses.
In this final rule, we provide a
summary of each proposed provision, a
summary of the public comments
received and our responses to them, and
the policies we are finalizing for the CY
2018 ESRD PPS.
1. Pricing Eligible Outlier Drugs and
Biologicals That Were or Would Have
Been, Prior to January 1, 2011,
Separately Billable Under Medicare
Part B
a. Summary of Outlier Calculation
Our regulations at 42 CFR 413.237
specify the methodology used to
calculate outlier payments. Under the
ESRD PPS outlier policy, an ESRD
facility is eligible for an outlier payment
when the facility’s per treatment
imputed Medicare Allowable Payment
(MAP) amount for ESRD outlier services
furnished to a beneficiary exceeds the
predicted ESRD outlier services MAP
amount for outlier services plus the
fixed-dollar loss (FDL) amount, as
specified in § 413.237(b). In the CY 2011
ESRD PPS final rule (75 FR 49134
through 49147), we discussed the
details of establishing the outlier policy
under the ESRD PPS, including
determining eligibility for outlier
payments. We discussed the proposed
CY 2018 updates to the outlier policy in
the CY 2018 ESRD PPS proposed rule
(82 FR 31198 through 31200).
Under § 413.237(a)(1), ESRD outlier
services include (1) certain items and
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services included in the ESRD PPS
bundle that were or would have been
separately billable under Medicare Part
B prior to the implementation of the
ESRD PPS, including ESRD-related
drugs and biologicals, ESRD-related
laboratory tests, and other ESRD-related
medical/surgical supplies; and (2)
certain renal dialysis service drugs
included in the ESRD PPS bundle that
were covered under Medicare Part D
prior to the implementation of the ESRD
PPS. For the Centers for Medicare &
Medicaid Services (CMS) to calculate
outlier eligibility and payments, ESRD
facilities must identify on the monthly
claim which outlier services have been
furnished. CMS provides a list of outlier
services on the CMS Web site, https://
www.cms.gov/Medicare/Medicare-Feefor-Service-Payment/ESRDpayment/
Outlier_Services.html, which is subject
to certain additions and exclusions as
discussed in the CY 2012 ESRD PPS
final rule (76 FR 70246) and Chapter 8,
Section 20.1 of CMS Publication 100–04
(https://www.cms.gov/Regulations-andGuidance/Guidance/Manuals/
downloads/clm104c08.pdf).
It is important for ESRD facilities to
report the outlier services on the claim
because imputed outlier service MAP
amounts for a beneficiary are based on
the actual utilization of outlier services.
Specifically, we estimate an ESRD
facility’s imputed costs for ESRD outlier
services based on available pricing data.
In the CY 2011 ESRD PPS final rule we
finalized the pricing data that we use to
estimate imputed outlier services MAP
amounts for the different categories of
outlier services (75 FR 49141). With
regard to Part B ESRD-related drugs and
biologicals that were separately billable
prior to implementation of the ESRD
PPS, we finalized a policy to base the
prices for these items on the most
current average sales price (ASP) data
plus 6 percent. Our rationale for this
decision was that ASP data for ESRDrelated drugs and biologicals is updated
quarterly and was the basis for payment
of these drugs and biologicals prior to
the implementation of the ESRD PPS.
b. Use of ASP Methodology Under the
ESRD PPS
Since the implementation of the ESRD
PPS, we have referred to the use of the
ASP methodology when we needed to
price ESRD-related drugs and
biologicals previously paid separately
under Part B (prior to the ESRD PPS) for
purposes of ESRD PPS policies or
calculations. For example, in the CY
2011 ESRD PPS final rule, we finalized
the use of the ASP plus 6 percent
methodology for pricing Part B ESRDrelated drugs and biologicals under the
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outlier policy (75 FR 49141). In the CY
2012 ESRD PPS final rule (76 FR 20244),
we stated that under the outlier policy
we use the ASP methodology.
In the CY 2013 ESRD PPS final rule
(77 FR 67463), we finalized that for CY
2013 and subsequent years we would
continue to use the ASP methodology,
including any modifications finalized in
the Physician Fee Schedule final rules,
to compute outlier MAP amounts. (We
referred to the Physician Fee Schedule
since this is typically the rulemaking
vehicle CMS uses for provisions related
to covered Part B drugs and biologicals,
however, we note that other vehicles
such as standalone rules or the
outpatient prospective payment system
rules, are used as well.) In the CY 2013
ESRD PPS final rule, we also finalized
the use of the ASP methodology for any
other policy that requires the use of
payment amounts for drugs and
biologicals that, absent the ESRD PPS,
would be paid separately.
In accordance with this policy, in the
CY 2016 ESRD PPS proposed rule (80
FR 37829 through 37833), we proposed
to use ASP methodology for purposes of
two policies (pricing new injectable and
intravenous products included in the
ESRD PPS bundled payment amount for
outlier payments and determining the
TDAPA under the ESRD PPS drug
designation process. A detailed
discussion of our proposals can be
found in the CY 2016 ESRD PPS
proposed rule (80 FR 37831 through
37833).
As we discussed in the CY 2016 ESRD
PPS final rule (80 FR 69023 through
69024), commenters expressed concern
regarding the availability of ASP data
when including new injectable or
intravenous products into the ESRD PPS
bundled payment, for purposes of both
the outlier calculation and TDAPA. A
commenter pointed out that under the
proposal, new products would qualify
as outlier services, and if we fail to
allow separate payment at launch, there
would be no ASP upon which to base
an outlier payment. That commenter
recommended that we consider how to
avoid jeopardizing beneficiary access by
implementing an outlier payment based
on wholesale acquisition cost (WAC) or
another readily available price. We
agreed with the commenter, and stated
that in the event we do not establish an
ASP, WAC could be used. We explained
that we consider WAC pricing to be a
part of the pricing methodologies
specified in section 1847A of the Act,
and we would use the methodologies
available to us under that authority in
order to accurately determine a price for
the calculation of outlier payments for
new injectable and intravenous drugs
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that fit into one of the existing ESRD
PPS functional categories. However, we
did not address extending this policy to
Part B ESRD-related drugs and
biologicals that are currently eligible for
outlier consideration that may not have
ASP data.
Also, in the CY 2016 ESRD PPS final
rule (80 FR 69024), other commenters
expressed concern regarding the use of
ASP data for purposes of the TDAPA.
The commenters suggested that ASP
would not be truly reflective of the
actual cost of the drugs. One commenter
pointed out that there is often a data lag
between ASP and the actual cost of the
drugs and as a result, the TDAPA may
not reflect the actual cost of the drug.
We responded that the ASP
methodology is a part of the pricing
methodologies specified in section
1847A of the Act, which may also
include WAC pricing during the first
quarter of sales as specified in section
1847A(c)(4) of the Act. We agreed with
commenters that ASP pricing may not
always be the most appropriate way to
calculate the TDAPA. Therefore, we
revised the regulation text at
§ 413.234(c)(1) to refer to the pricing
methodologies under section 1847A of
the Act, rather than ASP pricing
methodology, because these
methodologies include ASP as well as
WAC.
c. Pricing Methodologies Under Section
1847A of the Act
Medicare Part B follows the
provisions under section 1847A of the
Act for purposes of determining the
payment amounts for drugs and
biologicals that are described in section
1842(o)(1)(C) of the Act and that are
furnished on or after January 1, 2005.
While most Part B drugs (excluding
those paid on a cost or prospective
payment basis) are paid at ASP plus 6
percent, there are cases where ASP is
unavailable. For example, when a new
drug or biological is brought to market,
sales data is not sufficiently available
for the manufacturer to compute an
ASP. In these cases, the payment
amount for these drugs could be
determined using WAC (as specified in
section 1847A(c)(4) of the Act) or, when
WAC is not available, the Medicare
Administrative Contractor has
discretion in determining the payment
amount. Under section 1847A(d) of the
Act, CMS also has the authority to
substitute an Average Manufacturer
Price (AMP) or Widely Available Market
Price (WAMP)-based payment amount
for the ASP-based payment amount
when the ASP exceeds the AMP or
WAMP by a threshold amount. As
discussed in the CY 2013 Physician Fee
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50743
Schedule final rule (77 FR 69140
through 69141), published in the
Federal Register on November 1, 2012,
the AMP price substitution policy is not
utilized frequently and WAMP-based
price substitutions are not currently
implemented. CMS also uses a carryover
pricing policy in the very rare situations
when a manufacturer’s ASP data for a
multiple source drug product is missing,
as discussed in the CY 2011 Physician
Fee Schedule final rule (75 FR 73461
through 73462).
For newly approved drugs, ASP-based
payment limits typically become
effective two quarters after the drug’s
first quarter of sales (a discussion about
the use of partial quarter ASP data is
available in the CY 2012 Physician Fee
Schedule final rule, 75 FR 73465). We
note that if WAC-based partial quarter
payment amounts are used, such
payment amounts will typically exceed
payments based on ASP. Thus, there
may be circumstances where WACbased partial quarter pricing of the drug
increases the beneficiary’s cost sharing
payment. In order to minimize financial
impact on beneficiaries, in situations
where less than a quarter’s worth of ASP
data is available, an ASP-based payment
limit will be used, if it is available.
d. Pricing Eligible Outlier Drugs and
Biologicals That Were or Would Have
Been, Prior to January 1, 2011,
Separately Billable Under Medicare
Part B
As we have described above, section
1847A of the Act provides methods that
are used to determine payment amounts
for most separately paid Part B drugs,
that is, drugs and biologicals that are not
paid on a cost or PPS basis (see section
1842(o)(1) of the Act). We are aware of
several circumstances in which an ASPbased payment amount is not available.
For example, an ASP-based payment
amount is not available when drugs or
biologicals are new to market and
manufacturers have not yet reported
ASP data. Based on CMS’ experience
with determining Part B drug payment
limits under section 1847A of the Act,
we believe the instances are limited
when ASP data would not be available
for drugs or biologicals that could
qualify for the ESRD outlier calculation.
Nevertheless, we believe that these
drugs and biologicals, when they are
determined to be an ESRD outlier
service, should count toward the outlier
calculation, regardless of the limited
frequency.
In the CY 2018 ESRD PPS proposed
rule, we proposed to extend the use of
all pricing methodologies under section
1847A of the Act for purposes of the
ESRD PPS outlier policy, specifically for
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current ESRD-related drugs and
biologicals that were or would have
been separately billable under Part B
prior to the implementation of the ESRD
PPS and are outlier eligible for CY 2018
and subsequent years. As we noted in
the CY 2018 ESRD PPS proposed rule,
we have already established a policy
under the drug designation process in
the CY 2016 ESRD PPS final rule (80 FR
69023), whereby we use the pricing
methodologies specified in section
1847A of the Act to determine the
TDAPA for a new injectable or
intravenous product that is not
considered included in the ESRD PPS
base rate (§ 413.234(c)). In addition, we
have established that we use these
methodologies to determine a price for
the calculation of outlier payments for
new injectable and intravenous drugs
that fit into one of the existing the
functional categories (80 FR 69023).
We explained in the CY 2018 ESRD
PPS proposed rule that we believe using
the pricing methodologies under section
1847A of the Act is consistent with the
ESRD PPS drug designation process,
including TDAPA, and how covered
drugs and biologicals are paid under
Medicare Part B. We stated that we
believe consistency with Medicare Part
B payment for drugs and biologicals
would be beneficial to ESRD facilities
because this is the way CMS pays for
injectable drugs and biologicals reported
on the ESRD claim with the AY
modifier; and therefore facilities would
be able to predict outlier payments.
Therefore, we proposed to apply any
pricing methodology available under
section 1847A of the Act as appropriate
when ASP pricing is unavailable for
eligible drugs and biologicals under the
outlier policy that were or would have
been separately billable under Part B
prior to the implementation of the ESRD
PPS.
We noted in the CY 2018 ESRD PPS
proposed rule that, in situations in
which ASP data is not available and
other methodologies under section
1847A of the Act do not apply
(including but not limited to AMP price
substitution or carryover pricing), we
believe that a WAC-based payment
amount can be determined instead.
Based on our experience with
determining Part B drug payments
under section 1847A of the Act, we
stated, we believe that drugs and
biologicals that are approved by the
Food and Drug Administration and are
being sold in the United States nearly
always have WAC amounts published in
pricing compendia. We noted that we
believe this proposal is consistent with
the intent of the ESRD PPS outlier
policy, which is to provide a payment
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adjustment for high cost patients due to
unusual variations in the type or
amount of medically necessary care. If
there are drugs and biologicals that
ESRD facilities furnish for the treatment
of ESRD that qualify as ESRD outlier
services and do not have ASP data, we
stated that we would want these items
counted toward an outlier payment
since they are a part of the cost the
facility is incurring. When a drug or
biological does not have ASP data or
WAC data or cannot otherwise be priced
under section 1847A of the Act, we
proposed that it would not count toward
the outlier calculation. When the
utilization of a drug or biological is not
counted toward the outlier calculation,
it may result in a lower outlier payment
or no outlier payment to the ESRD
facility.
We solicited comment on our
proposal to use any pricing
methodology available under section
1847A of the Act for purposes of the
ESRD PPS outlier policy. We also
solicited comment on our proposal that
when pricing methodologies are not
available under section 1847A of the
Act, the drug or biological would not
count toward the outlier calculation.
The comments and our responses to
the comments on our outlier proposals
are set forth below.
Comment: Most commenters on this
proposal, including national dialysis
provider organizations, several large
dialysis organizations, a patient
advocacy organization, a drug
manufacturer, a health system and a
professional association expressed
support for the proposal to use the
pricing methodologies available under
section 1847A of the Act to price drugs
and biologicals for the outlier policy.
Commenters noted that, historically,
new drugs and biologicals used in the
treatment of ESRD that come to market
can be expensive and not having access
to outlier payments may create an
unintended barrier. While they believe
that it is unlikely a new drug or
biological will not have an ASP or
WAC, they indicated that it is important
to ensure that payment policies do not
disincentivize the use of drugs and
biologicals. Another commenter stated
patients who require outlier drugs
should not be denied the individualized
care they need and deserve due to
revisions to the pricing methodology.
Response: We appreciate the
commenters’ support for our outlier
proposal. We also agree with the
importance of beneficiary access to new
therapies when they come to market
and, as discussed more fully below, we
believe the policy we are finalizing
ensures that every drug and biological
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within an ESRD PPS functional
category, except for drugs that are
eligible for the TDAPA, is included in
the outlier calculation.
Comment: Several commenters
expressed concern about the availability
of an outlier payment in the event there
is no pricing data available for drugs
and biologicals. The commenters offered
alternative pricing approaches that
would be applied when no price is
available using the methods described
in section 1847A of the Act to ensure
that all drugs and biologicals could be
priced for the outlier calculation.
Several commenters urged CMS to rely
upon contract pricing rather than not
include a new drug in the outlier
calculation. One commenter asked that
CMS provide an analysis of the proposal
to clarify the impact on the ESRD PPS.
Another commenter recommended
pricing the drug or biological by the
hospital’s cost-to-charge ratio for Cost
Center 7300, Drugs Charged to Patients,
for hospital-based ESRD facilities or the
hospital-specific Reasonable Cost Factor
that is currently used for payment of
vaccines and blood products on ESRD
claims from hospital-based facilities.
Since this Reasonable Cost Factor is
already used in the ESRD PPS, the
commenter stated that applying it to this
category of drugs and biologicals should
be relatively easy administratively. The
commenter indicated that adding an
additional last resort pricing method
would allow for hospital-based ESRD
facilities to receive outlier payments or
payments for non-ESRD related services
(meaning, we believe, separately billable
items and services reported with the AY
modifier) that reflect the costs of drugs
or biologicals for which no other pricing
method is possible.
Response: We agree with the
commenters that all eligible drugs and
biologicals should be counted in the
outlier calculation, to maintain
consistency in the policies under the
ESRD PPS and to ensure patient access
to necessary medications. Also, while
we appreciate the commenters’
suggestions for alternative pricing
methodologies, none of the suggestions
fall under the pricing methodologies in
section 1847A of the Act. Since our goal
is to ensure all eligible drugs and
biologicals are counted in the outlier
calculation, while maintaining
consistency with the drug pricing
policies under the ESRD PPS, we
believe adopting any of the suggested
alternatives would make drug pricing
policies under the ESRD PPS
inconsistent.
As we stated in the CY 2018 ESRD
PPS proposed rule (82 FR 31196), we
believe that using the pricing
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methodologies under section 1847A of
the Act is consistent with the ESRD PPS
drug designation process for new
injectable and intravenous drugs, and
how covered drugs and biologicals are
paid under Medicare Part B. We
continue to believe that consistency
with Medicare Part B payment for drugs
and biologicals is beneficial to ESRD
facilities because, as mentioned above,
this is the way CMS pays for injectable
drugs and biologicals on the ESRD claim
with the AY modifier; and therefore,
facilities would be able to predict
outlier payments. We continue to
believe it is preferable to have one
pricing policy for Part B drugs and
biologicals under the ESRD PPS
applicable to both the drug designation
process, including TDAPA, and outlier
policy. Therefore, we are not adopting
the commenters’ suggestions at this
time.
Upon further review and discussion,
while we believe the ASP and WAC
pricing methodologies under section
1847A of the Act are sufficient to price
most eligible drugs and biologicals for
the purposes of outlier payment, we
note that Medicare Administrative
Contractors are authorized to use
invoice pricing in scenarios in which
neither ASP nor WAC data is available.
This is consistent with chapter 17,
section 20.1.3 of the Medicare Claims
Processing Manual, which directs the
Medicare Administrative Contractors to
develop payment allowance limits for
covered drugs and biologicals that are
not included in the ASP Medicare Part
B Drug Pricing File or Not Otherwise
Classified Pricing File based on the
published WAC or invoice pricing.
Invoice pricing is not as robust a
measure of actual sales price as ASP,
but it is nearly universally available.
Therefore, as we now believe the pricing
methodologies under section 1847A of
the Act and related guidance are
sufficiently comprehensive, we are not
finalizing the proposal to not count
certain drugs and biologicals toward the
outlier calculation when pricing
methodologies are not available under
section 1847A of the Act.
We intend to analyze the utilization of
drugs and biologicals and how they are
priced on a consistent basis to monitor
the use of those methodologies
described in section 1847A of the Act.
With regard to the comment that we
provide an analysis of the impact of this
proposal, currently we are aware of only
2 drugs with low utilization that were
unable to be priced using ASP for
outlier purposes. Those particular drugs
had WAC prices and thus could be
priced using the pricing methods under
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section 1847A of the Act; therefore, we
believe the impact is negligible.
Comment: MedPAC commented that
CMS should rely on ASP data when
pricing drugs and biologics under the
ESRD PPS outlier policy and drug
designation process, including TDAPA,
with one exception: New, single-source
drugs and biologics, and the first
biosimilar to reference a biologic (that
lacks ASP data). MedPAC recommended
that new single-source drugs and
biologics, and the first biosimilar to a
reference biologic (that lack ASP data),
should be priced using WAC data only
for 2 to 3 calendar quarters to permit
time for manufacturers to report sales
data to CMS and for the agency to
calculate an ASP. If at the end of 2 to
3 calendar quarters, ASP data are not
available, MedPAC recommended CMS
should not use WAC for purposes of
calculating outlier payments.
MedPAC referred to its June 2017
report to the Congress, entitled
‘‘Medicare and the Health Care Delivery
System,’’ which raised concerns about
the accuracy of WAC data. MedPAC
stated that unlike an ASP, a product’s
WAC does not incorporate prompt-pay
or other discounts. If discounts are
available, then a product’s WAC price
would be greater than it otherwise
would be under the ASP-based formula.
Consequently, MedPAC noted that using
WAC data to determine payments under
the outlier policy could result in higher
spending for beneficiaries and
taxpayers.
MedPAC further commented that, to
reduce the need to use less accurate
prices, such as WAC, and to improve
the accuracy of ASP data, it
recommended in the June 2017 report
that Congress improve ASP data
reporting by requiring all manufacturers
of Part B drugs and biologics to report
ASP and impose civil monetary
penalties for failure to report. As noted
by MedPAC, under current policy, not
all manufacturers of Part B drugs are
required to submit their ASP data.
Section 1927(b)(3) of the Act requires
only manufacturers with Medicaid drug
rebate agreements in place to report
their sales data to calculate ASP for each
of their Part B drugs.
Response: Our intent for the outlier
proposal was to have a consistent drug
pricing policy under the ESRD PPS with
respect to Part B drugs and to protect
beneficiary access to renal dialysis
services. We believe that our proposal
achieves those goals. We further believe
that a change as substantial as relying
only on ASP data for TDAPA pricing, as
suggested by MedPAC, is out of scope
for this rulemaking because we did not
propose any changes to the TDAPA.
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Therefore, we are not adopting the
MedPAC recommendation for TDAPA
in this final rule. We share MedPAC’s
concern that ongoing reliance on the use
of WAC pricing under the ESRD PPS
could result in higher payments and
will consider limiting the use of the
other non-ASP pricing methods
available under section 1847A of the
Act in the future if our monitoring
indicates they are used for an extended
period of time and manufacturers are
not reporting ASP data.
Final Rule Action: We are finalizing
our proposal to use the pricing
methodologies in section 1847A of the
Act, as appropriate, to price drugs and
biologicals for the outlier calculation
when ASP pricing data is not available.
We are not finalizing the proposal to not
count certain drugs and biologicals
toward the outlier calculation when
pricing methodologies are not available
under section 1847A of the Act.
2. CY 2018 ESRD PPS Update
a. CY 2018 ESRD Bundled Market
Basket Update, Productivity
Adjustment, and Labor-Related Share
for the ESRD PPS
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
PPS payment amounts are required to be
annually increased by an ESRD market
basket increase factor and 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 1.0 percentage
point for 2018. Accordingly, for CY
2018, we proposed to reduce the
amount of the market basket percentage
increase by 1.0 percent and to further
reduce it by the productivity
adjustment.
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We proposed to use the CY 2012based ESRDB market basket as finalized
and described in the CY 2015 ESRD PPS
final rule (79 FR 66129 through 66136)
to compute the CY 2018 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 the IHS Global Inc.
(IGI) 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.
As a result of these provisions, and
using the IGI forecast for the first quarter
of 2017 of the CY 2012-based ESRDB
market basket (with historical data
through the 4th quarter of 2016), the
proposed CY 2018 ESRD market basket
increase was 0.7 percent. This market
basket increase was calculated by
starting with the proposed CY 2018
ESRDB market basket percentage
increase factor of 2.2 percent, reducing
it by the mandated legislative
adjustment of 1.0 percent (required by
section 1881(b)(14)(F)(I)(i) of the Act),
and reducing it further by the
multifactor productivity (MFP)
adjustment (the 10-year moving average
of MFP for the period ending CY 2018)
of 0.5 percent. As is our general
practice, we proposed that if more
recent data are subsequently available
(for example, a more recent estimate of
the market basket or MFP adjustment),
we will use such data to determine the
CY 2018 market basket update and MFP
adjustment in the CY 2018 ESRD PPS
final rule.
The IGI 3rd quarter 2017 forecast of
the CY 2018 ESRDB market basket
update is 1.9 percent. The decrease from
the 1st quarter 2017 forecast (2.2
percent) to the 3rd quarter 2017 forecast
(1.9 percent) is mostly attributable to a
decrease in the projected growth of the
series ‘‘Producer Price Index:
Commodity Data—Biological products
excluding diagnostic, for human use.’’
This series is used as the price proxy to
estimate the ‘‘erythropoiesis-stimulating
agent (ESAs)’’ cost category. The IGI 3rd
quarter 2017 forecast of the MFP
adjustment is 0.6 percent. The increase
from the 1st quarter 2017 MFP forecast
(0.5 percent) to the 3rd quarter 2017
MFP forecast (0.6) is mainly attributable
to the incorporation of upward revisions
of historical data by the Bureau of Labor
Statistics (BLS), as well as slower
projected labor input growth and capital
input growth. Slower growth in labor
and capital inputs result in a faster
growth in topline MFP since MFP is
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measured as the change in outputs
divided by the change in inputs.
For the CY 2018 ESRD payment
update, we proposed to continue using
a labor-related share of 50.673 percent
for the ESRD PPS payment, which was
finalized in the CY 2015 ESRD PPS final
rule (79 FR 66136).
We did not receive any comments on
the proposed CY 2018 market basket
update, MFP adjustment, or laborrelated share.
Final Rule Action: As noted above,
the final CY 2018 market basket update
and MFP adjustment in the ESRD PPS
final rule will be based on the most
recent forecast of data available.
Therefore, using the IGI 3rd quarter
2017 forecast with historical data
through the 2nd quarter 2017, the final
CY 2018 ESRDB update is 0.3 percent.
This is based on a 1.9 percent market
basket update, less a 1.0 percent
adjustment as required by section
1881(b)(14)(F)(i)(I) of the Act, as
amended by section 217(b)(2)(A)(ii) of
PAMA, and further reduced by a 0.6
percent MFP update.
b. Final CY 2018 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’s)
CBSAs-based geographic area
designations to define urban and rural
areas and their corresponding wage
index values. OMB publishes bulletins
regarding CBSA changes, including
changes to CBSA numbers and titles.
The latest bulletin, as well as
subsequent bulletins, is available online
at https://www.whitehouse.gov/omb/
information-for-agencies/bulletins.
For CY 2018, we stated that 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 2018 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 sections 1886(d)(8)
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and (d)(10) of the Act and utilize prefloor hospital data that are unadjusted
for occupational mix. The final CY 2018
wage index values for urban areas are
listed in Addendum A (Wage Indices for
Urban Areas) and the final CY 2018
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 at https://
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.
We apply the wage index for Guam
(0.9611) to American Samoa and the
Northern Mariana Islands as established
in the CY 2014 ESRD PPS final rule (78
FR 72172). We apply the statewide
urban average based on the average of
all urban areas within the state (78 FR
72173) (0.8472) to Hinesville-Fort
Stewart, Georgia. We note that if
hospital data becomes available for
these areas, we will use that data for the
appropriate CBSAs instead of the proxy.
A wage index floor value has been
used instead of the calculated wage
index values below the floor in making
payment for renal dialysis services
under the ESRD PPS. Currently, all
areas with wage index values that fall
below the floor are located in Puerto
Rico. However, the wage index floor
value is applicable for any area that may
fall below the floor. A detailed
description of the history of the wage
index floor under the ESRD PPS can be
found in the CY 2018 ESRD PPS
proposed rule (82 FR 31198).
In the proposed rule, for CY 2018 and
subsequent years, we proposed to
maintain the current wage index floor of
0.4000 for CBSAs that have wage index
values that fall below the floor. We
stated that the cost report analyses that
we have conducted over the years are
inconclusive and have not convinced us
that an increase in the wage index floor
is warranted at this time. We explained
that we continued to believe
maintaining the current wage index
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floor value of 0.4000 is appropriate as it
continues to provide additional
payment support to the lowest wage
areas and avoids the need for an
additional budget-neutrality adjustment
that would reduce the ESRD PPS base
rate, beyond the adjustment needed to
reflect updated hospital wage data, in
order to maintain budget neutrality for
wage index updates. We noted that we
would continue to monitor and analyze
ESRD facility cost reports and projected
impacts to guide future rulemaking with
regard to the wage index floor (82 FR
31198).
The comments and our responses to
the comments on our wage index
proposals are set forth below.
Comment: A national dialysis
organization and a large dialysis
organization support the methodology
for determining the wage indices and
the continued application of the wage
index floor. However, they asked that
CMS consider how the current policy
could be modified to adjust wage index
values to account for laws requiring
wage increases. They noted that under
the current methodology for
determining the wage indices for ESRD
facilities, there can be a lag of several
years with the wage index recognizing
these changes.
Response: We agree with commenters
that there is a data lag that occurs when
a State changes its minimum wage or
staffing requirements and when it is
reflected in the hospital-reported wage
data. We also believe it is more prudent
to base the wage index on actual
reported data rather than anticipated
changes and the uncertainty of what
may or may not be reported. For this
reason, we are retaining the current
methodology for determining wage
indices.
Comment: Although we did not
propose to change the wage index floor,
we received comments from the major
dialysis providers in Puerto Rico and a
coalition of healthcare stakeholders in
Puerto Rico. The commenters described
the economic and healthcare crisis in
Puerto Rico and recommended that
CMS should use the United States
Virgin Islands wage index for payment
rate calculations in Puerto Rico as a
proxy for CY 2018, given disadvantages
recognized by CMS analysis, the
unreliability of hospital-reported data in
Puerto Rico and the inconsistencies
with the wage indices used for other
Territories. One commenter indicated
that making this change for CY 2018 is
similar to the CMS policy established in
the CY 2017 Physician Fee Schedule
final rule (81 FR 80261 through 80265)
about the applicable geographic practice
cost index (GPCI) factors and would be
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a natural ‘‘outgrowth’’ policy to define
as a temporary measure derived from
analysis and language presented in the
CY 2017 ESRD PPS final rule and the
CY 2018 ESRD PPS proposed rule, as
well as from other previous regulatory
cycles.
Commenters indicated that the
primary issue is that Puerto Rico
hospitals report comparatively lower
wages that are not adjusted for
occupational mix and, as CMS indicates
in the CY 2017 ESRD PPS proposed rule
(81 FR 42817), in Puerto Rico, only
registered nurses (RNs) can provide
dialysis therapy in the outpatient
setting. This staffing variable artificially
lowers the reportable index values even
though the actual costs of dialysis
service wages in Puerto Rico are much
higher than the data CMS is relying
upon. In addition, several commenters
stated that non-labor costs, including
utilities and shipping costs and the CY
2015 change in the labor-share based on
the rebased and revised ESRDB market
basket compound the issue even further.
One organization stated that it does not
believe maintaining the current wage
index for Puerto Rico for CY 2018 is
enough to offset the poor economic
conditions, high operational costs and
epidemiologic burden of ESRD on the
island.
Response: We did not propose to
change the wage index floor or
otherwise change the wage indexes for
Puerto Rico and will maintain the
current wage index floor of 0.4000 for
CY 2018. We note that the current wage
index floor and labor-related share have
been in effect since CY 2015 and neither
the floor nor the labor share has been
reduced since then. More importantly,
the wage index is solely intended to
reflect differences in labor costs and not
to account for non-labor cost
differences, such as utilities or shipping
costs.
With regard to staffing in Puerto Rico
facilities, we have learned that ESRD
facilities there utilize RNs similarly to
ESRD facilities on the mainland, that is,
facilities utilize dialysis technicians and
aides to provide dialysis services with
oversight by an RN. In addition, hourly
wages for RNs and dialysis support staff
were approximately half of those
salaries in mainland ESRD facilities. For
these reasons, we do not agree that the
hospital-reported data is unreliable, and
we believe using that data is more
appropriate than applying the wage
index value for the Virgin Islands where
salaries are considerably higher.
Final Rule Action: After considering
the public comments we received
regarding the wage index, we are
finalizing the CY 2018 ESRD PPS wage
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50747
indices based on the latest hospital
wage data as proposed. In addition, we
are maintaining a wage index floor of
0.4000.
ii. Application of the Wage Index Under
the ESRD PPS
A facility’s wage index is applied to
the labor-related share of the ESRD PPS
base rate. In the CY 2015 ESRD PPS
final rule (79 FR 66136), we finalized
the labor-related share of 50.673
percent, which is based on the 2012based ESRDB market basket. Thus, for
CY 2018, the labor-related share to
which a facility’s wage index would be
applied is 50.673 percent.
c. CY 2018 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
care, including variability in the amount
of 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,
and comorbidities such as cancer. The
ESRD PPS recognizes high cost patients,
and we have codified the outlier policy
in our regulations at 42 CFR 413.237.
The policy provides the following ESRD
outlier items and services are included
in the ESRD PPS bundle: (1) ESRDrelated drugs and biologicals that were
or would have been, prior to January 1,
2011, separately billable under
Medicare Part B; (2) ESRD-related
laboratory tests that were or would have
been, prior to January 1, 2011,
separately billable under Medicare Part
B; (3) 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 (4) 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.
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 (that is, date of
service) 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
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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
issuances 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 that were or would have
been covered under Medicare Part D for
outlier eligibility purposes and in order
to provide unit prices for calculating
imputed outlier services. In addition,
we 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
FDL amount. In accordance with
§ 413.237(c) of our 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 FDL amounts
that are added to the predicted outlier
services MAP amounts. The outlier
services MAP amounts and FDL
amounts are different for adult and
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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 2018 outlier policy, we
used the existing methodology for
determining outlier payments by
applying outlier services payment
multipliers that were developed for the
CY 2016 ESRD PPS final rule (80 FR
68993 through 68994, 69002). We used
these outlier services payment
multipliers to calculate the predicted
outlier service MAP amounts and
projected outlier payments for CY 2018.
For CY 2018, we proposed that the
outlier services MAP amounts and FDL
amounts would be derived from claims
data from CY 2016. As we stated in the
CY 2018 ESRD PPS proposed rule, 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.
Therefore, we proposed the outlier
thresholds for CY 2018 would be based
on utilization of renal dialysis items and
services furnished under the ESRD PPS
in CY 2016. We stated that 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
FDL amounts every year under the
ESRD PPS.
In the CY 2017 ESRD PPS final rule
(81 FR 77860), we stated that based on
the CY 2015 claims data, outlier
payments represented approximately
0.93 percent of total payments. In the
CY 2018 ESRD PPS proposed rule (82
FR 31199), we discussed that the CY
2016 claims data show outlier payments
represented approximately 0.78 percent
of total payments. We explained that
data indicates that trends in the
utilization of the ESAs could be a reason
for the decrease. Beginning in 2015 and
continuing into 2016, there were large
shifts in the composition of the
utilization of ESA drugs. Specifically,
utilization of Epoetin (EPO) alfa
decreased and utilization of the longeracting ESA drugs, darbepoetin and EPO
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beta, increased, based on estimates of
average ESA utilization per session. As
EPO alfa is measured in different units
than both darbepoetin and EPO beta, it
is difficult to compare the overall
utilization of ESAs between 2014 and
2016 by units alone.
As we stated in the CY 2018 ESRD
PPS proposed rule, in examining the
claims data, we find that compositional
shift away from use of EPO alfa to the
longer acting darbepoetin and EPO beta
was a significant factor in the decrease
in total ESA costs in 2016. We first
calculated the actual cost for ESAs
administered during 2016. We then
calculated the projected cost of ESAs
that was used for the CY 2016 ESRD
PPS final rule, using total utilization
from 2014 and drug prices the from 3rd
quarter 2015 inflated to 2016 prices. The
actual costs of ESAs administered in
2016 were roughly 20 percent lower
than the value projected in the CY 2016
ESRD PPS final rule. We then calculated
the projected cost of ESAs assuming that
the utilization of various ESAs per
dialysis session in 2014 and 2016 were
similar and also used the prices and
total dialysis session count from 2016.
The projected costs from these two
scenarios were similar and suggest that
compositional change in ESA utilization
was likely a significant factor in the
decrease in the total cost of ESAs
between 2014 and 2016. We noted that
we continue to believe that the decline
is leveling off and that 1.0 percent is an
appropriate threshold for outlier
payments.
i. CY 2018 Update to the Outlier
Services MAP Amounts and FDL
Amounts
For CY 2018, we did not propose any
changes to the methodology used to
compute the MAP or FDL amounts.
Rather, we proposed to update the
outlier services MAP amounts and FDL
amounts to reflect the utilization of
outlier services reported on 2016 claims.
For this final rule, the outlier services
MAP amounts and FDL amounts were
updated using the latest available 2016
claims data. The impact of this update
is shown in Table 1, which compares
the outlier services MAP amounts and
FDL amounts used for the outlier policy
in CY 2017 with the updated estimates
for this rule. The estimates for the CY
2018 outlier policy, which are included
in Column II of Table 1, were inflationadjusted to reflect projected 2018 prices
for outlier services.
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50749
TABLE 1—OUTLIER POLICY: IMPACT OF USING UPDATED DATA TO DEFINE THE OUTLIER POLICY
Column I final outlier policy for
CY 2017
(based on 2015 data, price
inflated to 2017) *
Column II final outlier policy for
CY 2018
(based on 2016 data, price
inflated to 2018)
Age < 18
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 .................................................
Age >= 18
Age < 18
Age >= 18
$38.77
........................
1.0078
0.98
$38.29
$47.00
........................
0.9770
0.98
$45.00
$37.41
........................
1.0177
0.98
$37.31
$44.27
........................
0.9774
0.98
$42.41
$68.49
4.6%
$82.92
6.7%
$47.79
9.0%
$77.54
7.4%
* Note that Column I was obtained from Column II of Table 1 from the CY 2017 ESRD PPS final rule.
As demonstrated in Table 1, the
estimated FDL amount per treatment
that determines the CY 2018 outlier
threshold amount for adults (Column II;
$77.54) is lower than that used for the
CY 2017 outlier policy (Column I;
$82.92). The lower threshold is
accompanied by a decrease in the
adjusted average MAP for outlier
services from $45.00 to $42.41. For
pediatric patients, there is a decrease in
the FDL amount from $68.49 to $47.79.
There is a slight decrease in the adjusted
average MAP for outlier services among
pediatric patients, from $38.29 to
$37.31.
We estimate that the percentage of
patient-months qualifying for outlier
payments in CY 2018 will be 7.4 percent
for adult patients and 9.0 percent for
pediatric patients, based on the 2016
claims data. The pediatric outlier MAP
amount continues 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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ii. Outlier Percentage
In the CY 2011 ESRD PPS final rule
(75 FR 49081), under § 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
as described in § 413.237. Based on the
2016 claims, outlier payments
represented approximately 0.78 percent
of total payments, below the 1 percent
target due to small overall declines in
the use of outlier services. Recalibration
of the thresholds using 2016 data is
expected to result in aggregate outlier
payments close to the 1 percent target in
CY 2018. We believe the update to the
outlier MAP and FDL amounts for CY
2018 will increase payments for ESRD
beneficiaries requiring higher resource
utilization and move us closer to
meeting our 1 percent outlier policy. We
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note that recalibration of the FDL
amounts in this final rule will 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 will
increase payments to ESRD facilities for
beneficiaries with renal dialysis items
and services that are eligible for outlier
payments. Therefore, beneficiary
coinsurance obligations will also
increase for renal dialysis services
eligible for outlier payments.
The comments and our responses to
the comments on the proposal to update
the outlier thresholds using CY 2016
data are set forth below:
Comment: A national dialysis
organization and a large dialysis
organization expressed concern about
the statement made in the CY 2018
ESRD PPS proposed rule (82 FR 31199)
that ESAs administered in 2016 were
roughly 20 percent lower than the value
we projected in the CY 2016 ESRD PPS
final rule. They do not disagree with the
conclusion that there should be no
change in the threshold for outlier
payments. However, they indicated that
understanding the cost and utilization
of drugs generally, and ESAs in
particular, is important to
understanding the adequacy of the
payment system. They expressed
concern that the preamble of the CY
2018 ESRD PPS proposed rule does not
describe how CMS determined this
value and it seems inconsistent with
trends that some ESRD facilities see in
their own data.
Response: In the CY 2017 ESRD PPS
final rule (81 FR 77860), we stated that
based on the CY 2015 claims data,
outlier payments represented
approximately 0.93 percent of total
payments. For this final rule, CY 2016
claims data show outlier payments
representing approximately 0.78 percent
of total payments. To address the
commenters’ concern regarding how we
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determined that the actual costs of ESAs
administered in 2016 were roughly 20
percent lower than the value projected
in the CY 2016 ESRD PPS final rule, we
have included more detail of the
analysis here. As we discussed above,
beginning in 2015 and continuing into
2016, there were large shifts in the
composition of the utilization of ESA
drugs in the claims data. Specifically,
estimates of average ESA utilization of
EPO alfa (Healthcare Common
Procedure Coding System (HCPCS)
Q4081) per dialysis session decreased
from 28.54 units in 2014 to 13.73 units
in 2016, and utilization of the longeracting ESA drugs, darbepoetin (HCPCS
J0886) and EPO beta (HCPCS Q9972/
J0887), increased, from 0.75 and 0.001
mcg in 2014 to 2.13 and 3.01 mcg in
2016, respectively. As EPO alfa is
measured in different units than both
darbepoetin and EPO beta, it is difficult
to compare the overall utilization of
ESAs between 2014 and 2016 by units
alone.
In examining the claims data, we
continue to find that the compositional
shift away from use of EPO alfa to the
longer acting darbepoetin and EPO beta
was a significant factor in explaining
why total ESA costs actually incurred in
2016 were lower than the total ESA
costs projected for 2016 using 2014 data.
We first calculated the actual cost for
ESAs administered during 2014 and
2016. We found shifts in the
composition of costs per dialysis session
associated with each ESA that were
proportional to changes in utilization
per session. Specifically, estimates of
average ESA cost of EPO alfa per
dialysis session decreased from $32.50
in 2014 to $17.19 in 2016, and average
cost per session of darbepoetin and EPO
beta increased from $2.79 and $0.00 in
2014 to $8.53 and $5.08 in 2016,
respectively. Total calculated costs of
ESAs in 2014 and 2016 were $1.6
billion and $1.4 billion. We then
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calculated the projected cost of ESAs
that was used for the CY 2016 ESRD
PPS final rule, using total utilization
from 2014 and drug prices from the 3rd
quarter 2015 inflated to 2016 prices, to
be $1.7 billion. The actual costs of ESAs
administered in 2016 were roughly 20
percent lower than this value projected
in the CY 2016 ESRD PPS final rule (80
FR 68974).
In order to understand the reason for
this difference, we created a projected
2016 value using an alternative
scenario. In this scenario, we calculated
the projected cost of ESAs assuming that
the utilization of various ESAs per
dialysis session in 2016 was equivalent
to that in 2014, but instead we used the
prices and total dialysis session count
from 2016. The projected costs from
these two scenarios were similar and
suggest that neither the difference in the
projected (3rd quarter 2015 prices
inflated to 2016) versus actual ESA
prices for 2016 nor changes in the
number of dialysis sessions between
2014 and 2016 explain the difference
between the projected and actual cost of
ESAs in 2016. Therefore, the residual
factor indicates that compositional
changes in ESA utilization were the
most likely factor in the decrease in the
total cost of ESAs between 2014 and
2016. We continue to believe that the
decline is leveling off and that 1.0
percent is an appropriate target for
outlier payments.
Comment: Although we did not
propose changes to the outlier target
percentage or update methodology, we
received many comments regarding the
difference between estimated outlier
payments and the 1.0 percent outlier
target. A national kidney organization
and a large dialysis organization
expressed support for CMS’ proposal to
refine the outlier pool so that the dollars
paid out more closely align with the
estimated amount used to create the
outlier pool. However, they expressed
concern that CMS has not yet addressed
the fact that the outlier pool is
consistently paying out less than the
amount removed from the base rate.
Both organizations referenced an
analysis that estimated the outlier pool
underpaid $0.46 per treatment in 2016
and that, cumulatively since 2011, $4.97
has been removed by the underpayment
of the outlier pool. They asked that CMS
further refine the outlier policy so that
it is more consistent with how outlier
policies in other Medicare payment
systems work.
A patient advocacy organization
expressed strong support for CMS
having an outlier payment policy as the
organization believes it is a helpful
policy for ensuring that costlier patients
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receive the care they need. However, the
organization recommended that CMS
revisit the calculation and application of
the outlier payment policy to ensure
that total amount of payments withheld
are paid back to facilities for patient
care.
An organization representing nonprofit facilities and a large dialysis
organization urged CMS to reconsider
the 1 percent outlier policy first
implemented in 2011, stating that while
an outlier adjustment is required under
the statute, a 0.5 percent outlier target
percentage would reduce the offset to
the base payment and still provide for
payment in the case of extraordinary
costs.
A large dialysis organization stated
that despite CMS’s efforts to equalize
payment made into and out of the
outlier pool, limited progress toward
that goal has been achieved. The
commenter recommended that CMS
should address this problem by paying
out any remaining outlier pool dollars to
providers in the subsequent year. A
professional association agreed,
expressing concern about the ongoing
leakage of funds withheld, but not paid
out as outlier payments. Although the
professional association agreed the
rationale provided for the anticipated
increase in outlier payments may be
accurate, it noted that in calculating
these estimates, CMS is adjusting for
input costs but not for changes in
provider behavior, including a
substantial shift to other ESAs that are
similarly expensive. The commenter
stated that in a fixed bundled payment
environment, there is an incentive to
continually find ways to reduce costly
practices—an unaccounted-for factor
that will likely contribute to the
continued under-projection of outlier
payouts.
The professional association offered
two alternate paths to addressing the
gap between outlier withholds and
outlier payments for CMS’
consideration: (1) Revise the withhold
on an annual basis so that only the exact
necessary amount is withheld to meet
payouts (likely, retrospectively); or (2)
reinvest the difference between actual
outlier costs incurred and the funds
withheld to support research and other
patient-focused initiatives within CMS’
scope, such as: Analyzing data to better
understand aspects of dialysis care
related to improved patient outcomes;
developing a demonstration project or
pilot focused on covering the cost of
care for vascular access payment in the
first 90 days prior to new ESRD patient
eligibility; or supporting other
initiatives to improve the value of ESRD
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care provided, in partnership with the
kidney community.
Response: We appreciate the
continued support for the outlier policy
and the suggestions provided. We
continue to believe that 1.0 percent is an
appropriate target for outlier payments
given that using more recent claims data
to update the outlier MAP and FDL
amounts for CY 2018 will increase
outlier payments for ESRD beneficiaries.
A 1.0 percent outlier target percentage is
a modest amount in comparison to other
Medicare prospective payment systems
and helps to ensure that high cost
patients receive the individualized
services they need. We will, however,
take the commenters’ views into
consideration as we explore ways to
enhance and update the outlier policy
in future rulemaking.
Comment: A professional association
noted the decreases in the pediatric
MAP and FDL amounts to reflect the
utilization of services in 2016 and
expressed concern about the greater
than 25 percent decrease in the
pediatric FDL amount. While the
commenter recognizes that this is the
first proposed decrease in several years,
the commenter believes that it could
negatively impact the delivery of care in
pediatric facilities.
Response: The reduction in the
pediatric outlier threshold amounts
indicates that the cost of caring for
pediatric ESRD patients was lower in
2016 than in 2015. The decrease in the
pediatric FDL amount makes exceeding
the amount for pediatric facilities easier
to achieve. Therefore, we believe this
update will improve payments to
facilities serving pediatric patients and
will not negatively impact the delivery
of care.
Final Rule Action: After considering
the public comments, we are finalizing
the updated outlier thresholds based on
CY 2016 data.
d. Final Impacts to the CY 2018 ESRD
PPS Base Rate
i. ESRD PPS Base Rate
In the CY 2011 ESRD PPS final rule
(75 FR 49071 through 49083), we
discussed the development of the ESRD
PPS per treatment base rate that is
codified in the Medicare regulations at
42 CFR 413.220 and 42 CFR 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 for projected outlier payments
and budget neutrality in accordance
with sections 1881(b)(14)(D)(ii) and
1881(b)(14)(A)(ii) of the Act,
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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 composite rate
and separately billable services. In
accordance with section 1881(b)(14)(D)
of the Act and regulations at § 413.230,
the ESRD PPS base rate is adjusted for
the patient specific case-mix
adjustments, applicable facility
adjustments, geographic differences in
area wage levels using an area wage
index, as well as applicable outlier
payments, training add-on payments,
and transitional drug add-on payment
adjustments.
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ii. Annual Payment Rate Update for CY
2018
The ESRD PPS base rate for CY 2018
is $232.37. This update reflects several
factors, described in more detail as
follows:
• 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 2018, we did not
propose any changes to the
methodology used to calculate this
factor, which is described in detail in
the CY 2014 ESRD PPS final rule (78 FR
72174). The final CY 2018 wage index
budget-neutrality adjustment factor is
1.000531, based on the updated wage
index data. Therefore, the final ESRD
PPS base rate for CY 2018 before
application of the payment rate update
is $232.24 ($231.55 × 1.000531 =
$231.67).
• 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 2018 projection for the ESRDB
market basket is 1.9 percent. In CY
2018, this amount must be reduced by
1.0 percentage point as required by
section 1881(b)(14)(F)(i)(I) of the Act, as
amended by section 217(b)(2)(A) of
PAMA, which is calculated as 1.9¥1.0
= 0.9 percent. This amount is then
reduced by the MFP 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 final
MFP adjustment for CY 2018 is 0.6
percent, thus yielding a final update to
the base rate of 0.3 percent for CY 2018
(0.9¥0.6 = 0.3 percent). This
application yields a CY 2018 ESRD PPS
final base rate of $232.37 ($231.67 ×
1.003 = $232.37).
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The comments and our responses to
the comments on our proposals to
update the payment rate for CY 2018 are
set forth below.
Comment: One commenter expressed
concern about the application of section
1877 of the Act (the physician selfreferral law) to dialysis facilities that,
under the TDAPA policy, would furnish
and be reimbursed for outpatient
dialysis-related drugs that are not yet
considered ‘‘part of the bundle.’’ The
commenter noted that outpatient
prescription drugs are designated health
services for purposes of the physician
self-referral law and urged us to add
outpatient dialysis-related drugs
furnished by a dialysis facility under the
TDAPA policy to the list of codes that
are eligible for the exception for EPO
and other dialysis-related drugs
furnished by an ESRD facility (42 CFR
411.355(g)), which would avoid the
application of the physician self-referral
law to the referral of and billing for such
drugs. The commenter also urged us to
confirm that any new drugs added to the
‘‘bundle’’ (such as calcimimetics after
the TDAPA period) would fall within
the exclusion from the definition of
‘‘designated health services’’ for
outpatient prescription drugs
reimbursed as part of a composite rate.
The commenter suggested that these
steps would help avoid confusion in the
provider community and remove any
potential barriers to beneficiary access
to dialysis drugs that might otherwise
occur in an environment in which there
are perceived uncertainties about
compliance with the physician selfreferral law.
Response: As the commenter noted,
under section 1877 of the Act and our
regulations at 42 CFR 411.351,
outpatient prescription drugs are
designated health services. However,
services that are reimbursed by
Medicare as part of a ‘‘composite rate’’
are not included in the definition of
‘‘designated health services’’ (unless the
services are specifically identified in
§ 411.351 and are themselves payable
through a composite rate, such as
inpatient and outpatient hospital
services). For purposes of the physician
self-referral law, ‘‘composite rate’’ refers
to payments made under a distinct
payment methodology (66 FR 868). With
respect to ESRD services, for purposes
of the physician self-referral law, we
interpret the ‘‘composite rate’’ as the
per-treatment payment amount. As
described in our TDAPA
implementation guidance issued August
4, 2017, available on the CMS Web site
at https://www.cms.gov/Regulationsand-Guidance/Guidance/Transmittals/
2017Downloads/R1889OTN.pdf, the
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methodology used to calculate the pertreatment payment amount incorporates
the cost of the drugs that are paid for
using a TDAPA. Thus, the commenter
incorrectly presumes that outpatient
prescription drugs furnished and
reimbursed under the TDAPA policy are
not considered part of the ESRD
‘‘composite rate’’ for purposes of the
physician self-referral law when, in fact,
they are included in this ‘‘composite
rate.’’ As requested by the commenter,
we confirm that, after the TDAPA
period under § 413.234(c)(2),
calcimimetics will be part of the ESRD
PPS ‘‘composite rate’’ for purposes of
the physician self-referral law.
We note that the payment
methodology for calculating the ESRD
PPS per-treatment amount is unique to
ESRD services, and our determination
regarding outpatient prescription drugs
furnished and reimbursed under the
TDAPA policy does not apply to
ambulatory surgical center services,
hospice services, skilled nursing facility
Part A services, or any other services
that are reimbursed by Medicare as part
of a composite rate. We also note that
our treatment of TDAPA drugs as part
of the ESRD PPS ‘‘composite rate’’ is
consistent with our treatment of EPO
and other dialysis-related outpatient
prescription drugs as excluded from the
ESRD PPS ‘‘composite rate’’ prior to
January 1, 2011. In our January 4, 2001
rulemaking interpreting section 1877 of
the Act (Phase I), we defined
‘‘designated health services’’ to exclude
services that are reimbursed by
Medicare as part of a composite rate (66
FR 924). In contrast to drugs that are
paid for using a TDAPA, at the time of
our Phase I rulemaking, EPO and other
dialysis-related outpatient drugs were
not included in the methodology used
to calculate the per-treatment payment
amount; that is, for purposes of the
physician self-referral law, they were
not paid as part of the ESRD PPS
‘‘composite rate’’ and remained
‘‘designated health services.’’ Therefore,
a physician owner of an ESRD facility
that did not qualify as a ‘‘rural
provider’’ (for purposes of the physician
self-referral law) would have been
precluded from ordering EPO and other
dialysis-related outpatient prescription
drugs for his or her Medicare patients
and the ESRD facility would have been
precluded from submitting claims to
Medicare for the drugs ordered by the
physician owner. Because of our belief
that the Congress did not intend to
preclude physician ownership of ESRD
facilities when enacting section 1877 of
the Act, we established a separate
exception to the physician self-referral
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law at § 411.355(g) for EPO and other
dialysis-related outpatient prescription
drugs (66 FR 938). As of January 1,
2011, EPO and other anemia
management outpatient prescription
drugs (as well as access management,
bone and mineral metabolism, cellular
management, antiemetic, anti-infectives,
antipruritic, anxiolytic, excess fluid
management, fluid and electrolyte
management including volume
expanders, and pain management
outpatient prescription drugs) are
included in the ESRD PPS ‘‘composite
rate’’ (that is, the ESRD per-treatment
payment amount) and no longer qualify
as ‘‘designated health services’’ for
purposes of the physician self-referral
law. Because drugs that are paid for
using a TDAPA are included in the
ESRD PPS ‘‘composite rate’’ and not
considered ‘‘designated health
services,’’ they need not be included on
the list of Current Procedural
Terminology (CPT)/HCPCS codes that
are eligible for use with the exception at
§ 411.355(g).
Comment: Several organizations
expressed support for the proposed
increase to the ESRD PPS base rate and
for the consistent and the predictable
approach to updating the base rate.
An organization representing dialysis
patients expressed appreciation that this
year’s ESRD PPS rulemaking extends a
period of relative stability in Federal
support for dialysis; however, that
organization and a large dialysis
organization indicated that the success
of the ESRD PPS depends, by design, on
cross subsidization from private
coverage and that any action that
constrains private coverage for ESRD
patients will exacerbate policies that
have resulted in consistent ESRD PPS
underpayments and destabilize the
nation’s care delivery system for all
ESRD patients. Given CMS’s role in
overseeing the ESRD PPS and the Health
Insurance Marketplaces, they urged
CMS to work to preserve the longstanding public-private ESRD
partnership and work with the kidney
care community to address policies that
have resulted in chronic underpayments
through the ESRD PPS.
A professional association noted
MedPAC’s previous findings that the
margins in Medicare dialysis care are
extremely thin or negative and asked
CMS to bear in mind, to the extent
possible, when determining the overall
base rate that many aspects of care that
dialysis facilities provide are not
covered by the elements used to
calculate the base rate. The professional
association stated that this means that
any new unfunded mandates (for
example, requirements to use pre-filled
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syringes and follow more timeconsuming disinfection processes) must
be offset elsewhere in the context of the
fixed payment environment. While
these new mandates could have patient
benefits, they also may come at the
expense of other activities that also have
patient benefits. The professional
association urged CMS to move
cautiously and transparently in
implementing such new policies, both
to promote community understanding
and buy-in and to avoid the unintended
consequence of effectively mandating
new actions that might adversely impact
care elsewhere. The professional
association stated that any new
requirements selected must provide the
greatest value to patients in the context
of a fixed, bundled payment
environment.
Response: We appreciate the
commenters’ support for the increase to
the ESRD PPS base rate and will take
into consideration the concerns
regarding ESRD facility profit margins.
Final Rule Action: We are finalizing a
CY 2018 ESRD PPS base rate of $232.37.
C. Miscellaneous Comments
We received many comments from
beneficiaries, physicians, professional
organizations, renal organizations, and
manufacturers related to issues that
were not specifically addressed in the
CY 2018 ESRD PPS proposed rule.
These comments are discussed below.
Comment: A national kidney
organization and a patient advocacy
organization requested that the rate
setting file released with each proposed
and final ESRD PPS rule include
specific flags for each payment adjuster
that is applied and all modifiers on
claims, particularly the ‘‘AY’’ modifier
which is used for billing items and
services that are not furnished for the
treatment of ESRD and are therefore
separately payable. They noted that the
outpatient prospective payment system
rate setting file format that is the
template for the ESRD PPS rate setting
file normally includes all modifiers, and
there are a number of ways that adjuster
variable flags could be added to that file.
These data are necessary to engage in a
timely discussion of the impact of the
adjusters on accurate estimates of
payment and impact analyses.
Response: We appreciate the
commenter’s thoughts with regard to the
rate setting file and we will consider
this suggestion for future updates.
Comment: A national kidney
organization and a national dialysis
provider organization thanked CMS for
eliminating the medical director fee
limitation that had been a policy left
over from before dialysis facilities were
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paid on a prospective payment system
basis. However, they expressed concern
that some of the contractors overseeing
the cost report submissions are
requiring facilities to submit detailed
physician logs describing the hours
worked and tasks performed and still
applying the limitation. The
commenters stated there may be
confusion because the most recent
edition of the Medicare Claims
Processing Manual, Chapter 8, section
40.6.C.2, updated November 10, 2016
continues to include instructions that
do not reflect the policy changes made
in previous rulemakings.
Therefore, they requested that CMS
revise the instructions in the Medicare
Claims Processing Manual to align with
the policy finalized in previous
rulemaking that eliminates the
limitation on medical director fees.
They also requested that we clarify that
detailed physician logs not be required,
consistent with the elimination of the
limitation and the requirements (such as
providing an invoice) applied to other
health care providers and suppliers with
regard to establishing medical director
fees.
A dialysis organization requested
more information related to items
included in the ESRD PPS bundle and
requested that CMS create separate lists
of what they can include on Medicare
claims, which items and services are
subject to consolidated billing and
whether or not they can bill for these
items and services, as well as what is
not included in the bundle.
Response: We appreciate the
commenter’s suggestions regarding
claims processing guidance and we will
consider them for future updates.
Comment: Although we did not
include any proposals regarding the
TDAPA, we received many comments
from dialysis provider and patient
advocacy organizations, professional
associations and drug manufacturers
covering payment, coverage, and
clinical issues surrounding the
implementation of the two new HCPCS
J-codes for oral and IV calcimimetics
that will become renal dialysis services
and paid for using a TDAPA beginning
on January 1, 2018.
There were several comments
regarding timing, including comments
expressing that implementation on
January 1, 2018 took CMS too long and
other comments indicating that this is a
complex change for ESRD facilities and
they will need time after CMS issues
guidance to incorporate that guidance
into their billing systems and care
planning. In addition, commenters
urged us to coordinate with Medicare
Advantage as well as Part D to ensure
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a seamless conversion of calcimimetics
from Part D to Part B. Commenters
requested that we closely monitor
patient access and outcomes related to
calcimimetics, and expressed concern
about coinsurance and the need to
support innovation, especially for new
drugs within the existing ESRD PPS
functional categories. They also raised
issues regarding refills, CMS
reimbursing for shipping and
dispensing costs, and reporting the drug
dispensed rather than the amount used
by patients. Lastly, a national dialysis
provider association commented that
nephrologists have voiced concerns
about the potential implications of CMS
reimbursement policies relating to
calcimimetics under the physician selfreferral law.
Response: We plan to issue guidance
soon that will address the issues raised
by commenters. We do not understand
some of the commenters’ concerns
because oral equivalents of IV
medications currently in the ESRD PPS
bundled payment and other oral
medications used for the treatment of
ESRD (that is, oral drugs that fit into the
established ESRD PPS functional
categories) have been covered under the
ESRD PPS since 2011 when the ESRD
PPS bundled system was first
implemented. Because of this, we
believe that ESRD facilities would have
existing relationships with pharmacies
that could provide oral drugs to ESRD
patients and these pharmacies could
also furnish the oral calcimimetics.
Comment: MedPAC commented that
section 217(e) of PAMA required the
Secretary to conduct audits of Medicare
cost reports beginning in 2012 for a
representative sample of freestanding
and hospital-based facilities furnishing
dialysis services. To support this effort,
the law authorized the Secretary to
transfer $18 million (in fiscal year 2014)
from the Federal Supplementary
Medical Insurance Trust Fund to CMS’s
program management. In September
2015, CMS awarded a contract to
conduct the audit. MedPAC strongly
encouraged CMS to accelerate the
audit’s completion and release its final
results, and emphasized the importance
of auditing the cost reports that dialysis
facilities submit to CMS to ensure the
data are accurate.
An organization of small and
independent dialysis facilities agreed,
stating that standardized cost reports
can improve payment accuracy in the
ESRD PPS and thus the organization
seeks to partner with CMS to develop
standardized cost reports and reporting
guidance for ESRD facilities. The
organization indicated that the current
reporting structure lacks the detail
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necessary to assist providers in proper
cost allocation, and leads to significant
inconsistency in cost reporting.
In addition, a patient advocacy
organization noted that CMS previously
stated that it would review cost reports
to better understand the costs of home
dialysis training. The organization
inquired about CMS’s progress towards
this goal.
Response: We appreciate the
commenters’ thoughts and suggestions
on the CMS cost reports and audits. The
audit process is underway, but not
complete at this time. We will take
commenters’ views into consideration
for future cost report updates.
Comment: Although CMS did not
propose any changes to the case-mix
and facility-level adjustments under the
ESRD PPS, we received many comments
from national dialysis provider
organizations, large dialysis
organizations, and patient advocacy
organizations expressing concern about
the payment adjustments under the
ESRD PPS, specifically the use of cost
reports for patient-level adjustments.
They recommended that CMS update
the standardization factor using the
most current data available.
The commenters stated that they have
recommended several steps that CMS
should take to address shortcomings
with the case-mix adjusters’ validity and
accuracy. Until those steps are taken,
the organizations asserted that CMS
should not apply the case-mix
adjustments and restore the dollars
historically removed from the base rate
to reflect the frequency and size of the
revised adjusters. They also
recommended that CMS have an
independent, third-party perform a peer
review of the research methodology
employed within the ESRD PPS and
asked that CMS consider the comments
regarding methodology submitted by the
public and provide substantive
responses on the record to address
concerns. Commenters also asked that
CMS provide more detailed data to
allow for a complete analysis of the
ESRD PPS. For example, commenters
requested a comprehensive list of
variables, descriptions, and analyses
that could resolve the variances
identified in the dialysis industry’s
analysis of the ESRD PPS methodology.
They also stated that a more
comprehensive list of data elements
would clarify the CMS contractor’s
conclusions and allow them to better
address the underpayment of the ESRD
PPS.
Response: We appreciate the
commenters’ thoughts with regard to the
ESRD PPS case-mix adjustments and
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research methodology and will consider
the suggestions for future updates.
Comment: We received many other
comments that were beyond the scope
of the CY 2018 ESRD PPS proposed rule
including the following suggestions:
Develop a renal-specific productivity
factor; require the sharing of dialysis
patient information with the treating
ESRD facility after a hospitalization to
promote health information technology
initiatives; allow ESRD facilities to
include the 50 cents per treatment
Network Fee on their cost reports;
encourage home dialysis by consistently
covering the costs of home training and
more frequent treatments by home
patients; and preserve the public-private
partnership for ESRD care and ensure
that private insurers are incentivized to
cover 30 months of dialysis or
transplantation services as well as
preventive care for patients with
diabetes and hypertension to slow the
progression of chronic kidney disease to
ESRD.
Response: We appreciate receiving
these comments so that we are aware of
issues impacting ESRD facilities and
beneficiaries. However, we did not
include any proposals regarding these
topics in the CY 2018 ESRD PPS
proposed rule, and therefore we
consider these suggestions to be beyond
the scope of this rule.
Comment: A national dialysis
provider association and a national
dialysis organization recommended
clarification regarding patients with AKI
who do not recover kidney function and
transition to become ESRD patients.
Specifically, these commenters
requested guidance related to Medicare
eligibility, transplant wait list, and
incident patient modifier.
Response: We appreciate the feedback
on this issue and we will consider this
topic for future guidance.
III. Calendar Year (CY) 2018 Payment
for Renal Dialysis Services Furnished
to Individuals With Acute Kidney
Injury (AKI)
A. Background
On June 29, 2015, the Trade
Preferences Extension Act of 2015
(TPEA) (Pub. L. 114–27) was enacted. In
the TPEA, the Congress amended the
Social Security Act (the Act) to include
coverage and provide for payment for
dialysis furnished by an ESRD facility to
an individual with acute kidney injury
(AKI). Specifically, section 808(a) of the
TPEA amended section 1861(s)(2)(F) of
the Act to provide coverage for renal
dialysis services furnished on or after
January 1, 2017, by a renal dialysis
facility or a provider of services paid
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under section 1881(b)(14) of the Act to
an individual with AKI. Section 808(b)
of the TPEA amended section 1834 of
the Act by adding a new subsection (r)
to the Act. Subsection (r)(1) of section
1834 of the Act provides for payment,
beginning January 1, 2017, for renal
dialysis services furnished by renal
dialysis facilities or providers of
services paid under section 1881(b)(14)
of the Act to individuals with AKI at the
end-stage renal disease (ESRD)
prospective payment system (PPS) base
rate, as adjusted by any applicable
geographic adjustment applied under
section 1881(b)(14)(D)(iv)(II) of the Act
and may be adjusted by the Secretary of
the Department of Health and Human
Services (the Secretary) (on a budget
neutral basis for payments under section
1834(r) of the Act) by any other
adjustment factor under section
1881(b)(14)(D) of the Act.
In the calendar year (CY) 2017 ESRD
PPS final rule, we finalized several
coverage and payment policies in order
to implement subsection (r) of section
1834 of the Act and the amendments to
section 1881(s)(2)(F) of the Act,
including the payment rate for AKI
dialysis (81 FR 77866 through 77872).
We interpret section 1834(r)(1) of the
Act to mean the amount of payment for
AKI dialysis services is the base rate for
renal dialysis services determined for
such year under the ESRD base rate as
set forth in 42 CFR 413.220, updated by
the ESRD bundled market basket
percentage increase factor minus a
productivity adjustment as set forth in
42 CFR 413.196(d)(1), adjusted for
wages as set forth in 42 CFR 413.231,
and adjusted by any other amounts
deemed appropriate by the Secretary
under 42 CFR 413.373. We codified this
policy in § 413.372.
B. Summary of the Proposed Provisions,
Public Comments, and Responses to
Comments on CY 2018 Payment for
Renal Dialysis Services Furnished to
Individuals With AKI
The proposed rule, entitled ‘‘Medicare
Program; End-Stage Renal Disease
Prospective Payment System, Payment
for Renal Dialysis Services Furnished to
Individuals with Acute Kidney Injury,
and End-Stage Renal Disease Quality
Incentive Program’’ (82 FR 31190
through 31233), hereinafter referred to
as the CY 2018 ESRD PPS proposed
rule, was published in the Federal
Register on July 5, 2017, with a
comment period that ended on August
28, 2017. In that proposed rule, we
proposed to update the AKI dialysis
payment rate. We received
approximately 9 public comments on
our proposal, including comments from
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ESRD facilities; national renal groups,
nephrologists and patient organizations;
patients and care partners;
manufacturers; health care systems; and
nurses.
In this final rule, we provide a
summary of the proposed provision, a
summary of the public comments
received and our responses to them, and
the policies we are finalizing for CY
2018 payment for renal dialysis services
furnished to individuals with AKI.
1. Annual Payment Rate Update for CY
2018
a. CY 2018 AKI Dialysis Payment Rate
The payment rate for AKI dialysis is
the ESRD PPS base rate determined for
a year under section 1881(b)(14) of the
Act, which is the finalized ESRD PPS
base rate. We note that ESRD facilities
have the ability to bill Medicare for nonrenal dialysis items and services and
receive separate payment in addition to
the payment rate for AKI dialysis.
As discussed in the CY 2018 ESRD
PPS proposed rule (82 FR 31201), the
CY 2018 proposed ESRD PPS base rate
was $233.31, which reflected the
proposed ESRD bundled market basket
and multifactor productivity
adjustment. Therefore, we proposed a
CY 2018 per treatment payment rate of
$233.31 for renal dialysis services
furnished by ESRD facilities to
individuals with AKI.
b. Geographic Adjustment Factor
Section 1834(r)(1) of the Act further
provides that the amount of payment for
AKI dialysis services shall be the base
rate for renal dialysis services
determined for a year under section
1881(b)(14) of the Act, as adjusted by
any applicable geographic adjustment
factor applied under section
1881(b)(14)(D)(iv)(II) of the Act. We
interpret the reference to ‘‘any
applicable geographic adjustment factor
applied under subparagraph (D)(iv)(II)
of such section’’ to mean the geographic
adjustment factor that is actually
applied to the ESRD PPS base rate for
a particular facility. Accordingly, we
apply the same wage index that is used
under the ESRD PPS, as discussed in the
CY 2018 ESRD PPS proposed rule (82
FR 31201). In the CY 2017 ESRD PPS
final rule (81 FR 77868), we finalized
that the AKI dialysis payment rate will
be adjusted for wage index for a
particular ESRD facility in the same way
that the ESRD PPS base rate is adjusted
for wage index for that facility.
Specifically, we apply the wage index to
the labor-related share of the ESRD PPS
base rate that we utilize for AKI dialysis
to compute the wage adjusted per-
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treatment AKI dialysis payment rate. We
proposed a CY 2018 AKI dialysis
payment rate of $233.31, adjusted by the
ESRD facility’s wage index.
The comments and our responses to
the comments on this AKI payment
proposal are set forth below.
Comment: We received a comment
from MedPAC stating that the AKI
payment policy should be site-neutral
for all settings, including hospital
outpatient departments and ESRD
facilities. MedPAC stated that this
policy would lower spending for
beneficiaries and taxpayers and reduce
incentives to provide service in a higher
paid sector since payment rates should
be based on the setting where
beneficiaries have adequate access to
good quality care at the lowest cost to
beneficiaries and the program, adjusting
for differences in patient severity.
MedPAC suggested that the Centers for
Medicare & Medicaid Services (CMS)
should pursue legislative authority to
implement such a policy.
Response: We appreciate MedPAC’s
comment with regard to site-neutrality
and pursuing legislative authority. We
did not propose any specific changes to
our AKI payment policies in the CY
2018 ESRD PPS proposed rule, and
therefore we consider this comment to
be outside the scope of this rule. As we
noted in the CY 2017 ESRD PPS final
rule (81 FR 77868), section 808(b) of
TPEA did not address payments to
hospital outpatient departments for
dialysis services furnished to
beneficiaries with AKI.
Comment: Two national dialysis
organizations and a large dialysis
organization asked that we affirm the
distinction between AKI patients and
ESRD beneficiaries, ensure sufficient
funds are available to meet the
utilization of AKI services by Medicare
beneficiaries since the Congress did not
mandate that CMS implement the
provisions of TPEA in a budget-neutral
manner, and also affirm that the ESRD
Network fee does not apply to AKI
treatments. The commenters noted that
the ESRD Networks are charged with
focusing on patients with ESRD, and
therefore, the Network fee should not be
applied to AKI payments.
A professional association, clinician’s
group, and a national dialysis provider
association commented that CMS did
not fully reflect the nuances of the
distinctly different needs of AKI
patients from ESRD patients in the AKI
coverage and payment policy
implemented in the CY 2017 ESRD PPS
final rule. Specifically, the association
noted the time and cost of educating
staff about AKI dialysis and extra
attention required by AKI patients and
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more frequent laboratory monitoring of
blood and urine. The commenters urged
CMS to closely track utilization of items
and services that are included in the
ESRD PPS bundled payment to ensure
that payment is appropriate for AKI
dialysis.
The provider association also stated
that as we learn more about the
provision of services to these patients, it
may become apparent that an AKI
adjustment to the payment rate is
necessary to address the differences in
the services provided to AKI patients.
The commenter was pleased that CMS
recognized in the CY 2017 ESRD PPS
final rule that adjustments may be
necessary in the future, as well as the
need to bill certain services separately.
Response: We agree with the
commenters that care for AKI patients is
different from the care provided to
individuals with ESRD. With respect to
the comment about ensuring sufficient
funds are available for AKI payments,
we note that AKI treatments
administered in an ESRD facility
represent a shift in service from the
hospital outpatient department to the
ESRD facility and therefore represent a
savings to the Medicare Trust Fund,
since reimbursement for services
provided in an ESRD facility is lower
than services provided in a hospital
setting. As we stated in the CY 2017
ESRD PPS final rule (81 FR 77867), we
believe the definition of an individual
with AKI set forth in TPEA provides an
appropriate way to distinguish patients
with AKI from patients with ESRD.
Additionally, the TPEA did not mandate
implementation on a budget-neutral
basis.
As we discussed in the CY 2017 ESRD
PPS final rule (81 FR 77868), we
finalized a policy that the AKI dialysis
payment rate is the final ESRD PPS base
rate adjusted by the wage index that is
used under the ESRD PPS. We stated
that we are not adjusting the payment
amount by any other factors at this time,
but may do so in future years. To
address the higher costs associated with
AKI patients as compared to ESRD
patients, we finalized a policy of paying
for all AKI dialysis treatments provided
to a patient, without applying the
monthly treatment limits applicable
under the ESRD PPS. We also finalized
a policy to pay separately for all items
and services that are not part of the
ESRD PPS base rate. We have created
the ability through our claims
processing systems to identify
individuals with AKI in order to track
the utilization of services and their
health outcomes to ensure these patients
are receiving the care they require. Once
we have substantial data related to the
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AKI population and its associated
utilization, we will determine the
appropriate steps toward further
developing the AKI payment rate.
Finally, regarding the comment about
the applicability of the ESRD Network
fee to AKI treatments, we note that we
discussed that issue in detail in the CY
2017 ESRD PPS final rule (81 FR 77867
through 77678). We explained that after
considering comments and reviewing
the applicable statutory provision, we
will not apply the ESRD Network fee to
the AKI dialysis payment rate.
Comment: We received comments
from national provider organizations,
large dialysis organizations, and a drug
manufacturer providing evidence that
the AKI utilization estimates included
in the CY 2018 ESRD PPS proposed rule
may be inaccurate. These organizations
indicated that the outpatient data used
to estimate the shift in services from the
outpatient hospital setting to the ESRD
facility may underestimate the number
of beneficiaries that received treatment
for AKI. The organizations stated this
underestimation could be due to
hospitals not consistently billing for
dialysis treatments administered to
beneficiaries with AKI.
Response: We agree that the estimates
used in the CY 2018 ESRD PPS
proposed rule underestimated the
number of beneficiaries receiving
treatments for AKI. When the CY 2018
ESRD PPS proposed rule was
developed, we used the best available
information, which was information
regarding treatments provided in a
hospital outpatient setting. In the time
between the publication of the CY 2018
ESRD PPS proposed rule and the CY
2018 ESRD PPS final rule, data
regarding actual ESRD facility
utilization of treatments provided to
beneficiaries with AKI has become
available. As a result, CMS has revised
the impact analysis for AKI payment
from $2 million to $20 million for CY
2018.
Comment: National provider
organizations, a large dialysis
organization, and a patient advocacy
organization requested that CMS
explain the AKI monitoring program
and the transparent provision of data
related to the program. These
commenters noted that historic
utilization may not be representative of
the actual prevalence of AKI patients
requiring dialysis due to operational
models used by hospital outpatient
departments and suggested that current
data be used to develop an AKI
adjustment as necessary to address the
differences in the services provided to
AKI patients.
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Response: We appreciate the feedback
on historic utilization and agree that
current data is the most appropriate for
use with regard to the AKI population.
The AKI monitoring program will
include current data and will be used to
inform future payment policy, including
any potential adjustments to the AKI
payment rate. As we stated in the CY
2017 ESRD PPS final rule (81 FR 77871),
we will develop public use files for the
utilization of these services, but we do
not anticipate that this data will be
available until we have at least 1 full
year of claims data. If stakeholders have
additional clinical data regarding
utilization and the treatments
administered to AKI patients, we would
welcome the receipt of that data in deidentified form.
Comment: National provider
organizations suggested that an AKI
specific modifier should be identified
for laboratory tests and drugs used by
AKI patients and should allow separate
payment. Commenters suggested that
CMS issue guidance defining the
utilization of this modifier, for example,
for laboratory tests repeated more
frequently for AKI patients than for
ESRD patients. These organizations also
believe that the AY modifier should not
be used on AKI claims. Rather, they
recommended that CMS identify a new
AKI-specific modifier, which would
allow CMS and providers to track
utilization of key products and services
by AKI patients to better inform policy
in future rulemaking. One commenter
asked that such modifiers be
appropriately flagged in both the rate
setting and standard analytic data files
to ensure transparency to the public for
the purpose of analysis.
Another dialysis organization stated
that with regard to AKI and billing, it is
still not clear which claim modifiers are
required for Medicare claims for AKI
patients. They requested that CMS
provide specific clarification on this
issue.
Response: We appreciate the feedback
on the operationalization of AKI claim
submission. As we noted in the CY 2017
ESRD PPS final rule (81 FR 77867), the
TPEA requires that we pay ESRD
facilities for renal dialysis services
furnished to beneficiaries with AKI in
the amount of the wage-adjusted ESRD
PPS base rate. In addition, we stated
there is no weekly limit on the number
of treatments that will be paid. ESRD
facilities will receive payment based on
the applicable Part B fee schedules for
other items and services that are not
considered to be renal dialysis services.
As we stated in the CY 2017 ESRD PPS
final rule, we continue to believe that
these payment considerations are
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sufficient for Medicare payment of renal
dialysis services furnished to
beneficiaries with AKI. As these
services evolve in ESRD facilities, we
can address any changes in future
rulemaking. We will also provide billing
guidance as necessary to address
updates to modifier rules and claims
submission.
Comment: A software vendor
requested that we clarify whether the
TDAPA applies to AKI services.
Response: We will issue additional
program guidance that will address the
application of the TDAPA to AKI
services and other billing guidance. If
we determine that it is appropriate for
the TDAPA to apply to AKI services, we
would consider that to be a substantive
payment policy which would be
established through notice and
comment rulemaking.
Comment: A health system and a
provider organization commented that
including AKI treatments in the count to
determine eligibility for the low-volume
payment adjustment (LVPA) is
inappropriate. The commenters believe
that including these treatments in that
count could discourage facilities from
accepting AKI patients if their treatment
jeopardizes their low volume status. The
commenters also believe that including
AKI treatments in the LVPA count, but
not applying the LVPA to those
treatments, is an inconsistent
application of the LVPA policy.
An industry organization urged CMS
to include the rural adjustment in the
AKI payment to reflect the increased
cost necessary to provide high-quality
care since rural facilities face all of the
same challenges in the providing
dialysis treatment to AKI patients as
they do to ESRD patients.
Response: We appreciate the
commenters’ feedback on the
application of the LVPA to AKI dialysis
treatments as well as their inclusion
toward a facility’s eligibility. Since the
policy regarding eligibility for the LVPA
is based on all treatments provided by
a facility, including non-Medicare
treatments, we determined that the
policy should also include AKI dialysis
treatments, not just ESRD treatments at
this time (81 FR 77869). In the CY 2017
ESRD PPS final rule (81 FR 77868), we
discussed not applying the case-mix
adjusters to the payment for AKI
treatments because those adjusters were
developed based on ESRD treatments,
and we continue to believe this is the
most appropriate policy. As we
continue to monitor data, we will
review the efficacy of our LVPA and
rural policies to determine if
modification is required.
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Comment: A patient advocacy
organization expressed support for our
proposal to adjust the AKI payment rate
by only the geographic and wage
indices. This commenter further noted
that, for some patients, peritoneal
dialysis (PD) is the most appropriate
modality. Additionally, some AKI
patients can safely dialyze at home and
have their urine and blood tests
performed for the assessment of kidney
function in a location closer to home.
The commenter recommended that
home training be paid separately,
without dollars removed from the base
rate.
Response: We appreciate the
commenter’s support for our AKI
payment rate proposal. With regard to
PD, we agree that it is an appropriate
modality for some beneficiaries,
however, in the CY 2017 ESRD PPS
final rule, we stated that we do not
expect that AKI beneficiaries will
dialyze at home (81 FR 77870 through
77871). We continue to believe that this
is a population that requires close
medical supervision by qualified staff
during their dialysis treatment. We
affirm in this final rule that payment
will only be made for in-center PD or
hemodialysis treatments for AKI
beneficiaries. We will monitor this
policy to determine if changes are
necessary in the future, understanding
that there may be a subset of patients for
whom AKI dialysis at home is an
appropriate treatment. We appreciate
the commenter’s insight on the home
training add-on payment.
Comment: One industry organization
urged CMS to adopt a pediatric
adjustment for facilities that treat
pediatric AKI patients, while another
industry organization recognized that
pediatric patients are only covered for
ESRD and expressed support for our
payment policy and appreciation that
CMS recognizes the treatment
differences in the ESRD and AKI
populations.
Response: We appreciate the support
and comments with regard to our AKI
payment policy, especially for pediatric
patients. As we evaluate and monitor
the payments for AKI treatments, we
will continue to evaluate the
appropriateness of the ESRD case-mix
adjustments, including the pediatric
adjustment. The current clinical
literature (Walters, Scott & Porter, Craig
& Brophy, Patrick. (2008). Dialysis and
pediatric acute kidney injury: Choice of
renal support Modality. Pediatric
nephrology (Berlin, Germany). 24. 37–
48. 10.1007/s00467–008–0826–x)
indicates that pediatric treatment for
AKI is most commonly done in an
intensive care unit, not an ESRD facility
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due to access site difficulties and fluid
overload. In a review of data, we have
found very few claims for pediatric AKI
patients.
Comment: A national dialysis
provider association and a national
dialysis organization recommended
modifying cost reports to separately
capture certain AKI costs. Specifically,
they recommended that new rows
should be added to Worksheet D for AKI
hemodialysis treatments and PD
treatments. They stated the instructions
should explain that AKI treatments are
to be reported separately from all other
ESRD dialysis treatments.
Response: We agree that updates will
need to be made to the dialysis facility
cost report in order to differentiate costs
of AKI dialysis treatments from
treatments provided for the treatment of
ESRD. We are currently developing the
transmittal that will update the cost
report to allow for the differentiation
between AKI treatments and treatments
for ESRD.
Final Rule Action: We are finalizing
the AKI payment rate as proposed, that
is, based on the finalized ESRD PPS
base rate. Specifically, the final CY 2018
ESRD PPS base rate is $232.37.
Accordingly, we are finalizing a CY
2018 payment rate for renal dialysis
services furnished by ESRD facilities to
individuals with AKI as $232.37.
IV. End-Stage Renal Disease (ESRD)
Quality Incentive Program (QIP) for
Payment Year (PY) 2021
A. Background
For over 30 years, monitoring the
quality of care provided to end-stage
renal disease (ESRD) patients by dialysis
providers or facilities (hereinafter
referred to collectively as ‘‘facility’’ or
‘‘facilities’’) 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 the Centers for Medicare
& Medicaid Services (CMS).
Under the ESRD QIP, payments made
to a dialysis facility by Medicare under
section 1881(b)(14) of the Social
Security Act (the Act) for a year are
reduced by up to 2 percent if the facility
does not meet or exceed the total
performance score (TPS) with respect to
performance standards established by
the Secretary of the Department of
Health and Human Services (the
Secretary) with respect to certain
specified measures.
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In the calendar year (CY) 2012 ESRD
PPS final rule (76 FR 70228), published
in the Federal Register on November 10,
2011, we set forth certain requirements
for the ESRD QIP for payment years
(PYs) 2013 and 2014.
In the CY 2013 ESRD PPS final rule
(77 FR 67450), published in the Federal
Register on November 9, 2012, we set
forth requirements for the ESRD QIP,
including for payment year 2015 and
beyond. In that rule, we added several
new measures to the ESRD QIP’s
measure set and expanded the scope of
some of the existing measures. We also
established CY 2013 as the performance
period for the PY 2015 ESRD QIP,
established performance standards and
adopted scoring and payment
methodologies similar to those finalized
for the PY 2014 ESRD QIP.
In the CY 2014 ESRD PPS final rule
(78 FR 72156), published in the Federal
Register on December 2, 2013, we set
forth requirements for the ESRD QIP,
including for PY 2016 and beyond. In
that rule, we added several new
measures to the ESRD QIP’s measure
set, established the performance period
for the PY 2016 ESRD QIP, established
performance standards for the PY 2016
measures, and adopted scoring and
payment reduction methodologies that
were similar to those finalized for the
PY 2015 ESRD QIP.
In the CY 2015 ESRD PPS final rule
(79 FR 66120), published in the Federal
Register on November 6, 2014, we
finalized requirements for the ESRD
QIP, including for PYs 2017 and 2018.
In that rule, we finalized the measure
set for both PY 2017 and PY 2018,
revised the In-Center Hemodialysis
Consumer Assessment of Healthcare
Providers System (ICH CAHPS)
Reporting Measure, revised the Mineral
Metabolism Reporting Measure,
finalized the Extraordinary
Circumstances Exemption (ECE) policy,
and finalized a new scoring
methodology beginning with PY 2018.
In the CY 2016 ESRD PPS final rule
(80 FR 68968), published in the Federal
Register on November 6, 2015, we set
forth requirements for the ESRD QIP,
including for PY 2017 through PY 2019.
In that rule, we finalized the PY 2019
measure set, reinstated the ICH CAHPS
Reporting Measure attestation beginning
with PY 2017, and revised the small
facility adjuster (SFA) beginning with
PY 2017.
In the CY 2017 ESRD PPS final rule
(81 FR 77834), published in the Federal
Register on November 4, 2016, we set
forth new requirements for the ESRD
QIP, including new quality measures
beginning with PY 2019 and PY 2020,
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and updated other policies for the
program.
The ESRD QIP is authorized by
section 1881(h) of the Act, which was
added by section 153(c) of Medicare
Improvements for Patients and
Providers Act of 2008 (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).
B. Summary of the Proposed Provisions,
Public Comments, Responses to
Comments, and Newly Finalized
Policies for the End-Stage Renal Disease
(ESRD) Quality Incentive Program (QIP)
The proposed rule, entitled ‘‘Medicare
Program; End-Stage Renal Disease
Prospective Payment System, Payment
for Renal Dialysis Services Furnished to
Individuals with Acute Kidney Injury,
and End-Stage Renal Disease Quality
Incentive Program’’ (82 FR 31190
through 31233), hereinafter referred to
as the CY 2018 ESRD PPS proposed
rule, was published in the Federal
Register on July 5, 2017, with a
comment period that ended on August
28, 2017. In that proposed rule, we
proposed updates to the ESRD QIP,
including for PY 2019 through PY 2021.
We received approximately 58 public
comments on our proposals, including
comments from large dialysis
organizations, renal dialysis facilities,
national renal groups, nephrologists,
patient organizations, patients and care
partners, manufacturers, health care
systems; nurses, and other stakeholders.
In this final rule, we provide a
summary of each proposed provision, a
summary of the public comments
received and our responses to them, and
the policies we are finalizing for the
ESRD QIP, including for PYs 2019
through 2021.
1. Accounting for Social Risk Factors in
the ESRD QIP.
In the CY 2018 ESRD PPS proposed
rule (82 FR 31202), we discussed the
issue of accounting for social risk factors
in the ESRD QIP. We understand that
social risk factors such as income,
education, race and ethnicity,
employment, disability, community
resources, and social support (certain
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50757
factors of which are also sometimes
referred to as socioeconomic status
factors or socio-demographic status
factors), play a major role in health. One
of our core objectives is to improve
beneficiary outcomes, including
reducing health disparities, and we
want to ensure that all beneficiaries,
including those with social risk factors,
receive high quality care. In addition,
we seek to ensure that the quality of
care furnished by facilities is assessed as
fairly as possible under our programs
while ensuring that beneficiaries have
adequate access to high quality care.
We have reviewed reports prepared
by the Office of the Assistant Secretary
for Planning and Evaluation (ASPE) 1
and the National Academies of
Sciences, Engineering, and Medicine on
the issue of accounting for social risk
factors in CMS’ value-based purchasing
and quality reporting programs, and
considered options on how to address
the issue in these programs. On
December 21, 2016, ASPE submitted a
Report to Congress on a study it was
required to conduct under section 2(d)
of the Improving Medicare Post-Acute
Care Transformation (IMPACT) Act of
2014. The study analyzed the effects of
certain social risk factors in Medicare
beneficiaries on quality measures and
measures of resource use that are used
in one or more of nine Medicare valuebased purchasing programs, including
the ESRD QIP.2 The report also included
considerations for strategies to account
for social risk factors in these programs.
In a January 10, 2017 report released by
The National Academies of Sciences,
Engineering, and Medicine, that body
provided various potential methods for
measuring and accounting for social risk
factors, including stratified public
reporting.3
As noted in the fiscal year (FY) 2017
Inpatient Prospective Payment System/
Long-Term Care Hospital Prospective
Payment System (IPPS/LTCH PPS) final
rule (81 FR 56762 through 57345), the
National Quality Forum (NQF)
undertook a 2-year trial period in which
1 Office of the Assistant Secretary for Planning
and Evaluation. 2016. Report to Congress: Social
Risk Factors and Performance Under Medicare’s
Value-Based Purchasing Programs. Available at:
https://aspe.hhs.gov/pdf-report/report-congresssocial-risk-factors-and-performance-undermedicares-value-based-purchasing-programs.
2 Office of the Assistant Secretary for Planning
and Evaluation. 2016. Report to Congress: Social
Risk Factors and Performance Under Medicare’s
Value-Based Purchasing Programs. Available at:
https://aspe.hhs.gov/pdf-report/report-congresssocial-risk-factors-and-performance-undermedicares-value-based-purchasing-programs.
3 National Academies of Sciences, Engineering,
and Medicine. 2017. Accounting for social risk
factors in Medicare payment. Washington, DC: The
National Academies Press.
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certain new measures, measures
undergoing maintenance review, and
measures endorsed with the condition
that they enter the trial period could be
assessed to determine whether risk
adjustment for selected social risk
factors would be appropriate for these
measures. This trial entailed
temporarily allowing inclusion of social
risk factors in the risk-adjustment
approach for these measures. Recently,
the NQF concluded this trial (https://
www.qualityforum.org/Publications/
2017/07/Social_Risk_Trial_Final_
Report.aspx), and based on its findings,
the NQF will continue its work to
evaluate the impact of social risk factor
adjustment on intermediate outcome
and outcome measures for an additional
3 years. The extension of this work will
allow the NQF to determine further how
to effectively account for social risk
factors through risk adjustment and
other strategies in quality measurement.
As we consider the analyses and
recommendations from the ASPE report
and the NQF trial on risk adjustment for
quality measures, we are continuing to
work with stakeholders. As we have
previously communicated, we are
concerned about holding facilities to
different standards for the outcomes of
their patients with social risk factors
because we do not want to mask
potential disparities or minimize
incentives to improve the outcomes for
disadvantaged populations. Keeping
this concern in mind, we will continue
to seek public comment on whether we
should account for social risk factors in
the ESRD QIP, and if so, what method
or combination of methods would be
most appropriate for accounting for
social risk factors. Examples of potential
methods include: Adjustment of the
payment adjustment methodology under
the ESRD QIP; adjustment of provider
performance scores (for instance,
stratifying facilities based on the
proportion of their patients who are
dual eligible); confidential reporting of
stratified measure rates to facilities;
public reporting of stratified measure
rates; risk adjustment of a particular
measure as appropriate based on data
and evidence; and redesigning payment
incentives (for instance, rewarding
improvement for facilities caring for
patients with social risk factors or
incentivizing facilities to achieve health
equity). In the CY 2018 ESRD PPS
proposed rule (82 FR 31202 through
31203), we requested comment on
whether any of these methods should be
considered, and if so, which of these
methods or combination of methods
would best account for social risk
factors in the ESRD QIP.
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We note that in section V.I.9 of the FY
2018 IPPS/LTCH PPS final rule (82 FR
38229 through 38231), we finalized an
approach for stratifying hospitals into
peer groups for purposes of assessing
payment adjustments under the
Hospital Readmissions Reduction
Program, as required under the 21st
Century Cures Act of 2016 (Pub. L. 114–
255). We refer readers to that section for
a detailed discussion of the final policy;
while this discussion is specific to the
Hospital Readmissions Reduction
Program, it reflects the level of analysis
we would undertake when evaluating
methods and combinations of methods
for accounting for social risk factors in
CMS’ other value-based purchasing
programs, such as ESRD QIP. In
addition, in the CY 2018 ESRD PPS
proposed rule (82 FR 31202), we
requested public comment on which
social risk factors might be most
appropriate for stratifying measure
scores and/or potential risk-adjustment
of a particular measure. Examples of
social risk factors include, but are not
limited to, dual eligibility/low-income
subsidy, race and ethnicity, and
geographic area of residence. We also
requested comments on which of these
factors, including current data sources
where this information would be
available, could be used alone or in
combination, and whether other data
should be collected to better capture the
effects of social risk. We will take
commenters’ input into consideration as
we continue to assess the
appropriateness and feasibility of
accounting for social risk factors in the
ESRD QIP. We note that any such
changes would be proposed through
future notice-and-comment rulemaking.
We look forward to working with
stakeholders as we consider the issue of
accounting for social risk factors and
reducing health disparities in CMS
programs. Of note, implementing any of
the above methods would be taken into
consideration in the context of how this
and other CMS programs operate (for
example, data submission methods,
availability of data, statistical
considerations relating to reliability of
data calculations, among others), so we
also welcomed comment on operational
considerations. CMS is committed to
ensuring beneficiaries have access to
and receive high quality care, and the
quality of care furnished by providers
and suppliers is assessed fairly in CMS
programs.
We requested comments on
accounting for social risk factors in the
ESRD QIP. The comments and our
responses are set forth below.
Comment: Many commenters
expressed appreciation to CMS for
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requesting comments on how to account
for social risk factors in the ESRD QIP.
They argued that beneficiaries with
ESRD are disproportionately affected by
social risk factors and stressed that in
considering factors, CMS must strike the
correct balance to ensure it meets the
goals of assessing providers and
suppliers in a fair manner while not
masking disparities or dis-incentivizing
the provision of care to more medically
complex patients. Commenters added
that CMS should continue to support
further research to examine the costs of
caring for beneficiaries with social risk
factors and to determine whether
current payments adequately account
for these differences in care needs.
Some of the factors commenters
recommended for consideration by CMS
include: (1) Functional status, because
there is evidence that those from lower
socioeconomic and minority groups
have poorer functional status and that
this affects both their medical care and
quality of life; (2) poverty and
education, because dialysis facilities
take care of a higher number of patients
in poverty with lower levels of
education and these patients tend to be
less adherent to medications, diet and
fluid restrictions; (3) geography, because
regional variation in transplantation
access is significant, as is regional
differences in waitlist times, which
ultimately could change the percentage
of patients on the waitlist and impact a
performance measure score; (4) family
support; (5) ability to adhere to
medication regimens; (6) capacity for
follow-up; (7) insurance status; (8)
income; (9) race and ethnicity; (10)
disability; and (11) community
resources.
One commenter pointed out the
importance of accounting for risk factors
that affect both pediatric patients and
those caring for pediatric patients
because some of these risk factors, in
particular those present among the
parents and caregivers of pediatric
patients, may affect their ability to
properly care for those patients.
Commenters urged CMS to consider a
more robust set of social risk factors to
meet the needs of the pediatric patient
population. They added that there must
be an accounting not only of race and
ethnicity, insurance status, and other
socioeconomic factors, but also their
school attendance and performance, and
peer interactions. Factors to consider for
parents and other primary caregivers
include their employment status,
fatigue, and financial strains among
others. One commenter argued that
dual-eligible status is the most
consistent of all social risk factors in
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predicting which patients will have the
worst outcomes.
A few commenters expressed
concerns with our desire to look at
social risk factor adjustments. One
commenter expressed concerns that
there is already an issue with small
sample sizes in the QIP, which would
likely be aggravated by dividing the
measure population into smaller
subsets. The same commenter stated
that small sample sizes
disproportionately affect facilities that
only furnish ESRD care to patients in
their homes or those that care for a
small number of pediatric ESRD
patients because those facilities tend to
be small and are often scored only on
a few measures. To collect this data, one
commenter argued that it should be
straightforward for CMS to use its data
to identify dual eligibility/low-income
subsidy data, as well as geographic area
of residence. Another commenter added
that it could be difficult to collect race/
ethnicity data but that patient selfreporting may be the most appropriate
way to collect such data.
Response: We appreciate all the
comments and interest in this topic. As
we have previously stated, we are
concerned about holding providers to
different standards for the outcomes of
their patients with social risk factors,
because we do not want to mask
potential disparities or minimize
incentives to improve outcomes for
disadvantaged populations. We believe
that the path forward should incentivize
improvements in health outcomes for
disadvantaged populations while
ensuring that beneficiaries have access
to excellent care. We intend to consider
all suggestions as we continue to assess
each measure and the overall program.
We appreciate that some commenters
recommended risk adjustment as a
strategy to account for social risk
factors, while others stated a concern
that risk adjustment could minimize
incentives and reduce efforts to address
disparities for patients with social risk
factors. We intend to conduct further
analyses on the impact of strategies such
as measure-level risk adjustment and
stratifying performance scoring to
account for social risk factors. In
addition, we appreciate the
recommendations from the commenters
about consideration of specific social
risk factor variables and will examine
these variables and the feasibility of
collecting one or more of these patientlevel variables. As we consider the
feasibility of collecting patient-level
data and the impact of strategies to
account for social risk factors through
further analysis, we will continue to
evaluate the reporting burden on
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providers. Future proposals would
follow further research and continued
stakeholder engagement.
2. Changes to the Performance Score
Certificate (PSC) Beginning With the PY
2019 ESRD QIP
In the ESRD QIP final rule, which
published in the Federal Register on
January 5, 2011 (76 FR 628 through
646), we finalized a policy for informing
the public of facility performance
through facility-posted certificates (76
FR 637). Specifically, we finalized that
these PSCs would include the following
information: (1) The TPS achieved by
the facility under the ESRD QIP with
respect to the payment year involved;
(2) comparative data that shows how
well the facility’s TPS compares to the
national TPS; (3) the performance result
that the facility achieved on each
individual measure with respect to the
year involved; and (4) comparative data
that shows how well the facility’s
individual quality measure performance
scores compare to the national
performance result for each quality
measure (76 FR 637). As the ESRD QIP
has become more complex over the
years and as new measures have been
added to the program, the PSC has
become a lengthy document that
facilities are required to print and post
in both English and Spanish for their
patients to view (77 FR 67517). We have
received feedback from the community
about the difficulty patients and their
families have with interpreting and
understanding the information
contained on the PSC due to its sheer
volume and complexity.
Section 1881(h)(6)(c) of the Act only
requires that the PSC indicate the TPS
achieved by the facility with respect to
a program year. Therefore, to make the
PSC a more effective and
understandable document for the
community, we proposed to shorten the
PSC by removing some of the
information that is currently included
on it. We proposed that beginning in PY
2019, and continuing in future years,
the PSC would indicate the facility’s
TPS, as required under section
1881(h)(6)(C) of the Act, as well as
information sufficient to identify the
facility (for example, name, address,
etc.). Additionally, we proposed to
include information showing how the
facility’s TPS compared to the national
average TPS for that specific payment
year. We did not propose any other
changes to the requirements we
previously finalized for the PSC.
We requested comments on this
proposal, and were particularly
interested in comments on whether the
reduced amount of information on the
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PSC would both benefit facilities and
enhance the public’s understanding of
the TPS.
Comment: Several commenters
supported CMS’s proposed
simplification of the PSC and agreed
that the changes would make it easier
for patients to understand the facility’s
performance score. One commenter
recommended that CMS review the
white papers commissioned by Agency
for Healthcare Research and Quality on
‘‘Best Practices in Public Reporting,’’
which the commenter believes provide
a good overview of principles for
presenting health care quality
information to consumers.
Response: We thank the commenters
for their support. Our proposal was
intended, in part, to address feedback
we obtained during two patient
engagement sessions that were open to
the public.4 The majority of patients
who took part in these sessions reported
that they felt overwhelmed by the
amount of information that we currently
include on the PSC, did not understand
all of the information, and that they
focused mainly on specific data such as
the facility scores or the comparison of
facility scores with the national median.
Patients also requested that the
information be simplified and translated
into plain language. We believe that our
changes to the PSC will make it easier
for patients and their caregivers to
understand how facilities perform under
the ESRD QIP.
We will review the recommended
reports and determine the feasibility of
incorporating some of these suggestions.
Comment: Several commenters did
not support CMS’s proposals to simplify
the PSC, stating that the PSC should
provide more rather than fewer details
and that the current PSC helps patients
make informed decisions about their
care. One commenter pointed out that
section 1881(h)(6)(C) of the Act only
refers to the TPS, but that section
1881(h)(6)(A) of the Act calls upon the
Secretary to make information available
to the public including the total score,
comparisons to the national average,
and performance on individual
measures.
Response: We thank commenters for
sharing their concerns. Our proposal
was intended to make the PSC easier to
understand while still conveying
important information about facility
performance under the ESRD QIP.
However, we agree that the data we are
4 ‘‘Executive Summary of the December 13 DFC–
ESRD QIP Patient Listening Session at the CMS
Quality Conference,’’ December 20, 2016.
‘‘Dialysis Facility Compare Patient Engagement
Session Debrief,’’ April 3, 2017, NORC at the
University of Chicago.
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removing, as well as other ESRD QIP
related data, should continue to be
publicly available. We intend to report
these data on Dialysis Facility Compare
(DFC) and cms.gov.
Comment: A patient advocacy
organization recommended that the PSC
be simplified by including just a simple
cumulative number, such as the TPS,
because it believed that this number
would be most useful, and would be
something that most people would
likely look at. This organization also
believed that it is potentially confusing
to have the national average presented
along with the national median given
that very few people understand what a
median is. The organization
additionally thought that the phrases for
each row would be more
understandable and helpful if they were
worded in a simpler manner, decimals
and percentages should be presented
consistently, and that the language
around scores could be simplified.
Response: We thank the commenter
for sharing these recommendations for
ways to improve the PSC. We believe
the revised PSC will address the
commenter’s recommendations. The
revised PSC contains a more simply
displayed TPS for each facility as well
as the national average, but no national
median. We are excluding the national
median because it does not increase
understanding of facility performance
and may cause unnecessary confusion.
The new PSC also does not contain
decimals or percentages unless the
average is a decimal, and it directs those
viewing the document to review
additional information on the CMS.gov
Web site and on Dialysis Facility
Compare. We are still considering the
best format for display and we intend to
make the explanations on the PSC as
plan language as possible to increase
understanding of the document.
Final Rule Action: After careful
consideration of the comments received,
we are finalizing our proposal, as
proposed, to update the PSC. We believe
these changes will help make the
document more easily readable and
understandable by the community. The
information being removed from the
PSC will still be available in other
locations and we encourage
beneficiaries and their families to use all
the resources currently available to
them to make informed decisions about
the care they receive.
3. Requirements Beginning With the PY
2020 ESRD QIP
a. Clarification of the Minimum Data
Policy for Scoring Measures Finalized
for the PY 2020 ESRD QIP
Under our current policy, we begin
counting the number of months in
which a facility is open on the first day
of the month after the facility’s CMS
certification number (CCN) Open Date.
In the CY 2017 ESRD PPS final rule (81
FR 77926), we inadvertently made
errors in finalizing how we intended
this policy to apply to a number of
measures in the PY 2020 ESRD QIP.
Table 19 finalized in the CY 2017
ESRD PPS final rule (81 FR 77926) has
been duplicated here, as Table 2(a):
TABLE 2(a)—PREVIOUSLY FINALIZED MINIMUM DATA REQUIREMENTS FOR THE PY 2020 ESRD QIP
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).
NHSN Dialysis Event (Reporting).
SRR (Clinical) ....................
STrR (Clinical) ...................
SHR (Clinical) ....................
ICH CAHPS (Clinical) ........
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Measure
11 qualifying patients ....................................................
N/A .....................................
11–25 qualifying patients.
11 qualifying patients ....................................................
N/A .....................................
11–25 qualifying patients.
11 qualifying patients ....................................................
N/A .....................................
11–25 qualifying patients.
11 qualifying patients ....................................................
11 qualifying patients ....................................................
N/A .....................................
On or before January 1,
2018.
On or before January 1,
2018.
N/A .....................................
N/A .....................................
N/A .....................................
On or before January 1,
2018.
11–25 qualifying patients.
11–25 qualifying patients.
Anemia Management (Reporting).
Serum Phosphorus (Reporting).
Depression Screening and
Follow-Up (Reporting).
Pain Assessment and Follow-Up (Reporting).
NHSN Healthcare Personnel Influenza Vaccination (Reporting).
Ultrafiltration Rate (Reporting).
11 qualifying patients ....................................................
11 index discharges ......................................................
10 patient-years at risk ..................................................
5 patient-years at risk ....................................................
Facilities with 30 or 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.
11 qualifying patients ....................................................
N/A.
11–41 index discharges.
10–21 patient-years at risk.
5–14 patient-years at risk.
N/A.
Before July 1, 2018 ............
N/A.
11 qualifying patients ....................................................
Before July 1, 2018 ............
N/A.
11 qualifying patients ....................................................
Before July 1, 2018 ............
N/A.
11 qualifying patients ....................................................
Before July 1, 2017 ............
N/A.
N/A .................................................................................
Before January 1, 2018 .....
N/A.
11 qualifying patients ....................................................
Before July 1, 2018 ............
N/A.
In the CY 2018 ESRD PPS proposed
rule (82 FR 31203), we proposed the
intended application of this policy for
PY 2020. We did not propose to make
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any changes to the methodology we use
to count the number of months for
which a facility is open for purposes of
scoring facilities on clinical and
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reporting measures, or to the minimum
number of cases (qualifying patients,
survey-eligible patients, index
discharges, or patient-years at risk) that
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applies to each measure. Table 2(b)
displays the proposed revised patient
minimum requirements for each of the
measures finalized for PY 2020, as well
as the proposed revised CCN Open
Dates after which a facility would not be
50761
eligible to receive a score on a reporting
measure.
TABLE 2(b)—PROPOSED REVISED MINIMUM DATA REQUIREMENTS FOR THE PY 2020 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).
NHSN Dialysis Event (Reporting).
SRR (Clinical) ....................
STrR (Clinical) ...................
SHR (Clinical) ....................
ICH CAHPS (Clinical) ........
11 qualifying patients ....................................................
N/A .....................................
11–25 qualifying patients.
11 qualifying patients ....................................................
N/A .....................................
11–25 qualifying patients.
11 qualifying patients ....................................................
N/A .....................................
11–25 qualifying patients.
11 qualifying patients ....................................................
11 qualifying patients ....................................................
N/A .....................................
Before January 1, 2018 .....
11–25 qualifying patients.
11–25 qualifying patients.
11 qualifying patients ....................................................
Before January 1, 2018 .....
N/A.
11 index discharges ......................................................
10 patient-years at risk ..................................................
5 patient-years at risk ....................................................
Facilities with 30 or 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.
11 qualifying patients ....................................................
N/A .....................................
N/A .....................................
N/A .....................................
Before January 1, 2018 .....
11–41 index discharges.
10–21 patient years at risk.
5–14 patient-years at risk.
N/A.
Before July 1, 2018 ............
N/A.
11 qualifying patients ....................................................
Before July 1, 2018 ............
N/A.
11 qualifying patients ....................................................
Before July 1, 2018 ............
N/A.
11 qualifying patients ....................................................
Before July 1, 2018 ............
N/A.
N/A .................................................................................
Before January 1, 2018 .....
N/A.
11 qualifying patients ....................................................
Before July 1, 2018 ............
N/A.
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Anemia Management (Reporting).
Serum Phosphorus (Reporting).
Depression Screening and
Follow-Up (Reporting).
Pain Assessment and Follow-Up (Reporting).
NHSN Healthcare Personnel Influenza Vaccination (Reporting).
Ultrafiltration Rate (Reporting).
We requested comments on this
proposal.
Comment: Commenters were
appreciative of the clarification CMS
provided on the minimum number of
cases.
Response: We thank commenters for
their support.
Comment: Several commenters
expressed concern with using sample
sizes as small as 11 and argued that the
small sample size exposes the ESRD QIP
scores to random results that are not
fully compensated by the SFA. One
commenter urged CMS to adopt a
minimum sample size of 26 patients and
to eliminate the SFA altogether. The
commenters suggested that there are
many ways in which small facilities can
be included while avoiding random
results.
Response: We appreciate the
commenters’ concerns. However,
because we did not propose to change
the minimum number of cases that
apply to each measure, or to revisit the
SFA, we consider these comments to be
outside the scope of the proposed rule
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and are not addressing them in this final
rule.
Final Rule Action: Based on the
comments received, we are finalizing
the proposed minimum data
requirements for the PY 2020 ESRD QIP,
as described in Table 2(b) above.
b. Changes to the Extraordinary
Circumstances Exception (ECE) Policy
Many of our quality reporting and
value-based purchasing programs share
a common process for requesting an
exception from program reporting due
to an extraordinary circumstance not
within a facility’s control. The Hospital
Inpatient Quality Reporting, Hospital
Outpatient Quality Reporting, Inpatient
Psychiatric Facility Quality Reporting,
Ambulatory Surgical Center Quality
Reporting, PPS-Exempt Cancer Hospital
Quality Reporting, the Hospital
Acquired Condition Reduction Program,
and the Hospital Readmissions
Reduction Program all share common
processes for Extraordinary
Circumstances Exception (ECE)
requests. In reviewing the policies for
these programs, we recognized that
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Small facility adjuster
there are five areas in which these
programs have variance in comparison
to the policy within the ESRD QIP
regarding ECE requests. These are: (1)
Allowing the facilities or hospitals to
submit a form signed by the facility’s or
hospital’s chief executive officer (CEO)
versus CEO or designated personnel; (2)
requiring the form be submitted within
30 days following the date that the
extraordinary circumstance occurred,
versus within 90 days following the date
the extraordinary circumstance
occurred; (3) inconsistency regarding
specification of a timeline for us to
provide our response notifying the
facility or hospital of our decision; (4)
inconsistency regarding whether we
would grant ECEs based on a facility’s
inability to timely and completely
report data due to CMS data system
issues; and (5) referring to this policy as
‘‘extraordinary extensions/exemptions’’
versus as ‘‘extraordinary circumstances
exceptions’’. We believe that aligning
the way the ECE policy is implemented
in our program, with the way it is
implemented in the programs listed
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above, can improve the overall
administrative efficiencies for affected
facilities or hospitals.
In the CY 2015 ESRD PPS final rule
(79 FR 66120 through 66265), we
finalized that to receive consideration
for an exception from the ESRD QIP
requirements in effect during the time
period that a facility is affected by an
extraordinary circumstance, facilities
would need to be closed and provide
CMS with a CMS Disaster Extension/
Exception Request Form within 90
calendar days of the date of the disaster
or extraordinary circumstance (79 FR
66190). We finalized that the facility
would need to provide the following
information on the form:
• Facility CCN.
• Facility name.
• CEO name and contact information.
• Additional contact name and
contact information.
• Reason for requesting an exception.
• Dates affected.
• Date facility will start submitting
data again, with justification for this
date.
• Evidence of the impact of the
extraordinary circumstances, including
but not limited to photographs,
newspaper, and other media articles.
We also finalized that we would
consider granting an ECE to facilities
absent a request, if we determine that an
extraordinary circumstance affected an
entire region or locale (79 FR 66190).
We proposed to update these policies
by: (1) Allowing the facility to submit a
form signed by the facility’s CEO or
designated personnel; (2) expanding the
reasons for which an ECE can be
requested to include an unresolved
issue with a CMS data system, which
affected the ability of the facility to
submit data (an unresolved data system
issue would be one which did not allow
the facility to submit data by the data
submission deadline and which was
unable to be resolved with a workaround), and (3) specifying that a
facility does not need to be closed in
order to request and receive
consideration for an ECE, as long as the
facility can demonstrate that its normal
operations have been significantly
affected by an extraordinary
circumstance outside of its control. We
stated that these proposed policies
generally align with policies in the
Hospital Inpatient Quality Reporting
Program (76 FR 51651 through 51652),
(78 FR 50836 through 50837) and (81 FR
57181 through 57182), Hospital
Outpatient Quality Reporting Program
(77 FR 68489 and 81 FR 79795), as well
as ECE policies we have finalized for
other quality reporting and value-based
purchasing programs. We proposed that
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these policies would apply beginning
with the PY 2020 ESRD QIP, as related
to extraordinary circumstance events
that occur on or after January 1, 2018.
We also noted that there may be
circumstances in which it is not feasible
for a facility’s CEO to sign the ECE
request form. In these circumstances, we
believe that facilities affected by such
circumstances should be able to submit
an ECE request regardless of the CEO’s
availability to sign. This proposed
change would allow facilities to
designate an appropriate, non-CEO
contact for this purpose. We would
accept ECE forms which have been
signed by designated personnel.
Although we do not anticipate that
unresolved issues with CMS data
systems will happen on a regular basis,
we also stated that we recognized that
there may be times when CMS
experiences issues with its data systems
that inhibits facilities’ ability to submit
data. We are often able to resolve such
issues and allow facilities an extended
period of time to report the data.
However, in the case that the issue
inhibits the complete reporting of data
(even under an extended deadline), we
stated that we believed it would be
inequitable to take the absence of such
unreported data into account when
computing a facility’s TPS for a
payment year. Therefore, we proposed
to address these situations in one of two
ways. In some cases, CMS would issue
a blanket exception to facilities that
have been affected by an unresolved
technical issue. In such cases, facilities
would not be required to submit an ECE
request to CMS, and CMS would send
communications about the blanket
exception to the affected facilities using
routine communication channels. In
other cases, CMS would not issue a
blanket exception to facilities. In these
cases, facilities would be required to
submit an ECE request to CMS using the
regular ECE request process, and would
need to indicate how they were directly
affected by the technical issue.
Furthermore, we stated our belief that
it is important for facilities to receive
timely feedback regarding the status of
ECE requests. We strive to complete our
review of each ECE request as quickly
as possible. However, we recognize that
the number of requests we receive, and
the complexity of the information
provided impacts the actual timeframe
to make ECE determinations. To
improve the transparency of our
process, we stated that we would strive
to complete our review of each request
within 90 days of receipt.
We requested comments on these
proposals.
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Comment: Commenters supported
CMS’s proposed modifications to the
ECE policy in the ESRD QIP, and urged
CMS to finalize the proposal. One
commenter requested that CMS issue
clear guidance on the criteria used to
deny or approve an ECE to ensure that
approvals and denials are made
consistently, uniformly, and in a
manner that ensures that dialysis
facilities can rely on such guidance from
CMS as they make determinations about
whether to submit an ECE request.
Response: We thank commenters for
their support of our proposals to update
the ECE policy in the ESRD QIP. When
considering ECE requests that we
receive from facilities, we consider all
information provided by the facility. We
consider whether the facility submitted
the request in a timely manner and
included all required information on its
ECE request form. We consider the
reason for the closure and the strength
of the supporting documentation
provided. We take each request under
consideration and decide based on all
the evidence provided.
Comment: One commenter
recommended that CMS add a separate
exclusion for dialysis camps, given their
very limited operating schedules.
Another commenter recommended that
CMS grant ECEs to camps that request
them. According to these commenters,
these camps, which operate for short,
well-defined periods during the year,
make it possible for ESRD pediatric
patients to have a traditional camp
experience but are often penalized
under the ESRD QIP.
Response: We appreciate commenter’s
concerns. However, the camps referred
to by the commenters furnish renal
dialysis services (as defined in section
1881(b)(14)(B)) and, for that reason, we
have no discretion to exclude them from
the ESRD QIP, if they otherwise meet
the program’s eligibility requirements
(such as the minimum data
requirements, CCN open date, etc.). We
also see no basis to grant ECEs to
facilities that otherwise meet the
program’s eligibility requirements
simply because they are not open for the
entire year. The ECE policy was
designed to provide relief to renal
dialysis facilities that experience
extraordinary circumstances outside of
their control. Although we recognize the
role that these camps may play in
improving the quality of life for
pediatric ESRD patients, we do not view
their partial year operating status as a
circumstance outside of their control.
We also see no reason for not holding
these facilities accountable to the same
quality standards of care that apply to
other facilities under the ESRD QIP.
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Comment: One commenter requested
clarification of the term ‘‘designated
personnel’’, and asked for information
about how someone would be
designated as such.
Response: We expect that each facility
will have its own process for
designating personnel with appropriate
authority to sign an ECE request on
behalf of the facility, and we will accept
an ECE request signed either by the
facility’s CEO or such designated
personnel.
Final Rule Action: After careful
consideration of the comments received,
we are finalizing the updates to the ECE
policy as proposed.
c. Solicitation of Comments on the
Inclusion of Acute Kidney Injury (AKI)
Patients in the ESRD QIP
The services for which quality is
measured under the ESRD QIP are renal
dialysis services defined in section
1881(b)(14)(B) of the Act. Prior to
January 1, 2017, these services could
only be covered and reimbursed under
Medicare if they were furnished to
individuals with ESRD, but they are
now also covered and reimbursed if
they are furnished by renal dialysis
facilities or providers of services paid
under section 1881(b)(14) of the Act to
individuals with acute kidney injury
(AKI) (see sections 1861(s)(2)(F) and
1834(r) of the Act).
We currently do not require facilities
to report AKI patient data for any of our
measures in the ESRD QIP, including
the National Healthcare Safety Network
(NHSN) Bloodstream infection (BSI)
Clinical and Reporting Measures.5
However, we now have the authority to
collect data on this patient population
and believe that it is vitally important
to monitor and measure the quality of
care furnished to these patients.
In the future, we intend to require
facilities to report data on AKI patients
under the ESRD QIP. We requested
comments on whether and how to adapt
any of our current measures to include
this population, as well as the type of
measures that might be appropriate to
develop for future inclusion in the
program that would address the unique
needs of beneficiaries with AKI.
Comment: Several commenters
supported the inclusion of those with
AKI into the ESRD QIP. One commenter
stated that because the incidence of AKI
is increasing, and is estimated to double
over the next decade, it’s important to
5 To the extent that the CDC requests facilities to
report AKI patient data under its own, separate,
statutory authority, data on these patients are not
shared with CMS or used in the calculation of any
ESRD QIP measures, including the NHSN Clinical
and Reporting Measures.
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collect data on this population and to
include them in performance
calculations.
Response: We agree that the quality of
care afforded to AKI patients by dialysis
facilities is an emergent issue in dialysis
care, and collecting data on that care is
important. Including AKI patients in the
ESRD QIP will require careful
consideration of the clinical
appropriateness of including them in
each measure.
Comment: Many commenters did not
support the inclusion of AKI patients in
the ESRD QIP. They stressed that CMS
should continue to gather and evaluate
AKI data before proposing to include
AKI patient outcomes in any QIP
measure and expressed concerns
regarding the appropriateness of
including AKI patients in any of the
measures currently included in the
program. Several commenters made
measure-specific recommendations
about why AKI patients should not be
included in the NHSN BSI measures,
the Vascular Access measures, and the
Dialysis Adequacy measures. Many
commenters stressed that if AKI patients
are included in the QIP, then the
program should use quality measures
based solely on data from AKI patients,
which are supported by AKI care
guidelines.
Response: We thank the commenters
for sharing their concerns regarding the
inclusion of AKI patients in the ESRD
QIP generally, and for their
recommendations regarding the
inclusion of AKI patients in specific
quality measures. We intend to
systematically evaluate the
appropriateness of including AKI
patients in our existing quality measures
through our measure maintenance
process, and in new measures that could
be focused specifically on that subset of
patients treated by facilities. In
considering the inclusion of AKI
patients in our measures, we intend to
apply the same standards that we use to
determine the applicability of our
measures to specific patient
populations, which include seeking
input from clinical experts and other
stakeholders. We would also consider
the clinical differences between ESRD
dialysis patients and AKI patients, as
well as the relatively small number of
AKI patients currently being treated by
dialysis facilities.
Comment: A few commenters argued
that while monitoring AKI patients is
important and supported CMS’ efforts to
do so, CMS only has statutory authority
to apply the QIP to beneficiaries with
ESRD. Commenters argued that the
statute establishing and governing the
ESRD QIP is limited to ‘‘individuals
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50763
who have been determined to have endstage renal disease as determined in
section 226A of the Act,’’ and that this
limitation excludes AKI patients from
the ESRD benefit and programs.
Commenters pointed out that the ESRD
QIP statutory language further defines
the quality incentive as avoiding a
payment reduction to the rates paid
under section 1881(b)(14) of the Act and
noted that facilities that provide
services to AKI patients are paid under
section 1834(r) of the Act.
Response: We continue to believe that
we have authority to collect data on the
AKI patient population from facilities
under the ESRD QIP and that it is
important to hold facilities accountable
for the quality of renal dialysis services
furnished to those patients. We
appreciate the feedback we received on
this issue and we will take it into
account as we consider whether to make
proposals related to this population in
future rulemaking.
d. Estimated Performance Standards,
Achievement Thresholds, and
Benchmarks for the Clinical Measures
Finalized for the PY 2020 ESRD QIP
In the CY 2017 ESRD PPS final rule
(81 FR 77834 through 77969), we
finalized that for PY 2020, the
performance standards, achievement
thresholds, and benchmarks for the
clinical measures would be set at the
50th, 15th and 90th percentile,
respectively, of national performance in
CY 2016, because this will give us
enough time to calculate and assign
numerical values to the proposed
performance standards for the PY 2020
program prior to the beginning of the
performance period (81 FR 77915). We
stated in the CY 2018 ESRD PPS
proposed rule that we did not have the
necessary data to assign numerical
values to those performance standards,
achievement thresholds, and
benchmarks because we did not yet
have complete data from CY 2016.
Nevertheless, we could estimate these
numerical values based on the most
recent data available at the time we
issued the CY 2018 ESRD PPS proposed
rule, and we have since updated those
values based on more recently available
data. For the vascular access type
(VAT), Hypercalcemia, NHSN BSI, InCenter Hemodialysis Consumer
Assessment of Healthcare Providers and
Systems (ICH CAHPS), Standardized
Readmission Ratio (SRR), Standardized
Hospitalization Ratio (SHR), Kt/V
Dialysis Adequacy, and Standardized
Transfusion Ratio (STrR) clinical
measures, this data came from the
period of January through December
2015. In Table 3, we provided the
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estimated numerical values for all
finalized PY 2020 ESRD QIP clinical
measures (these are the values we
estimated in the proposed rule). In
Table 4, we have provided updated
values for the clinical measures, using
data from the first part of CY 2017.
TABLE 3—ESTIMATED NUMERICAL VALUES FOR THE PERFORMANCE STANDARDS FOR THE PY 2020 ESRD QIP CLINICAL
MEASURES
Measure
Achievement
threshold
Benchmark
Performance
standard
VAT:
%Fistula ................................................................................................................................
%Catheter .............................................................................................................................
Kt/V Dialysis Adequacy Comprehensive .....................................................................................
Hypercalcemia .............................................................................................................................
STrR .............................................................................................................................................
SRR .............................................................................................................................................
NHSN BSI ....................................................................................................................................
Standardized Hospitalization Ratio measure (SHR) ...................................................................
ICH CAHPS: Nephrologists’ Communication and Caring ...........................................................
ICH CAHPS: Quality of Dialysis Center Care and Operations ...................................................
ICH CAHPS: Providing Information to Patients ..........................................................................
ICH CAHPS: Overall Rating of Nephrologists .............................................................................
ICH CAHPS: Overall Rating of Dialysis Center Staff ..................................................................
ICH CAHPS: Overall Rating of the Dialysis Facility ....................................................................
........................
53.66%
17.20%
87.37%
4.24%
1.488
1.271
1.738
1.244
56.41%
52.88%
72.09%
49.33%
48.84%
51.18%
........................
79.62%
2.95%
97.74%
0.32%
0.421
0.624
0
0.672
77.06%
71.21%
85.55%
76.57%
77.42%
80.58%
........................
65.93%
9.19%
93.20%
1.85%
0.901
0.998
0.797
0.970
65.89%
60.75%
78.59%
62.22%
62.26%
65.13%
Data sources: VAT measures: 2015 CROWNWeb; SRR, STrR, SHR: 2015 Medicare claims; Kt/V: 2015 CROWNWeb; Hypercalcemia: 2015
CROWNWeb; NHSN: 2015 CDC, ICH CAHPS: CMS 2015.
Our current policy generally is that if
final numerical values for the
performance standard, achievement
threshold, and/or benchmark are worse
than they were for that measure in the
previous year of the ESRD QIP, then we
will substitute the previous year’s
performance standard, achievement
threshold, and/or benchmark for that
measure. We adopted this policy
because we believe that the ESRD QIP
should not have lower performance
standards than in previous years. In the
CY 2017 ESRD PPS final rule, we
finalized an update to that policy
because in certain cases, it may be
appropriate to re-baseline the NHSN BSI
Clinical Measure, such that expected
infection rates are calculated based on a
more recent year’s data (81 FR 77886).
In such cases, numerical values
assigned to performance standards may
appear to decline, even though they
represent higher standards for infection
prevention. For PY 2020 and future
payment years, we proposed to continue
use of this policy for the reasons
explained above. Under that policy,
except for the NHSN BSI Clinical
Measure, we would substitute the PY
2019 performance standard,
achievement threshold, and/or
benchmark for any measure that has a
final numerical value for a performance
standard, achievement threshold, and/or
benchmark that is worse than it was for
that measure in the PY 2019 ESRD QIP.
We would also substitute the PY 2019
values for two CAHPS measures: (1) ICH
CAHPS: Overall Rating of Nephrologists
and (2) ICH CAHPS: Overall Rating of
Dialysis Center Staff because the final
numerical values for those measures
were worse for PY 2020 than they were
for PY 2019.
Final Rule Action: We did not receive
comments on our proposal to continue
our policies for substituting the
performance standard, achievement
threshold and benchmark in appropriate
cases. We are therefore, finalizing our
proposal to continue use of these
policies for PY 2020 and future payment
years, as proposed. We are also updating
the performance standards, achievement
thresholds, and benchmarks for the
finalized PY 2020 ESRD QIP clinical
measures as shown in Table 4, using the
most recently available data.
TABLE 4—FINALIZED PERFORMANCE STANDARDS FOR THE PY 2020 ESRD QIP CLINICAL MEASURES USING THE MOST
RECENTLY AVAILABLE DATA
Achievement
threshold
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Measure
Vascular Access Type (VAT):
%Fistula ................................................................................................................................
%Catheter .............................................................................................................................
Kt/V Dialysis Adequacy Comprehensive .....................................................................................
Hypercalcemia .............................................................................................................................
Standardized Transfusion Ratio (STrR) ......................................................................................
Standardized Readmission Ratio (SRR) .....................................................................................
NHSN Bloodstream Infection .......................................................................................................
Standardized Hospitalization Ratio measure (SHR) ...................................................................
ICH CAHPS: Nephrologists’ Communication and Caring ...........................................................
ICH CAHPS: Quality of Dialysis Center Care and Operations ...................................................
ICH CAHPS: Providing Information to Patients ..........................................................................
ICH CAHPS: Overall Rating of Nephrologists .............................................................................
ICH CAHPS: Overall Rating of Dialysis Center Staff ..................................................................
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53.95%
17.22%
91.09%
2.41%
1.444
1.273
1.598
1.249
57.36%
53.14%
73.31%
49.33%
48.84%
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Benchmark
79.90%
3.11%
98.56%
0.00%
0.429
0.629
0
0.670
78.09%
71.52%
86.83%
76.57%
77.42%
Performance
standard
65.98%
9.40%
95.64%
0.86%
0.889
0.998
0.740
0.967
67.04%
61.22%
79.79%
62.22%
62.26%
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50765
TABLE 4—FINALIZED PERFORMANCE STANDARDS FOR THE PY 2020 ESRD QIP CLINICAL MEASURES USING THE MOST
RECENTLY AVAILABLE DATA—Continued
Achievement
threshold
Measure
ICH CAHPS: Overall Rating of the Dialysis Facility ....................................................................
Benchmark
52.24%
Performance
standard
82.48%
66.82%
Data sources: VAT measures: 2016 CROWNWeb; SRR, STrR, SHR: 2016 Medicare claims; Kt/V: 2016 CROWNWeb; Hypercalcemia: 2016
CROWNWeb; NHSN: 2016 CDC, ICH CAHPS: CMS 2016.
e. Policy for Weighting the Clinical
Measure Domain for PY 2020
In the CY 2017 ESRD PPS final rule,
we finalized our policy for weighting
the Clinical Measure Domain for PY
2020. With the addition of the Safety
Measure Domain to the ESRD QIP, we
finalized that the Clinical Measure
Domain would comprise 75 percent of
the TPS, the Safety Measure Domain
would comprise 15 percent of the TPS
and the Reporting Measure Domain
would comprise 10 percent of the TPS.
Table 5 shows the weights finalized for
PY 2020 for the Clinical Measure
Domain.
TABLE 5—FINALIZED CLINICAL MEASURE DOMAIN WEIGHTING FOR THE PY 2020 ESRD QIP
Measure weight in the clinical domain
score
(percent)
Measures/measure topics by subdomain
Measure weight as percent of TPS
(updated)
Patient and Family Engagement/Care Coordination Subdomain.
ICH CAHPS measure ......................................................
SRR Measure ..................................................................
Clinical Care Subdomain ........................................................
STrR measure ..................................................................
Dialysis Adequacy measure ............................................
VAT measure topic ..........................................................
Hypercalcemia measure ..................................................
SHR measure ..................................................................
40 ..........................................................
25 ..........................................................
15 ..........................................................
60 ..........................................................
11 ..........................................................
18 ..........................................................
18 ..........................................................
2 ............................................................
11 ..........................................................
18.75
11.25
Total ..........................................................................
100% (of Clinical Measure Domain) .....
75% (of TPS)
8.25
13.5
13.5
1.5
8.25
Note: The percentages listed in this Table represent the measure weight as a percent of the Clinical Domain Score for PY 2020.
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We did not propose any changes to
these weights, but we received a few
comments.
Comment: Some commenters
recommended that we increase the
weight of the VAT Catheter Measure
and decrease the weight of the VAT
Fistula Measure to emphasize the
clinical benefits of eliminating
catheters. Additionally, a commenter
recommended that CMS adopt a set of
global exclusions that would
consistently apply to all measures,
which would be automatically applied
unless there is a specific clinical or
operational reason they should not be.
Response: We appreciate the
commenters’ recommendations.
However, because we did not make any
proposals related to these specific
policy areas, we consider these
comments to be out of the scope of the
proposed rule. Therefore, we have not
addressed them in this final rule.
f. Payment Reductions for the PY 2020
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
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across facilities, such that facilities
achieving the lowest TPS receive the
largest payment reductions. In the CY
2017 ESRD PPS final rule, we finalized
our proposal for calculating the
minimum TPS for PY 2020 and future
payment years (81 FR 77927). Under our
current policy, 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: (1) It performs at the
performance standard for each clinical
measure; and (2) it receives the number
of points for each reporting measure that
corresponds to the 50th percentile of
facility performance on each of the PY
2018 reporting measures (81 FR 77927).
We were unable to calculate a
minimum TPS for PY 2020 in the CY
2017 ESRD PPS final rule because we
did not yet have the data to calculate the
performance standards for each of the
clinical measures. We therefore stated
that we would publish the minimum
TPS for the PY 2020 ESRD QIP in the
CY 2018 ESRD PPS final rule (81 FR
77927). We estimated the minimum TPS
for PY 2020, along with the updated
payment reduction scale, in Table 5 in
the proposed rule (renumbered as Table
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6 in this final rule). Based on the
estimated performance standards which
we provided in the CY 2018 ESRD PPS
proposed rule (82 FR 31207) and listed
above, we estimated that a facility
would need to meet or exceed a
minimum TPS of 61 for PY 2020. For all
the clinical measures, these data came
from CY 2015. We proposed that a
facility failing to meet the minimum
TPS, would receive a payment
reduction based on the estimated TPS
ranges indicated in Table 6.
TABLE 6—ESTIMATED PAYMENT
REDUCTION SCALE FOR PY 2020
Total performance score
100–61 ........................................
60–51 ..........................................
50–41 ..........................................
40–31 ..........................................
30–21 ..........................................
Reduction
(%)
0
0.5
1.0
1.5
2.0
The comments and our responses to
the comments on our proposal are set
forth below.
Comment: One commenter asked
CMS to fix an error in the CY 2018
ESRD PPS proposed rule, Table 5 (Table
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6 in this final rule), titled ‘‘Estimated
Payment Reduction Scale for PY 2020
Based on the Most Recently Available
Data,’’ stating that the last line should
be corrected to read ‘‘30–0’’. The
commenter stated that the table, as
published in the proposed rule, does not
include the TPS range between 0 and
20.
Response: We thank the commenter
for pointing out this error. We
inadvertently neglected to include in
Table 5 (Table 6 in this final rule) of the
proposed rule that the payment
reduction would be 2.0 percent for
facilities that achieve a TPS between
30–0. We have included the final TPS
ranges in Table 7 based on the most
recently available data.
Final Rule Action: After consideration
of the comments received and an
analysis of the most recently available
data, we are finalizing that the
minimum TPS for PY 2020 will be 59.
We are also finalizing the payment
reduction scale shown in Table 7.
TABLE 7—FINALIZED PAYMENT REDUCTION SCALE FOR PY 2020 BASED
ON THE MOST RECENTLY AVAILABLE
DATA
Reduction
(%)
Total performance score
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100–59 ........................................
58–49 ..........................................
48–39 ..........................................
38–29 ..........................................
28–0 ............................................
0
0.5
1.0
1.5
2.0
g. 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 priority
was to develop a methodology for
validating data submitted to
Consolidated Renal Operations in a
Web-Enabled Network (CROWNWeb)
under the pilot data validation program.
In the CY 2014 ESRD PPS final rule (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, PY 2018 and PY 2019 ESRD
QIP, and proposed to continue doing so
for the PY 2020 ESRD QIP. Using the
data collected thus far, we are exploring
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options for refining the methodology
used to improve the effectiveness and
reliability of the data collected. For
future payment years, we will consider
whether this validation effort should
continue in pilot status or as a
permanent feature of the ESRD QIP.
Under the continued validation study,
we will sample the same number of
records (approximately 10 per facility)
from the same number of facilities,
which totaled 300 facilities during CY
2018. 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
calendar days of receiving a request,
then we proposed to deduct 10 points
from the facility’s TPS.
In the CY 2015 ESRD PPS final rule
(79 FR 66120 through 66265), we
finalized a feasibility study for
validating data reported to the CDC’s
NHSN Dialysis Event Module for the
NHSN BSI Clinical Measure (OMB
#0938–NEW). Healthcare-acquired
infections 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. This methodology
resembles the methodology we use in
the Hospital Inpatient Quality Reporting
Program to validate the central lineassociated BSI measure, the catheterassociated urinary tract infection
measure, and the surgical site infection
measure (77 FR 53539 through 53553).
For the PY 2020 ESRD QIP, we
proposed to continue conducting the
same NHSN dialysis event validation
study, that we finalized in the CY 2017
ESRD PPS final rule for PY 2019 (81 FR
77894). For PY 2020, we would
continue to select 35 facilities to
participate in an NHSN dialysis event
validation study by submitting 10
patient records covering two quarters of
data reported in CY 2018. However, for
PY 2020, the sampling method used to
select the 35 facilities would be adjusted
such that a more representative sample
of facility data can be analyzed,
including data from high performing
facilities as well as facilities identified
as being at risk of underreporting. A
CMS contractor would send these
facilities requests for medical records
for all patients with ‘‘candidate events’’
during the evaluation period; that is,
patients who had any positive blood
cultures; received any intravenous
antimicrobials; had any pus, redness, or
increased swelling at a vascular access
site; and/or were admitted to a hospital
during the evaluation period. Facilities
would have 60 calendar days to respond
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to the request for medical records based
on candidate events either electronically
or on paper. If the contractor determines
that additional medical records are
needed to reach the 10-record threshold
from a facility to validate whether the
facility accurately reported the dialysis
events, then the contractor would send
a request for additional, randomly
selected patient records from the
facility. The facility would have 60
calendar days from the date of the letter
to respond to the request. With input
from the CDC, the CMS contractor
would use a methodology for reviewing
and validating records from selected
patients, to determine whether the
facility reported dialysis events for
those patients in accordance with the
NHSN Dialysis Event Protocol. If a
facility is selected to participate in the
validation study but does not provide
CMS with the requisite lists of
information or medical records within
60 calendar days of receiving a request,
then we proposed to deduct 10 points
from the facility’s TPS. We stated that
information from the validation study
may be used in future years of the
program to inform our consideration of
future policies that would incorporate
NHSN data accuracy into the scoring
process. In future years of the program
we may also look to improve the NHSN
dialysis event validation study by
validating records from a greater
number of facilities or by validating a
larger sample of records from each
facility participating in the study.
The comments and our responses to
the comments on our proposals are set
forth below.
Comment: Several commenters
supported CMS’s efforts to continue the
NHSN BSI Data Validation Study and
supported the efforts of CDC around BSI
prevention. One commenter specifically
supported CMS’s efforts to include both
high performing facilities and those at
risk of under-reporting. Another
commenter expressed that a larger, more
representative sample is needed for
validation. A few commenters
applauded CMS for working with CDC
on the proposed methodology for data
validation and recommended that the
sample size of facilities be increased to
5 percent, consistent with the dialysis
facility validation sample size for
CROWNWeb data. One commenter
pointed out that CMS should include a
diverse group of facilities to ensure that
the major providers are not overrepresented in the sample. The
commenter encouraged CMS to use
lessons learned from the CY 2017 data
validation study when conducting the
CY 2018 validation survey.
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Response: We thank the commenters
for sharing their recommendations, and
we appreciate their support. We agree
that it’s important to monitor and
prevent infections and that it’s
important to continue conducting
validation to ensure that the data
received on infections is accurate and
complete so that CMS and CDC can
continue in their efforts to help facilities
with infection prevention. We also agree
that an increase in the sample size of the
NHSN validation study will allow us to
more comprehensively validate the BSI
data. We are currently working closely
with CDC to determine whether we
should propose in future rulemaking to
change the current sample size, and as
part of that analysis, we are considering
how to best ensure that the sample size
includes a diverse group of facilities
that does not over or under-represent
any particular type of facilities.
Comment: One commenter expressed
concerns with the accuracy of NHSN
Data and recommended that CMS
mandate reporting of culture results to
NHSN by the lab processing the
specimen, and when Regional Health
Information Exchanges become
operational in all communities, mandate
participation in an Exchange by all
laboratories processing blood cultures.
The commenter also recommended that
there should be an ongoing auditing of
at least 10 percent of facilities to
provide an incentive for diligent data
collection and honest and accurate
reporting. Additionally, the commenter
recommended that the NHSN BSI
Clinical Measure remain in the program
as a reporting measure only until such
an ongoing audit can be put in place.
Response: We thank the commenter
for their recommendations and will
continue working with CDC to identify
ways to assess and strengthen the
overall accuracy of NSHN BSI data. We
remind commenters that the overall
purpose of the validation under the
ESRD QIP is to ensure that renal dialysis
facilities are reporting accurate and
complete information to CMS for
purposes of calculating their TPSs.
While we agree that one way to
encourage all facilities to report accurate
BSI data would be to require a larger
number of facilities to participate in a
given year, we are also examining
whether we can achieve the same goal
of accurate reporting in other ways that
may be less burdensome and more costefficient.
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Comment: One commenter requested
that CMS make the results of the
CROWNWeb validation publicly
available. Another commenter
questioned whether CMS has not
released any validation results because
those results would show that
CROWNWeb is not a reliable data
collection tool and that the NHSN BSI
Measure is not valid.
Response: We thank the commenter
for sharing this recommendation.
However, one of our main goals for
validation is to give feedback that the
selected facility can use to make
internal improvements to its reporting
processes, and we do not think it would
be beneficial to make this feedback
public. Further, given the small sample
size, we are concerned that publicly
releasing the information would
threaten the confidentiality and privacy
of facilities that are chosen to
participate in the validation study. To
date, our validation studies have not
shown any concerns with the reliability
of data reported to CROWNWeb or
NHSN. In fact, our most recent
CROWNWeb Validation Study found an
overall error rate of 3.4 percent (95
percent confidence interval of 1.3
percent to 5.5 percent) for the
CROWNWeb system. Given
stakeholders continued concerns, we
will consider providing a national
summary report, validation fact sheet, or
similar document that summarizes highlevel aggregate results from each
validation study.
Comment: Several commenters
expressed concerns that the Data
Validation Study is actually an audit
and suggested that a true audit process
would provide appropriate due process,
including the right to appeal adverse
decisions. One commenter argued that
the timeframe for response is inadequate
and that the penalty for failing to
comply with it is disproportionately
severe when compared to the problem
being identified. The same commenter
also recommended that while the
validation ‘‘study’’ is taking place, CMS
should not reduce a facility’s ESRD QIP
score because the purpose of the study
is to assess future policies to ensure the
accuracy of NHSN data. One commenter
asked CMS to clearly state in the final
rule the reason why the validation
studies are necessary and, if the purpose
is to audit facilities, the commenter
asked that CMS provide appropriate due
process. Another commenter
acknowledged that CMS has an interest
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in auditing quality data submissions to
ensure their accuracy at the individual
facility level, but questioned why CMS
continues to refer in the ESRD QIP to a
‘‘validation study’’ rather than an audit
program of CROWNWeb data
submissions and the NHSN BSI Clinical
Measure.
Response: We thank commenters for
sharing their concerns. As we stated in
the CY 2016 ESRD PPS final rule (80 FR
69049), the data validation studies are
not designed to be an audit, but rather
to assess the capacity of renal dialysis
facilities to provide accurate and
complete data on performance
measures, and to find ways to assist
them in improving their data reporting.
It is meant to be a collaborative effort
between CMS and the facilities selected
for validation with the goal of
determining ways to improve the
process for all facilities. An audit, by
contrast, would be a more directed
search for errors and punitive in nature.
We are also using the validation data to
improve the integrity of data reported to
CROWNWeb and NHSN; whereas we
would use the data collected through an
audit to detect inaccuracies in reported
data and reconcile those differences.
Additionally, information gathered from
the validation studies is used to develop
training and/or education modules to
assist facilities that may be having
trouble with reporting complete and
accurate data to CROWNWeb or NHSN.
Final Rule Action: After carefully
considering the comments received, we
are finalizing our data validation studies
for PY 2020 as proposed.
4. Requirements for the PY 2021 ESRD
QIP
a. Measures for the PY 2021 ESRD QIP
We previously finalized 16 measures
in the CY 2017 ESRD PPS final rule for
the PY 2020 ESRD QIP. Our policy is to
continue using measures unless we
propose to remove or replace them, (77
FR 67477), therefore, we will continue
to use all but two of these measures in
the PY 2021 ESRD QIP. In the CY 2018
ESRD PPS proposed rule, we proposed
to replace the two VAT Clinical
Measures with the Hemodialysis
Vascular Access: Standardized Fistula
Rate Clinical Measure and the
Hemodialysis Vascular Access: LongTerm Catheter Rate Clinical Measure
beginning with PY 2021. The measures
being continued in PY 2021 are
summarized in Table 8.
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TABLE 8—PY 2020 ESRD QIP MEASURES BEING CONTINUED IN PY 2021
NQF Number
Measure title and description
0258 ................................................
ICH CAHPS Survey Administration, a clinical measure. Measure assesses patients’ self-reported experience of care through percentage of patient responses to multiple testing tools.
SRR, a clinical measure. Ratio of the number of observed unplanned 30-day hospital readmissions to the
number of expected unplanned 30-day readmissions.
STrR, a clinical measure. Risk-adjusted standardized transfusion ratio for all adult Medicare dialysis patients. Number of observed eligible red blood cell transfusion events occurring in patients dialyzing at a
facility to the number of eligible transfusions that would be expected.
Kt/V Dialysis Adequacy Comprehensive, a clinical measure. Percentage of all patient months for patients
whose delivered dose of dialysis (either hemodialysis or peritoneal dialysis) met the specified threshold
during the reporting period.
Hypercalcemia, a clinical measure. Proportion of patient-months with 3-month rolling average of total uncorrected serum or plasma calcium greater than 10.2 mg/dL.
SHR, a clinical measure. Risk-adjusted SHR of the number of observed hospitalizations to the number of
expected hospitalizations.
Serum Phosphorus, a reporting measure. Percentage of all adult (≥18 years of age) peritoneal dialysis and
hemodialysis patients included in the sample for analysis with serum or plasma phosphorus measured at
least once within month.
Anemia Management Reporting, a reporting measure. Number of months for which facility reports
erythropoiesis-stimulating agent (ESA) dosage (as applicable) and hemoglobin/hematocrit for each Medicare patient, at least once per month.
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.
Ultrafiltration Rate, a reporting measure. Number of months for which a facility reports elements required
for ultrafiltration rates for each qualifying patient.
NHSN BSI in Hemodialysis Patients, a clinical measure. The Standardized Infection Ratio (SIR) of BSIs
will be calculated among patients receiving hemodialysis at outpatient hemodialysis centers.
NHSN Dialysis Event Reporting Measure. Number of months for which facility reports NHSN Dialysis
Event data to CDC.
2496 ................................................
2979 ................................................
N/A ..................................................
1454 ................................................
1463* ...............................................
0255 ................................................
N/A ..................................................
Based on NQF #0420 .....................
Based on NQF #0418 .....................
Based on NQF #0431 .....................
N/A ..................................................
Based on NQF #1460 .....................
N/A ..................................................
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* We note that the complete lists of ICD–10 codes associated with the Standardized Readmission Ratio Clinical Measure and the Standardized
Hospitalization Ratio Clinical Measure included in the ESRD QIP for PY 2020 are included in the Measure Technical Reports, available here:
https://www.cms.gov/Medicare/Quality-Initiatives-Patient-Assessment-Instruments/ESRDQIP/061_TechnicalSpecifications.html.
We did not propose any changes to
the measures previously finalized and
continuing for PY 2021, however we
received two comments requesting
clarification on measures continuing in
PY2021 and a number of comments on
ways to improve those measures in the
ESRD QIP. Those comments and our
responses are set forth below.
Comment: One commenter asked why
CMS removed transient patients from
the set of exclusions for the Serum
Phosphorus Reporting Measure.
Response: The measure specification
language was changed from excluding
transient patients to needing to be in the
facility for the entire month as an
inclusion criterion. This was done to
clarify how we identify eligible patients
for the measure, and aligns the measure
more closely with how CROWNWeb
(the data source) attributes patients to a
facility. There is essentially no
difference in application between the
previous and updated specification. The
updated specification also makes the
Serum Phosphorus Reporting Measure
that we use in the ESRD QIP more
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consistent with the specifications for the
Serum Phosphorus Reporting Measure
that is endorsed by the NQF (NQF
#0255), and which evaluates the extent
to which facilities monitor and report
patient phosphorus levels.
Comment: One commenter asked
about the Standardized Readmission
Ratio (SRR) Clinical Measure, inquiring
why CMS removed amputation status
and added functional disability to the
list of past-year comorbidity
adjustments in the risk model.
Response: We used the term
‘‘functional disability’’ in a measure
methodology report that lists the
coefficients for the past year
comorbidity adjustments but defined
that term to mean hierarchical condition
groupers (177 and 178) which describe
amputation status (the measure
Methodology report is available here:
https://www.cms.gov/Medicare/QualityInitiatives-Patient-AssessmentInstruments/ESRDQIP/061_
TechnicalSpecifications.html). Moving
forward, we will use the term
‘‘Amputation,’’ because that term more
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correctly describes the comorbidity
being risk adjusted under the measure.
Comment: Regarding the Serum
Phosphorus Reporting Measure, one
commenter expressed concerns that
requiring facilities to report phosphorus
results from the first month that a
patient is on home hemodialysis
represents a barrier to home dialysis.
We understood this to be a reference to
concerns about the complexity of
transitioning into home hemodialysis as
a treatment modality, and the timing of
obtaining the blood draw necessary for
the data.
Regarding the Comprehensive
Dialysis Adequacy measure,
commenters expressed concerns that Kt/
V is an outdated measure of dialysis
adequacy and shared that there are other
tests which would indicate optimal
dialysis such as the Beta-2
microglobulin or a 24-hour urine test.
One commenter stressed that it’s
important to include a measure of
residual kidney function, particularly
for peritoneal dialysis patients.
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Regarding the ICH CAHPS measure,
commenters argued that the measure
should be included in the program as a
reporting measure rather than as a
clinical measure, that the survey should
only be conducted once a year because
twice-yearly administration leads to
patient fatigue, limiting feedback on
patient experiences, and that the survey
should be split into three separate and
independently tested sections rather
than requiring the entire survey twice a
year. Commenters also stressed the need
for a separate survey for home
hemodialysis patients.
Regarding the NHSN BSI Clinical and
Reporting Measures, commenters
pointed out flaws with the measures,
including the fact that dialysis facilities
cannot report information if they are not
receiving infection information from
hospitals. Several commenters urged
CMS to include only the NHSN Dialysis
Event reporting measure and to remove
the NHSN BSI clinical measure from the
program. Two other concerns were that
blood cultures obtained in hospitals are
not systematically captured in the
Reporting Measure and that there is
incomplete antibiotic susceptibility data
in NHSN.
Regarding the Standardized
Hospitalization Ratio Clinical Measure,
one commenter argued that the SHR
should not be included in the program
until its reliability at the facility size
used in the measure has been
demonstrated because for small
facilities, more than half of a facility’s
score is due to random noise and is not
an accurate signal of quality. Another
commenter asked CMS to include an
exclusion in the measure for
hospitalizations that occur within 29
days of the index discharge because this
would avoid a readmission being
captured as a hospitalization by the SHR
but it would still be captured as a
readmission by the SRR.
Regarding the Ultrafiltration Rate
(UFR) Reporting measure, several
commenters recommended that CMS
require January 2018 UFR rates to be
reported on or before March 31, 2018
rather than February 28, 2018, to align
with the reporting of other clinical
values for January 2018. Another
commenter recommended that CMS
define ‘‘treatment week’’ or ‘‘collection
period’’ for the UFR measure in a way
that takes into consideration operational
details such as lab draws early in the
month or the unavailability of a UFR
prior to the Kt/V draw for other reasons.
Alternatively, the commenter suggested
that any three contiguous UFRs should
provide an accurate estimate of UFR to
accomplish the measure goals and asked
CMS to adopt this position and define
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the collection period as ‘‘any three
contiguous UFRs during a calendar
month.’’ Several commenters expressed
concerns about the measure
specifications for the measure,
including that a treatment preceding the
Kt/V but that falls within the prior
calendar month may not meet the
reporting requirement. These
commenters requested that CMS revise
the measure specifications so that the
UFR reporting requirement can be
independent of the Kt/V measurement
because, they argued, there is no
rationale for tying the two measures to
one another.
Regarding the Anemia Management
Measure, one commenter urged CMS to
restore a measure establishing a
minimal standard for anemia
management and another requested a
separate anemia management measure
for home dialysis patients.
One commenter requested that CMS
differentiate within the Pain Measure
between chronic and immediate pain,
and another commenter requested that a
pain assessment be required at every
treatment rather than merely twice a
year. A few commenters recommended
that CMS develop a standardized ESRDspecific tool for depression.
Regarding the Hypercalcemia Clinical
measure, one commenter asked CMS to
remove the measure from the program
entirely because it’s challenging for
patients who continue to experience
difficulties with access to medications
and the health outcomes related to
surgery for hyperparathyroidism and
hypercalcemia.
Response: We appreciate commenters’
thoughtful comments about the
measures continuing for PY 2021.
However, as we did not propose any
changes to these measures which were
previously finalized and are continuing
into PY 2021, we consider these
comments to be outside the scope of the
CY 2018 ESRD PPS proposed rule. We
continue to believe that the measures
previously finalized for inclusion in the
program represent the most appropriate
way to assess quality of care in dialysis
facilities. As we continue to assess the
existing measures in the program, we
will take these recommendations into
consideration. However as mentioned
above, we are not making updates to
these measures at this time. For a more
thorough discussion of the concerns
raised at the time we introduced each of
these measures into the ESRD QIP,
please review the following rules where
each of these measures was finalized:
ICH CAHPS (77 FR 67480 through
67481, and 78 FR 72193), NHSN
Dialysis Event Reporting Measure (77
FR 67484), NHSN BSI Clinical Measure
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(78 FR 72204), Anemia Management
Reporting Measure (77 FR 67491
through 67495, and 78 FR 72198),
Comprehensive Dialysis Adequacy
Clinical Measure (80 FR 69043–69057),
Ultrafiltration Rate Reporting Measure
(81 FR 77912 through 77915),
Standardized Hospitalization Rate
Reporting Measure (81 FR 77906
through 77911), Serum Phosphorus
Reporting Measure (81 FR 77911
through 77912), Mineral Metabolism
Reporting Measure (78 FR 72197),
Hypercalcemia Clinical Measure (78 FR
72203).
Comment: Commenters made several
recommendations regarding measures
we should consider for future inclusion
in the program. Commenters
recommended a measure for referrals for
transplantation, more measures that
focus on pediatric patients, an advanced
care planning measure, and a
standardized mortality ratio measure.
Response: We thank commenters for
these recommendations and we will
consider them as we continue to assess
measures for future inclusion in the
ESRD QIP.
b. Replacement of the Vascular Access
Type (VAT) Clinical Measures
Beginning With the PY 2021 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
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 set
would address the unique needs of a
specific subset of the ESRD population
(79 FR 66174).
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After publication of the CY 2017
ESRD PPS final rule (81 FR 77834
through 77969), we evaluated the
finalized PY 2020 ESRD QIP measures
that would be continued in PY 2021
against these criteria. We determined
that none of these measures met
criterion (1), (2), (3), (4), (5) or (7). As
part of this evaluation for criterion one,
we performed a statistical analysis of
the PY 2020 measures we plan to
continue using for PY 2021 and future
payment years 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-AssessmentInstruments/ESRDQIP/061_
TechnicalSpecifications.html and a
summary of our topped-out analysis
results appears in Table 9.
As Table 9 illustrates, the
distributions of the PY 2020 clinical
measures were assessed to determine if
any measures were ‘‘topped out.’’ For a
measure to be considered topped out,
two conditions had to be met. First, a
measure was considered topped out if
the 75th percentile, or 25th percentile
for measures where lower percentiles
indicate better performance, was
statistically indistinguishable from the
90th (or 10th) percentile, and second,
the truncated coefficient of variation
(TCV) was less than or equal to 10
percent, or 0.10. We note that the
percentiles were considered statistically
indistinguishable if the 75th/25th
percentile was within two standard
errors of the 90th/10th percentile.
Additionally, for each measure the TCV
was calculated by first removing the
lower and upper 5th percentiles, then
dividing the standard deviation by the
mean of this truncated distribution
(SDtruncated/Meantruncated). The TCV was
then converted to a decimal by dividing
the TCV by 100.
The measures we evaluated were the
comprehensive Dialysis Adequacy
measure, Hypercalcemia (referred to in
the table as ‘‘Serum Calcium >10.2’’),
NHSN Standardized Infection Ratio
(SIR), SRR, STrR, and SHR clinical
measures, and 6 individual components
of the CAHPS clinical measure. The
Vascular Access measures were not
included in this evaluation because they
will not be continuing from PY 2020 to
PY 2021. CROWNWeb data from 2015
were used for Hypercalcemia, the
combination of 2015 CROWNWeb data
and 2015 Medicare claims data were
used for Kt/V measure, and the SRR,
STrR, and SHR measures were based on
both combination of 2014 CROWNWeb
data and 2014 Medicare claims data.
The NHSN BSI Clinical Measure was
calculated using the CY 2015 NHSN
data from the CDC, and the six
components of the ICH–CAHPS measure
were calculated using the CY 2015 ICH–
CAHPS data.
Table 9 presents the percentiles,
standard error, and TCV for each
measure. In this analysis, all facilities
with the minimum eligible patient
requirement per measure were included.
The results indicate none of the PY 2020
clinical measures met both ‘‘topped
out’’ conditions. Therefore, we did not
propose to remove any of these
measures from the ESRD QIP for PY
2021 for being topped out.
TABLE 9—PY 2020 CLINICAL MEASURES CONTINUING IN PY 2021 INCLUDING FACILITIES WITH MINIMUM ELIGIBLE
PATIENT REQUIREMENT PER MEASURE
Measure
Kt/V delivered dose above minimum (%) ...................................
Serum Calcium >10.2 ...................
ICH–CAHPS: Nephrologists Communication and Caring (%) ........
ICH–CAHPS: Quality of Dialysis
Center Care and Operations
(%) .............................................
ICH–CAHPS: Providing Information to Patients (%) ....................
ICH–CAHPS: Percent, Rating of
Nephrologist ...............................
ICH–CAHPS: Percent, Rating of
Dialysis Facility Staff .................
ICH–CAHPS: Percent, Rating of
Dialysis Center ..........................
NHSN-SIR .....................................
SRR ...............................................
STrR ..............................................
SHR ...............................................
sradovich on DSK3GMQ082PROD with RULES2
a Truncated
N
75th/25th
percentile
90th/10th
percentile
Std error
Statistically
indistinguishable
Truncated
mean
Truncated
SD
92.6
TCV
TCV ≤0.10
6101
6258
96.0
0.91
97.7
0.32
0.084
0.050
No
No
a 97.8
3.88
1.49
0.04
<0.01
Yes
Yes
3349
71.8
77.1
0.159
No
65.7
7.11
0.11
No
3349
66.2
71.2
0.134
No
60.9
6.20
0.10
No
3349
82.4
85.6
0.101
No
78.4
4.61
0.06
Yes
3349
69.9
76.6
0.204
No
62.0
9.29
0.15
No
3349
70.9
77.4
0.215
No
62.0
9.92
0.16
No
3349
5805
6178
5742
6298
73.8
0.40
0.78
0.63
0.81
80.6
0.00
0.63
0.42
0.67
0.221
0.011
0.003
0.007
0.004
No
No
No
No
No
64.8
0.964
0.969
0.955
0.978
10.18
0.57
0.21
0.39
0.20
0.16
<0.01
<0.01
<0.01
<0.01
No
Yes
Yes
Yes
Yes
mean for percentage is reversed (100 percent-truncated mean) for measures where lower score = better performance.
Over the past few years, we have
received numerous public comments
regarding the two VAT measures
included in the ESRD QIP’s measure set.
Specifically, commenters have
recommended that CMS adjust the
weights of the VAT measures to place
more emphasis on reducing catheters to
encourage the use of fistulas and grafts
(81 FR 77904). Another commenter
specifically supported CMS’ submission
of new VAT Measures to the NQF Renal
Standing Committee to address the
small number of patients for whom a
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catheter may be the most appropriate
vascular access type when life
expectancy is limited (81 FR 77905). We
also note that the VAT measures
currently used in the ESRD QIP measure
set are calculated using claims data.
This limits the applicability of the
measures to Medicare Fee-For-Service
(FFS) patients, while excluding all
others.
Although there is no evidence to
suggest that the current VAT measures
are leading to negative or unintended
consequences, we proposed to remove
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both from the ESRD QIP measure set
beginning with the PY 2021 program
based on criterion (6) listed earlier
because measures that are more strongly
associated with desired patient
outcomes for the particular topic are
now available. We proposed to replace
the VAT measures with the
Hemodialysis Vascular Access:
Standardized Fistula Rate Clinical
Measure (NQF #2977) and the
Hemodialysis Vascular Access: LongTerm Catheter Rate Clinical Measure
(NQF #2978). We believe these
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measures will address the
methodological concerns the
community has shared regarding the
existing measures. Additionally, both
measures have been endorsed by the
NQF, are supported by the Measures
Application Partnership, and can be
calculated using data that facilities are
already required to report in
CROWNWeb to meet 42 CFR 494.180(h)
of the Conditions for Coverage for ESRD
Dialysis Facilities. Because CROWNWeb
collects data on all patients, we believe
that the adoption of these measures will
enable us to more accurately assess the
quality of care furnished by facilities.
We requested comments on our
proposal to remove the current VAT
measures from the ESRD QIP measure
set beginning with the PY 2021 program
year. The comments and our responses
are set forth below.
Comment: Commenters were
generally supportive of CMS’s proposed
replacement of the VAT measures with
the proposed Hemodialysis Vascular
Access measures, pointing out that the
new fistula measure adds adjustment for
factors associated with illness severity
and comorbid conditions, while the
catheter measure excludes patients who
may be more appropriately treated with
a catheter. Commenters also appreciated
efforts made by CMS over the last few
years to convene a Technical Expert
Panel (TEP) and to assess best practices
in Vascular Access. They added that
CMS should continue reviewing and
revisiting these measures when
necessary to account for factors that may
warrant further refinement.
Response: We appreciate commenters’
support for our efforts to ensure our
measures reflect best practices in
providing quality care to ESRD dialysis
patients. We believe that the new
Hemodialysis Vascular Access measures
have several advantages: (1) They
address long-standing concerns with the
previous VAT measures that were
included in the program, (2) they take
into consideration the important clinical
differences between patients, and (3)
they are reflective of the importance of
patient choice in their own clinical care.
c. Revision of the Standardized
Transfusion Ratio (STrR) Clinical
Measure Beginning With the PY 2021
Program Year
We believe that changes during the
past several years to the way ESRD
services are reimbursed under Medicare,
as well as changes to how ESRD care is
measured under the ESRD QIP and
through other quality reporting
initiatives, may have impacted how
anemia is clinically managed. Some of
these changes include the identification
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of safety concerns associated with
aggressive erythropoiesis-stimulating
agent (ESA) use, the expansion of the
ESRD PPS bundled payment
methodology to include ESAs, and the
continued growth and expansion of the
ESRD QIP. There are concerns that these
changes could result in the
underutilization of ESAs, with lower
achieved hemoglobin values that may
increase the frequency of red blood cell
transfusion in the United States chronic
dialysis population.
Excessive rates of blood transfusion
may be an indicator for underutilization
of clinical treatments to increase
endogenous red blood cell production
(for example, ESA and iron). Dialysis
patients who are eligible for kidney
transplant and have received
transfusions are at increased risk of
becoming sensitized to the donor pool
thereby making transplant more difficult
to accomplish. Blood transfusions carry
a small risk of transmitting blood borne
infections and/or the development of a
transfusion reaction, and using infusion
centers or hospitals to transfuse patients
is expensive, inconvenient, and could
compromise future vascular access.6
Monitoring the risk-adjusted
transfusion rate at the dialysis facility
level, relative to national standards,
allows for detection of treatment
patterns in dialysis-related anemia
management. This is of importance due
to recommendations by the Food and
Drug Administration regarding more
conservative ESA dosing.7 As providers
use less ESAs in an effort to minimize
the risks associated with aggressive
anemia treatment, it becomes more
important to monitor for an overreliance
on transfusions. Beginning with PY
2017, we adopted the STrR to address
gaps in the quality of anemia
management. We also submitted that
measure to the NQF for consensus
endorsement, but the Renal Standing
Committee did not recommend it for
endorsement, in part due to concerns
6 FDA Drug Safety Communication: Modified
dosing recommendations to improve the safe use of
Erythropoiesis-Stimulating Agents (ESAs) in
chronic kidney disease. https://www.fda.gov/Drugs/
DrugSafety/ucm259639.htm.
Kidney Disease: Improving Global Outcome
(KDIGO) Anemia Work Group. KDIGO Clinical
Practice Guideline for Anemia in Chronic Kidney
Disease. Kidney inter., Suppl. 2012; 2: 279–335.
https://www.kdigo.org/clinical_practice_guidelines/
pdf/KDIGO-Anemia%20GL.pdf.
Obrador and Macdougall. Effect of Red Cell
Transfusions on Future Kidney Transplantation.
Clin J Am Soc Nephrol 8: 852–860, 2013.
Ibrahim, et al. Blood transfusions in kidney
transplant candidates are common and associated
with adverse outcomes. Clin Transplant 2011: 25:
653–659.
7 https://www.fda.gov/Drugs/DrugSafety/
ucm259639.htm.
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50771
that variability in hospital coding
practices with respect to the use of 038
and 039 revenue codes might unduly
bias the measure rates. Upon reviewing
the committee’s feedback, we revised
the STrR measure to address these
concerns. Following this revision, we
resubmitted the STrR (NQF #2979) to
NQF for consensus endorsement, and
the NQF endorsed it in 2016. The
proposed change to the STrR beginning
with the PY 2021 ESRD QIP will align
the measure specifications we use for
the ESRD QIP with the measure
specifications that the NQF endorsed in
2016 (NQF #2979).
Summary of Change
The proposed updated specifications
to the STrR measure contain a more
restricted definition of transfusion
events than is used in the current STrR
measure. Specifically, the revised
definition excludes inpatient
transfusion events for claims that
include only 038 or 039 revenue codes
without an accompanying International
Classification of Diseases–9 (ICD–9) or
ICD–10 procedure code or value code.
As a result of requiring that all inpatient
transfusion events include an
appropriate ICD–9 or ICD–10 procedure
code or value code, the measure will
identify transfusion events more
specifically and with less bias related to
regional coding variation. As a result, it
will assess a smaller number of events
as well as a smaller range of total events.
2016 Measures Application Partnership
Review
We determined that the proposed
revision to the STrR (NQF #2979)
constituted a substantive change to the
measure, and we submitted that revision
to the Measures Application Partnership
for consideration as part of the prerulemaking process. The Measures
Application Partnership recommended
that this measure be refined and
resubmitted due to concerns that
measuring transfusions in dialysis
facilities may not be feasible.8 The
Measures Application Partnership also
expressed concern that the decision to
administer a blood transfusion may be
outside of the dialysis facility’s control
because in general, clinicians in
hospitals make the decisions about
blood transfusions. The Measures
Application Partnership also expressed
concern that variability in blood
transfusion coding practices could
inadvertently affect a dialysis facility’s
performance on this measure.
8 https://www.qualityforum.org/WorkArea/
linkit.aspx?LinkIdentifier=id&ItemID=84452.
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Although we acknowledge that the
Measures Application Partnership
recommended that we refine and
resubmit the updated version of the
STrR measure, we note that the
Measures Application Partnership’s
recommendation is at odds with the
earlier conclusion of the NQF to endorse
this change. On the issue of whether it
is feasible to measure transfusions in
dialysis facilities, the NQF concluded
that these events can be identified using
the same Medicare claims code
algorithm that we use to identify
transfusion events in other outpatient
settings. The STrR measure identifies
transfusion events during at-risk periods
for patients cared for in a dialysis
facility.
With respect to the Measures
Application Partnership’s concern that
the decision to administer a blood
transfusion might be outside of the
dialysis facility’s control, we note that
the issue of whether anemia
management practices in a dialysis
facility can be linked to transfusion risk
was specifically considered by the NQF
during the endorsement process.
The NQF Renal Standing Committee
concluded that this transfusion
avoidance measure would incentivize
facilities to properly manage anemia,
with the result of lowering the patient’s
transfusion risk. The NQF Renal
Standing Committee also found that
although the decision to transfuse might
ultimately be made by a hospital, the
need to do so is dictated not only by
clinical circumstances observed by the
hospital, but also by the way the
patient’s anemia was managed by the
facility.
Although the Measures Application
Partnership was concerned that
variability in blood transfusion coding
practices could inadvertently affect a
dialysis facility’s performance on this
measure, we note that the definition of
transfusion events used in the revised
STrR measure is consistent with the
definition used in numerous scientific
publications, including several peer
reviewed publications.9 Under this
9 Hirth, Turenne, Wilk et al. Blood transfusion
practices in dialysis patients in a dynamic
regulatory environment. Am J Kidney Dis. 2014
Oct;64(4):616–21. Doi: 10.1053/j.ajkd.2014.01.011.
Epub 2014 Feb 19.
Gilbertson, Monda, Bradbury & Collins. RBC
Transfusions Among Hemodialysis Patients (1999–
2010): Influence of Hemoglobin Concentrations
Below 10 g/dL. Am J Kidney Dis. 2013; Volume 62,
Issue 5, 919–928.
Collins et al. Effect of Facility-Level Hemoglobin
Concentration on Dialysis Patient Risk of
Transfusion. Am J Kidney Dis. 2014; 63(6):997–
1006.
Cappell et al. Red blood cell (RBC) transfusion
rates among US chronic dialysis patients during
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definition, transfusion events are
included in the measure only if they are
coded with specific transfusion
procedure or value codes. We believe
this coding requirement reduces the
potential for inadvertently capturing
non-transfusion events in the measure.
In addition, the exclusion of revenue
code only transfusion events from the
measure decreases the potential that the
measure results would be influenced by
differences in hospital coding practices.
We agree with the NQF Standing
Committee’s assessment that the STrR
(NQF #2979) is an appropriate measure
of quality for dialysis facilities. We
further believe that the measure is
appropriate for the ESRD QIP because
the measure (1) Demonstrates variation
in performance among facilities, (2) is
an outcome of care that is modifiable by
dialysis providers through effective
management of anemia in patients, and
(3) is a valid and reliable indicator of
quality at the facility level. Proper
management of anemia is an important
quality of care issue for dialysis
patients, and a topic for which the ESRD
QIP must include measures (see section
1881(h)(2)(A)(i)).
For these reasons, we proposed the
revision to the STrR measure be
reflected in the ESRD QIP, and
beginning with the PY 2021 program
year, we proposed to use the updated
version of the STrR (NQF #2979). Full
measure specifications and testing data
are available at https://www.cms.gov/
Medicare/Quality-Initiatives-PatientAssessment-Instruments/ESRDQIP/061_
TechnicalSpecifications.html. The
complete list of ICD–10 codes that
would be included in the measure is
included in the Technical Report for the
measure and can also be found in that
link.
We requested comments on this
proposal. The comments received and
our responses are set forth below.
Comment: Several commenters
supported CMS’s proposal to update the
STrR measure because they support
CMS’s efforts to ensure that the QIP
measures remain current with NQF
standards.
Response: We thank the commenters
for their support and we agree that in
changes to Medicare end-stage renal disease (ESRD)
reimbursement systems and erythropoiesis
stimulating agent (ESA) labels. BMC Nephrology
2014, 15:116.
Ibrahim, et al. Blood transfusions in kidney
transplant candidates are common and associated
with adverse outcomes. Clin Transplant 2011: 25:
653–659.
Molony, et al. Effects of epoetin alfa titration
practices, implemented after changes to product
labeling, on hemoglobin levels, transfusion use, and
hospitalization rates. Am J Kidney Dis 2016: epub
before print (published online March 12, 2016).
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general it is best to maintain the QIP
measures current with NQF standards.
Comment: One commenter generally
supported the concept of a transfusion
measure, but suggested possible
adjustments, which the commenter
believes will improve the proposed
standardized transfusion ratio measure.
The commenter added that the goal of
comparing transfusion rates across
facilities is to identify those facilities
that are systematically allowing
hemoglobin values to fall, presumably
by limiting ESA administration.
However, transfusions occur in two
situations: (1) In the setting of
chronically low hemoglobin values
which the facility could arguably have
influenced, and (2) in the setting of an
acutely low hemoglobin value, over
which the facility has little control. To
distinguish these two situations, the
commenter recommended that CMS
look at the last outpatient hemoglobin
value reported on an ESRD claim before
the transfusion, or at the 3-month
rolling average. According to the
commenter, if the hemoglobin value was
greater than a set cutoff value, the
transfusion would be included in the
measure. In addition, the commenter
stated that the measure could exclude
conditions other than cancers not
amenable to ESA based anemia
treatment correction.
Response: We thank the commenter
for these suggested improvements to the
STrR. The STrR measure evaluates riskadjusted blood transfusion ratios at the
dialysis facility level, comparing
dialysis facilities’ relative success in
transfusion avoidance. Its goal is not
limited to reducing transfusion risk
associated with chronic severe anemia
as suggested by the commenter. Several
dialysis facility practices can influence
patient risk for transfusion, including
anemia management decisions, as well
as dialysis prescription and delivery
practices. Furthermore, the
consequences of these practices can
result in acute increased transfusion risk
or chronic increased risk for transfusion,
depending on the clinical situation.
Limiting identification of transfusion
events to only those scenarios
associated with chronic anemia and
transfusion risk would inappropriately
result in a less impactful transfusion
avoidance measure. For these reasons,
we believe that it is appropriate not to
limit our assessment of transfusions to
those with a prior hemoglobin level
reported to CROWNWeb.
Comment: One commenter expressed
concern that the STrR measure has
inappropriately low reliability and
pointed out that when the measure was
considered for NQF endorsement, it was
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found to have very low reliability,
particularly for small facilities. Another
commenter pointed to an analysis,
which suggested that longer look-back
periods would result in a significant
increase in reliability for both the SHR
and the STrR measures. The commenter
stated that for small facilities, the interunit reliability (IUR) for the 1-year
measures is low, and that for small
facilities in the STrR measure, the 1year IUR for 0.36 means that nearly twothirds of the variance in the measure is
due to random noise rather than real
differences between facilities.
Commenter added that with a 4-year
look-back period, the IURs for small
facilities are similar to the IURs for large
facilities in the 1-year look-back period.
According to the commenter, these
results suggest, that with a 4-year lookback period, a minimum of two-thirds of
the variance in both measures in all
three subgroups would be due to actual
differences between facilities.
Additionally, the commenter believed
that using a 4-year look-back period
would align these measures with the
Standardized Mortality Ratio measure
used in the DFC program, creating
consistency across the measures used in
the ESRD QIP and DFC.
Another commenter pointed out that
the IUR for facilities with sample sizes
below 46 patients was about 0.4,
suggesting that 60 percent of interfacility difference was due to random
noise and not underlying performance.
The commenter stated that IURs
increase as a function of sample size.
Therefore, commenter argued, smaller
samples would be associated with lower
IURs. Based on the NQF documentation
submitted by CMS, the commenter
stated that one would expect the vast
majority of STrR variation to be due to
random variation across the 10–21
patient-years at risk that CMS has
proposed for the small facility
adjustment for STrR. While the small
facility adjustment would raise scores
for small facilities, the commenter
argued that it would not adequately
offset the substantial effect of random
variation for small sample sizes. The
commenter recommended that CMS set
the minimum data requirement for each
measure at the sample size at which the
IUR reaches 0.70, the value commonly
used at NQF. That is, the minimum
sample size would be set at the point
where at least 70 percent of the
observed result would be driven by
actual performance. Anything below
that, commenter argued, means that too
high a proportion of the observed result
is simply due to chance.
Response: We thank commenters for
sharing these concerns regarding the
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reliability of the STrR. Given the
established effect of sample size on IUR
calculations, we generally expect, based
on statistical modeling, that large
facilities will have higher IUR values
and small facilities will have lower IUR
values for any given measure. Reliability
is fundamentally associated with the
size of a facility: A larger denominator
leads to more precise assessments.
Regardless of a measure’s IUR, it will be
higher for larger facilities and lower for
smaller facilities. The dependence of
reliability on facility size is understood
when IUR is considered as a standard of
reliability by NQF.
In response to commenter’s
suggestion above about requiring an IUR
of 0.70, we are not aware of any formal
and prescriptive NQF guideline or
standard that sets or requires this test
result value as a minimum threshold for
passing reliability. Additionally, there is
no formal required threshold set by
NQF, as demonstrated in the
endorsement of other quality metrics
that have a range of reliability statistics,
several of which are below the threshold
of 0.7. The STrR and SHR reliability
results are comparable to the reliability
test results for other NQF-endorsed risk
adjusted outcome measures used in
public reporting, for example, four NQF
endorsed cause-specific hospital
mortality measures demonstrated
similar levels of reliability (#0229 Heart
failure measure, ICC: 0.55; #0468
Pneumonia mortality measure,
Intraclass Correlation Coefficient: 0.79;
#1893 Chronic Obstructive Pulmonary
Disease mortality measure, ICC: 0.51;
#2558 Coronary Artery Bypass Grafting
mortality measure, ICC: 0.32). The 2013
NQF Task Force on Evaluating Evidence
and Testing also acknowledged that
although the ‘‘Consensus Standards
Approval Committee and subcommittee
would like to have provided some
guidance regarding minimum
thresholds, they repeatedly noted the
difficulties in determining such
thresholds and the need for steering
committees to have flexibility to make
judgments.’’ (Page 13; Review and
Update of Guidance for Evaluating
Evidence and Measure Testing.
Technical Report. Approved by CSAC
on October 8, 2013: https://
www.qualityforum.org/Publications/
2013/10/Review_and_Update_of_
Guidance_for_Evaluating_Evidence_
and_Measure_Testing_-_Technical_
Report.aspx).
Aside from considering the
appropriateness of limiting assessment
as the commenters suggested, we
believe setting a sample size threshold
to reach 0.7 IUR for each measure is not
feasible. As has been shown, large
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50773
facilities tend to obtain IUR of 0.7 or
greater. Setting the range for the SFA
based on this approach would result in:
(1) Applying the SFA for a larger
portion of facilities, depending on the
measure; or (2) potentially excluding
those facilities, and limiting the value of
the measure to the program. Finally,
setting consistent minimum data
requirements and ranges would be
challenging because the frequency of
events varies in these measures (for
example, hospitalizations are more
frequent than transfusion events).
Incorporating multiple years of data also
has potential consequences for
implementation. As a practical matter, it
would be difficult to provide
performance standards in advance of 4year performance period. Doing so
would also limit the degree to which
providers could be assessed on
improvement from year to year, since
only one quarter of the data would
change from payment year to payment
year.
Comment: One commenter did not
support the proposed modifications to
the STrR measure because it differs from
the NQF-endorsed version (#2979).
Commenter argued that since the statute
requires CMS to use NQF-endorsed
measures if available, CMS should
comply with the statutory requirement
and use the actual NQF-endorsed
measure.
Response: The modifications to the
STrR proposed for PY 2021 of the ERSD
QIP will align the measure used in the
ESRD QIP with the NQF-endorsed
version of that measure.
Comment: One commenter
recommended that CMS adopt true riskstandardized rate measures, which
would be more transparent and useable
by all stakeholders. The commenter
added that risk standardized rates are
easier to understand and that the
current ratio measures have a wide
range of uncertainty that does not
provide an accurate view of a facility’s
performance when the ratio is reduced
to a single number. Rather than
continuing to use a confusing set of
measures, the commenter urged CMS to
replace the standardized ratio measures
with the year-over-year difference
between normalized (per 100 patient
years) rates (for example, for
hospitalization) currently available from
Dialysis Facility Reports until they can
be replaced by true risk-standardized
rate measures.
Another commenter noted that
moving to rates, while an important step
forward, would also create issues that
CMS would need to carefully address.
The commenter believed that choosing
a methodology to convert ratios to rates
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would be a challenge and did not
believe that a conversion approach
would produce a true risk-standardized
rate measure. The commenter believed
that under a conversion approach, the
use of the national median rate as the
conversion factor for ratios may be
misleading in regions of the country
where typical performance varies
significantly from the national rate.
According to this commenter, the goal
of using rates instead of ratios is to make
the measure results more meaningful to
patients, providers, and other
stakeholders by expressing measure
results in terms that are both valid and
have intrinsic meaning, rather than the
abstract meaning expressed by ratios.
Response: The risk-adjustment
approach currently used for the StrR
measure is based on indirect
standardization which also forms the
basis of many measures implemented in
the ESRD QIP and other CMS quality
reporting and value-based purchasing
programs, and we believe that this
approach leads naturally to a
standardized ratio. This ratio compares
the rate for this facility with the national
rate, having adjusted for the patient mix
and as such is relatively straightforward.
We are unclear on why the commenter
believes that rates are more easily
understood than ratios. Similarly to
ratios, risk-adjusted rates are not the
same as actual rates and require a
consideration of the patient mix
adjustment for interpretation. We do
agree that any conversion to rates would
require careful consideration of the
measure methodology and implications
for assessing facility performance prior
to implementation.
Final Rule Action: After carefully
considering the comments received, we
are finalizing the changes to the
Standardized Transfusion Ratio Clinical
Measure as proposed.
d. New Vascular Access Measures
Beginning With the PY 2021 ESRD QIP
As discussed in the CY 2018 ESRD
PPS proposed rule (82 FR 31212), for PY
2021, we proposed to remove the two
VAT measures from the ESRD QIP and
to replace them with two Vascular
Access measures that were recently
endorsed by the NQF. We proposed to
score these measures the same way that
we score the current VAT measures, and
to include them within the Vascular
Access Measure Topic.
Background
Beginning with the PY 2015 ESRD
QIP, we adopted the Minimizing
Catheter Use as Chronic Dialysis Access
(NQF #0256) and Maximizing
Placement of Arterial Venous (AV)
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Fistula (NQF #0257) measures, which
are paired measures of the rate of
catheter and fistula placement for
chronic dialysis access, respectively, for
the ESRD QIP (77 FR 67479). These
measures were developed in accordance
with the National Kidney Foundation
Kidney Disease Outcomes Quality
Initiative Guidelines that state the
following: (1) AV fistulas have the
lowest rate of thrombosis and require
the fewest interventions, (2) cost of AV
fistula use and maintenance is the
lowest, (3) fistulas have the lowest rates
of infection, and (4) fistulas are
associated with the highest survival and
lowest hospitalization rates. Several
epidemiologic studies consistently
demonstrate the reduced morbidity and
mortality associated with greater use of
AV fistulas for vascular access in
maintenance hemodialysis.
Based upon data we collected during
the CMS Fistula First/Catheter Last
Initiative,10 a gradual trend towards
lower catheter use has been observed
among prevalent maintenance
hemodialysis patients in the United
States, declining from approximately 28
percent in 2006 to approximately 18
percent by August 2015. Furthermore,
the percentage of maintenance HD
patients using a catheter for at least 3
months has declined during this time
period from nearly 12 percent to 10.8
percent. Continued monitoring of
chronic catheter use is needed to sustain
this trend.
Since the Maximizing Placement of
AV Fistula Measure (NQF #0257) was
first implemented, we have received
public comments expressing concerns
that in certain cases, such as patients
with a low life expectancy, placement of
a fistula may not be appropriate. A
growing number of studies report that
creating AV fistulas in some patients is
less likely to be successful in the
presence of certain comorbidities. In
addition, certain patient groups may
have less incremental benefit from an
AV fistula relative to an AV graft.
Since the implementation of
Minimizing Catheter Use as Chronic
Dialysis Access Measure (NQF #0256),
we have received comments from
stakeholders raising concerns about its
inability to account for patients with a
limited life expectancy, for whom a
fistula, with its extended maturation
period, may not represent an improved
quality of life.
In 2015, we convened a TEP to review
the existing vascular access measures to
consider how best to address these
10 Fistula First Catheter Last Dashboard August
2015 https://fistulafirst.esrdncc.org/ffcl/for-ffclprofessionals/archive/.
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concerns. A copy of the summary TEP
report is available at https://
www.cms.gov/Medicare/QualityInitiatives-Patient-AssessmentInstruments/ESRDQIP/061_Technical
Specifications.html. The TEP made the
following recommendations:
• The fistula measure should be riskadjusted for factors that are associated
with decreased likelihood of AV fistula
success, including:
++ Diabetes.
++ Heart diseases.
++ Peripheral vascular disease.
++ Cerebrovascular disease.
++ Chronic obstructive pulmonary
disease.
++ Anemia (unrelated to ESRD/
Chronic Kidney Disease).
++ Non-Vascular Access-Related
Infections.
++ Drug Dependence.
• The measures should include all
eligible hemodialysis patients, not just
Medicare beneficiaries.
• The measures should include
patients in the first 90 days of dialysis
because this is a critical time for access
planning/placement.
• The measures should include in the
numerator only patients with an AV
fistula using 2 needles (or an approved
single needle device).
• The measures should exclude
conditions associated with a limited life
expectancy where an AV fistula may not
be the appropriate choice for access (for
example, hospice, metastatic cancer,
end stage liver disease, and coma/brain
injury).
We responded to the TEP’s
recommendations by developing two
new VAT measures intended to be
jointly reported to assess the placement
of vascular access among ESRD dialysis
patients. These two vascular access
quality measures, when used together,
consider AV fistula use as a positive
outcome and prolonged use of a
tunneled catheter as a negative outcome.
With the growing recognition that some
patients have exhausted options for an
AV fistula or have comorbidities that
may limit the success of AV fistula
creation, joint reporting of the measures
accounts for all three vascular access
options. This paired incentive structure
that relies on both measures
(standardized fistula rate and long-term
catheter rate) reflects consensus-based
best practice, and supports maintenance
of the gains in vascular access success
achieved via the Fistula First/Catheter
Last Project over the last decade.
We received general comments on our
proposal to include two new Vascular
Access measures in the ESRD QIP
beginning in PY 2021. The comments
and our responses are set forth below:
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Comment: Several commenters
recommended that CMS combine the
fistula and catheter rates into a single
quality measure to avoid double
counting. Specifically, these
commenters argued that if fistulas and
grafts are both counted, then using the
catheter rate as a quality measure is
virtually a duplication of the fistula/
graft rate as a quality measure since the
catheter percentage would equal 100
percent less the total of fistulas and
grafts. Even if grafts are not included,
commenters argued, there is still a large
overlap of the fistula and catheter rates,
giving a double penalizing effect of
using both the fistula and catheter rates
as two quality measures.
Response: The two vascular access
measures, when used together, consider
AV fistula use as a positive outcome and
prolonged use of a tunneled catheter as
a negative outcome. With the growing
recognition that some patients have
exhausted options for an arteriovenous
fistula, or have comorbidities that may
limit the success of AV fistula creation,
pairing the measures accounts for all
three vascular access options. The
standardized fistula rate measure
includes risk adjustment for patient
factors where fistula placement may be
either more difficult or not appropriate
and acknowledges that in certain
circumstances an AV graft may be the
best access option. This paired incentive
structure that relies on both measures
reflects consensus best practice, and
supports maintenance of the gains in
vascular access success achieved via the
Fistula First/Catheter Last Project over
the last decade. Additionally, the fistula
and catheter measures apply exclusions
for certain conditions recognizing that
catheter placement may be the only
means of vascular access for these
patient sub-populations. Specifically,
both measures exclude patients with a
catheter that have limited life
expectancy defined as being under
hospice care in the current reporting
month, or with metastatic cancer, end
stage liver disease, coma or anoxic brain
injury in the past 12 months. In this
way, the combination of risk adjustment
for the standardized fistula rate measure
and the application of the exclusions to
both measures does not result in doubly
penalizing facilities and instead is
intended to incentivize best practices
for vascular access. Finally, the
standardized fistula rate measure is a
risk adjusted standardized rate, and
contains exclusions, therefore the
standardized fistula rate cannot be
directly added/subtracted from a raw
percentage of grafts and catheters.
Comment: One commenter expressed
concerns about CMS’s proposal to use
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CROWNWeb as the data source for the
proposed Vascular Access measures and
added that it is not clear how ‘‘life
expectancy’’ will be calculated.
Commenter recommended that based on
the proposal to use CROWNWeb as the
primary data source for numerator and
denominator, CMS should consider
delaying the implementation of these
two measures until CROWNWeb can be
shown to be a reliable data source.
Another commenter noted that for the
two vascular access measures, there are
patient-level exclusions for patients
with a catheter but with limited life
expectancy, and asked for clarification
regarding the 4 criteria used to
determine limited life expectancy and
how this information is intended to be
documented.
Response: Collection of vascular
access data through CROWNWeb has
been ongoing for 5 years. When
analyzing the concordance of
CROWNWeb vascular access data with
that of Medicare claims, which have
been used in the ESRD QIP VAT
measures since PY 2015, we found a
high level of agreement for the AV
fistula (kappa = .89) and catheter (kappa
= .73) data. We believe the data fidelity
is sufficient to merit the use of
CROWNWeb data for measurement in
the ESRD QIP.
Regarding life expectancy, both the
standardized fistula rate and the
catheter measures exclude patients with
a catheter as their vascular access and
who meet one of the following
conditions below that are identified
through Medicare claims. No additional
documentation (that is, attestation) is
required from the facility. Specifically,
limited life expectancy is defined as
follows:
• Patients under hospice care in the
current reporting month.
• Patients with metastatic cancer in
the past 12 months.
• Patients with end-stage liver disease
in the past 12 months.
• Patients with coma or anoxic brain
injury in the past 12 months.
These conditions were reviewed and
supported by the 2015 Vascular Access
TEP and all of them are associated with
a very high mortality rate in the 6month period after they first appear in
Medicare claims.
Comment: Many commenters
supported the inclusion of the new
Vascular Access measures as endorsed
by NQF in the QIP because this ensures
patient safety while recognizing the
needs of the individual patient. One
commenter noted that CMS indicated in
the proposed rule that it concurred with
the recommendation of the 2015
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Vascular Access TEP that the fistula
measure under development specify
that the AV fistula must use 2 needles
(or an approved single-needle device).
The commenter noted that this revision
is reflected in the methodology report,
but not in the specifications. Another
commenter was pleased to see that the
flowchart in the methodology report
specifies AV fistula only with 2 needles
or an approved single-needle device, but
recommended that the numerator
specifications should also explicitly
state that the patient must be on
maintenance HD ‘‘using an AV fistula
with 2 needles and without a dialysis
catheter present’’ to emphasize clarity
and avoid ambiguity. The commenter
also recommended that the
specifications address how a patient
with a co-existing AV graft should be
handled. Given that removal of an AV
graft is complex and not without risk of
complications, the commenter stated
that the presence of a graft is acceptable
even when using a fistula. As this is not
the case when a catheter is present, the
commenter agreed that the continued
presence of a catheter when a fistula is
being used should not constitute
success on the measure. Finally, a
commenter recommended that CMS
redefine the denominator as it
mistakenly uses the construction
‘‘patients’’ when it should use the term
‘‘patient-months’’ to be consistent with
the numerator.
Response: Both the flowchart and the
numerator details in the NQF measure
specifications include language for the
use of 2 needles or an approved singleneedle device. We intend to provide
clarifying language in the published
technical specifications to make this
clear. Regarding the revision
recommended by commenter to specify
in the measure technical specifications
how a patient with a co-existing AV
graft should be handled, we thank
commenter for their recommendation
and we will make any necessary
updates to the measure technical
specifications as necessary to ensure
clarity. With regard to the
recommendation that the technical
specifications explicitly state that the
patient must be on maintenance HD
‘‘using an AV fistula with 2 needles and
without a dialysis catheter present’’ to
emphasize clarity and avoid ambiguity,
CROWNWeb did not support this level
of granularity during the development
of this measure, and so it is not reflected
in the NQF-endorsed measure
specifications. We agree that this is an
appropriate enhancement to consider
for future measure maintenance and
system development. We confirm that
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the denominator is constructed using
patient-months, which is consistent
with the NQF-endorsed specifications.
Comment: One commenter agreed
with the proposed exclusion from the
Vascular Measures of conditions
associated with a limited life
expectancy where an AV fistula may not
be the appropriate choice for access, but
argued that any exclusions or riskadjustments that are calculated based on
Medicare claims will not capture
patients who do not have Medicare.
These commenters urged CMS to clarify
whether the proposed new vascular
access measures would accurately
measure the care furnished to the
facility’s total ESRD population
(including Medicare beneficiaries and
patients with other payers).
Response: We will calculate the
comorbidity risk adjustment using ICD
diagnostic codes reported on Medicare
claims or, if the patient is not a
Medicare beneficiary, information in
incident comorbidities reported on the
CMS Form 2728. This provides a
method for application of comorbidity
risk adjustment to patients that do not
have Medicare claims and allows the
measure to be applied to all patients
regardless of payer type.
The additional exclusion criteria for
the proposed vascular access measures
are captured using Medicare claims data
only. These measures were
recommended by the Vascular Access
TEP in 2015 with the expectation that
considering the exclusions is
appropriate. We conducted sensitivity
analyses regarding the application of
these measures and found that the
exclusions are relatively rare and do not
substantially bias the measure
assessment.
Comment: Commenter recommended
that rather than using fistulas alone,
CMS should consider including
arteriovenous grafts with AV fistula for
several reasons: (1) While overall
fistulas are slightly superior to grafts,
there is virtually no difference in the
elderly, (2) grafts are as long-lasting as
fistulas if primary failures are included,
(3) grafts may be placed shortly before
dialysis to avoid unnecessary fistulas
that aren’t used, (4) grafts are more
successful than fistulas as a second
access, (5) grafts help avoid catheters,
and (6) inclusion of both fistulas and
grafts may minimize or eliminate the
need for a complex adjustment in the
fistula rate as is proposed.
Response: We thank the commenter
for its comments on the vascular access
measures. The two vascular access
measures, when used together, consider
AV fistula use as a positive outcome and
prolonged use of a tunneled catheter as
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a negative outcome. With the growing
recognition that some patients have
exhausted options for an arteriovenous
fistula, or have comorbidities that may
limit the success of AV fistula creation,
pairing the measures accounts for all
three vascular access options. The
standardized fistula rate measure
includes risk adjustment for patient
factors where fistula placement may be
either more difficult or not appropriate
and acknowledges that in certain
circumstances an AV graft may be the
best access option. This paired incentive
structure that relies on both measures
reflects consensus best practice, and
supports maintenance of the gains in
vascular access success achieved via the
Fistula First/Catheter Last Project over
the last decade. Additionally, the fistula
and catheter measures apply exclusions
for certain conditions recognizing
catheter may be the only means of
vascular access for these patient subpopulations. Specifically, both measures
exclude patients with a catheter that
have limited life expectancy defined as
being under hospice care in the current
reporting month, or with metastatic
cancer, end stage liver disease, coma or
anoxic brain injury in the past 12
months.
i. New Hemodialysis Vascular Access:
Standardized Fistula Rate Clinical
Measure (NQF #2977)
Summary of Changes
This proposed measure replaces NQF
#0257, Maximizing Placement of AV
fistula, and it incorporates changes that
reflect input from the 2015 Vascular
Access TEP:
• Risk Adjustment for the following
conditions that affect the success of
fistula placement:
++ Diabetes.
++ Heart diseases.
++ Peripheral vascular disease.
++ Cerebrovascular disease.
++ Chronic obstructive pulmonary
disease.
++ Anemia (unrelated to ESRD/
Chronic Kidney Disease).
++ Non-Vascular Access-Related
Infections.
++ Drug Dependence.
• Inclusion of all eligible
hemodialysis patients, not just Medicare
beneficiaries.
• Inclusion of patients in the first 90
days of dialysis because this is a critical
time for access planning/placement.
• Inclusion in the numerator of only
patients with an AV fistula using 2
needles (or an approved single needle
device).
• Exclusion of conditions associated
with a limited life expectancy where an
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AV fistula may not be the appropriate
choice for access (for example, hospice,
metastatic cancer, end-stage liver
disease, and coma/brain injury).
Data Sources
CROWNWeb, Medicare claims and
the CMS Medical Evidence form 2728
(OMB No. 0938–0046) are used as the
data sources for establishing the
denominator. CROWNWeb is the data
source for establishing the numerator.
Medicare claims and the CMS Medical
Evidence form 2728 are data sources for
the risk adjustment factors. Medicare
claims and CROWNWeb are used for the
exclusion criteria. Using CROWNWeb as
the primary data source allows us to
expand the Standardized Fistula Rate to
include all ESRD dialysis patients,
rather than only Medicare FFS patients,
providing a more complete quality
assessment for dialysis facilities. This
was a key consideration by the TEP that
recommended the development of this
measure.
Outcome
The outcome of the Standardized
Fistula Rate is the use of an AV fistula
as the sole means of vascular access as
of the last hemodialysis treatment
session of the month.
Cohort
The cohort includes adult ESRD
dialysis patients who are determined to
be maintenance hemodialysis patients
(in-center or home) for the entire
reporting month at the same facility.
Inclusion and Exclusion Criteria
The Standardized Fistula Rate
excludes pediatric patients (<18 years
old), patients on peritoneal dialysis, and
patient-months where the patient was
not on hemodialysis (in-center or home)
at the same facility for the entire
reporting month. The measure
additionally excludes patients with a
catheter who have a limited life
expectancy.
Risk Adjustment
The Standardized Fistula Rate is a
directly standardized percentage, with
each facility’s percentage of fistula use
adjusted by a series of risk factors,
including patient demographic and
clinical characteristics based on a
logistic regression model. The
demographic and clinical characteristics
were chosen in order to adjust for
factors outside the control of a facility
that are associated with a decreased
likelihood of AV fistula success.
We submitted the measure to NQF,
where the Renal Standing Committee
recommended it for consensus
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endorsement, and the NQF endorsed the
measure in December 2016. The
Standardized Fistula Rate (NQF #2977)
was submitted to the Measure
Applications Partnership in 2016,
which supported the measure for
implementation in the ESRD QIP.
We proposed implementing
Hemodialysis Vascular Access:
Standardized Fistula Rate (NQF #2977)
beginning with the PY 2021 program
year. Detailed measure specifications
and testing data are available at https://
www.cms.gov/Medicare/QualityInitiatives-Patient-AssessmentInstruments/ESRDQIP/061_
TechnicalSpecifications.html. We
requested comments on these proposals.
Comment: One commenter
recommended that CMS expand the
exclusion criteria for the Vascular
Access measures to include the
following: (1) Steal syndrome that
required ligation of AV fistula or
arteriovenous graft, (2) Patients who
have had multiple failed AV fistula or
arteriovenous graft attempts and have
no suitable sites left to create AV fistula
or arteriovenous graft, and (3) Patients
who have medical contraindications to
AV fistula surgery including severe
congestive heart failure, and high output
cardiac failure from previous AV fistula.
Commenter also recommended that if
patients choose to have neither a fistula
nor a graft placed, after adequate
education by their physician, then the
patients should be excluded from the
denominator. Commenter added that
while overall, fistulas are slightly
superior to grafts, there is virtually no
difference in the elderly. The
commenter also added that some of the
benefits of grafts are that they are as
long-lasting as fistulas if primary
failures are included, they may be
placed shortly before dialysis to avoid
unnecessary fistulas that aren’t used,
they are more successful than fistulas as
a second access, they help to avoid
central venous catheters, and they may
minimize or eliminate the need for a
complex risk adjustment in the fistula
rate as is proposed.
Response: The TEP that developed
this measure in 2015 discussed at length
the proposed exclusion for patients who
have exhausted anatomic options for
permanent access. The TEP agreed that
this was an important exclusion, but
they also recognized that it would be
difficult to implement. A major concern
was also that there are not currently
data sources or infrastructure in place
that would allow identification of
patients who have no further surgical
options for vascular access. There
would also need to be strong consensus
on what determines whether patients do
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not meet criteria for successful fistula
placement. We intend to evaluate this
criterion and data availability to
determine feasibility of adding this
exclusion in a future iteration of this
measure.
Many of the exclusion criteria based
on comorbidities suggested by
commenters are either associated with
shortened life expectancy or low
likelihood of successful fistula
placement. In some situations, the
severity of the underlying diagnosis is
difficult to ascertain from claims data,
although like heart failure, we anticipate
this will improve over time with the
change to and availability of ICD–10
codes. Therefore, other comorbidities
will be evaluated as part of future
measure maintenance. Lastly, multiple
prior failed vascular access attempts
were considered by the TEP as an
exclusion criterion to address the
exhaustion of vascular sites or failed
attempts to create a fistula or graft,
however consensus was not reached
within the TEP on how best to
implement this exclusion. At the
present time, historical vascular access
data in CROWNWeb are limited, but
this exclusion criterion will be
evaluated when more historical vascular
access data are available.
The two vascular access measures,
when used together, consider AV fistula
use as a positive outcome and prolonged
use of a tunneled catheter as a negative
outcome. With the growing recognition
that some patients have exhausted
options for an arteriovenous fistula, or
have comorbidities that may limit the
success of AV fistula creation, pairing
the measures accounts for all three
vascular access options. The
standardized fistula measure adjusts for
patient factors where fistula placement
may be either more difficult or not
appropriate and acknowledges that in
certain circumstances an AV graft may
be the best access option. This paired
incentive structure that relies on both
measures reflects consensus best
practice, and supports maintenance of
the gains in vascular access success
achieved via the Fistula First/Catheter
Last Project over the last decade.
Finally, it would be difficult to ascertain
what constitutes adequate education by
a nephrologist from the patient’s
perspective as well as how to validate
informed patient choice not to have an
AV fistula or arteriovenous graft, and
this may be particularly a concern for
vulnerable patients.
Final Rule Action: After consideration
of the comments received, we are
finalizing our proposal to include the
Hemodialysis Vascular Access:
Standardized Fistula Rate Clinical
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50777
Measure in the ESRD QIP measure set
beginning with the PY 2021 program.
ii. New Hemodialysis Vascular Access:
Long-Term Catheter Rate (NQF #2978)
Beginning With the PY 2021 ESRD QIP
Summary of Changes
This proposed measure replaces NQF
#0256, Minimizing Use of Catheters as
Chronic Dialysis Access, and it
incorporates the following changes that
reflect input from the 2015 Vascular
Access TEP:
• Inclusion of all eligible
hemodialysis patients, not just Medicare
beneficiaries, since the measure is now
specified to be calculated from
CROWNWeb.
• Patients using a catheter
continuously for 3 months or longer,
even if combined with an AV fistula (or
graft), are now counted in the
numerator. The current measure does
not count patients in the numerator if
they have a catheter combined with an
AV fistula or graft.
• Patients with missing VAT are
counted in both the denominator and
the numerator. That is, ‘‘missing’’ access
type is considered a ‘‘failure’’ and
therefore counts against the facility.
• Exclusion criteria have been added
to the measure for conditions associated
with a limited life expectancy where a
catheter may be an appropriate choice
for access. These are the same
exclusions applied to the Standardized
Fistula Rate measure (for example,
hospice, metastatic cancer, end stage
liver disease, and coma/brain injury).
Data Sources
CROWNWeb, Medicare Claims and
the CMS Medical Evidence form 2728
are used as the data sources for
establishing the denominator.
CROWNWeb is the data source for
establishing the numerator. Medicare
claims and CROWNWeb are used for the
exclusion criteria. Medicare claims and
the CMS Medical Evidence Form 2728
are used for risk adjustment. Using
CROWNWeb as the primary data source
allows us to expand the Long-Term
Catheter Rate to include all ESRD
dialysis patients, rather than only
Medicare FFS patients, providing a
more complete quality assessment for
dialysis facilities. This was a key
consideration by the TEP that
recommended the development of this
measure.
Outcome
The outcome of the Long-Term
Catheter Rate is the use of a catheter
continuously for 3 months or longer as
of the last hemodialysis treatment
session of the month.
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Cohort
average) that decreases patient quality of
life enough for access ligation; and (6)
patient preference. If patient preference
cannot be fully considered by CMS,
commenter recommended that an
adjustment be included at least for those
patients on hemodialysis 4–6 times per
week or with needle phobia. A patient
preference adjustment or exception, the
commenter suggested, could be
evaluated by signed patient forms and
statistics with inspections of outlier
facilities. Commenter further argued
that for most of the patients with these
conditions, a catheter is the appropriate
vascular access and facilities should not
be penalized for those patients. The
commenter stated that there are some
dialysis facilities that don’t accept
patients with catheters in an effort to
avoid CMS penalties and this ‘‘cherrypicking’’ concern would be eliminated
by including an exception for patient
preferences.
Commenter suggested that while these
additional exclusion criteria could open
the door to gaming the system, signed
patient forms and statistics with
inspections of outlier facilities could
handle that issue. If a patient chooses to
have long-term catheter after adequate
education from their Nephrologist and
care team, then the commenter believes
that the patient should be excluded.
Commenter added that most patients
with these conditions have a catheter
that is clinically appropriate. If the
catheter is the best medical access for
that patient, then the commenter
believes that the facility should not be
penalized.
Response: Many of the comorbidities
suggested by commenters are either
associated with shortened life
expectancy or low likelihood of
successful fistula placement. In some
situations, the severity of the underlying
diagnosis is difficult to ascertain from
claims data, although like heart failure,
we anticipate this will improve over
time with the change to and availability
of ICD–10 codes. Therefore, we
anticipate other comorbidities will be
evaluated as part of future measure
maintenance. Regarding the 4th
suggestion of commenter, regarding
‘‘exhausted vascular sites or multiple
failed attempts to create a fistula or
graft,’’ multiple prior failed vascular
access attempts were considered by the
TEP as an exclusion criterion, however
consensus was not reached within the
TEP on how best to implement this
exclusion. At the present time,
historical vascular access data in
CROWNWeb are limited, but we
anticipate evaluating this exclusion
criterion when more historical vascular
access data are available. Finally, as the
The cohort includes adult ESRD
dialysis patients who are determined to
be maintenance hemodialysis patients
(in-center or home) for the entire
reporting month at the same facility.
sradovich on DSK3GMQ082PROD with RULES2
Inclusion and Exclusion Criteria
The Long-Term Catheter Rate
excludes pediatric patients (<18 years
old), patients on peritoneal dialysis, and
patient-months not on hemodialysis (incenter or home) for the entire reporting
month at the same facility. The measure
additionally excludes patients with a
catheter who have a limited life
expectancy.
We submitted the Long-Term Catheter
Rate (NQF #2978) to NQF, where the
Renal Standing Committee
recommended it for consensus
endorsement, and the NQF endorsed the
measure in December 2016. The
measure was submitted to the Measure
Application Partnership in 2016, which
supported it for implementation in the
ESRD QIP.
We proposed to introduce the LongTerm Catheter Rate (NQF #2978) into
the ESRD QIP beginning with the PY
2021 program year. Full measure
specifications and testing data are
available at https://www.cms.gov/
Medicare/Quality-Initiatives-PatientAssessment-Instruments/ESRDQIP/061_
TechnicalSpecifications.html.
We requested comments on this
proposal.
Comment: One commenter supported
the inclusion of the NQF-endorsed
catheter measure in the program but
asked that CMS provide some additional
clarifications. The commenter asked
that CMS clarify how data with missing
access type will be handled.
Response: We thank commenter for its
support. The NQF-endorsed measure
specifications we have adopted for the
measure state that the measure counts
patient-months with missing vascular
access type in both the denominator and
the numerator. Therefore, missing
vascular access type is counted as a
catheter.
Comment: Two commenters
recommended that the catheter rate be
adjusted for the following: (1) Arterial
steal syndromes or other medical
contraindications to a fistula or graft, for
example, severe congestive heart failure;
(2) extensive arm swilling from a fistula
or graft; (3) co-morbidities with short
predicted survivals and patients over 90
years old; (4) exhausted vascular sites or
multiple failed attempts to create a
fistula or graft; (5) prolonged access
hemorrhaging post-dialysis from a
fistula or graft (over 30 minutes on
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commenter stated, applying patient
consent could be subject to gaming and
would be difficult to validate,
particularly for vulnerable patients.
Comment: One commenter argued
that without including AV Grafts in the
measure, there’s a portion of the patient
population being excluded. Also, if the
facility does not meet the AV fistula
threshold, then the commenter believes
that the long-term catheter rate is
directly impacted and facilities are at
risk for losing points in two measures.
The proposed risk adjustments for the
standardized fistula rate, commenter
argued, should also be applied to the
long-term catheter rate. Also, the
commenter stated that the exclusion
criteria for this measure should be
expanded to incorporate patient choice,
and those appropriate medical and
surgical exclusions, so that this measure
reflects the quality of care being
delivered at the facility. Even with the
addition of the proposed exclusion
criteria, the commenter stated that it’s
still possible for the QIP score to
penalize facilities for recommending the
most clinically appropriate access for
their patients.
Response: The fistula and catheter
measures apply exclusions for certain
conditions recognizing that catheter
placement may be the only means of
vascular access for these patient subpopulations. Specifically, both measures
exclude patients with a catheter that
have limited life expectancy defined as
being under hospice care in the current
reporting month, or with metastatic
cancer, end stage liver disease, coma or
anoxic brain injury in the past 12
months. In this way, the combination of
risk adjustment for the SFR and the
application of the exclusions to both
measures does not result in doubly
penalizing facilities and instead is
intended to incentivize best practices
for vascular access.
Final Rule Action: After consideration
of the comments received, we are
finalizing our proposal to include the
Hemodialysis Vascular Access: LongTerm Catheter Rate Clinical Measure in
the ESRD QIP measure set beginning
with the PY 2021 program.
e. Performance Period for the PY 2021
ESRD QIP
We proposed to establish CY 2019 as
the performance period for the PY 2021
ESRD QIP for all but the NHSN
Healthcare Personnel Influenza
Vaccination reporting measure because
it is consistent with the performance
periods we have historically used for
these measures and accounts for
seasonal variations that might affect a
facility’s measure score.
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We proposed that the performance
period for the NHSN Healthcare
Personnel Influenza Vaccination
reporting measure will be from October
1, 2018 through March 31, 2019,
because this period spans the length of
the 2018–2019 influenza season.
We requested comments on these
proposals.
Comment: Two commenters
supported setting CY 2019 as the
performance period for PY 2021
generally but did not support the
proposed performance period for the
NHSN Healthcare Personnel Influenza
Vaccination Reporting Measure as being
from October 1, 2018 through March 31,
2019. They argued that the dates of
vaccine availability do not coincide
with the dates for the measure and
encouraged CMS to modify the measure
to align with the CDC’s guidelines for
immunization, which define the
performance period as October 1 or
‘‘whenever the vaccine became
available.’’
Response: We thank the commenters
for sharing their concerns, however as
we have explained in previous rules, the
performance period for this measure
defines the flu season during which
healthcare personnel must be protected
against influenza. The performance
period is only used to identify
personnel who have physically worked
at the facility for at least 1 day between
October 1 and March 31. These are
employees that are considered eligible
for inclusion in the measure
denominator. The performance period
does not indicate when the influenza
vaccination should be administered.
Therefore, any personnel who are
employed for at least 1 day during the
flu season, may be vaccinated as soon as
the vaccine becomes available for that
respective season. Facilities should
report influenza vaccinations given to
all healthcare personnel whether they
are vaccinated prior to or during the
denominator reporting period to receive
full credit for the measure; therefore,
there is no penalty for early vaccination
built into the NHSN measure (81 FR
77901).
Comment: One commenter supported
the influenza vaccination reporting
measure performance period of October
1 through March 31 because it is
consistent with other quality reporting
and value-based purchasing programs.
Response: We thank commenter for
their support of the proposed
performance period for the Healthcare
Personnel Influenza Vaccination
Reporting Measure.
Final Rule Action: After consideration
of the comments received, we are
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finalizing the performance period for
the PY 2021 ESRD QIP as proposed.
f. Performance Standards, Achievement
Thresholds, and Benchmarks for the PY
2021 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.
i. Performance Standards, Achievement
Thresholds, and Benchmarks for the
Clinical Measures in the PY 2021 ESRD
QIP
For the same reasons stated in the CY
2013 ESRD PPS final rule (77 FR 67500
through 76502), we proposed for PY
2021 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 2017, because this will give us
enough time to calculate and assign
numerical values to the proposed
performance standards for the PY 2021
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 requested comments on our
proposal to continue this policy for PY
2021. The comments and our responses
are set forth below.
Comment: One commenter stated that
it supports CMS’s reliance on the same
basic methodology year-over-year for
the ESRD QIP and therefore supports
the continuation of the previous policy
of setting the performance standard,
achievement threshold, and benchmark
at the 50th, 15th, and 90th percentiles
respectively, in PY 2021. The
commenter also stated that it supports
the policy for determining payment
reductions, including the process for
setting the minimum TPS.
Response: We thank the commenter
for their support and we agree that
consistency in program implementation
is an important consideration in
selecting a methodology for scoring
performance under the ESRD QIP.
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50779
Final Rule Action: After consideration
of the comments received, we are
finalizing our proposal to continue our
methodology for setting the performance
standards, achievement thresholds, and
benchmarks for the PY 2021 ESRD QIP.
ii. Performance Standards, Achievement
Thresholds, and Benchmarks for the
Clinical Measures Proposed for the PY
2021 ESRD QIP
We do not currently 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 2017 or the first portion of CY 2018.
We will publish values for the clinical
measures, using data from CY 2017 and
the first portion of CY 2018 in the CY
2019 ESRD PPS final rule.
iii. Performance Standards for the PY
2021 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 2016 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). In the CY 2017 ESRD PPS final
rule, we finalized performance
standards for the Ultrafiltration Rate
Reporting Measure (81 FR 77916), the
Serum Phosphorus Reporting measure
(81 FR 77916), and the NHSN Dialysis
Event Reporting measure (81 FR 77916).
We proposed to continue use of these
performance standards for the Reporting
Measures included in the PY 2021 ESRD
QIP.
We did not receive any comments on
our proposed use of these performance
standards for the Reporting Measures
included in the PY 2021 ESRD QIP and
we are therefore finalizing these
standards as proposed.
g. Scoring the PY 2021 ESRD QIP
i. 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
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measure under the PY 2021 ESRD QIP,
we proposed to continue using this
methodology for all clinical measures.
We also proposed to use this same
methodology for scoring the two new
Vascular Access measures.
Aside from the proposed addition of
the two Vascular Access measures, we
did not propose any changes to this
policy. We proposed to continue use of
this policy for the PY 2021 ESRD QIP.
We did not receive any comments on
our continued use of this policy for PY
2021. Accordingly, we are finalizing this
policy as proposed.
ii. 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 2021 ESRD QIP, we
proposed to continue using this
methodology for all clinical measures.
Under this methodology, facilities
receive points along an improvement
range, defined as a scale running
between the improvement threshold and
the benchmark. We proposed to define
the improvement threshold as the
facility’s performance on the measure
during CY 2018. The facility’s
improvement score would be calculated
by comparing its performance on the
measure during CY 2019 (the
performance period) to the
improvement threshold and benchmark.
We also proposed to use this same
methodology for scoring the two new
Vascular Access measures.
Aside from the proposed addition of
the two new Vascular Access measures,
we did not propose any other changes
to this policy. We proposed to continue
use of this policy for the PY 2021 ESRD
QIP.
The comments and our responses to
the comments on our proposals are set
forth below.
Comment: Commenters expressed
concerns with the current policy for
scoring the ESRD QIP and suggested
that it could be a barrier to home
dialysis uptake at small facilities or
stand-alone ‘‘home only’’ programs
because a small sample size can put a
facility at risk for a payment reduction
due to one or two low scores on a
measure.
Regarding the clinical measure
domain score, which is worth 75
percent of the TPS and only comprises
2–3 measures for most home programs,
commenter suggested that one way to
mitigate this effect would be to apply
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the current low volume scoring
adjustment to a facility’s home dialysis
population, should they meet the rest of
the criteria. The commenter stated that
this adjustment was originally designed
to be applied facility-wide to facilities
having only 11–25 eligible cases for a
given clinical measure, and the
commenter was unsure whether this
approach would adequately compensate
for the disadvantage of being scored on
a small number of measures.
Another commenter argued that the
measures should reflect the unique
nature of each modality and should be
developed based on data specific to that
modality, recommending that CMS
improve Peritoneal Dialysis adequacy
scoring within the scoring methodology
because PD therapy is inherently
different from Hemodialysis and
outcomes should be measured
accordingly. According to the
commenter, many PD patients
experience residual renal function,
which is not captured by the QIP and
this is a particularly significant scoring
limitation with respect to the pediatric
PD population. Commenter urged CMS
to revise the dialysis adequacy targets
downward to more accurately capture
and reflect the actual experiences of PD
patients.
Response: We thank commenters for
sharing their concerns. While we
recognize there are differences in the
achievement of adequate dialysis by
modality and age, all ESRD dialysis
patients require adequate dialysis, and it
is reasonable to expect providers to
provide adequate dialysis to all patients,
regardless of modality or age. CMS
continues to believe that facilities
should strive to provide the best quality
care, regardless of a patient’s modality
or age. We will consider these concerns
and evaluate the issue further.
Comment: One commenter supported
the proposal to use the existing
methodology for scoring in PY 2021.
Response: We appreciate the support.
Final Rule Action: After consideration
of the comments received, we are
finalizing our proposals for scoring
facilities on clinical measures based on
the improvement and achievement
methodologies as proposed for the PY
2021 ESRD QIP.
iii. 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). We proposed to use this scoring
methodology for the PY 2021 ESRD QIP.
Under this methodology, facilities will
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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 2021, 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 2019
falls, relative to the achievement
threshold and benchmark for that
measure and rating based on CY 2017
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 2019 to its
performance rates on these items during
CY 2018.
We requested comments on this
proposal. We did not receive any
comments on this proposal. We are
therefore finalizing this policy as
proposed.
iv. Scoring the Proposed Hemodialysis
Vascular Access: Standardized Fistula
Rate and Long-Term Catheter Rate
Measures and the Vascular Access
Measure Topic
In the CY 2013 ESRD PPS final rule
we established a methodology for
deriving the overall scores for measure
topics (77 FR 67507). We proposed to
use the same methodology described in
the CY 2013 ESRD PPS to calculate the
VAT Measure Topic Score.
We requested comments on this
proposal. We did not receive any
comments on this proposal. We are
therefore finalizing this policy as
proposed.
v. 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). 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). In the CY 2017
ESRD PPS final rule, we finalized
policies for scoring performance on the
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Ultrafiltration Rate, Serum Phosphorus,
and NHSN Dialysis Event reporting
measures (81 FR 77917).
We proposed to continue use of these
policies for the PY 2021 ESRD QIP.
We did not receive any comments on
this proposal. We are therefore
finalizing these policies as proposed.
h. Weighting the Measure Domains, and
Weighting the TPS for PY 2021
In the CY 2017 ESRD PPS final rule,
we discussed our policy priorities for
quality improvement for patients with
ESRD (81 FR 77887). These priorities
have not changed since that time.
50781
Accordingly, in an effort to remain
consistent in the weighting of measures
included in the program, we proposed
to weight the following measures in the
following subdomains of the three
individual measure domains (see Table
10):
TABLE 10—PROPOSED MEASURE DOMAIN WEIGHTING FOR THE PY 2021 ESRD QIP
Measure weight within
the domain
(proposed for PY 2021)
Measures/measure topics by subdomain
Measure weight as
percent of TPS
(proposed for PY 2021)
Clinical Measure Domain
Patient and Family Engagement/Care Coordination Subdomain ..........................................
ICH CAHPS Measure ......................................................................................................
SRR Measure ..................................................................................................................
Clinical Care Subdomain ........................................................................................................
STrR measure .................................................................................................................
Kt/V Dialysis Adequacy Comprehensive Measure ..........................................................
Vascular Access Type Measure Topic ............................................................................
Hypercalcemia measure ..................................................................................................
SHR Measure ..................................................................................................................
Total: Clinical Measure Domain ...............................................................................
40% ................................
25% ................................
15% ................................
60% ................................
11% ................................
18% ................................
18% ................................
2% ..................................
11% ................................
30.
18.75.
11.25.
45.
8.25.
13.5.
13.5.
1.5.
8.25.
100% of Clinical Measure Domain.
75% of Total Performance Score.
20%
20%
20%
20%
20%
2.
2.
2.
2.
2.
Reporting Measure Domain
Serum Phosphorus reporting measure ..................................................................................
Anemia Management reporting measure ...............................................................................
Pain Assessment and Follow-Up reporting measure .............................................................
Clinical Depression Screening and Follow-Up reporting measure ........................................
Healthcare Personnel Influenza Vaccination reporting measure ...........................................
Total: Reporting Measure Domain ..................................................................................
................................
................................
................................
................................
................................
100% of Reporting
Measure Domain.
10% of Total Performance Score.
NHSN BSI Clinical Measure ...................................................................................................
NHSN Dialysis Event Reporting Measure ..............................................................................
60% ................................
40% ................................
9.
6.
Total: Safety Measure Domain ........................................................................................
100% of Safety Measure
Domain.
15% of Total Performance Score.
sradovich on DSK3GMQ082PROD with RULES2
Safety Measure Domain
For PY 2021 we proposed to maintain
the weight of the Safety Measure
Domain at 15 percent of a facility’s TPS
without raising it further, in light of
validation concerns discussed in the CY
2017 ESRD PPS final rule (81 FR 77887).
Specifically, we identified two distinct
types of accidental or intentional underreporting. First, there is a belief that
many facilities do not consistently
report monthly dialysis event data for
the full 12-month performance period.
Second, even with respect to the
facilities that do report monthly dialysis
event data, there is a concern that many
of those facilities do not consistently
report all of the dialysis events that they
should be reporting (81 FR 77879).
Although we did not propose to change
the total number of measures in the
ESRD QIP’s measure set for PY 2021, we
proposed to replace the existing
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Vascular Access measures with the
proposed Standardized Fistula and
Catheter Clinical measures. We believe
these measures hold the same
importance and value as the measures
they are replacing and therefore did not
propose any changes to the weights
finalized for PY 2020 in the CY 2017
ESRD PPS final rule (81 FR 77887). We
stated that we may, in future years of
the program, consider increasing the
weight of the NHSN BSI Clinical
Measure and/or the NHSN BSI Measure
Topic once we see that facilities are
completely and accurately reporting to
NHSN and once we have analyzed the
data from the recently updated NHSN
Data Validation Study.
We continue to believe that while the
reporting measures are valuable, the
clinical measures assess facility
performance on actual patient care
processes and outcomes, and therefore,
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justify a higher combined weight (78 FR
72217). In the CY 2017 ESRD PPS final
rule, we finalized that for PY 2020, the
weight of the Safety Measure Domain
would be 15 percent of a facility’s TPS,
the weight of the Clinical Measure
Domain would be 75 percent of a
facility’s TPS and the weight of the
Reporting Measure Domain would be 10
percent of a facility’s TPS. We did not
propose any changes to the weights
assigned to these domains and proposed
to apply the same weights to the three
scoring domains for the PY 2021
program year.
In the CY 2017 ESRD PPS final rule,
we also finalized that, to be eligible to
receive a TPS, a facility must be eligible
to be scored on at least one measure in
the Clinical Measure Domain and at
least one measure in the Reporting
Measure Domain. We did not propose
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any changes to this policy for the PY
2021 ESRD QIP.
We requested comments on these
proposals.
Comment: Commenters urged CMS to
re-weight the Vascular Access measures
within the Clinical Measure Domain,
assigning 2⁄3 of the weight of that
measure topic to the Catheter Measure
and 1⁄3 to the Fistula. Commenters
argued that with a differential weighting
of the two measures, a facility that
scores especially well on the catheter
measure (that is, low numbers of
catheters) compared to the fistula
measure could achieve an increase of
about 2 points in its TPS. Conversely,
these commenters stated that a facility
that scores especially well on the fistula
measure but still has high numbers of
catheters could see its TPS decrease by
approximately 2 points. Commenters
argued that these differences could be
meaningful for facilities that are near
the TPS cut-off points for payment
reduction levels. Commenters also
stated that facilities that score about the
same on the two measures would not
see a notable change in their TPS.
Response: We conducted an analysis
to determine how the Vascular Access
Measure Topic Scores, TPS, and
estimated payment reductions would be
impacted if we were to assign 2⁄3 of the
weight of the measure topic to the
Catheter Measure, and 1⁄3 of the weight
of the measure topic to the Fistula
would be adversely impacted were we
to adopt this weighting structure.
Comment: One commenter requested
clarification on the weight of the
Ultrafiltration Rate Reporting Measure
TABLE 11—ANALYSIS OF THE EFFECTS for PY 2021 because no weight was
OF RE-WEIGHTING THE VASCULAR included for that measure in the
proposed rule.
ACCESS MEASURES
Response: We thank the commenter
N
%
for pointing out the error. Although we
inadvertently did not include the
Difference in Payment Reduction
proposed numerical weight for the UFR
Lower Payment Reduction
328
5.82 Reporting Measure for PY 2021 in Table
Higher Payment Reduction
417
7.40 8 of the proposed rule, we proposed to
No Change .......................
4890
86.78 weight the reporting measures and the
Reporting Measure Domain consistent
Difference in TPS
with how we have weighted them in
previous years of the program (79 FR
Lower TPS ........................
2373
42.10
Higher TPS .......................
2004
35.56 66217, 79 FR 66219). Under that
No Change .......................
1258
22.30 weighting scheme, which is reflected in
Table 8 of the proposed rule, each
reporting measure is weighted equally
As shown in Table 11, under this rewithin the Reporting Domain, and the
weighting approach for the Vascular
Reporting Domain, as a whole,
Access Measures, approximately 36
comprises 10 percent of the TPS.
percent of facilities would receive a
Application of that policy to the PY
higher VAT Topic Score and TPS, but
2021 reporting measures, which
42 percent would receive lower scores.
includes the UFR Reporting Measure,
Additionally, under this weighting
results in each measure being weighted
policy recommended by commenters,
at 16.66 percent of the Reporting
5.8 percent would receive a lower
Measure Domain, or 1.66 percent of the
payment reduction, but 7.4 percent
TPS. Table 12 reflects these values.
would receive a higher payment
reduction. While the recommendation
Final Rule Action: After considering
to re-weight the VAT Measure topic fits
the comments we received, we are
with the overall goal of the ESRD QIP
finalizing our domain weighting policy
to increase performance on the catheter
for PY 2021. The final weights are
measure, we believe that some facilities reflected in Table 12.
Measure. Results (shown in Table 11),
suggest that although some facilities
would benefit from this policy change,
a larger percentage would not.
TABLE 12—FINALIZED MEASURE DOMAIN WEIGHTING FOR THE PY 2021 ESRD QIP
Measure weight within
the domain
(proposed for PY 2021)
Measures/measure topics by subdomain
Measure weight as
percent of TPS
(proposed for PY 2021)
Clinical Measure Domain
Patient and Family Engagement/Care Coordination Subdomain ..........................................
ICH CAHPS Measure ......................................................................................................
SRR Measure ..................................................................................................................
Clinical Care Subdomain ........................................................................................................
STrR measure .................................................................................................................
Kt/V Dialysis Adequacy Comprehensive Measure ..........................................................
Vascular Access Type Measure Topic ............................................................................
Hypercalcemia measure ..................................................................................................
SHR Measure ..................................................................................................................
Total: Clinical Measure Domain ...............................................................................
40% ................................
25% ................................
15% ................................
60% ................................
11% ................................
18% ................................
18% ................................
2% ..................................
11% ................................
30.
18.75.
11.25.
45.
8.25.
13.5.
13.5.
1.5.
8.25.
100% of Clinical Measure Domain.
75% of Total Performance Score.
16.66%
16.66%
16.66%
16.66%
16.66%
16.66%
1.66.
1.66.
1.66.
1.66.
1.66.
1.66.
sradovich on DSK3GMQ082PROD with RULES2
Reporting Measure Domain
Serum Phosphorus reporting measure ..................................................................................
Anemia Management reporting measure ...............................................................................
Pain Assessment and Follow-Up reporting measure .............................................................
Clinical Depression Screening and Follow-Up reporting measure ........................................
Healthcare Personnel Influenza Vaccination reporting measure ...........................................
Ultrafiltration Rate Reporting Measures .................................................................................
Total: Reporting Measure Domain ..................................................................................
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...........................
...........................
...........................
...........................
...........................
...........................
100% of Reporting
Measure Domain.
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50783
TABLE 12—FINALIZED MEASURE DOMAIN WEIGHTING FOR THE PY 2021 ESRD QIP—Continued
Measure weight within
the domain
(proposed for PY 2021)
Measures/measure topics by subdomain
Measure weight as
percent of TPS
(proposed for PY 2021)
Safety Measure Domain
NHSN BSI Clinical Measure ...................................................................................................
NHSN Dialysis Event Reporting Measure ..............................................................................
60% ................................
40% ................................
9.
6.
Total: Safety Measure Domain ........................................................................................
100% of Safety Measure
Domain.
15% of Total Performance Score.
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In this section, we provide an
example to illustrate the scoring
methodology for PY 2021. Figures 1
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through 4 illustrate how to calculate the
Clinical Measure Domain score, the
Reporting Measure Domain score, the
Safety Measure Domain score, and the
TPS. Figure 5 illustrates the full scoring
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methodology for PY 2021. Note that for
this example, Facility A, a hypothetical
facility, has performed very well.
BILLING CODE 4120–01–P
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01NOR2
ER01NO17.003
i. Example of the PY 2021 ESRD QIP
Scoring Methodology
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Figure 2 illustrates the general methodology for calculating the Reporting Measure
Domain score for Facility A.
FIGURE2:
Reporting Measure Domain: Facility A
..:;;.1667 x [Anemia Manaaermmt score)
+
Reporting Measure
Measure Score
____ ;.ltiti7x [Pain Assessment score]
Serum Phosphorus
8
+
8
Anemia Management
__ ..;.1667 x [Depression Screenint sccra]
Pain Assessment and Follow-Up
10
+
.. ______ __,,, .1667 x [NHSN HCP score]
Clinical Depression Screening and Follow-Up
10
10 _ .. ---~·--· ---··-··--··-·
+
NHSN Healthcare Personnel Influenza IJacclnatlon
Ultrafiltration Rate
XlO
: ltiti7x[UFR)
8
.1667x8
+
.1667x8
+
.1667xl0
+
.1667xl0
+
.ltiti7xl0
+
.1667x8
I Reporting Measure Scoring Domain =90 I
XlO
Figure 3 illustrates the methodology used for calculating the Safety Measure Domain
score for Facility A.
FIGURE3:
NHSN BSI Measure Topic
Safety Measure Domain: Facility A
Measure
ER01NO17.005
ISafety Measure Scoring Domain =941
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NHSN BSI Clinical Measure
NHSN Reporting Measure
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50785
Figure 4 illustrates the methodology used to calculate the TPS for Facility A.
FIGURE 4:
Total Performance Score: Facility A
Domain
Domain Score
Clinical Measure Domain
safety Measure Domain
:
~---_--------~-----------------------
Reporting Measure Domain
90
------------------------------L
--("""(.75x[Cii":
(
Total Performance Score= 92
J
(.7Sx92)
+
(.1Sx94)
+
(.10x90)
J
Figure 5 illustrates the full scoring methodology for PY 2021.
FIGURES:
100 pts.
-@
Clinical Care
(60%)
+
mln.TPS
\
mill. TPS·10
I
~-
r-5%
Reduction
} 1.11%
mill. TPS·20
mill. TPS-30
Reduction
11.5%
JReduction
}~
Opts.
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Reduction
ER01NO17.006
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=®
+
=®
No
Reduction
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BILLING CODE 4120–01–C
j. Minimum Data for Scoring Measures
for the PY 2021 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 Hospitalization Ratio,
Standardized Transfusion Ratio, NHSN
Healthcare Personnel Influenza
Vaccination, 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, 10 patient-years at risk
to be eligible to receive a score on the
STrR clinical measure, and 5 patientyears at risk to be eligible to receive a
score on the SHR clinical measure. The
NHSN Healthcare Personnel Influenza
Vaccination measure does not assess
patient-level data and therefore does not
have a minimum qualifying patient
count. In order to receive a score on the
ICH CAHPS clinical measure, a facility
must have treated at least 30 surveyeligible patients during the eligibility
period and receive 30 completed
surveys during the performance period.
We proposed to continue use of these
minimum data policies for the measures
that we proposed to continue including
in the PY 2021 ESRD QIP measure set.
We also proposed to use these same
minimum data policies for the proposed
Vascular Access Measures.
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 CMS
Certification Number (CCN) Open Date.
In the CY 2018 ESRD PPS proposed rule
(81 FR 31203), we discussed our
proposed clarifications, which we are
finalizing in this final rule (see Table
2b), to our CCN open date policy and to
the patient minimum requirements for
each of the measures finalized for the
PY 2020 ESRD QIP. Similarly, for the
PY 2021 ESRD QIP, only facilities with
a CCN Open Date before July 1, 2019
would be eligible to be scored on the
Anemia Management, Serum
Phosphorous, Ultrafiltration Rate, Pain
Assessment and Follow-Up, Clinical
Depression Screening and Follow-Up
reporting measures, and only facilities
with a CCN Open Date before January 1,
2019 would be eligible to be scored on
the NHSN BSI Clinical and Reporting
Measures, the ICH CAHPS Clinical
Measure, and the NHSN Healthcare
Personnel Influenza Vaccination
reporting measure. We proposed to
continue applying these CCN open date
policies to the measures proposed for
PY 2021.
Table 13 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. We note that the
11 qualifying patient minimum used for
most of the measures shown in the
Table 13 is a long-standing policy in the
ERSD QIP.
TABLE 13—PROPOSED MINIMUM DATA REQUIREMENTS FOR THE PY 2021 ESRD QIP
Measure
Minimum data
requirements
CCN open date
Dialysis Adequacy (Clinical) ...........
Hemodialysis Vascular Access:
Standardized Fistula Rate (Clinical).
Hemodialysis Vascular Access:
Long-Term Catheter Rate (Clinical).
Hypercalcemia (Clinical) .................
NHSN BSI (Clinical) .......................
NHSN Dialysis Event (Reporting) ..
SRR (Clinical) .................................
STrR (Clinical) ................................
SHR (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 * ......................................
11 qualifying patients * ......................................
11 index discharges ..........................................
10 patient-years at risk .....................................
5 patient-years at risk .......................................
Facilities with 30 or more survey-eligible patients during the CY 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 .....................................
Before January 1, 2019 .....
Before January 1, 2019 .....
N/A .....................................
N/A .....................................
N/A .....................................
Before January 1, 2019 .....
11–25 qualifying patients.
11–25 qualifying patients.
N/A.
11–41 index discharges.
10–21 patient-years at risk.
5–14 patient-years at risk.
N/A.
Before July 1, 2019 ............
Before July 1, 2019 ............
Before July 1, 2019 ............
N/A.
N/A.
N/A.
11 qualifying patients ........................................
Before July 1, 2019 ............
N/A.
N/A ....................................................................
Before January 1, 2019 .....
N/A.
11 qualifying patients ........................................
Before July 1, 2019 ............
N/A.
Anemia Management (Reporting) ..
Serum Phosphorus (Reporting) .....
Depression Screening and FollowUp (Reporting).
Pain Assessment and Follow-Up
(Reporting).
NHSN Healthcare Personnel Influenza Vaccination (Reporting).
Ultrafiltration Rate (Reporting) .......
Small facility
adjuster
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* For the NHSN BSI Clinical Measure and the NHSN Dialysis Event Reporting Measure, qualifying patients include only in-center hemodialysis
patients. Inpatient hemodialysis patients and home hemodialysis or peritoneal dialysis patients are excluded from this measure.
The comments and our responses to
the comments on our proposals are set
forth below.
Comment: One commenter argued
that the use of the 11-case minimum,
while meant to ensure the privacy of
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individuals, is not ensuring the integrity
of the data being reported. The
commenter believes that CMS has
introduced randomness into the process
of scoring quality measures and that this
randomness leads to facilities being
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unable to predict how their actions will
impact outcomes and therefore makes
measures meaningless in terms of
improving quality. The commenter
added that the minimum data threshold
makes the outcome of these measures
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more variability in measure scores, our
analysis of the PY 2017 results suggest
smaller facilities received fewer
payment reductions (see figure 6 below).
Reliability analyses have been used to
determine upper thresholds for the
small facility adjustment. These
reliability analyses were published
when the small facility adjuster was first
introduced into the ESRD QIP (78 FR
72222), and are available here: https://
www.cms.gov/Medicare/QualityInitiatives-Patient-AssessmentInstruments/ESRDQIP/Downloads/
Small-Facility-Adjustment-Proposal-forthe-ESRD-QIP.pdf.
These reliability analyses were
performed for all measures, including
the ratio measures (which have different
thresholds).
Final Rule Action: After considering
the comments received, we are
finalizing the minimum data policy for
the PY 20201 ESRD QIP as proposed.
identical to the policy finalized for PY
2020.
We stated in the proposed rule that
we were not proposing a policy
regarding the inclusion of measures for
which we were not able to establish a
numerical value for the performance
standard through the rulemaking
process before the beginning of the
performance period for PY 2020. We did
not propose such a policy because no
measures in the proposed PY 2021
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 2019 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 2021 (that is,
CY 2019). Because we have not yet
calculated final measure scores, we are
unable to determine the 50th percentile
of facility performance on the PY 2019
reporting measures. We will propose
that value in the CY 2019 ESRD PPS
proposed rule once we have calculated
final measure scores for the PY 2019
program, and will finalize those values
in the CY 2019 ESRD PPS final rule
using the most updated data available at
the time of publication.
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 did not propose any changes to this
policy for the PY 2021 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
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k. Payment Reductions for the PY 2021
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 proposed that, for the
PY 2021 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.
• It received the number of points for
each reporting measure that corresponds
to the 50th percentile of facility
performance on each of the PY 2019
reporting measures.
We noted in the proposed rule that
this proposed policy for PY 2021 is
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meaningless to patients because the
small number of patients drives the
outcome rather than the actual care
being provided. The commenter
recommended that CMS eliminate the
small facility adjuster and adopt instead
a minimum sample size of 26 patients
for scoring measures.
Response: We thank the commenter
for their comments. While it is true that
smaller facilities will most likely have
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minimum TPS at this time. We will
propose a minimum TPS, based on data
from CY 2017 and the first part of CY
2018, in the CY 2019 ESRD PPS
proposed rule.
The comments and our responses to
the comments on our proposal are set
forth below.
Comment: Several commenters
expressed concerns with the significant
increase in the number of facilities
projected to receive a payment
reduction from PY 2017 to PYs 2020
and 2021. They found no changes in the
methodology or measures that would
explain such a substantial fluctuation.
One commenter stated that changes in
the minimum TPS do not predict the
change that the addition of any single
measure is unlikely to drive a major
shift in payment reductions and there
are no significant changes in the
measure thresholds that would explain
the large shift. The commenter therefore
urged CMS to adjust the QIP payment
reduction parameters to maintain more
consistent payment levels from one year
to the next and asked that CMS work
with the community to consider a
policy to adjust the payment reduction
thresholds to generate more predictable
payment outcomes. Another commenter
asked CMS to explain how it
determined the percentage of penalties
and why there appears to be such a
significant change, to provide for greater
transparency.
Response: Though we did not propose
a minimum TPS for PY 2021, we were
able to provide simulations. We
estimated the minimum TPS for PY
2021 for the analyses provided in the
CY 2018 ESRD PPS proposed rule using
the available data. For simulations, we
use the performance standards from the
prior year to calculate the minimum
TPS. We do this so that we are
simulating what is actually done when
we calculate final sores. However, we
have found that it does not make a big
difference which performance standards
are used to conduct our simulations—
results do not change drastically.
Our policies for determining payment
reductions have not changed from year
to year and are consistent with the
methodology described in several of our
previous rules (see for example, 80 FR
69046 and 81 FR 77893). We believe the
increases in simulated payment
reductions are due to the inclusion of
the ICH CAHPS and SHR measures in
the PY 2020 simulation, whereas they
were not included in the PY 2019
simulation because data was not
available at that time. It is also due to
a decrease in performance for the SRR,
STrR, VAT, and Hypercalcemia
measures among a subset of facilities.
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Finally, we note that as the ESRD QIP
increases the number of measures
included in the TPS, this also increases
the chance that a facility will score
poorly on one or more measures, which
can result in increased payment
reductions.
Final Rule Action: After consideration
of the comments received, we are
finalizing our policy for determining
payment reductions for the PY 2021
ESRD QIP as proposed.
C. Miscellaneous Comments
We received several general
comments on the ESRD QIP. The
comments and our responses are set
forth below.
Comment: Several commenters
supported the general goals of the ESRD
QIP and supported our efforts to
develop a quality incentive program that
promotes high quality patient care for
patients with ESRD.
Response: We appreciate commenters’
support of the ESRD QIP and welcome
the opportunity to collaborate with the
community to ensure that the program
continues to promote high quality
patient care in renal dialysis facilities.
Comment: Several commenters
expressed concerns about the burden
associated with the program, arguing
that adding new measures to the
program only increases the burden for
providers and for CMS.
Response: We thank commenters for
sharing their concerns. We are
constantly reviewing our program and
are always looking for ways to balance
minimizing burden with employing a
comprehensive quality performance
assessment. One way in which we try to
achieve this balance is, when feasible, to
calculate measures using Medicare
claims and other administrative data so
that facilities do not need to report
additional data. Doing so allows us to
assess key clinical care outcomes while
minimizing additional burden on
dialysis facilities.
Comment: Several commenters
encouraged CMS to abstain from
creating new measures and to instead
focus on ensuring that the current set of
measures is evidence-based, promotes
the delivery of high-quality care, and
improves patient outcomes. One
commenter recommended a detailed set
of criteria for prioritizing ESRD quality
measures. In addition to more closely
examining the measures that are added
to the program, several commenters also
recommended that CMS look carefully
at the existing measures to determine
whether any can be retired, especially as
they become ‘‘topped out.’’ Commenters
expressed concern that having too large
a number of measures in the measure set
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dilutes the impact of individual
measures.
Response: We thank commenters for
sharing their concerns. We are
constantly re-examining the measures
that are included in the program to
ensure that they are capturing a wide
variety of information about the care
that patients receive, and we carefully
consider whether measures should be
retired from the program using a set of
criteria previously finalized through
rulemaking (81 FR 77896 through
77897). We agree that new measures
implemented in the QIP should be
evidence-based, promote the delivery of
high-quality care, and improve patient
outcomes. We also consider how our
measures are weighted within the TPS
in an effort to ensure that measures with
greater clinical significance receive
greater weight and emphasis.
Additionally, through our measurement
development process and consideration
of which measures to include in the
program, we seek to implement NQFendorsed outcomes-based measures to
the extent feasible and, as part of that
analysis, examine the reporting burden
associated with those measures.
V. 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 (health
IT) and nationwide health information
exchange. Health IT facilitates the
secure, efficient, and effective sharing
and use of health-related information
when and where it is needed, and is an
important tool for settings across the
continuum of care, including ESRD
facilities. Health IT plays an important
role in developing care plans to manage
dialysis related care and co-morbid
conditions for patients with ESRD, as
well as enabling electronic coordination
and communication among
multidisciplinary teams. Such tools can
promote quality improvement, improve
efficiencies and reduce unnecessary
costs.
HHS continues to make important
strides promoting the availability of
technology tools to support providers,
including those in ESRD settings. For
instance, in 2015 the Office of the
National Coordinator for Health
Information Technology (ONC) released
a document entitled ‘‘Connecting Health
and Care for the Nation: A Shared
Nationwide Interoperability Roadmap
Version 1.0 (Roadmap) (available at
https://www.healthit.gov/sites/default/
files/hie-interoperability/nationwideinteroperability-roadmap-final-version1.0.pdf), which describes barriers to
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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
Roadmap focuses on actions that will
enable a majority of individuals and
providers across the care continuum to
send, receive, find and use priority data
domains at the nationwide level by the
end of 2017. Moreover, the vision
described in the Roadmap significantly
expands the types of electronic health
information, information sources, and
information users well beyond clinical
information derived from electronic
health records.
In addition, ONC has released the
2017 Interoperability Standards
Advisory (available at https://
www.healthit.gov/standards-advisory), a
coordinated catalog of standards and
implementation specifications to enable
priority health information exchange
functions. Providers, payers, and
vendors are encouraged to take these
health IT 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.
The comments and our responses to
the comments on this proposal are set
forth below.
Comment: Several commenters noted
the recent focus on leveraging health IT
to improve provider communication but
noted that dialysis facilities often do not
receive discharge information needed
for continuity of care. Commenters
indicated that patients often do not
disclose information about recent
hospitalizations and dialysis facilities
face challenges when requesting
discharge instructions and summaries
on behalf of the patient. Commenters
recommended that CMS require
hospitals, particularly those using
certified health IT, to send the following
information to providers involved in the
patient’s care: (1) The discharge
instructions and discharge summary
within 48 hours; (2) pending test results
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within 72 hours of their availability; and
(3) all other necessary information
specified in the ‘‘transfer to another
facility’’ requirements.
Response: We agree with commenters’
support for the use of health IT to
facilitate improved communication and
coordination across care settings. We
appreciate commenters’ concerns that
discharge information is often not sent
to dialysis facilities following a
hospitalization or may not be sent in a
timely manner for continuity of care.
While out of scope for this rulemaking,
several policies currently address this
issue. Under Medicare’s Conditions of
Participation in 42 CFR 482.43(d),
hospitals transferring or referring a
patient are already required to send
necessary medical information to
appropriate facilities and outpatient
services as needed for follow-up care.
We also note that eligible hospitals and
critical access hospitals participating in
Stage 2 and Stage 3 of the Medicare and
Medicaid Electronic Health Record
Incentives Programs are measured on
their ability to electronically send
summary of care information for
transitions of care or referrals to another
setting or provider of care, which may
include dialysis facilities. With respect
to recommendations regarding timing
requirements for the sending of
discharge information, we will take
these comments under consideration as
we continue to revise and build on these
policies in the future.
VI. Collection of Information
Requirements
A. Legislative Requirement for
Solicitation of Comments
Under the Paperwork Reduction Act
of 1995, we are required to provide 30day 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. We solicited comments in the
notice of proposed rulemaking that
published in the Federal Register on
July 5, 2017 (82 FR 31190). For the
purpose of transparency, we are
republishing the discussion of the
information collection requirements. All
of the requirements discussed in this
section are already accounted for in
OMB approved information collection
requests.
B. Requirements in Regulation Text
We are not finalizing changes to the
regulatory text for the ESRD PPS or for
AKI dialysis payment in CY 2018.
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50789
C. Additional Information Collection
Requirements
This final rule does not impose any
new information collection
requirements in the regulation text, as
specified above. However, this final 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
To derive wage estimates, we used
data from the U.S. Bureau of Labor
Statistics’ May 2016 National
Occupational Employment and Wage
Estimates. In the CY 2016 ESRD PPS
final rule (80 FR 69069), we stated that
it was reasonable to assume that
Medical Records and Health
Information Technicians, who are
responsible for organizing and managing
health information data,11 are the
individuals tasked with submitting
measure data to CROWNWeb and NHSN
for purposes of the data validation
studies 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 $19.93 per hour. Fringe
benefit is calculated at 100 percent.
Therefore, using these assumptions, we
estimate an hourly labor cost of $39.86
as the basis of the wage estimates for all
collection of information calculations in
the ESRD QIP. We have adjusted these
employee hourly wage estimates by a
factor of 100 percent to reflect current
HHS department-wide guidance on
estimating the cost of fringe benefits and
overhead. These are necessarily rough
adjustments, both because fringe
benefits and overhead costs vary
significantly from employer to employer
and because methods of estimating
these costs vary widely from study to
study. Nonetheless, there is no practical
alternative and we believe that these are
reasonable estimation methods.
b. Time Required To Submit Data Based
on Reporting Requirements for PY 2020
In the CY 2016 ESRD PPS final rule
(80 FR 69070), we estimated that the
time required to submit measure data
for Payment Year 2019 using
CROWNWeb is 2.5 minutes per data
element submitted, which takes into
account the small percentage of data
11 https://www.bls.gov/oes/current/
oes292071.htm.
12 https://www.bls.gov/oes/current/
oes291141.htm.
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sradovich on DSK3GMQ082PROD with RULES2
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. Since then,
these estimates of the time required to
submit data have not changed and we
are therefore continuing to rely upon
them in our burden calculations for PY
2020 and future payment years.
c. Data Validation Requirements for the
PY 2020 ESRD QIP
Section IV.B.3.g of this final rule
outlines our data validation policies for
PY 2020. Specifically, for the
CROWNWeb validation, we will
continue randomly sampling records
from 300 facilities as part of our
continuing pilot data validation
program. Each sampled facility will 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 approximately
$29,895 (750 hours × $39.86/hour), or a
total of approximately $93 ($29,895/300
facilities) per facility in the sample. The
burden associated with these
requirements is captured in an
information collection request (OMB
control number 0938–1289).
Under the continuing data validation
study for validating data reported to the
NHSN Dialysis Event Module, we will
continue using the methodology
finalized in the CY 2017 ESRD PPS final
rule, however we are adopting a
modification to our sampling
methodology, which we described at
section IV.B.3.g of this final rule. A CMS
contractor will send these facilities
requests for medical records for all
patients with ‘‘candidate events’’ during
the evaluation period. Overall, we
estimate that, on average, quarterly lists
would include two positive blood
cultures per facility, but we recognize
these estimates may vary considerably
from facility to facility. We estimate that
it will take each facility approximately
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60 minutes to comply with this
requirement (30 minutes from each of
the two quarters in the evaluation
period). If 35 facilities are asked to
submit records, we estimate that the
total combined annual burden for these
facilities will be 35 hours (35 facilities
× 1 hour). Since we anticipate that
Medical Records and Health
Information Technicians or similar
administrative staff will submit this
data, we estimate that the aggregate cost
of the NHSN data validation will be
$1,395.10 (35 hours × $39.86/hour), or
a total of $39.86 ($1,395.10/35 facilities)
per facility in the sample. The burden
associated with these requirements is
captured in an information collection
request (OMB control number 0938–
1340).
To determine the burden associated
with the collection of information
requirements, we look at each of these
elements together: The total number of
patients nationally, the number of
elements per patient-year required for
each measure, the amount of time
required for data entry, and the
estimated wage plus benefits of the
individuals within facilities who are
most likely to be entering data into
CROWNWeb. Therefore, based on this
methodology, in the CY 2017 ESRD PPS
final rule, we anticipated the burden
associated with the new collection of
information requirements was
approximately $91 million for the PY
2020 ESRD QIP (81 FR 77957).13 We are
not changing our data collection
methodology for PY 2021; however, we
are replacing two existing measures for
PY 2021. We believe replacing the two
existing measures will have a de
minimis effect on the overall burden
associated with collection of
information requirements in PY 2021.
Accordingly, the PY 2021 burden
estimate remains the same at $91
million. The net incremental burden
from PY 2020 to PY 2021 is $0.
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
13 We note that the aggregate impact of the PY
2020 ESRD QIP was included in the CY 2017 ESRD
PPS final rule (81 FR 77834 through 77969). The
previously finalized aggregate impact of $113
million reflects the PY 2020 estimated payment
reductions and the collection of information
requirements for the Ultrafiltration Rate Reporting
Measure, finalized in the CY 2017 ESRD PPS final
rule (81 FR 77915).
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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), the Congressional
Review Act (5 U.S.C. 804(2)), and
Executive Order 13771 on Reducing
Regulation and Controlling Regulatory
Costs (January 30, 2017).
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. However, OMB has
determined that the actions are
significant within the meaning of
section 3(f)(4) and 3(f)(3) of the
Executive Order. Therefore, OMB has
reviewed this final rule, and the
Departments have provided the
following assessment of their impact.
We solicited comments on the
regulatory impact analysis provided and
no comments were received.
2. Statement of Need
This rule finalizes a number of
routine updates and one policy change
to the ESRD PPS in CY 2018. The
finalized routine updates include the
CY 2018 wage index values, the wage
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index budget-neutrality adjustment
factor, and outlier payment threshold
amounts. The finalized policy change
involves an update to the outlier pricing
policy. Failure to publish this final rule
would result in ESRD facilities not
receiving appropriate payments in CY
2018 for renal dialysis services
furnished to ESRD patients.
This rule finalizes routine updates to
the payment for renal dialysis services
furnished by ESRD facilities to
individuals with AKI. Failure to publish
this final rule would result in ESRD
facilities not receiving appropriate
payments in CY 2018 for renal dialysis
services furnished to patients with AKI
in accordance with section 1834(r) of
the Act.
This rule finalizes requirements for
the ESRD QIP, including the adoption of
a measure set for the PY 2021 program,
as directed by section 1881(h) of the
Act. Failure to finalize requirements for
the PY 2021 ESRD QIP would prevent
continuation of the ESRD QIP beyond
PY 2020. In addition, finalizing
requirements for the PY 2021 ESRD QIP
provides facilities with more time to
review and fully understand new
measures before they are scored on them
in the ESRD QIP.
3. Overall Impact
We estimate that the final revisions to
the ESRD PPS will result in an increase
of approximately $60 million in
payments to ESRD facilities in CY 2018,
which includes the amount associated
with updates to the outlier thresholds,
outlier policy, and updates to the wage
index. We are estimating approximately
$20 million that would now be paid to
ESRD facilities for dialysis treatments
provided to AKI beneficiaries.
We note that the impacts for the ESRD
PPS and AKI payments in the proposed
rule are substantially different from
what we are finalizing. The proposed
ESRD PPS impact was $100 million
based on the proposed update factor of
0.7. The final update factor was
calculated as 0.3 percent, and that
change resulted in the lower impact
amount included in this final rule.
The proposed impact for AKI
payments was $2 million. The increase
from the proposed rule to the final rule
is based on actual preliminary claims
data that became available after
publication of the proposed rule, which
allowed us to make a more accurate
estimation of the utilization of services.
For PY 2021, we estimate that the
final revisions to the ESRD QIP will
result in a savings of $29 million, which
includes a zero incremental burden due
to collection of information
requirements and $29 million in
estimated payment reductions across all
facilities.
If regulations impose administrative
costs on private entities, such as the
time needed to read and interpret this
final rule, we estimate the cost
associated with regulatory review. Due
to the uncertainty involved with
accurately quantifying the number of
entities that will review the rule, we
assume that the total number of unique
commenters on last year’s proposed rule
will be the number of reviewers of this
final rule. We acknowledge that this
assumption may understate or overstate
the costs of reviewing this rule. It is
possible that not all commenters
reviewed last year’s rule in detail, and
it is also possible that some reviewers
chose not to comment on the proposed
rule. For these reasons we thought that
the number of past commenters would
be a fair estimate of the number of
reviewers of this rule. We requested
comments on the approach in
estimating the number of entities which
will review the proposed rule and no
comments were received.
We also recognize that different types
of entities are in many cases affected by
mutually exclusive sections of this final
rule, and therefore for the purposes of
our estimate we assume that each
reviewer reads approximately 50
percent of the rule. We requested
50791
comments on this assumption, however,
no comments were received.
Using the wage information from the
BLS (https://www.bls.gov/oes/2015/
may/naics4_621100.htm) for medical
and health service managers (Code 11–
9111), we estimate that the cost of
reviewing this rule is $105.00 per hour,
including overhead and fringe benefits.
Assuming an average reading speed, we
estimate that it would take
approximately 1.25 hours for the staff to
review half of this final rule. For each
ESRD facility that reviews the rule, the
estimated cost is $131.25 (1.25 hours ×
$105.00). Therefore, we estimated that
the total cost of reviewing this
regulation is $19,162.50 ($131.25 × 146
reviewers).
B. Detailed Economic Analysis
1. CY 2018 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 2017 to estimated
payments in CY 2018. To estimate the
impact among various types of ESRD
facilities, it is imperative that the
estimates of payments in CY 2017 and
CY 2018 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 final rule, we used CY 2016
data from the Part A and B Common
Working Files, as of August 4, 2017, as
a basis for Medicare dialysis treatments
and payments under the ESRD PPS. We
updated the 2016 claims to 2017 and
2018 using various updates. The
updates to the ESRD PPS base rate are
described in section II.B.2.d of this final
rule. Table 14 shows the impact of the
estimated CY 2018 ESRD payments
compared to estimated payments to
ESRD facilities in CY 2017.
TABLE 14—IMPACT OF CHANGES IN PAYMENT TO ESRD FACILITIES FOR CY 2018 FINAL RULE 1
Number of
facilities
sradovich on DSK3GMQ082PROD with RULES2
Number of
treatments
(in millions)
Effect of
2018 changes
in outlier
policy
Effect of
2018 changes
in wage
indexes
Effect of
2018 changes
in payment
rate update
A
Facility type
Effect of
total 2018
proposed
changes
(outlier, wage
indexes,
routine
updates to
the payment
rate)
B
C(%)
D(%)
E(%)
F(%)
All Facilities ..............................................
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0.2
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0.5
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TABLE 14—IMPACT OF CHANGES IN PAYMENT TO ESRD FACILITIES FOR CY 2018 FINAL RULE 1—Continued
Number of
facilities
Number of
treatments
(in millions)
Effect of
2018 changes
in outlier
policy
Effect of
2018 changes
in wage
indexes
Effect of
2018 changes
in payment
rate update
A
Facility type
Effect of
total 2018
proposed
changes
(outlier, wage
indexes,
routine
updates to
the payment
rate)
B
C(%)
D(%)
E(%)
F(%)
Type
Freestanding .....................................
Hospital based ..................................
6,383
431
42.7
2.4
0.2
0.3
0.0
0.1
0.3
0.3
0.5
0.7
5,110
871
487
341
5
34.3
5.8
3.1
1.8
0.0
0.2
0.2
0.2
0.3
0.0
0.0
0.1
0.0
0.1
0.2
0.3
0.3
0.3
0.3
0.3
0.4
0.6
0.5
0.8
0.5
1,243
5,571
6.5
38.6
0.2
0.2
-0.2
0.0
0.3
0.3
0.3
0.5
1,109
551
742
382
191
808
50
1,572
484
925
6.4
3.4
5.5
2.2
1.5
6.4
0.4
10.5
2.3
6.5
0.2
0.2
0.2
0.1
0.2
0.2
0.1
0.2
0.2
0.2
0.0
¥0.1
0.1
¥0.1
¥0.1
0.0
0.0
¥0.1
0.2
0.2
0.3
0.3
0.3
0.3
0.3
0.3
0.3
0.3
0.3
0.3
0.4
0.4
0.6
0.3
0.4
0.5
0.5
0.4
0.7
0.7
1,158
2,542
3,036
78
2.0
11.7
31.0
0.4
0.2
0.2
0.2
0.3
0.0
¥0.1
0.0
0.5
0.3
0.3
0.3
0.3
0.4
0.4
0.5
1.1
6,706
43
11
54
44.7
0.3
0.0
0.1
0.2
0.2
0.3
0.3
0.0
0.2
¥0.6
0.2
0.3
0.3
0.3
0.3
0.5
0.8
0.0
0.9
Ownership Type
Large dialysis organization ...............
Regional chain ..................................
Independent ......................................
Hospital based 2 ................................
Unknown ...........................................
Geographic Location
Rural .................................................
Urban ................................................
Census Region
East North Central ............................
East South Central ...........................
Middle Atlantic ..................................
Mountain ...........................................
New England ....................................
Pacific 3 .............................................
Puerto Rico and Virgin Islands .........
South Atlantic ....................................
West North Central ...........................
West South Central ..........................
Facility Size
Less than 4,000 treatments ..............
4,000 to 9,999 treatments ................
10,000 or more treatments ...............
Unknown ...........................................
Percentage of Pediatric Patients
Less than 2% ...........................................
Between 2% and19% .......................
Between 20% and 49% ....................
More than 50% .................................
sradovich on DSK3GMQ082PROD with RULES2
1 Sensipar will be paid under the transitional drug add-on payment adjustment for CY 2018. In CY 2016 there was approximately $840 million
in spending for Sensipar under Part D.
2 Includes hospital-based ESRD facilities not reported to have large dialysis organization or regional chain ownership.
3 Includes ESRD facilities located in Guam, American Samoa, and the Northern Mariana Island.
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 final changes to the outlier
payment policy described in section
II.B.2.c of this rule is shown in column
C. For CY 2018, the impact on all ESRD
facilities as a result of the changes to the
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outlier payment policy would be a 0.2
percent increase in estimated payments.
Nearly all ESRD facilities are
anticipated to experience a positive
effect in their estimated CY 2018
payments as a result of the finalized
outlier policy changes.
Column D shows the effect of the
finalized CY 2018 wage indices and the
wage index floor of 0.4000. The
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categories of types of facilities in the
impact table show changes in estimated
payments ranging from a ¥0.6 percent
decrease to a 0.5 percent increase due to
these finalized updates in the wage
indices.
Column E shows the effect of the
finalized CY 2018 ESRD PPS payment
rate update. The finalized ESRD PPS
payment rate update is 0.3 percent,
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which reflects the finalized ESRDB
market basket percentage increase factor
for CY 2018 of 1.9 percent, the 1.0
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 reflects the overall impact,
that is, the effects of the finalized outlier
policy changes, the finalized wage index
floor, and payment rate update. We
expect that overall ESRD facilities
would experience a 0.5 percent increase
in estimated payments in CY 2018. The
categories of types of facilities in the
impact table show impacts ranging from
0.0 percent to an increase of 1.1 percent
in their CY 2018 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 2018, we estimate
that the finalized ESRD PPS would 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 2018 would be
approximately $9.8 billion. This
estimate takes into account a projected
increase in fee-for-service Medicare
dialysis beneficiary enrollment of 1.6
percent in CY 2018.
sradovich on DSK3GMQ082PROD with RULES2
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 0.5 percent overall
increase in the finalized CY 2018 ESRD
PPS payment amounts, we estimate that
there will be an increase in beneficiary
co-insurance payments of 0.5 percent in
CY 2018, which translates to
approximately $10 million a figure
which is rounded to the nearest $10
million. The rounded $10 million is
based on 20 percent of CY 2018
estimated total payment increase of $60
million. There are roughly 400,000
ESRD beneficiaries, so this increase
represents a $25 increase per
beneficiary.
e. Alternatives Considered
In section II.B.1.d of this final rule, we
finalized a policy to price eligible
outlier drugs and biologicals that were
or would have been, prior to January 1,
2011, separately billable under
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Medicare Part B using any of the
methodologies available under section
1847A of the Act. We considered not
making any change to the outlier pricing
policy and also potentially requiring
manufacturers to submit ASP data in
order to be eligible for outlier payment
or payment under the TDAPA.
2. CY 2018 Payment for Renal Dialysis
Services Furnished to Individuals With
AKI
a. Effects on ESRD Facilities
We analyzed CY 2017 hospital
outpatient claims to identify the number
of treatments furnished historically for
AKI patients. We identified 32,433 AKI
dialysis treatments that were furnished
in the first four months of CY 2017. We
then inflated the 32,433 treatments to
account for the whole year of 2017. We
further inflated to 2018 values using
estimated population growth for fee-for
service non-ESRD beneficiaries. This
results in an estimated 98,900
treatments that would now be paid to
ESRD facilities for furnishing dialysis to
beneficiaries with AKI. Using the CY
2018 final ESRD base rate of $232.37
and an average wage index multiplier,
we are estimating approximately $20
million that would now be paid to ESRD
facilities for dialysis treatments
provided to AKI beneficiaries.
Ordinarily, we would provide a table
showing the impact of this provision on
various categories of ESRD facilities.
However, because we have no way to
project how many patients with AKI
requiring dialysis will choose to have
dialysis treatments at an ESRD facility,
we are unable to provide a table at this
time.
b. Effects on Other Providers
Under section 1834(r) of the Act, as
added by section 808(b) of TPEA, we are
finalizing a payment rate for renal
dialysis services furnished by ESRD
facilities to beneficiaries with AKI. The
only two Medicare providers authorized
to provide these outpatient renal
dialysis services are hospital outpatient
departments and ESRD facilities. The
decision about where the renal dialysis
services are furnished is made by the
patient and their physician. Therefore,
this provision will have zero impact on
other Medicare providers.
c. Effects on the Medicare Program
We anticipate paying an estimated
$20 million to ESRD facilities in CY
2018 as a result of AKI patients
receiving renal dialysis services in the
ESRD facility.
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50793
d. Effects on Medicare Beneficiaries
Currently, beneficiaries have a 20
percent coinsurance obligation when
they receive AKI dialysis in the hospital
outpatient setting. When these services
are furnished in an ESRD facility, the
patients would continue to be
responsible for a 20 percent
coinsurance. Because the AKI dialysis
payment rate paid to ESRD facilities is
lower than the outpatient prospective
payment system’s payment amount, we
would expect beneficiaries to pay $50
less coinsurance when AKI dialysis is
furnished by ESRD facilities.
e. Alternatives Considered
As we discussed in the CY 2017 ESRD
PPS proposed rule (81 FR 42870), we
considered adjusting the AKI payment
rate by including the ESRD PPS casemix adjustments, and other adjustments
at section 1881(b)(14)(D) of the Act, as
well as not paying separately for AKI
specific drugs and laboratory tests. We
ultimately determined that treatment for
AKI is substantially different from
treatment for ESRD and the case-mix
adjustments applied to ESRD patients
may not be applicable to AKI patients
and as such, including those policies
and adjustment would be inappropriate.
3. ESRD QIP
a. Effects of the PY 2021 ESRD QIP on
ESRD Facilities
The ESRD QIP provisions are
intended to prevent possible reductions
in the quality of renal dialysis services
provided to beneficiaries. The
methodology that we are using to
determine a facility’s TPS for the PY
2021 ESRD QIP is described in section
IV.B.4.g of this final rule. Any
reductions in ESRD PPS payments as a
result of a facility’s performance under
the PY 2021 ESRD QIP would apply to
ESRD PPS payments made to the facility
in CY 2021.
For the PY 2021 ESRD QIP, we
estimate that, of the 6,453 dialysis
facilities (including those not receiving
a TPS) enrolled in Medicare,
approximately 40 percent or 2,551 of the
facilities would receive a payment
reduction in PY 2021. The total
payment reduction for all of the 2,551
facilities expected to receive a reduction
is approximately $29 million
($29,017,218). Facilities that do not
receive a TPS are not eligible for a
payment reduction.
Table 15 shows the overall estimated
distribution of payment reductions
resulting from the PY 2021 ESRD QIP.
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TABLE 15—ESTIMATED DISTRIBUTION OF PY 2021 ESRD QIP PAYMENT REDUCTIONS
Payment Reduction
(%)
0.0
0.5
1.0
1.5
2.0
Number of
facilities
............................................................................................................................................
............................................................................................................................................
............................................................................................................................................
............................................................................................................................................
............................................................................................................................................
Percent of
facilities
3,469
1,507
754
228
62
57.6
25.0
12.5
3.8
1.0
Note: This table excludes 433 facilities that we estimate will not receive a payment reduction because they will not report enough data to receive a TPS.
To estimate whether or not a facility
would receive a payment reduction in
PY 2021, 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 16.
TABLE 16—DATA USED TO ESTIMATE PY 2021 ESRD QIP PAYMENT REDUCTIONS
Period of time used to
calculate achievement
thresholds, performance
standards, benchmarks,
and improvement
thresholds
Measure
Performance period
VAT
Standardized Fistula Ratio .....................................................................................................
%Catheter ...............................................................................................................................
Kt/V Dialysis Adequacy Comprehensive ................................................................................
Hypercalcemia ........................................................................................................................
STrR ........................................................................................................................................
ICH CAHPS Survey ................................................................................................................
SRR ........................................................................................................................................
NHSN BSI ...............................................................................................................................
SHR ........................................................................................................................................
For all measures except STrR and
SHR, clinical measure topic areas with
less than 11 cases for a facility were not
included in that facility’s TPS. For SHR
and STrR, facilities were required to
have at least 5 and 10 patient-years at
risk, respectively, in order to be
included in the facility’s TPS. Each
facility’s TPS was compared to an
estimated minimum TPS and an
estimated payment reduction table that
were consistent with the final policies
outlined in section IV.B.4.g of this final
rule. Facility reporting measure scores
were estimated using available data
from CY 2014 and 2015. Facilities were
Jan
Jan
Jan
Jan
Jan
Jan
Jan
Jan
Jan
required to have a score on at least one
clinical and one reporting measure to
receive a TPS.
To estimate the total payment
reductions in PY 2021 for each facility
resulting from this proposed rule, we
multiplied the total Medicare payments
to the facility during the 1-year period
between January 2015 and December
2015 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 2015 through
December 2015 times the estimated
payment reduction percentage.
2014–Dec
2014–Dec
2014–Dec
2014–Dec
2014–Dec
2015–Dec
2014–Dec
2014–Dec
2014–Dec
2014
2014
2014
2014
2014
2015
2014
2014
2014
......
......
......
......
......
......
......
......
......
Jan
Jan
Jan
Jan
Jan
Jan
Jan
Jan
Jan
2015–Dec
2015–Dec
2015–Dec
2015–Dec
2014–Dec
2015–Dec
2015–Dec
2015–Dec
2015–Dec
2015.
2015.
2015.
2015.
2014.
2015.
2015.
2015.
2015.
Table 17 shows the estimated impact
of the finalized ESRD QIP payment
reductions to all facilities for PY 2021.
The table details the distribution of
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 differ from those we
are using for the PY 2021 ESRD QIP, the
actual impact of the PY 2021 ESRD QIP
may vary significantly from the values
provided here.
TABLE 17—ESTIMATED IMPACT OF QIP PAYMENT REDUCTIONS TO FACILITIES FOR PY 2021
Number of
treatments
2015
(in millions)
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Number of
facilities
All Facilities ..........................................................................
Facility Type:
Freestanding .................................................................
Hospital-based ..............................................................
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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)
(%)
6,453
40.0
6,020
2,551
¥0.32
6,022
431
37.8
2.2
5,852
168
2,502
49
¥0.33
¥0.20
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TABLE 17—ESTIMATED IMPACT OF QIP PAYMENT REDUCTIONS TO FACILITIES FOR PY 2021—Continued
Number of
treatments
2015
(in millions)
Number of
facilities
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Ownership Type:
Large Dialysis ...............................................................
Regional Chain .............................................................
Independent ..................................................................
Hospital-based (non-chain) ...........................................
Unknown .......................................................................
Facility Size:
Large Entities ................................................................
Small Entities 1 ..............................................................
Unknown .......................................................................
Rural Status:
(1) Yes ..........................................................................
(2) No ............................................................................
Census Region:
Northeast ......................................................................
Midwest .........................................................................
South .............................................................................
West ..............................................................................
US Territories 2 .............................................................
Census Division:
Unknown .......................................................................
East North Central ........................................................
East South Central .......................................................
Middle Atlantic ..............................................................
Mountain .......................................................................
New England ................................................................
Pacific ...........................................................................
South Atlantic ................................................................
West North Central .......................................................
West South Central ......................................................
US Territories 2 .............................................................
Facility Size (# of total treatments)
Less than 4,000 treatments ..........................................
4,000–9,999 treatments ................................................
Over 10,000 treatments ................................................
Unknown .......................................................................
28.6
6.2
3.5
1.8
0.0
4,432
929
536
123
0
1,910
316
282
43
0
¥0.32
¥0.26
¥0.50
¥0.25
........................
5,530
922
1
34.8
5.2
0.0
5,361
659
0
2,226
325
0
¥0.31
¥0.45
........................
1,260
5,193
6.0
34.0
1,146
4,874
325
2,226
¥0.19
¥0.35
879
1,511
2,852
1,142
69
6.2
7.6
18.2
7.6
0.4
786
1,356
2,743
1,084
51
340
557
1,276
341
37
¥0.32
¥0.31
¥0.36
¥0.22
¥0.56
1
1,045
522
702
368
182
782
1,458
469
875
49
0.0
5.5
3.0
4.9
2.0
1.3
5.7
9.4
2.1
5.8
0.3
0
951
515
623
336
164
753
1,388
406
841
43
0
443
202
300
86
40
257
719
115
355
34
........................
¥0.36
¥0.30
¥0.37
¥0.17
¥0.14
¥0.24
¥0.41
¥0.19
¥0.33
¥0.62
1,211
2,401
2,680
161
2.7
11.0
26.1
0.2
1,006
2,324
2,603
87
357
880
1,256
58
¥0.30
¥0.29
¥0.35
¥0.66
savings. For comparison, Table 18
shows the payment reductions achieved
by the ESRD QIP program for PYs 2016
through 2021 totals nearly $115 million
($114,736,974).
d. Effects on Medicare Beneficiaries
c. Effects on the Medicare Program
For PY 2021, we estimate that ESRD
QIP will contribute approximately $29
million ($29,017,218) in Medicare
The ESRD QIP is applicable to
dialysis facilities. Since the program’s
inception, there is evidence of improved
performance on ESRD QIP measures. As
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TABLE 18—PAYMENT REDUCTIONS
PAYMENT YEAR 2016 THROUGH 2021
Payment year
Estimated payment reductions
(citation)
PY
PY
PY
PY
PY
PY
$29,017,218.
$31,581,441 (81
$15,470,309 (80
$11,576,214 (79
$11,954,631 (79
$15,137,161 (78
PO 00000
Payment
reduction
(percent
change in
total
ESRD
payments)
(%)
4,541
989
568
354
1
b. Effects on Other Providers
The ESRD QIP is applicable to
dialysis facilities. We are aware that
several of our measures finalized for PY
2021 may impact other Medicare
providers. For example, with the
introduction of the Standardized
Readmission Ratio Clinical measure in
PY 2017 and the Standardized
Hospitalization Ratio Clinical Measure
in PY 2020, we anticipate that hospitals
may experience financial savings as
dialysis facilities work to reduce the
number of unplanned readmissions and
hospitalizations. We are actively
exploring various methods to assess the
impact these measures have on
hospitals and other types of providers
and facilities.
2021
2020
2019
2018
2017
2016
Number of
facilities
with QIP
score
Number of
facilities
expected to
receive a
payment
reduction
.......
.......
.......
.......
.......
.......
Frm 00059
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FR
FR
FR
FR
FR
77960).
69074).
66257).
66255).
72247).
we stated in the CY 2017 ESRD PPS
final rule, one objective measure we can
examine to demonstrate the improved
quality of care over time is the
improvement of performance standards
(81 FR 77873). As the ESRD QIP has
refined its measure set and as facilities
have gained experience with the
measures included in the program,
performance standards have generally
continued to rise. We view this as
evidence that facility performance (and
therefore the quality of care provided to
Medicare beneficiaries) is objectively
improving. To date we have been unable
to examine the impact of the ESRD QIP
on Medicare beneficiaries including the
financial impact of the program or the
impact on the health outcomes of
beneficiaries. However, in future years
we are interested in examining these
impacts through the analysis of
available data from our existing
measures.
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e. Alternatives Considered
In an effort to reduce administrative
and financial burden on dialysis
facilities, we considered the burden
associated with each of the measures
included in the ESRD QIP to determine
whether any of the measures could
feasibly be removed from the program at
this time. The Ultrafiltration Rate
Reporting measure, finalized for
inclusion in the program beginning with
PY 2020, adds a significant burden to
facilities because of the number of data
elements required to be entered for each
patient treated by the facility. We
carefully considered whether this
measure could be removed from the
program in an effort to reduce burden
for facilities, but as we noted in the CY
2017 ESRD PPS final rule, this measure
is extremely valuable from a clinical
perspective. Studies 14 suggest that
higher ultrafiltration rates are associated
with higher mortality and higher odds
of an ‘‘unstable’’ dialysis session, and
that rapid rates of fluid removal at
dialysis can precipitate events such as
intradialytic hypotension, subclinical,
yet significantly decreased organ
perfusion, and in some cases myocardial
damage and heart failure (81 FR 77912).
Therefore we continue to believe that,
despite the high burden associated with
this measure, it is clinically valuable
and important to continue including
this measure in the ESRD QIP’s measure
set and that the clinical benefits
outweigh the burden associated with the
measure.
C. Accounting Statement
As required by OMB Circular A–4
(available at https://
www.whitehouse.gov/omb/
circulars_a004_a-4), in Table 19 below,
we have prepared an accounting
statement showing the classification of
the transfers and costs associated with
the various provisions of this final rule.
TABLE 19—ACCOUNTING STATEMENT: CLASSIFICATION OF ESTIMATED TRANSFERS AND COSTS/SAVINGS
Category
Transfers
ESRD PPS and AKI
Annualized Monetized Transfers ..............................................................
From Whom to Whom ..............................................................................
Increased Beneficiary Co-insurance Payments .......................................
From Whom to Whom ..............................................................................
$70 million.
Federal government to ESRD providers.
$10 million.
Beneficiaries to ESRD providers.
ESRD QIP for PY 2021
Annualized Monetized Transfers ..............................................................
From Whom to Whom ..............................................................................
$-29 million.
Federal government to ESRD providers (payment reductions).
Category
Costs
Annualized Monetized ESRD Provider Costs ..........................................
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 12 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 12 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 14.
Using the definitions in this ownership
category, we consider the 487 facilities
that are independent and the 341
facilities that are shown as hospitalbased to be small entities. The ESRD
facilities that are owned and operated
by large dialysis organizations (LDOs)
and regional chains will 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 finalized
in this rule, a hospital-based ESRD
facility (as defined by type of
ownership, not by type of dialysis
facility) is estimated to receive a 0.8
percent increase in payments for CY
2018. An independent facility (as
defined by ownership type) is also
estimated to receive a 0.5 percent
increase in payments for CY 2018.
14 Flythe JE, Kimmel SE, Brunelli SM. Rapid fluid
removal during dialysis is associated with
cardiovascular morbidity and mortality. Kidney
International (2011) Jan; 79(2):250–7. PMID:
20927040.
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, Ezio, et al. ‘‘Association between high
ultrafiltration rates and mortality in uraemic
patients on regular haemodialysis. A 5-year
prospective observational multicenter study.’’
Nephrology Dialysis Transplantation 22.12(2007):
3547–3552.
In accordance with the provisions of
Executive Order 12866, this final rule
was reviewed by the Office of
Management and Budget.
VIII. Regulatory Flexibility Act
Analysis
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For AKI dialysis, we are unable to
estimate whether patients will go to
ESRD facilities, however, we have
estimated there is a potential for $20
million in payment for AKI dialysis
treatments that could potentially be
furnished in ESRD facilities.
We estimate that of the 2,551 ESRD
facilities expected to receive a payment
reduction in the PY 2021 ESRD QIP, 325
are ESRD small entity facilities. We
present these findings in Table 15
(‘‘Estimated Distribution of PY 2021
ESRD QIP Payment Reductions’’) and
Table 17 (‘‘Impact of Proposed QIP
Payment Reductions to ESRD Facilities
for PY 2021’’) above. We estimate that
the payment reductions will average
approximately $11,375 per facility
across the 2,551 facilities receiving a
payment reduction, and $13,885 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 922
small entity facilities with the aggregate
ESRD payments to all small entity
facilities. We estimate that there are a
total of 922 small entity facilities, and
that the aggregate ESRD PPS payments
to these facilities would decrease 0.45
percent in PY 2021.
The Secretary has determined that
this final rule will not have a significant
economic impact on a substantial
number of small entities. The economic
impact assessment is based on estimated
Medicare payments (revenues) and
HHS’s practice in interpreting the RFA
is to consider effects economically
‘‘significant’’ only if greater than 5
percent of providers reach a threshold of
3 to 5 percent or more of total revenue
or total costs.
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 604 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
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beds. We do not believe this final 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 132 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 132 rural hospital-based
dialysis facilities will experience an
estimated 0.4 percent increase in
payments. As a result, this final rule is
not estimated to have a significant
impact on small rural hospitals.
Therefore, the Secretary has
determined that this final rule will 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 2017, that is
approximately $148 million. This final
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
$148 million. Moreover, HHS interprets
UMRA as applying only to unfunded
mandates. We do not interpret Medicare
payment rules as being unfunded
mandates, but simply as conditions for
the receipt of payments from the Federal
government for providing services that
meet federal standards. This
interpretation applies whether the
facilities or providers are private, State,
local, or tribal.
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
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50797
final 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. Reducing Regulation and
Controlling Regulatory Costs
Executive Order 13771, entitled
Reducing Regulation and Controlling
Regulatory Costs (82 FR 9339), was
issued on January 30, 2017. This final
rule is not expected to be subject to the
requirements of Executive Order 13771
because it is expected to result in no
more than de minimis costs.
XII. Congressional Review Act
This final 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.
XIII. 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 ESRDPayment@
cms.hhs.gov.
Dated: October 23, 2017.
Seema Verma,
Administrator, Centers for Medicare &
Medicaid Services.
Dated: October 24, 2017.
Eric D. Hargan,
Acting Secretary, Department of Health and
Human Services.
[FR Doc. 2017–23671 Filed 10–27–17; 4:15 pm]
BILLING CODE 4120–01–P
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Agencies
[Federal Register Volume 82, Number 210 (Wednesday, November 1, 2017)]
[Rules and Regulations]
[Pages 50738-50797]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2017-23671]
[[Page 50737]]
Vol. 82
Wednesday,
No. 210
November 1, 2017
Part II
Department of Health and Human Services
-----------------------------------------------------------------------
Centers for Medicare & Medicaid Services
-----------------------------------------------------------------------
42 CFR Parts 413 and 414
Medicare Program; End-Stage Renal Disease Prospective Payment System,
Payment for Renal Dialysis Services Furnished to Individuals With Acute
Kidney Injury, and End-Stage Renal Disease Quality Incentive Program;
Final Rule
Federal Register / Vol. 82 , No. 210 / Wednesday, November 1, 2017 /
Rules and Regulations
[[Page 50738]]
-----------------------------------------------------------------------
DEPARTMENT OF HEALTH AND HUMAN SERVICES
Centers for Medicare & Medicaid Services
42 CFR Parts 413 and 414
[CMS-1674-F]
RIN 0938-AT04
Medicare Program; End-Stage Renal Disease Prospective Payment
System, Payment for Renal Dialysis Services Furnished to Individuals
With Acute Kidney Injury, and End-Stage Renal Disease Quality Incentive
Program
AGENCY: Centers for Medicare & Medicaid Services (CMS), HHS.
ACTION: Final rule.
-----------------------------------------------------------------------
SUMMARY: This rule updates and makes revisions to the end-stage renal
disease (ESRD) prospective payment system (PPS) for calendar year (CY)
2018. It also updates the payment rate for renal dialysis services
furnished by an ESRD facility to individuals with acute kidney injury
(AKI). This rule also sets forth requirements for the ESRD Quality
Incentive Program (QIP), including for payment years (PYs) 2019 through
2021.
DATES: These regulations are effective January 1, 2018.
FOR FURTHER INFORMATION CONTACT:
[email protected], for issues related to the ESRD PPS and
coverage and payment for renal dialysis services furnished to
individuals with AKI.
Delia Houseal, (410) 786-2724, for issues related to the ESRD QIP.
Joel Andress, (410) 786-5237, for measure related issues with ESRD
QIP.
SUPPLEMENTARY INFORMATION:
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 [email protected].
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)
2. Coverage and Payment for Renal Dialysis Services Furnished to
Individuals With Acute Kidney Injury (AKI)
3. End-Stage Renal Disease (ESRD) Quality Incentive Program
(QIP)
B. Summary of the Major Provisions
1. ESRD PPS
2. Payment for Renal Dialysis Services Furnished to Individuals
With AKI
3. ESRD QIP
C. Summary of Cost and Benefits
1. Final Impacts of the ESRD PPS
2. Final Impacts of Payment for Renal Dialysis Services
Furnished to Individuals With AKI
3. Final Impacts of the ESRD QIP
II. Calendar Year (CY) 2018 End-Stage Renal Disease (ESRD)
Prospective Payment System (PPS)
A. Background
1. Statutory Background
2. Description of the System for Payment of Renal Dialysis
Services
3. Updates to the ESRD PPS
B. Summary of the Proposed Provisions, Public Comments, and
Responses to Comments on the Calendar Year (CY) 2018 ESRD PPS
1. Pricing Eligible Outlier Drugs and Biologicals That Were or
Would Have Been, Prior to January 1, 2011, Separately Billable Under
Medicare Part B
a. Summary of Outlier Calculation
b. Use of ASP Methodology Under the ESRD PPS
c. Pricing Methodologies Under Section 1847A of the Act
d. Pricing Eligible Outlier Drugs and Biologicals That Were or
Would Have Been, Prior to January 1, 2011, Separately Billable Under
Medicare Part B
2. CY 2018 ESRD PPS Update
a. CY 2018 ESRD Bundled Market Basket Update, Productivity
Adjustment, and Labor-Related Share for the ESRD PPS
b. Final CY 2018 ESRD PPS Wage Indices
i. Annual Update of the Wage Index
ii. Application of the Wage Index Under the ESRD PPS
c. CY 2018 Update to the Outlier Policy
i. CY 2018 Update to the Outlier Services MAP Amounts and FDL
Amounts
ii. Outlier Percentage
d. Final Impacts to the CY 2018 ESRD PPS Base Rate
i. ESRD PPS Base Rate
ii. Annual Payment Rate Update for CY 2018
C. Miscellaneous Comments
III. Calendar Year (CY) 2018 Payment for Renal Dialysis Services
Furnished to Individuals With Acute Kidney Injury (AKI)
A. Background
B. Summary of the Proposed Provisions, Public Comments, and
Responses to Comments on CY 2018 Payment for Renal Dialysis Services
Furnished to Individuals With AKI
1. Annual Payment Rate Update for CY 2018
a. CY 2018 AKI Dialysis Payment Rate
b. Geographic Adjustment Factor
IV. End-Stage Renal Disease (ESRD) Quality Incentive Program (QIP)
for Payment Year (PY) 2021
A. Background
B. Summary of the Proposed Provisions, Public Comments,
Responses to Comments, and Newly Finalized Policies for the End-
Stage Renal Disease (ESRD) Quality Incentive Program (QIP)
1. Accounting for Social Risk Factors in the ESRD QIP
2. Change to the Performance Score Certificate (PSC) Beginning
With PY 2019 ESRD QIP
3. Requirements Beginning With the PY 2020 ESRD QIP
a. Clarification on the Minimum Data Policy for Scoring Measures
Finalized for the PY 2020 ESRD QIP
b. Changes to the Extraordinary Circumstances Exception (ECE)
Policy
c. Solicitation of Comments on the Inclusion of Acute Kidney
Injury (AKI) Patients in the ESRD QIP
d. Estimated Performance Standards, Achievement Thresholds, and
Benchmarks for the Clinical Measures Finalized for the PY 2020 ESRD
QIP
e. Policy for Weighting the Clinical Measure Domain for PY 2020
f. Payment Reductions for the PY 2020 ESRD QIP
g. Data Validation
4. Requirements for the PY 2021 ESRD QIP
a. Measures for the PY 2021 ESRD QIP
b. Replacement of the Vascular Access Type (VAT) Clinical
Measures Beginning With the PY 2021 Program Year
c. Revision of the Standardized Transfusion Ratio (STrR)
Clinical Measure Beginning With the PY 2021 Program Year
d. New Vascular Access Measures Beginning With the PY 2021 ESRD
QIP
i. New Hemodialysis Vascular Access: Standardized Fistula Rate
Clinical Measure (NQF #2977)
ii. New Hemodialysis Vascular Access: Long-Term Catheter Rate
(NQF #2978) Beginning With the PY 2021 ESRD QIP
e. Performance Period for the PY 2021 ESRD QIP
[[Page 50739]]
f. Performance Standards, Achievement Thresholds, and Benchmarks
for the PY 2021 ESRD QIP
i. Performance Standards, Achievement Thresholds, and Benchmarks
for the Clinical Measures in the PY 2021 ESRD QIP
ii. Performance Standards, Achievement Thresholds, and
Benchmarks for the Clinical Measures Proposed for the PY 2021 ESRD
QIP
iii. Performance Standards for the PY 2021 Reporting Measures
g. Scoring the PY 2021 ESRD QIP
i. Scoring Facility Performance on Clinical Measures Based on
Achievement
ii. Scoring Facility Performance on Clinical Measures Based on
Improvement
iii. Scoring the ICH CAHPS Clinical Measure
iv. Scoring the Proposed Hemodialysis Vascular Access:
Standardized Fistula Rate and Long-Term Catheter Rate Measures and
the Vascular Access Measure Topic
v. Calculating Facility Performance on Reporting Measures
h. Weighting the Measure Domains, and Weighting the TPS for PY
2021
i. Example of the PY 2021 ESRD QIP Scoring Methodology
j. Minimum Data for Scoring Measures for the PY 2021 ESRD QIP
k. Payment Reductions for the PY 2021 ESRD QIP
C. Miscellaneous Comments
V. Advancing Health Information Exchange
VI. Collection of Information Requirements
A. Legislative Requirement for the Solicitation of Comments
B. Requirements in Regulation Text
C. Additional Information Collection Requirements
1. ESRD QIP
a. Wage Estimates
b. Time Required To Submit Data Based on Reporting Requirements
for PY 2020
c. Data Validation Requirements for the PY 2020 ESRD QIP
VII. Economic Analyses
A. Regulatory Impact Analysis
1. Introduction
2. Statement of Need
3. Overall Impact
B. Detailed Economic Analysis
1. CY 2018 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
2. CY 2018 Payment for Renal Dialysis Services Furnished to
Individuals With AKI
a. Effects on ESRD Facilities
b. Effects on Other Providers
c. Effects on the Medicare Program
d. Effects on Medicare Beneficiaries
e. Alternatives Considered
3. ESRD QIP
a. Effects of the PY 2021 ESRD QIP on ESRD Facilities
b. Effects on Other Providers
d. Effects on Medicare Beneficiaries
e. Alternatives Considered
C. Accounting Statement
VIII. Regulatory Flexibility Act Analysis
IX. Unfunded Mandates Reform Act Analysis
X. Federalism Analysis
XI. Reducing Regulation and Controlling Regulatory Costs
XII. Congressional Review Act
XIII. Files Available to the Public via the Internet
Acronyms
Because of the many terms to which we refer by acronym in this
final rule, we are listing the acronyms used and their corresponding
meanings in alphabetical order below:
Affordable Care Act the Patient Protection and Affordable Care Act
ABLE Stephen Beck, Jr., Achieving a Better Life Experience Act of
2014
AKI Acute Kidney Injury
AMP Average Manufacturer Price
ASP Average Sales Price
ASPE Office of the Assistant Secretary for Planning and Evaluation
ATRA American Taxpayer Relief Act of 2012
AV Arterial Venous
BLS Bureau of Labor Statistics
BSI Bloodstream Infection
CBSA Core Based Statistical Area
CCN CMS Certification Number
CDC Centers for Disease Control and Prevention
CEO Chief Executive Officer
CFR Code of Federal Regulations
CMS Centers for Medicare & Medicaid Services
CROWNWeb Consolidated Renal Operations in a Web-Enabled Network
CY Calendar Year
DFC Dialysis Facility Compare
DFR Dialysis Facility Report
ECE Extraordinary Circumstances Exception
EPO Epoetin
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
FFS Fee-For-Service
FDA Food and Drug Administration
FDL Fixed-Dollar Loss
HCPCS Healthcare Common Procedure Coding System
ICD International Classification of Diseases
ICH CAHPS In-Center Hemodialysis Consumer Assessment of Healthcare
Providers and Systems
IGI IHS Global Inc.
IPPS Inpatient Prospective Payment System
IQR Interquartile Range
IUR Inter-unit Reliability
Kt/V A measure of dialysis adequacy where K is dialyzer clearance, t
is dialysis time, and V is total body water volume
MAP Medicare Allowable Payment
MFP Multifactor Productivity
MIPPA Medicare Improvements for Patients and Providers Act of 2008
(Pub. L. 110-275)
NHSN National Healthcare Safety Network
NQF National Quality Forum
OMB Office of Management and Budget
PAMA Protecting Access to Medicare Act of 2014
PD Peritoneal Dialysis
PPS Prospective Payment System
PY Payment Year
QIP Quality Incentive Program
RFA Regulatory Flexibility Act
SBA Small Business Administration
SHR Standardized Hospitalization Ratio
SRR Standardized Readmission Ratio
STrR Standardized Transfusion Ratio
TCV Truncated Coefficient of Variation
TDAPA Transitional Drug Add-on Payment Adjustment
TEP Technical Expert Panel
The Act Social Security Act
The Secretary Secretary of the Department of Health and Human
Services
TPEA Trade Preferences Extension Act of 2015
TPS Total Performance Score
UFR Ultrafiltration Rate
VAT Vascular Access Type
WAMP Widely Available Market Price
I. Executive Summary
A. Purpose
1. End-Stage Renal Disease (ESRD) Prospective Payment System (PPS)
On January 1, 2011, we implemented the end-stage renal disease
(ESRD) prospective payment system (PPS), a case-mix adjusted, bundled
prospective payment system for renal dialysis services furnished by
ESRD facilities. This rule updates and makes revisions to the ESRD PPS
for calendar year (CY) 2018. 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 Patient Protection and Affordable
Care Act (the Affordable Care Act) (Pub. L. 111-148), established that
beginning 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.
2. Coverage and Payment for Renal Dialysis Services Furnished to
Individuals With Acute Kidney Injury (AKI)
On June 29, 2015, the President signed the Trade Preferences
Extension Act of 2015 (TPEA) (Pub. L. 114-27). Section 808(a) of TPEA
amended section 1861(s)(2)(F) of the Act to provide coverage for renal
dialysis services furnished on or after January 1,
[[Page 50740]]
2017, by a renal dialysis facility or a provider of services paid under
section 1881(b)(14) of the Act to an individual with AKI. Section
808(b) of TPEA amended section 1834 of the Act by adding a new
subsection (r) that provides for payment for renal dialysis services
furnished by renal dialysis facilities or providers of services paid
under section 1881(b)(14) of the Act to individuals with AKI at the
ESRD PPS base rate beginning January 1, 2017.
3. End-Stage Renal Disease (ESRD) Quality Incentive Program (QIP)
This rule also finalizes requirements for the end-stage renal
disease (ESRD) quality incentive program (QIP), including for payment
years (PYs) 2019, 2020, and 2021. 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 the Centers for Medicare &
Medicaid Services (CMS).
B. Summary of the Major Provisions
1. ESRD PPS
Update to the ESRD PPS base rate for CY 2018: The CY 2018
ESRD PPS base rate is $232.37. This amount reflects a reduced market
basket increase as required by section 1881(b)(14)(F)(i)(I) of the Act
(0.3 percent), and application of the wage index budget-neutrality
adjustment factor (1.000531), equaling $232.37 ($231.55 x 1.003 x
1.000531 = $232.37).
Annual update to the wage index: 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 2018, we did not propose any changes to the application of the
wage index floor and we will continue to apply the current wage index
floor (0.4000) to areas with wage index values below the floor.
Update to the outlier policy: Consistent with our policy
to annually update the outlier policy using the most current data, we
are updating the outlier services fixed-dollar loss (FDL) amounts for
adult and pediatric patients and Medicare Allowable Payment (MAP)
amounts for adult and pediatric patients for CY 2018 using CY 2016
claims data. Based on the use of more current data, the FDL amount for
pediatric beneficiaries would decrease from $68.49 to $47.79 and the
MAP amount would decrease from $38.29 to $37.31, as compared to CY 2017
values. For adult beneficiaries, the FDL amount would decrease from
$82.92 to $77.54 and the MAP amount would decrease from $45.00 to
$42.41. The 1 percent target for outlier payments was not achieved in
CY 2016. Outlier payments represented approximately 0.78 percent of
total payments rather than 1.0 percent. We believe using CY 2016 claims
data to update the outlier MAP and FDL amounts for CY 2018 will
increase payments for ESRD beneficiaries requiring higher resource
utilization in accordance with a 1 percent outlier percentage.
Update to the pricing of drugs and biologicals under the
outlier policy: We are finalizing a change to the ESRD PPS outlier
policy to allow the use of any pricing methodology available under
section 1847A of the Act to determine the cost of certain eligible
outlier service drugs and biologicals in computing outlier payments
when average sales price (ASP) data is not available.
2. Payment for Renal Dialysis Services Furnished to Individuals With
AKI
We are updating the AKI payment rate for CY 2018. The final CY 2018
payment rate is $232.37, which is equal to the CY 2018 ESRD PPS base
rate.
3. ESRD QIP
This rule sets forth requirements for the ESRD QIP, for payment
years (PYs) 2019, 2020 and 2021 as follows:
Updating the Performance Score (PSC) Certificate Beginning
in PY 2019: We are updating the Performance Score Certificate (PSC)
beginning in PY 2019 by shortening and simplifying it.
Changes to the Extraordinary Circumstances Exception (ECE)
Policy: In an effort to align our policy with the Extraordinary
Circumstances Exception (ECE) policy adopted by other quality reporting
and value-based purchasing programs, we are updating the ECE Policy for
the ESRD QIP. Specifically, we are updating this policy to (1) allow
the facility to submit a form signed by the facility's CEO or
designated personnel; (2) expand the reasons for which an ECE can be
requested to include an unresolved issue with a CMS data system which
affected the ability of the facility to submit data; and (3) specify
that a facility does not need to be closed in order to request and
receive consideration for an ECE, as long as the facility can
demonstrate that its normal operations have been significantly affected
by an extraordinary circumstance outside of its control.
PY 2021 Measure Set: Beginning with PY 2021, we are
updating the Standardized Transfusion Ratio (STrR) Clinical Measure to
align the measure specifications used in the ESRD QIP with those
endorsed by the National Quality Forum (NQF), and replacing the two
existing Vascular Access Type (VAT) measures with newly NQF-endorsed
vascular access measures that address long-held concerns of the ESRD
community. Specifically, we are replacing the VAT measures with the
Hemodialysis Vascular Access: Standardized Fistula Rate Clinical
Measure and the Hemodialysis Vascular Access: Long-Term Catheter Rate
Clinical Measure.
Data Validation: For PY 2020, we are continuing the pilot
validation study for validation of Consolidated Renal Operations in a
Web-Enabled Network (CROWNWeb) data. Under this continued pilot
validation study, we will continue using the same methodology used for
the PY 2018 and PY 2019 ESRD QIP. Under this methodology, we will
sample approximately 10 records per facility from 300 facilities during
CY 2018.
For PY 2020, we are also continuing the National Healthcare Safety
Network (NHSN) Bloodstream Infection (BSI) Data Validation study that
we finalized in the CY 2017 ESRD PPS final rule (81 FR 77894 through
77896), with a minor update to the sampling methodology. Under the
updated sampling methodology, we will incorporate a targeted sample to
select 35 facilities to participate in an NHSN dialysis event
validation study for two quarters of data reported in CY 2018.
C. Summary of Costs and Benefits
In section VII of this final rule, we set forth a detailed analysis
of the impacts of the finalized changes for affected entities and
beneficiaries. The impacts include the following:
1. Final Impacts of the ESRD PPS
The impact chart in section VII of this final rule displays the
estimated change in payments to ESRD facilities in CY 2018 compared to
estimated payments in CY 2017. The overall impact of the CY 2018
changes is projected to be a 0.5 percent increase in payments.
Hospital-based ESRD facilities have an estimated 0.7 percent increase
in payments compared with freestanding facilities with an estimated 0.5
percent increase.
We estimate that the aggregate ESRD PPS expenditures will increase
by approximately $60 million from CY 2017 to CY 2018. This reflects a
$40 million increase from the payment rate update and a $20 million
increase due to the updates to the outlier threshold amounts. We note
that the decrease in the projection of aggregate ESRD PPS
[[Page 50741]]
expenditures from the figure in the CY 2018 ESRD PPS proposed rule
($100 million) is due to the decrease in the ESRD PPS base rate update
factor (that is, from 0.7 percent to 0.3 percent). As a result of the
projected 0.5 percent overall payment increase, we estimate that there
will be an increase in beneficiary co-insurance payments of 0.5 percent
in CY 2018, equivalent to approximately $10 million.
2. Final Impacts of Payment for Renal Dialysis Services Furnished to
Individuals With AKI
We anticipate an estimated $20 million will be paid to ESRD
facilities in CY 2018 as a result of AKI patients receiving renal
dialysis services in the ESRD facility at the ESRD PPS base rate versus
receiving those services in the hospital outpatient setting. In the CY
2018 ESRD PPS proposed rule, we estimated $2 million would be paid to
ESRD facilities in CY 2018 for AKI patients. Based on actual
preliminary ESRD facility claims data available after publication of
the CY 2018 ESRD PPS proposed rule, we have updated this estimate for
the final rule.
3. Final Impacts of the ESRD QIP
The impact chart in section VII of this final rule displays
estimated impacts of the ESRD QIP for payment year (PY) 2021. The
overall impact is an expected reduction in payment to all facilities of
$29 million. The PY 2021 estimated total facility burden for the
collection of data is $91 million, which represents a zero net increase
from PY 2020.
II. Calendar Year (CY) 2018 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 as
required by 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 with 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, 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 in the CY 2014 ESRD
PPS final rule (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 required 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 Protecting Access to Medicare Act of 2014
(PAMA) (Pub. L. 113-93) was enacted. 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) of PAMA
further amended section 632(b)(1) of ATRA by requiring that in
establishing payment for oral-only drugs under the ESRD PPS, the
Secretary 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, 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. Description of the 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,
which is in subpart H of 42 CFR part 413. Our other payment policies
are also included in regulations in subpart H of 42 CFR part 413. The
ESRD PPS base rate is adjusted for characteristics of both adult and
pediatric patients and accounts for patient case-mix variability. The
ESRD PPS provides for the following adult and pediatric patient-level
adjustments: The adult patient-level adjusters include five age
categories, body surface area, low body mass index, onset of dialysis,
and four co-morbidity categories; while the pediatric patient-level
adjusters include two age categories and two dialysis modalities
(Sec. Sec. 413.235(a) and (b)).
The ESRD PPS provides for three facility-level adjustments. The
first payment adjustment accounts for ESRD facilities furnishing a low
volume of dialysis treatments (Sec. 413.232). The second adjustment
reflects differences in area wage levels developed from Core Based
Statistical Areas (CBSAs) (Sec. 413.231). The third payment adjustment
accounts for ESRD facilities furnishing renal dialysis services in a
rural area (Sec. 413.233).
The ESRD PPS allows for a training add-on for home and self-
dialysis modalities (Sec. 413.235(c)) and an additional payment for
high cost outliers due to unusual variations in the type or amount of
medically necessary care when applicable (Sec. 413.237).
The ESRD PPS also provides for a transitional drug add-on payment
adjustment (TDAPA) to pay for a new injectable or intravenous product
that is not considered included in the ESRD PPS base rate, meaning a
product that is used to treat or manage a condition for
[[Page 50742]]
which there is not an existing ESRD PPS functional category (Sec.
413.234). The ESRD PPS functional categories represent distinct
groupings 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 products
that are not included in a functional category in the ESRD PPS base
rate are paid for using the TDAPA for a minimum of 2 years, until
sufficient claims data for rate setting analysis is available. At that
point, utilization would be reviewed and the ESRD PPS base rate
modified, if appropriate, to account for these products. The TDAPA is
based on pricing methodologies under section 1847A of the Act (Sec.
413.234(c)).
3. Updates to the ESRD PPS
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 4, 2016, we published in the Federal Register a final
rule (81 FR 77384 through 77969) entitled, ``Medicare Program; End-
Stage Renal Disease Prospective Payment System, Coverage and Payment
for Renal Dialysis Services Furnished to Individuals With Acute Kidney
Injury, End-Stage Renal Disease Quality Incentive Program, Durable
Medical Equipment, Prosthetics, Orthotics and Supplies Competitive
Bidding Program Bid Surety Bonds, State Licensure and Appeals Process
for Breach of Contract Actions, Durable Medical Equipment, Prosthetics,
Orthotics and Supplies Competitive Bidding Program and Fee Schedule
Adjustments, Access to Care Issues for Durable Medical Equipment; and
the Comprehensive End-Stage Renal Disease Care Model; Final Rule''
(hereinafter referred to as the CY 2017 ESRD PPS final rule). In that
rule, we updated the ESRD PPS base rate for CY 2017, the wage index and
wage index floor, the outlier policy, and the home and self-dialysis
training add-on payment adjustment. For further detailed information
regarding these updates, see 81 FR 77384.
B. Summary of the Proposed Provisions, Public Comments, and Responses
to Comments on the Calendar Year (CY) 2018 ESRD PPS
The proposed rule, entitled ``Medicare Program; End-Stage Renal
Disease Prospective Payment System, Payment for Renal Dialysis Services
Furnished to Individuals with Acute Kidney Injury, and End-Stage Renal
Disease Quality Incentive Program'' (82 FR 31190 through 31233),
hereinafter referred to as the CY 2018 ESRD PPS proposed rule, was
published in the Federal Register on July 5, 2017, with a comment
period that ended on August 28, 2017. In that proposed rule, for the
ESRD PPS, we proposed to make a number of annual updates for CY 2018,
including updates to the ESRD PPS base rate, wage index and outlier
thresholds, and to update the pricing of certain drugs and biologicals
under the outlier policy. We received approximately 58 public comments
on our proposals, including comments from ESRD facilities; national
renal groups, nephrologists and patient organizations; patients and
care partners; manufacturers; health care systems; and nurses.
In this final rule, we provide a summary of each proposed
provision, a summary of the public comments received and our responses
to them, and the policies we are finalizing for the CY 2018 ESRD PPS.
1. Pricing Eligible Outlier Drugs and Biologicals That Were or Would
Have Been, Prior to January 1, 2011, Separately Billable Under Medicare
Part B
a. Summary of Outlier Calculation
Our regulations at 42 CFR 413.237 specify the methodology used to
calculate outlier payments. Under the ESRD PPS outlier policy, an ESRD
facility is eligible for an outlier payment when the facility's per
treatment imputed Medicare Allowable Payment (MAP) amount for ESRD
outlier services furnished to a beneficiary exceeds the predicted ESRD
outlier services MAP amount for outlier services plus the fixed-dollar
loss (FDL) amount, as specified in Sec. 413.237(b). In the CY 2011
ESRD PPS final rule (75 FR 49134 through 49147), we discussed the
details of establishing the outlier policy under the ESRD PPS,
including determining eligibility for outlier payments. We discussed
the proposed CY 2018 updates to the outlier policy in the CY 2018 ESRD
PPS proposed rule (82 FR 31198 through 31200).
Under Sec. 413.237(a)(1), ESRD outlier services include (1)
certain items and services included in the ESRD PPS bundle that were or
would have been separately billable under Medicare Part B prior to the
implementation of the ESRD PPS, including ESRD-related drugs and
biologicals, ESRD-related laboratory tests, and other ESRD-related
medical/surgical supplies; and (2) certain renal dialysis service drugs
included in the ESRD PPS bundle that were covered under Medicare Part D
prior to the implementation of the ESRD PPS. For the Centers for
Medicare & Medicaid Services (CMS) to calculate outlier eligibility and
payments, ESRD facilities must identify on the monthly claim which
outlier services have been furnished. CMS provides a list of outlier
services on the CMS Web site, https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/ESRDpayment/Outlier_Services.html, which is
subject to certain additions and exclusions as discussed in the CY 2012
ESRD PPS final rule (76 FR 70246) and Chapter 8, Section 20.1 of CMS
Publication 100-04 (https://www.cms.gov/Regulations-and-Guidance/Guidance/Manuals/downloads/clm104c08.pdf).
It is important for ESRD facilities to report the outlier services
on the claim because imputed outlier service MAP amounts for a
beneficiary are based on the actual utilization of outlier services.
Specifically, we estimate an ESRD facility's imputed costs for ESRD
outlier services based on available pricing data. In the CY 2011 ESRD
PPS final rule we finalized the pricing data that we use to estimate
imputed outlier services MAP amounts for the different categories of
outlier services (75 FR 49141). With regard to Part B ESRD-related
drugs and biologicals that were separately billable prior to
implementation of the ESRD PPS, we finalized a policy to base the
prices for these items on the most current average sales price (ASP)
data plus 6 percent. Our rationale for this decision was that ASP data
for ESRD-related drugs and biologicals is updated quarterly and was the
basis for payment of these drugs and biologicals prior to the
implementation of the ESRD PPS.
b. Use of ASP Methodology Under the ESRD PPS
Since the implementation of the ESRD PPS, we have referred to the
use of the ASP methodology when we needed to price ESRD-related drugs
and biologicals previously paid separately under Part B (prior to the
ESRD PPS) for purposes of ESRD PPS policies or calculations. For
example, in the CY 2011 ESRD PPS final rule, we finalized the use of
the ASP plus 6 percent methodology for pricing Part B ESRD-related
drugs and biologicals under the
[[Page 50743]]
outlier policy (75 FR 49141). In the CY 2012 ESRD PPS final rule (76 FR
20244), we stated that under the outlier policy we use the ASP
methodology.
In the CY 2013 ESRD PPS final rule (77 FR 67463), we finalized that
for CY 2013 and subsequent years we would continue to use the ASP
methodology, including any modifications finalized in the Physician Fee
Schedule final rules, to compute outlier MAP amounts. (We referred to
the Physician Fee Schedule since this is typically the rulemaking
vehicle CMS uses for provisions related to covered Part B drugs and
biologicals, however, we note that other vehicles such as standalone
rules or the outpatient prospective payment system rules, are used as
well.) In the CY 2013 ESRD PPS final rule, we also finalized the use of
the ASP methodology for any other policy that requires the use of
payment amounts for drugs and biologicals that, absent the ESRD PPS,
would be paid separately.
In accordance with this policy, in the CY 2016 ESRD PPS proposed
rule (80 FR 37829 through 37833), we proposed to use ASP methodology
for purposes of two policies (pricing new injectable and intravenous
products included in the ESRD PPS bundled payment amount for outlier
payments and determining the TDAPA under the ESRD PPS drug designation
process. A detailed discussion of our proposals can be found in the CY
2016 ESRD PPS proposed rule (80 FR 37831 through 37833).
As we discussed in the CY 2016 ESRD PPS final rule (80 FR 69023
through 69024), commenters expressed concern regarding the availability
of ASP data when including new injectable or intravenous products into
the ESRD PPS bundled payment, for purposes of both the outlier
calculation and TDAPA. A commenter pointed out that under the proposal,
new products would qualify as outlier services, and if we fail to allow
separate payment at launch, there would be no ASP upon which to base an
outlier payment. That commenter recommended that we consider how to
avoid jeopardizing beneficiary access by implementing an outlier
payment based on wholesale acquisition cost (WAC) or another readily
available price. We agreed with the commenter, and stated that in the
event we do not establish an ASP, WAC could be used. We explained that
we consider WAC pricing to be a part of the pricing methodologies
specified in section 1847A of the Act, and we would use the
methodologies available to us under that authority in order to
accurately determine a price for the calculation of outlier payments
for new injectable and intravenous drugs that fit into one of the
existing ESRD PPS functional categories. However, we did not address
extending this policy to Part B ESRD-related drugs and biologicals that
are currently eligible for outlier consideration that may not have ASP
data.
Also, in the CY 2016 ESRD PPS final rule (80 FR 69024), other
commenters expressed concern regarding the use of ASP data for purposes
of the TDAPA. The commenters suggested that ASP would not be truly
reflective of the actual cost of the drugs. One commenter pointed out
that there is often a data lag between ASP and the actual cost of the
drugs and as a result, the TDAPA may not reflect the actual cost of the
drug. We responded that the ASP methodology is a part of the pricing
methodologies specified in section 1847A of the Act, which may also
include WAC pricing during the first quarter of sales as specified in
section 1847A(c)(4) of the Act. We agreed with commenters that ASP
pricing may not always be the most appropriate way to calculate the
TDAPA. Therefore, we revised the regulation text at Sec. 413.234(c)(1)
to refer to the pricing methodologies under section 1847A of the Act,
rather than ASP pricing methodology, because these methodologies
include ASP as well as WAC.
c. Pricing Methodologies Under Section 1847A of the Act
Medicare Part B follows the provisions under section 1847A of the
Act for purposes of determining the payment amounts for drugs and
biologicals that are described in section 1842(o)(1)(C) of the Act and
that are furnished on or after January 1, 2005. While most Part B drugs
(excluding those paid on a cost or prospective payment basis) are paid
at ASP plus 6 percent, there are cases where ASP is unavailable. For
example, when a new drug or biological is brought to market, sales data
is not sufficiently available for the manufacturer to compute an ASP.
In these cases, the payment amount for these drugs could be determined
using WAC (as specified in section 1847A(c)(4) of the Act) or, when WAC
is not available, the Medicare Administrative Contractor has discretion
in determining the payment amount. Under section 1847A(d) of the Act,
CMS also has the authority to substitute an Average Manufacturer Price
(AMP) or Widely Available Market Price (WAMP)-based payment amount for
the ASP-based payment amount when the ASP exceeds the AMP or WAMP by a
threshold amount. As discussed in the CY 2013 Physician Fee Schedule
final rule (77 FR 69140 through 69141), published in the Federal
Register on November 1, 2012, the AMP price substitution policy is not
utilized frequently and WAMP-based price substitutions are not
currently implemented. CMS also uses a carryover pricing policy in the
very rare situations when a manufacturer's ASP data for a multiple
source drug product is missing, as discussed in the CY 2011 Physician
Fee Schedule final rule (75 FR 73461 through 73462).
For newly approved drugs, ASP-based payment limits typically become
effective two quarters after the drug's first quarter of sales (a
discussion about the use of partial quarter ASP data is available in
the CY 2012 Physician Fee Schedule final rule, 75 FR 73465). We note
that if WAC-based partial quarter payment amounts are used, such
payment amounts will typically exceed payments based on ASP. Thus,
there may be circumstances where WAC-based partial quarter pricing of
the drug increases the beneficiary's cost sharing payment. In order to
minimize financial impact on beneficiaries, in situations where less
than a quarter's worth of ASP data is available, an ASP-based payment
limit will be used, if it is available.
d. Pricing Eligible Outlier Drugs and Biologicals That Were or Would
Have Been, Prior to January 1, 2011, Separately Billable Under Medicare
Part B
As we have described above, section 1847A of the Act provides
methods that are used to determine payment amounts for most separately
paid Part B drugs, that is, drugs and biologicals that are not paid on
a cost or PPS basis (see section 1842(o)(1) of the Act). We are aware
of several circumstances in which an ASP-based payment amount is not
available. For example, an ASP-based payment amount is not available
when drugs or biologicals are new to market and manufacturers have not
yet reported ASP data. Based on CMS' experience with determining Part B
drug payment limits under section 1847A of the Act, we believe the
instances are limited when ASP data would not be available for drugs or
biologicals that could qualify for the ESRD outlier calculation.
Nevertheless, we believe that these drugs and biologicals, when they
are determined to be an ESRD outlier service, should count toward the
outlier calculation, regardless of the limited frequency.
In the CY 2018 ESRD PPS proposed rule, we proposed to extend the
use of all pricing methodologies under section 1847A of the Act for
purposes of the ESRD PPS outlier policy, specifically for
[[Page 50744]]
current ESRD-related drugs and biologicals that were or would have been
separately billable under Part B prior to the implementation of the
ESRD PPS and are outlier eligible for CY 2018 and subsequent years. As
we noted in the CY 2018 ESRD PPS proposed rule, we have already
established a policy under the drug designation process in the CY 2016
ESRD PPS final rule (80 FR 69023), whereby we use the pricing
methodologies specified in section 1847A of the Act to determine the
TDAPA for a new injectable or intravenous product that is not
considered included in the ESRD PPS base rate (Sec. 413.234(c)). In
addition, we have established that we use these methodologies to
determine a price for the calculation of outlier payments for new
injectable and intravenous drugs that fit into one of the existing the
functional categories (80 FR 69023).
We explained in the CY 2018 ESRD PPS proposed rule that we believe
using the pricing methodologies under section 1847A of the Act is
consistent with the ESRD PPS drug designation process, including TDAPA,
and how covered drugs and biologicals are paid under Medicare Part B.
We stated that we believe consistency with Medicare Part B payment for
drugs and biologicals would be beneficial to ESRD facilities because
this is the way CMS pays for injectable drugs and biologicals reported
on the ESRD claim with the AY modifier; and therefore facilities would
be able to predict outlier payments. Therefore, we proposed to apply
any pricing methodology available under section 1847A of the Act as
appropriate when ASP pricing is unavailable for eligible drugs and
biologicals under the outlier policy that were or would have been
separately billable under Part B prior to the implementation of the
ESRD PPS.
We noted in the CY 2018 ESRD PPS proposed rule that, in situations
in which ASP data is not available and other methodologies under
section 1847A of the Act do not apply (including but not limited to AMP
price substitution or carryover pricing), we believe that a WAC-based
payment amount can be determined instead. Based on our experience with
determining Part B drug payments under section 1847A of the Act, we
stated, we believe that drugs and biologicals that are approved by the
Food and Drug Administration and are being sold in the United States
nearly always have WAC amounts published in pricing compendia. We noted
that we believe this proposal is consistent with the intent of the ESRD
PPS outlier policy, which is to provide a payment adjustment for high
cost patients due to unusual variations in the type or amount of
medically necessary care. If there are drugs and biologicals that ESRD
facilities furnish for the treatment of ESRD that qualify as ESRD
outlier services and do not have ASP data, we stated that we would want
these items counted toward an outlier payment since they are a part of
the cost the facility is incurring. When a drug or biological does not
have ASP data or WAC data or cannot otherwise be priced under section
1847A of the Act, we proposed that it would not count toward the
outlier calculation. When the utilization of a drug or biological is
not counted toward the outlier calculation, it may result in a lower
outlier payment or no outlier payment to the ESRD facility.
We solicited comment on our proposal to use any pricing methodology
available under section 1847A of the Act for purposes of the ESRD PPS
outlier policy. We also solicited comment on our proposal that when
pricing methodologies are not available under section 1847A of the Act,
the drug or biological would not count toward the outlier calculation.
The comments and our responses to the comments on our outlier
proposals are set forth below.
Comment: Most commenters on this proposal, including national
dialysis provider organizations, several large dialysis organizations,
a patient advocacy organization, a drug manufacturer, a health system
and a professional association expressed support for the proposal to
use the pricing methodologies available under section 1847A of the Act
to price drugs and biologicals for the outlier policy.
Commenters noted that, historically, new drugs and biologicals used
in the treatment of ESRD that come to market can be expensive and not
having access to outlier payments may create an unintended barrier.
While they believe that it is unlikely a new drug or biological will
not have an ASP or WAC, they indicated that it is important to ensure
that payment policies do not disincentivize the use of drugs and
biologicals. Another commenter stated patients who require outlier
drugs should not be denied the individualized care they need and
deserve due to revisions to the pricing methodology.
Response: We appreciate the commenters' support for our outlier
proposal. We also agree with the importance of beneficiary access to
new therapies when they come to market and, as discussed more fully
below, we believe the policy we are finalizing ensures that every drug
and biological within an ESRD PPS functional category, except for drugs
that are eligible for the TDAPA, is included in the outlier
calculation.
Comment: Several commenters expressed concern about the
availability of an outlier payment in the event there is no pricing
data available for drugs and biologicals. The commenters offered
alternative pricing approaches that would be applied when no price is
available using the methods described in section 1847A of the Act to
ensure that all drugs and biologicals could be priced for the outlier
calculation. Several commenters urged CMS to rely upon contract pricing
rather than not include a new drug in the outlier calculation. One
commenter asked that CMS provide an analysis of the proposal to clarify
the impact on the ESRD PPS.
Another commenter recommended pricing the drug or biological by the
hospital's cost-to-charge ratio for Cost Center 7300, Drugs Charged to
Patients, for hospital-based ESRD facilities or the hospital-specific
Reasonable Cost Factor that is currently used for payment of vaccines
and blood products on ESRD claims from hospital-based facilities. Since
this Reasonable Cost Factor is already used in the ESRD PPS, the
commenter stated that applying it to this category of drugs and
biologicals should be relatively easy administratively. The commenter
indicated that adding an additional last resort pricing method would
allow for hospital-based ESRD facilities to receive outlier payments or
payments for non-ESRD related services (meaning, we believe, separately
billable items and services reported with the AY modifier) that reflect
the costs of drugs or biologicals for which no other pricing method is
possible.
Response: We agree with the commenters that all eligible drugs and
biologicals should be counted in the outlier calculation, to maintain
consistency in the policies under the ESRD PPS and to ensure patient
access to necessary medications. Also, while we appreciate the
commenters' suggestions for alternative pricing methodologies, none of
the suggestions fall under the pricing methodologies in section 1847A
of the Act. Since our goal is to ensure all eligible drugs and
biologicals are counted in the outlier calculation, while maintaining
consistency with the drug pricing policies under the ESRD PPS, we
believe adopting any of the suggested alternatives would make drug
pricing policies under the ESRD PPS inconsistent.
As we stated in the CY 2018 ESRD PPS proposed rule (82 FR 31196),
we believe that using the pricing
[[Page 50745]]
methodologies under section 1847A of the Act is consistent with the
ESRD PPS drug designation process for new injectable and intravenous
drugs, and how covered drugs and biologicals are paid under Medicare
Part B. We continue to believe that consistency with Medicare Part B
payment for drugs and biologicals is beneficial to ESRD facilities
because, as mentioned above, this is the way CMS pays for injectable
drugs and biologicals on the ESRD claim with the AY modifier; and
therefore, facilities would be able to predict outlier payments. We
continue to believe it is preferable to have one pricing policy for
Part B drugs and biologicals under the ESRD PPS applicable to both the
drug designation process, including TDAPA, and outlier policy.
Therefore, we are not adopting the commenters' suggestions at this
time.
Upon further review and discussion, while we believe the ASP and
WAC pricing methodologies under section 1847A of the Act are sufficient
to price most eligible drugs and biologicals for the purposes of
outlier payment, we note that Medicare Administrative Contractors are
authorized to use invoice pricing in scenarios in which neither ASP nor
WAC data is available. This is consistent with chapter 17, section
20.1.3 of the Medicare Claims Processing Manual, which directs the
Medicare Administrative Contractors to develop payment allowance limits
for covered drugs and biologicals that are not included in the ASP
Medicare Part B Drug Pricing File or Not Otherwise Classified Pricing
File based on the published WAC or invoice pricing. Invoice pricing is
not as robust a measure of actual sales price as ASP, but it is nearly
universally available. Therefore, as we now believe the pricing
methodologies under section 1847A of the Act and related guidance are
sufficiently comprehensive, we are not finalizing the proposal to not
count certain drugs and biologicals toward the outlier calculation when
pricing methodologies are not available under section 1847A of the Act.
We intend to analyze the utilization of drugs and biologicals and
how they are priced on a consistent basis to monitor the use of those
methodologies described in section 1847A of the Act.
With regard to the comment that we provide an analysis of the
impact of this proposal, currently we are aware of only 2 drugs with
low utilization that were unable to be priced using ASP for outlier
purposes. Those particular drugs had WAC prices and thus could be
priced using the pricing methods under section 1847A of the Act;
therefore, we believe the impact is negligible.
Comment: MedPAC commented that CMS should rely on ASP data when
pricing drugs and biologics under the ESRD PPS outlier policy and drug
designation process, including TDAPA, with one exception: New, single-
source drugs and biologics, and the first biosimilar to reference a
biologic (that lacks ASP data). MedPAC recommended that new single-
source drugs and biologics, and the first biosimilar to a reference
biologic (that lack ASP data), should be priced using WAC data only for
2 to 3 calendar quarters to permit time for manufacturers to report
sales data to CMS and for the agency to calculate an ASP. If at the end
of 2 to 3 calendar quarters, ASP data are not available, MedPAC
recommended CMS should not use WAC for purposes of calculating outlier
payments.
MedPAC referred to its June 2017 report to the Congress, entitled
``Medicare and the Health Care Delivery System,'' which raised concerns
about the accuracy of WAC data. MedPAC stated that unlike an ASP, a
product's WAC does not incorporate prompt-pay or other discounts. If
discounts are available, then a product's WAC price would be greater
than it otherwise would be under the ASP-based formula. Consequently,
MedPAC noted that using WAC data to determine payments under the
outlier policy could result in higher spending for beneficiaries and
taxpayers.
MedPAC further commented that, to reduce the need to use less
accurate prices, such as WAC, and to improve the accuracy of ASP data,
it recommended in the June 2017 report that Congress improve ASP data
reporting by requiring all manufacturers of Part B drugs and biologics
to report ASP and impose civil monetary penalties for failure to
report. As noted by MedPAC, under current policy, not all manufacturers
of Part B drugs are required to submit their ASP data. Section
1927(b)(3) of the Act requires only manufacturers with Medicaid drug
rebate agreements in place to report their sales data to calculate ASP
for each of their Part B drugs.
Response: Our intent for the outlier proposal was to have a
consistent drug pricing policy under the ESRD PPS with respect to Part
B drugs and to protect beneficiary access to renal dialysis services.
We believe that our proposal achieves those goals. We further believe
that a change as substantial as relying only on ASP data for TDAPA
pricing, as suggested by MedPAC, is out of scope for this rulemaking
because we did not propose any changes to the TDAPA. Therefore, we are
not adopting the MedPAC recommendation for TDAPA in this final rule. We
share MedPAC's concern that ongoing reliance on the use of WAC pricing
under the ESRD PPS could result in higher payments and will consider
limiting the use of the other non-ASP pricing methods available under
section 1847A of the Act in the future if our monitoring indicates they
are used for an extended period of time and manufacturers are not
reporting ASP data.
Final Rule Action: We are finalizing our proposal to use the
pricing methodologies in section 1847A of the Act, as appropriate, to
price drugs and biologicals for the outlier calculation when ASP
pricing data is not available. We are not finalizing the proposal to
not count certain drugs and biologicals toward the outlier calculation
when pricing methodologies are not available under section 1847A of the
Act.
2. CY 2018 ESRD PPS Update
a. CY 2018 ESRD Bundled Market Basket Update, Productivity Adjustment,
and Labor-Related Share for the ESRD PPS
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 PPS payment amounts
are required to be annually increased by an ESRD market basket increase
factor and 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 1.0
percentage point for 2018. Accordingly, for CY 2018, we proposed to
reduce the amount of the market basket percentage increase by 1.0
percent and to further reduce it by the productivity adjustment.
[[Page 50746]]
We proposed 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 2018 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 the IHS Global Inc. (IGI) 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.
As a result of these provisions, and using the IGI forecast for the
first quarter of 2017 of the CY 2012-based ESRDB market basket (with
historical data through the 4th quarter of 2016), the proposed CY 2018
ESRD market basket increase was 0.7 percent. This market basket
increase was calculated by starting with the proposed CY 2018 ESRDB
market basket percentage increase factor of 2.2 percent, reducing it by
the mandated legislative adjustment of 1.0 percent (required by section
1881(b)(14)(F)(I)(i) of the Act), and reducing it further by the
multifactor productivity (MFP) adjustment (the 10-year moving average
of MFP for the period ending CY 2018) of 0.5 percent. As is our general
practice, we proposed that if more recent data are subsequently
available (for example, a more recent estimate of the market basket or
MFP adjustment), we will use such data to determine the CY 2018 market
basket update and MFP adjustment in the CY 2018 ESRD PPS final rule.
The IGI 3rd quarter 2017 forecast of the CY 2018 ESRDB market
basket update is 1.9 percent. The decrease from the 1st quarter 2017
forecast (2.2 percent) to the 3rd quarter 2017 forecast (1.9 percent)
is mostly attributable to a decrease in the projected growth of the
series ``Producer Price Index: Commodity Data--Biological products
excluding diagnostic, for human use.'' This series is used as the price
proxy to estimate the ``erythropoiesis-stimulating agent (ESAs)'' cost
category. The IGI 3rd quarter 2017 forecast of the MFP adjustment is
0.6 percent. The increase from the 1st quarter 2017 MFP forecast (0.5
percent) to the 3rd quarter 2017 MFP forecast (0.6) is mainly
attributable to the incorporation of upward revisions of historical
data by the Bureau of Labor Statistics (BLS), as well as slower
projected labor input growth and capital input growth. Slower growth in
labor and capital inputs result in a faster growth in topline MFP since
MFP is measured as the change in outputs divided by the change in
inputs.
For the CY 2018 ESRD payment update, we proposed to continue using
a labor-related share of 50.673 percent for the ESRD PPS payment, which
was finalized in the CY 2015 ESRD PPS final rule (79 FR 66136).
We did not receive any comments on the proposed CY 2018 market
basket update, MFP adjustment, or labor-related share.
Final Rule Action: As noted above, the final CY 2018 market basket
update and MFP adjustment in the ESRD PPS final rule will be based on
the most recent forecast of data available. Therefore, using the IGI
3rd quarter 2017 forecast with historical data through the 2nd quarter
2017, the final CY 2018 ESRDB update is 0.3 percent. This is based on a
1.9 percent market basket update, less a 1.0 percent adjustment as
required by section 1881(b)(14)(F)(i)(I) of the Act, as amended by
section 217(b)(2)(A)(ii) of PAMA, and further reduced by a 0.6 percent
MFP update.
b. Final CY 2018 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's) CBSAs-based geographic area designations to define
urban and rural areas and their corresponding wage index values. OMB
publishes bulletins regarding CBSA changes, including changes to CBSA
numbers and titles. The latest bulletin, as well as subsequent
bulletins, is available online at https://www.whitehouse.gov/omb/information-for-agencies/bulletins.
For CY 2018, we stated that 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 2018 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 sections 1886(d)(8) and (d)(10) of
the Act and utilize pre-floor hospital data that are unadjusted for
occupational mix. The final CY 2018 wage index values for urban areas
are listed in Addendum A (Wage Indices for Urban Areas) and the final
CY 2018 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 at https://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.
We apply the wage index for Guam (0.9611) to American Samoa and the
Northern Mariana Islands as established in the CY 2014 ESRD PPS final
rule (78 FR 72172). We apply the statewide urban average based on the
average of all urban areas within the state (78 FR 72173) (0.8472) to
Hinesville-Fort Stewart, Georgia. We note that if hospital data becomes
available for these areas, we will use that data for the appropriate
CBSAs instead of the proxy.
A wage index floor value has been used instead of the calculated
wage index values below the floor in making payment for renal dialysis
services under the ESRD PPS. Currently, all areas with wage index
values that fall below the floor are located in Puerto Rico. However,
the wage index floor value is applicable for any area that may fall
below the floor. A detailed description of the history of the wage
index floor under the ESRD PPS can be found in the CY 2018 ESRD PPS
proposed rule (82 FR 31198).
In the proposed rule, for CY 2018 and subsequent years, we proposed
to maintain the current wage index floor of 0.4000 for CBSAs that have
wage index values that fall below the floor. We stated that the cost
report analyses that we have conducted over the years are inconclusive
and have not convinced us that an increase in the wage index floor is
warranted at this time. We explained that we continued to believe
maintaining the current wage index
[[Page 50747]]
floor value of 0.4000 is appropriate as it continues to provide
additional payment support to the lowest wage areas and avoids the need
for an additional budget-neutrality adjustment that would reduce the
ESRD PPS base rate, beyond the adjustment needed to reflect updated
hospital wage data, in order to maintain budget neutrality for wage
index updates. We noted that we would continue to monitor and analyze
ESRD facility cost reports and projected impacts to guide future
rulemaking with regard to the wage index floor (82 FR 31198).
The comments and our responses to the comments on our wage index
proposals are set forth below.
Comment: A national dialysis organization and a large dialysis
organization support the methodology for determining the wage indices
and the continued application of the wage index floor. However, they
asked that CMS consider how the current policy could be modified to
adjust wage index values to account for laws requiring wage increases.
They noted that under the current methodology for determining the wage
indices for ESRD facilities, there can be a lag of several years with
the wage index recognizing these changes.
Response: We agree with commenters that there is a data lag that
occurs when a State changes its minimum wage or staffing requirements
and when it is reflected in the hospital-reported wage data. We also
believe it is more prudent to base the wage index on actual reported
data rather than anticipated changes and the uncertainty of what may or
may not be reported. For this reason, we are retaining the current
methodology for determining wage indices.
Comment: Although we did not propose to change the wage index
floor, we received comments from the major dialysis providers in Puerto
Rico and a coalition of healthcare stakeholders in Puerto Rico. The
commenters described the economic and healthcare crisis in Puerto Rico
and recommended that CMS should use the United States Virgin Islands
wage index for payment rate calculations in Puerto Rico as a proxy for
CY 2018, given disadvantages recognized by CMS analysis, the
unreliability of hospital-reported data in Puerto Rico and the
inconsistencies with the wage indices used for other Territories. One
commenter indicated that making this change for CY 2018 is similar to
the CMS policy established in the CY 2017 Physician Fee Schedule final
rule (81 FR 80261 through 80265) about the applicable geographic
practice cost index (GPCI) factors and would be a natural ``outgrowth''
policy to define as a temporary measure derived from analysis and
language presented in the CY 2017 ESRD PPS final rule and the CY 2018
ESRD PPS proposed rule, as well as from other previous regulatory
cycles.
Commenters indicated that the primary issue is that Puerto Rico
hospitals report comparatively lower wages that are not adjusted for
occupational mix and, as CMS indicates in the CY 2017 ESRD PPS proposed
rule (81 FR 42817), in Puerto Rico, only registered nurses (RNs) can
provide dialysis therapy in the outpatient setting. This staffing
variable artificially lowers the reportable index values even though
the actual costs of dialysis service wages in Puerto Rico are much
higher than the data CMS is relying upon. In addition, several
commenters stated that non-labor costs, including utilities and
shipping costs and the CY 2015 change in the labor-share based on the
rebased and revised ESRDB market basket compound the issue even
further. One organization stated that it does not believe maintaining
the current wage index for Puerto Rico for CY 2018 is enough to offset
the poor economic conditions, high operational costs and epidemiologic
burden of ESRD on the island.
Response: We did not propose to change the wage index floor or
otherwise change the wage indexes for Puerto Rico and will maintain the
current wage index floor of 0.4000 for CY 2018. We note that the
current wage index floor and labor-related share have been in effect
since CY 2015 and neither the floor nor the labor share has been
reduced since then. More importantly, the wage index is solely intended
to reflect differences in labor costs and not to account for non-labor
cost differences, such as utilities or shipping costs.
With regard to staffing in Puerto Rico facilities, we have learned
that ESRD facilities there utilize RNs similarly to ESRD facilities on
the mainland, that is, facilities utilize dialysis technicians and
aides to provide dialysis services with oversight by an RN. In
addition, hourly wages for RNs and dialysis support staff were
approximately half of those salaries in mainland ESRD facilities. For
these reasons, we do not agree that the hospital-reported data is
unreliable, and we believe using that data is more appropriate than
applying the wage index value for the Virgin Islands where salaries are
considerably higher.
Final Rule Action: After considering the public comments we
received regarding the wage index, we are finalizing the CY 2018 ESRD
PPS wage indices based on the latest hospital wage data as proposed. In
addition, we are maintaining a wage index floor of 0.4000.
ii. Application of the Wage Index Under the ESRD PPS
A facility's wage index is applied to the labor-related share of
the ESRD PPS base rate. In the CY 2015 ESRD PPS final rule (79 FR
66136), we finalized the labor-related share of 50.673 percent, which
is based on the 2012-based ESRDB market basket. Thus, for CY 2018, the
labor-related share to which a facility's wage index would be applied
is 50.673 percent.
c. CY 2018 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 care, including
variability in the amount of 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,
and comorbidities such as cancer. The ESRD PPS recognizes high cost
patients, and we have codified the outlier policy in our regulations at
42 CFR 413.237. The policy provides the following ESRD outlier items
and services are included in the ESRD PPS bundle: (1) ESRD-related
drugs and biologicals that were or would have been, prior to January 1,
2011, separately billable under Medicare Part B; (2) ESRD-related
laboratory tests that were or would have been, prior to January 1,
2011, separately billable under Medicare Part B; (3) 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 (4) 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.
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 (that is, date of service) 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
[[Page 50748]]
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 issuances 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 that were or would have been covered under Medicare Part
D for outlier eligibility purposes and in order to provide unit prices
for calculating imputed outlier services. In addition, we 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 FDL amount. In accordance with Sec. 413.237(c) of our
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 FDL amounts that are added to
the predicted outlier services MAP amounts. The outlier services MAP
amounts and FDL 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 2018 outlier policy, we used the existing methodology
for determining outlier payments by applying outlier services payment
multipliers that were developed for the CY 2016 ESRD PPS final rule (80
FR 68993 through 68994, 69002). We used these outlier services payment
multipliers to calculate the predicted outlier service MAP amounts and
projected outlier payments for CY 2018.
For CY 2018, we proposed that the outlier services MAP amounts and
FDL amounts would be derived from claims data from CY 2016. As we
stated in the CY 2018 ESRD PPS proposed rule, 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. Therefore, we proposed the outlier thresholds
for CY 2018 would be based on utilization of renal dialysis items and
services furnished under the ESRD PPS in CY 2016. We stated that 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 FDL amounts every year under the ESRD PPS.
In the CY 2017 ESRD PPS final rule (81 FR 77860), we stated that
based on the CY 2015 claims data, outlier payments represented
approximately 0.93 percent of total payments. In the CY 2018 ESRD PPS
proposed rule (82 FR 31199), we discussed that the CY 2016 claims data
show outlier payments represented approximately 0.78 percent of total
payments. We explained that data indicates that trends in the
utilization of the ESAs could be a reason for the decrease. Beginning
in 2015 and continuing into 2016, there were large shifts in the
composition of the utilization of ESA drugs. Specifically, utilization
of Epoetin (EPO) alfa decreased and utilization of the longer-acting
ESA drugs, darbepoetin and EPO beta, increased, based on estimates of
average ESA utilization per session. As EPO alfa is measured in
different units than both darbepoetin and EPO beta, it is difficult to
compare the overall utilization of ESAs between 2014 and 2016 by units
alone.
As we stated in the CY 2018 ESRD PPS proposed rule, in examining
the claims data, we find that compositional shift away from use of EPO
alfa to the longer acting darbepoetin and EPO beta was a significant
factor in the decrease in total ESA costs in 2016. We first calculated
the actual cost for ESAs administered during 2016. We then calculated
the projected cost of ESAs that was used for the CY 2016 ESRD PPS final
rule, using total utilization from 2014 and drug prices the from 3rd
quarter 2015 inflated to 2016 prices. The actual costs of ESAs
administered in 2016 were roughly 20 percent lower than the value
projected in the CY 2016 ESRD PPS final rule. We then calculated the
projected cost of ESAs assuming that the utilization of various ESAs
per dialysis session in 2014 and 2016 were similar and also used the
prices and total dialysis session count from 2016. The projected costs
from these two scenarios were similar and suggest that compositional
change in ESA utilization was likely a significant factor in the
decrease in the total cost of ESAs between 2014 and 2016. We noted that
we continue to believe that the decline is leveling off and that 1.0
percent is an appropriate threshold for outlier payments.
i. CY 2018 Update to the Outlier Services MAP Amounts and FDL Amounts
For CY 2018, we did not propose any changes to the methodology used
to compute the MAP or FDL amounts. Rather, we proposed to update the
outlier services MAP amounts and FDL amounts to reflect the utilization
of outlier services reported on 2016 claims. For this final rule, the
outlier services MAP amounts and FDL amounts were updated using the
latest available 2016 claims data. The impact of this update is shown
in Table 1, which compares the outlier services MAP amounts and FDL
amounts used for the outlier policy in CY 2017 with the updated
estimates for this rule. The estimates for the CY 2018 outlier policy,
which are included in Column II of Table 1, were inflation-adjusted to
reflect projected 2018 prices for outlier services.
[[Page 50749]]
TABLE 1--Outlier Policy: Impact of Using Updated Data To Define the Outlier Policy
----------------------------------------------------------------------------------------------------------------
Column I final outlier policy Column II final outlier policy
for CY 2017 (based on 2015 for CY 2018 (based on 2016
data, price inflated to 2017) data, price inflated to 2018)
* -------------------------------
--------------------------------
Age < 18 Age >= 18 Age < 18 Age >= 18
----------------------------------------------------------------------------------------------------------------
Average outlier services MAP amount per $38.77 $47.00 $37.41 $44.27
treatment......................................
Adjustments..................................... .............. .............. .............. ..............
Standardization for outlier services............ 1.0078 0.9770 1.0177 0.9774
MIPPA reduction................................. 0.98 0.98 0.98 0.98
Adjusted average outlier services MAP amount.... $38.29 $45.00 $37.31 $42.41
Fixed-dollar loss amount that is added to the $68.49 $82.92 $47.79 $77.54
predicted MAP to determine the outlier
threshold......................................
Patient-months qualifying for outlier payment... 4.6% 6.7% 9.0% 7.4%
----------------------------------------------------------------------------------------------------------------
* Note that Column I was obtained from Column II of Table 1 from the CY 2017 ESRD PPS final rule.
As demonstrated in Table 1, the estimated FDL amount per treatment
that determines the CY 2018 outlier threshold amount for adults (Column
II; $77.54) is lower than that used for the CY 2017 outlier policy
(Column I; $82.92). The lower threshold is accompanied by a decrease in
the adjusted average MAP for outlier services from $45.00 to $42.41.
For pediatric patients, there is a decrease in the FDL amount from
$68.49 to $47.79. There is a slight decrease in the adjusted average
MAP for outlier services among pediatric patients, from $38.29 to
$37.31.
We estimate that the percentage of patient-months qualifying for
outlier payments in CY 2018 will be 7.4 percent for adult patients and
9.0 percent for pediatric patients, based on the 2016 claims data. The
pediatric outlier MAP amount continues 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 Percentage
In the CY 2011 ESRD PPS final rule (75 FR 49081), under Sec.
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 as described in Sec. 413.237. Based
on the 2016 claims, outlier payments represented approximately 0.78
percent of total payments, below the 1 percent target due to small
overall declines in the use of outlier services. Recalibration of the
thresholds using 2016 data is expected to result in aggregate outlier
payments close to the 1 percent target in CY 2018. We believe the
update to the outlier MAP and FDL amounts for CY 2018 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 FDL amounts in this final rule will 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 will increase payments to ESRD facilities for beneficiaries with
renal dialysis items and services that are eligible for outlier
payments. Therefore, beneficiary coinsurance obligations will also
increase for renal dialysis services eligible for outlier payments.
The comments and our responses to the comments on the proposal to
update the outlier thresholds using CY 2016 data are set forth below:
Comment: A national dialysis organization and a large dialysis
organization expressed concern about the statement made in the CY 2018
ESRD PPS proposed rule (82 FR 31199) that ESAs administered in 2016
were roughly 20 percent lower than the value we projected in the CY
2016 ESRD PPS final rule. They do not disagree with the conclusion that
there should be no change in the threshold for outlier payments.
However, they indicated that understanding the cost and utilization of
drugs generally, and ESAs in particular, is important to understanding
the adequacy of the payment system. They expressed concern that the
preamble of the CY 2018 ESRD PPS proposed rule does not describe how
CMS determined this value and it seems inconsistent with trends that
some ESRD facilities see in their own data.
Response: In the CY 2017 ESRD PPS final rule (81 FR 77860), we
stated that based on the CY 2015 claims data, outlier payments
represented approximately 0.93 percent of total payments. For this
final rule, CY 2016 claims data show outlier payments representing
approximately 0.78 percent of total payments. To address the
commenters' concern regarding how we determined that the actual costs
of ESAs administered in 2016 were roughly 20 percent lower than the
value projected in the CY 2016 ESRD PPS final rule, we have included
more detail of the analysis here. As we discussed above, beginning in
2015 and continuing into 2016, there were large shifts in the
composition of the utilization of ESA drugs in the claims data.
Specifically, estimates of average ESA utilization of EPO alfa
(Healthcare Common Procedure Coding System (HCPCS) Q4081) per dialysis
session decreased from 28.54 units in 2014 to 13.73 units in 2016, and
utilization of the longer-acting ESA drugs, darbepoetin (HCPCS J0886)
and EPO beta (HCPCS Q9972/J0887), increased, from 0.75 and 0.001 mcg in
2014 to 2.13 and 3.01 mcg in 2016, respectively. As EPO alfa is
measured in different units than both darbepoetin and EPO beta, it is
difficult to compare the overall utilization of ESAs between 2014 and
2016 by units alone.
In examining the claims data, we continue to find that the
compositional shift away from use of EPO alfa to the longer acting
darbepoetin and EPO beta was a significant factor in explaining why
total ESA costs actually incurred in 2016 were lower than the total ESA
costs projected for 2016 using 2014 data. We first calculated the
actual cost for ESAs administered during 2014 and 2016. We found shifts
in the composition of costs per dialysis session associated with each
ESA that were proportional to changes in utilization per session.
Specifically, estimates of average ESA cost of EPO alfa per dialysis
session decreased from $32.50 in 2014 to $17.19 in 2016, and average
cost per session of darbepoetin and EPO beta increased from $2.79 and
$0.00 in 2014 to $8.53 and $5.08 in 2016, respectively. Total
calculated costs of ESAs in 2014 and 2016 were $1.6 billion and $1.4
billion. We then
[[Page 50750]]
calculated the projected cost of ESAs that was used for the CY 2016
ESRD PPS final rule, using total utilization from 2014 and drug prices
from the 3rd quarter 2015 inflated to 2016 prices, to be $1.7 billion.
The actual costs of ESAs administered in 2016 were roughly 20 percent
lower than this value projected in the CY 2016 ESRD PPS final rule (80
FR 68974).
In order to understand the reason for this difference, we created a
projected 2016 value using an alternative scenario. In this scenario,
we calculated the projected cost of ESAs assuming that the utilization
of various ESAs per dialysis session in 2016 was equivalent to that in
2014, but instead we used the prices and total dialysis session count
from 2016. The projected costs from these two scenarios were similar
and suggest that neither the difference in the projected (3rd quarter
2015 prices inflated to 2016) versus actual ESA prices for 2016 nor
changes in the number of dialysis sessions between 2014 and 2016
explain the difference between the projected and actual cost of ESAs in
2016. Therefore, the residual factor indicates that compositional
changes in ESA utilization were the most likely factor in the decrease
in the total cost of ESAs between 2014 and 2016. We continue to believe
that the decline is leveling off and that 1.0 percent is an appropriate
target for outlier payments.
Comment: Although we did not propose changes to the outlier target
percentage or update methodology, we received many comments regarding
the difference between estimated outlier payments and the 1.0 percent
outlier target. A national kidney organization and a large dialysis
organization expressed support for CMS' proposal to refine the outlier
pool so that the dollars paid out more closely align with the estimated
amount used to create the outlier pool. However, they expressed concern
that CMS has not yet addressed the fact that the outlier pool is
consistently paying out less than the amount removed from the base
rate. Both organizations referenced an analysis that estimated the
outlier pool underpaid $0.46 per treatment in 2016 and that,
cumulatively since 2011, $4.97 has been removed by the underpayment of
the outlier pool. They asked that CMS further refine the outlier policy
so that it is more consistent with how outlier policies in other
Medicare payment systems work.
A patient advocacy organization expressed strong support for CMS
having an outlier payment policy as the organization believes it is a
helpful policy for ensuring that costlier patients receive the care
they need. However, the organization recommended that CMS revisit the
calculation and application of the outlier payment policy to ensure
that total amount of payments withheld are paid back to facilities for
patient care.
An organization representing non-profit facilities and a large
dialysis organization urged CMS to reconsider the 1 percent outlier
policy first implemented in 2011, stating that while an outlier
adjustment is required under the statute, a 0.5 percent outlier target
percentage would reduce the offset to the base payment and still
provide for payment in the case of extraordinary costs.
A large dialysis organization stated that despite CMS's efforts to
equalize payment made into and out of the outlier pool, limited
progress toward that goal has been achieved. The commenter recommended
that CMS should address this problem by paying out any remaining
outlier pool dollars to providers in the subsequent year. A
professional association agreed, expressing concern about the ongoing
leakage of funds withheld, but not paid out as outlier payments.
Although the professional association agreed the rationale provided for
the anticipated increase in outlier payments may be accurate, it noted
that in calculating these estimates, CMS is adjusting for input costs
but not for changes in provider behavior, including a substantial shift
to other ESAs that are similarly expensive. The commenter stated that
in a fixed bundled payment environment, there is an incentive to
continually find ways to reduce costly practices--an unaccounted-for
factor that will likely contribute to the continued under-projection of
outlier payouts.
The professional association offered two alternate paths to
addressing the gap between outlier withholds and outlier payments for
CMS' consideration: (1) Revise the withhold on an annual basis so that
only the exact necessary amount is withheld to meet payouts (likely,
retrospectively); or (2) reinvest the difference between actual outlier
costs incurred and the funds withheld to support research and other
patient-focused initiatives within CMS' scope, such as: Analyzing data
to better understand aspects of dialysis care related to improved
patient outcomes; developing a demonstration project or pilot focused
on covering the cost of care for vascular access payment in the first
90 days prior to new ESRD patient eligibility; or supporting other
initiatives to improve the value of ESRD care provided, in partnership
with the kidney community.
Response: We appreciate the continued support for the outlier
policy and the suggestions provided. We continue to believe that 1.0
percent is an appropriate target for outlier payments given that using
more recent claims data to update the outlier MAP and FDL amounts for
CY 2018 will increase outlier payments for ESRD beneficiaries. A 1.0
percent outlier target percentage is a modest amount in comparison to
other Medicare prospective payment systems and helps to ensure that
high cost patients receive the individualized services they need. We
will, however, take the commenters' views into consideration as we
explore ways to enhance and update the outlier policy in future
rulemaking.
Comment: A professional association noted the decreases in the
pediatric MAP and FDL amounts to reflect the utilization of services in
2016 and expressed concern about the greater than 25 percent decrease
in the pediatric FDL amount. While the commenter recognizes that this
is the first proposed decrease in several years, the commenter believes
that it could negatively impact the delivery of care in pediatric
facilities.
Response: The reduction in the pediatric outlier threshold amounts
indicates that the cost of caring for pediatric ESRD patients was lower
in 2016 than in 2015. The decrease in the pediatric FDL amount makes
exceeding the amount for pediatric facilities easier to achieve.
Therefore, we believe this update will improve payments to facilities
serving pediatric patients and will not negatively impact the delivery
of care.
Final Rule Action: After considering the public comments, we are
finalizing the updated outlier thresholds based on CY 2016 data.
d. Final Impacts to the CY 2018 ESRD PPS Base Rate
i. ESRD PPS Base Rate
In the CY 2011 ESRD PPS final rule (75 FR 49071 through 49083), we
discussed the development of the ESRD PPS per treatment base rate that
is codified in the Medicare regulations at 42 CFR 413.220 and 42 CFR
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
for projected outlier payments and budget neutrality in accordance with
sections 1881(b)(14)(D)(ii) and 1881(b)(14)(A)(ii) of the Act,
[[Page 50751]]
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 composite rate and
separately billable services. In accordance with section 1881(b)(14)(D)
of the Act and regulations at Sec. 413.230, the ESRD PPS base rate is
adjusted for the patient specific case-mix adjustments, applicable
facility adjustments, geographic differences in area wage levels using
an area wage index, as well as applicable outlier payments, training
add-on payments, and transitional drug add-on payment adjustments.
ii. Annual Payment Rate Update for CY 2018
The ESRD PPS base rate for CY 2018 is $232.37. This update reflects
several factors, described in more detail as follows:
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 2018, we did not propose any changes to the
methodology used to calculate this factor, which is described in detail
in the CY 2014 ESRD PPS final rule (78 FR 72174). The final CY 2018
wage index budget-neutrality adjustment factor is 1.000531, based on
the updated wage index data. Therefore, the final ESRD PPS base rate
for CY 2018 before application of the payment rate update is $232.24
($231.55 x 1.000531 = $231.67).
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 2018 projection for the ESRDB
market basket is 1.9 percent. In CY 2018, this amount must be reduced
by 1.0 percentage point as required by section 1881(b)(14)(F)(i)(I) of
the Act, as amended by section 217(b)(2)(A) of PAMA, which is
calculated as 1.9-1.0 = 0.9 percent. This amount is then reduced by the
MFP 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 final MFP
adjustment for CY 2018 is 0.6 percent, thus yielding a final update to
the base rate of 0.3 percent for CY 2018 (0.9-0.6 = 0.3 percent). This
application yields a CY 2018 ESRD PPS final base rate of $232.37
($231.67 x 1.003 = $232.37).
The comments and our responses to the comments on our proposals to
update the payment rate for CY 2018 are set forth below.
Comment: One commenter expressed concern about the application of
section 1877 of the Act (the physician self-referral law) to dialysis
facilities that, under the TDAPA policy, would furnish and be
reimbursed for outpatient dialysis-related drugs that are not yet
considered ``part of the bundle.'' The commenter noted that outpatient
prescription drugs are designated health services for purposes of the
physician self-referral law and urged us to add outpatient dialysis-
related drugs furnished by a dialysis facility under the TDAPA policy
to the list of codes that are eligible for the exception for EPO and
other dialysis-related drugs furnished by an ESRD facility (42 CFR
411.355(g)), which would avoid the application of the physician self-
referral law to the referral of and billing for such drugs. The
commenter also urged us to confirm that any new drugs added to the
``bundle'' (such as calcimimetics after the TDAPA period) would fall
within the exclusion from the definition of ``designated health
services'' for outpatient prescription drugs reimbursed as part of a
composite rate. The commenter suggested that these steps would help
avoid confusion in the provider community and remove any potential
barriers to beneficiary access to dialysis drugs that might otherwise
occur in an environment in which there are perceived uncertainties
about compliance with the physician self-referral law.
Response: As the commenter noted, under section 1877 of the Act and
our regulations at 42 CFR 411.351, outpatient prescription drugs are
designated health services. However, services that are reimbursed by
Medicare as part of a ``composite rate'' are not included in the
definition of ``designated health services'' (unless the services are
specifically identified in Sec. 411.351 and are themselves payable
through a composite rate, such as inpatient and outpatient hospital
services). For purposes of the physician self-referral law, ``composite
rate'' refers to payments made under a distinct payment methodology (66
FR 868). With respect to ESRD services, for purposes of the physician
self-referral law, we interpret the ``composite rate'' as the per-
treatment payment amount. As described in our TDAPA implementation
guidance issued August 4, 2017, available on the CMS Web site at
https://www.cms.gov/Regulations-and-Guidance/Guidance/Transmittals/2017Downloads/R1889OTN.pdf, the methodology used to calculate the per-
treatment payment amount incorporates the cost of the drugs that are
paid for using a TDAPA. Thus, the commenter incorrectly presumes that
outpatient prescription drugs furnished and reimbursed under the TDAPA
policy are not considered part of the ESRD ``composite rate'' for
purposes of the physician self-referral law when, in fact, they are
included in this ``composite rate.'' As requested by the commenter, we
confirm that, after the TDAPA period under Sec. 413.234(c)(2),
calcimimetics will be part of the ESRD PPS ``composite rate'' for
purposes of the physician self-referral law.
We note that the payment methodology for calculating the ESRD PPS
per-treatment amount is unique to ESRD services, and our determination
regarding outpatient prescription drugs furnished and reimbursed under
the TDAPA policy does not apply to ambulatory surgical center services,
hospice services, skilled nursing facility Part A services, or any
other services that are reimbursed by Medicare as part of a composite
rate. We also note that our treatment of TDAPA drugs as part of the
ESRD PPS ``composite rate'' is consistent with our treatment of EPO and
other dialysis-related outpatient prescription drugs as excluded from
the ESRD PPS ``composite rate'' prior to January 1, 2011. In our
January 4, 2001 rulemaking interpreting section 1877 of the Act (Phase
I), we defined ``designated health services'' to exclude services that
are reimbursed by Medicare as part of a composite rate (66 FR 924). In
contrast to drugs that are paid for using a TDAPA, at the time of our
Phase I rulemaking, EPO and other dialysis-related outpatient drugs
were not included in the methodology used to calculate the per-
treatment payment amount; that is, for purposes of the physician self-
referral law, they were not paid as part of the ESRD PPS ``composite
rate'' and remained ``designated health services.'' Therefore, a
physician owner of an ESRD facility that did not qualify as a ``rural
provider'' (for purposes of the physician self-referral law) would have
been precluded from ordering EPO and other dialysis-related outpatient
prescription drugs for his or her Medicare patients and the ESRD
facility would have been precluded from submitting claims to Medicare
for the drugs ordered by the physician owner. Because of our belief
that the Congress did not intend to preclude physician ownership of
ESRD facilities when enacting section 1877 of the Act, we established a
separate exception to the physician self-referral
[[Page 50752]]
law at Sec. 411.355(g) for EPO and other dialysis-related outpatient
prescription drugs (66 FR 938). As of January 1, 2011, EPO and other
anemia management outpatient prescription drugs (as well as access
management, bone and mineral metabolism, cellular management,
antiemetic, anti-infectives, antipruritic, anxiolytic, excess fluid
management, fluid and electrolyte management including volume
expanders, and pain management outpatient prescription drugs) are
included in the ESRD PPS ``composite rate'' (that is, the ESRD per-
treatment payment amount) and no longer qualify as ``designated health
services'' for purposes of the physician self-referral law. Because
drugs that are paid for using a TDAPA are included in the ESRD PPS
``composite rate'' and not considered ``designated health services,''
they need not be included on the list of Current Procedural Terminology
(CPT)/HCPCS codes that are eligible for use with the exception at Sec.
411.355(g).
Comment: Several organizations expressed support for the proposed
increase to the ESRD PPS base rate and for the consistent and the
predictable approach to updating the base rate.
An organization representing dialysis patients expressed
appreciation that this year's ESRD PPS rulemaking extends a period of
relative stability in Federal support for dialysis; however, that
organization and a large dialysis organization indicated that the
success of the ESRD PPS depends, by design, on cross subsidization from
private coverage and that any action that constrains private coverage
for ESRD patients will exacerbate policies that have resulted in
consistent ESRD PPS underpayments and destabilize the nation's care
delivery system for all ESRD patients. Given CMS's role in overseeing
the ESRD PPS and the Health Insurance Marketplaces, they urged CMS to
work to preserve the long-standing public-private ESRD partnership and
work with the kidney care community to address policies that have
resulted in chronic underpayments through the ESRD PPS.
A professional association noted MedPAC's previous findings that
the margins in Medicare dialysis care are extremely thin or negative
and asked CMS to bear in mind, to the extent possible, when determining
the overall base rate that many aspects of care that dialysis
facilities provide are not covered by the elements used to calculate
the base rate. The professional association stated that this means that
any new unfunded mandates (for example, requirements to use pre-filled
syringes and follow more time-consuming disinfection processes) must be
offset elsewhere in the context of the fixed payment environment. While
these new mandates could have patient benefits, they also may come at
the expense of other activities that also have patient benefits. The
professional association urged CMS to move cautiously and transparently
in implementing such new policies, both to promote community
understanding and buy-in and to avoid the unintended consequence of
effectively mandating new actions that might adversely impact care
elsewhere. The professional association stated that any new
requirements selected must provide the greatest value to patients in
the context of a fixed, bundled payment environment.
Response: We appreciate the commenters' support for the increase to
the ESRD PPS base rate and will take into consideration the concerns
regarding ESRD facility profit margins.
Final Rule Action: We are finalizing a CY 2018 ESRD PPS base rate
of $232.37.
C. Miscellaneous Comments
We received many comments from beneficiaries, physicians,
professional organizations, renal organizations, and manufacturers
related to issues that were not specifically addressed in the CY 2018
ESRD PPS proposed rule. These comments are discussed below.
Comment: A national kidney organization and a patient advocacy
organization requested that the rate setting file released with each
proposed and final ESRD PPS rule include specific flags for each
payment adjuster that is applied and all modifiers on claims,
particularly the ``AY'' modifier which is used for billing items and
services that are not furnished for the treatment of ESRD and are
therefore separately payable. They noted that the outpatient
prospective payment system rate setting file format that is the
template for the ESRD PPS rate setting file normally includes all
modifiers, and there are a number of ways that adjuster variable flags
could be added to that file. These data are necessary to engage in a
timely discussion of the impact of the adjusters on accurate estimates
of payment and impact analyses.
Response: We appreciate the commenter's thoughts with regard to the
rate setting file and we will consider this suggestion for future
updates.
Comment: A national kidney organization and a national dialysis
provider organization thanked CMS for eliminating the medical director
fee limitation that had been a policy left over from before dialysis
facilities were paid on a prospective payment system basis. However,
they expressed concern that some of the contractors overseeing the cost
report submissions are requiring facilities to submit detailed
physician logs describing the hours worked and tasks performed and
still applying the limitation. The commenters stated there may be
confusion because the most recent edition of the Medicare Claims
Processing Manual, Chapter 8, section 40.6.C.2, updated November 10,
2016 continues to include instructions that do not reflect the policy
changes made in previous rulemakings.
Therefore, they requested that CMS revise the instructions in the
Medicare Claims Processing Manual to align with the policy finalized in
previous rulemaking that eliminates the limitation on medical director
fees. They also requested that we clarify that detailed physician logs
not be required, consistent with the elimination of the limitation and
the requirements (such as providing an invoice) applied to other health
care providers and suppliers with regard to establishing medical
director fees.
A dialysis organization requested more information related to items
included in the ESRD PPS bundle and requested that CMS create separate
lists of what they can include on Medicare claims, which items and
services are subject to consolidated billing and whether or not they
can bill for these items and services, as well as what is not included
in the bundle.
Response: We appreciate the commenter's suggestions regarding
claims processing guidance and we will consider them for future
updates.
Comment: Although we did not include any proposals regarding the
TDAPA, we received many comments from dialysis provider and patient
advocacy organizations, professional associations and drug
manufacturers covering payment, coverage, and clinical issues
surrounding the implementation of the two new HCPCS J-codes for oral
and IV calcimimetics that will become renal dialysis services and paid
for using a TDAPA beginning on January 1, 2018.
There were several comments regarding timing, including comments
expressing that implementation on January 1, 2018 took CMS too long and
other comments indicating that this is a complex change for ESRD
facilities and they will need time after CMS issues guidance to
incorporate that guidance into their billing systems and care planning.
In addition, commenters urged us to coordinate with Medicare Advantage
as well as Part D to ensure
[[Page 50753]]
a seamless conversion of calcimimetics from Part D to Part B.
Commenters requested that we closely monitor patient access and
outcomes related to calcimimetics, and expressed concern about
coinsurance and the need to support innovation, especially for new
drugs within the existing ESRD PPS functional categories. They also
raised issues regarding refills, CMS reimbursing for shipping and
dispensing costs, and reporting the drug dispensed rather than the
amount used by patients. Lastly, a national dialysis provider
association commented that nephrologists have voiced concerns about the
potential implications of CMS reimbursement policies relating to
calcimimetics under the physician self-referral law.
Response: We plan to issue guidance soon that will address the
issues raised by commenters. We do not understand some of the
commenters' concerns because oral equivalents of IV medications
currently in the ESRD PPS bundled payment and other oral medications
used for the treatment of ESRD (that is, oral drugs that fit into the
established ESRD PPS functional categories) have been covered under the
ESRD PPS since 2011 when the ESRD PPS bundled system was first
implemented. Because of this, we believe that ESRD facilities would
have existing relationships with pharmacies that could provide oral
drugs to ESRD patients and these pharmacies could also furnish the oral
calcimimetics.
Comment: MedPAC commented that section 217(e) of PAMA required the
Secretary to conduct audits of Medicare cost reports beginning in 2012
for a representative sample of freestanding and hospital-based
facilities furnishing dialysis services. To support this effort, the
law authorized the Secretary to transfer $18 million (in fiscal year
2014) from the Federal Supplementary Medical Insurance Trust Fund to
CMS's program management. In September 2015, CMS awarded a contract to
conduct the audit. MedPAC strongly encouraged CMS to accelerate the
audit's completion and release its final results, and emphasized the
importance of auditing the cost reports that dialysis facilities submit
to CMS to ensure the data are accurate.
An organization of small and independent dialysis facilities
agreed, stating that standardized cost reports can improve payment
accuracy in the ESRD PPS and thus the organization seeks to partner
with CMS to develop standardized cost reports and reporting guidance
for ESRD facilities. The organization indicated that the current
reporting structure lacks the detail necessary to assist providers in
proper cost allocation, and leads to significant inconsistency in cost
reporting.
In addition, a patient advocacy organization noted that CMS
previously stated that it would review cost reports to better
understand the costs of home dialysis training. The organization
inquired about CMS's progress towards this goal.
Response: We appreciate the commenters' thoughts and suggestions on
the CMS cost reports and audits. The audit process is underway, but not
complete at this time. We will take commenters' views into
consideration for future cost report updates.
Comment: Although CMS did not propose any changes to the case-mix
and facility-level adjustments under the ESRD PPS, we received many
comments from national dialysis provider organizations, large dialysis
organizations, and patient advocacy organizations expressing concern
about the payment adjustments under the ESRD PPS, specifically the use
of cost reports for patient-level adjustments. They recommended that
CMS update the standardization factor using the most current data
available.
The commenters stated that they have recommended several steps that
CMS should take to address shortcomings with the case-mix adjusters'
validity and accuracy. Until those steps are taken, the organizations
asserted that CMS should not apply the case-mix adjustments and restore
the dollars historically removed from the base rate to reflect the
frequency and size of the revised adjusters. They also recommended that
CMS have an independent, third-party perform a peer review of the
research methodology employed within the ESRD PPS and asked that CMS
consider the comments regarding methodology submitted by the public and
provide substantive responses on the record to address concerns.
Commenters also asked that CMS provide more detailed data to allow for
a complete analysis of the ESRD PPS. For example, commenters requested
a comprehensive list of variables, descriptions, and analyses that
could resolve the variances identified in the dialysis industry's
analysis of the ESRD PPS methodology. They also stated that a more
comprehensive list of data elements would clarify the CMS contractor's
conclusions and allow them to better address the underpayment of the
ESRD PPS.
Response: We appreciate the commenters' thoughts with regard to the
ESRD PPS case-mix adjustments and research methodology and will
consider the suggestions for future updates.
Comment: We received many other comments that were beyond the scope
of the CY 2018 ESRD PPS proposed rule including the following
suggestions: Develop a renal-specific productivity factor; require the
sharing of dialysis patient information with the treating ESRD facility
after a hospitalization to promote health information technology
initiatives; allow ESRD facilities to include the 50 cents per
treatment Network Fee on their cost reports; encourage home dialysis by
consistently covering the costs of home training and more frequent
treatments by home patients; and preserve the public-private
partnership for ESRD care and ensure that private insurers are
incentivized to cover 30 months of dialysis or transplantation services
as well as preventive care for patients with diabetes and hypertension
to slow the progression of chronic kidney disease to ESRD.
Response: We appreciate receiving these comments so that we are
aware of issues impacting ESRD facilities and beneficiaries. However,
we did not include any proposals regarding these topics in the CY 2018
ESRD PPS proposed rule, and therefore we consider these suggestions to
be beyond the scope of this rule.
Comment: A national dialysis provider association and a national
dialysis organization recommended clarification regarding patients with
AKI who do not recover kidney function and transition to become ESRD
patients. Specifically, these commenters requested guidance related to
Medicare eligibility, transplant wait list, and incident patient
modifier.
Response: We appreciate the feedback on this issue and we will
consider this topic for future guidance.
III. Calendar Year (CY) 2018 Payment for Renal Dialysis Services
Furnished to Individuals With Acute Kidney Injury (AKI)
A. Background
On June 29, 2015, the Trade Preferences Extension Act of 2015
(TPEA) (Pub. L. 114-27) was enacted. In the TPEA, the Congress amended
the Social Security Act (the Act) to include coverage and provide for
payment for dialysis furnished by an ESRD facility to an individual
with acute kidney injury (AKI). Specifically, section 808(a) of the
TPEA amended section 1861(s)(2)(F) of the Act to provide coverage for
renal dialysis services furnished on or after January 1, 2017, by a
renal dialysis facility or a provider of services paid
[[Page 50754]]
under section 1881(b)(14) of the Act to an individual with AKI. Section
808(b) of the TPEA amended section 1834 of the Act by adding a new
subsection (r) to the Act. Subsection (r)(1) of section 1834 of the Act
provides for payment, beginning January 1, 2017, for renal dialysis
services furnished by renal dialysis facilities or providers of
services paid under section 1881(b)(14) of the Act to individuals with
AKI at the end-stage renal disease (ESRD) prospective payment system
(PPS) base rate, as adjusted by any applicable geographic adjustment
applied under section 1881(b)(14)(D)(iv)(II) of the Act and may be
adjusted by the Secretary of the Department of Health and Human
Services (the Secretary) (on a budget neutral basis for payments under
section 1834(r) of the Act) by any other adjustment factor under
section 1881(b)(14)(D) of the Act.
In the calendar year (CY) 2017 ESRD PPS final rule, we finalized
several coverage and payment policies in order to implement subsection
(r) of section 1834 of the Act and the amendments to section
1881(s)(2)(F) of the Act, including the payment rate for AKI dialysis
(81 FR 77866 through 77872). We interpret section 1834(r)(1) of the Act
to mean the amount of payment for AKI dialysis services is the base
rate for renal dialysis services determined for such year under the
ESRD base rate as set forth in 42 CFR 413.220, updated by the ESRD
bundled market basket percentage increase factor minus a productivity
adjustment as set forth in 42 CFR 413.196(d)(1), adjusted for wages as
set forth in 42 CFR 413.231, and adjusted by any other amounts deemed
appropriate by the Secretary under 42 CFR 413.373. We codified this
policy in Sec. 413.372.
B. Summary of the Proposed Provisions, Public Comments, and Responses
to Comments on CY 2018 Payment for Renal Dialysis Services Furnished to
Individuals With AKI
The proposed rule, entitled ``Medicare Program; End-Stage Renal
Disease Prospective Payment System, Payment for Renal Dialysis Services
Furnished to Individuals with Acute Kidney Injury, and End-Stage Renal
Disease Quality Incentive Program'' (82 FR 31190 through 31233),
hereinafter referred to as the CY 2018 ESRD PPS proposed rule, was
published in the Federal Register on July 5, 2017, with a comment
period that ended on August 28, 2017. In that proposed rule, we
proposed to update the AKI dialysis payment rate. We received
approximately 9 public comments on our proposal, including comments
from ESRD facilities; national renal groups, nephrologists and patient
organizations; patients and care partners; manufacturers; health care
systems; and nurses.
In this final rule, we provide a summary of the proposed provision,
a summary of the public comments received and our responses to them,
and the policies we are finalizing for CY 2018 payment for renal
dialysis services furnished to individuals with AKI.
1. Annual Payment Rate Update for CY 2018
a. CY 2018 AKI Dialysis Payment Rate
The payment rate for AKI dialysis is the ESRD PPS base rate
determined for a year under section 1881(b)(14) of the Act, which is
the finalized ESRD PPS base rate. We note that ESRD facilities have the
ability to bill Medicare for non-renal dialysis items and services and
receive separate payment in addition to the payment rate for AKI
dialysis.
As discussed in the CY 2018 ESRD PPS proposed rule (82 FR 31201),
the CY 2018 proposed ESRD PPS base rate was $233.31, which reflected
the proposed ESRD bundled market basket and multifactor productivity
adjustment. Therefore, we proposed a CY 2018 per treatment payment rate
of $233.31 for renal dialysis services furnished by ESRD facilities to
individuals with AKI.
b. Geographic Adjustment Factor
Section 1834(r)(1) of the Act further provides that the amount of
payment for AKI dialysis services shall be the base rate for renal
dialysis services determined for a year under section 1881(b)(14) of
the Act, as adjusted by any applicable geographic adjustment factor
applied under section 1881(b)(14)(D)(iv)(II) of the Act. We interpret
the reference to ``any applicable geographic adjustment factor applied
under subparagraph (D)(iv)(II) of such section'' to mean the geographic
adjustment factor that is actually applied to the ESRD PPS base rate
for a particular facility. Accordingly, we apply the same wage index
that is used under the ESRD PPS, as discussed in the CY 2018 ESRD PPS
proposed rule (82 FR 31201). In the CY 2017 ESRD PPS final rule (81 FR
77868), we finalized that the AKI dialysis payment rate will be
adjusted for wage index for a particular ESRD facility in the same way
that the ESRD PPS base rate is adjusted for wage index for that
facility. Specifically, we apply the wage index to the labor-related
share of the ESRD PPS base rate that we utilize for AKI dialysis to
compute the wage adjusted per-treatment AKI dialysis payment rate. We
proposed a CY 2018 AKI dialysis payment rate of $233.31, adjusted by
the ESRD facility's wage index.
The comments and our responses to the comments on this AKI payment
proposal are set forth below.
Comment: We received a comment from MedPAC stating that the AKI
payment policy should be site-neutral for all settings, including
hospital outpatient departments and ESRD facilities. MedPAC stated that
this policy would lower spending for beneficiaries and taxpayers and
reduce incentives to provide service in a higher paid sector since
payment rates should be based on the setting where beneficiaries have
adequate access to good quality care at the lowest cost to
beneficiaries and the program, adjusting for differences in patient
severity. MedPAC suggested that the Centers for Medicare & Medicaid
Services (CMS) should pursue legislative authority to implement such a
policy.
Response: We appreciate MedPAC's comment with regard to site-
neutrality and pursuing legislative authority. We did not propose any
specific changes to our AKI payment policies in the CY 2018 ESRD PPS
proposed rule, and therefore we consider this comment to be outside the
scope of this rule. As we noted in the CY 2017 ESRD PPS final rule (81
FR 77868), section 808(b) of TPEA did not address payments to hospital
outpatient departments for dialysis services furnished to beneficiaries
with AKI.
Comment: Two national dialysis organizations and a large dialysis
organization asked that we affirm the distinction between AKI patients
and ESRD beneficiaries, ensure sufficient funds are available to meet
the utilization of AKI services by Medicare beneficiaries since the
Congress did not mandate that CMS implement the provisions of TPEA in a
budget-neutral manner, and also affirm that the ESRD Network fee does
not apply to AKI treatments. The commenters noted that the ESRD
Networks are charged with focusing on patients with ESRD, and
therefore, the Network fee should not be applied to AKI payments.
A professional association, clinician's group, and a national
dialysis provider association commented that CMS did not fully reflect
the nuances of the distinctly different needs of AKI patients from ESRD
patients in the AKI coverage and payment policy implemented in the CY
2017 ESRD PPS final rule. Specifically, the association noted the time
and cost of educating staff about AKI dialysis and extra attention
required by AKI patients and
[[Page 50755]]
more frequent laboratory monitoring of blood and urine. The commenters
urged CMS to closely track utilization of items and services that are
included in the ESRD PPS bundled payment to ensure that payment is
appropriate for AKI dialysis.
The provider association also stated that as we learn more about
the provision of services to these patients, it may become apparent
that an AKI adjustment to the payment rate is necessary to address the
differences in the services provided to AKI patients. The commenter was
pleased that CMS recognized in the CY 2017 ESRD PPS final rule that
adjustments may be necessary in the future, as well as the need to bill
certain services separately.
Response: We agree with the commenters that care for AKI patients
is different from the care provided to individuals with ESRD. With
respect to the comment about ensuring sufficient funds are available
for AKI payments, we note that AKI treatments administered in an ESRD
facility represent a shift in service from the hospital outpatient
department to the ESRD facility and therefore represent a savings to
the Medicare Trust Fund, since reimbursement for services provided in
an ESRD facility is lower than services provided in a hospital setting.
As we stated in the CY 2017 ESRD PPS final rule (81 FR 77867), we
believe the definition of an individual with AKI set forth in TPEA
provides an appropriate way to distinguish patients with AKI from
patients with ESRD. Additionally, the TPEA did not mandate
implementation on a budget-neutral basis.
As we discussed in the CY 2017 ESRD PPS final rule (81 FR 77868),
we finalized a policy that the AKI dialysis payment rate is the final
ESRD PPS base rate adjusted by the wage index that is used under the
ESRD PPS. We stated that we are not adjusting the payment amount by any
other factors at this time, but may do so in future years. To address
the higher costs associated with AKI patients as compared to ESRD
patients, we finalized a policy of paying for all AKI dialysis
treatments provided to a patient, without applying the monthly
treatment limits applicable under the ESRD PPS. We also finalized a
policy to pay separately for all items and services that are not part
of the ESRD PPS base rate. We have created the ability through our
claims processing systems to identify individuals with AKI in order to
track the utilization of services and their health outcomes to ensure
these patients are receiving the care they require. Once we have
substantial data related to the AKI population and its associated
utilization, we will determine the appropriate steps toward further
developing the AKI payment rate.
Finally, regarding the comment about the applicability of the ESRD
Network fee to AKI treatments, we note that we discussed that issue in
detail in the CY 2017 ESRD PPS final rule (81 FR 77867 through 77678).
We explained that after considering comments and reviewing the
applicable statutory provision, we will not apply the ESRD Network fee
to the AKI dialysis payment rate.
Comment: We received comments from national provider organizations,
large dialysis organizations, and a drug manufacturer providing
evidence that the AKI utilization estimates included in the CY 2018
ESRD PPS proposed rule may be inaccurate. These organizations indicated
that the outpatient data used to estimate the shift in services from
the outpatient hospital setting to the ESRD facility may underestimate
the number of beneficiaries that received treatment for AKI. The
organizations stated this underestimation could be due to hospitals not
consistently billing for dialysis treatments administered to
beneficiaries with AKI.
Response: We agree that the estimates used in the CY 2018 ESRD PPS
proposed rule underestimated the number of beneficiaries receiving
treatments for AKI. When the CY 2018 ESRD PPS proposed rule was
developed, we used the best available information, which was
information regarding treatments provided in a hospital outpatient
setting. In the time between the publication of the CY 2018 ESRD PPS
proposed rule and the CY 2018 ESRD PPS final rule, data regarding
actual ESRD facility utilization of treatments provided to
beneficiaries with AKI has become available. As a result, CMS has
revised the impact analysis for AKI payment from $2 million to $20
million for CY 2018.
Comment: National provider organizations, a large dialysis
organization, and a patient advocacy organization requested that CMS
explain the AKI monitoring program and the transparent provision of
data related to the program. These commenters noted that historic
utilization may not be representative of the actual prevalence of AKI
patients requiring dialysis due to operational models used by hospital
outpatient departments and suggested that current data be used to
develop an AKI adjustment as necessary to address the differences in
the services provided to AKI patients.
Response: We appreciate the feedback on historic utilization and
agree that current data is the most appropriate for use with regard to
the AKI population. The AKI monitoring program will include current
data and will be used to inform future payment policy, including any
potential adjustments to the AKI payment rate. As we stated in the CY
2017 ESRD PPS final rule (81 FR 77871), we will develop public use
files for the utilization of these services, but we do not anticipate
that this data will be available until we have at least 1 full year of
claims data. If stakeholders have additional clinical data regarding
utilization and the treatments administered to AKI patients, we would
welcome the receipt of that data in de-identified form.
Comment: National provider organizations suggested that an AKI
specific modifier should be identified for laboratory tests and drugs
used by AKI patients and should allow separate payment. Commenters
suggested that CMS issue guidance defining the utilization of this
modifier, for example, for laboratory tests repeated more frequently
for AKI patients than for ESRD patients. These organizations also
believe that the AY modifier should not be used on AKI claims. Rather,
they recommended that CMS identify a new AKI-specific modifier, which
would allow CMS and providers to track utilization of key products and
services by AKI patients to better inform policy in future rulemaking.
One commenter asked that such modifiers be appropriately flagged in
both the rate setting and standard analytic data files to ensure
transparency to the public for the purpose of analysis.
Another dialysis organization stated that with regard to AKI and
billing, it is still not clear which claim modifiers are required for
Medicare claims for AKI patients. They requested that CMS provide
specific clarification on this issue.
Response: We appreciate the feedback on the operationalization of
AKI claim submission. As we noted in the CY 2017 ESRD PPS final rule
(81 FR 77867), the TPEA requires that we pay ESRD facilities for renal
dialysis services furnished to beneficiaries with AKI in the amount of
the wage-adjusted ESRD PPS base rate. In addition, we stated there is
no weekly limit on the number of treatments that will be paid. ESRD
facilities will receive payment based on the applicable Part B fee
schedules for other items and services that are not considered to be
renal dialysis services. As we stated in the CY 2017 ESRD PPS final
rule, we continue to believe that these payment considerations are
[[Page 50756]]
sufficient for Medicare payment of renal dialysis services furnished to
beneficiaries with AKI. As these services evolve in ESRD facilities, we
can address any changes in future rulemaking. We will also provide
billing guidance as necessary to address updates to modifier rules and
claims submission.
Comment: A software vendor requested that we clarify whether the
TDAPA applies to AKI services.
Response: We will issue additional program guidance that will
address the application of the TDAPA to AKI services and other billing
guidance. If we determine that it is appropriate for the TDAPA to apply
to AKI services, we would consider that to be a substantive payment
policy which would be established through notice and comment
rulemaking.
Comment: A health system and a provider organization commented that
including AKI treatments in the count to determine eligibility for the
low-volume payment adjustment (LVPA) is inappropriate. The commenters
believe that including these treatments in that count could discourage
facilities from accepting AKI patients if their treatment jeopardizes
their low volume status. The commenters also believe that including AKI
treatments in the LVPA count, but not applying the LVPA to those
treatments, is an inconsistent application of the LVPA policy.
An industry organization urged CMS to include the rural adjustment
in the AKI payment to reflect the increased cost necessary to provide
high-quality care since rural facilities face all of the same
challenges in the providing dialysis treatment to AKI patients as they
do to ESRD patients.
Response: We appreciate the commenters' feedback on the application
of the LVPA to AKI dialysis treatments as well as their inclusion
toward a facility's eligibility. Since the policy regarding eligibility
for the LVPA is based on all treatments provided by a facility,
including non-Medicare treatments, we determined that the policy should
also include AKI dialysis treatments, not just ESRD treatments at this
time (81 FR 77869). In the CY 2017 ESRD PPS final rule (81 FR 77868),
we discussed not applying the case-mix adjusters to the payment for AKI
treatments because those adjusters were developed based on ESRD
treatments, and we continue to believe this is the most appropriate
policy. As we continue to monitor data, we will review the efficacy of
our LVPA and rural policies to determine if modification is required.
Comment: A patient advocacy organization expressed support for our
proposal to adjust the AKI payment rate by only the geographic and wage
indices. This commenter further noted that, for some patients,
peritoneal dialysis (PD) is the most appropriate modality.
Additionally, some AKI patients can safely dialyze at home and have
their urine and blood tests performed for the assessment of kidney
function in a location closer to home. The commenter recommended that
home training be paid separately, without dollars removed from the base
rate.
Response: We appreciate the commenter's support for our AKI payment
rate proposal. With regard to PD, we agree that it is an appropriate
modality for some beneficiaries, however, in the CY 2017 ESRD PPS final
rule, we stated that we do not expect that AKI beneficiaries will
dialyze at home (81 FR 77870 through 77871). We continue to believe
that this is a population that requires close medical supervision by
qualified staff during their dialysis treatment. We affirm in this
final rule that payment will only be made for in-center PD or
hemodialysis treatments for AKI beneficiaries. We will monitor this
policy to determine if changes are necessary in the future,
understanding that there may be a subset of patients for whom AKI
dialysis at home is an appropriate treatment. We appreciate the
commenter's insight on the home training add-on payment.
Comment: One industry organization urged CMS to adopt a pediatric
adjustment for facilities that treat pediatric AKI patients, while
another industry organization recognized that pediatric patients are
only covered for ESRD and expressed support for our payment policy and
appreciation that CMS recognizes the treatment differences in the ESRD
and AKI populations.
Response: We appreciate the support and comments with regard to our
AKI payment policy, especially for pediatric patients. As we evaluate
and monitor the payments for AKI treatments, we will continue to
evaluate the appropriateness of the ESRD case-mix adjustments,
including the pediatric adjustment. The current clinical literature
(Walters, Scott & Porter, Craig & Brophy, Patrick. (2008). Dialysis and
pediatric acute kidney injury: Choice of renal support Modality.
Pediatric nephrology (Berlin, Germany). 24. 37-48. 10.1007/s00467-008-
0826-x) indicates that pediatric treatment for AKI is most commonly
done in an intensive care unit, not an ESRD facility due to access site
difficulties and fluid overload. In a review of data, we have found
very few claims for pediatric AKI patients.
Comment: A national dialysis provider association and a national
dialysis organization recommended modifying cost reports to separately
capture certain AKI costs. Specifically, they recommended that new rows
should be added to Worksheet D for AKI hemodialysis treatments and PD
treatments. They stated the instructions should explain that AKI
treatments are to be reported separately from all other ESRD dialysis
treatments.
Response: We agree that updates will need to be made to the
dialysis facility cost report in order to differentiate costs of AKI
dialysis treatments from treatments provided for the treatment of ESRD.
We are currently developing the transmittal that will update the cost
report to allow for the differentiation between AKI treatments and
treatments for ESRD.
Final Rule Action: We are finalizing the AKI payment rate as
proposed, that is, based on the finalized ESRD PPS base rate.
Specifically, the final CY 2018 ESRD PPS base rate is $232.37.
Accordingly, we are finalizing a CY 2018 payment rate for renal
dialysis services furnished by ESRD facilities to individuals with AKI
as $232.37.
IV. End-Stage Renal Disease (ESRD) Quality Incentive Program (QIP) for
Payment Year (PY) 2021
A. Background
For over 30 years, monitoring the quality of care provided to end-
stage renal disease (ESRD) patients by dialysis providers or facilities
(hereinafter referred to collectively as ``facility'' or
``facilities'') 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 the Centers for Medicare & Medicaid Services
(CMS).
Under the ESRD QIP, payments made to a dialysis facility by
Medicare under section 1881(b)(14) of the Social Security Act (the Act)
for a year are reduced by up to 2 percent if the facility does not meet
or exceed the total performance score (TPS) with respect to performance
standards established by the Secretary of the Department of Health and
Human Services (the Secretary) with respect to certain specified
measures.
[[Page 50757]]
In the calendar year (CY) 2012 ESRD PPS final rule (76 FR 70228),
published in the Federal Register on November 10, 2011, we set forth
certain requirements for the ESRD QIP for payment years (PYs) 2013 and
2014.
In the CY 2013 ESRD PPS final rule (77 FR 67450), published in the
Federal Register on November 9, 2012, we set forth requirements for the
ESRD QIP, including for payment year 2015 and beyond. In that rule, we
added several new measures to the ESRD QIP's measure set and expanded
the scope of some of the existing measures. We also established CY 2013
as the performance period for the PY 2015 ESRD QIP, established
performance standards and adopted scoring and payment methodologies
similar to those finalized for the PY 2014 ESRD QIP.
In the CY 2014 ESRD PPS final rule (78 FR 72156), published in the
Federal Register on December 2, 2013, we set forth requirements for the
ESRD QIP, including for PY 2016 and beyond. In that rule, we added
several new measures to the ESRD QIP's measure set, established the
performance period for the PY 2016 ESRD QIP, established performance
standards for the PY 2016 measures, and adopted scoring and payment
reduction methodologies that were similar to those finalized for the PY
2015 ESRD QIP.
In the CY 2015 ESRD PPS final rule (79 FR 66120), published in the
Federal Register on November 6, 2014, we finalized requirements for the
ESRD QIP, including for PYs 2017 and 2018. In that rule, we finalized
the measure set for both PY 2017 and PY 2018, revised the In-Center
Hemodialysis Consumer Assessment of Healthcare Providers System (ICH
CAHPS) Reporting Measure, revised the Mineral Metabolism Reporting
Measure, finalized the Extraordinary Circumstances Exemption (ECE)
policy, and finalized a new scoring methodology beginning with PY 2018.
In the CY 2016 ESRD PPS final rule (80 FR 68968), published in the
Federal Register on November 6, 2015, we set forth requirements for the
ESRD QIP, including for PY 2017 through PY 2019. In that rule, we
finalized the PY 2019 measure set, reinstated the ICH CAHPS Reporting
Measure attestation beginning with PY 2017, and revised the small
facility adjuster (SFA) beginning with PY 2017.
In the CY 2017 ESRD PPS final rule (81 FR 77834), published in the
Federal Register on November 4, 2016, we set forth new requirements for
the ESRD QIP, including new quality measures beginning with PY 2019 and
PY 2020, and updated other policies for the program.
The ESRD QIP is authorized by section 1881(h) of the Act, which was
added by section 153(c) of Medicare Improvements for Patients and
Providers Act of 2008 (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).
B. Summary of the Proposed Provisions, Public Comments, Responses to
Comments, and Newly Finalized Policies for the End-Stage Renal Disease
(ESRD) Quality Incentive Program (QIP)
The proposed rule, entitled ``Medicare Program; End-Stage Renal
Disease Prospective Payment System, Payment for Renal Dialysis Services
Furnished to Individuals with Acute Kidney Injury, and End-Stage Renal
Disease Quality Incentive Program'' (82 FR 31190 through 31233),
hereinafter referred to as the CY 2018 ESRD PPS proposed rule, was
published in the Federal Register on July 5, 2017, with a comment
period that ended on August 28, 2017. In that proposed rule, we
proposed updates to the ESRD QIP, including for PY 2019 through PY
2021. We received approximately 58 public comments on our proposals,
including comments from large dialysis organizations, renal dialysis
facilities, national renal groups, nephrologists, patient
organizations, patients and care partners, manufacturers, health care
systems; nurses, and other stakeholders.
In this final rule, we provide a summary of each proposed
provision, a summary of the public comments received and our responses
to them, and the policies we are finalizing for the ESRD QIP, including
for PYs 2019 through 2021.
1. Accounting for Social Risk Factors in the ESRD QIP.
In the CY 2018 ESRD PPS proposed rule (82 FR 31202), we discussed
the issue of accounting for social risk factors in the ESRD QIP. We
understand that social risk factors such as income, education, race and
ethnicity, employment, disability, community resources, and social
support (certain factors of which are also sometimes referred to as
socioeconomic status factors or socio-demographic status factors), play
a major role in health. One of our core objectives is to improve
beneficiary outcomes, including reducing health disparities, and we
want to ensure that all beneficiaries, including those with social risk
factors, receive high quality care. In addition, we seek to ensure that
the quality of care furnished by facilities is assessed as fairly as
possible under our programs while ensuring that beneficiaries have
adequate access to high quality care.
We have reviewed reports prepared by the Office of the Assistant
Secretary for Planning and Evaluation (ASPE) \1\ and the National
Academies of Sciences, Engineering, and Medicine on the issue of
accounting for social risk factors in CMS' value-based purchasing and
quality reporting programs, and considered options on how to address
the issue in these programs. On December 21, 2016, ASPE submitted a
Report to Congress on a study it was required to conduct under section
2(d) of the Improving Medicare Post-Acute Care Transformation (IMPACT)
Act of 2014. The study analyzed the effects of certain social risk
factors in Medicare beneficiaries on quality measures and measures of
resource use that are used in one or more of nine Medicare value-based
purchasing programs, including the ESRD QIP.\2\ The report also
included considerations for strategies to account for social risk
factors in these programs. In a January 10, 2017 report released by The
National Academies of Sciences, Engineering, and Medicine, that body
provided various potential methods for measuring and accounting for
social risk factors, including stratified public reporting.\3\
---------------------------------------------------------------------------
\1\ Office of the Assistant Secretary for Planning and
Evaluation. 2016. Report to Congress: Social Risk Factors and
Performance Under Medicare's Value-Based Purchasing Programs.
Available at: https://aspe.hhs.gov/pdf-report/report-congress-social-risk-factors-and-performance-under-medicares-value-based-purchasing-programs.
\2\ Office of the Assistant Secretary for Planning and
Evaluation. 2016. Report to Congress: Social Risk Factors and
Performance Under Medicare's Value-Based Purchasing Programs.
Available at: https://aspe.hhs.gov/pdf-report/report-congress-social-risk-factors-and-performance-under-medicares-value-based-purchasing-programs.
\3\ National Academies of Sciences, Engineering, and Medicine.
2017. Accounting for social risk factors in Medicare payment.
Washington, DC: The National Academies Press.
---------------------------------------------------------------------------
As noted in the fiscal year (FY) 2017 Inpatient Prospective Payment
System/Long-Term Care Hospital Prospective Payment System (IPPS/LTCH
PPS) final rule (81 FR 56762 through 57345), the National Quality Forum
(NQF) undertook a 2-year trial period in which
[[Page 50758]]
certain new measures, measures undergoing maintenance review, and
measures endorsed with the condition that they enter the trial period
could be assessed to determine whether risk adjustment for selected
social risk factors would be appropriate for these measures. This trial
entailed temporarily allowing inclusion of social risk factors in the
risk-adjustment approach for these measures. Recently, the NQF
concluded this trial (https://www.qualityforum.org/Publications/2017/07/Social_Risk_Trial_Final_Report.aspx), and based on its findings, the
NQF will continue its work to evaluate the impact of social risk factor
adjustment on intermediate outcome and outcome measures for an
additional 3 years. The extension of this work will allow the NQF to
determine further how to effectively account for social risk factors
through risk adjustment and other strategies in quality measurement.
As we consider the analyses and recommendations from the ASPE
report and the NQF trial on risk adjustment for quality measures, we
are continuing to work with stakeholders. As we have previously
communicated, we are concerned about holding facilities to different
standards for the outcomes of their patients with social risk factors
because we do not want to mask potential disparities or minimize
incentives to improve the outcomes for disadvantaged populations.
Keeping this concern in mind, we will continue to seek public comment
on whether we should account for social risk factors in the ESRD QIP,
and if so, what method or combination of methods would be most
appropriate for accounting for social risk factors. Examples of
potential methods include: Adjustment of the payment adjustment
methodology under the ESRD QIP; adjustment of provider performance
scores (for instance, stratifying facilities based on the proportion of
their patients who are dual eligible); confidential reporting of
stratified measure rates to facilities; public reporting of stratified
measure rates; risk adjustment of a particular measure as appropriate
based on data and evidence; and redesigning payment incentives (for
instance, rewarding improvement for facilities caring for patients with
social risk factors or incentivizing facilities to achieve health
equity). In the CY 2018 ESRD PPS proposed rule (82 FR 31202 through
31203), we requested comment on whether any of these methods should be
considered, and if so, which of these methods or combination of methods
would best account for social risk factors in the ESRD QIP.
We note that in section V.I.9 of the FY 2018 IPPS/LTCH PPS final
rule (82 FR 38229 through 38231), we finalized an approach for
stratifying hospitals into peer groups for purposes of assessing
payment adjustments under the Hospital Readmissions Reduction Program,
as required under the 21st Century Cures Act of 2016 (Pub. L. 114-255).
We refer readers to that section for a detailed discussion of the final
policy; while this discussion is specific to the Hospital Readmissions
Reduction Program, it reflects the level of analysis we would undertake
when evaluating methods and combinations of methods for accounting for
social risk factors in CMS' other value-based purchasing programs, such
as ESRD QIP. In addition, in the CY 2018 ESRD PPS proposed rule (82 FR
31202), we requested public comment on which social risk factors might
be most appropriate for stratifying measure scores and/or potential
risk-adjustment of a particular measure. Examples of social risk
factors include, but are not limited to, dual eligibility/low-income
subsidy, race and ethnicity, and geographic area of residence. We also
requested comments on which of these factors, including current data
sources where this information would be available, could be used alone
or in combination, and whether other data should be collected to better
capture the effects of social risk. We will take commenters' input into
consideration as we continue to assess the appropriateness and
feasibility of accounting for social risk factors in the ESRD QIP. We
note that any such changes would be proposed through future notice-and-
comment rulemaking.
We look forward to working with stakeholders as we consider the
issue of accounting for social risk factors and reducing health
disparities in CMS programs. Of note, implementing any of the above
methods would be taken into consideration in the context of how this
and other CMS programs operate (for example, data submission methods,
availability of data, statistical considerations relating to
reliability of data calculations, among others), so we also welcomed
comment on operational considerations. CMS is committed to ensuring
beneficiaries have access to and receive high quality care, and the
quality of care furnished by providers and suppliers is assessed fairly
in CMS programs.
We requested comments on accounting for social risk factors in the
ESRD QIP. The comments and our responses are set forth below.
Comment: Many commenters expressed appreciation to CMS for
requesting comments on how to account for social risk factors in the
ESRD QIP. They argued that beneficiaries with ESRD are
disproportionately affected by social risk factors and stressed that in
considering factors, CMS must strike the correct balance to ensure it
meets the goals of assessing providers and suppliers in a fair manner
while not masking disparities or dis-incentivizing the provision of
care to more medically complex patients. Commenters added that CMS
should continue to support further research to examine the costs of
caring for beneficiaries with social risk factors and to determine
whether current payments adequately account for these differences in
care needs. Some of the factors commenters recommended for
consideration by CMS include: (1) Functional status, because there is
evidence that those from lower socioeconomic and minority groups have
poorer functional status and that this affects both their medical care
and quality of life; (2) poverty and education, because dialysis
facilities take care of a higher number of patients in poverty with
lower levels of education and these patients tend to be less adherent
to medications, diet and fluid restrictions; (3) geography, because
regional variation in transplantation access is significant, as is
regional differences in waitlist times, which ultimately could change
the percentage of patients on the waitlist and impact a performance
measure score; (4) family support; (5) ability to adhere to medication
regimens; (6) capacity for follow-up; (7) insurance status; (8) income;
(9) race and ethnicity; (10) disability; and (11) community resources.
One commenter pointed out the importance of accounting for risk
factors that affect both pediatric patients and those caring for
pediatric patients because some of these risk factors, in particular
those present among the parents and caregivers of pediatric patients,
may affect their ability to properly care for those patients.
Commenters urged CMS to consider a more robust set of social risk
factors to meet the needs of the pediatric patient population. They
added that there must be an accounting not only of race and ethnicity,
insurance status, and other socioeconomic factors, but also their
school attendance and performance, and peer interactions. Factors to
consider for parents and other primary caregivers include their
employment status, fatigue, and financial strains among others. One
commenter argued that dual-eligible status is the most consistent of
all social risk factors in
[[Page 50759]]
predicting which patients will have the worst outcomes.
A few commenters expressed concerns with our desire to look at
social risk factor adjustments. One commenter expressed concerns that
there is already an issue with small sample sizes in the QIP, which
would likely be aggravated by dividing the measure population into
smaller subsets. The same commenter stated that small sample sizes
disproportionately affect facilities that only furnish ESRD care to
patients in their homes or those that care for a small number of
pediatric ESRD patients because those facilities tend to be small and
are often scored only on a few measures. To collect this data, one
commenter argued that it should be straightforward for CMS to use its
data to identify dual eligibility/low-income subsidy data, as well as
geographic area of residence. Another commenter added that it could be
difficult to collect race/ethnicity data but that patient self-
reporting may be the most appropriate way to collect such data.
Response: We appreciate all the comments and interest in this
topic. As we have previously stated, we are concerned about holding
providers to different standards for the outcomes of their patients
with social risk factors, because we do not want to mask potential
disparities or minimize incentives to improve outcomes for
disadvantaged populations. We believe that the path forward should
incentivize improvements in health outcomes for disadvantaged
populations while ensuring that beneficiaries have access to excellent
care. We intend to consider all suggestions as we continue to assess
each measure and the overall program. We appreciate that some
commenters recommended risk adjustment as a strategy to account for
social risk factors, while others stated a concern that risk adjustment
could minimize incentives and reduce efforts to address disparities for
patients with social risk factors. We intend to conduct further
analyses on the impact of strategies such as measure-level risk
adjustment and stratifying performance scoring to account for social
risk factors. In addition, we appreciate the recommendations from the
commenters about consideration of specific social risk factor variables
and will examine these variables and the feasibility of collecting one
or more of these patient-level variables. As we consider the
feasibility of collecting patient-level data and the impact of
strategies to account for social risk factors through further analysis,
we will continue to evaluate the reporting burden on providers. Future
proposals would follow further research and continued stakeholder
engagement.
2. Changes to the Performance Score Certificate (PSC) Beginning With
the PY 2019 ESRD QIP
In the ESRD QIP final rule, which published in the Federal Register
on January 5, 2011 (76 FR 628 through 646), we finalized a policy for
informing the public of facility performance through facility-posted
certificates (76 FR 637). Specifically, we finalized that these PSCs
would include the following information: (1) The TPS achieved by the
facility under the ESRD QIP with respect to the payment year involved;
(2) comparative data that shows how well the facility's TPS compares to
the national TPS; (3) the performance result that the facility achieved
on each individual measure with respect to the year involved; and (4)
comparative data that shows how well the facility's individual quality
measure performance scores compare to the national performance result
for each quality measure (76 FR 637). As the ESRD QIP has become more
complex over the years and as new measures have been added to the
program, the PSC has become a lengthy document that facilities are
required to print and post in both English and Spanish for their
patients to view (77 FR 67517). We have received feedback from the
community about the difficulty patients and their families have with
interpreting and understanding the information contained on the PSC due
to its sheer volume and complexity.
Section 1881(h)(6)(c) of the Act only requires that the PSC
indicate the TPS achieved by the facility with respect to a program
year. Therefore, to make the PSC a more effective and understandable
document for the community, we proposed to shorten the PSC by removing
some of the information that is currently included on it. We proposed
that beginning in PY 2019, and continuing in future years, the PSC
would indicate the facility's TPS, as required under section
1881(h)(6)(C) of the Act, as well as information sufficient to identify
the facility (for example, name, address, etc.). Additionally, we
proposed to include information showing how the facility's TPS compared
to the national average TPS for that specific payment year. We did not
propose any other changes to the requirements we previously finalized
for the PSC.
We requested comments on this proposal, and were particularly
interested in comments on whether the reduced amount of information on
the PSC would both benefit facilities and enhance the public's
understanding of the TPS.
Comment: Several commenters supported CMS's proposed simplification
of the PSC and agreed that the changes would make it easier for
patients to understand the facility's performance score. One commenter
recommended that CMS review the white papers commissioned by Agency for
Healthcare Research and Quality on ``Best Practices in Public
Reporting,'' which the commenter believes provide a good overview of
principles for presenting health care quality information to consumers.
Response: We thank the commenters for their support. Our proposal
was intended, in part, to address feedback we obtained during two
patient engagement sessions that were open to the public.\4\ The
majority of patients who took part in these sessions reported that they
felt overwhelmed by the amount of information that we currently include
on the PSC, did not understand all of the information, and that they
focused mainly on specific data such as the facility scores or the
comparison of facility scores with the national median. Patients also
requested that the information be simplified and translated into plain
language. We believe that our changes to the PSC will make it easier
for patients and their caregivers to understand how facilities perform
under the ESRD QIP.
---------------------------------------------------------------------------
\4\ ``Executive Summary of the December 13 DFC-ESRD QIP Patient
Listening Session at the CMS Quality Conference,'' December 20,
2016.
``Dialysis Facility Compare Patient Engagement Session
Debrief,'' April 3, 2017, NORC at the University of Chicago.
---------------------------------------------------------------------------
We will review the recommended reports and determine the
feasibility of incorporating some of these suggestions.
Comment: Several commenters did not support CMS's proposals to
simplify the PSC, stating that the PSC should provide more rather than
fewer details and that the current PSC helps patients make informed
decisions about their care. One commenter pointed out that section
1881(h)(6)(C) of the Act only refers to the TPS, but that section
1881(h)(6)(A) of the Act calls upon the Secretary to make information
available to the public including the total score, comparisons to the
national average, and performance on individual measures.
Response: We thank commenters for sharing their concerns. Our
proposal was intended to make the PSC easier to understand while still
conveying important information about facility performance under the
ESRD QIP. However, we agree that the data we are
[[Page 50760]]
removing, as well as other ESRD QIP related data, should continue to be
publicly available. We intend to report these data on Dialysis Facility
Compare (DFC) and cms.gov.
Comment: A patient advocacy organization recommended that the PSC
be simplified by including just a simple cumulative number, such as the
TPS, because it believed that this number would be most useful, and
would be something that most people would likely look at. This
organization also believed that it is potentially confusing to have the
national average presented along with the national median given that
very few people understand what a median is. The organization
additionally thought that the phrases for each row would be more
understandable and helpful if they were worded in a simpler manner,
decimals and percentages should be presented consistently, and that the
language around scores could be simplified.
Response: We thank the commenter for sharing these recommendations
for ways to improve the PSC. We believe the revised PSC will address
the commenter's recommendations. The revised PSC contains a more simply
displayed TPS for each facility as well as the national average, but no
national median. We are excluding the national median because it does
not increase understanding of facility performance and may cause
unnecessary confusion. The new PSC also does not contain decimals or
percentages unless the average is a decimal, and it directs those
viewing the document to review additional information on the CMS.gov
Web site and on Dialysis Facility Compare. We are still considering the
best format for display and we intend to make the explanations on the
PSC as plan language as possible to increase understanding of the
document.
Final Rule Action: After careful consideration of the comments
received, we are finalizing our proposal, as proposed, to update the
PSC. We believe these changes will help make the document more easily
readable and understandable by the community. The information being
removed from the PSC will still be available in other locations and we
encourage beneficiaries and their families to use all the resources
currently available to them to make informed decisions about the care
they receive.
3. Requirements Beginning With the PY 2020 ESRD QIP
a. Clarification of the Minimum Data Policy for Scoring Measures
Finalized for the PY 2020 ESRD QIP
Under our current policy, we begin counting the number of months in
which a facility is open on the first day of the month after the
facility's CMS certification number (CCN) Open Date. In the CY 2017
ESRD PPS final rule (81 FR 77926), we inadvertently made errors in
finalizing how we intended this policy to apply to a number of measures
in the PY 2020 ESRD QIP.
Table 19 finalized in the CY 2017 ESRD PPS final rule (81 FR 77926)
has been duplicated here, as Table 2(a):
Table 2(a)--Previously Finalized Minimum Data Requirements for the PY 2020 ESRD QIP
--------------------------------------------------------------------------------------------------------------------------------------------------------
Measure Minimum data 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 patients.
(Clinical).
Vascular Access Type: Fistula 11 qualifying patients...... N/A...................................... 11-25 qualifying patients.
(Clinical).
Hypercalcemia (Clinical)............ 11 qualifying patients...... N/A...................................... 11-25 qualifying patients.
NHSN Bloodstream Infection 11 qualifying patients...... On or before January 1, 2018............. 11-25 qualifying patients.
(Clinical).
NHSN Dialysis Event (Reporting)..... 11 qualifying patients...... On or before January 1, 2018............. N/A.
SRR (Clinical)...................... 11 index discharges......... N/A...................................... 11-41 index discharges.
STrR (Clinical)..................... 10 patient-years at risk.... N/A...................................... 10-21 patient-years at risk.
SHR (Clinical)...................... 5 patient-years at risk..... N/A...................................... 5-14 patient-years at risk.
ICH CAHPS (Clinical)................ Facilities with 30 or more On or before January 1, 2018............. N/A.
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, 2018...................... N/A.
Serum Phosphorus (Reporting)........ 11 qualifying patients...... Before July 1, 2018...................... N/A.
Depression Screening and Follow-Up 11 qualifying patients...... Before July 1, 2018...................... N/A.
(Reporting).
Pain Assessment and Follow-Up 11 qualifying patients...... Before July 1, 2017...................... N/A.
(Reporting).
NHSN Healthcare Personnel Influenza N/A......................... Before January 1, 2018................... N/A.
Vaccination (Reporting).
Ultrafiltration Rate (Reporting).... 11 qualifying patients...... Before July 1, 2018...................... N/A.
--------------------------------------------------------------------------------------------------------------------------------------------------------
In the CY 2018 ESRD PPS proposed rule (82 FR 31203), we proposed
the intended application of this policy for PY 2020. We did not propose
to make any changes to the methodology we use to count the number of
months for which a facility is open for purposes of scoring facilities
on clinical and reporting measures, or to the minimum number of cases
(qualifying patients, survey-eligible patients, index discharges, or
patient-years at risk) that
[[Page 50761]]
applies to each measure. Table 2(b) displays the proposed revised
patient minimum requirements for each of the measures finalized for PY
2020, as well as the proposed revised CCN Open Dates after which a
facility would not be eligible to receive a score on a reporting
measure.
Table 2(b)--Proposed Revised Minimum Data Requirements for the PY 2020 ESRD QIP
--------------------------------------------------------------------------------------------------------------------------------------------------------
Measure Minimum data 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 patients.
(Clinical).
Vascular Access Type: Fistula 11 qualifying patients...... N/A...................................... 11-25 qualifying patients.
(Clinical).
Hypercalcemia (Clinical)............ 11 qualifying patients...... N/A...................................... 11-25 qualifying patients.
NHSN Bloodstream Infection 11 qualifying patients...... Before January 1, 2018................... 11-25 qualifying patients.
(Clinical).
NHSN Dialysis Event (Reporting)..... 11 qualifying patients...... Before January 1, 2018................... N/A.
SRR (Clinical)...................... 11 index discharges......... N/A...................................... 11-41 index discharges.
STrR (Clinical)..................... 10 patient-years at risk.... N/A...................................... 10-21 patient years at risk.
SHR (Clinical)...................... 5 patient-years at risk..... N/A...................................... 5-14 patient-years at risk.
ICH CAHPS (Clinical)................ Facilities with 30 or more Before January 1, 2018................... N/A.
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, 2018...................... N/A.
Serum Phosphorus (Reporting)........ 11 qualifying patients...... Before July 1, 2018...................... N/A.
Depression Screening and Follow-Up 11 qualifying patients...... Before July 1, 2018...................... N/A.
(Reporting).
Pain Assessment and Follow-Up 11 qualifying patients...... Before July 1, 2018...................... N/A.
(Reporting).
NHSN Healthcare Personnel Influenza N/A......................... Before January 1, 2018................... N/A.
Vaccination (Reporting).
Ultrafiltration Rate (Reporting).... 11 qualifying patients...... Before July 1, 2018...................... N/A.
--------------------------------------------------------------------------------------------------------------------------------------------------------
We requested comments on this proposal.
Comment: Commenters were appreciative of the clarification CMS
provided on the minimum number of cases.
Response: We thank commenters for their support.
Comment: Several commenters expressed concern with using sample
sizes as small as 11 and argued that the small sample size exposes the
ESRD QIP scores to random results that are not fully compensated by the
SFA. One commenter urged CMS to adopt a minimum sample size of 26
patients and to eliminate the SFA altogether. The commenters suggested
that there are many ways in which small facilities can be included
while avoiding random results.
Response: We appreciate the commenters' concerns. However, because
we did not propose to change the minimum number of cases that apply to
each measure, or to revisit the SFA, we consider these comments to be
outside the scope of the proposed rule and are not addressing them in
this final rule.
Final Rule Action: Based on the comments received, we are
finalizing the proposed minimum data requirements for the PY 2020 ESRD
QIP, as described in Table 2(b) above.
b. Changes to the Extraordinary Circumstances Exception (ECE) Policy
Many of our quality reporting and value-based purchasing programs
share a common process for requesting an exception from program
reporting due to an extraordinary circumstance not within a facility's
control. The Hospital Inpatient Quality Reporting, Hospital Outpatient
Quality Reporting, Inpatient Psychiatric Facility Quality Reporting,
Ambulatory Surgical Center Quality Reporting, PPS-Exempt Cancer
Hospital Quality Reporting, the Hospital Acquired Condition Reduction
Program, and the Hospital Readmissions Reduction Program all share
common processes for Extraordinary Circumstances Exception (ECE)
requests. In reviewing the policies for these programs, we recognized
that there are five areas in which these programs have variance in
comparison to the policy within the ESRD QIP regarding ECE requests.
These are: (1) Allowing the facilities or hospitals to submit a form
signed by the facility's or hospital's chief executive officer (CEO)
versus CEO or designated personnel; (2) requiring the form be submitted
within 30 days following the date that the extraordinary circumstance
occurred, versus within 90 days following the date the extraordinary
circumstance occurred; (3) inconsistency regarding specification of a
timeline for us to provide our response notifying the facility or
hospital of our decision; (4) inconsistency regarding whether we would
grant ECEs based on a facility's inability to timely and completely
report data due to CMS data system issues; and (5) referring to this
policy as ``extraordinary extensions/exemptions'' versus as
``extraordinary circumstances exceptions''. We believe that aligning
the way the ECE policy is implemented in our program, with the way it
is implemented in the programs listed
[[Page 50762]]
above, can improve the overall administrative efficiencies for affected
facilities or hospitals.
In the CY 2015 ESRD PPS final rule (79 FR 66120 through 66265), we
finalized that to receive consideration for an exception from the ESRD
QIP requirements in effect during the time period that a facility is
affected by an extraordinary circumstance, facilities would need to be
closed and provide CMS with a CMS Disaster Extension/Exception Request
Form within 90 calendar days of the date of the disaster or
extraordinary circumstance (79 FR 66190). We finalized that the
facility would need to provide the following information on the form:
Facility CCN.
Facility name.
CEO name and contact information.
Additional contact name and contact information.
Reason for requesting an exception.
Dates affected.
Date facility will start submitting data again, with
justification for this date.
Evidence of the impact of the extraordinary circumstances,
including but not limited to photographs, newspaper, and other media
articles.
We also finalized that we would consider granting an ECE to
facilities absent a request, if we determine that an extraordinary
circumstance affected an entire region or locale (79 FR 66190).
We proposed to update these policies by: (1) Allowing the facility
to submit a form signed by the facility's CEO or designated personnel;
(2) expanding the reasons for which an ECE can be requested to include
an unresolved issue with a CMS data system, which affected the ability
of the facility to submit data (an unresolved data system issue would
be one which did not allow the facility to submit data by the data
submission deadline and which was unable to be resolved with a work-
around), and (3) specifying that a facility does not need to be closed
in order to request and receive consideration for an ECE, as long as
the facility can demonstrate that its normal operations have been
significantly affected by an extraordinary circumstance outside of its
control. We stated that these proposed policies generally align with
policies in the Hospital Inpatient Quality Reporting Program (76 FR
51651 through 51652), (78 FR 50836 through 50837) and (81 FR 57181
through 57182), Hospital Outpatient Quality Reporting Program (77 FR
68489 and 81 FR 79795), as well as ECE policies we have finalized for
other quality reporting and value-based purchasing programs. We
proposed that these policies would apply beginning with the PY 2020
ESRD QIP, as related to extraordinary circumstance events that occur on
or after January 1, 2018.
We also noted that there may be circumstances in which it is not
feasible for a facility's CEO to sign the ECE request form. In these
circumstances, we believe that facilities affected by such
circumstances should be able to submit an ECE request regardless of the
CEO's availability to sign. This proposed change would allow facilities
to designate an appropriate, non-CEO contact for this purpose. We would
accept ECE forms which have been signed by designated personnel.
Although we do not anticipate that unresolved issues with CMS data
systems will happen on a regular basis, we also stated that we
recognized that there may be times when CMS experiences issues with its
data systems that inhibits facilities' ability to submit data. We are
often able to resolve such issues and allow facilities an extended
period of time to report the data. However, in the case that the issue
inhibits the complete reporting of data (even under an extended
deadline), we stated that we believed it would be inequitable to take
the absence of such unreported data into account when computing a
facility's TPS for a payment year. Therefore, we proposed to address
these situations in one of two ways. In some cases, CMS would issue a
blanket exception to facilities that have been affected by an
unresolved technical issue. In such cases, facilities would not be
required to submit an ECE request to CMS, and CMS would send
communications about the blanket exception to the affected facilities
using routine communication channels. In other cases, CMS would not
issue a blanket exception to facilities. In these cases, facilities
would be required to submit an ECE request to CMS using the regular ECE
request process, and would need to indicate how they were directly
affected by the technical issue.
Furthermore, we stated our belief that it is important for
facilities to receive timely feedback regarding the status of ECE
requests. We strive to complete our review of each ECE request as
quickly as possible. However, we recognize that the number of requests
we receive, and the complexity of the information provided impacts the
actual timeframe to make ECE determinations. To improve the
transparency of our process, we stated that we would strive to complete
our review of each request within 90 days of receipt.
We requested comments on these proposals.
Comment: Commenters supported CMS's proposed modifications to the
ECE policy in the ESRD QIP, and urged CMS to finalize the proposal. One
commenter requested that CMS issue clear guidance on the criteria used
to deny or approve an ECE to ensure that approvals and denials are made
consistently, uniformly, and in a manner that ensures that dialysis
facilities can rely on such guidance from CMS as they make
determinations about whether to submit an ECE request.
Response: We thank commenters for their support of our proposals to
update the ECE policy in the ESRD QIP. When considering ECE requests
that we receive from facilities, we consider all information provided
by the facility. We consider whether the facility submitted the request
in a timely manner and included all required information on its ECE
request form. We consider the reason for the closure and the strength
of the supporting documentation provided. We take each request under
consideration and decide based on all the evidence provided.
Comment: One commenter recommended that CMS add a separate
exclusion for dialysis camps, given their very limited operating
schedules. Another commenter recommended that CMS grant ECEs to camps
that request them. According to these commenters, these camps, which
operate for short, well-defined periods during the year, make it
possible for ESRD pediatric patients to have a traditional camp
experience but are often penalized under the ESRD QIP.
Response: We appreciate commenter's concerns. However, the camps
referred to by the commenters furnish renal dialysis services (as
defined in section 1881(b)(14)(B)) and, for that reason, we have no
discretion to exclude them from the ESRD QIP, if they otherwise meet
the program's eligibility requirements (such as the minimum data
requirements, CCN open date, etc.). We also see no basis to grant ECEs
to facilities that otherwise meet the program's eligibility
requirements simply because they are not open for the entire year. The
ECE policy was designed to provide relief to renal dialysis facilities
that experience extraordinary circumstances outside of their control.
Although we recognize the role that these camps may play in improving
the quality of life for pediatric ESRD patients, we do not view their
partial year operating status as a circumstance outside of their
control. We also see no reason for not holding these facilities
accountable to the same quality standards of care that apply to other
facilities under the ESRD QIP.
[[Page 50763]]
Comment: One commenter requested clarification of the term
``designated personnel'', and asked for information about how someone
would be designated as such.
Response: We expect that each facility will have its own process
for designating personnel with appropriate authority to sign an ECE
request on behalf of the facility, and we will accept an ECE request
signed either by the facility's CEO or such designated personnel.
Final Rule Action: After careful consideration of the comments
received, we are finalizing the updates to the ECE policy as proposed.
c. Solicitation of Comments on the Inclusion of Acute Kidney Injury
(AKI) Patients in the ESRD QIP
The services for which quality is measured under the ESRD QIP are
renal dialysis services defined in section 1881(b)(14)(B) of the Act.
Prior to January 1, 2017, these services could only be covered and
reimbursed under Medicare if they were furnished to individuals with
ESRD, but they are now also covered and reimbursed if they are
furnished by renal dialysis facilities or providers of services paid
under section 1881(b)(14) of the Act to individuals with acute kidney
injury (AKI) (see sections 1861(s)(2)(F) and 1834(r) of the Act).
We currently do not require facilities to report AKI patient data
for any of our measures in the ESRD QIP, including the National
Healthcare Safety Network (NHSN) Bloodstream infection (BSI) Clinical
and Reporting Measures.\5\ However, we now have the authority to
collect data on this patient population and believe that it is vitally
important to monitor and measure the quality of care furnished to these
patients.
---------------------------------------------------------------------------
\5\ To the extent that the CDC requests facilities to report AKI
patient data under its own, separate, statutory authority, data on
these patients are not shared with CMS or used in the calculation of
any ESRD QIP measures, including the NHSN Clinical and Reporting
Measures.
---------------------------------------------------------------------------
In the future, we intend to require facilities to report data on
AKI patients under the ESRD QIP. We requested comments on whether and
how to adapt any of our current measures to include this population, as
well as the type of measures that might be appropriate to develop for
future inclusion in the program that would address the unique needs of
beneficiaries with AKI.
Comment: Several commenters supported the inclusion of those with
AKI into the ESRD QIP. One commenter stated that because the incidence
of AKI is increasing, and is estimated to double over the next decade,
it's important to collect data on this population and to include them
in performance calculations.
Response: We agree that the quality of care afforded to AKI
patients by dialysis facilities is an emergent issue in dialysis care,
and collecting data on that care is important. Including AKI patients
in the ESRD QIP will require careful consideration of the clinical
appropriateness of including them in each measure.
Comment: Many commenters did not support the inclusion of AKI
patients in the ESRD QIP. They stressed that CMS should continue to
gather and evaluate AKI data before proposing to include AKI patient
outcomes in any QIP measure and expressed concerns regarding the
appropriateness of including AKI patients in any of the measures
currently included in the program. Several commenters made measure-
specific recommendations about why AKI patients should not be included
in the NHSN BSI measures, the Vascular Access measures, and the
Dialysis Adequacy measures. Many commenters stressed that if AKI
patients are included in the QIP, then the program should use quality
measures based solely on data from AKI patients, which are supported by
AKI care guidelines.
Response: We thank the commenters for sharing their concerns
regarding the inclusion of AKI patients in the ESRD QIP generally, and
for their recommendations regarding the inclusion of AKI patients in
specific quality measures. We intend to systematically evaluate the
appropriateness of including AKI patients in our existing quality
measures through our measure maintenance process, and in new measures
that could be focused specifically on that subset of patients treated
by facilities. In considering the inclusion of AKI patients in our
measures, we intend to apply the same standards that we use to
determine the applicability of our measures to specific patient
populations, which include seeking input from clinical experts and
other stakeholders. We would also consider the clinical differences
between ESRD dialysis patients and AKI patients, as well as the
relatively small number of AKI patients currently being treated by
dialysis facilities.
Comment: A few commenters argued that while monitoring AKI patients
is important and supported CMS' efforts to do so, CMS only has
statutory authority to apply the QIP to beneficiaries with ESRD.
Commenters argued that the statute establishing and governing the ESRD
QIP is limited to ``individuals who have been determined to have end-
stage renal disease as determined in section 226A of the Act,'' and
that this limitation excludes AKI patients from the ESRD benefit and
programs. Commenters pointed out that the ESRD QIP statutory language
further defines the quality incentive as avoiding a payment reduction
to the rates paid under section 1881(b)(14) of the Act and noted that
facilities that provide services to AKI patients are paid under section
1834(r) of the Act.
Response: We continue to believe that we have authority to collect
data on the AKI patient population from facilities under the ESRD QIP
and that it is important to hold facilities accountable for the quality
of renal dialysis services furnished to those patients. We appreciate
the feedback we received on this issue and we will take it into account
as we consider whether to make proposals related to this population in
future rulemaking.
d. Estimated Performance Standards, Achievement Thresholds, and
Benchmarks for the Clinical Measures Finalized for the PY 2020 ESRD QIP
In the CY 2017 ESRD PPS final rule (81 FR 77834 through 77969), we
finalized that for PY 2020, the performance standards, achievement
thresholds, and benchmarks for the clinical measures would be set at
the 50th, 15th and 90th percentile, respectively, of national
performance in CY 2016, because this will give us enough time to
calculate and assign numerical values to the proposed performance
standards for the PY 2020 program prior to the beginning of the
performance period (81 FR 77915). We stated in the CY 2018 ESRD PPS
proposed rule that we did not have the necessary data to assign
numerical values to those performance standards, achievement
thresholds, and benchmarks because we did not yet have complete data
from CY 2016. Nevertheless, we could estimate these numerical values
based on the most recent data available at the time we issued the CY
2018 ESRD PPS proposed rule, and we have since updated those values
based on more recently available data. For the vascular access type
(VAT), Hypercalcemia, NHSN BSI, In-Center Hemodialysis Consumer
Assessment of Healthcare Providers and Systems (ICH CAHPS),
Standardized Readmission Ratio (SRR), Standardized Hospitalization
Ratio (SHR), Kt/V Dialysis Adequacy, and Standardized Transfusion Ratio
(STrR) clinical measures, this data came from the period of January
through December 2015. In Table 3, we provided the
[[Page 50764]]
estimated numerical values for all finalized PY 2020 ESRD QIP clinical
measures (these are the values we estimated in the proposed rule). In
Table 4, we have provided updated values for the clinical measures,
using data from the first part of CY 2017.
Table 3--Estimated Numerical Values for the Performance Standards for the PY 2020 ESRD QIP Clinical Measures
----------------------------------------------------------------------------------------------------------------
Achievement Performance
Measure threshold Benchmark standard
----------------------------------------------------------------------------------------------------------------
VAT: .............. .............. ..............
%Fistula.................................................... 53.66% 79.62% 65.93%
%Catheter................................................... 17.20% 2.95% 9.19%
Kt/V Dialysis Adequacy Comprehensive............................ 87.37% 97.74% 93.20%
Hypercalcemia................................................... 4.24% 0.32% 1.85%
STrR............................................................ 1.488 0.421 0.901
SRR............................................................. 1.271 0.624 0.998
NHSN BSI........................................................ 1.738 0 0.797
Standardized Hospitalization Ratio measure (SHR)................ 1.244 0.672 0.970
ICH CAHPS: Nephrologists' Communication and Caring.............. 56.41% 77.06% 65.89%
ICH CAHPS: Quality of Dialysis Center Care and Operations....... 52.88% 71.21% 60.75%
ICH CAHPS: Providing Information to Patients.................... 72.09% 85.55% 78.59%
ICH CAHPS: Overall Rating of Nephrologists...................... 49.33% 76.57% 62.22%
ICH CAHPS: Overall Rating of Dialysis Center Staff.............. 48.84% 77.42% 62.26%
ICH CAHPS: Overall Rating of the Dialysis Facility.............. 51.18% 80.58% 65.13%
----------------------------------------------------------------------------------------------------------------
Data sources: VAT measures: 2015 CROWNWeb; SRR, STrR, SHR: 2015 Medicare claims; Kt/V: 2015 CROWNWeb;
Hypercalcemia: 2015 CROWNWeb; NHSN: 2015 CDC, ICH CAHPS: CMS 2015.
Our current policy generally is that if final numerical values for
the performance standard, achievement threshold, and/or benchmark are
worse than they were for that measure in the previous year of the ESRD
QIP, then we will substitute the previous year's performance standard,
achievement threshold, and/or benchmark for that measure. We adopted
this policy because we believe that the ESRD QIP should not have lower
performance standards than in previous years. In the CY 2017 ESRD PPS
final rule, we finalized an update to that policy because in certain
cases, it may be appropriate to re-baseline the NHSN BSI Clinical
Measure, such that expected infection rates are calculated based on a
more recent year's data (81 FR 77886). In such cases, numerical values
assigned to performance standards may appear to decline, even though
they represent higher standards for infection prevention. For PY 2020
and future payment years, we proposed to continue use of this policy
for the reasons explained above. Under that policy, except for the NHSN
BSI Clinical Measure, we would substitute the PY 2019 performance
standard, achievement threshold, and/or benchmark for any measure that
has a final numerical value for a performance standard, achievement
threshold, and/or benchmark that is worse than it was for that measure
in the PY 2019 ESRD QIP. We would also substitute the PY 2019 values
for two CAHPS measures: (1) ICH CAHPS: Overall Rating of Nephrologists
and (2) ICH CAHPS: Overall Rating of Dialysis Center Staff because the
final numerical values for those measures were worse for PY 2020 than
they were for PY 2019.
Final Rule Action: We did not receive comments on our proposal to
continue our policies for substituting the performance standard,
achievement threshold and benchmark in appropriate cases. We are
therefore, finalizing our proposal to continue use of these policies
for PY 2020 and future payment years, as proposed. We are also updating
the performance standards, achievement thresholds, and benchmarks for
the finalized PY 2020 ESRD QIP clinical measures as shown in Table 4,
using the most recently available data.
Table 4--Finalized Performance Standards for the PY 2020 ESRD QIP Clinical Measures Using the Most Recently
Available Data
----------------------------------------------------------------------------------------------------------------
Achievement Performance
Measure threshold Benchmark standard
----------------------------------------------------------------------------------------------------------------
Vascular Access Type (VAT):
%Fistula.................................................... 53.95% 79.90% 65.98%
%Catheter................................................... 17.22% 3.11% 9.40%
Kt/V Dialysis Adequacy Comprehensive............................ 91.09% 98.56% 95.64%
Hypercalcemia................................................... 2.41% 0.00% 0.86%
Standardized Transfusion Ratio (STrR)........................... 1.444 0.429 0.889
Standardized Readmission Ratio (SRR)............................ 1.273 0.629 0.998
NHSN Bloodstream Infection...................................... 1.598 0 0.740
Standardized Hospitalization Ratio measure (SHR)................ 1.249 0.670 0.967
ICH CAHPS: Nephrologists' Communication and Caring.............. 57.36% 78.09% 67.04%
ICH CAHPS: Quality of Dialysis Center Care and Operations....... 53.14% 71.52% 61.22%
ICH CAHPS: Providing Information to Patients.................... 73.31% 86.83% 79.79%
ICH CAHPS: Overall Rating of Nephrologists...................... 49.33% 76.57% 62.22%
ICH CAHPS: Overall Rating of Dialysis Center Staff.............. 48.84% 77.42% 62.26%
[[Page 50765]]
ICH CAHPS: Overall Rating of the Dialysis Facility.............. 52.24% 82.48% 66.82%
----------------------------------------------------------------------------------------------------------------
Data sources: VAT measures: 2016 CROWNWeb; SRR, STrR, SHR: 2016 Medicare claims; Kt/V: 2016 CROWNWeb;
Hypercalcemia: 2016 CROWNWeb; NHSN: 2016 CDC, ICH CAHPS: CMS 2016.
e. Policy for Weighting the Clinical Measure Domain for PY 2020
In the CY 2017 ESRD PPS final rule, we finalized our policy for
weighting the Clinical Measure Domain for PY 2020. With the addition of
the Safety Measure Domain to the ESRD QIP, we finalized that the
Clinical Measure Domain would comprise 75 percent of the TPS, the
Safety Measure Domain would comprise 15 percent of the TPS and the
Reporting Measure Domain would comprise 10 percent of the TPS. Table 5
shows the weights finalized for PY 2020 for the Clinical Measure
Domain.
Table 5--Finalized Clinical Measure Domain Weighting for the PY 2020 ESRD QIP
----------------------------------------------------------------------------------------------------------------
Measure weight in the
Measures/measure topics by clinical domain score Measure weight as percent of TPS (updated)
subdomain (percent)
----------------------------------------------------------------------------------------------------------------
Patient and Family Engagement/Care 40..................... ...................................................
Coordination Subdomain.
ICH CAHPS measure............. 25..................... 18.75
SRR Measure................... 15..................... 11.25
Clinical Care Subdomain........... 60..................... ...................................................
STrR measure.................. 11..................... 8.25
Dialysis Adequacy measure..... 18..................... 13.5
VAT measure topic............. 18..................... 13.5
Hypercalcemia measure......... 2...................... 1.5
SHR measure................... 11..................... 8.25
-----------------------------------------------------------------------------
Total..................... 100% (of Clinical 75% (of TPS)
Measure Domain).
----------------------------------------------------------------------------------------------------------------
Note: The percentages listed in this Table represent the measure weight as a percent of the Clinical Domain
Score for PY 2020.
We did not propose any changes to these weights, but we received a
few comments.
Comment: Some commenters recommended that we increase the weight of
the VAT Catheter Measure and decrease the weight of the VAT Fistula
Measure to emphasize the clinical benefits of eliminating catheters.
Additionally, a commenter recommended that CMS adopt a set of global
exclusions that would consistently apply to all measures, which would
be automatically applied unless there is a specific clinical or
operational reason they should not be.
Response: We appreciate the commenters' recommendations. However,
because we did not make any proposals related to these specific policy
areas, we consider these comments to be out of the scope of the
proposed rule. Therefore, we have not addressed them in this final
rule.
f. Payment Reductions for the PY 2020 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 TPS receive the largest
payment reductions. In the CY 2017 ESRD PPS final rule, we finalized
our proposal for calculating the minimum TPS for PY 2020 and future
payment years (81 FR 77927). Under our current policy, 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: (1) It performs at the performance standard for each clinical
measure; and (2) it receives the number of points for each reporting
measure that corresponds to the 50th percentile of facility performance
on each of the PY 2018 reporting measures (81 FR 77927).
We were unable to calculate a minimum TPS for PY 2020 in the CY
2017 ESRD PPS final rule because we did not yet have the data to
calculate the performance standards for each of the clinical measures.
We therefore stated that we would publish the minimum TPS for the PY
2020 ESRD QIP in the CY 2018 ESRD PPS final rule (81 FR 77927). We
estimated the minimum TPS for PY 2020, along with the updated payment
reduction scale, in Table 5 in the proposed rule (renumbered as Table 6
in this final rule). Based on the estimated performance standards which
we provided in the CY 2018 ESRD PPS proposed rule (82 FR 31207) and
listed above, we estimated that a facility would need to meet or exceed
a minimum TPS of 61 for PY 2020. For all the clinical measures, these
data came from CY 2015. We proposed that a facility failing to meet the
minimum TPS, would receive a payment reduction based on the estimated
TPS ranges indicated in Table 6.
Table 6--Estimated Payment Reduction Scale for PY 2020
------------------------------------------------------------------------
Reduction
Total performance score (%)
------------------------------------------------------------------------
100-61...................................................... 0
60-51....................................................... 0.5
50-41....................................................... 1.0
40-31....................................................... 1.5
30-21....................................................... 2.0
------------------------------------------------------------------------
The comments and our responses to the comments on our proposal are
set forth below.
Comment: One commenter asked CMS to fix an error in the CY 2018
ESRD PPS proposed rule, Table 5 (Table
[[Page 50766]]
6 in this final rule), titled ``Estimated Payment Reduction Scale for
PY 2020 Based on the Most Recently Available Data,'' stating that the
last line should be corrected to read ``30-0''. The commenter stated
that the table, as published in the proposed rule, does not include the
TPS range between 0 and 20.
Response: We thank the commenter for pointing out this error. We
inadvertently neglected to include in Table 5 (Table 6 in this final
rule) of the proposed rule that the payment reduction would be 2.0
percent for facilities that achieve a TPS between 30-0. We have
included the final TPS ranges in Table 7 based on the most recently
available data.
Final Rule Action: After consideration of the comments received and
an analysis of the most recently available data, we are finalizing that
the minimum TPS for PY 2020 will be 59. We are also finalizing the
payment reduction scale shown in Table 7.
Table 7--Finalized Payment Reduction Scale for PY 2020 Based on the Most
Recently Available Data
------------------------------------------------------------------------
Reduction
Total performance score (%)
------------------------------------------------------------------------
100-59...................................................... 0
58-49....................................................... 0.5
48-39....................................................... 1.0
38-29....................................................... 1.5
28-0........................................................ 2.0
------------------------------------------------------------------------
g. 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
priority was to develop a methodology for validating data submitted to
Consolidated Renal Operations in a Web-Enabled Network (CROWNWeb) under
the pilot data validation program. In the CY 2014 ESRD PPS final rule
(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, PY 2018 and PY 2019
ESRD QIP, and proposed to continue doing so for the PY 2020 ESRD QIP.
Using the data collected thus far, we are exploring options for
refining the methodology used to improve the effectiveness and
reliability of the data collected. For future payment years, we will
consider whether this validation effort should continue in pilot status
or as a permanent feature of the ESRD QIP. Under the continued
validation study, we will sample the same number of records
(approximately 10 per facility) from the same number of facilities,
which totaled 300 facilities during CY 2018. 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 calendar days
of receiving a request, then we proposed to deduct 10 points from the
facility's TPS.
In the CY 2015 ESRD PPS final rule (79 FR 66120 through 66265), we
finalized a feasibility study for validating data reported to the CDC's
NHSN Dialysis Event Module for the NHSN BSI Clinical Measure (OMB
#0938-NEW). Healthcare-acquired infections 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. This
methodology resembles the methodology we use in the Hospital Inpatient
Quality Reporting Program to validate the central line-associated BSI
measure, the catheter-associated urinary tract infection measure, and
the surgical site infection measure (77 FR 53539 through 53553).
For the PY 2020 ESRD QIP, we proposed to continue conducting the
same NHSN dialysis event validation study, that we finalized in the CY
2017 ESRD PPS final rule for PY 2019 (81 FR 77894). For PY 2020, we
would continue to select 35 facilities to participate in an NHSN
dialysis event validation study by submitting 10 patient records
covering two quarters of data reported in CY 2018. However, for PY
2020, the sampling method used to select the 35 facilities would be
adjusted such that a more representative sample of facility data can be
analyzed, including data from high performing facilities as well as
facilities identified as being at risk of underreporting. A CMS
contractor would send these facilities requests for medical records for
all patients with ``candidate events'' during the evaluation period;
that is, patients who had any positive blood cultures; received any
intravenous antimicrobials; had any pus, redness, or increased swelling
at a vascular access site; and/or were admitted to a hospital during
the evaluation period. Facilities would have 60 calendar days to
respond to the request for medical records based on candidate events
either electronically or on paper. If the contractor determines that
additional medical records are needed to reach the 10-record threshold
from a facility to validate whether the facility accurately reported
the dialysis events, then the contractor would send a request for
additional, randomly selected patient records from the facility. The
facility would have 60 calendar days from the date of the letter to
respond to the request. With input from the CDC, the CMS contractor
would use a methodology for reviewing and validating records from
selected patients, to determine whether the facility reported dialysis
events for those patients in accordance with the NHSN Dialysis Event
Protocol. If a facility is selected to participate in the validation
study but does not provide CMS with the requisite lists of information
or medical records within 60 calendar days of receiving a request, then
we proposed to deduct 10 points from the facility's TPS. We stated that
information from the validation study may be used in future years of
the program to inform our consideration of future policies that would
incorporate NHSN data accuracy into the scoring process. In future
years of the program we may also look to improve the NHSN dialysis
event validation study by validating records from a greater number of
facilities or by validating a larger sample of records from each
facility participating in the study.
The comments and our responses to the comments on our proposals are
set forth below.
Comment: Several commenters supported CMS's efforts to continue the
NHSN BSI Data Validation Study and supported the efforts of CDC around
BSI prevention. One commenter specifically supported CMS's efforts to
include both high performing facilities and those at risk of under-
reporting. Another commenter expressed that a larger, more
representative sample is needed for validation. A few commenters
applauded CMS for working with CDC on the proposed methodology for data
validation and recommended that the sample size of facilities be
increased to 5 percent, consistent with the dialysis facility
validation sample size for CROWNWeb data. One commenter pointed out
that CMS should include a diverse group of facilities to ensure that
the major providers are not over-represented in the sample. The
commenter encouraged CMS to use lessons learned from the CY 2017 data
validation study when conducting the CY 2018 validation survey.
[[Page 50767]]
Response: We thank the commenters for sharing their
recommendations, and we appreciate their support. We agree that it's
important to monitor and prevent infections and that it's important to
continue conducting validation to ensure that the data received on
infections is accurate and complete so that CMS and CDC can continue in
their efforts to help facilities with infection prevention. We also
agree that an increase in the sample size of the NHSN validation study
will allow us to more comprehensively validate the BSI data. We are
currently working closely with CDC to determine whether we should
propose in future rulemaking to change the current sample size, and as
part of that analysis, we are considering how to best ensure that the
sample size includes a diverse group of facilities that does not over
or under-represent any particular type of facilities.
Comment: One commenter expressed concerns with the accuracy of NHSN
Data and recommended that CMS mandate reporting of culture results to
NHSN by the lab processing the specimen, and when Regional Health
Information Exchanges become operational in all communities, mandate
participation in an Exchange by all laboratories processing blood
cultures. The commenter also recommended that there should be an
ongoing auditing of at least 10 percent of facilities to provide an
incentive for diligent data collection and honest and accurate
reporting. Additionally, the commenter recommended that the NHSN BSI
Clinical Measure remain in the program as a reporting measure only
until such an ongoing audit can be put in place.
Response: We thank the commenter for their recommendations and will
continue working with CDC to identify ways to assess and strengthen the
overall accuracy of NSHN BSI data. We remind commenters that the
overall purpose of the validation under the ESRD QIP is to ensure that
renal dialysis facilities are reporting accurate and complete
information to CMS for purposes of calculating their TPSs. While we
agree that one way to encourage all facilities to report accurate BSI
data would be to require a larger number of facilities to participate
in a given year, we are also examining whether we can achieve the same
goal of accurate reporting in other ways that may be less burdensome
and more cost-efficient.
Comment: One commenter requested that CMS make the results of the
CROWNWeb validation publicly available. Another commenter questioned
whether CMS has not released any validation results because those
results would show that CROWNWeb is not a reliable data collection tool
and that the NHSN BSI Measure is not valid.
Response: We thank the commenter for sharing this recommendation.
However, one of our main goals for validation is to give feedback that
the selected facility can use to make internal improvements to its
reporting processes, and we do not think it would be beneficial to make
this feedback public. Further, given the small sample size, we are
concerned that publicly releasing the information would threaten the
confidentiality and privacy of facilities that are chosen to
participate in the validation study. To date, our validation studies
have not shown any concerns with the reliability of data reported to
CROWNWeb or NHSN. In fact, our most recent CROWNWeb Validation Study
found an overall error rate of 3.4 percent (95 percent confidence
interval of 1.3 percent to 5.5 percent) for the CROWNWeb system. Given
stakeholders continued concerns, we will consider providing a national
summary report, validation fact sheet, or similar document that
summarizes high-level aggregate results from each validation study.
Comment: Several commenters expressed concerns that the Data
Validation Study is actually an audit and suggested that a true audit
process would provide appropriate due process, including the right to
appeal adverse decisions. One commenter argued that the timeframe for
response is inadequate and that the penalty for failing to comply with
it is disproportionately severe when compared to the problem being
identified. The same commenter also recommended that while the
validation ``study'' is taking place, CMS should not reduce a
facility's ESRD QIP score because the purpose of the study is to assess
future policies to ensure the accuracy of NHSN data. One commenter
asked CMS to clearly state in the final rule the reason why the
validation studies are necessary and, if the purpose is to audit
facilities, the commenter asked that CMS provide appropriate due
process. Another commenter acknowledged that CMS has an interest in
auditing quality data submissions to ensure their accuracy at the
individual facility level, but questioned why CMS continues to refer in
the ESRD QIP to a ``validation study'' rather than an audit program of
CROWNWeb data submissions and the NHSN BSI Clinical Measure.
Response: We thank commenters for sharing their concerns. As we
stated in the CY 2016 ESRD PPS final rule (80 FR 69049), the data
validation studies are not designed to be an audit, but rather to
assess the capacity of renal dialysis facilities to provide accurate
and complete data on performance measures, and to find ways to assist
them in improving their data reporting. It is meant to be a
collaborative effort between CMS and the facilities selected for
validation with the goal of determining ways to improve the process for
all facilities. An audit, by contrast, would be a more directed search
for errors and punitive in nature. We are also using the validation
data to improve the integrity of data reported to CROWNWeb and NHSN;
whereas we would use the data collected through an audit to detect
inaccuracies in reported data and reconcile those differences.
Additionally, information gathered from the validation studies is used
to develop training and/or education modules to assist facilities that
may be having trouble with reporting complete and accurate data to
CROWNWeb or NHSN.
Final Rule Action: After carefully considering the comments
received, we are finalizing our data validation studies for PY 2020 as
proposed.
4. Requirements for the PY 2021 ESRD QIP
a. Measures for the PY 2021 ESRD QIP
We previously finalized 16 measures in the CY 2017 ESRD PPS final
rule for the PY 2020 ESRD QIP. Our policy is to continue using measures
unless we propose to remove or replace them, (77 FR 67477), therefore,
we will continue to use all but two of these measures in the PY 2021
ESRD QIP. In the CY 2018 ESRD PPS proposed rule, we proposed to replace
the two VAT Clinical Measures with the Hemodialysis Vascular Access:
Standardized Fistula Rate Clinical Measure and the Hemodialysis
Vascular Access: Long-Term Catheter Rate Clinical Measure beginning
with PY 2021. The measures being continued in PY 2021 are summarized in
Table 8.
[[Page 50768]]
Table 8--PY 2020 ESRD QIP Measures Being Continued in PY 2021
------------------------------------------------------------------------
NQF Number Measure title and description
------------------------------------------------------------------------
0258.............................. ICH CAHPS Survey Administration, a
clinical measure. Measure assesses
patients' self-reported experience
of care through percentage of
patient responses to multiple
testing tools.
2496.............................. SRR, a clinical measure. Ratio of
the number of observed unplanned 30-
day hospital readmissions to the
number of expected unplanned 30-day
readmissions.
2979.............................. STrR, a clinical measure. Risk-
adjusted standardized transfusion
ratio for all adult Medicare
dialysis patients. Number of
observed eligible red blood cell
transfusion events occurring in
patients dialyzing at a facility to
the number of eligible transfusions
that would be expected.
N/A............................... Kt/V Dialysis Adequacy
Comprehensive, a clinical measure.
Percentage of all patient months
for patients whose delivered dose
of dialysis (either hemodialysis or
peritoneal dialysis) met the
specified threshold during the
reporting period.
1454.............................. Hypercalcemia, a clinical measure.
Proportion of patient-months with 3-
month rolling average of total
uncorrected serum or plasma calcium
greater than 10.2 mg/dL.
1463*............................. SHR, a clinical measure. Risk-
adjusted SHR of the number of
observed hospitalizations to the
number of expected
hospitalizations.
0255.............................. Serum Phosphorus, a reporting
measure. Percentage of all adult
(>=18 years of age) peritoneal
dialysis and hemodialysis patients
included in the sample for analysis
with serum or plasma phosphorus
measured at least once within
month.
N/A............................... Anemia Management Reporting, a
reporting measure. Number of months
for which facility reports
erythropoiesis-stimulating agent
(ESA) dosage (as applicable) and
hemoglobin/hematocrit for each
Medicare patient, at least once per
month.
Based on NQF #0420................ 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.
Based on NQF #0418................ 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.
Based on NQF #0431................ 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.
N/A............................... Ultrafiltration Rate, a reporting
measure. Number of months for which
a facility reports elements
required for ultrafiltration rates
for each qualifying patient.
Based on NQF #1460................ NHSN BSI in Hemodialysis Patients, a
clinical measure. The Standardized
Infection Ratio (SIR) of BSIs will
be calculated among patients
receiving hemodialysis at
outpatient hemodialysis centers.
N/A............................... NHSN Dialysis Event Reporting
Measure. Number of months for which
facility reports NHSN Dialysis
Event data to CDC.
------------------------------------------------------------------------
* We note that the complete lists of ICD-10 codes associated with the
Standardized Readmission Ratio Clinical Measure and the Standardized
Hospitalization Ratio Clinical Measure included in the ESRD QIP for PY
2020 are included in the Measure Technical Reports, available here:
https://www.cms.gov/Medicare/Quality-Initiatives-Patient-Assessment-Instruments/ESRDQIP/061_TechnicalSpecifications.html.
We did not propose any changes to the measures previously finalized
and continuing for PY 2021, however we received two comments requesting
clarification on measures continuing in PY2021 and a number of comments
on ways to improve those measures in the ESRD QIP. Those comments and
our responses are set forth below.
Comment: One commenter asked why CMS removed transient patients
from the set of exclusions for the Serum Phosphorus Reporting Measure.
Response: The measure specification language was changed from
excluding transient patients to needing to be in the facility for the
entire month as an inclusion criterion. This was done to clarify how we
identify eligible patients for the measure, and aligns the measure more
closely with how CROWNWeb (the data source) attributes patients to a
facility. There is essentially no difference in application between the
previous and updated specification. The updated specification also
makes the Serum Phosphorus Reporting Measure that we use in the ESRD
QIP more consistent with the specifications for the Serum Phosphorus
Reporting Measure that is endorsed by the NQF (NQF #0255), and which
evaluates the extent to which facilities monitor and report patient
phosphorus levels.
Comment: One commenter asked about the Standardized Readmission
Ratio (SRR) Clinical Measure, inquiring why CMS removed amputation
status and added functional disability to the list of past-year
comorbidity adjustments in the risk model.
Response: We used the term ``functional disability'' in a measure
methodology report that lists the coefficients for the past year
comorbidity adjustments but defined that term to mean hierarchical
condition groupers (177 and 178) which describe amputation status (the
measure Methodology report is available here: https://www.cms.gov/Medicare/Quality-Initiatives-Patient-Assessment-Instruments/ESRDQIP/061_TechnicalSpecifications.html). Moving forward, we will use the term
``Amputation,'' because that term more correctly describes the
comorbidity being risk adjusted under the measure.
Comment: Regarding the Serum Phosphorus Reporting Measure, one
commenter expressed concerns that requiring facilities to report
phosphorus results from the first month that a patient is on home
hemodialysis represents a barrier to home dialysis. We understood this
to be a reference to concerns about the complexity of transitioning
into home hemodialysis as a treatment modality, and the timing of
obtaining the blood draw necessary for the data.
Regarding the Comprehensive Dialysis Adequacy measure, commenters
expressed concerns that Kt/V is an outdated measure of dialysis
adequacy and shared that there are other tests which would indicate
optimal dialysis such as the Beta-2 microglobulin or a 24-hour urine
test. One commenter stressed that it's important to include a measure
of residual kidney function, particularly for peritoneal dialysis
patients.
[[Page 50769]]
Regarding the ICH CAHPS measure, commenters argued that the measure
should be included in the program as a reporting measure rather than as
a clinical measure, that the survey should only be conducted once a
year because twice-yearly administration leads to patient fatigue,
limiting feedback on patient experiences, and that the survey should be
split into three separate and independently tested sections rather than
requiring the entire survey twice a year. Commenters also stressed the
need for a separate survey for home hemodialysis patients.
Regarding the NHSN BSI Clinical and Reporting Measures, commenters
pointed out flaws with the measures, including the fact that dialysis
facilities cannot report information if they are not receiving
infection information from hospitals. Several commenters urged CMS to
include only the NHSN Dialysis Event reporting measure and to remove
the NHSN BSI clinical measure from the program. Two other concerns were
that blood cultures obtained in hospitals are not systematically
captured in the Reporting Measure and that there is incomplete
antibiotic susceptibility data in NHSN.
Regarding the Standardized Hospitalization Ratio Clinical Measure,
one commenter argued that the SHR should not be included in the program
until its reliability at the facility size used in the measure has been
demonstrated because for small facilities, more than half of a
facility's score is due to random noise and is not an accurate signal
of quality. Another commenter asked CMS to include an exclusion in the
measure for hospitalizations that occur within 29 days of the index
discharge because this would avoid a readmission being captured as a
hospitalization by the SHR but it would still be captured as a
readmission by the SRR.
Regarding the Ultrafiltration Rate (UFR) Reporting measure, several
commenters recommended that CMS require January 2018 UFR rates to be
reported on or before March 31, 2018 rather than February 28, 2018, to
align with the reporting of other clinical values for January 2018.
Another commenter recommended that CMS define ``treatment week'' or
``collection period'' for the UFR measure in a way that takes into
consideration operational details such as lab draws early in the month
or the unavailability of a UFR prior to the Kt/V draw for other
reasons. Alternatively, the commenter suggested that any three
contiguous UFRs should provide an accurate estimate of UFR to
accomplish the measure goals and asked CMS to adopt this position and
define the collection period as ``any three contiguous UFRs during a
calendar month.'' Several commenters expressed concerns about the
measure specifications for the measure, including that a treatment
preceding the Kt/V but that falls within the prior calendar month may
not meet the reporting requirement. These commenters requested that CMS
revise the measure specifications so that the UFR reporting requirement
can be independent of the Kt/V measurement because, they argued, there
is no rationale for tying the two measures to one another.
Regarding the Anemia Management Measure, one commenter urged CMS to
restore a measure establishing a minimal standard for anemia management
and another requested a separate anemia management measure for home
dialysis patients.
One commenter requested that CMS differentiate within the Pain
Measure between chronic and immediate pain, and another commenter
requested that a pain assessment be required at every treatment rather
than merely twice a year. A few commenters recommended that CMS develop
a standardized ESRD-specific tool for depression.
Regarding the Hypercalcemia Clinical measure, one commenter asked
CMS to remove the measure from the program entirely because it's
challenging for patients who continue to experience difficulties with
access to medications and the health outcomes related to surgery for
hyperparathyroidism and hypercalcemia.
Response: We appreciate commenters' thoughtful comments about the
measures continuing for PY 2021. However, as we did not propose any
changes to these measures which were previously finalized and are
continuing into PY 2021, we consider these comments to be outside the
scope of the CY 2018 ESRD PPS proposed rule. We continue to believe
that the measures previously finalized for inclusion in the program
represent the most appropriate way to assess quality of care in
dialysis facilities. As we continue to assess the existing measures in
the program, we will take these recommendations into consideration.
However as mentioned above, we are not making updates to these measures
at this time. For a more thorough discussion of the concerns raised at
the time we introduced each of these measures into the ESRD QIP, please
review the following rules where each of these measures was finalized:
ICH CAHPS (77 FR 67480 through 67481, and 78 FR 72193), NHSN Dialysis
Event Reporting Measure (77 FR 67484), NHSN BSI Clinical Measure (78 FR
72204), Anemia Management Reporting Measure (77 FR 67491 through 67495,
and 78 FR 72198), Comprehensive Dialysis Adequacy Clinical Measure (80
FR 69043-69057), Ultrafiltration Rate Reporting Measure (81 FR 77912
through 77915), Standardized Hospitalization Rate Reporting Measure (81
FR 77906 through 77911), Serum Phosphorus Reporting Measure (81 FR
77911 through 77912), Mineral Metabolism Reporting Measure (78 FR
72197), Hypercalcemia Clinical Measure (78 FR 72203).
Comment: Commenters made several recommendations regarding measures
we should consider for future inclusion in the program. Commenters
recommended a measure for referrals for transplantation, more measures
that focus on pediatric patients, an advanced care planning measure,
and a standardized mortality ratio measure.
Response: We thank commenters for these recommendations and we will
consider them as we continue to assess measures for future inclusion in
the ESRD QIP.
b. Replacement of the Vascular Access Type (VAT) Clinical Measures
Beginning With the PY 2021 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 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 set would address the
unique needs of a specific subset of the ESRD population (79 FR 66174).
[[Page 50770]]
After publication of the CY 2017 ESRD PPS final rule (81 FR 77834
through 77969), we evaluated the finalized PY 2020 ESRD QIP measures
that would be continued in PY 2021 against these criteria. We
determined that none of these measures met criterion (1), (2), (3),
(4), (5) or (7). As part of this evaluation for criterion one, we
performed a statistical analysis of the PY 2020 measures we plan to
continue using for PY 2021 and future payment years 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 9.
As Table 9 illustrates, the distributions of the PY 2020 clinical
measures were assessed to determine if any measures were ``topped
out.'' For a measure to be considered topped out, two conditions had to
be met. First, a measure was considered topped out if the 75th
percentile, or 25th percentile for measures where lower percentiles
indicate better performance, was statistically indistinguishable from
the 90th (or 10th) percentile, and second, the truncated coefficient of
variation (TCV) was less than or equal to 10 percent, or 0.10. We note
that the percentiles were considered statistically indistinguishable if
the 75th/25th percentile was within two standard errors of the 90th/
10th percentile. Additionally, for each measure the TCV was calculated
by first removing the lower and upper 5th percentiles, then dividing
the standard deviation by the mean of this truncated distribution
(SDtruncated/Meantruncated). The TCV was then
converted to a decimal by dividing the TCV by 100.
The measures we evaluated were the comprehensive Dialysis Adequacy
measure, Hypercalcemia (referred to in the table as ``Serum Calcium
>10.2''), NHSN Standardized Infection Ratio (SIR), SRR, STrR, and SHR
clinical measures, and 6 individual components of the CAHPS clinical
measure. The Vascular Access measures were not included in this
evaluation because they will not be continuing from PY 2020 to PY 2021.
CROWNWeb data from 2015 were used for Hypercalcemia, the combination of
2015 CROWNWeb data and 2015 Medicare claims data were used for Kt/V
measure, and the SRR, STrR, and SHR measures were based on both
combination of 2014 CROWNWeb data and 2014 Medicare claims data. The
NHSN BSI Clinical Measure was calculated using the CY 2015 NHSN data
from the CDC, and the six components of the ICH-CAHPS measure were
calculated using the CY 2015 ICH-CAHPS data.
Table 9 presents the percentiles, standard error, and TCV for each
measure. In this analysis, all facilities with the minimum eligible
patient requirement per measure were included. The results indicate
none of the PY 2020 clinical measures met both ``topped out''
conditions. Therefore, we did not propose to remove any of these
measures from the ESRD QIP for PY 2021 for being topped out.
Table 9--PY 2020 Clinical Measures Continuing in PY 2021 Including Facilities With Minimum Eligible Patient Requirement per Measure
--------------------------------------------------------------------------------------------------------------------------------------------------------
Statistically
Measure N 75th/25th 90th/10th Std error indistin- Truncated Truncated TCV TCV <=0.10
percentile percentile guishable mean SD
--------------------------------------------------------------------------------------------------------------------------------------------------------
Kt/V delivered dose above minimum 6101 96.0 97.7 0.084 No 92.6 3.88 0.04 Yes
(%)..............................
Serum Calcium >10.2............... 6258 0.91 0.32 0.050 No \a\ 97.8 1.49 <0.01 Yes
ICH-CAHPS: Nephrologists 3349 71.8 77.1 0.159 No 65.7 7.11 0.11 No
Communication and Caring (%).....
ICH-CAHPS: Quality of Dialysis 3349 66.2 71.2 0.134 No 60.9 6.20 0.10 No
Center Care and Operations (%)...
ICH-CAHPS: Providing Information 3349 82.4 85.6 0.101 No 78.4 4.61 0.06 Yes
to Patients (%)..................
ICH-CAHPS: Percent, Rating of 3349 69.9 76.6 0.204 No 62.0 9.29 0.15 No
Nephrologist.....................
ICH-CAHPS: Percent, Rating of 3349 70.9 77.4 0.215 No 62.0 9.92 0.16 No
Dialysis Facility Staff..........
ICH-CAHPS: Percent, Rating of 3349 73.8 80.6 0.221 No 64.8 10.18 0.16 No
Dialysis Center..................
NHSN-SIR.......................... 5805 0.40 0.00 0.011 No 0.964 0.57 <0.01 Yes
SRR............................... 6178 0.78 0.63 0.003 No 0.969 0.21 <0.01 Yes
STrR.............................. 5742 0.63 0.42 0.007 No 0.955 0.39 <0.01 Yes
SHR............................... 6298 0.81 0.67 0.004 No 0.978 0.20 <0.01 Yes
--------------------------------------------------------------------------------------------------------------------------------------------------------
a Truncated mean for percentage is reversed (100 percent-truncated mean) for measures where lower score = better performance.
Over the past few years, we have received numerous public comments
regarding the two VAT measures included in the ESRD QIP's measure set.
Specifically, commenters have recommended that CMS adjust the weights
of the VAT measures to place more emphasis on reducing catheters to
encourage the use of fistulas and grafts (81 FR 77904). Another
commenter specifically supported CMS' submission of new VAT Measures to
the NQF Renal Standing Committee to address the small number of
patients for whom a catheter may be the most appropriate vascular
access type when life expectancy is limited (81 FR 77905). We also note
that the VAT measures currently used in the ESRD QIP measure set are
calculated using claims data. This limits the applicability of the
measures to Medicare Fee-For-Service (FFS) patients, while excluding
all others.
Although there is no evidence to suggest that the current VAT
measures are leading to negative or unintended consequences, we
proposed to remove both from the ESRD QIP measure set beginning with
the PY 2021 program based on criterion (6) listed earlier because
measures that are more strongly associated with desired patient
outcomes for the particular topic are now available. We proposed to
replace the VAT measures with the Hemodialysis Vascular Access:
Standardized Fistula Rate Clinical Measure (NQF #2977) and the
Hemodialysis Vascular Access: Long-Term Catheter Rate Clinical Measure
(NQF #2978). We believe these
[[Page 50771]]
measures will address the methodological concerns the community has
shared regarding the existing measures. Additionally, both measures
have been endorsed by the NQF, are supported by the Measures
Application Partnership, and can be calculated using data that
facilities are already required to report in CROWNWeb to meet 42 CFR
494.180(h) of the Conditions for Coverage for ESRD Dialysis Facilities.
Because CROWNWeb collects data on all patients, we believe that the
adoption of these measures will enable us to more accurately assess the
quality of care furnished by facilities.
We requested comments on our proposal to remove the current VAT
measures from the ESRD QIP measure set beginning with the PY 2021
program year. The comments and our responses are set forth below.
Comment: Commenters were generally supportive of CMS's proposed
replacement of the VAT measures with the proposed Hemodialysis Vascular
Access measures, pointing out that the new fistula measure adds
adjustment for factors associated with illness severity and comorbid
conditions, while the catheter measure excludes patients who may be
more appropriately treated with a catheter. Commenters also appreciated
efforts made by CMS over the last few years to convene a Technical
Expert Panel (TEP) and to assess best practices in Vascular Access.
They added that CMS should continue reviewing and revisiting these
measures when necessary to account for factors that may warrant further
refinement.
Response: We appreciate commenters' support for our efforts to
ensure our measures reflect best practices in providing quality care to
ESRD dialysis patients. We believe that the new Hemodialysis Vascular
Access measures have several advantages: (1) They address long-standing
concerns with the previous VAT measures that were included in the
program, (2) they take into consideration the important clinical
differences between patients, and (3) they are reflective of the
importance of patient choice in their own clinical care.
c. Revision of the Standardized Transfusion Ratio (STrR) Clinical
Measure Beginning With the PY 2021 Program Year
We believe that changes during the past several years to the way
ESRD services are reimbursed under Medicare, as well as changes to how
ESRD care is measured under the ESRD QIP and through other quality
reporting initiatives, may have impacted how anemia is clinically
managed. Some of these changes include the identification of safety
concerns associated with aggressive erythropoiesis-stimulating agent
(ESA) use, the expansion of the ESRD PPS bundled payment methodology to
include ESAs, and the continued growth and expansion of the ESRD QIP.
There are concerns that these changes could result in the
underutilization of ESAs, with lower achieved hemoglobin values that
may increase the frequency of red blood cell transfusion in the United
States chronic dialysis population.
Excessive rates of blood transfusion may be an indicator for
underutilization of clinical treatments to increase endogenous red
blood cell production (for example, ESA and iron). Dialysis patients
who are eligible for kidney transplant and have received transfusions
are at increased risk of becoming sensitized to the donor pool thereby
making transplant more difficult to accomplish. Blood transfusions
carry a small risk of transmitting blood borne infections and/or the
development of a transfusion reaction, and using infusion centers or
hospitals to transfuse patients is expensive, inconvenient, and could
compromise future vascular access.\6\
---------------------------------------------------------------------------
\6\ FDA Drug Safety Communication: Modified dosing
recommendations to improve the safe use of Erythropoiesis-
Stimulating Agents (ESAs) in chronic kidney disease. https://www.fda.gov/Drugs/DrugSafety/ucm259639.htm.
Kidney Disease: Improving Global Outcome (KDIGO) Anemia Work
Group. KDIGO Clinical Practice Guideline for Anemia in Chronic
Kidney Disease. Kidney inter., Suppl. 2012; 2: 279-335. https://www.kdigo.org/clinical_practice_guidelines/pdf/KDIGO-Anemia%20GL.pdf.
Obrador and Macdougall. Effect of Red Cell Transfusions on
Future Kidney Transplantation. Clin J Am Soc Nephrol 8: 852-860,
2013.
Ibrahim, et al. Blood transfusions in kidney transplant
candidates are common and associated with adverse outcomes. Clin
Transplant 2011: 25: 653-659.
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Monitoring the risk-adjusted transfusion rate at the dialysis
facility level, relative to national standards, allows for detection of
treatment patterns in dialysis-related anemia management. This is of
importance due to recommendations by the Food and Drug Administration
regarding more conservative ESA dosing.\7\ As providers use less ESAs
in an effort to minimize the risks associated with aggressive anemia
treatment, it becomes more important to monitor for an overreliance on
transfusions. Beginning with PY 2017, we adopted the STrR to address
gaps in the quality of anemia management. We also submitted that
measure to the NQF for consensus endorsement, but the Renal Standing
Committee did not recommend it for endorsement, in part due to concerns
that variability in hospital coding practices with respect to the use
of 038 and 039 revenue codes might unduly bias the measure rates. Upon
reviewing the committee's feedback, we revised the STrR measure to
address these concerns. Following this revision, we resubmitted the
STrR (NQF #2979) to NQF for consensus endorsement, and the NQF endorsed
it in 2016. The proposed change to the STrR beginning with the PY 2021
ESRD QIP will align the measure specifications we use for the ESRD QIP
with the measure specifications that the NQF endorsed in 2016 (NQF
#2979).
---------------------------------------------------------------------------
\7\ https://www.fda.gov/Drugs/DrugSafety/ucm259639.htm.
---------------------------------------------------------------------------
Summary of Change
The proposed updated specifications to the STrR measure contain a
more restricted definition of transfusion events than is used in the
current STrR measure. Specifically, the revised definition excludes
inpatient transfusion events for claims that include only 038 or 039
revenue codes without an accompanying International Classification of
Diseases-9 (ICD-9) or ICD-10 procedure code or value code. As a result
of requiring that all inpatient transfusion events include an
appropriate ICD-9 or ICD-10 procedure code or value code, the measure
will identify transfusion events more specifically and with less bias
related to regional coding variation. As a result, it will assess a
smaller number of events as well as a smaller range of total events.
2016 Measures Application Partnership Review
We determined that the proposed revision to the STrR (NQF #2979)
constituted a substantive change to the measure, and we submitted that
revision to the Measures Application Partnership for consideration as
part of the pre-rulemaking process. The Measures Application
Partnership recommended that this measure be refined and resubmitted
due to concerns that measuring transfusions in dialysis facilities may
not be feasible.\8\ The Measures Application Partnership also expressed
concern that the decision to administer a blood transfusion may be
outside of the dialysis facility's control because in general,
clinicians in hospitals make the decisions about blood transfusions.
The Measures Application Partnership also expressed concern that
variability in blood transfusion coding practices could inadvertently
affect a dialysis facility's performance on this measure.
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\8\ https://www.qualityforum.org/WorkArea/linkit.aspx?LinkIdentifier=id&ItemID=84452.
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[[Page 50772]]
Although we acknowledge that the Measures Application Partnership
recommended that we refine and resubmit the updated version of the STrR
measure, we note that the Measures Application Partnership's
recommendation is at odds with the earlier conclusion of the NQF to
endorse this change. On the issue of whether it is feasible to measure
transfusions in dialysis facilities, the NQF concluded that these
events can be identified using the same Medicare claims code algorithm
that we use to identify transfusion events in other outpatient
settings. The STrR measure identifies transfusion events during at-risk
periods for patients cared for in a dialysis facility.
With respect to the Measures Application Partnership's concern that
the decision to administer a blood transfusion might be outside of the
dialysis facility's control, we note that the issue of whether anemia
management practices in a dialysis facility can be linked to
transfusion risk was specifically considered by the NQF during the
endorsement process.
The NQF Renal Standing Committee concluded that this transfusion
avoidance measure would incentivize facilities to properly manage
anemia, with the result of lowering the patient's transfusion risk. The
NQF Renal Standing Committee also found that although the decision to
transfuse might ultimately be made by a hospital, the need to do so is
dictated not only by clinical circumstances observed by the hospital,
but also by the way the patient's anemia was managed by the facility.
Although the Measures Application Partnership was concerned that
variability in blood transfusion coding practices could inadvertently
affect a dialysis facility's performance on this measure, we note that
the definition of transfusion events used in the revised STrR measure
is consistent with the definition used in numerous scientific
publications, including several peer reviewed publications.\9\ Under
this definition, transfusion events are included in the measure only if
they are coded with specific transfusion procedure or value codes. We
believe this coding requirement reduces the potential for inadvertently
capturing non-transfusion events in the measure. In addition, the
exclusion of revenue code only transfusion events from the measure
decreases the potential that the measure results would be influenced by
differences in hospital coding practices.
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\9\ Hirth, Turenne, Wilk et al. Blood transfusion practices in
dialysis patients in a dynamic regulatory environment. Am J Kidney
Dis. 2014 Oct;64(4):616-21. Doi: 10.1053/j.ajkd.2014.01.011. Epub
2014 Feb 19.
Gilbertson, Monda, Bradbury & Collins. RBC Transfusions Among
Hemodialysis Patients (1999-2010): Influence of Hemoglobin
Concentrations Below 10 g/dL. Am J Kidney Dis. 2013; Volume 62,
Issue 5, 919-928.
Collins et al. Effect of Facility-Level Hemoglobin Concentration
on Dialysis Patient Risk of Transfusion. Am J Kidney Dis. 2014;
63(6):997-1006.
Cappell et al. Red blood cell (RBC) transfusion rates among US
chronic dialysis patients during changes to Medicare end-stage renal
disease (ESRD) reimbursement systems and erythropoiesis stimulating
agent (ESA) labels. BMC Nephrology 2014, 15:116.
Ibrahim, et al. Blood transfusions in kidney transplant
candidates are common and associated with adverse outcomes. Clin
Transplant 2011: 25: 653-659.
Molony, et al. Effects of epoetin alfa titration practices,
implemented after changes to product labeling, on hemoglobin levels,
transfusion use, and hospitalization rates. Am J Kidney Dis 2016:
epub before print (published online March 12, 2016).
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We agree with the NQF Standing Committee's assessment that the STrR
(NQF #2979) is an appropriate measure of quality for dialysis
facilities. We further believe that the measure is appropriate for the
ESRD QIP because the measure (1) Demonstrates variation in performance
among facilities, (2) is an outcome of care that is modifiable by
dialysis providers through effective management of anemia in patients,
and (3) is a valid and reliable indicator of quality at the facility
level. Proper management of anemia is an important quality of care
issue for dialysis patients, and a topic for which the ESRD QIP must
include measures (see section 1881(h)(2)(A)(i)).
For these reasons, we proposed the revision to the STrR measure be
reflected in the ESRD QIP, and beginning with the PY 2021 program year,
we proposed to use the updated version of the STrR (NQF #2979). Full
measure specifications and testing data are available at https://www.cms.gov/Medicare/Quality-Initiatives-Patient-Assessment-Instruments/ESRDQIP/061_TechnicalSpecifications.html. The complete list
of ICD-10 codes that would be included in the measure is included in
the Technical Report for the measure and can also be found in that
link.
We requested comments on this proposal. The comments received and
our responses are set forth below.
Comment: Several commenters supported CMS's proposal to update the
STrR measure because they support CMS's efforts to ensure that the QIP
measures remain current with NQF standards.
Response: We thank the commenters for their support and we agree
that in general it is best to maintain the QIP measures current with
NQF standards.
Comment: One commenter generally supported the concept of a
transfusion measure, but suggested possible adjustments, which the
commenter believes will improve the proposed standardized transfusion
ratio measure. The commenter added that the goal of comparing
transfusion rates across facilities is to identify those facilities
that are systematically allowing hemoglobin values to fall, presumably
by limiting ESA administration. However, transfusions occur in two
situations: (1) In the setting of chronically low hemoglobin values
which the facility could arguably have influenced, and (2) in the
setting of an acutely low hemoglobin value, over which the facility has
little control. To distinguish these two situations, the commenter
recommended that CMS look at the last outpatient hemoglobin value
reported on an ESRD claim before the transfusion, or at the 3-month
rolling average. According to the commenter, if the hemoglobin value
was greater than a set cutoff value, the transfusion would be included
in the measure. In addition, the commenter stated that the measure
could exclude conditions other than cancers not amenable to ESA based
anemia treatment correction.
Response: We thank the commenter for these suggested improvements
to the STrR. The STrR measure evaluates risk-adjusted blood transfusion
ratios at the dialysis facility level, comparing dialysis facilities'
relative success in transfusion avoidance. Its goal is not limited to
reducing transfusion risk associated with chronic severe anemia as
suggested by the commenter. Several dialysis facility practices can
influence patient risk for transfusion, including anemia management
decisions, as well as dialysis prescription and delivery practices.
Furthermore, the consequences of these practices can result in acute
increased transfusion risk or chronic increased risk for transfusion,
depending on the clinical situation. Limiting identification of
transfusion events to only those scenarios associated with chronic
anemia and transfusion risk would inappropriately result in a less
impactful transfusion avoidance measure. For these reasons, we believe
that it is appropriate not to limit our assessment of transfusions to
those with a prior hemoglobin level reported to CROWNWeb.
Comment: One commenter expressed concern that the STrR measure has
inappropriately low reliability and pointed out that when the measure
was considered for NQF endorsement, it was
[[Page 50773]]
found to have very low reliability, particularly for small facilities.
Another commenter pointed to an analysis, which suggested that longer
look-back periods would result in a significant increase in reliability
for both the SHR and the STrR measures. The commenter stated that for
small facilities, the inter-unit reliability (IUR) for the 1-year
measures is low, and that for small facilities in the STrR measure, the
1-year IUR for 0.36 means that nearly two-thirds of the variance in the
measure is due to random noise rather than real differences between
facilities. Commenter added that with a 4-year look-back period, the
IURs for small facilities are similar to the IURs for large facilities
in the 1-year look-back period. According to the commenter, these
results suggest, that with a 4-year look-back period, a minimum of two-
thirds of the variance in both measures in all three subgroups would be
due to actual differences between facilities. Additionally, the
commenter believed that using a 4-year look-back period would align
these measures with the Standardized Mortality Ratio measure used in
the DFC program, creating consistency across the measures used in the
ESRD QIP and DFC.
Another commenter pointed out that the IUR for facilities with
sample sizes below 46 patients was about 0.4, suggesting that 60
percent of inter-facility difference was due to random noise and not
underlying performance. The commenter stated that IURs increase as a
function of sample size. Therefore, commenter argued, smaller samples
would be associated with lower IURs. Based on the NQF documentation
submitted by CMS, the commenter stated that one would expect the vast
majority of STrR variation to be due to random variation across the 10-
21 patient-years at risk that CMS has proposed for the small facility
adjustment for STrR. While the small facility adjustment would raise
scores for small facilities, the commenter argued that it would not
adequately offset the substantial effect of random variation for small
sample sizes. The commenter recommended that CMS set the minimum data
requirement for each measure at the sample size at which the IUR
reaches 0.70, the value commonly used at NQF. That is, the minimum
sample size would be set at the point where at least 70 percent of the
observed result would be driven by actual performance. Anything below
that, commenter argued, means that too high a proportion of the
observed result is simply due to chance.
Response: We thank commenters for sharing these concerns regarding
the reliability of the STrR. Given the established effect of sample
size on IUR calculations, we generally expect, based on statistical
modeling, that large facilities will have higher IUR values and small
facilities will have lower IUR values for any given measure.
Reliability is fundamentally associated with the size of a facility: A
larger denominator leads to more precise assessments. Regardless of a
measure's IUR, it will be higher for larger facilities and lower for
smaller facilities. The dependence of reliability on facility size is
understood when IUR is considered as a standard of reliability by NQF.
In response to commenter's suggestion above about requiring an IUR
of 0.70, we are not aware of any formal and prescriptive NQF guideline
or standard that sets or requires this test result value as a minimum
threshold for passing reliability. Additionally, there is no formal
required threshold set by NQF, as demonstrated in the endorsement of
other quality metrics that have a range of reliability statistics,
several of which are below the threshold of 0.7. The STrR and SHR
reliability results are comparable to the reliability test results for
other NQF-endorsed risk adjusted outcome measures used in public
reporting, for example, four NQF endorsed cause-specific hospital
mortality measures demonstrated similar levels of reliability (#0229
Heart failure measure, ICC: 0.55; #0468 Pneumonia mortality measure,
Intraclass Correlation Coefficient: 0.79; #1893 Chronic Obstructive
Pulmonary Disease mortality measure, ICC: 0.51; #2558 Coronary Artery
Bypass Grafting mortality measure, ICC: 0.32). The 2013 NQF Task Force
on Evaluating Evidence and Testing also acknowledged that although the
``Consensus Standards Approval Committee and subcommittee would like to
have provided some guidance regarding minimum thresholds, they
repeatedly noted the difficulties in determining such thresholds and
the need for steering committees to have flexibility to make
judgments.'' (Page 13; Review and Update of Guidance for Evaluating
Evidence and Measure Testing. Technical Report. Approved by CSAC on
October 8, 2013: https://www.qualityforum.org/Publications/2013/10/Review_and_Update_of_Guidance_for_Evaluating_Evidence_and_Measure_Testing_-_Technical_Report.aspx).
Aside from considering the appropriateness of limiting assessment
as the commenters suggested, we believe setting a sample size threshold
to reach 0.7 IUR for each measure is not feasible. As has been shown,
large facilities tend to obtain IUR of 0.7 or greater. Setting the
range for the SFA based on this approach would result in: (1) Applying
the SFA for a larger portion of facilities, depending on the measure;
or (2) potentially excluding those facilities, and limiting the value
of the measure to the program. Finally, setting consistent minimum data
requirements and ranges would be challenging because the frequency of
events varies in these measures (for example, hospitalizations are more
frequent than transfusion events). Incorporating multiple years of data
also has potential consequences for implementation. As a practical
matter, it would be difficult to provide performance standards in
advance of 4-year performance period. Doing so would also limit the
degree to which providers could be assessed on improvement from year to
year, since only one quarter of the data would change from payment year
to payment year.
Comment: One commenter did not support the proposed modifications
to the STrR measure because it differs from the NQF-endorsed version
(#2979). Commenter argued that since the statute requires CMS to use
NQF-endorsed measures if available, CMS should comply with the
statutory requirement and use the actual NQF-endorsed measure.
Response: The modifications to the STrR proposed for PY 2021 of the
ERSD QIP will align the measure used in the ESRD QIP with the NQF-
endorsed version of that measure.
Comment: One commenter recommended that CMS adopt true risk-
standardized rate measures, which would be more transparent and useable
by all stakeholders. The commenter added that risk standardized rates
are easier to understand and that the current ratio measures have a
wide range of uncertainty that does not provide an accurate view of a
facility's performance when the ratio is reduced to a single number.
Rather than continuing to use a confusing set of measures, the
commenter urged CMS to replace the standardized ratio measures with the
year-over-year difference between normalized (per 100 patient years)
rates (for example, for hospitalization) currently available from
Dialysis Facility Reports until they can be replaced by true risk-
standardized rate measures.
Another commenter noted that moving to rates, while an important
step forward, would also create issues that CMS would need to carefully
address. The commenter believed that choosing a methodology to convert
ratios to rates
[[Page 50774]]
would be a challenge and did not believe that a conversion approach
would produce a true risk-standardized rate measure. The commenter
believed that under a conversion approach, the use of the national
median rate as the conversion factor for ratios may be misleading in
regions of the country where typical performance varies significantly
from the national rate. According to this commenter, the goal of using
rates instead of ratios is to make the measure results more meaningful
to patients, providers, and other stakeholders by expressing measure
results in terms that are both valid and have intrinsic meaning, rather
than the abstract meaning expressed by ratios.
Response: The risk-adjustment approach currently used for the StrR
measure is based on indirect standardization which also forms the basis
of many measures implemented in the ESRD QIP and other CMS quality
reporting and value-based purchasing programs, and we believe that this
approach leads naturally to a standardized ratio. This ratio compares
the rate for this facility with the national rate, having adjusted for
the patient mix and as such is relatively straightforward. We are
unclear on why the commenter believes that rates are more easily
understood than ratios. Similarly to ratios, risk-adjusted rates are
not the same as actual rates and require a consideration of the patient
mix adjustment for interpretation. We do agree that any conversion to
rates would require careful consideration of the measure methodology
and implications for assessing facility performance prior to
implementation.
Final Rule Action: After carefully considering the comments
received, we are finalizing the changes to the Standardized Transfusion
Ratio Clinical Measure as proposed.
d. New Vascular Access Measures Beginning With the PY 2021 ESRD QIP
As discussed in the CY 2018 ESRD PPS proposed rule (82 FR 31212),
for PY 2021, we proposed to remove the two VAT measures from the ESRD
QIP and to replace them with two Vascular Access measures that were
recently endorsed by the NQF. We proposed to score these measures the
same way that we score the current VAT measures, and to include them
within the Vascular Access Measure Topic.
Background
Beginning with the PY 2015 ESRD QIP, we adopted the Minimizing
Catheter Use as Chronic Dialysis Access (NQF #0256) and Maximizing
Placement of Arterial Venous (AV) Fistula (NQF #0257) measures, which
are paired measures of the rate of catheter and fistula placement for
chronic dialysis access, respectively, for the ESRD QIP (77 FR 67479).
These measures were developed in accordance with the National Kidney
Foundation Kidney Disease Outcomes Quality Initiative Guidelines that
state the following: (1) AV fistulas have the lowest rate of thrombosis
and require the fewest interventions, (2) cost of AV fistula use and
maintenance is the lowest, (3) fistulas have the lowest rates of
infection, and (4) fistulas are associated with the highest survival
and lowest hospitalization rates. Several epidemiologic studies
consistently demonstrate the reduced morbidity and mortality associated
with greater use of AV fistulas for vascular access in maintenance
hemodialysis.
Based upon data we collected during the CMS Fistula First/Catheter
Last Initiative,\10\ a gradual trend towards lower catheter use has
been observed among prevalent maintenance hemodialysis patients in the
United States, declining from approximately 28 percent in 2006 to
approximately 18 percent by August 2015. Furthermore, the percentage of
maintenance HD patients using a catheter for at least 3 months has
declined during this time period from nearly 12 percent to 10.8
percent. Continued monitoring of chronic catheter use is needed to
sustain this trend.
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\10\ Fistula First Catheter Last Dashboard August 2015 https://fistulafirst.esrdncc.org/ffcl/for-ffcl-professionals/archive/.
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Since the Maximizing Placement of AV Fistula Measure (NQF #0257)
was first implemented, we have received public comments expressing
concerns that in certain cases, such as patients with a low life
expectancy, placement of a fistula may not be appropriate. A growing
number of studies report that creating AV fistulas in some patients is
less likely to be successful in the presence of certain comorbidities.
In addition, certain patient groups may have less incremental benefit
from an AV fistula relative to an AV graft.
Since the implementation of Minimizing Catheter Use as Chronic
Dialysis Access Measure (NQF #0256), we have received comments from
stakeholders raising concerns about its inability to account for
patients with a limited life expectancy, for whom a fistula, with its
extended maturation period, may not represent an improved quality of
life.
In 2015, we convened a TEP to review the existing vascular access
measures to consider how best to address these concerns. A copy of the
summary TEP report is available at https://www.cms.gov/Medicare/Quality-Initiatives-Patient-Assessment-Instruments/ESRDQIP/061_TechnicalSpecifications.html. The TEP made the following
recommendations:
The fistula measure should be risk-adjusted for factors
that are associated with decreased likelihood of AV fistula success,
including:
++ Diabetes.
++ Heart diseases.
++ Peripheral vascular disease.
++ Cerebrovascular disease.
++ Chronic obstructive pulmonary disease.
++ Anemia (unrelated to ESRD/Chronic Kidney Disease).
++ Non-Vascular Access-Related Infections.
++ Drug Dependence.
The measures should include all eligible hemodialysis
patients, not just Medicare beneficiaries.
The measures should include patients in the first 90 days
of dialysis because this is a critical time for access planning/
placement.
The measures should include in the numerator only patients
with an AV fistula using 2 needles (or an approved single needle
device).
The measures should exclude conditions associated with a
limited life expectancy where an AV fistula may not be the appropriate
choice for access (for example, hospice, metastatic cancer, end stage
liver disease, and coma/brain injury).
We responded to the TEP's recommendations by developing two new VAT
measures intended to be jointly reported to assess the placement of
vascular access among ESRD dialysis patients. These two vascular access
quality measures, when used together, consider AV fistula use as a
positive outcome and prolonged use of a tunneled catheter as a negative
outcome. With the growing recognition that some patients have exhausted
options for an AV fistula or have comorbidities that may limit the
success of AV fistula creation, joint reporting of the measures
accounts for all three vascular access options. This paired incentive
structure that relies on both measures (standardized fistula rate and
long-term catheter rate) reflects consensus-based best practice, and
supports maintenance of the gains in vascular access success achieved
via the Fistula First/Catheter Last Project over the last decade.
We received general comments on our proposal to include two new
Vascular Access measures in the ESRD QIP beginning in PY 2021. The
comments and our responses are set forth below:
[[Page 50775]]
Comment: Several commenters recommended that CMS combine the
fistula and catheter rates into a single quality measure to avoid
double counting. Specifically, these commenters argued that if fistulas
and grafts are both counted, then using the catheter rate as a quality
measure is virtually a duplication of the fistula/graft rate as a
quality measure since the catheter percentage would equal 100 percent
less the total of fistulas and grafts. Even if grafts are not included,
commenters argued, there is still a large overlap of the fistula and
catheter rates, giving a double penalizing effect of using both the
fistula and catheter rates as two quality measures.
Response: The two vascular access measures, when used together,
consider AV fistula use as a positive outcome and prolonged use of a
tunneled catheter as a negative outcome. With the growing recognition
that some patients have exhausted options for an arteriovenous fistula,
or have comorbidities that may limit the success of AV fistula
creation, pairing the measures accounts for all three vascular access
options. The standardized fistula rate measure includes risk adjustment
for patient factors where fistula placement may be either more
difficult or not appropriate and acknowledges that in certain
circumstances an AV graft may be the best access option. This paired
incentive structure that relies on both measures reflects consensus
best practice, and supports maintenance of the gains in vascular access
success achieved via the Fistula First/Catheter Last Project over the
last decade. Additionally, the fistula and catheter measures apply
exclusions for certain conditions recognizing that catheter placement
may be the only means of vascular access for these patient sub-
populations. Specifically, both measures exclude patients with a
catheter that have limited life expectancy defined as being under
hospice care in the current reporting month, or with metastatic cancer,
end stage liver disease, coma or anoxic brain injury in the past 12
months. In this way, the combination of risk adjustment for the
standardized fistula rate measure and the application of the exclusions
to both measures does not result in doubly penalizing facilities and
instead is intended to incentivize best practices for vascular access.
Finally, the standardized fistula rate measure is a risk adjusted
standardized rate, and contains exclusions, therefore the standardized
fistula rate cannot be directly added/subtracted from a raw percentage
of grafts and catheters.
Comment: One commenter expressed concerns about CMS's proposal to
use CROWNWeb as the data source for the proposed Vascular Access
measures and added that it is not clear how ``life expectancy'' will be
calculated. Commenter recommended that based on the proposal to use
CROWNWeb as the primary data source for numerator and denominator, CMS
should consider delaying the implementation of these two measures until
CROWNWeb can be shown to be a reliable data source.
Another commenter noted that for the two vascular access measures,
there are patient-level exclusions for patients with a catheter but
with limited life expectancy, and asked for clarification regarding the
4 criteria used to determine limited life expectancy and how this
information is intended to be documented.
Response: Collection of vascular access data through CROWNWeb has
been ongoing for 5 years. When analyzing the concordance of CROWNWeb
vascular access data with that of Medicare claims, which have been used
in the ESRD QIP VAT measures since PY 2015, we found a high level of
agreement for the AV fistula (kappa = .89) and catheter (kappa = .73)
data. We believe the data fidelity is sufficient to merit the use of
CROWNWeb data for measurement in the ESRD QIP.
Regarding life expectancy, both the standardized fistula rate and
the catheter measures exclude patients with a catheter as their
vascular access and who meet one of the following conditions below that
are identified through Medicare claims. No additional documentation
(that is, attestation) is required from the facility. Specifically,
limited life expectancy is defined as follows:
Patients under hospice care in the current reporting
month.
Patients with metastatic cancer in the past 12 months.
Patients with end-stage liver disease in the past 12
months.
Patients with coma or anoxic brain injury in the past 12
months.
These conditions were reviewed and supported by the 2015 Vascular
Access TEP and all of them are associated with a very high mortality
rate in the 6-month period after they first appear in Medicare claims.
Comment: Many commenters supported the inclusion of the new
Vascular Access measures as endorsed by NQF in the QIP because this
ensures patient safety while recognizing the needs of the individual
patient. One commenter noted that CMS indicated in the proposed rule
that it concurred with the recommendation of the 2015 Vascular Access
TEP that the fistula measure under development specify that the AV
fistula must use 2 needles (or an approved single-needle device). The
commenter noted that this revision is reflected in the methodology
report, but not in the specifications. Another commenter was pleased to
see that the flowchart in the methodology report specifies AV fistula
only with 2 needles or an approved single-needle device, but
recommended that the numerator specifications should also explicitly
state that the patient must be on maintenance HD ``using an AV fistula
with 2 needles and without a dialysis catheter present'' to emphasize
clarity and avoid ambiguity. The commenter also recommended that the
specifications address how a patient with a co-existing AV graft should
be handled. Given that removal of an AV graft is complex and not
without risk of complications, the commenter stated that the presence
of a graft is acceptable even when using a fistula. As this is not the
case when a catheter is present, the commenter agreed that the
continued presence of a catheter when a fistula is being used should
not constitute success on the measure. Finally, a commenter recommended
that CMS redefine the denominator as it mistakenly uses the
construction ``patients'' when it should use the term ``patient-
months'' to be consistent with the numerator.
Response: Both the flowchart and the numerator details in the NQF
measure specifications include language for the use of 2 needles or an
approved single-needle device. We intend to provide clarifying language
in the published technical specifications to make this clear. Regarding
the revision recommended by commenter to specify in the measure
technical specifications how a patient with a co-existing AV graft
should be handled, we thank commenter for their recommendation and we
will make any necessary updates to the measure technical specifications
as necessary to ensure clarity. With regard to the recommendation that
the technical specifications explicitly state that the patient must be
on maintenance HD ``using an AV fistula with 2 needles and without a
dialysis catheter present'' to emphasize clarity and avoid ambiguity,
CROWNWeb did not support this level of granularity during the
development of this measure, and so it is not reflected in the NQF-
endorsed measure specifications. We agree that this is an appropriate
enhancement to consider for future measure maintenance and system
development. We confirm that
[[Page 50776]]
the denominator is constructed using patient-months, which is
consistent with the NQF-endorsed specifications.
Comment: One commenter agreed with the proposed exclusion from the
Vascular Measures of conditions associated with a limited life
expectancy where an AV fistula may not be the appropriate choice for
access, but argued that any exclusions or risk-adjustments that are
calculated based on Medicare claims will not capture patients who do
not have Medicare. These commenters urged CMS to clarify whether the
proposed new vascular access measures would accurately measure the care
furnished to the facility's total ESRD population (including Medicare
beneficiaries and patients with other payers).
Response: We will calculate the comorbidity risk adjustment using
ICD diagnostic codes reported on Medicare claims or, if the patient is
not a Medicare beneficiary, information in incident comorbidities
reported on the CMS Form 2728. This provides a method for application
of comorbidity risk adjustment to patients that do not have Medicare
claims and allows the measure to be applied to all patients regardless
of payer type.
The additional exclusion criteria for the proposed vascular access
measures are captured using Medicare claims data only. These measures
were recommended by the Vascular Access TEP in 2015 with the
expectation that considering the exclusions is appropriate. We
conducted sensitivity analyses regarding the application of these
measures and found that the exclusions are relatively rare and do not
substantially bias the measure assessment.
Comment: Commenter recommended that rather than using fistulas
alone, CMS should consider including arteriovenous grafts with AV
fistula for several reasons: (1) While overall fistulas are slightly
superior to grafts, there is virtually no difference in the elderly,
(2) grafts are as long-lasting as fistulas if primary failures are
included, (3) grafts may be placed shortly before dialysis to avoid
unnecessary fistulas that aren't used, (4) grafts are more successful
than fistulas as a second access, (5) grafts help avoid catheters, and
(6) inclusion of both fistulas and grafts may minimize or eliminate the
need for a complex adjustment in the fistula rate as is proposed.
Response: We thank the commenter for its comments on the vascular
access measures. The two vascular access measures, when used together,
consider AV fistula use as a positive outcome and prolonged use of a
tunneled catheter as a negative outcome. With the growing recognition
that some patients have exhausted options for an arteriovenous fistula,
or have comorbidities that may limit the success of AV fistula
creation, pairing the measures accounts for all three vascular access
options. The standardized fistula rate measure includes risk adjustment
for patient factors where fistula placement may be either more
difficult or not appropriate and acknowledges that in certain
circumstances an AV graft may be the best access option. This paired
incentive structure that relies on both measures reflects consensus
best practice, and supports maintenance of the gains in vascular access
success achieved via the Fistula First/Catheter Last Project over the
last decade. Additionally, the fistula and catheter measures apply
exclusions for certain conditions recognizing catheter may be the only
means of vascular access for these patient sub-populations.
Specifically, both measures exclude patients with a catheter that have
limited life expectancy defined as being under hospice care in the
current reporting month, or with metastatic cancer, end stage liver
disease, coma or anoxic brain injury in the past 12 months.
i. New Hemodialysis Vascular Access: Standardized Fistula Rate Clinical
Measure (NQF #2977)
Summary of Changes
This proposed measure replaces NQF #0257, Maximizing Placement of
AV fistula, and it incorporates changes that reflect input from the
2015 Vascular Access TEP:
Risk Adjustment for the following conditions that affect
the success of fistula placement:
++ Diabetes.
++ Heart diseases.
++ Peripheral vascular disease.
++ Cerebrovascular disease.
++ Chronic obstructive pulmonary disease.
++ Anemia (unrelated to ESRD/Chronic Kidney Disease).
++ Non-Vascular Access-Related Infections.
++ Drug Dependence.
Inclusion of all eligible hemodialysis patients, not just
Medicare beneficiaries.
Inclusion of patients in the first 90 days of dialysis
because this is a critical time for access planning/placement.
Inclusion in the numerator of only patients with an AV
fistula using 2 needles (or an approved single needle device).
Exclusion of conditions associated with a limited life
expectancy where an AV fistula may not be the appropriate choice for
access (for example, hospice, metastatic cancer, end-stage liver
disease, and coma/brain injury).
Data Sources
CROWNWeb, Medicare claims and the CMS Medical Evidence form 2728
(OMB No. 0938-0046) are used as the data sources for establishing the
denominator. CROWNWeb is the data source for establishing the
numerator. Medicare claims and the CMS Medical Evidence form 2728 are
data sources for the risk adjustment factors. Medicare claims and
CROWNWeb are used for the exclusion criteria. Using CROWNWeb as the
primary data source allows us to expand the Standardized Fistula Rate
to include all ESRD dialysis patients, rather than only Medicare FFS
patients, providing a more complete quality assessment for dialysis
facilities. This was a key consideration by the TEP that recommended
the development of this measure.
Outcome
The outcome of the Standardized Fistula Rate is the use of an AV
fistula as the sole means of vascular access as of the last
hemodialysis treatment session of the month.
Cohort
The cohort includes adult ESRD dialysis patients who are determined
to be maintenance hemodialysis patients (in-center or home) for the
entire reporting month at the same facility.
Inclusion and Exclusion Criteria
The Standardized Fistula Rate excludes pediatric patients (<18
years old), patients on peritoneal dialysis, and patient-months where
the patient was not on hemodialysis (in-center or home) at the same
facility for the entire reporting month. The measure additionally
excludes patients with a catheter who have a limited life expectancy.
Risk Adjustment
The Standardized Fistula Rate is a directly standardized
percentage, with each facility's percentage of fistula use adjusted by
a series of risk factors, including patient demographic and clinical
characteristics based on a logistic regression model. The demographic
and clinical characteristics were chosen in order to adjust for factors
outside the control of a facility that are associated with a decreased
likelihood of AV fistula success.
We submitted the measure to NQF, where the Renal Standing Committee
recommended it for consensus
[[Page 50777]]
endorsement, and the NQF endorsed the measure in December 2016. The
Standardized Fistula Rate (NQF #2977) was submitted to the Measure
Applications Partnership in 2016, which supported the measure for
implementation in the ESRD QIP.
We proposed implementing Hemodialysis Vascular Access: Standardized
Fistula Rate (NQF #2977) beginning with the PY 2021 program year.
Detailed measure specifications and testing data are available at
https://www.cms.gov/Medicare/Quality-Initiatives-Patient-Assessment-Instruments/ESRDQIP/061_TechnicalSpecifications.html. We requested
comments on these proposals.
Comment: One commenter recommended that CMS expand the exclusion
criteria for the Vascular Access measures to include the following: (1)
Steal syndrome that required ligation of AV fistula or arteriovenous
graft, (2) Patients who have had multiple failed AV fistula or
arteriovenous graft attempts and have no suitable sites left to create
AV fistula or arteriovenous graft, and (3) Patients who have medical
contraindications to AV fistula surgery including severe congestive
heart failure, and high output cardiac failure from previous AV
fistula.
Commenter also recommended that if patients choose to have neither
a fistula nor a graft placed, after adequate education by their
physician, then the patients should be excluded from the denominator.
Commenter added that while overall, fistulas are slightly superior to
grafts, there is virtually no difference in the elderly. The commenter
also added that some of the benefits of grafts are that they are as
long-lasting as fistulas if primary failures are included, they may be
placed shortly before dialysis to avoid unnecessary fistulas that
aren't used, they are more successful than fistulas as a second access,
they help to avoid central venous catheters, and they may minimize or
eliminate the need for a complex risk adjustment in the fistula rate as
is proposed.
Response: The TEP that developed this measure in 2015 discussed at
length the proposed exclusion for patients who have exhausted anatomic
options for permanent access. The TEP agreed that this was an important
exclusion, but they also recognized that it would be difficult to
implement. A major concern was also that there are not currently data
sources or infrastructure in place that would allow identification of
patients who have no further surgical options for vascular access.
There would also need to be strong consensus on what determines whether
patients do not meet criteria for successful fistula placement. We
intend to evaluate this criterion and data availability to determine
feasibility of adding this exclusion in a future iteration of this
measure.
Many of the exclusion criteria based on comorbidities suggested by
commenters are either associated with shortened life expectancy or low
likelihood of successful fistula placement. In some situations, the
severity of the underlying diagnosis is difficult to ascertain from
claims data, although like heart failure, we anticipate this will
improve over time with the change to and availability of ICD-10 codes.
Therefore, other comorbidities will be evaluated as part of future
measure maintenance. Lastly, multiple prior failed vascular access
attempts were considered by the TEP as an exclusion criterion to
address the exhaustion of vascular sites or failed attempts to create a
fistula or graft, however consensus was not reached within the TEP on
how best to implement this exclusion. At the present time, historical
vascular access data in CROWNWeb are limited, but this exclusion
criterion will be evaluated when more historical vascular access data
are available.
The two vascular access measures, when used together, consider AV
fistula use as a positive outcome and prolonged use of a tunneled
catheter as a negative outcome. With the growing recognition that some
patients have exhausted options for an arteriovenous fistula, or have
comorbidities that may limit the success of AV fistula creation,
pairing the measures accounts for all three vascular access options.
The standardized fistula measure adjusts for patient factors where
fistula placement may be either more difficult or not appropriate and
acknowledges that in certain circumstances an AV graft may be the best
access option. This paired incentive structure that relies on both
measures reflects consensus best practice, and supports maintenance of
the gains in vascular access success achieved via the Fistula First/
Catheter Last Project over the last decade. Finally, it would be
difficult to ascertain what constitutes adequate education by a
nephrologist from the patient's perspective as well as how to validate
informed patient choice not to have an AV fistula or arteriovenous
graft, and this may be particularly a concern for vulnerable patients.
Final Rule Action: After consideration of the comments received, we
are finalizing our proposal to include the Hemodialysis Vascular
Access: Standardized Fistula Rate Clinical Measure in the ESRD QIP
measure set beginning with the PY 2021 program.
ii. New Hemodialysis Vascular Access: Long-Term Catheter Rate (NQF
#2978) Beginning With the PY 2021 ESRD QIP
Summary of Changes
This proposed measure replaces NQF #0256, Minimizing Use of
Catheters as Chronic Dialysis Access, and it incorporates the following
changes that reflect input from the 2015 Vascular Access TEP:
Inclusion of all eligible hemodialysis patients, not just
Medicare beneficiaries, since the measure is now specified to be
calculated from CROWNWeb.
Patients using a catheter continuously for 3 months or
longer, even if combined with an AV fistula (or graft), are now counted
in the numerator. The current measure does not count patients in the
numerator if they have a catheter combined with an AV fistula or graft.
Patients with missing VAT are counted in both the
denominator and the numerator. That is, ``missing'' access type is
considered a ``failure'' and therefore counts against the facility.
Exclusion criteria have been added to the measure for
conditions associated with a limited life expectancy where a catheter
may be an appropriate choice for access. These are the same exclusions
applied to the Standardized Fistula Rate measure (for example, hospice,
metastatic cancer, end stage liver disease, and coma/brain injury).
Data Sources
CROWNWeb, Medicare Claims and the CMS Medical Evidence form 2728
are used as the data sources for establishing the denominator. CROWNWeb
is the data source for establishing the numerator. Medicare claims and
CROWNWeb are used for the exclusion criteria. Medicare claims and the
CMS Medical Evidence Form 2728 are used for risk adjustment. Using
CROWNWeb as the primary data source allows us to expand the Long-Term
Catheter Rate to include all ESRD dialysis patients, rather than only
Medicare FFS patients, providing a more complete quality assessment for
dialysis facilities. This was a key consideration by the TEP that
recommended the development of this measure.
Outcome
The outcome of the Long-Term Catheter Rate is the use of a catheter
continuously for 3 months or longer as of the last hemodialysis
treatment session of the month.
[[Page 50778]]
Cohort
The cohort includes adult ESRD dialysis patients who are determined
to be maintenance hemodialysis patients (in-center or home) for the
entire reporting month at the same facility.
Inclusion and Exclusion Criteria
The Long-Term Catheter Rate excludes pediatric patients (<18 years
old), patients on peritoneal dialysis, and patient-months not on
hemodialysis (in-center or home) for the entire reporting month at the
same facility. The measure additionally excludes patients with a
catheter who have a limited life expectancy.
We submitted the Long-Term Catheter Rate (NQF #2978) to NQF, where
the Renal Standing Committee recommended it for consensus endorsement,
and the NQF endorsed the measure in December 2016. The measure was
submitted to the Measure Application Partnership in 2016, which
supported it for implementation in the ESRD QIP.
We proposed to introduce the Long-Term Catheter Rate (NQF #2978)
into the ESRD QIP beginning with the PY 2021 program year. Full measure
specifications and testing data are available at https://www.cms.gov/Medicare/Quality-Initiatives-Patient-Assessment-Instruments/ESRDQIP/061_TechnicalSpecifications.html.
We requested comments on this proposal.
Comment: One commenter supported the inclusion of the NQF-endorsed
catheter measure in the program but asked that CMS provide some
additional clarifications. The commenter asked that CMS clarify how
data with missing access type will be handled.
Response: We thank commenter for its support. The NQF-endorsed
measure specifications we have adopted for the measure state that the
measure counts patient-months with missing vascular access type in both
the denominator and the numerator. Therefore, missing vascular access
type is counted as a catheter.
Comment: Two commenters recommended that the catheter rate be
adjusted for the following: (1) Arterial steal syndromes or other
medical contraindications to a fistula or graft, for example, severe
congestive heart failure; (2) extensive arm swilling from a fistula or
graft; (3) co-morbidities with short predicted survivals and patients
over 90 years old; (4) exhausted vascular sites or multiple failed
attempts to create a fistula or graft; (5) prolonged access
hemorrhaging post-dialysis from a fistula or graft (over 30 minutes on
average) that decreases patient quality of life enough for access
ligation; and (6) patient preference. If patient preference cannot be
fully considered by CMS, commenter recommended that an adjustment be
included at least for those patients on hemodialysis 4-6 times per week
or with needle phobia. A patient preference adjustment or exception,
the commenter suggested, could be evaluated by signed patient forms and
statistics with inspections of outlier facilities. Commenter further
argued that for most of the patients with these conditions, a catheter
is the appropriate vascular access and facilities should not be
penalized for those patients. The commenter stated that there are some
dialysis facilities that don't accept patients with catheters in an
effort to avoid CMS penalties and this ``cherry-picking'' concern would
be eliminated by including an exception for patient preferences.
Commenter suggested that while these additional exclusion criteria
could open the door to gaming the system, signed patient forms and
statistics with inspections of outlier facilities could handle that
issue. If a patient chooses to have long-term catheter after adequate
education from their Nephrologist and care team, then the commenter
believes that the patient should be excluded. Commenter added that most
patients with these conditions have a catheter that is clinically
appropriate. If the catheter is the best medical access for that
patient, then the commenter believes that the facility should not be
penalized.
Response: Many of the comorbidities suggested by commenters are
either associated with shortened life expectancy or low likelihood of
successful fistula placement. In some situations, the severity of the
underlying diagnosis is difficult to ascertain from claims data,
although like heart failure, we anticipate this will improve over time
with the change to and availability of ICD-10 codes. Therefore, we
anticipate other comorbidities will be evaluated as part of future
measure maintenance. Regarding the 4th suggestion of commenter,
regarding ``exhausted vascular sites or multiple failed attempts to
create a fistula or graft,'' multiple prior failed vascular access
attempts were considered by the TEP as an exclusion criterion, however
consensus was not reached within the TEP on how best to implement this
exclusion. At the present time, historical vascular access data in
CROWNWeb are limited, but we anticipate evaluating this exclusion
criterion when more historical vascular access data are available.
Finally, as the commenter stated, applying patient consent could be
subject to gaming and would be difficult to validate, particularly for
vulnerable patients.
Comment: One commenter argued that without including AV Grafts in
the measure, there's a portion of the patient population being
excluded. Also, if the facility does not meet the AV fistula threshold,
then the commenter believes that the long-term catheter rate is
directly impacted and facilities are at risk for losing points in two
measures. The proposed risk adjustments for the standardized fistula
rate, commenter argued, should also be applied to the long-term
catheter rate. Also, the commenter stated that the exclusion criteria
for this measure should be expanded to incorporate patient choice, and
those appropriate medical and surgical exclusions, so that this measure
reflects the quality of care being delivered at the facility. Even with
the addition of the proposed exclusion criteria, the commenter stated
that it's still possible for the QIP score to penalize facilities for
recommending the most clinically appropriate access for their patients.
Response: The fistula and catheter measures apply exclusions for
certain conditions recognizing that catheter placement may be the only
means of vascular access for these patient sub-populations.
Specifically, both measures exclude patients with a catheter that have
limited life expectancy defined as being under hospice care in the
current reporting month, or with metastatic cancer, end stage liver
disease, coma or anoxic brain injury in the past 12 months. In this
way, the combination of risk adjustment for the SFR and the application
of the exclusions to both measures does not result in doubly penalizing
facilities and instead is intended to incentivize best practices for
vascular access.
Final Rule Action: After consideration of the comments received, we
are finalizing our proposal to include the Hemodialysis Vascular
Access: Long-Term Catheter Rate Clinical Measure in the ESRD QIP
measure set beginning with the PY 2021 program.
e. Performance Period for the PY 2021 ESRD QIP
We proposed to establish CY 2019 as the performance period for the
PY 2021 ESRD QIP for all but the NHSN Healthcare Personnel Influenza
Vaccination reporting measure because it is consistent with the
performance periods we have historically used for these measures and
accounts for seasonal variations that might affect a facility's measure
score.
[[Page 50779]]
We proposed that the performance period for the NHSN Healthcare
Personnel Influenza Vaccination reporting measure will be from October
1, 2018 through March 31, 2019, because this period spans the length of
the 2018-2019 influenza season.
We requested comments on these proposals.
Comment: Two commenters supported setting CY 2019 as the
performance period for PY 2021 generally but did not support the
proposed performance period for the NHSN Healthcare Personnel Influenza
Vaccination Reporting Measure as being from October 1, 2018 through
March 31, 2019. They argued that the dates of vaccine availability do
not coincide with the dates for the measure and encouraged CMS to
modify the measure to align with the CDC's guidelines for immunization,
which define the performance period as October 1 or ``whenever the
vaccine became available.''
Response: We thank the commenters for sharing their concerns,
however as we have explained in previous rules, the performance period
for this measure defines the flu season during which healthcare
personnel must be protected against influenza. The performance period
is only used to identify personnel who have physically worked at the
facility for at least 1 day between October 1 and March 31. These are
employees that are considered eligible for inclusion in the measure
denominator. The performance period does not indicate when the
influenza vaccination should be administered. Therefore, any personnel
who are employed for at least 1 day during the flu season, may be
vaccinated as soon as the vaccine becomes available for that respective
season. Facilities should report influenza vaccinations given to all
healthcare personnel whether they are vaccinated prior to or during the
denominator reporting period to receive full credit for the measure;
therefore, there is no penalty for early vaccination built into the
NHSN measure (81 FR 77901).
Comment: One commenter supported the influenza vaccination
reporting measure performance period of October 1 through March 31
because it is consistent with other quality reporting and value-based
purchasing programs.
Response: We thank commenter for their support of the proposed
performance period for the Healthcare Personnel Influenza Vaccination
Reporting Measure.
Final Rule Action: After consideration of the comments received, we
are finalizing the performance period for the PY 2021 ESRD QIP as
proposed.
f. Performance Standards, Achievement Thresholds, and Benchmarks for
the PY 2021 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.
i. Performance Standards, Achievement Thresholds, and Benchmarks for
the Clinical Measures in the PY 2021 ESRD QIP
For the same reasons stated in the CY 2013 ESRD PPS final rule (77
FR 67500 through 76502), we proposed for PY 2021 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 2017, because this will give us enough time
to calculate and assign numerical values to the proposed performance
standards for the PY 2021 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 requested comments on our proposal to continue this policy for
PY 2021. The comments and our responses are set forth below.
Comment: One commenter stated that it supports CMS's reliance on
the same basic methodology year-over-year for the ESRD QIP and
therefore supports the continuation of the previous policy of setting
the performance standard, achievement threshold, and benchmark at the
50th, 15th, and 90th percentiles respectively, in PY 2021. The
commenter also stated that it supports the policy for determining
payment reductions, including the process for setting the minimum TPS.
Response: We thank the commenter for their support and we agree
that consistency in program implementation is an important
consideration in selecting a methodology for scoring performance under
the ESRD QIP.
Final Rule Action: After consideration of the comments received, we
are finalizing our proposal to continue our methodology for setting the
performance standards, achievement thresholds, and benchmarks for the
PY 2021 ESRD QIP.
ii. Performance Standards, Achievement Thresholds, and Benchmarks for
the Clinical Measures Proposed for the PY 2021 ESRD QIP
We do not currently 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 2017 or the first portion of CY
2018. We will publish values for the clinical measures, using data from
CY 2017 and the first portion of CY 2018 in the CY 2019 ESRD PPS final
rule.
iii. Performance Standards for the PY 2021 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 2016 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). In the CY 2017 ESRD PPS final rule, we finalized performance
standards for the Ultrafiltration Rate Reporting Measure (81 FR 77916),
the Serum Phosphorus Reporting measure (81 FR 77916), and the NHSN
Dialysis Event Reporting measure (81 FR 77916).
We proposed to continue use of these performance standards for the
Reporting Measures included in the PY 2021 ESRD QIP.
We did not receive any comments on our proposed use of these
performance standards for the Reporting Measures included in the PY
2021 ESRD QIP and we are therefore finalizing these standards as
proposed.
g. Scoring the PY 2021 ESRD QIP
i. 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
[[Page 50780]]
measure under the PY 2021 ESRD QIP, we proposed to continue using this
methodology for all clinical measures.
We also proposed to use this same methodology for scoring the two
new Vascular Access measures.
Aside from the proposed addition of the two Vascular Access
measures, we did not propose any changes to this policy. We proposed to
continue use of this policy for the PY 2021 ESRD QIP.
We did not receive any comments on our continued use of this policy
for PY 2021. Accordingly, we are finalizing this policy as proposed.
ii. 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 2021 ESRD QIP, we proposed to continue using
this methodology for all clinical measures. Under this methodology,
facilities receive points along an improvement range, defined as a
scale running between the improvement threshold and the benchmark. We
proposed to define the improvement threshold as the facility's
performance on the measure during CY 2018. The facility's improvement
score would be calculated by comparing its performance on the measure
during CY 2019 (the performance period) to the improvement threshold
and benchmark.
We also proposed to use this same methodology for scoring the two
new Vascular Access measures.
Aside from the proposed addition of the two new Vascular Access
measures, we did not propose any other changes to this policy. We
proposed to continue use of this policy for the PY 2021 ESRD QIP.
The comments and our responses to the comments on our proposals are
set forth below.
Comment: Commenters expressed concerns with the current policy for
scoring the ESRD QIP and suggested that it could be a barrier to home
dialysis uptake at small facilities or stand-alone ``home only''
programs because a small sample size can put a facility at risk for a
payment reduction due to one or two low scores on a measure.
Regarding the clinical measure domain score, which is worth 75
percent of the TPS and only comprises 2-3 measures for most home
programs, commenter suggested that one way to mitigate this effect
would be to apply the current low volume scoring adjustment to a
facility's home dialysis population, should they meet the rest of the
criteria. The commenter stated that this adjustment was originally
designed to be applied facility-wide to facilities having only 11-25
eligible cases for a given clinical measure, and the commenter was
unsure whether this approach would adequately compensate for the
disadvantage of being scored on a small number of measures.
Another commenter argued that the measures should reflect the
unique nature of each modality and should be developed based on data
specific to that modality, recommending that CMS improve Peritoneal
Dialysis adequacy scoring within the scoring methodology because PD
therapy is inherently different from Hemodialysis and outcomes should
be measured accordingly. According to the commenter, many PD patients
experience residual renal function, which is not captured by the QIP
and this is a particularly significant scoring limitation with respect
to the pediatric PD population. Commenter urged CMS to revise the
dialysis adequacy targets downward to more accurately capture and
reflect the actual experiences of PD patients.
Response: We thank commenters for sharing their concerns. While we
recognize there are differences in the achievement of adequate dialysis
by modality and age, all ESRD dialysis patients require adequate
dialysis, and it is reasonable to expect providers to provide adequate
dialysis to all patients, regardless of modality or age. CMS continues
to believe that facilities should strive to provide the best quality
care, regardless of a patient's modality or age. We will consider these
concerns and evaluate the issue further.
Comment: One commenter supported the proposal to use the existing
methodology for scoring in PY 2021.
Response: We appreciate the support.
Final Rule Action: After consideration of the comments received, we
are finalizing our proposals for scoring facilities on clinical
measures based on the improvement and achievement methodologies as
proposed for the PY 2021 ESRD QIP.
iii. 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). We proposed to
use this scoring methodology for the PY 2021 ESRD QIP. 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 2021, 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 2019
falls, relative to the achievement threshold and benchmark for that
measure and rating based on CY 2017 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 2019 to its
performance rates on these items during CY 2018.
We requested comments on this proposal. We did not receive any
comments on this proposal. We are therefore finalizing this policy as
proposed.
iv. Scoring the Proposed Hemodialysis Vascular Access: Standardized
Fistula Rate and Long-Term Catheter Rate Measures and the Vascular
Access Measure Topic
In the CY 2013 ESRD PPS final rule we established a methodology for
deriving the overall scores for measure topics (77 FR 67507). We
proposed to use the same methodology described in the CY 2013 ESRD PPS
to calculate the VAT Measure Topic Score.
We requested comments on this proposal. We did not receive any
comments on this proposal. We are therefore finalizing this policy as
proposed.
v. 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). 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). In the CY 2017 ESRD PPS final
rule, we finalized policies for scoring performance on the
[[Page 50781]]
Ultrafiltration Rate, Serum Phosphorus, and NHSN Dialysis Event
reporting measures (81 FR 77917).
We proposed to continue use of these policies for the PY 2021 ESRD
QIP.
We did not receive any comments on this proposal. We are therefore
finalizing these policies as proposed.
h. Weighting the Measure Domains, and Weighting the TPS for PY 2021
In the CY 2017 ESRD PPS final rule, we discussed our policy
priorities for quality improvement for patients with ESRD (81 FR
77887). These priorities have not changed since that time. Accordingly,
in an effort to remain consistent in the weighting of measures included
in the program, we proposed to weight the following measures in the
following subdomains of the three individual measure domains (see Table
10):
Table 10--Proposed Measure Domain Weighting for the PY 2021 ESRD QIP
----------------------------------------------------------------------------------------------------------------
Measures/measure topics by Measure weight within the domain Measure weight as percent of TPS
subdomain (proposed for PY 2021) (proposed for PY 2021)
--------------------------------------------------------------------------------------------------
Clinical Measure Domain
----------------------------------------------------------------------------------------------------------------
Patient and Family Engagement/ 40%............................. 30.
Care Coordination Subdomain.
ICH CAHPS Measure......... 25%............................. 18.75.
SRR Measure............... 15%............................. 11.25.
Clinical Care Subdomain....... 60%............................. 45.
STrR measure.............. 11%............................. 8.25.
Kt/V Dialysis Adequacy 18%............................. 13.5.
Comprehensive Measure.
Vascular Access Type 18%............................. 13.5.
Measure Topic.
Hypercalcemia measure..... 2%.............................. 1.5.
SHR Measure............... 11%............................. 8.25.
---------------------------------------------------------------------------------
Total: Clinical 100% of Clinical Measure Domain. 75% of Total Performance Score.
Measure Domain.
----------------------------------------------------------------------------------------------------------------
Reporting Measure Domain
----------------------------------------------------------------------------------------------------------------
Serum Phosphorus reporting 20%............................. 2.
measure.
Anemia Management reporting 20%............................. 2.
measure.
Pain Assessment and Follow-Up 20%............................. 2.
reporting measure.
Clinical Depression Screening 20%............................. 2.
and Follow-Up reporting
measure.
Healthcare Personnel Influenza 20%............................. 2.
Vaccination reporting measure.
---------------------------------------------------------------------------------
Total: Reporting Measure 100% of Reporting Measure Domain 10% of Total Performance Score.
Domain.
----------------------------------------------------------------------------------------------------------------
Safety Measure Domain
----------------------------------------------------------------------------------------------------------------
NHSN BSI Clinical Measure..... 60%............................. 9.
NHSN Dialysis Event Reporting 40%............................. 6.
Measure.
---------------------------------------------------------------------------------
Total: Safety Measure 100% of Safety Measure Domain... 15% of Total Performance Score.
Domain.
----------------------------------------------------------------------------------------------------------------
For PY 2021 we proposed to maintain the weight of the Safety
Measure Domain at 15 percent of a facility's TPS without raising it
further, in light of validation concerns discussed in the CY 2017 ESRD
PPS final rule (81 FR 77887). Specifically, we identified two distinct
types of accidental or intentional under-reporting. First, there is a
belief that many facilities do not consistently report monthly dialysis
event data for the full 12-month performance period. Second, even with
respect to the facilities that do report monthly dialysis event data,
there is a concern that many of those facilities do not consistently
report all of the dialysis events that they should be reporting (81 FR
77879). Although we did not propose to change the total number of
measures in the ESRD QIP's measure set for PY 2021, we proposed to
replace the existing Vascular Access measures with the proposed
Standardized Fistula and Catheter Clinical measures. We believe these
measures hold the same importance and value as the measures they are
replacing and therefore did not propose any changes to the weights
finalized for PY 2020 in the CY 2017 ESRD PPS final rule (81 FR 77887).
We stated that we may, in future years of the program, consider
increasing the weight of the NHSN BSI Clinical Measure and/or the NHSN
BSI Measure Topic once we see that facilities are completely and
accurately reporting to NHSN and once we have analyzed the data from
the recently updated NHSN Data Validation Study.
We continue to believe that while the reporting measures are
valuable, the clinical measures assess facility performance on actual
patient care processes and outcomes, and therefore, justify a higher
combined weight (78 FR 72217). In the CY 2017 ESRD PPS final rule, we
finalized that for PY 2020, the weight of the Safety Measure Domain
would be 15 percent of a facility's TPS, the weight of the Clinical
Measure Domain would be 75 percent of a facility's TPS and the weight
of the Reporting Measure Domain would be 10 percent of a facility's
TPS. We did not propose any changes to the weights assigned to these
domains and proposed to apply the same weights to the three scoring
domains for the PY 2021 program year.
In the CY 2017 ESRD PPS final rule, we also finalized that, to be
eligible to receive a TPS, a facility must be eligible to be scored on
at least one measure in the Clinical Measure Domain and at least one
measure in the Reporting Measure Domain. We did not propose
[[Page 50782]]
any changes to this policy for the PY 2021 ESRD QIP.
We requested comments on these proposals.
Comment: Commenters urged CMS to re-weight the Vascular Access
measures within the Clinical Measure Domain, assigning \2/3\ of the
weight of that measure topic to the Catheter Measure and \1/3\ to the
Fistula. Commenters argued that with a differential weighting of the
two measures, a facility that scores especially well on the catheter
measure (that is, low numbers of catheters) compared to the fistula
measure could achieve an increase of about 2 points in its TPS.
Conversely, these commenters stated that a facility that scores
especially well on the fistula measure but still has high numbers of
catheters could see its TPS decrease by approximately 2 points.
Commenters argued that these differences could be meaningful for
facilities that are near the TPS cut-off points for payment reduction
levels. Commenters also stated that facilities that score about the
same on the two measures would not see a notable change in their TPS.
Response: We conducted an analysis to determine how the Vascular
Access Measure Topic Scores, TPS, and estimated payment reductions
would be impacted if we were to assign \2/3\ of the weight of the
measure topic to the Catheter Measure, and \1/3\ of the weight of the
measure topic to the Fistula Measure. Results (shown in Table 11),
suggest that although some facilities would benefit from this policy
change, a larger percentage would not.
Table 11--Analysis of the Effects of Re-Weighting the Vascular Access
Measures
------------------------------------------------------------------------
N %
------------------------------------------------------------------------
Difference in Payment Reduction
------------------------------------------------------------------------
Lower Payment Reduction............................... 328 5.82
Higher Payment Reduction.............................. 417 7.40
No Change............................................. 4890 86.78
------------------------------------------------------------------------
Difference in TPS
------------------------------------------------------------------------
Lower TPS............................................. 2373 42.10
Higher TPS............................................ 2004 35.56
No Change............................................. 1258 22.30
------------------------------------------------------------------------
As shown in Table 11, under this re-weighting approach for the
Vascular Access Measures, approximately 36 percent of facilities would
receive a higher VAT Topic Score and TPS, but 42 percent would receive
lower scores. Additionally, under this weighting policy recommended by
commenters, 5.8 percent would receive a lower payment reduction, but
7.4 percent would receive a higher payment reduction. While the
recommendation to re-weight the VAT Measure topic fits with the overall
goal of the ESRD QIP to increase performance on the catheter measure,
we believe that some facilities would be adversely impacted were we to
adopt this weighting structure.
Comment: One commenter requested clarification on the weight of the
Ultrafiltration Rate Reporting Measure for PY 2021 because no weight
was included for that measure in the proposed rule.
Response: We thank the commenter for pointing out the error.
Although we inadvertently did not include the proposed numerical weight
for the UFR Reporting Measure for PY 2021 in Table 8 of the proposed
rule, we proposed to weight the reporting measures and the Reporting
Measure Domain consistent with how we have weighted them in previous
years of the program (79 FR 66217, 79 FR 66219). Under that weighting
scheme, which is reflected in Table 8 of the proposed rule, each
reporting measure is weighted equally within the Reporting Domain, and
the Reporting Domain, as a whole, comprises 10 percent of the TPS.
Application of that policy to the PY 2021 reporting measures, which
includes the UFR Reporting Measure, results in each measure being
weighted at 16.66 percent of the Reporting Measure Domain, or 1.66
percent of the TPS. Table 12 reflects these values.
Final Rule Action: After considering the comments we received, we
are finalizing our domain weighting policy for PY 2021. The final
weights are reflected in Table 12.
Table 12--Finalized Measure Domain Weighting for the PY 2021 ESRD QIP
----------------------------------------------------------------------------------------------------------------
Measures/measure topics by Measure weight within the domain Measure weight as percent of TPS
subdomain (proposed for PY 2021) (proposed for PY 2021)
----------------------------------------------------------------------------------------------------------------
Clinical Measure Domain
----------------------------------------------------------------------------------------------------------------
Patient and Family Engagement/Care 40%.................................. 30.
Coordination Subdomain.
ICH CAHPS Measure.............. 25%.................................. 18.75.
SRR Measure.................... 15%.................................. 11.25.
Clinical Care Subdomain............ 60%.................................. 45.
STrR measure................... 11%.................................. 8.25.
Kt/V Dialysis Adequacy 18%.................................. 13.5.
Comprehensive Measure.
Vascular Access Type Measure 18%.................................. 13.5.
Topic.
Hypercalcemia measure.......... 2%................................... 1.5.
SHR Measure.................... 11%.................................. 8.25.
----------------------------------------------------------------------------
Total: Clinical Measure 100% of Clinical Measure Domain...... 75% of Total Performance Score.
Domain.
----------------------------------------------------------------------------------------------------------------
Reporting Measure Domain
----------------------------------------------------------------------------------------------------------------
Serum Phosphorus reporting measure. 16.66%............................... 1.66.
Anemia Management reporting measure 16.66%............................... 1.66.
Pain Assessment and Follow-Up 16.66%............................... 1.66.
reporting measure.
Clinical Depression Screening and 16.66%............................... 1.66.
Follow-Up reporting measure.
Healthcare Personnel Influenza 16.66%............................... 1.66.
Vaccination reporting measure.
Ultrafiltration Rate Reporting 16.66%............................... 1.66.
Measures.
----------------------------------------------------------------------------
Total: Reporting Measure Domain 100% of Reporting Measure Domain..... 10% of Total Performance Score.
----------------------------------------------------------------------------------------------------------------
[[Page 50783]]
Safety Measure Domain
----------------------------------------------------------------------------------------------------------------
NHSN BSI Clinical Measure.......... 60%.................................. 9.
NHSN Dialysis Event Reporting 40%.................................. 6.
Measure.
----------------------------------------------------------------------------
Total: Safety Measure Domain... 100% of Safety Measure Domain........ 15% of Total Performance Score.
----------------------------------------------------------------------------------------------------------------
i. Example of the PY 2021 ESRD QIP Scoring Methodology
In this section, we provide an example to illustrate the scoring
methodology for PY 2021. Figures 1 through 4 illustrate how to
calculate the Clinical Measure Domain score, the Reporting Measure
Domain score, the Safety Measure Domain score, and the TPS. Figure 5
illustrates the full scoring methodology for PY 2021. Note that for
this example, Facility A, a hypothetical facility, has performed very
well.
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j. Minimum Data for Scoring Measures for the PY 2021 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 Hospitalization Ratio, Standardized
Transfusion Ratio, NHSN Healthcare Personnel Influenza Vaccination, 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, 10 patient-years at risk to be eligible to receive a score on
the STrR clinical measure, and 5 patient-years at risk to be eligible
to receive a score on the SHR clinical measure. The NHSN Healthcare
Personnel Influenza Vaccination measure does not assess patient-level
data and therefore does not have a minimum qualifying patient count. 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 proposed to continue use of these minimum data
policies for the measures that we proposed to continue including in the
PY 2021 ESRD QIP measure set. We also proposed to use these same
minimum data policies for the proposed Vascular Access Measures.
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 CMS Certification Number (CCN) Open Date. In the CY 2018
ESRD PPS proposed rule (81 FR 31203), we discussed our proposed
clarifications, which we are finalizing in this final rule (see Table
2b), to our CCN open date policy and to the patient minimum
requirements for each of the measures finalized for the PY 2020 ESRD
QIP. Similarly, for the PY 2021 ESRD QIP, only facilities with a CCN
Open Date before July 1, 2019 would be eligible to be scored on the
Anemia Management, Serum Phosphorous, Ultrafiltration Rate, Pain
Assessment and Follow-Up, Clinical Depression Screening and Follow-Up
reporting measures, and only facilities with a CCN Open Date before
January 1, 2019 would be eligible to be scored on the NHSN BSI Clinical
and Reporting Measures, the ICH CAHPS Clinical Measure, and the NHSN
Healthcare Personnel Influenza Vaccination reporting measure. We
proposed to continue applying these CCN open date policies to the
measures proposed for PY 2021.
Table 13 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. We note that the 11 qualifying patient minimum used
for most of the measures shown in the Table 13 is a long-standing
policy in the ERSD QIP.
Table 13--Proposed Minimum Data Requirements for the PY 2021 ESRD QIP
--------------------------------------------------------------------------------------------------------------------------------------------------------
Measure Minimum data requirements CCN open date Small facility adjuster
--------------------------------------------------------------------------------------------------------------------------------------------------------
Dialysis Adequacy (Clinical)........ 11 qualifying patients...... N/A...................................... 11-25 qualifying patients.
Hemodialysis Vascular Access: 11 qualifying patients...... N/A...................................... 11-25 qualifying patients.
Standardized Fistula Rate
(Clinical).
Hemodialysis Vascular Access: Long- 11 qualifying patients...... N/A...................................... 11-25 qualifying patients.
Term Catheter Rate (Clinical).
Hypercalcemia (Clinical)............ 11 qualifying patients...... N/A...................................... 11-25 qualifying patients.
NHSN BSI (Clinical)................. 11 qualifying patients *.... Before January 1, 2019................... 11-25 qualifying patients.
NHSN Dialysis Event (Reporting)..... 11 qualifying patients *.... Before January 1, 2019................... N/A.
SRR (Clinical)...................... 11 index discharges......... N/A...................................... 11-41 index discharges.
STrR (Clinical)..................... 10 patient-years at risk.... N/A...................................... 10-21 patient-years at risk.
SHR (Clinical)...................... 5 patient-years at risk..... N/A...................................... 5-14 patient-years at risk.
ICH CAHPS (Clinical)................ Facilities with 30 or more Before January 1, 2019................... N/A.
survey-eligible patients
during the CY 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, 2019...................... N/A.
Serum Phosphorus (Reporting)........ 11 qualifying patients...... Before July 1, 2019...................... N/A.
Depression Screening and Follow-Up 11 qualifying patients...... Before July 1, 2019...................... N/A.
(Reporting).
Pain Assessment and Follow-Up 11 qualifying patients...... Before July 1, 2019...................... N/A.
(Reporting).
NHSN Healthcare Personnel Influenza N/A......................... Before January 1, 2019................... N/A.
Vaccination (Reporting).
Ultrafiltration Rate (Reporting).... 11 qualifying patients...... Before July 1, 2019...................... N/A.
--------------------------------------------------------------------------------------------------------------------------------------------------------
* For the NHSN BSI Clinical Measure and the NHSN Dialysis Event Reporting Measure, qualifying patients include only in-center hemodialysis patients.
Inpatient hemodialysis patients and home hemodialysis or peritoneal dialysis patients are excluded from this measure.
The comments and our responses to the comments on our proposals are
set forth below.
Comment: One commenter argued that the use of the 11-case minimum,
while meant to ensure the privacy of individuals, is not ensuring the
integrity of the data being reported. The commenter believes that CMS
has introduced randomness into the process of scoring quality measures
and that this randomness leads to facilities being unable to predict
how their actions will impact outcomes and therefore makes measures
meaningless in terms of improving quality. The commenter added that the
minimum data threshold makes the outcome of these measures
[[Page 50787]]
meaningless to patients because the small number of patients drives the
outcome rather than the actual care being provided. The commenter
recommended that CMS eliminate the small facility adjuster and adopt
instead a minimum sample size of 26 patients for scoring measures.
Response: We thank the commenter for their comments. While it is
true that smaller facilities will most likely have more variability in
measure scores, our analysis of the PY 2017 results suggest smaller
facilities received fewer payment reductions (see figure 6 below).
Reliability analyses have been used to determine upper thresholds for
the small facility adjustment. These reliability analyses were
published when the small facility adjuster was first introduced into
the ESRD QIP (78 FR 72222), and are available here: https://www.cms.gov/Medicare/Quality-Initiatives-Patient-Assessment-Instruments/ESRDQIP/Downloads/Small-Facility-Adjustment-Proposal-for-the-ESRD-QIP.pdf.
These reliability analyses were performed for all measures,
including the ratio measures (which have different thresholds).
[GRAPHIC] [TIFF OMITTED] TR01NO17.008
Final Rule Action: After considering the comments received, we are
finalizing the minimum data policy for the PY 20201 ESRD QIP as
proposed.
k. Payment Reductions for the PY 2021 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 proposed that, for the PY 2021 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.
It received the number of points for each reporting
measure that corresponds to the 50th percentile of facility performance
on each of the PY 2019 reporting measures.
We noted in the proposed rule that this proposed policy for PY 2021
is identical to the policy finalized for PY 2020.
We stated in the proposed rule that we were not proposing a policy
regarding the inclusion of measures for which we were not able to
establish a numerical value for the performance standard through the
rulemaking process before the beginning of the performance period for
PY 2020. We did not propose such a policy because no measures in the
proposed PY 2021 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 2019 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 2021 (that is, CY 2019). Because we have not
yet calculated final measure scores, we are unable to determine the
50th percentile of facility performance on the PY 2019 reporting
measures. We will propose that value in the CY 2019 ESRD PPS proposed
rule once we have calculated final measure scores for the PY 2019
program, and will finalize those values in the CY 2019 ESRD PPS final
rule using the most updated data available at the time of publication.
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 did not propose any changes to this policy
for the PY 2021 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
[[Page 50788]]
minimum TPS at this time. We will propose a minimum TPS, based on data
from CY 2017 and the first part of CY 2018, in the CY 2019 ESRD PPS
proposed rule.
The comments and our responses to the comments on our proposal are
set forth below.
Comment: Several commenters expressed concerns with the significant
increase in the number of facilities projected to receive a payment
reduction from PY 2017 to PYs 2020 and 2021. They found no changes in
the methodology or measures that would explain such a substantial
fluctuation. One commenter stated that changes in the minimum TPS do
not predict the change that the addition of any single measure is
unlikely to drive a major shift in payment reductions and there are no
significant changes in the measure thresholds that would explain the
large shift. The commenter therefore urged CMS to adjust the QIP
payment reduction parameters to maintain more consistent payment levels
from one year to the next and asked that CMS work with the community to
consider a policy to adjust the payment reduction thresholds to
generate more predictable payment outcomes. Another commenter asked CMS
to explain how it determined the percentage of penalties and why there
appears to be such a significant change, to provide for greater
transparency.
Response: Though we did not propose a minimum TPS for PY 2021, we
were able to provide simulations. We estimated the minimum TPS for PY
2021 for the analyses provided in the CY 2018 ESRD PPS proposed rule
using the available data. For simulations, we use the performance
standards from the prior year to calculate the minimum TPS. We do this
so that we are simulating what is actually done when we calculate final
sores. However, we have found that it does not make a big difference
which performance standards are used to conduct our simulations--
results do not change drastically.
Our policies for determining payment reductions have not changed
from year to year and are consistent with the methodology described in
several of our previous rules (see for example, 80 FR 69046 and 81 FR
77893). We believe the increases in simulated payment reductions are
due to the inclusion of the ICH CAHPS and SHR measures in the PY 2020
simulation, whereas they were not included in the PY 2019 simulation
because data was not available at that time. It is also due to a
decrease in performance for the SRR, STrR, VAT, and Hypercalcemia
measures among a subset of facilities. Finally, we note that as the
ESRD QIP increases the number of measures included in the TPS, this
also increases the chance that a facility will score poorly on one or
more measures, which can result in increased payment reductions.
Final Rule Action: After consideration of the comments received, we
are finalizing our policy for determining payment reductions for the PY
2021 ESRD QIP as proposed.
C. Miscellaneous Comments
We received several general comments on the ESRD QIP. The comments
and our responses are set forth below.
Comment: Several commenters supported the general goals of the ESRD
QIP and supported our efforts to develop a quality incentive program
that promotes high quality patient care for patients with ESRD.
Response: We appreciate commenters' support of the ESRD QIP and
welcome the opportunity to collaborate with the community to ensure
that the program continues to promote high quality patient care in
renal dialysis facilities.
Comment: Several commenters expressed concerns about the burden
associated with the program, arguing that adding new measures to the
program only increases the burden for providers and for CMS.
Response: We thank commenters for sharing their concerns. We are
constantly reviewing our program and are always looking for ways to
balance minimizing burden with employing a comprehensive quality
performance assessment. One way in which we try to achieve this balance
is, when feasible, to calculate measures using Medicare claims and
other administrative data so that facilities do not need to report
additional data. Doing so allows us to assess key clinical care
outcomes while minimizing additional burden on dialysis facilities.
Comment: Several commenters encouraged CMS to abstain from creating
new measures and to instead focus on ensuring that the current set of
measures is evidence-based, promotes the delivery of high-quality care,
and improves patient outcomes. One commenter recommended a detailed set
of criteria for prioritizing ESRD quality measures. In addition to more
closely examining the measures that are added to the program, several
commenters also recommended that CMS look carefully at the existing
measures to determine whether any can be retired, especially as they
become ``topped out.'' Commenters expressed concern that having too
large a number of measures in the measure set dilutes the impact of
individual measures.
Response: We thank commenters for sharing their concerns. We are
constantly re-examining the measures that are included in the program
to ensure that they are capturing a wide variety of information about
the care that patients receive, and we carefully consider whether
measures should be retired from the program using a set of criteria
previously finalized through rulemaking (81 FR 77896 through 77897). We
agree that new measures implemented in the QIP should be evidence-
based, promote the delivery of high-quality care, and improve patient
outcomes. We also consider how our measures are weighted within the TPS
in an effort to ensure that measures with greater clinical significance
receive greater weight and emphasis. Additionally, through our
measurement development process and consideration of which measures to
include in the program, we seek to implement NQF-endorsed outcomes-
based measures to the extent feasible and, as part of that analysis,
examine the reporting burden associated with those measures.
V. 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 (health IT) and nationwide health information exchange.
Health IT facilitates the secure, efficient, and effective sharing and
use of health-related information when and where it is needed, and is
an important tool for settings across the continuum of care, including
ESRD facilities. Health IT plays an important role in developing care
plans to manage dialysis related care and co-morbid conditions for
patients with ESRD, as well as enabling electronic coordination and
communication among multidisciplinary teams. Such tools can promote
quality improvement, improve efficiencies and reduce unnecessary costs.
HHS continues to make important strides promoting the availability
of technology tools to support providers, including those in ESRD
settings. For instance, in 2015 the Office of the National Coordinator
for Health Information Technology (ONC) released a document entitled
``Connecting Health and Care for the Nation: A Shared Nationwide
Interoperability Roadmap Version 1.0 (Roadmap) (available at https://www.healthit.gov/sites/default/files/hie-interoperability/nationwide-interoperability-roadmap-final-version-1.0.pdf), which describes
barriers to
[[Page 50789]]
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
Roadmap focuses on actions that will enable a majority of individuals
and providers across the care continuum to send, receive, find and use
priority data domains at the nationwide level by the end of 2017.
Moreover, the vision described in the Roadmap significantly expands the
types of electronic health information, information sources, and
information users well beyond clinical information derived from
electronic health records.
In addition, ONC has released the 2017 Interoperability Standards
Advisory (available at https://www.healthit.gov/standards-advisory), a
coordinated catalog of standards and implementation specifications to
enable priority health information exchange functions. Providers,
payers, and vendors are encouraged to take these health IT 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.
The comments and our responses to the comments on this proposal are
set forth below.
Comment: Several commenters noted the recent focus on leveraging
health IT to improve provider communication but noted that dialysis
facilities often do not receive discharge information needed for
continuity of care. Commenters indicated that patients often do not
disclose information about recent hospitalizations and dialysis
facilities face challenges when requesting discharge instructions and
summaries on behalf of the patient. Commenters recommended that CMS
require hospitals, particularly those using certified health IT, to
send the following information to providers involved in the patient's
care: (1) The discharge instructions and discharge summary within 48
hours; (2) pending test results within 72 hours of their availability;
and (3) all other necessary information specified in the ``transfer to
another facility'' requirements.
Response: We agree with commenters' support for the use of health
IT to facilitate improved communication and coordination across care
settings. We appreciate commenters' concerns that discharge information
is often not sent to dialysis facilities following a hospitalization or
may not be sent in a timely manner for continuity of care. While out of
scope for this rulemaking, several policies currently address this
issue. Under Medicare's Conditions of Participation in 42 CFR
482.43(d), hospitals transferring or referring a patient are already
required to send necessary medical information to appropriate
facilities and outpatient services as needed for follow-up care. We
also note that eligible hospitals and critical access hospitals
participating in Stage 2 and Stage 3 of the Medicare and Medicaid
Electronic Health Record Incentives Programs are measured on their
ability to electronically send summary of care information for
transitions of care or referrals to another setting or provider of
care, which may include dialysis facilities. With respect to
recommendations regarding timing requirements for the sending of
discharge information, we will take these comments under consideration
as we continue to revise and build on these policies in the future.
VI. Collection of Information Requirements
A. Legislative Requirement for Solicitation of Comments
Under the Paperwork Reduction Act of 1995, we are required to
provide 30-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. We
solicited comments in the notice of proposed rulemaking that published
in the Federal Register on July 5, 2017 (82 FR 31190). For the purpose
of transparency, we are republishing the discussion of the information
collection requirements. All of the requirements discussed in this
section are already accounted for in OMB approved information
collection requests.
B. Requirements in Regulation Text
We are not finalizing changes to the regulatory text for the ESRD
PPS or for AKI dialysis payment in CY 2018.
C. Additional Information Collection Requirements
This final rule does not impose any new information collection
requirements in the regulation text, as specified above. However, this
final 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
To derive wage estimates, we used data from the U.S. Bureau of
Labor Statistics' May 2016 National Occupational Employment and Wage
Estimates. In the CY 2016 ESRD PPS final rule (80 FR 69069), we stated
that it was reasonable to assume that Medical Records and Health
Information Technicians, who are responsible for organizing and
managing health information data,\11\ are the individuals tasked with
submitting measure data to CROWNWeb and NHSN for purposes of the data
validation studies 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
$19.93 per hour. Fringe benefit is calculated at 100 percent.
Therefore, using these assumptions, we estimate an hourly labor cost of
$39.86 as the basis of the wage estimates for all collection of
information calculations in the ESRD QIP. We have adjusted these
employee hourly wage estimates by a factor of 100 percent to reflect
current HHS department-wide guidance on estimating the cost of fringe
benefits and overhead. These are necessarily rough adjustments, both
because fringe benefits and overhead costs vary significantly from
employer to employer and because methods of estimating these costs vary
widely from study to study. Nonetheless, there is no practical
alternative and we believe that these are reasonable estimation
methods.
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\11\ https://www.bls.gov/oes/current/oes292071.htm.
\12\ https://www.bls.gov/oes/current/oes291141.htm.
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b. Time Required To Submit Data Based on Reporting Requirements for PY
2020
In the CY 2016 ESRD PPS final rule (80 FR 69070), we estimated that
the time required to submit measure data for Payment Year 2019 using
CROWNWeb is 2.5 minutes per data element submitted, which takes into
account the small percentage of data
[[Page 50790]]
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. Since then, these estimates of
the time required to submit data have not changed and we are therefore
continuing to rely upon them in our burden calculations for PY 2020 and
future payment years.
c. Data Validation Requirements for the PY 2020 ESRD QIP
Section IV.B.3.g of this final rule outlines our data validation
policies for PY 2020. Specifically, for the CROWNWeb validation, we
will continue randomly sampling records from 300 facilities as part of
our continuing pilot data validation program. Each sampled facility
will 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
approximately $29,895 (750 hours x $39.86/hour), or a total of
approximately $93 ($29,895/300 facilities) per facility in the sample.
The burden associated with these requirements is captured in an
information collection request (OMB control number 0938-1289).
Under the continuing data validation study for validating data
reported to the NHSN Dialysis Event Module, we will continue using the
methodology finalized in the CY 2017 ESRD PPS final rule, however we
are adopting a modification to our sampling methodology, which we
described at section IV.B.3.g of this final rule. A CMS contractor will
send these facilities requests for medical records for all patients
with ``candidate events'' during the evaluation period. Overall, we
estimate that, on average, quarterly lists would include two positive
blood cultures per facility, but we recognize these estimates may vary
considerably from facility to facility. We estimate that it will take
each facility approximately 60 minutes to comply with this requirement
(30 minutes from each of the two quarters in the evaluation period). If
35 facilities are asked to submit records, we estimate that the total
combined annual burden for these facilities will be 35 hours (35
facilities x 1 hour). Since we anticipate that Medical Records and
Health Information Technicians or similar administrative staff will
submit this data, we estimate that the aggregate cost of the NHSN data
validation will be $1,395.10 (35 hours x $39.86/hour), or a total of
$39.86 ($1,395.10/35 facilities) per facility in the sample. The burden
associated with these requirements is captured in an information
collection request (OMB control number 0938-1340).
To determine the burden associated with the collection of
information requirements, we look at each of these elements together:
The total number of patients nationally, the number of elements per
patient-year required for each measure, the amount of time required for
data entry, and the estimated wage plus benefits of the individuals
within facilities who are most likely to be entering data into
CROWNWeb. Therefore, based on this methodology, in the CY 2017 ESRD PPS
final rule, we anticipated the burden associated with the new
collection of information requirements was approximately $91 million
for the PY 2020 ESRD QIP (81 FR 77957).\13\ We are not changing our
data collection methodology for PY 2021; however, we are replacing two
existing measures for PY 2021. We believe replacing the two existing
measures will have a de minimis effect on the overall burden associated
with collection of information requirements in PY 2021. Accordingly,
the PY 2021 burden estimate remains the same at $91 million. The net
incremental burden from PY 2020 to PY 2021 is $0.
---------------------------------------------------------------------------
\13\ We note that the aggregate impact of the PY 2020 ESRD QIP
was included in the CY 2017 ESRD PPS final rule (81 FR 77834 through
77969). The previously finalized aggregate impact of $113 million
reflects the PY 2020 estimated payment reductions and the collection
of information requirements for the Ultrafiltration Rate Reporting
Measure, finalized in the CY 2017 ESRD PPS final rule (81 FR 77915).
---------------------------------------------------------------------------
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), the Congressional Review Act (5 U.S.C. 804(2)), and Executive
Order 13771 on Reducing Regulation and Controlling Regulatory Costs
(January 30, 2017).
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. However, OMB has determined
that the actions are significant within the meaning of section 3(f)(4)
and 3(f)(3) of the Executive Order. Therefore, OMB has reviewed this
final rule, and the Departments have provided the following assessment
of their impact. We solicited comments on the regulatory impact
analysis provided and no comments were received.
2. Statement of Need
This rule finalizes a number of routine updates and one policy
change to the ESRD PPS in CY 2018. The finalized routine updates
include the CY 2018 wage index values, the wage
[[Page 50791]]
index budget-neutrality adjustment factor, and outlier payment
threshold amounts. The finalized policy change involves an update to
the outlier pricing policy. Failure to publish this final rule would
result in ESRD facilities not receiving appropriate payments in CY 2018
for renal dialysis services furnished to ESRD patients.
This rule finalizes routine updates to the payment for renal
dialysis services furnished by ESRD facilities to individuals with AKI.
Failure to publish this final rule would result in ESRD facilities not
receiving appropriate payments in CY 2018 for renal dialysis services
furnished to patients with AKI in accordance with section 1834(r) of
the Act.
This rule finalizes requirements for the ESRD QIP, including the
adoption of a measure set for the PY 2021 program, as directed by
section 1881(h) of the Act. Failure to finalize requirements for the PY
2021 ESRD QIP would prevent continuation of the ESRD QIP beyond PY
2020. In addition, finalizing requirements for the PY 2021 ESRD QIP
provides facilities with more time to review and fully understand new
measures before they are scored on them in the ESRD QIP.
3. Overall Impact
We estimate that the final revisions to the ESRD PPS will result in
an increase of approximately $60 million in payments to ESRD facilities
in CY 2018, which includes the amount associated with updates to the
outlier thresholds, outlier policy, and updates to the wage index. We
are estimating approximately $20 million that would now be paid to ESRD
facilities for dialysis treatments provided to AKI beneficiaries.
We note that the impacts for the ESRD PPS and AKI payments in the
proposed rule are substantially different from what we are finalizing.
The proposed ESRD PPS impact was $100 million based on the proposed
update factor of 0.7. The final update factor was calculated as 0.3
percent, and that change resulted in the lower impact amount included
in this final rule.
The proposed impact for AKI payments was $2 million. The increase
from the proposed rule to the final rule is based on actual preliminary
claims data that became available after publication of the proposed
rule, which allowed us to make a more accurate estimation of the
utilization of services.
For PY 2021, we estimate that the final revisions to the ESRD QIP
will result in a savings of $29 million, which includes a zero
incremental burden due to collection of information requirements and
$29 million in estimated payment reductions across all facilities.
If regulations impose administrative costs on private entities,
such as the time needed to read and interpret this final rule, we
estimate the cost associated with regulatory review. Due to the
uncertainty involved with accurately quantifying the number of entities
that will review the rule, we assume that the total number of unique
commenters on last year's proposed rule will be the number of reviewers
of this final rule. We acknowledge that this assumption may understate
or overstate the costs of reviewing this rule. It is possible that not
all commenters reviewed last year's rule in detail, and it is also
possible that some reviewers chose not to comment on the proposed rule.
For these reasons we thought that the number of past commenters would
be a fair estimate of the number of reviewers of this rule. We
requested comments on the approach in estimating the number of entities
which will review the proposed rule and no comments were received.
We also recognize that different types of entities are in many
cases affected by mutually exclusive sections of this final rule, and
therefore for the purposes of our estimate we assume that each reviewer
reads approximately 50 percent of the rule. We requested comments on
this assumption, however, no comments were received.
Using the wage information from the BLS (https://www.bls.gov/oes/2015/may/naics4_621100.htm) for medical and health service managers
(Code 11-9111), we estimate that the cost of reviewing this rule is
$105.00 per hour, including overhead and fringe benefits. Assuming an
average reading speed, we estimate that it would take approximately
1.25 hours for the staff to review half of this final rule. For each
ESRD facility that reviews the rule, the estimated cost is $131.25
(1.25 hours x $105.00). Therefore, we estimated that the total cost of
reviewing this regulation is $19,162.50 ($131.25 x 146 reviewers).
B. Detailed Economic Analysis
1. CY 2018 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 2017 to estimated payments in CY 2018. To
estimate the impact among various types of ESRD facilities, it is
imperative that the estimates of payments in CY 2017 and CY 2018
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 final rule, we used CY 2016 data from the Part A and B
Common Working Files, as of August 4, 2017, as a basis for Medicare
dialysis treatments and payments under the ESRD PPS. We updated the
2016 claims to 2017 and 2018 using various updates. The updates to the
ESRD PPS base rate are described in section II.B.2.d of this final
rule. Table 14 shows the impact of the estimated CY 2018 ESRD payments
compared to estimated payments to ESRD facilities in CY 2017.
Table 14--Impact of Changes in Payment to ESRD Facilities for CY 2018 Final Rule \1\
--------------------------------------------------------------------------------------------------------------------------------------------------------
Effect of
total 2018
proposed
Number of Effect of 2018 Effect of 2018 Effect of 2018 changes
Facility type Number of treatments (in changes in changes in changes in (outlier, wage
facilities millions) outlier policy wage indexes payment rate indexes,
update routine
updates to the
payment rate)
A B C(%) D(%) E(%) F(%)
--------------------------------------------------------------------------------------------------------------------------------------------------------
All Facilities.......................................... 6,814 45.1 0.2 0.0 0.3 0.5
--------------------------------------------------------------------------------------------------------------------------------------------------------
[[Page 50792]]
Type
--------------------------------------------------------------------------------------------------------------------------------------------------------
Freestanding........................................ 6,383 42.7 0.2 0.0 0.3 0.5
Hospital based...................................... 431 2.4 0.3 0.1 0.3 0.7
--------------------------------------------------------------------------------------------------------------------------------------------------------
Ownership Type
--------------------------------------------------------------------------------------------------------------------------------------------------------
Large dialysis organization......................... 5,110 34.3 0.2 0.0 0.3 0.4
Regional chain...................................... 871 5.8 0.2 0.1 0.3 0.6
Independent......................................... 487 3.1 0.2 0.0 0.3 0.5
Hospital based \2\.................................. 341 1.8 0.3 0.1 0.3 0.8
Unknown............................................. 5 0.0 0.0 0.2 0.3 0.5
--------------------------------------------------------------------------------------------------------------------------------------------------------
Geographic Location
--------------------------------------------------------------------------------------------------------------------------------------------------------
Rural............................................... 1,243 6.5 0.2 -0.2 0.3 0.3
Urban............................................... 5,571 38.6 0.2 0.0 0.3 0.5
--------------------------------------------------------------------------------------------------------------------------------------------------------
Census Region
--------------------------------------------------------------------------------------------------------------------------------------------------------
East North Central.................................. 1,109 6.4 0.2 0.0 0.3 0.4
East South Central.................................. 551 3.4 0.2 -0.1 0.3 0.4
Middle Atlantic..................................... 742 5.5 0.2 0.1 0.3 0.6
Mountain............................................ 382 2.2 0.1 -0.1 0.3 0.3
New England......................................... 191 1.5 0.2 -0.1 0.3 0.4
Pacific \3\......................................... 808 6.4 0.2 0.0 0.3 0.5
Puerto Rico and Virgin Islands...................... 50 0.4 0.1 0.0 0.3 0.5
South Atlantic...................................... 1,572 10.5 0.2 -0.1 0.3 0.4
West North Central.................................. 484 2.3 0.2 0.2 0.3 0.7
West South Central.................................. 925 6.5 0.2 0.2 0.3 0.7
--------------------------------------------------------------------------------------------------------------------------------------------------------
Facility Size
--------------------------------------------------------------------------------------------------------------------------------------------------------
Less than 4,000 treatments.......................... 1,158 2.0 0.2 0.0 0.3 0.4
4,000 to 9,999 treatments........................... 2,542 11.7 0.2 -0.1 0.3 0.4
10,000 or more treatments........................... 3,036 31.0 0.2 0.0 0.3 0.5
Unknown............................................. 78 0.4 0.3 0.5 0.3 1.1
--------------------------------------------------------------------------------------------------------------------------------------------------------
Percentage of Pediatric Patients
--------------------------------------------------------------------------------------------------------------------------------------------------------
Less than 2%............................................ 6,706 44.7 0.2 0.0 0.3 0.5
Between 2% and19%................................... 43 0.3 0.2 0.2 0.3 0.8
Between 20% and 49%................................. 11 0.0 0.3 -0.6 0.3 0.0
More than 50%....................................... 54 0.1 0.3 0.2 0.3 0.9
--------------------------------------------------------------------------------------------------------------------------------------------------------
\1\ Sensipar will be paid under the transitional drug add-on payment adjustment for CY 2018. In CY 2016 there was approximately $840 million in spending
for Sensipar under Part D.
\2\ Includes hospital-based ESRD facilities not reported to have large dialysis organization or regional chain ownership.
\3\ Includes ESRD facilities located in Guam, American Samoa, and the Northern Mariana Island.
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 final
changes to the outlier payment policy described in section II.B.2.c of
this rule is shown in column C. For CY 2018, the impact on all ESRD
facilities as a result of the changes to the outlier payment policy
would be a 0.2 percent increase in estimated payments. Nearly all ESRD
facilities are anticipated to experience a positive effect in their
estimated CY 2018 payments as a result of the finalized outlier policy
changes.
Column D shows the effect of the finalized CY 2018 wage indices and
the wage index floor of 0.4000. The categories of types of facilities
in the impact table show changes in estimated payments ranging from a -
0.6 percent decrease to a 0.5 percent increase due to these finalized
updates in the wage indices.
Column E shows the effect of the finalized CY 2018 ESRD PPS payment
rate update. The finalized ESRD PPS payment rate update is 0.3 percent,
[[Page 50793]]
which reflects the finalized ESRDB market basket percentage increase
factor for CY 2018 of 1.9 percent, the 1.0 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 reflects the overall impact, that is, the effects of the
finalized outlier policy changes, the finalized wage index floor, and
payment rate update. We expect that overall ESRD facilities would
experience a 0.5 percent increase in estimated payments in CY 2018. The
categories of types of facilities in the impact table show impacts
ranging from 0.0 percent to an increase of 1.1 percent in their CY 2018
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 2018, we estimate that
the finalized ESRD PPS would 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 2018 would be approximately $9.8
billion. This estimate takes into account a projected increase in fee-
for-service Medicare dialysis beneficiary enrollment of 1.6 percent in
CY 2018.
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
0.5 percent overall increase in the finalized CY 2018 ESRD PPS payment
amounts, we estimate that there will be an increase in beneficiary co-
insurance payments of 0.5 percent in CY 2018, which translates to
approximately $10 million a figure which is rounded to the nearest $10
million. The rounded $10 million is based on 20 percent of CY 2018
estimated total payment increase of $60 million. There are roughly
400,000 ESRD beneficiaries, so this increase represents a $25 increase
per beneficiary.
e. Alternatives Considered
In section II.B.1.d of this final rule, we finalized a policy to
price eligible outlier drugs and biologicals that were or would have
been, prior to January 1, 2011, separately billable under Medicare Part
B using any of the methodologies available under section 1847A of the
Act. We considered not making any change to the outlier pricing policy
and also potentially requiring manufacturers to submit ASP data in
order to be eligible for outlier payment or payment under the TDAPA.
2. CY 2018 Payment for Renal Dialysis Services Furnished to Individuals
With AKI
a. Effects on ESRD Facilities
We analyzed CY 2017 hospital outpatient claims to identify the
number of treatments furnished historically for AKI patients. We
identified 32,433 AKI dialysis treatments that were furnished in the
first four months of CY 2017. We then inflated the 32,433 treatments to
account for the whole year of 2017. We further inflated to 2018 values
using estimated population growth for fee-for service non-ESRD
beneficiaries. This results in an estimated 98,900 treatments that
would now be paid to ESRD facilities for furnishing dialysis to
beneficiaries with AKI. Using the CY 2018 final ESRD base rate of
$232.37 and an average wage index multiplier, we are estimating
approximately $20 million that would now be paid to ESRD facilities for
dialysis treatments provided to AKI beneficiaries.
Ordinarily, we would provide a table showing the impact of this
provision on various categories of ESRD facilities. However, because we
have no way to project how many patients with AKI requiring dialysis
will choose to have dialysis treatments at an ESRD facility, we are
unable to provide a table at this time.
b. Effects on Other Providers
Under section 1834(r) of the Act, as added by section 808(b) of
TPEA, we are finalizing a payment rate for renal dialysis services
furnished by ESRD facilities to beneficiaries with AKI. The only two
Medicare providers authorized to provide these outpatient renal
dialysis services are hospital outpatient departments and ESRD
facilities. The decision about where the renal dialysis services are
furnished is made by the patient and their physician. Therefore, this
provision will have zero impact on other Medicare providers.
c. Effects on the Medicare Program
We anticipate paying an estimated $20 million to ESRD facilities in
CY 2018 as a result of AKI patients receiving renal dialysis services
in the ESRD facility.
d. Effects on Medicare Beneficiaries
Currently, beneficiaries have a 20 percent coinsurance obligation
when they receive AKI dialysis in the hospital outpatient setting. When
these services are furnished in an ESRD facility, the patients would
continue to be responsible for a 20 percent coinsurance. Because the
AKI dialysis payment rate paid to ESRD facilities is lower than the
outpatient prospective payment system's payment amount, we would expect
beneficiaries to pay $50 less coinsurance when AKI dialysis is
furnished by ESRD facilities.
e. Alternatives Considered
As we discussed in the CY 2017 ESRD PPS proposed rule (81 FR
42870), we considered adjusting the AKI payment rate by including the
ESRD PPS case-mix adjustments, and other adjustments at section
1881(b)(14)(D) of the Act, as well as not paying separately for AKI
specific drugs and laboratory tests. We ultimately determined that
treatment for AKI is substantially different from treatment for ESRD
and the case-mix adjustments applied to ESRD patients may not be
applicable to AKI patients and as such, including those policies and
adjustment would be inappropriate.
3. ESRD QIP
a. Effects of the PY 2021 ESRD QIP on ESRD Facilities
The ESRD QIP provisions are intended to prevent possible reductions
in the quality of renal dialysis services provided to beneficiaries.
The methodology that we are using to determine a facility's TPS for the
PY 2021 ESRD QIP is described in section IV.B.4.g of this final rule.
Any reductions in ESRD PPS payments as a result of a facility's
performance under the PY 2021 ESRD QIP would apply to ESRD PPS payments
made to the facility in CY 2021.
For the PY 2021 ESRD QIP, we estimate that, of the 6,453 dialysis
facilities (including those not receiving a TPS) enrolled in Medicare,
approximately 40 percent or 2,551 of the facilities would receive a
payment reduction in PY 2021. The total payment reduction for all of
the 2,551 facilities expected to receive a reduction is approximately
$29 million ($29,017,218). Facilities that do not receive a TPS are not
eligible for a payment reduction.
Table 15 shows the overall estimated distribution of payment
reductions resulting from the PY 2021 ESRD QIP.
[[Page 50794]]
Table 15--Estimated Distribution of PY 2021 ESRD QIP Payment Reductions
----------------------------------------------------------------------------------------------------------------
Payment Reduction (%) Number of facilities Percent of facilities
----------------------------------------------------------------------------------------------------------------
0.0........................................................... 3,469 57.6
0.5........................................................... 1,507 25.0
1.0........................................................... 754 12.5
1.5........................................................... 228 3.8
2.0........................................................... 62 1.0
----------------------------------------------------------------------------------------------------------------
Note: This table excludes 433 facilities that we estimate will not receive a payment reduction because they will
not report enough data to receive a TPS.
To estimate whether or not a facility would receive a payment
reduction in PY 2021, 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 16.
Table 16--Data Used To Estimate PY 2021 ESRD QIP Payment Reductions
----------------------------------------------------------------------------------------------------------------
Period of time used to calculate
achievement thresholds, performance
Measure standards, benchmarks, and Performance period
improvement thresholds
----------------------------------------------------------------------------------------------------------------
VAT
----------------------------------------------------------------------------------------------------------------
Standardized Fistula Ratio......... Jan 2014-Dec 2014.................... Jan 2015-Dec 2015.
%Catheter.......................... Jan 2014-Dec 2014.................... Jan 2015-Dec 2015.
Kt/V Dialysis Adequacy Jan 2014-Dec 2014.................... Jan 2015-Dec 2015.
Comprehensive.
Hypercalcemia...................... Jan 2014-Dec 2014.................... Jan 2015-Dec 2015.
STrR............................... Jan 2014-Dec 2014.................... Jan 2014-Dec 2014.
ICH CAHPS Survey................... Jan 2015-Dec 2015.................... Jan 2015-Dec 2015.
SRR................................ Jan 2014-Dec 2014.................... Jan 2015-Dec 2015.
NHSN BSI........................... Jan 2014-Dec 2014.................... Jan 2015-Dec 2015.
SHR................................ Jan 2014-Dec 2014.................... Jan 2015-Dec 2015.
----------------------------------------------------------------------------------------------------------------
For all measures except STrR and SHR, clinical measure topic areas
with less than 11 cases for a facility were not included in that
facility's TPS. For SHR and STrR, facilities were required to have at
least 5 and 10 patient-years at risk, respectively, in order to be
included in the facility's TPS. Each facility's TPS was compared to an
estimated minimum TPS and an estimated payment reduction table that
were consistent with the final policies outlined in section IV.B.4.g of
this final rule. Facility reporting measure scores were estimated using
available data from CY 2014 and 2015. Facilities were required to have
a score on at least one clinical and one reporting measure to receive a
TPS.
To estimate the total payment reductions in PY 2021 for each
facility resulting from this proposed rule, we multiplied the total
Medicare payments to the facility during the 1-year period between
January 2015 and December 2015 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 2015 through December 2015 times the estimated payment
reduction percentage.
Table 17 shows the estimated impact of the finalized ESRD QIP
payment reductions to all facilities for PY 2021. The table details the
distribution of 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 differ from those we are using for
the PY 2021 ESRD QIP, the actual impact of the PY 2021 ESRD QIP may
vary significantly from the values provided here.
Table 17--Estimated Impact of QIP Payment Reductions to Facilities for PY 2021
----------------------------------------------------------------------------------------------------------------
Number of Payment
Number of facilities reduction
Number of treatments Number of expected to (percent
facilities 2015 (in facilities receive a change in
millions) with QIP score payment total ESRD
reduction payments) (%)
----------------------------------------------------------------------------------------------------------------
All Facilities.................. 6,453 40.0 6,020 2,551 -0.32
Facility Type:
Freestanding................ 6,022 37.8 5,852 2,502 -0.33
Hospital-based.............. 431 2.2 168 49 -0.20
[[Page 50795]]
Ownership Type:
Large Dialysis.............. 4,541 28.6 4,432 1,910 -0.32
Regional Chain.............. 989 6.2 929 316 -0.26
Independent................. 568 3.5 536 282 -0.50
Hospital-based (non-chain).. 354 1.8 123 43 -0.25
Unknown..................... 1 0.0 0 0 ..............
Facility Size:
Large Entities.............. 5,530 34.8 5,361 2,226 -0.31
Small Entities \1\.......... 922 5.2 659 325 -0.45
Unknown..................... 1 0.0 0 0 ..............
Rural Status:
(1) Yes..................... 1,260 6.0 1,146 325 -0.19
(2) No...................... 5,193 34.0 4,874 2,226 -0.35
Census Region:
Northeast................... 879 6.2 786 340 -0.32
Midwest..................... 1,511 7.6 1,356 557 -0.31
South....................... 2,852 18.2 2,743 1,276 -0.36
West........................ 1,142 7.6 1,084 341 -0.22
US Territories \2\.......... 69 0.4 51 37 -0.56
Census Division:
Unknown..................... 1 0.0 0 0 ..............
East North Central.......... 1,045 5.5 951 443 -0.36
East South Central.......... 522 3.0 515 202 -0.30
Middle Atlantic............. 702 4.9 623 300 -0.37
Mountain.................... 368 2.0 336 86 -0.17
New England................. 182 1.3 164 40 -0.14
Pacific..................... 782 5.7 753 257 -0.24
South Atlantic.............. 1,458 9.4 1,388 719 -0.41
West North Central.......... 469 2.1 406 115 -0.19
West South Central.......... 875 5.8 841 355 -0.33
US Territories \2\.......... 49 0.3 43 34 -0.62
Facility Size (# of total
treatments)
Less than 4,000 treatments.. 1,211 2.7 1,006 357 -0.30
4,000-9,999 treatments...... 2,401 11.0 2,324 880 -0.29
Over 10,000 treatments...... 2,680 26.1 2,603 1,256 -0.35
Unknown..................... 161 0.2 87 58 -0.66
----------------------------------------------------------------------------------------------------------------
b. Effects on Other Providers
The ESRD QIP is applicable to dialysis facilities. We are aware
that several of our measures finalized for PY 2021 may impact other
Medicare providers. For example, with the introduction of the
Standardized Readmission Ratio Clinical measure in PY 2017 and the
Standardized Hospitalization Ratio Clinical Measure in PY 2020, we
anticipate that hospitals may experience financial savings as dialysis
facilities work to reduce the number of unplanned readmissions and
hospitalizations. We are actively exploring various methods to assess
the impact these measures have on hospitals and other types of
providers and facilities.
c. Effects on the Medicare Program
For PY 2021, we estimate that ESRD QIP will contribute
approximately $29 million ($29,017,218) in Medicare savings. For
comparison, Table 18 shows the payment reductions achieved by the ESRD
QIP program for PYs 2016 through 2021 totals nearly $115 million
($114,736,974).
Table 18--Payment Reductions Payment Year 2016 Through 2021
------------------------------------------------------------------------
Estimated payment reductions
Payment year (citation)
------------------------------------------------------------------------
PY 2021............................. $29,017,218.
PY 2020............................. $31,581,441 (81 FR 77960).
PY 2019............................. $15,470,309 (80 FR 69074).
PY 2018............................. $11,576,214 (79 FR 66257).
PY 2017............................. $11,954,631 (79 FR 66255).
PY 2016............................. $15,137,161 (78 FR 72247).
------------------------------------------------------------------------
d. Effects on Medicare Beneficiaries
The ESRD QIP is applicable to dialysis facilities. Since the
program's inception, there is evidence of improved performance on ESRD
QIP measures. As we stated in the CY 2017 ESRD PPS final rule, one
objective measure we can examine to demonstrate the improved quality of
care over time is the improvement of performance standards (81 FR
77873). As the ESRD QIP has refined its measure set and as facilities
have gained experience with the measures included in the program,
performance standards have generally continued to rise. We view this as
evidence that facility performance (and therefore the quality of care
provided to Medicare beneficiaries) is objectively improving. To date
we have been unable to examine the impact of the ESRD QIP on Medicare
beneficiaries including the financial impact of the program or the
impact on the health outcomes of beneficiaries. However, in future
years we are interested in examining these impacts through the analysis
of available data from our existing measures.
[[Page 50796]]
e. Alternatives Considered
In an effort to reduce administrative and financial burden on
dialysis facilities, we considered the burden associated with each of
the measures included in the ESRD QIP to determine whether any of the
measures could feasibly be removed from the program at this time. The
Ultrafiltration Rate Reporting measure, finalized for inclusion in the
program beginning with PY 2020, adds a significant burden to facilities
because of the number of data elements required to be entered for each
patient treated by the facility. We carefully considered whether this
measure could be removed from the program in an effort to reduce burden
for facilities, but as we noted in the CY 2017 ESRD PPS final rule,
this measure is extremely valuable from a clinical perspective. Studies
\14\ suggest that higher ultrafiltration rates are associated with
higher mortality and higher odds of an ``unstable'' dialysis session,
and that rapid rates of fluid removal at dialysis can precipitate
events such as intradialytic hypotension, subclinical, yet
significantly decreased organ perfusion, and in some cases myocardial
damage and heart failure (81 FR 77912). Therefore we continue to
believe that, despite the high burden associated with this measure, it
is clinically valuable and important to continue including this measure
in the ESRD QIP's measure set and that the clinical benefits outweigh
the burden associated with the measure.
---------------------------------------------------------------------------
\14\ Flythe JE, Kimmel SE, Brunelli SM. Rapid fluid removal
during dialysis is associated with cardiovascular morbidity and
mortality. Kidney International (2011) Jan; 79(2):250-7. PMID:
20927040.
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, Ezio, et al. ``Association between high ultrafiltration
rates and mortality in uraemic patients on regular haemodialysis. A
5-year prospective observational multicenter study.'' Nephrology
Dialysis Transplantation 22.12(2007): 3547-3552.
---------------------------------------------------------------------------
C. Accounting Statement
As required by OMB Circular A-4 (available at https://www.whitehouse.gov/omb/circulars_a004_a-4), in Table 19 below, we have
prepared an accounting statement showing the classification of the
transfers and costs associated with the various provisions of this
final rule.
Table 19--Accounting Statement: Classification of Estimated Transfers
and Costs/Savings
------------------------------------------------------------------------
Category Transfers
------------------------------------------------------------------------
ESRD PPS and AKI
------------------------------------------------------------------------
Annualized Monetized Transfers......... $70 million.
From Whom to Whom...................... Federal government to ESRD
providers.
Increased Beneficiary Co-insurance $10 million.
Payments.
From Whom to Whom...................... Beneficiaries to ESRD
providers.
------------------------------------------------------------------------
ESRD QIP for PY 2021
------------------------------------------------------------------------
Annualized Monetized Transfers......... $-29 million.
From Whom to Whom...................... Federal government to ESRD
providers (payment
reductions).
------------------------------------------------------------------------
Category Costs
------------------------------------------------------------------------
Annualized Monetized ESRD Provider $0.
Costs.
------------------------------------------------------------------------
In accordance with the provisions of Executive Order 12866, this
final rule was reviewed by the Office of Management and Budget.
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 12 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 12 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 14. Using the
definitions in this ownership category, we consider the 487 facilities
that are independent and the 341 facilities that are shown as hospital-
based to be small entities. The ESRD facilities that are owned and
operated by large dialysis organizations (LDOs) and regional chains
will 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 finalized in this rule, a hospital-based
ESRD facility (as defined by type of ownership, not by type of dialysis
facility) is estimated to receive a 0.8 percent increase in payments
for CY 2018. An independent facility (as defined by ownership type) is
also estimated to receive a 0.5 percent increase in payments for CY
2018.
[[Page 50797]]
For AKI dialysis, we are unable to estimate whether patients will
go to ESRD facilities, however, we have estimated there is a potential
for $20 million in payment for AKI dialysis treatments that could
potentially be furnished in ESRD facilities.
We estimate that of the 2,551 ESRD facilities expected to receive a
payment reduction in the PY 2021 ESRD QIP, 325 are ESRD small entity
facilities. We present these findings in Table 15 (``Estimated
Distribution of PY 2021 ESRD QIP Payment Reductions'') and Table 17
(``Impact of Proposed QIP Payment Reductions to ESRD Facilities for PY
2021'') above. We estimate that the payment reductions will average
approximately $11,375 per facility across the 2,551 facilities
receiving a payment reduction, and $13,885 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 922
small entity facilities with the aggregate ESRD payments to all small
entity facilities. We estimate that there are a total of 922 small
entity facilities, and that the aggregate ESRD PPS payments to these
facilities would decrease 0.45 percent in PY 2021.
The Secretary has determined that this final rule will not have a
significant economic impact on a substantial number of small entities.
The economic impact assessment is based on estimated Medicare payments
(revenues) and HHS's practice in interpreting the RFA is to consider
effects economically ``significant'' only if greater than 5 percent of
providers reach a threshold of 3 to 5 percent or more of total revenue
or total costs.
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 604 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 final 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 132 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 132 rural
hospital-based dialysis facilities will experience an estimated 0.4
percent increase in payments. As a result, this final rule is not
estimated to have a significant impact on small rural hospitals.
Therefore, the Secretary has determined that this final rule will
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 2017, that
is approximately $148 million. This final 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 $148
million. Moreover, HHS interprets UMRA as applying only to unfunded
mandates. We do not interpret Medicare payment rules as being unfunded
mandates, but simply as conditions for the receipt of payments from the
Federal government for providing services that meet federal standards.
This interpretation applies whether the facilities or providers are
private, State, local, or tribal.
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
final 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. Reducing Regulation and Controlling Regulatory Costs
Executive Order 13771, entitled Reducing Regulation and Controlling
Regulatory Costs (82 FR 9339), was issued on January 30, 2017. This
final rule is not expected to be subject to the requirements of
Executive Order 13771 because it is expected to result in no more than
de minimis costs.
XII. Congressional Review Act
This final 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.
XIII. 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 [email protected].
Dated: October 23, 2017.
Seema Verma,
Administrator, Centers for Medicare & Medicaid Services.
Dated: October 24, 2017.
Eric D. Hargan,
Acting Secretary, Department of Health and Human Services.
[FR Doc. 2017-23671 Filed 10-27-17; 4:15 pm]
BILLING CODE 4120-01-P