Request for Information Regarding Medical Payment Products, 44281-44290 [2023-14726]
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Federal Register / Vol. 88, No. 132 / Wednesday, July 12, 2023 / Notices
the merits of the Information Collection
Request will be retained in the public
comment file and will be considered as
required under the Administrative
Procedure Act and other applicable
laws, and may be accessible under the
Freedom of Information Act.
Burden Statement: The respondent
burden for this collection is estimated to
be as follow:
Respondents/affected entities: (1) All
persons filing reports required by Part 4
for, and (2) all principals of such
persons.
Estimated number of respondents:
49,083.
Estimated number of exempt pools/
reports per respondent: 8.8.
Estimated total annual burden on
respondents: 432,325 hours.
(Authority: 44 U.S.C. 3501 et seq.)
[FR Doc. 2023–14773 Filed 7–11–23; 8:45 am]
BILLING CODE P
CONSUMER FINANCIAL PROTECTION
BUREAU
[Docket No. CFPB–2023–0038]
DEPARTMENT OF HEATH AND
HUMAN SERVICES
Centers for Medicare & Medicaid
Services
[Docket No. CMS–2023–0106]
DEPARTMENT OF THE TREASURY
[Docket No. TREAS–DO–2023–0008]
Request for Information Regarding
Medical Payment Products
Consumer Financial Protection
Bureau (CFPB), Centers for Medicare &
Medicaid Services, Department of
Health and Human Services (HHS), and
Department of the Treasury (Treasury).
ACTION: Request for information.
AGENCY:
The CFPB, an independent
agency, HHS, and the Treasury
(collectively, the agencies), are soliciting
comments from the public and
interested parties on medical credit
cards, loans, and other financial
products used to pay for health care.
The agencies seek to understand the
prevalence, nature, and impact of these
products, including disparities across
different demographic groups. The
agencies also seek to understand the
effects these products may have on
patients and on the health care system.
In particular, the agencies seek
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To be assured consideration,
comments must be received at one of
the addresses provided below by
September 11, 2023.
ADDRESSES: Interested parties are
encouraged to submit written comments
to any and all agencies listed below.
Comments submitted to the Federal
eRulemaking Portal will be shared with
all agencies for consideration.
Comments should be directed to:
CFPB: You may submit responsive
information and other comments,
identified by Docket No. CFPB–2023–
0038, by any of the following methods:
• Federal eRulemaking Portal: https://
www.regulations.gov. Follow the
instructions for submitting comments.
• Email: MedicalDebtRFI_2023@
cfpb.gov. Include Docket No. CFPB–
2023–0038 in the subject line of the
message.
• Mail/Hand Delivery/Courier:
Comment Intake—Request for
Information Regarding Medical Payment
Products, Consumer Financial
Protection Bureau, 1700 G Street NW,
Washington, DC 20552. Because paper
mail in the Washington, DC area and at
the Bureau is subject to delay,
commenters are encouraged to submit
comments electronically.
HHS: You may submit responsive
information and other comments,
identified by Docket No. CMS–2023–
0106, by any of the following methods:
1. Electronically. You may submit
electronic comments on this regulation
to https://www.regulations.gov. Follow
the ‘‘Submit a comment’’ instructions.
2. By regular mail. You may mail
written comments to the following
address ONLY: Centers for Medicare &
Medicaid Services, Department of
Health and Human Services, Attention:
Docket No. CMS–2023–0106, P.O. Box
8010, Baltimore, MD 21244–8010.
DATES:
Dated: July 7, 2023.
Robert Sidman,
Deputy Secretary of the Commission.
SUMMARY:
comment on whether these products
may allow health care providers to
operate outside of a broad range of
patient and consumer protections. The
agencies also seek comment on whether
these products may contribute to health
care cost inflation, displace hospitals’
provision of financial assistance, lead
patients to pay inaccurate or inflated
medical bills, increase the amount
patients must pay due to financing
costs, or otherwise harm patients’
mental, physical, and financial wellbeing, including through downstream
credit reporting and debt collection
practices. In line with the agencies’
work to lower health care costs and
reduce the burden of medical debt, the
agencies also seek comment on policy
options to protect consumers from
harm.
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Please allow sufficient time for mailed
comments to be received before the
close of the comment period.
3. By express or overnight mail. You
may send written comments to the
following address ONLY: Centers for
Medicare & Medicaid Services,
Department of Health and Human
Services, Attention: Docket No. CMS–
2023–0106, Mail Stop C4–26–05, 7500
Security Boulevard, Baltimore, MD
21244–1850.
Treasury: You may submit responsive
information and other comments,
identified by Docket No. TREAS–DO–
2023–0008, by any of the following
methods:
• Federal eRulemaking Portal: https://
www.regulations.gov. Follow the
instructions for submitting comments.
Instructions: The agencies encourage
the early submission of comments. All
submissions must include the document
title and docket number. Please note the
number of the topic on which you are
commenting at the top of each response
(you do not need to address all topics).
In general, all comments received will
be posted without change to https://
www.regulations.gov. All comments,
including attachments and other
supporting materials, will become part
of the public record and subject to
public disclosure. Proprietary
information or sensitive personal
information, such as account numbers
or Social Security numbers, or names of
other individuals, should not be
included. Comments will not be edited
to remove any identifying or contact
information.
FOR FURTHER INFORMATION CONTACT:
CFPB: Octavian Carare, Supervisory
Economist, Consumer Financial
Protection Bureau, at Octavian.Carare@
cfpb.gov or (202) 435–7700. If you
require this document in an alternative
electronic format, please contact CFPB_
Accessibility@cfpb.gov.
HHS: Czarina Biton, Centers for
Medicare & Medicaid Services, at
Czarina.Biton@cms.hhs.gov or 301–276–
1770.
Treasury: Thomas West, Deputy
Assistant Secretary, U.S. Department of
the Treasury at Thomas.West2@
treasury.gov or 202–622–2000.
SUPPLEMENTARY INFORMATION:
Table of Contents
I. Background:
a. Overview
b. The Medical Payment Product Market
c. Patient Experience and Downstream
Consequences
d. Risk of Exacerbating Billing and
Financial Assistance Issues
e. Potential Distortion of Health Care
Provider Incentives
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Federal Register / Vol. 88, No. 132 / Wednesday, July 12, 2023 / Notices
f. Potential for Consumer Harm
II. Request for Information
a. General Questions
Market-Level Inquiries
Individual Inquiries
b. CFPB-Specific Questions
c. HHS-Specific Questions
d. Treasury-Specific Questions
I. Background
a. Overview
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Many people have difficulty paying
for medical care. Although insurance
coverage has expanded over the last two
decades and the uninsured rate has
recently reached historic lows, the cost
of medical care, and particularly the
out-of-pocket cost for patients and
families, has grown faster than
inflation.1 For many patients, the
financial challenges associated with
paying for medical care are
compounded by the complexities of
health care coverage determinations as
well as by medical billing and payment
systems that can result in inaccuracies
and errors that only increase the
financial and psychological burden on
patients.
Although patients have many options
to pay for care, health care providers
may encourage patients and their
families to use commercial medical
payment products, including medical
credit cards and installment loans, to
finance care.2 Health care providers may
promote medical payment products
because the use of these products allows
providers to avoid the administrative
burden of slow and complex insurance
reimbursement, outsource servicing and
collections costs, get paid faster, and
receive payment from people who
otherwise would not pay the full price
for care.3 However, for patients, using
these products can complicate
insurance coverage, interfere with the
availability of financial assistance, make
it difficult to dispute inaccurate or
inflated medical bills, and increase the
total cost of care through interest and
fees. It is also possible that some people
who pay for care using medical payment
products are charged higher prices for
their care than they otherwise would
have been asked to pay, such as gross
1 Peterson-KFF, Shameek Rakshit, Emma Wager,
Paul Hughes-Cromwick, Cynthia Cox, and Krutika
Amin, ‘‘How does medical inflation compare to
inflation in the rest of the economy?’’ (March 2023),
available at https://www.healthsystemtracker.org/
brief/how-does-medical-inflation-compare-toinflation-in-the-rest-of-the-economy/.
2 CFPB, ‘‘Medical Credit Cards and Financing
Plans’’ (May 2023), available at https://
files.consumerfinance.gov/f/documents/cfpb_
medical-credit-cards-and-financing-plans_202305.pdf.
3 Id. at 8.
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charges (also known as chargemaster
prices).4
Patients may use risky and expensive
commercial medical payment products
rather than low- or no-cost alternatives
because they do not know alternatives
exist, they do not understand the risks
and costs of medical payment products,
or they feel pressured or coerced into
signing up for these products.5 In some
cases, medical payment products may
allow patients to access care they would
otherwise have to forgo. However, these
payment products can also lead to
patients paying more out of pocket if
patients use medical payment products
to pay bills that should have been
covered by insurance or financial
assistance, to pay inaccurate bills which
they then have difficulty disputing postpayment, or to pay bills in full whose
balances they would otherwise have
been able to negotiate pre-payment.
Health care providers and financial
companies may also use these payment
products to attempt to avoid restrictions
on credit reporting and debt collection
practices that otherwise apply to
medical debt, including restrictions
imposed by national credit reporting
companies and restrictions imposed by
Federal law.6 Specifically, the three
national credit reporting companies
voluntarily do not report medical debt
collections items with original balances
under $500 or which are less than one
year old, but they have not restricted the
reporting of debt collections items
reported with classification codes
indicating that they are ‘‘credit card’’ or
‘‘installment loan’’ collections.
Additionally, section 501(r) of the
Internal Revenue Code (IRC) prohibits
tax-exempt hospital organizations from
engaging in extraordinary collection
actions, including reporting the
patient’s debt to credit reporting
companies or sending the patient’s debt
to a third-party debt collector, before the
organization has made reasonable efforts
to determine whether the individual is
eligible for assistance under the
hospital’s financial assistance policy.7
4 ‘‘Gross charge’’ and ‘‘chargemaster’’ here refer to
the definitions provided in 45 CFR 180.20, namely,
‘‘Chargemaster means the list of all individual items
and services maintained by a hospital for which the
hospital has established a charge,’’ and ‘‘Gross
charge means the charge for an individual item or
service that is reflected on a hospital’s
chargemaster, absent any discounts.’’
5 Id. at 10.
6 CFPB, ‘‘Debt collectors re-evaluate medical debt
furnishing in light of data integrity issues,’’
available at https://www.consumerfinance.gov/
about-us/blog/debt-collectors-re-evaluate-medicaldebt-furnishing-in-light-of-data-integrity-issues/.
7 Internal Revenue Service, ‘‘Billing and
Collections—Section 501(r)(6),’’ available at https://
www.irs.gov/charities-non-profits/billing-andcollections-section-501r6.
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However, the agencies believe that taxexempt hospitals and the financial
companies that partner with them may
not be making reasonable efforts to
determine whether an individual is
eligible for financial assistance before
offering the individual a medical
payment product or taking
extraordinary collection actions to
attempt to collect an overdue medical
payment product balance.
In this Request for Information (RFI),
CFPB, HHS, and Treasury seek
comment on the prevalence, nature, and
impact of medical payment products on
consumers and on the health care
system. The agencies also seek comment
on policy options to address practices
by health care providers, health
insurance issuers, employer-sponsored
health plans, and financial companies
that result in consumers paying excess
costs.
This RFI builds upon recent work by
CFPB, HHS, Treasury, and other Federal
agencies to assist consumers with
managing health care costs and medical
bills, and to protect patients and
consumers from paying inaccurate or
inflated medical bills.8 That work
includes CFPB research into the extent
and impact of medical debt and the
accuracy of those debts,9 as well as
CFPB guidance to prevent unlawful
medical debt collection and reporting.10
It also includes actions by HHS and
other agencies to implement surprise
8 The White House, ‘‘FACT SHEET: New Data
Show 8.2 Million Fewer Americans Struggling with
Medical Debt Under the Biden-Harris
Administration’’ (Feb. 2023), https://
www.whitehouse.gov/briefing-room/statementsreleases/2023/02/14/fact-sheet-new-data-show-8-2million-fewer-americans-struggling-with-medicaldebt-under-the-biden-harris-administration/, and
The White House, ‘‘FACT SHEET: The Biden
Administration Announces New Actions to Lessen
the Burden of Medical Debt and Increase Consumer
Protection’’ (Apr. 2022), available at https://
www.whitehouse.gov/briefing-room/statementsreleases/2022/04/11/fact-sheet-the-bidenadministration-announces-new-actions-to-lessenthe-burden-of-medical-debt-and-increaseconsumer-protection/.
9 CFPB, ‘‘Medical debt burden in the United
States,’’ available at https://www.consumerfinance.
gov/data-research/research-reports/medical-debtburden-in-the-united-states/; CFPB, ‘‘Debt collectors
re-evaluate medical debt furnishing in light of data
integrity issues,’’ available at https://
www.consumerfinance.gov/about-us/blog/debtcollectors-re-evaluate-medical-debt-furnishing-inlight-of-data-integrity-issues/; and CFPB, ‘‘Medical
Billing and Collections Among Older Americans,’’
available at https://www.consumerfinance.gov/
data-research/research-reports/issue-spotlightmedical-billing-and-collections-among-olderamericans/full-report/.
10 CFPB ‘‘Bulletin 2022–01: Medical Debt
Collection and Consumer Reporting Requirements
in Connection with the No Surprises Act,’’ available
at https://www.consumerfinance.gov/compliance/
supervisory-guidance/cfpb-bulletin-2022-01medical-debt-collection-consumer-reportingrequirements-in-connection-with-no-surprises-act/.
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Federal Register / Vol. 88, No. 132 / Wednesday, July 12, 2023 / Notices
billing protections,11 enforce price
transparency measures,12 lower health
care costs,13 and increase access to
affordable, quality health care.14
Additionally, it includes policy
development by Treasury on surprise
billing protections and on requirements
that specifically apply to tax-exempt
hospitals, including those relating to
billing and collection, financial
assistance policies, and community
benefits.
Patients’ use of medical payment
products occurs within the larger
context of medical billing and
collections as well as health insurance
practices, and affects access to health
care, implicating the jurisdictions of
CFPB, HHS, and Treasury. Given these
overlapping equities, the agencies are
committed to working together to
understand and address the harms
medical payment products may cause,
as part of their work more generally on
health care costs, medical billing, and
medical collections.
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b. The Medical Payment Product Market
Commercial medical payment
products include medical credit cards
and installment loans used to help
patients cover the cost of medical
treatments. Charges to these products
are limited to medical procedures,
items, or services at participating
medical service providers, including
primary and specialty care, labs and
diagnostics, inpatient and outpatient
services, dental, vision, and pharmacy
care.15
11 See HHS, ‘‘HHS Kicks Off New Year with New
Protections from Surprise Medical Bills,’’ available
at https://www.hhs.gov/about/news/2022/01/03/
hhs-kicks-off-new-year-with-new-protections-fromsurprise-medical-bills.html.
12 See CMS, ‘‘Hospital Price Transparency
Enforcement Updates,’’ available at https://
www.cms.gov/newsroom/fact-sheets/hospital-pricetransparency-enforcement-updates.
13 See CMS, ‘‘Hospital Price Transparency
Enforcement Updates,’’ available at https://
www.cms.gov/newsroom/fact-sheets/hospital-pricetransparency-enforcement-updates.
14 See The White House, ‘‘Executive Order on
Continuing to Strengthen Americans’ Access to
Affordable, Quality Health Coverage,’’ available at
https://www.whitehouse.gov/briefing-room/
presidential-actions/2022/04/05/executive-orderon-continuing-to-strengthen-americans-access-toaffordable-quality-health-coverage/.
15 Medical payment products may also include
Buy Now Pay Later (BNPL) products, an emerging
product category sometimes referred to as ‘‘Care
Now Pay Later.’’ See, e.g., Stuart Condie, ‘‘ ‘Buy
Now, Pay Later’ Looks to Healthcare for Shot in the
Arm,’’ Wall Street Journal (July 22, 2022), available
at https://www.wsj.com/articles/buy-now-pay-laterlooks-to-healthcare-for-shot-in-the-arm11658491200. Certain other payment methods that
are marketed for use to cover medical costs do not
restrict charges to medical items and services; the
agencies are interested in hearing more about these
products and their similarities to or differences
from medical-only payment products.
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Medical payment products are
administered by financial services
companies, who manage the billing and
collections process for these products
and earn revenue through interest and
fees. Medical credit card companies
include CareCredit, a subsidiary of
Synchrony Financial; Wells Fargo; and
Comenity, a subsidiary of Bread
Financial. The medical installment loan
market includes a large number of
companies, among which some of the
most prominent are AccessOne, Prosper,
PayZen, Walnut, and Scratchpay.16
Many medical installment loan
companies, including the five
previously mentioned, are backed by
private equity firms.17
Medical payment products were once
used primarily to pay for care not
traditionally covered by health
insurance plans, such as dental and
vision care, fertility services, and
cosmetic surgery. However, medical
payment products are now also used to
pay for a broader set of services,
including emergency room visits and
primary and specialty care. Available
data, although limited, show significant
growth in the medical payment product
industry over the last several years. For
example, CareCredit grew from 4.4
million cardholders and 177,000
participating providers in 2013 to 11.7
million cardholders and over 250,000
participating health care providers in
2023.18 Available data also suggest that
medical payment products often have
significantly higher interest rates than
general purpose credit products; a
recent CFPB report found that the
typical annual percentage rate (APR) for
medical credit cards was 27 percent,
compared to a mean APR of 16 percent
for general purpose credit cards.19
16 The number of medical installment loan
providers is much greater than the number of
medical credit card lenders, and these products
vary in many ways. Appendix A in ‘‘Medical Credit
Cards and Financing Plans’’ includes a sample of
installment loans and publicly available
information on their terms and conditions. CFPB,
‘‘Medical Credit Cards and Financing Plans,’’ at 18,
available at https://files.consumerfinance.gov/f/
documents/cfpb_medical-credit-cards-andfinancing-plans_2023-05.pdf.
17 See, e.g., KFF, ‘‘How Banks and Private Equity
Cash In When Patients Can’t Pay Their Medical
Bills’’ (Nov. 2022), available at https://
kffhealthnews.org/news/article/how-banks-andprivate-equity-cash-in-when-patients-cant-paytheir-medical-bills/.
18 This number, as publicized by CareCredit,
includes also veterinary service providers and
cardholders that use their card to finance veterinary
care. CFPB, ‘‘Medical Credit Cards and Financing
Plans’’ at 7, available at https://
files.consumerfinance.gov/f/documents/cfpb_
medical-credit-cards-and-financing-plans_202305.pdf.
19 CFPB, ‘‘Medical Credit Cards and Financing
Plans,’’ available at https://files.consumerfinance.
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Patients who use medical payment
products may additionally find
themselves facing high fees, deferred
interest charges, and other adverse
financial impacts.20 Additionally, as
with other credit cards and installment
loans, applying for and opening a
medical payment product account may
have negative implications for
consumers’ credit scores and access to
credit through factors like hard credit
checks, increased credit line utilization,
decreased average account age, or
eventual account closure.
c. Patient Experience and Downstream
Consequences
The agencies seek additional
information regarding the patient
experience with medical payment
products, including potential issues
with the marketing, application, and
enrollment processes as well as the
impacts these products have on
patients’ financial, physical, and mental
health.
In general, coupling the sale of
financial products to consumers with
the provision of medical care may create
consumer harm. In some cases, patients
who trust their health care providers
and their staff to give expert health care
advice may place similar trust in the
financing products offered by those
providers and their staff. This may
influence patients to sign up for
products that are not in their best
financial interest, especially when
seeking or receiving medical care, a time
when patients may be particularly
vulnerable.21 Some patients have told
the CFPB that they felt pressured to
make quick financial decisions in a
health care provider’s office while
under physical and emotional stress.
Additionally, health care provider staff
may not have the information, or the
expertise needed to answer patients’
questions about the terms and
conditions of the financial products
they offer. Staff may fail to inform
patients of alternative payment options,
including financial assistance.22 Staff
gov/f/documents/cfpb_medical-credit-cards-andfinancing-plans_2023-05.pdf.
20 CFPB, ‘‘Medical Credit Cards and Financing
Plans,’’ available at https://files.consumerfinance.
gov/f/documents/cfpb_medical-credit-cards-andfinancing-plans_2023-05.pdf.
21 Jim Hawkins, ‘‘Doctors as Bankers: Evidence
from Fertility Markets’’ Tulane Law Review (July
2010), available at https://www.tulanelawreview.
org/pub/volume84/issue4/doctors-as-bankers.
22 CFPB, ‘‘Complaint Bulletin,’’ available at
https://files.consumerfinance.gov/f/documents/
cfpb_medical-credit-cards-and-financing-plans_
2023-05.pdf; and CFPB, ‘‘Medical Credit Cards and
Financing Plans’’ at 8, available at https://
files.consumerfinance.gov/f/documents/
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might also fail to provide information
about the potential insurance coverage
implications of using a medical
payment product, or may encourage use
of medical payment products instead of
assisting the patient with filing an
insurance claim. The CFPB has also
received reports of some patients—
particularly patients with limited
English proficiency—allegedly being
signed up for medical payment products
without their knowledge or consent.
Given these risks, the agencies seek
additional information on medical
payment product marketing,
application, and enrollment processes,
including how and when patients are
offered these products, what
information patients are given about
these products, and how patients make
decisions about utilizing these products.
The agencies are interested in how
promotion of these products may
interfere with patients’ health insurance
coverage, undermine the provision of
financial assistance, and reduce the
availability and utilization of traditional
provider-offered payment plans. The
agencies are also interested in providers’
and financial companies’ disclosure
practices and the information that is
shared with patients about these
products. Additionally, the agencies are
interested in patients’ experiences with
medical payment products, including
their overall satisfaction or
dissatisfaction with these products as
well as information on how these
products were marketed to them,
whether they understood the terms and
conditions of the products, whether
they felt pressured into signing up, or
whether they were signed up for a
medical payment product without their
knowledge or consent.
Secondly, the agencies seek to
understand the impacts of these
products on patients’ financial health,
including through high interest rates
and fees, credit scoring or other scoring
products, credit reporting practices, and
debt collection practices. Many medical
payment products charge interest and
fees, including deferred interest, which
may significantly increase the amount
patients owe for their care.23 Patients
cfpb_medical-credit-cards-and-financing-plans_
2023-05.pdf.
23 Many medical payment products offer complex
deferred interest promotions, which consumers
often do not understand fully, and which can
significantly increase the cost of their care if they
do not pay in full during the promotional period.
About 1 in 5 consumers who use a deferred interest
product to pay for care will ultimately pay interest.
Borrowers with subprime credit scores are more
likely to pay interest, perhaps in part because they
are generally given less time to pay in full before
being charged interest. CFPB, ‘‘Medical Credit
Cards and Financing Plans’’ at 13, available at
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with lower credit scores may be offered
less favorable interest rates and terms,
including shorter billing cycles (less
than 30 days) that may increase the
odds that these patients will incur late
fees. Patients with lower credit scores
may also be offered shorter deferred
interest periods, increasing the
likelihood that these patients will incur
interest. Additionally, some financial
services companies offer health care
scoring products designed for health
care providers, such as financial
clearance scores and propensity-to-pay
scores, which can be used to restrict
access to care and promote payment
products rather than financial assistance
for those eligible.24 In some cases,
patients with low financial clearance
scores may be denied care unless they
can pay up front, increasing the
pressure on these patients to sign up for
medical payment products. In other
cases, patients whose predicted income
and household size would qualify them
for financial assistance, but who have a
higher predicted propensity to pay, are
channeled to medical payment products
instead of being offered financial
assistance.
Since medical credit cards have
unique features such as shorter deferred
interest periods and shorter billing
cycles compared to other lines of credit,
those with medical payment products
may be at heightened risk of being sent
to collections and reported to credit
reporting companies. When past-due
medical payment product balances are
reported to credit reporting companies,
this can lower patients’ credit scores,
even though medical debts generally are
less predictive of creditworthiness than
other debts.25 Lower credit scores can
make it harder for consumers to get a
loan, rent or buy a home, or find a job.26
Medical credit card or loan collections
may be reported to consumer reporting
agencies even when other medical bills
https://files.consumerfinance.gov/f/documents/
cfpb_medical-credit-cards-and-financing-plans_
2023-05.pdf.
24 See, e.g., Experian, ‘‘Patient Financial
Clearance,’’ https://www.experian.com/healthcare/
products/payment-tools/patient-collections-andfinancial-clearance; TransUnion, ‘‘TransUnion
Healthcare and VisitPay: A Patient Financial
Engagement Solution,’’ https://www.transunion.
com/resources/transunion/doc/healthcare/
transunion-healthcare-and-visitpay-a-patientfinancial-engagement-solution-aite-brief.pdf.
25 Kenneth P. Brevoort & Michelle Kambara,
‘‘Data point: Medical debt and credit scores’’ (May
2014), available at https://files.consumerfinance.
gov/f/201405_cfpb_report_data-point_medical-debtcredit-scores.pdf.
26 Alyssa Brown & Eric Wilson, ‘‘Data Point:
Consumer Credit and the Removal of Medical
Collections from Credit Reports’’ (Apr. 2023),
available at https://files.consumerfinance.gov/f/
documents/cfpb_consumer-credit-removal-medicalcollections-from-credit-reports_2023-04.pdf.
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could not appear on consumer reports,
such as because of the restrictions on
extraordinary collections actions placed
by Congress 27 or the national credit
reporting companies’ voluntary decision
not to report medical collections that are
paid, under $500, or less than a year
old.28 Moreover, the incidence of
referral to collections may be increased
if patients paying for care with medical
payment products are charged higher
prices, if the costs of patients’ medical
services are inflated by interest and fees,
or if paying via a medical payment
product leads to the failure to file a
timely and accurate insurance claim.
Patients may also be sued for alleged
medical payment product debts, which
can lead to financial consequences like
wage garnishment, bank attachments,
seizure of personal property, and liens
against patients’ homes. Many people
file bankruptcy in order to resolve large
outstanding medical bills; 29 it is
possible that medical payment products
contribute disproportionately to
bankruptcy filings by people facing
significant health challenges. Given
these potential financial health impacts,
the agencies are interested in
information on the interest charges,
default rates, credit reporting practices,
and collections practices associated
with medical payment products.
Thirdly, the agencies seek to
understand the impacts of these
products on patients’ physical and
mental health. Studies show that people
often delay or avoid medical care out of
concern about high costs or medical
debt or because they believe they will be
turned away due to their unpaid
medical bills.30 Fifteen percent of adults
27 Internal Revenue Service, ‘‘Billing and
Collections—Section 501(r)(6),’’ available at https://
www.irs.gov/charities-non-profits/billing-andcollections-section-501r6.
28 The three national credit reporting companies
forbid credit reporting of medical debt collections
items with original balances under $500 or which
are less than one year old, but these restrictions do
not apply to debt collections items reported with
classification codes indicating that they are ‘‘credit
card’’ or ‘‘installment loan’’ collections. See CFPB,
‘‘Have medical debt? Anything already paid or
under $500 should no longer be on your credit
report,’’ available at https://www.consumerfinance.
gov/about-us/blog/medical-debt-anything-alreadypaid-or-under-500-should-no-longer-be-on-yourcredit-report/.
29 David Himmelstein et al., ‘‘Medical
Bankruptcy: Still Common Despite the Affordable
Care Act,’’ American Journal of Public Health (Mar.
2019), https://ajph.aphapublications.org/doi/abs/
10.2105/AJPH.2018.304901.
30 See, e.g., Alyce Adams et al., ‘‘The Impact of
Financial Assistance Programs on Health Care
Utilization: Evidence from Kaiser Permanente,’’
American Economic Review: Insights, (Sept. 2022),
available at https://www.aeaweb.org/
articles?id=10.1257/aeri.20210515; Audrey Kearney
et al., ‘‘Americans’ Challenges with Health Care
Costs,’’ KFF (July 14, 2021), https://www.kff.org/
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with medical debt say they have been
denied health care because of their
unpaid medical bills.31 To the extent
that medical payment products
contribute to higher health care costs
and medical debts, these products may
increase health care denial, delay, and
avoidance, contributing to worse health
outcomes and higher eventual health
care costs due to forgone preventive and
early intervention services. Higher costs
and increased debt can also increase
stress on consumers, contributing to
negative physical and mental health
outcomes.32 Given the risks to patients’
health, the agencies seek comment on
medical payment products’ contribution
to care avoidance and their impact on
consumers’ physical and mental health.
The agencies are also interested in
understanding if and when health care
providers may deny or alter patients’
care if they refuse to sign up for or fall
behind on payments for a medical
payment product.
The agencies welcome comment on
the above and on medical payment
products’ broader impacts on
consumers’ financial wellness, health
care access, and physical and mental
health.
d. Risk of Exacerbating Billing and
Financial Assistance Issues
Medical credit cards and loans may
exacerbate existing issues in health care
billing and collections by making it
more difficult to resolve billing
inaccuracies and allowing certain
patients to be upcharged for services.
For example, uninsured and self-pay
patients,33 as well as patients receiving
care from out-of-network providers,34
are often charged higher prices than
those negotiated by health insurance
issuers and group health plans for the
same care furnished by an in-network
provider 35 (provided these patients are
not determined eligible for financial
assistance by a tax-exempt hospital).36
The availability of medical payment
products may enable health care
providers to charge higher prices to
uninsured, self-pay, or out-of-network
patients who would otherwise be unable
to pay such prices and might instead
seek more affordable care. In some
cases, health care providers might offer
medical payment products to uninsured
patients instead of helping these
patients determine their eligibility for
health insurance coverage through
Medicaid, Medicare, or subsidized
Marketplace plans. Out-of-network
health care providers might also offer
medical payment products to patients
instead of referring those patients to an
in-network provider.
Promotion of medical payment
products may also undermine hospitals’
provision of financial assistance.
Section 501(r) of the Internal Revenue
Code, which resulted from section
9007(a) of the Affordable Care Act,
requires tax-exempt hospitals to
establish a financial assistance policy
for low-income patients, and many nontax-exempt hospitals also voluntarily
offer financial assistance to patients
who meet criteria established by these
hospitals. However, studies show that,
in practice, many patients who are
likely eligible for financial assistance
under their hospitals’ policies do not
receive free or discounted care.37 In
some instances, patients eligible for
health-costs/issue-brief/americans-challenges-withhealth-care-costs/.
31 Lunna Lopes et al., ‘‘Health Care Debt in the
U.S.: The Broad Consequences Of Medical And
Dental Bills,’’ KFF (June 16, 2022), available at
https://www.kff.org/report-section/kff-health-caredebt-survey-main-findings/.
32 CFPB, ‘‘Medical debt burden in the United
States,’’ at 32–35, available at https://
www.consumerfinance.gov/data-research/researchreports/medical-debt-burden-in-the-united-states/.
33 ‘‘Self-pay patients’’ here refers to the definition
provided in 45 CFR 149.610(a)(2)(xiii)(B), which
defines a self-pay individual as ‘‘an individual who
has benefits for such item or service under a group
health plan, or individual or group health insurance
coverage offered by a health insurance issuer, or a
health benefits plan under chapter 89 of title 5,
United States Code but who does not seek to have
a claim for such item or service submitted to such
plan or coverage.’’
34 A provider network is a list of the doctors,
other health care providers, and hospitals that a
plan contracts with to provide medical care to its
members. These providers are called ‘‘network
providers’’ or ‘‘in-network providers.’’ A provider
that isn’t contracted with the plan is called an ‘‘outof-network provider.’’ CMS, ‘‘What You Should
Know About Provider Networks,’’ available at
https://marketplace.cms.gov/outreach-and-
education/what-you-should-know-providernetworks.pdf.
35 See Gerard Anderson, ‘‘From ‘Soak the Rich’
To ‘Soak the Poor’: Recent Trends In Hospital
Pricing’’ (June 2007), Health Affairs, available at
https://www.healthaffairs.org/doi/full/10.1377/
hlthaff.26.3.780. See also Ge Bai, & Gerard F.
Anderson, ‘‘US Hospitals Are Still Using
Chargemaster Markups to Maximize Revenues’’
(Sept. 2016), Health Affairs, available at https://
www.healthaffairs.org/doi/pdf/10.1377/
hlthaff.2016.0093.
36 In the case of individuals who receive care at
a tax-exempt hospital who are determined eligible
for financial assistance under the hospital’s
financial assistance policy, section 501(r)(5)
prohibits tax-exempt hospitals from using gross
charges and requires them to limit amounts charged
for emergency or other medically necessary care to
not more than the amounts generally billed to
individuals who have insurance covering such care.
Internal Revenue Service, ‘‘Limitation on Charges—
Section 501(r)(5),’’ available at https://www.irs.gov/
charities-non-profits/limitation-on-charges-section501r5.
37 See, e.g., Octavian Carare, et al., ‘‘Exploring the
connection between financial assistance for medical
care and medical collections’’ (Aug. 2022), CFPB,
https://www.consumerfinance.gov/about-us/blog/
exploring-connection-between-financial-assistancefor-medical-care-and-medical-collections/.
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financial assistance are instead being
steered to medical payment products,
which are more profitable for
providers.38 One way in which these
products may be advantageous to health
care providers, particularly tax-exempt
hospitals, is by using these products in
support of their non-profit status. For
example, one medical installment loan
company advertises to hospitals that its
interest-charging loan product is a
‘‘community benefit that makes care
affordable’’ and ‘‘supports your
organization’s compliance with IRS
regulation 501(r).’’ 39
Finally, utilizing medical payment
products may undermine patients’
medical billing rights, including their
No Surprises Act rights to dispute
surprise bills and their Affordable Care
Act rights to insurance appeals and
reviews. Consumers report that errors in
medical bills are common; among those
with medical debt, more than four in ten
say they received an inaccurate bill, and
nearly seven in ten say they were asked
to pay a bill that should have been
covered by insurance.40 However, some
consumers report being told that they
had no right to dispute inaccurate bills
placed on a medical payment product,
even if they discovered after enrolling in
the payment product that they were
billed in error or that their bill should
have been covered by insurance—or
even if they never received the service
at all.
e. Potential Distortion of Health Care
Provider Incentives
Several factors may incentivize health
care providers to promote medical
payment products even when these
products are not in patients’ best
38 See, e.g., Washington State Office of the
Attorney General, ‘‘AG Ferguson files lawsuit
against Swedish, other Providence-affiliated
hospitals, for failing to make charity care accessible
to thousands of Washingtonians,’’ available at
https://www.atg.wa.gov/news/news-releases/agferguson-files-lawsuit-against-swedish-otherprovidence-affiliated-hospitals; State of California
Department of Justice, ‘‘Attorney General Bonta
Issues Consumer Alert Following Reports of
Hospitals Failing to Inform Patients of Options for
Free or Reduced-Price Medical Care,’’ available at
https://oag.ca.gov/news/press-releases/attorneygeneral-bonta-issues-consumer-alert-followingreports-hospitals-failing; and The Office of
Minnesota Attorney General Keith Ellison,
‘‘Attorney General Ellison secures relief from unfair
bill collection for Hutchison Hospital patients,’’
available at https://www.ag.state.mn.us/Office/
Communications/2020/10/29_
HutchinsonHealth.asp.
39 ClearBalance HealthCare, ‘‘Experience to Solve
Patient Pay,’’ https://www.bokfinancial.com/-/
media/Files/PDF/Commercial/Healthcare/CBHC_
Overview.ashx.
40 KFF, ‘‘Healthcare Debt in the US: The Broad
Consequences of Medical and Dental Bills,’’
available at https://www.kff.org/report-section/kffhealth-care-debt-survey-main-findings/.
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financial interest. First, changes to
private health care coverage may
incentivize providers to promote
medical payment products. For
example, providers may turn to medical
payment products in response to
growing deductibles, copayments, and
coinsurance charged by private group
health plans and health insurance
issuers, which many patients cannot
afford to pay in cash up front.41 Slow
insurance reimbursement and frequent
insurance denials, downcoding,42 or
appeals may also make medical
payment products an attractive
alternative to insurance payment.
Additionally, out-of-network providers
may promote medical payment products
to patients because group health plans
and health insurance issuers may not
directly reimburse out-of-network
providers; having patients pay out-ofnetwork providers up front using a
medical payment product effectively
transfers the risk of non-reimbursement
or slow reimbursement from the out-ofnetwork provider to the patient.
Secondly, health care providers may
be incentivized to promote medical
credit cards and loans because these
products result in faster payment, lower
administrative costs, and more revenue
overall for the health care provider
compared to alternatives like financial
assistance or provider-administered
payment plans. In their promotional
materials, financial companies offering
medical payment products emphasize
their products’ potential to deliver
payments within a few days, minimize
financial risk, and reduce the
administrative burden associated with
collecting debts or negotiating with
group health plans or health insurance
issuers. Traditionally, when a patient
cannot pay their bill upfront, the health
41 Fifty percent of U.S. adults say they would be
unable to pay a $500 medical bill without going
into debt; the average deductible for single person
health coverage was $2,004 in 2021, up from $1,273
in 2013. KFF, ‘‘Average Annual Deductible per
Enrolled Employee in Employer-Based Health
Insurance for Single and Family Coverage,’’
available at https://www.kff.org/other/stateindicator/average-annual-deductible-per-enrolledemployee-in-employer-based-health-insurance-forsingle-and-family-coverage/; and KFF, ‘‘Health Care
Debt In The U.S.: The Broad Consequences Of
Medical And Dental Bills,’’ available at https://
www.kff.org/report-section/kff-health-care-debtsurvey-main-findings/. Regarding the marketing of
medical payment products to providers to address
these rising health care costs, see Allison J.
Zimmon, ‘‘Rx for Costly Credit: Deferred Interest
Medical Credit Cards Do More Harm than Good,’’
35 B.C.J. L & Soc. Just. 319 (2015).
42 Downcoding here refers to the practice of a
plan or issuer reviewing a claim submitted by a
health care provider or facility and altering the
service code or modifier to another service code or
modifier that the plan or issuer determines to be
more appropriate, resulting in a lower
reimbursement.
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care provider would take on the costs of
administering a payment plan, mailing
statements, processing accounts
receivable, handling disputes, and
engaging debt collectors. When a patient
instead pays for medical services out-ofpocket or via credit card or installment
loan, the health care provider avoids
many of these costs and generally
receives payment immediately or within
days. If the patient does not use their
health insurance coverage, the health
care provider may also be able to charge
them higher rates, such as gross charges
or a cash rate rather than a charge
negotiated between the provider and
third-party payers.43 Additionally, easy
access to credit may encourage patients
to consume more health care from
providers who offer medical credit
products, resulting in more overall
revenue for these providers. Indeed,
some financial companies explicitly
advertise that their products will help
providers ‘‘upsell’’ patients on more
expensive and potentially unnecessary
care.44
Certain financial companies offer
additional incentives to health care
providers to promote medical payment
products. In some cases, this may
include a share of the revenue from
these products. For example, one
medical installment loan company
advertises that providers who offer the
product will ‘‘share in interest revenue
collected.’’ 45 Other medical payment
product companies offer lower
processing or management fees to
providers who enroll more consumers—
giving those providers an incentive to
enroll as many patients as possible.46
Where financial companies incentivize
the referral or recommendation of
business reimbursable under Federal
health care programs, it is possible that
these practices may implicate Federal
laws or regulations including the
Federal anti-kickback statute, 42 U.S.C.
1320a–7b(b) and its implementing
‘‘gross charges,’’ ‘‘cash rates,’’ and
‘‘charges negotiated between the provider and thirdparty payers’’ refers to the definitions of those terms
provided in section 2718(e) of the Public Health
Service Act (Hospital Price Transparency).
44 For example, ‘‘Cherry can be used for
consumers that want a product/service but don’t
want to pay the full amount upfront today. This
gives you, the business owner, the power to upsell
and increase your sales.’’ CFPB, ‘‘Medical Credit
Cards and Financing Plans,’’ at 9 n.29, available at
https://files.consumerfinance.gov/f/documents/
cfpb_medical-credit-cards-and-financing-plans_
2023-05.pdf.
45 Choice Payment Services, ‘‘ChoicePays+,’’
available at https://choicepays.com/choicepays/.
46 CFPB, ‘‘Medical Credit Cards and Financing
Plans,’’ at 10, available at https://
files.consumerfinance.gov/f/documents/cfpb_
medical-credit-cards-and-financing-plans_202305.pdf.
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regulations, which provides for criminal
penalties for whoever knowingly and
willfully offers, pays, solicits, or
receives anything of value to induce or
reward the referral, recommendation, or
arranging for the referral or
recommendation of business
reimbursable under Federal health care
programs.
Some medical payment product
companies advertise that their products
allow health care providers, debt
collectors, and credit reporting
companies to attempt to avoid
restrictions on extraordinary collection
actions and on credit reporting of
alleged bills. Under IRC 501(r) and the
regulations thereunder, tax-exempt
hospital organizations must make
reasonable efforts to determine whether
an individual is eligible for assistance
under the hospital organization’s
financial assistance plan before
engaging in extraordinary collection
actions against that individual, such as
credit reporting, third-party collections,
and debt sale (except under certain
special conditions).47 However, the
agencies believe financial companies
may be engaging in credit reporting,
debt sales, and other extraordinary
collection actions on debts arising from
an individual’s care at a tax-exempt
hospital without first making reasonable
efforts to determine that individual’s
financial assistance eligibility.
Additionally, the three national credit
reporting companies voluntarily refrain
from reporting medical collections items
that are less than $500 or under one year
old to the credit reporting companies.
However, these restrictions do not
extend to debts reported with
classification codes indicating that they
are ‘‘credit card’’ or ‘‘installment loan’’
collections, even if the credit card or
installment loan was used to pay
medical bills.
f. Potential for Consumer Harm
The growing prevalence of medical
payment products creates significant
potential for consumer harm. Patients
are often offered and enroll in medical
payment products at a health care
provider’s location, meaning that health
care providers and their staff are
frequently the people who are directly
marketing these products to their
patients. People trust health care
providers and their staff to provide
sound and effective treatment options.
When their health care providers and
their staff also provide information or
47 Internal Revenue Service, ‘‘Billing and
Collections—Section 501(r)(6),’’ available at https://
www.irs.gov/charities-non-profits/billing-andcollections-section-501r6.
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advice on payment options, patients
might assume the health care provider
or staff member is being transparent
about the full set of options and not
being driven by their own financial
incentives.48 Patients might also extend
their trust in their health care providers
to a referred financial services company.
Additionally, financial decisions by
patients in health care settings are
compromised by the stress inherent in
managing an illness or injury.
Incomplete, incorrect, or misleading
information about the cost of their
treatment, financing options offered,
and the availability of low- or no-cost
financing alternatives can also
compromise financial decisions made at
the point of care. As a result, patients
may feel pressured or coerced into
signing up for medical payment
products that cause downstream
financial or health problems, including
through debt collection or credit
reporting of medical bills that might
have inaccurate information. Patients
might also avoid or delay care if they are
unaware of the availability of financial
assistance and other affordable
financing options or are concerned
about their ability to pay their health
care bills.
II. Request for Information
In this RFI, the CFPB, HHS, and
Treasury seek data and comments on
the scope, prevalence, terms, and
impacts of medical payment products,
including medical credit cards and
loans. The agencies are also interested
in the downstream consequences of
these products and in potential actions
to address any harms caused by these
products.
To better understand the medical
payment product market, the agencies
seek data and comments on the interest
and fee costs of these products
(including both interest rates and total
accrued interest), the application and
approval process for these products, and
trends of medical payment product use.
The agencies also seek information as to
the total outstanding consumer debt on
medical credit cards, medical
installment loans, and other medical
payment products. Data regarding the
characteristics and demographics of
medical payment products users is also
welcome, such as whether users are
insured or uninsured, whether certain
populations or income groups are more
likely to use these products, and
whether use is concentrated in certain
48 Office of Inspector General (OIG) Advisory
Opinion 02–12 at 11 (‘‘[H]ealth care providers are
in a position of trust and may exert undue influence
when recommending health care related items or
services, particularly to their own patients.’’).
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geographies or for patients seeking
particular kinds of care. The agencies
also seek to better understand the level
of concentration in the medical payment
product market, the ownership of
medical payment product companies
(including ownership by health care
providers, health insurance issuers, or
private equity firms), and the
implications of these factors for
competition and consumer choice. To
that end, the agencies seek specific
information on the types of financial
entities that offer medical credit cards
and loans.
The agencies seek to understand to
what extent medical credit cards and
loans may hamper financial assistance
and access to benefits, and any options
for regulators to reduce such barriers.
The agencies also seek to understand
the extent to which health care
providers, including tax-exempt
hospitals, screen patients for public or
private insurance eligibility, financial
assistance eligibility, or other benefits
before offering them medical credit
cards or loans. The agencies
additionally seek comment on how
frequently patients discover billing
errors after signing up for a medical
payment product, the main sources of
billing errors, and how paying medical
bills via a medical payment product
affects patients’ ability to dispute those
bills. The agencies seek comment on
how to ensure that patients retain their
rights to challenge inaccurate bills
regardless of payment method.
The agencies also seek comment on
incentives offered by financial
companies to health care providers for
their promotion of medical payment
products, including revenue-sharing
and other incentives. The agencies are
also interested in any training or other
support that medical payment product
companies offer to providers. The
agencies are interested in whether such
incentives or support might implicate
the Federal anti-kickback statute or
other laws or regulations. The agencies
also seek information regarding how
plans and issuers’ billing and
reimbursement practices affect health
care providers’ decisions to offer and
promote medical payment products.
The agencies seek additional
information on the prices or versions of
standard charges offered to patients who
use these products, and whether these
charges are adequately disclosed in
accordance with hospital price
transparency requirements and No
Surprises Act good faith estimate
requirements. The agencies seek
information on whether medical
payment product companies are
operating outside of protections against
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credit reporting of medical collections
items and against extraordinary
collection actions by tax-exempt
hospitals. Finally, the agencies seek to
better understand how notice and
consent requirements for poststabilization and non-emergency health
care items or services under the No
Surprises Act intersect with providers’
promotion of medical credit cards and
loans to out-of-network patients.
In general, the agencies welcome any
information that allows us to better
understand the impact of medical
payment products on patients’ physical,
mental, and financial health. The
agencies also welcome suggestions of
actions Federal agencies could take to
address harms caused by medical
payment products and related issues
connected to medical billing and
collections or medical debt more
generally. The agencies welcome
comment on these areas, including
comments in response to any of the
following specific questions:
a. General Questions
Market-Level Inquiries
1. What are the benefits, costs, and
risks of medical payment products for
consumers, health care providers, and
companies offering these products?
2. What are the terms of medical
payment products, including interest
rates and fees?
3. How much debt do consumers
carry on medical credit cards and loans
in total, and what is the average
individual debt level?
4. How concentrated is the medical
payment product market, and what role
do private equity firms play in this
market?
5. Are there specific populations (e.g.,
race, socioeconomic status, gender
identity, sexual orientation, age,
language, etc.) or geographic regions
that experience disproportionately
higher utilization of medical payment
products?
6. What are the health equity impacts
of medical payment products and
related billing and collection policies
and practices?
i. Do medical payment products affect
members of specific underserved
communities differently, including
members of Tribal communities and
geographically isolated communities?
ii. Do certain products or policies
present opportunities to better serve
members of underserved communities?
7. Patients can pay for care in many
different ways, such as by medical
credit card or loan, general purpose
credit card, insurance, or through a
zero-interest payment plan. What are
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the costs and benefits for health care
providers of offering each of these
methods? Are there situations where
one method of payment is more
advantageous than another?
8. What incentives do financial
services companies offer health care
providers, including revenue-sharing or
other financial or non-financial
incentives?
9. How do medical payment products
and health insurance coverage interact?
Do group health plan or health
insurance issuer practices contribute to
uptake of medical payment products by
patients and providers?
i. How many days do providers
typically have to wait to be paid by
plans or issuers versus by medical
payment product companies or general
purpose credit card companies? What
factors, such as administrative
requirements or clinical reviews,
contribute to any differential resolution
timelines?
ii. Does a patient’s use of a medical
payment product exempt them from
certain consumer protections, provider
requirements, or group health plan or
health insurance issuer requirements?
Are different types of health coverage
treated differently?
10. Does health care provider
organizational structure, including
ownership by private equity, affect
providers’ decisions to offer and
promote these products?
11. What are some best practices for
health care providers who offer medical
payment products in avoiding adverse
financial and health impacts for
patients?
i. Are there specific tactics or
practices that are well tailored and
adapted for use by health care
professionals in and serving
underserved communities, including
Tribal communities and geographically
isolated communities?
ii. What actions should the agencies
take to develop and encourage uptake of
these established best practices?
iii. Are there examples of actions or
best practices at the State or local level
to which the Federal government should
look?
12. To what extent are patients using
medical payment products to pay bills
that are incorrect, or that could be
covered or defrayed by lower-cost
alternatives?
i. What billing errors may patients
commonly encounter?
ii. How does using a medical payment
product affect patients’ rights to dispute
incorrect bills?
iii. Are certain groups of patients,
such as members of specific
underserved communities, more likely
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to experience medical billing errors or
issues resolving disputes over bills paid
using medical payment products?
13. What actions should agencies
consider taking to better understand the
effects of medical payment products on
consumers and the health care industry,
educate consumers and providers about
the risks of these products, and collect
complaints?
i. What are some sources of data on
medical payment products? What
additional data are needed to
understand the impact of medical
payment products on patients and the
health care industry?
ii. What data collection, data analysis,
and research actions should agencies
take?
iii. Are there different or other actions
that agencies should consider for
underserved communities, including
Tribal communities and geographically
isolated communities?
iv. What types of consumer
complaints have States and localities
received?
14. Where medical payment products
are causing harm, what are some
specific levers for regulatory oversight
and enforcement by Federal agencies
that regulate financial products or
health care providers?
i. Are there specific areas for Federal
enforcement actions?
ii. Are there examples of regulation or
enforcement at the State or local level to
which the Federal government should
look?
iii. What complementary legislative
actions are worth exploring? Where may
additional statutory authority be
needed?
Individual Inquiries
1. Have medical payment products
ever been marketed to you, including by
your health care provider? If so, please
describe your experience and how the
products were marketed to you. Were
other options, such as financial
assistance, marketed or explained at the
same time?
2. If you have used a medical credit
card or loan to pay for your care, what
was your experience with the product?
a. What benefits or harms did you
experience?
b. Was your health affected by your
use of a medical credit card or loan?
c. How much did interest and fee
charges add to the cost of your care?
d. How did using a medical credit
card or loan affect your credit score and
your ability to access credit?
e. Would you use a medical credit
card or loan to cover medical expenses
again? Why or why not?
3. Have you ever tried to dispute a
medical bill you paid using a medical
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credit card or loan? If so, please describe
your experience.
4. Have you ever had an overdue bill
on a medical credit card or loan sent to
collections? How quickly was the bill
sent to collections? Did your experience
with collections affect your credit score,
your access to medical care, or your
health?
5. Have you ever felt pressured to pay
for care using a medical payment
product or general purpose credit card
when you believed that was not in your
best interest? If so, please describe your
experience.
6. Have you ever used or been
pressured to use a medical credit card
or loan to pay a bill that you believe
should have been covered by your
health insurance? If so, please describe
your experience.
7. Have you ever used or been
pressured to use a medical credit card
or loan to pay a bill that you believe
should have been covered by your
health care provider’s financial
assistance policy? If so, please describe
your experience.
8. Has your knowledge about the
availability of medical credit cards or
loans led you to believe that health
insurance might not be necessary, or not
acquire health insurance?
b. CFPB-Specific Questions
The CFPB implements and enforces
Federal consumer financial law,
including the Fair Credit Reporting Act,
the Fair Debt Collection Practices Act,
the Equal Credit Opportunity Act, and
the Consumer Financial Protection Act’s
prohibition on unfair, deceptive, or
abusive acts or practices in connection
with the offering or provision of
consumer financial products or services.
As such, the CFPB seeks to better
understand consumer financial issues
raised by medical payment products,
including the credit practices of medical
payment product companies as well as
the debt collection and credit reporting
practices utilized by both health care
providers and medical payment product
companies. The CFPB welcomes
comment on these areas, including
comments in response to any of the
following specific questions:
1. What actions should the CFPB
consider taking to address problematic
practices related to medical credit cards
or loans, including debt collection and
credit reporting practices?
2. How do firms offering medical
financial products typically market to
providers?
3. How do creditors and their
affiliates underwrite loans to patients?
What specific factors (e.g., age, type of
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medical procedure, credit score, etc.) are
considered in underwriting?
4. Do consumers understand the risks
of paying medical bills via a medical
credit card, installment loan, or other
commercial payment product, including
lowered ability to negotiate their bill
with their provider?
5. To what extent are alleged debts
placed on medical credit cards and
loans sent to debt collectors? How do
medical payment product companies’
debt collection practices differ from
those of health care providers, and are
any issuer or provider debt collection
practices posing risks to consumers?
6. How can the CFPB use its
authorities to ensure people with
medical bills in collections, including
medical payment product debt, are
screened for eligibility for financial
assistance and other benefits?
7. How are health care providers and
financial companies using credit or
‘‘propensity to pay’’ scores to determine
patients’ eligibility for financial
assistance or medical payment
products? What are the implications for
compliance with the Fair Credit
Reporting Act or other CFPB
authorities?
8. When hospitals write off a patient’s
debt as uncollectible or ‘‘bad debt’’ and
cease attempts to collect, do they notify
patients that collection attempts will
cease? Would patients benefit from such
notifications, and would such
notifications reduce hospital revenue?
c. HHS-Specific Questions
The Department of Health and Human
Services shares jurisdiction with the
Departments of Treasury and Labor over
key health care consumer protections
related to health coverage, including
those enacted by the Affordable Care
Act and the No Surprises Act. HHS is
also responsible for regulation and
oversight of Medicare, Medicaid and the
Children’s Health Insurance Program,
and the Affordable Care Act
Marketplaces, and shares responsibility
for enforcement of Federal health care
fraud and abuse laws, including the
Federal anti-kickback statute. HHS
works to enhance the health and wellbeing of all Americans by providing for
effective health and human services and
by understanding and addressing the
barriers patients experience in accessing
health care. HHS also includes the
Indian Health Service (IHS), which
administers and oversees health and
human services programs for American
Indians and Alaska Natives.
HHS seeks to better understand how
medical payment products affect access
to care and intersect with health care
coverage, including Medicare,
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17:29 Jul 11, 2023
Jkt 259001
Medicaid, and the Children’s Health
Insurance Program, group and
individual health insurance coverage
(including Marketplace plans and
employer-sponsored coverage), and noncomprehensive coverage products. HHS
also seeks specific comments from all
Indian Health Care Providers, including
Indian Tribal Governments, Tribal
Organizations, and Urban Indian
Organizations about medical credit card
and loans and the role they play in the
Indian health care provider billing
environment. HHS additionally seeks to
understand how medical payment
products interact with Affordable Care
Act and No Surprises Act protections
and the prohibitions set forth in the
Federal anti-kickback statute.49 Relevant
Affordable Care Act protections include
the right to seek an internal appeal and
an external review of an insurance claim
denial. Relevant No Surprises Act
protections include surprise billing
protections and good faith estimate
rights for uninsured and self-pay
patients (including the right to use a
Federal dispute process to challenge a
bill that is $400 or more higher than a
patient’s good faith estimate). Finally,
HHS seeks to understand whether any
financial institution or health care
provider practices in connection with
medical payment products may violate
health care fraud and abuse laws,
including the Federal anti-kickback
statute.
HHS welcomes comment on the
intersection of medical payment
products with Federal health programs,
Federal laws against health care fraud
and abuse, and Affordable Care Act and
No Surprises Act protections, including
comments in response to any of the
following specific questions:
1. What actions should HHS consider
taking to address problematic practices
related to medical credit cards or loans,
particularly as they relate to patients
eligible for or enrolled in Medicare,
Medicaid, or the Children’s Health
Insurance Program, or patients enrolled
in Affordable Care Act Marketplace
plans?
2. What types of health insurance
(Medicare, Medicaid, private insurance,
etc.) are particularly associated with the
likelihood that an individual is offered
or makes use of medical credit cards
49 42 U.S.C. 1320a–7b(b), the Federal antikickback statute, provides for criminal penalties for
whoever knowingly and willfully offers, pays,
solicits, or receives anything of value to induce or
reward the referral, recommendation, or arranging
for the referral or recommendation of business
reimbursable under any of the Federal health care
programs, including Medicare and Medicaid. To
assess the application of the Federal anti-kickback
statute requires an examination of all of the facts
and circumstances of an arrangement.
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44289
and loans, and how does the type of
health coverage affect relevant provider
billing practices?
3. Are there particular health care
provider types that are most associated
with being offered or offering medical
payment products, and are these
providers receiving directed payments
or other incentives through State
Medicaid programs?
4. Has the No Surprises Act and its
surprise billing protections affected the
prevalence and use of medical credit
cards and loans, and if so, how?
i. Has the notice and consent process
been used to promote medical cards and
loans to patients seeking health care
items or services from out-of-network
providers/facilities, and if so, how? For
example, in instances where the No
Surprises Act permits providers and
facilities to seek notice and obtain
consent from an insured patient to
waive their balance billing and costsharing protections under the No
Surprises Act, are providers and
facilities impermissibly attaching or
incorporating medical card or loan
documents or information to the notice
and consent forms, or giving them to the
patient at the same time as the notice
and consent forms?
ii. What steps are health care
providers and facilities putting into
place to ensure that bills paid through
medical payment products do not
violate surprise billing requirements
and that patients who use medical
payment products retain their No
Surprises Act rights?
5. How does or might the use of
medical credit cards and loans affect the
amount and timing of cost sharing a
patient covered through Medicare,
Medicaid, and/or the Affordable Care
Act Marketplace owes for a covered
service?
i. Are there any observable differences
in cost sharing among patients
belonging to underserved communities,
such as Tribal communities or
geographically isolated communities?
6. Hospital Price Transparency: What
prices or versions of standard charges
(e.g., cash prices) are offered to patients
who sign up for a medical credit card
or installment loan? What steps are
taken by health care providers to ensure
these charges are adequately disclosed
in accordance with hospital price
transparency requirements? Do these
charges reflect and specifically identify
facility fees?
7. How might HHS improve patient
understanding of options for covering
the cost of medical treatments? At what
points in the care process could patients
be provided with information about
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their financial obligations and payment
options?
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Anti-Kickback Statute
HHS is interested in whether
incentives offered to health care
providers by financial companies may
implicate the Federal anti-kickback
statute. Specifically, HHS is interested
in the following questions:
8. What financial relationships exist
between medical payment product
companies and health care providers?
For example, do companies provide
financial incentives to providers who
enroll patients in medical payment
products? Do providers pay financial
companies to collect patients’ overdue
balances? Or, do providers have
arrangements with financial companies
to indemnify the company in whole or
in part if the patient defaults, such as an
arrangement that when patients default
on their debt to the financial company,
the debt reverts to the provider?
9. Do health care providers or
financial institutions market or
recommend medical credit cards or
loans to Federal health care program
beneficiaries (e.g., Medicare, Medicaid,
Affordable Care Act Marketplace, or
Children’s Health Insurance Program
enrollees)? Is the use of these products
limited to certain types of health care
items or services, such as items and
services that are not reimbursable by
Medicare or another third-party payor?
10. Do medical payment product
companies recommend certain health
care providers to their users? Do
companies limit where or how patients
use medical credit cards?
11. Is the health care provider (or the
medical payment product company)
offsetting some of the patient’s medical
debt or providing any other incentives
to the patient (e.g., travel rewards for
charges to the card)?
d. Treasury-Specific Questions
The Treasury Department oversees
policy decisions relating to the Internal
Revenue Code, including those
provisions relating to tax-exempt
hospitals found in section 501(r).
Section 501(r)(4) and 26 CFR 1.501(r)–
4 require tax-exempt hospital
organizations to establish and widely
publicize a written financial assistance
policy that applies to all medically
necessary care provided by the hospital
organization. Section 501(r)(6) and 26
CFR 1.501(r)–6 require hospital
organizations to make reasonable efforts
to determine whether an individual is
eligible for assistance under the hospital
organization’s financial assistance
policy (FAP) before engaging in
extraordinary collection actions against
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that individual. Extraordinary collection
actions include credit reporting an
unpaid medical bill, deferring or
denying care to a patient due to their
unpaid medical bills, taking legal or
judicial action to recoup an alleged
medical debt, or selling an alleged
medical debt.
However, selling an alleged medical
debt is not considered an extraordinary
collection action if, prior to the sale, the
hospital facility enters into a legally
binding written agreement with the debt
buyer that meets four conditions: (1) the
buyer agrees not to engage in any
extraordinary collection actions to
obtain payment; (2) the buyer agrees not
to charge interest in excess of the rate
in effect under section 6621(a)(2) at the
time the debt is sold (currently set at 7
percent through June 2023); (3) the debt
is returnable to or recallable by the
hospital facility upon a determination
that the individual is financial
assistance-eligible; and (4) if the
individual is determined to be financial
assistance-eligible and the debt is not
returned or recalled, the buyer must
adhere to specified procedures which
ensure that the individual does not pay,
and has no obligation to pay, the buyer
and the hospital facility together more
than that individual is personally
responsible for paying under the
financial assistance policy.
Treasury welcomes comment on the
interplay between the requirements that
apply to tax-exempt hospitals and
medical payment products, including
comments in response to any of the
following specific questions:
1. What policy actions should
Treasury consider taking to address
problematic practices related to medical
credit cards or loans, including debt
collection and credit reporting practices,
to conform with the existing tax laws
and regulations pertaining to tax-exempt
hospitals?
2. Should a tax-exempt hospital’s
signing patients up for medical payment
products be considered similar to a taxexempt hospital’s selling medical debt,
such that the special rules that only
exclude debt sales from being
extraordinary collection actions if
certain requirements are met would be
applied to these payment products?
3. How would applying the debt sale
special rules to payment products
change hospitals’ and payment product
providers’ current practices, especially
those related to financial assistance
eligibility screening, extraordinary
collection actions, interest rates, and
recall or return of balances owed by
FAP-eligible individuals?
4. How do tax-exempt hospitals’
promotion of medical payment products
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compare to their operationalization of
the requirement that their financial
assistance policies be widely
publicized?
5. What are best practices for
hospitals publishing and making
patients aware of financial assistance
programs (beyond compliance with the
widely publicized requirements found
in the section 501(r) regulations)?
6. Are medical payment product
companies advertising their products as
delivering community benefits or as a
form of financial assistance?
7. Are tax-exempt hospitals claiming
that their promotion of medical
payment products delivers community
benefits or provides financial assistance,
including in their filings of Form 990,
Schedule H?
8. Does the availability of medical
payment products generally benefit the
community or assist patients
financially?
Signing Authority for HHS
The Administrator of the Centers for
Medicare & Medicaid Services (CMS),
Chiquita Brooks-LaSure, having
reviewed and approved this document,
authorizes Vanessa Garcia, who is the
Federal Register Liaison, to
electronically sign this document for
purposes of publication in the Federal
Register.
Rohit Chopra,
Director, Consumer Financial Protection
Bureau.
Thomas C. West Jr.,
Deputy Assistant Secretary for Tax Policy,
Department of the Treasury.
Vanessa Garcia,
Federal Register Liaison, Centers for Medicare
& Medicaid Services.
[FR Doc. 2023–14726 Filed 7–11–23; 8:45 am]
BILLING CODE 4810–AM–P; 4120–01–P; 4810–AK–P
CORPORATION FOR NATIONAL AND
COMMUNITY SERVICE
Agency Information Collection
Activities; Submission to the Office of
Management and Budget for Review
and Approval; Comment Request;
Application Package for AmeriCorps
Seniors Application Instructions,
Progress Reporting, Independent
Living and Respite Surveys
Corporation for National and
Community Service.
ACTION: Notice of information collection;
request for comment.
AGENCY:
The Corporation for National
and Community Service, operating as
AmeriCorps, has submitted a public
SUMMARY:
E:\FR\FM\12JYN1.SGM
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Agencies
- Centers for Medicare & Medicaid Services
- DEPARTMENT OF THE TREASURY
- CONSUMER FINANCIAL PROTECTION BUREAU
- DEPARTMENT OF HEATH AND HUMAN SERVICES
[Federal Register Volume 88, Number 132 (Wednesday, July 12, 2023)]
[Notices]
[Pages 44281-44290]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2023-14726]
=======================================================================
-----------------------------------------------------------------------
CONSUMER FINANCIAL PROTECTION BUREAU
[Docket No. CFPB-2023-0038]
DEPARTMENT OF HEATH AND HUMAN SERVICES
Centers for Medicare & Medicaid Services
[Docket No. CMS-2023-0106]
DEPARTMENT OF THE TREASURY
[Docket No. TREAS-DO-2023-0008]
Request for Information Regarding Medical Payment Products
AGENCY: Consumer Financial Protection Bureau (CFPB), Centers for
Medicare & Medicaid Services, Department of Health and Human Services
(HHS), and Department of the Treasury (Treasury).
ACTION: Request for information.
-----------------------------------------------------------------------
SUMMARY: The CFPB, an independent agency, HHS, and the Treasury
(collectively, the agencies), are soliciting comments from the public
and interested parties on medical credit cards, loans, and other
financial products used to pay for health care. The agencies seek to
understand the prevalence, nature, and impact of these products,
including disparities across different demographic groups. The agencies
also seek to understand the effects these products may have on patients
and on the health care system. In particular, the agencies seek comment
on whether these products may allow health care providers to operate
outside of a broad range of patient and consumer protections. The
agencies also seek comment on whether these products may contribute to
health care cost inflation, displace hospitals' provision of financial
assistance, lead patients to pay inaccurate or inflated medical bills,
increase the amount patients must pay due to financing costs, or
otherwise harm patients' mental, physical, and financial well-being,
including through downstream credit reporting and debt collection
practices. In line with the agencies' work to lower health care costs
and reduce the burden of medical debt, the agencies also seek comment
on policy options to protect consumers from harm.
DATES: To be assured consideration, comments must be received at one of
the addresses provided below by September 11, 2023.
ADDRESSES: Interested parties are encouraged to submit written comments
to any and all agencies listed below. Comments submitted to the Federal
eRulemaking Portal will be shared with all agencies for consideration.
Comments should be directed to:
CFPB: You may submit responsive information and other comments,
identified by Docket No. CFPB-2023-0038, by any of the following
methods:
Federal eRulemaking Portal: https://www.regulations.gov.
Follow the instructions for submitting comments.
Email: [email protected]. Include Docket No.
CFPB-2023-0038 in the subject line of the message.
Mail/Hand Delivery/Courier: Comment Intake--Request for
Information Regarding Medical Payment Products, Consumer Financial
Protection Bureau, 1700 G Street NW, Washington, DC 20552. Because
paper mail in the Washington, DC area and at the Bureau is subject to
delay, commenters are encouraged to submit comments electronically.
HHS: You may submit responsive information and other comments,
identified by Docket No. CMS-2023-0106, by any of the following
methods:
1. Electronically. You may submit electronic comments on this
regulation to https://www.regulations.gov. Follow the ``Submit a
comment'' instructions.
2. By regular mail. You may mail written comments to the following
address ONLY: Centers for Medicare & Medicaid Services, Department of
Health and Human Services, Attention: Docket No. CMS-2023-0106, P.O.
Box 8010, Baltimore, MD 21244-8010.
Please allow sufficient time for mailed comments to be received
before the close of the comment period.
3. By express or overnight mail. You may send written comments to
the following address ONLY: Centers for Medicare & Medicaid Services,
Department of Health and Human Services, Attention: Docket No. CMS-
2023-0106, Mail Stop C4-26-05, 7500 Security Boulevard, Baltimore, MD
21244-1850.
Treasury: You may submit responsive information and other comments,
identified by Docket No. TREAS-DO-2023-0008, by any of the following
methods:
Federal eRulemaking Portal: https://www.regulations.gov.
Follow the instructions for submitting comments.
Instructions: The agencies encourage the early submission of
comments. All submissions must include the document title and docket
number. Please note the number of the topic on which you are commenting
at the top of each response (you do not need to address all topics). In
general, all comments received will be posted without change to https://www.regulations.gov. All comments, including attachments and other
supporting materials, will become part of the public record and subject
to public disclosure. Proprietary information or sensitive personal
information, such as account numbers or Social Security numbers, or
names of other individuals, should not be included. Comments will not
be edited to remove any identifying or contact information.
FOR FURTHER INFORMATION CONTACT:
CFPB: Octavian Carare, Supervisory Economist, Consumer Financial
Protection Bureau, at [email protected] or (202) 435-7700. If
you require this document in an alternative electronic format, please
contact [email protected].
HHS: Czarina Biton, Centers for Medicare & Medicaid Services, at
[email protected] or 301-276-1770.
Treasury: Thomas West, Deputy Assistant Secretary, U.S. Department
of the Treasury at [email protected] or 202-622-2000.
SUPPLEMENTARY INFORMATION:
Table of Contents
I. Background:
a. Overview
b. The Medical Payment Product Market
c. Patient Experience and Downstream Consequences
d. Risk of Exacerbating Billing and Financial Assistance Issues
e. Potential Distortion of Health Care Provider Incentives
[[Page 44282]]
f. Potential for Consumer Harm
II. Request for Information
a. General Questions
Market-Level Inquiries
Individual Inquiries
b. CFPB-Specific Questions
c. HHS-Specific Questions
d. Treasury-Specific Questions
I. Background
a. Overview
Many people have difficulty paying for medical care. Although
insurance coverage has expanded over the last two decades and the
uninsured rate has recently reached historic lows, the cost of medical
care, and particularly the out-of-pocket cost for patients and
families, has grown faster than inflation.\1\ For many patients, the
financial challenges associated with paying for medical care are
compounded by the complexities of health care coverage determinations
as well as by medical billing and payment systems that can result in
inaccuracies and errors that only increase the financial and
psychological burden on patients.
---------------------------------------------------------------------------
\1\ Peterson-KFF, Shameek Rakshit, Emma Wager, Paul Hughes-
Cromwick, Cynthia Cox, and Krutika Amin, ``How does medical
inflation compare to inflation in the rest of the economy?'' (March
2023), available at https://www.healthsystemtracker.org/brief/how-does-medical-inflation-compare-to-inflation-in-the-rest-of-the-economy/.
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Although patients have many options to pay for care, health care
providers may encourage patients and their families to use commercial
medical payment products, including medical credit cards and
installment loans, to finance care.\2\ Health care providers may
promote medical payment products because the use of these products
allows providers to avoid the administrative burden of slow and complex
insurance reimbursement, outsource servicing and collections costs, get
paid faster, and receive payment from people who otherwise would not
pay the full price for care.\3\ However, for patients, using these
products can complicate insurance coverage, interfere with the
availability of financial assistance, make it difficult to dispute
inaccurate or inflated medical bills, and increase the total cost of
care through interest and fees. It is also possible that some people
who pay for care using medical payment products are charged higher
prices for their care than they otherwise would have been asked to pay,
such as gross charges (also known as chargemaster prices).\4\
---------------------------------------------------------------------------
\2\ CFPB, ``Medical Credit Cards and Financing Plans'' (May
2023), available at https://files.consumerfinance.gov/f/documents/cfpb_medical-credit-cards-and-financing-plans_2023-05.pdf.
\3\ Id. at 8.
\4\ ``Gross charge'' and ``chargemaster'' here refer to the
definitions provided in 45 CFR 180.20, namely, ``Chargemaster means
the list of all individual items and services maintained by a
hospital for which the hospital has established a charge,'' and
``Gross charge means the charge for an individual item or service
that is reflected on a hospital's chargemaster, absent any
discounts.''
---------------------------------------------------------------------------
Patients may use risky and expensive commercial medical payment
products rather than low- or no-cost alternatives because they do not
know alternatives exist, they do not understand the risks and costs of
medical payment products, or they feel pressured or coerced into
signing up for these products.\5\ In some cases, medical payment
products may allow patients to access care they would otherwise have to
forgo. However, these payment products can also lead to patients paying
more out of pocket if patients use medical payment products to pay
bills that should have been covered by insurance or financial
assistance, to pay inaccurate bills which they then have difficulty
disputing post-payment, or to pay bills in full whose balances they
would otherwise have been able to negotiate pre-payment.
---------------------------------------------------------------------------
\5\ Id. at 10.
---------------------------------------------------------------------------
Health care providers and financial companies may also use these
payment products to attempt to avoid restrictions on credit reporting
and debt collection practices that otherwise apply to medical debt,
including restrictions imposed by national credit reporting companies
and restrictions imposed by Federal law.\6\ Specifically, the three
national credit reporting companies voluntarily do not report medical
debt collections items with original balances under $500 or which are
less than one year old, but they have not restricted the reporting of
debt collections items reported with classification codes indicating
that they are ``credit card'' or ``installment loan'' collections.
Additionally, section 501(r) of the Internal Revenue Code (IRC)
prohibits tax-exempt hospital organizations from engaging in
extraordinary collection actions, including reporting the patient's
debt to credit reporting companies or sending the patient's debt to a
third-party debt collector, before the organization has made reasonable
efforts to determine whether the individual is eligible for assistance
under the hospital's financial assistance policy.\7\ However, the
agencies believe that tax-exempt hospitals and the financial companies
that partner with them may not be making reasonable efforts to
determine whether an individual is eligible for financial assistance
before offering the individual a medical payment product or taking
extraordinary collection actions to attempt to collect an overdue
medical payment product balance.
---------------------------------------------------------------------------
\6\ CFPB, ``Debt collectors re-evaluate medical debt furnishing
in light of data integrity issues,'' available at https://www.consumerfinance.gov/about-us/blog/debt-collectors-re-evaluate-medical-debt-furnishing-in-light-of-data-integrity-issues/.
\7\ Internal Revenue Service, ``Billing and Collections--Section
501(r)(6),'' available at https://www.irs.gov/charities-non-profits/billing-and-collections-section-501r6.
---------------------------------------------------------------------------
In this Request for Information (RFI), CFPB, HHS, and Treasury seek
comment on the prevalence, nature, and impact of medical payment
products on consumers and on the health care system. The agencies also
seek comment on policy options to address practices by health care
providers, health insurance issuers, employer-sponsored health plans,
and financial companies that result in consumers paying excess costs.
This RFI builds upon recent work by CFPB, HHS, Treasury, and other
Federal agencies to assist consumers with managing health care costs
and medical bills, and to protect patients and consumers from paying
inaccurate or inflated medical bills.\8\ That work includes CFPB
research into the extent and impact of medical debt and the accuracy of
those debts,\9\ as well as CFPB guidance to prevent unlawful medical
debt collection and reporting.\10\ It also includes actions by HHS and
other agencies to implement surprise
[[Page 44283]]
billing protections,\11\ enforce price transparency measures,\12\ lower
health care costs,\13\ and increase access to affordable, quality
health care.\14\ Additionally, it includes policy development by
Treasury on surprise billing protections and on requirements that
specifically apply to tax-exempt hospitals, including those relating to
billing and collection, financial assistance policies, and community
benefits.
---------------------------------------------------------------------------
\8\ The White House, ``FACT SHEET: New Data Show 8.2 Million
Fewer Americans Struggling with Medical Debt Under the Biden-Harris
Administration'' (Feb. 2023), https://www.whitehouse.gov/briefing-room/statements-releases/2023/02/14/fact-sheet-new-data-show-8-2-million-fewer-americans-struggling-with-medical-debt-under-the-biden-harris-administration/, and The White House, ``FACT SHEET: The
Biden Administration Announces New Actions to Lessen the Burden of
Medical Debt and Increase Consumer Protection'' (Apr. 2022),
available at https://www.whitehouse.gov/briefing-room/statements-releases/2022/04/11/fact-sheet-the-biden-administration-announces-new-actions-to-lessen-the-burden-of-medical-debt-and-increase-consumer-protection/.
\9\ CFPB, ``Medical debt burden in the United States,''
available at https://www.consumerfinance.gov/data-research/research-reports/medical-debt-burden-in-the-united-states/; CFPB, ``Debt
collectors re-evaluate medical debt furnishing in light of data
integrity issues,'' available at https://www.consumerfinance.gov/about-us/blog/debt-collectors-re-evaluate-medical-debt-furnishing-in-light-of-data-integrity-issues/; and CFPB, ``Medical Billing and
Collections Among Older Americans,'' available at https://www.consumerfinance.gov/data-research/research-reports/issue-spotlight-medical-billing-and-collections-among-older-americans/full-report/.
\10\ CFPB ``Bulletin 2022-01: Medical Debt Collection and
Consumer Reporting Requirements in Connection with the No Surprises
Act,'' available at https://www.consumerfinance.gov/compliance/supervisory-guidance/cfpb-bulletin-2022-01-medical-debt-collection-consumer-reporting-requirements-in-connection-with-no-surprises-act/.
\11\ See HHS, ``HHS Kicks Off New Year with New Protections from
Surprise Medical Bills,'' available at https://www.hhs.gov/about/news/2022/01/03/hhs-kicks-off-new-year-with-new-protections-from-surprise-medical-bills.html.
\12\ See CMS, ``Hospital Price Transparency Enforcement
Updates,'' available at https://www.cms.gov/newsroom/fact-sheets/hospital-price-transparency-enforcement-updates.
\13\ See CMS, ``Hospital Price Transparency Enforcement
Updates,'' available at https://www.cms.gov/newsroom/fact-sheets/hospital-price-transparency-enforcement-updates.
\14\ See The White House, ``Executive Order on Continuing to
Strengthen Americans' Access to Affordable, Quality Health
Coverage,'' available at https://www.whitehouse.gov/briefing-room/presidential-actions/2022/04/05/executive-order-on-continuing-to-strengthen-americans-access-to-affordable-quality-health-coverage/.
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Patients' use of medical payment products occurs within the larger
context of medical billing and collections as well as health insurance
practices, and affects access to health care, implicating the
jurisdictions of CFPB, HHS, and Treasury. Given these overlapping
equities, the agencies are committed to working together to understand
and address the harms medical payment products may cause, as part of
their work more generally on health care costs, medical billing, and
medical collections.
b. The Medical Payment Product Market
Commercial medical payment products include medical credit cards
and installment loans used to help patients cover the cost of medical
treatments. Charges to these products are limited to medical
procedures, items, or services at participating medical service
providers, including primary and specialty care, labs and diagnostics,
inpatient and outpatient services, dental, vision, and pharmacy
care.\15\
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\15\ Medical payment products may also include Buy Now Pay Later
(BNPL) products, an emerging product category sometimes referred to
as ``Care Now Pay Later.'' See, e.g., Stuart Condie, `` `Buy Now,
Pay Later' Looks to Healthcare for Shot in the Arm,'' Wall Street
Journal (July 22, 2022), available at https://www.wsj.com/articles/buy-now-pay-later-looks-to-healthcare-for-shot-in-the-arm-11658491200. Certain other payment methods that are marketed for use
to cover medical costs do not restrict charges to medical items and
services; the agencies are interested in hearing more about these
products and their similarities to or differences from medical-only
payment products.
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Medical payment products are administered by financial services
companies, who manage the billing and collections process for these
products and earn revenue through interest and fees. Medical credit
card companies include CareCredit, a subsidiary of Synchrony Financial;
Wells Fargo; and Comenity, a subsidiary of Bread Financial. The medical
installment loan market includes a large number of companies, among
which some of the most prominent are AccessOne, Prosper, PayZen,
Walnut, and Scratchpay.\16\ Many medical installment loan companies,
including the five previously mentioned, are backed by private equity
firms.\17\
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\16\ The number of medical installment loan providers is much
greater than the number of medical credit card lenders, and these
products vary in many ways. Appendix A in ``Medical Credit Cards and
Financing Plans'' includes a sample of installment loans and
publicly available information on their terms and conditions. CFPB,
``Medical Credit Cards and Financing Plans,'' at 18, available at
https://files.consumerfinance.gov/f/documents/cfpb_medical-credit-cards-and-financing-plans_2023-05.pdf.
\17\ See, e.g., KFF, ``How Banks and Private Equity Cash In When
Patients Can't Pay Their Medical Bills'' (Nov. 2022), available at
https://kffhealthnews.org/news/article/how-banks-and-private-equity-cash-in-when-patients-cant-pay-their-medical-bills/.
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Medical payment products were once used primarily to pay for care
not traditionally covered by health insurance plans, such as dental and
vision care, fertility services, and cosmetic surgery. However, medical
payment products are now also used to pay for a broader set of
services, including emergency room visits and primary and specialty
care. Available data, although limited, show significant growth in the
medical payment product industry over the last several years. For
example, CareCredit grew from 4.4 million cardholders and 177,000
participating providers in 2013 to 11.7 million cardholders and over
250,000 participating health care providers in 2023.\18\ Available data
also suggest that medical payment products often have significantly
higher interest rates than general purpose credit products; a recent
CFPB report found that the typical annual percentage rate (APR) for
medical credit cards was 27 percent, compared to a mean APR of 16
percent for general purpose credit cards.\19\ Patients who use medical
payment products may additionally find themselves facing high fees,
deferred interest charges, and other adverse financial impacts.\20\
Additionally, as with other credit cards and installment loans,
applying for and opening a medical payment product account may have
negative implications for consumers' credit scores and access to credit
through factors like hard credit checks, increased credit line
utilization, decreased average account age, or eventual account
closure.
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\18\ This number, as publicized by CareCredit, includes also
veterinary service providers and cardholders that use their card to
finance veterinary care. CFPB, ``Medical Credit Cards and Financing
Plans'' at 7, available at https://files.consumerfinance.gov/f/documents/cfpb_medical-credit-cards-and-financing-plans_2023-05.pdf.
\19\ CFPB, ``Medical Credit Cards and Financing Plans,''
available at https://files.consumerfinance.gov/f/documents/cfpb_medical-credit-cards-and-financing-plans_2023-05.pdf.
\20\ CFPB, ``Medical Credit Cards and Financing Plans,''
available at https://files.consumerfinance.gov/f/documents/cfpb_medical-credit-cards-and-financing-plans_2023-05.pdf.
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c. Patient Experience and Downstream Consequences
The agencies seek additional information regarding the patient
experience with medical payment products, including potential issues
with the marketing, application, and enrollment processes as well as
the impacts these products have on patients' financial, physical, and
mental health.
In general, coupling the sale of financial products to consumers
with the provision of medical care may create consumer harm. In some
cases, patients who trust their health care providers and their staff
to give expert health care advice may place similar trust in the
financing products offered by those providers and their staff. This may
influence patients to sign up for products that are not in their best
financial interest, especially when seeking or receiving medical care,
a time when patients may be particularly vulnerable.\21\ Some patients
have told the CFPB that they felt pressured to make quick financial
decisions in a health care provider's office while under physical and
emotional stress. Additionally, health care provider staff may not have
the information, or the expertise needed to answer patients' questions
about the terms and conditions of the financial products they offer.
Staff may fail to inform patients of alternative payment options,
including financial assistance.\22\ Staff
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\21\ Jim Hawkins, ``Doctors as Bankers: Evidence from Fertility
Markets'' Tulane Law Review (July 2010), available at https://www.tulanelawreview.org/pub/volume84/issue4/doctors-as-bankers.
\22\ CFPB, ``Complaint Bulletin,'' available at https://files.consumerfinance.gov/f/documents/cfpb_medical-credit-cards-and-financing-plans_2023-05.pdf; and CFPB, ``Medical Credit Cards and
Financing Plans'' at 8, available at https://files.consumerfinance.gov/f/documents/cfpb_medical-credit-cards-and-financing-plans_2023-05.pdf.
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[[Page 44284]]
might also fail to provide information about the potential insurance
coverage implications of using a medical payment product, or may
encourage use of medical payment products instead of assisting the
patient with filing an insurance claim. The CFPB has also received
reports of some patients--particularly patients with limited English
proficiency--allegedly being signed up for medical payment products
without their knowledge or consent.
Given these risks, the agencies seek additional information on
medical payment product marketing, application, and enrollment
processes, including how and when patients are offered these products,
what information patients are given about these products, and how
patients make decisions about utilizing these products. The agencies
are interested in how promotion of these products may interfere with
patients' health insurance coverage, undermine the provision of
financial assistance, and reduce the availability and utilization of
traditional provider-offered payment plans. The agencies are also
interested in providers' and financial companies' disclosure practices
and the information that is shared with patients about these products.
Additionally, the agencies are interested in patients' experiences with
medical payment products, including their overall satisfaction or
dissatisfaction with these products as well as information on how these
products were marketed to them, whether they understood the terms and
conditions of the products, whether they felt pressured into signing
up, or whether they were signed up for a medical payment product
without their knowledge or consent.
Secondly, the agencies seek to understand the impacts of these
products on patients' financial health, including through high interest
rates and fees, credit scoring or other scoring products, credit
reporting practices, and debt collection practices. Many medical
payment products charge interest and fees, including deferred interest,
which may significantly increase the amount patients owe for their
care.\23\ Patients with lower credit scores may be offered less
favorable interest rates and terms, including shorter billing cycles
(less than 30 days) that may increase the odds that these patients will
incur late fees. Patients with lower credit scores may also be offered
shorter deferred interest periods, increasing the likelihood that these
patients will incur interest. Additionally, some financial services
companies offer health care scoring products designed for health care
providers, such as financial clearance scores and propensity-to-pay
scores, which can be used to restrict access to care and promote
payment products rather than financial assistance for those
eligible.\24\ In some cases, patients with low financial clearance
scores may be denied care unless they can pay up front, increasing the
pressure on these patients to sign up for medical payment products. In
other cases, patients whose predicted income and household size would
qualify them for financial assistance, but who have a higher predicted
propensity to pay, are channeled to medical payment products instead of
being offered financial assistance.
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\23\ Many medical payment products offer complex deferred
interest promotions, which consumers often do not understand fully,
and which can significantly increase the cost of their care if they
do not pay in full during the promotional period. About 1 in 5
consumers who use a deferred interest product to pay for care will
ultimately pay interest. Borrowers with subprime credit scores are
more likely to pay interest, perhaps in part because they are
generally given less time to pay in full before being charged
interest. CFPB, ``Medical Credit Cards and Financing Plans'' at 13,
available at https://files.consumerfinance.gov/f/documents/cfpb_medical-credit-cards-and-financing-plans_2023-05.pdf.
\24\ See, e.g., Experian, ``Patient Financial Clearance,''
https://www.experian.com/healthcare/products/payment-tools/patient-collections-and-financial-clearance; TransUnion, ``TransUnion
Healthcare and VisitPay: A Patient Financial Engagement Solution,''
https://www.transunion.com/resources/transunion/doc/healthcare/transunion-healthcare-and-visitpay-a-patient-financial-engagement-solution-aite-brief.pdf.
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Since medical credit cards have unique features such as shorter
deferred interest periods and shorter billing cycles compared to other
lines of credit, those with medical payment products may be at
heightened risk of being sent to collections and reported to credit
reporting companies. When past-due medical payment product balances are
reported to credit reporting companies, this can lower patients' credit
scores, even though medical debts generally are less predictive of
creditworthiness than other debts.\25\ Lower credit scores can make it
harder for consumers to get a loan, rent or buy a home, or find a
job.\26\ Medical credit card or loan collections may be reported to
consumer reporting agencies even when other medical bills could not
appear on consumer reports, such as because of the restrictions on
extraordinary collections actions placed by Congress \27\ or the
national credit reporting companies' voluntary decision not to report
medical collections that are paid, under $500, or less than a year
old.\28\ Moreover, the incidence of referral to collections may be
increased if patients paying for care with medical payment products are
charged higher prices, if the costs of patients' medical services are
inflated by interest and fees, or if paying via a medical payment
product leads to the failure to file a timely and accurate insurance
claim. Patients may also be sued for alleged medical payment product
debts, which can lead to financial consequences like wage garnishment,
bank attachments, seizure of personal property, and liens against
patients' homes. Many people file bankruptcy in order to resolve large
outstanding medical bills; \29\ it is possible that medical payment
products contribute disproportionately to bankruptcy filings by people
facing significant health challenges. Given these potential financial
health impacts, the agencies are interested in information on the
interest charges, default rates, credit reporting practices, and
collections practices associated with medical payment products.
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\25\ Kenneth P. Brevoort & Michelle Kambara, ``Data point:
Medical debt and credit scores'' (May 2014), available at https://files.consumerfinance.gov/f/201405_cfpb_report_data-point_medical-debt-credit-scores.pdf.
\26\ Alyssa Brown & Eric Wilson, ``Data Point: Consumer Credit
and the Removal of Medical Collections from Credit Reports'' (Apr.
2023), available at https://files.consumerfinance.gov/f/documents/cfpb_consumer-credit-removal-medical-collections-from-credit-reports_2023-04.pdf.
\27\ Internal Revenue Service, ``Billing and Collections--
Section 501(r)(6),'' available at https://www.irs.gov/charities-non-profits/billing-and-collections-section-501r6.
\28\ The three national credit reporting companies forbid credit
reporting of medical debt collections items with original balances
under $500 or which are less than one year old, but these
restrictions do not apply to debt collections items reported with
classification codes indicating that they are ``credit card'' or
``installment loan'' collections. See CFPB, ``Have medical debt?
Anything already paid or under $500 should no longer be on your
credit report,'' available at https://www.consumerfinance.gov/about-us/blog/medical-debt-anything-already-paid-or-under-500-should-no-longer-be-on-your-credit-report/.
\29\ David Himmelstein et al., ``Medical Bankruptcy: Still
Common Despite the Affordable Care Act,'' American Journal of Public
Health (Mar. 2019), https://ajph.aphapublications.org/doi/abs/10.2105/AJPH.2018.304901.
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Thirdly, the agencies seek to understand the impacts of these
products on patients' physical and mental health. Studies show that
people often delay or avoid medical care out of concern about high
costs or medical debt or because they believe they will be turned away
due to their unpaid medical bills.\30\ Fifteen percent of adults
[[Page 44285]]
with medical debt say they have been denied health care because of
their unpaid medical bills.\31\ To the extent that medical payment
products contribute to higher health care costs and medical debts,
these products may increase health care denial, delay, and avoidance,
contributing to worse health outcomes and higher eventual health care
costs due to forgone preventive and early intervention services. Higher
costs and increased debt can also increase stress on consumers,
contributing to negative physical and mental health outcomes.\32\ Given
the risks to patients' health, the agencies seek comment on medical
payment products' contribution to care avoidance and their impact on
consumers' physical and mental health. The agencies are also interested
in understanding if and when health care providers may deny or alter
patients' care if they refuse to sign up for or fall behind on payments
for a medical payment product.
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\30\ See, e.g., Alyce Adams et al., ``The Impact of Financial
Assistance Programs on Health Care Utilization: Evidence from Kaiser
Permanente,'' American Economic Review: Insights, (Sept. 2022),
available at https://www.aeaweb.org/articles?id=10.1257/aeri.20210515; Audrey Kearney et al., ``Americans' Challenges with
Health Care Costs,'' KFF (July 14, 2021), https://www.kff.org/health-costs/issue-brief/americans-challenges-with-health-care-costs/.
\31\ Lunna Lopes et al., ``Health Care Debt in the U.S.: The
Broad Consequences Of Medical And Dental Bills,'' KFF (June 16,
2022), available at https://www.kff.org/report-section/kff-health-care-debt-survey-main-findings/.
\32\ CFPB, ``Medical debt burden in the United States,'' at 32-
35, available at https://www.consumerfinance.gov/data-research/research-reports/medical-debt-burden-in-the-united-states/.
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The agencies welcome comment on the above and on medical payment
products' broader impacts on consumers' financial wellness, health care
access, and physical and mental health.
d. Risk of Exacerbating Billing and Financial Assistance Issues
Medical credit cards and loans may exacerbate existing issues in
health care billing and collections by making it more difficult to
resolve billing inaccuracies and allowing certain patients to be
upcharged for services. For example, uninsured and self-pay
patients,\33\ as well as patients receiving care from out-of-network
providers,\34\ are often charged higher prices than those negotiated by
health insurance issuers and group health plans for the same care
furnished by an in-network provider \35\ (provided these patients are
not determined eligible for financial assistance by a tax-exempt
hospital).\36\ The availability of medical payment products may enable
health care providers to charge higher prices to uninsured, self-pay,
or out-of-network patients who would otherwise be unable to pay such
prices and might instead seek more affordable care. In some cases,
health care providers might offer medical payment products to uninsured
patients instead of helping these patients determine their eligibility
for health insurance coverage through Medicaid, Medicare, or subsidized
Marketplace plans. Out-of-network health care providers might also
offer medical payment products to patients instead of referring those
patients to an in-network provider.
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\33\ ``Self-pay patients'' here refers to the definition
provided in 45 CFR 149.610(a)(2)(xiii)(B), which defines a self-pay
individual as ``an individual who has benefits for such item or
service under a group health plan, or individual or group health
insurance coverage offered by a health insurance issuer, or a health
benefits plan under chapter 89 of title 5, United States Code but
who does not seek to have a claim for such item or service submitted
to such plan or coverage.''
\34\ A provider network is a list of the doctors, other health
care providers, and hospitals that a plan contracts with to provide
medical care to its members. These providers are called ``network
providers'' or ``in-network providers.'' A provider that isn't
contracted with the plan is called an ``out-of-network provider.''
CMS, ``What You Should Know About Provider Networks,'' available at
https://marketplace.cms.gov/outreach-and-education/what-you-should-know-provider-networks.pdf.
\35\ See Gerard Anderson, ``From `Soak the Rich' To `Soak the
Poor': Recent Trends In Hospital Pricing'' (June 2007), Health
Affairs, available at https://www.healthaffairs.org/doi/full/10.1377/hlthaff.26.3.780. See also Ge Bai, & Gerard F. Anderson,
``US Hospitals Are Still Using Chargemaster Markups to Maximize
Revenues'' (Sept. 2016), Health Affairs, available at https://www.healthaffairs.org/doi/pdf/10.1377/hlthaff.2016.0093.
\36\ In the case of individuals who receive care at a tax-exempt
hospital who are determined eligible for financial assistance under
the hospital's financial assistance policy, section 501(r)(5)
prohibits tax-exempt hospitals from using gross charges and requires
them to limit amounts charged for emergency or other medically
necessary care to not more than the amounts generally billed to
individuals who have insurance covering such care. Internal Revenue
Service, ``Limitation on Charges--Section 501(r)(5),'' available at
https://www.irs.gov/charities-non-profits/limitation-on-charges-section-501r5.
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Promotion of medical payment products may also undermine hospitals'
provision of financial assistance. Section 501(r) of the Internal
Revenue Code, which resulted from section 9007(a) of the Affordable
Care Act, requires tax-exempt hospitals to establish a financial
assistance policy for low-income patients, and many non-tax-exempt
hospitals also voluntarily offer financial assistance to patients who
meet criteria established by these hospitals. However, studies show
that, in practice, many patients who are likely eligible for financial
assistance under their hospitals' policies do not receive free or
discounted care.\37\ In some instances, patients eligible for financial
assistance are instead being steered to medical payment products, which
are more profitable for providers.\38\ One way in which these products
may be advantageous to health care providers, particularly tax-exempt
hospitals, is by using these products in support of their non-profit
status. For example, one medical installment loan company advertises to
hospitals that its interest-charging loan product is a ``community
benefit that makes care affordable'' and ``supports your organization's
compliance with IRS regulation 501(r).'' \39\
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\37\ See, e.g., Octavian Carare, et al., ``Exploring the
connection between financial assistance for medical care and medical
collections'' (Aug. 2022), CFPB, https://www.consumerfinance.gov/about-us/blog/exploring-connection-between-financial-assistance-for-medical-care-and-medical-collections/.
\38\ See, e.g., Washington State Office of the Attorney General,
``AG Ferguson files lawsuit against Swedish, other Providence-
affiliated hospitals, for failing to make charity care accessible to
thousands of Washingtonians,'' available at https://www.atg.wa.gov/news/news-releases/ag-ferguson-files-lawsuit-against-swedish-other-providence-affiliated-hospitals; State of California Department of
Justice, ``Attorney General Bonta Issues Consumer Alert Following
Reports of Hospitals Failing to Inform Patients of Options for Free
or Reduced-Price Medical Care,'' available at https://oag.ca.gov/news/press-releases/attorney-general-bonta-issues-consumer-alert-following-reports-hospitals-failing; and The Office of Minnesota
Attorney General Keith Ellison, ``Attorney General Ellison secures
relief from unfair bill collection for Hutchison Hospital
patients,'' available at https://www.ag.state.mn.us/Office/Communications/2020/10/29_HutchinsonHealth.asp.
\39\ ClearBalance HealthCare, ``Experience to Solve Patient
Pay,'' https://www.bokfinancial.com/-/media/Files/PDF/Commercial/Healthcare/CBHC_Overview.ashx.
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Finally, utilizing medical payment products may undermine patients'
medical billing rights, including their No Surprises Act rights to
dispute surprise bills and their Affordable Care Act rights to
insurance appeals and reviews. Consumers report that errors in medical
bills are common; among those with medical debt, more than four in ten
say they received an inaccurate bill, and nearly seven in ten say they
were asked to pay a bill that should have been covered by
insurance.\40\ However, some consumers report being told that they had
no right to dispute inaccurate bills placed on a medical payment
product, even if they discovered after enrolling in the payment product
that they were billed in error or that their bill should have been
covered by insurance--or even if they never received the service at
all.
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\40\ KFF, ``Healthcare Debt in the US: The Broad Consequences of
Medical and Dental Bills,'' available at https://www.kff.org/report-section/kff-health-care-debt-survey-main-findings/.
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e. Potential Distortion of Health Care Provider Incentives
Several factors may incentivize health care providers to promote
medical payment products even when these products are not in patients'
best
[[Page 44286]]
financial interest. First, changes to private health care coverage may
incentivize providers to promote medical payment products. For example,
providers may turn to medical payment products in response to growing
deductibles, copayments, and coinsurance charged by private group
health plans and health insurance issuers, which many patients cannot
afford to pay in cash up front.\41\ Slow insurance reimbursement and
frequent insurance denials, downcoding,\42\ or appeals may also make
medical payment products an attractive alternative to insurance
payment. Additionally, out-of-network providers may promote medical
payment products to patients because group health plans and health
insurance issuers may not directly reimburse out-of-network providers;
having patients pay out-of-network providers up front using a medical
payment product effectively transfers the risk of non-reimbursement or
slow reimbursement from the out-of-network provider to the patient.
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\41\ Fifty percent of U.S. adults say they would be unable to
pay a $500 medical bill without going into debt; the average
deductible for single person health coverage was $2,004 in 2021, up
from $1,273 in 2013. KFF, ``Average Annual Deductible per Enrolled
Employee in Employer-Based Health Insurance for Single and Family
Coverage,'' available at https://www.kff.org/other/state-indicator/average-annual-deductible-per-enrolled-employee-in-employer-based-health-insurance-for-single-and-family-coverage/; and KFF, ``Health
Care Debt In The U.S.: The Broad Consequences Of Medical And Dental
Bills,'' available at https://www.kff.org/report-section/kff-health-care-debt-survey-main-findings/. Regarding the marketing of medical
payment products to providers to address these rising health care
costs, see Allison J. Zimmon, ``Rx for Costly Credit: Deferred
Interest Medical Credit Cards Do More Harm than Good,'' 35 B.C.J. L
& Soc. Just. 319 (2015).
\42\ Downcoding here refers to the practice of a plan or issuer
reviewing a claim submitted by a health care provider or facility
and altering the service code or modifier to another service code or
modifier that the plan or issuer determines to be more appropriate,
resulting in a lower reimbursement.
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Secondly, health care providers may be incentivized to promote
medical credit cards and loans because these products result in faster
payment, lower administrative costs, and more revenue overall for the
health care provider compared to alternatives like financial assistance
or provider-administered payment plans. In their promotional materials,
financial companies offering medical payment products emphasize their
products' potential to deliver payments within a few days, minimize
financial risk, and reduce the administrative burden associated with
collecting debts or negotiating with group health plans or health
insurance issuers. Traditionally, when a patient cannot pay their bill
upfront, the health care provider would take on the costs of
administering a payment plan, mailing statements, processing accounts
receivable, handling disputes, and engaging debt collectors. When a
patient instead pays for medical services out-of-pocket or via credit
card or installment loan, the health care provider avoids many of these
costs and generally receives payment immediately or within days. If the
patient does not use their health insurance coverage, the health care
provider may also be able to charge them higher rates, such as gross
charges or a cash rate rather than a charge negotiated between the
provider and third-party payers.\43\ Additionally, easy access to
credit may encourage patients to consume more health care from
providers who offer medical credit products, resulting in more overall
revenue for these providers. Indeed, some financial companies
explicitly advertise that their products will help providers ``upsell''
patients on more expensive and potentially unnecessary care.\44\
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\43\ Here, ``gross charges,'' ``cash rates,'' and ``charges
negotiated between the provider and third-party payers'' refers to
the definitions of those terms provided in section 2718(e) of the
Public Health Service Act (Hospital Price Transparency).
\44\ For example, ``Cherry can be used for consumers that want a
product/service but don't want to pay the full amount upfront today.
This gives you, the business owner, the power to upsell and increase
your sales.'' CFPB, ``Medical Credit Cards and Financing Plans,'' at
9 n.29, available at https://files.consumerfinance.gov/f/documents/cfpb_medical-credit-cards-and-financing-plans_2023-05.pdf.
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Certain financial companies offer additional incentives to health
care providers to promote medical payment products. In some cases, this
may include a share of the revenue from these products. For example,
one medical installment loan company advertises that providers who
offer the product will ``share in interest revenue collected.'' \45\
Other medical payment product companies offer lower processing or
management fees to providers who enroll more consumers--giving those
providers an incentive to enroll as many patients as possible.\46\
Where financial companies incentivize the referral or recommendation of
business reimbursable under Federal health care programs, it is
possible that these practices may implicate Federal laws or regulations
including the Federal anti-kickback statute, 42 U.S.C. 1320a-7b(b) and
its implementing regulations, which provides for criminal penalties for
whoever knowingly and willfully offers, pays, solicits, or receives
anything of value to induce or reward the referral, recommendation, or
arranging for the referral or recommendation of business reimbursable
under Federal health care programs.
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\45\ Choice Payment Services, ``ChoicePays+,'' available at
https://choicepays.com/choicepays/.
\46\ CFPB, ``Medical Credit Cards and Financing Plans,'' at 10,
available at https://files.consumerfinance.gov/f/documents/cfpb_medical-credit-cards-and-financing-plans_2023-05.pdf.
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Some medical payment product companies advertise that their
products allow health care providers, debt collectors, and credit
reporting companies to attempt to avoid restrictions on extraordinary
collection actions and on credit reporting of alleged bills. Under IRC
501(r) and the regulations thereunder, tax-exempt hospital
organizations must make reasonable efforts to determine whether an
individual is eligible for assistance under the hospital organization's
financial assistance plan before engaging in extraordinary collection
actions against that individual, such as credit reporting, third-party
collections, and debt sale (except under certain special
conditions).\47\ However, the agencies believe financial companies may
be engaging in credit reporting, debt sales, and other extraordinary
collection actions on debts arising from an individual's care at a tax-
exempt hospital without first making reasonable efforts to determine
that individual's financial assistance eligibility.
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\47\ Internal Revenue Service, ``Billing and Collections--
Section 501(r)(6),'' available at https://www.irs.gov/charities-non-profits/billing-and-collections-section-501r6.
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Additionally, the three national credit reporting companies
voluntarily refrain from reporting medical collections items that are
less than $500 or under one year old to the credit reporting companies.
However, these restrictions do not extend to debts reported with
classification codes indicating that they are ``credit card'' or
``installment loan'' collections, even if the credit card or
installment loan was used to pay medical bills.
f. Potential for Consumer Harm
The growing prevalence of medical payment products creates
significant potential for consumer harm. Patients are often offered and
enroll in medical payment products at a health care provider's
location, meaning that health care providers and their staff are
frequently the people who are directly marketing these products to
their patients. People trust health care providers and their staff to
provide sound and effective treatment options. When their health care
providers and their staff also provide information or
[[Page 44287]]
advice on payment options, patients might assume the health care
provider or staff member is being transparent about the full set of
options and not being driven by their own financial incentives.\48\
Patients might also extend their trust in their health care providers
to a referred financial services company. Additionally, financial
decisions by patients in health care settings are compromised by the
stress inherent in managing an illness or injury.
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\48\ Office of Inspector General (OIG) Advisory Opinion 02-12 at
11 (``[H]ealth care providers are in a position of trust and may
exert undue influence when recommending health care related items or
services, particularly to their own patients.'').
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Incomplete, incorrect, or misleading information about the cost of
their treatment, financing options offered, and the availability of
low- or no-cost financing alternatives can also compromise financial
decisions made at the point of care. As a result, patients may feel
pressured or coerced into signing up for medical payment products that
cause downstream financial or health problems, including through debt
collection or credit reporting of medical bills that might have
inaccurate information. Patients might also avoid or delay care if they
are unaware of the availability of financial assistance and other
affordable financing options or are concerned about their ability to
pay their health care bills.
II. Request for Information
In this RFI, the CFPB, HHS, and Treasury seek data and comments on
the scope, prevalence, terms, and impacts of medical payment products,
including medical credit cards and loans. The agencies are also
interested in the downstream consequences of these products and in
potential actions to address any harms caused by these products.
To better understand the medical payment product market, the
agencies seek data and comments on the interest and fee costs of these
products (including both interest rates and total accrued interest),
the application and approval process for these products, and trends of
medical payment product use. The agencies also seek information as to
the total outstanding consumer debt on medical credit cards, medical
installment loans, and other medical payment products. Data regarding
the characteristics and demographics of medical payment products users
is also welcome, such as whether users are insured or uninsured,
whether certain populations or income groups are more likely to use
these products, and whether use is concentrated in certain geographies
or for patients seeking particular kinds of care. The agencies also
seek to better understand the level of concentration in the medical
payment product market, the ownership of medical payment product
companies (including ownership by health care providers, health
insurance issuers, or private equity firms), and the implications of
these factors for competition and consumer choice. To that end, the
agencies seek specific information on the types of financial entities
that offer medical credit cards and loans.
The agencies seek to understand to what extent medical credit cards
and loans may hamper financial assistance and access to benefits, and
any options for regulators to reduce such barriers. The agencies also
seek to understand the extent to which health care providers, including
tax-exempt hospitals, screen patients for public or private insurance
eligibility, financial assistance eligibility, or other benefits before
offering them medical credit cards or loans. The agencies additionally
seek comment on how frequently patients discover billing errors after
signing up for a medical payment product, the main sources of billing
errors, and how paying medical bills via a medical payment product
affects patients' ability to dispute those bills. The agencies seek
comment on how to ensure that patients retain their rights to challenge
inaccurate bills regardless of payment method.
The agencies also seek comment on incentives offered by financial
companies to health care providers for their promotion of medical
payment products, including revenue-sharing and other incentives. The
agencies are also interested in any training or other support that
medical payment product companies offer to providers. The agencies are
interested in whether such incentives or support might implicate the
Federal anti-kickback statute or other laws or regulations. The
agencies also seek information regarding how plans and issuers' billing
and reimbursement practices affect health care providers' decisions to
offer and promote medical payment products.
The agencies seek additional information on the prices or versions
of standard charges offered to patients who use these products, and
whether these charges are adequately disclosed in accordance with
hospital price transparency requirements and No Surprises Act good
faith estimate requirements. The agencies seek information on whether
medical payment product companies are operating outside of protections
against credit reporting of medical collections items and against
extraordinary collection actions by tax-exempt hospitals. Finally, the
agencies seek to better understand how notice and consent requirements
for post-stabilization and non-emergency health care items or services
under the No Surprises Act intersect with providers' promotion of
medical credit cards and loans to out-of-network patients.
In general, the agencies welcome any information that allows us to
better understand the impact of medical payment products on patients'
physical, mental, and financial health. The agencies also welcome
suggestions of actions Federal agencies could take to address harms
caused by medical payment products and related issues connected to
medical billing and collections or medical debt more generally. The
agencies welcome comment on these areas, including comments in response
to any of the following specific questions:
a. General Questions
Market-Level Inquiries
1. What are the benefits, costs, and risks of medical payment
products for consumers, health care providers, and companies offering
these products?
2. What are the terms of medical payment products, including
interest rates and fees?
3. How much debt do consumers carry on medical credit cards and
loans in total, and what is the average individual debt level?
4. How concentrated is the medical payment product market, and what
role do private equity firms play in this market?
5. Are there specific populations (e.g., race, socioeconomic
status, gender identity, sexual orientation, age, language, etc.) or
geographic regions that experience disproportionately higher
utilization of medical payment products?
6. What are the health equity impacts of medical payment products
and related billing and collection policies and practices?
i. Do medical payment products affect members of specific
underserved communities differently, including members of Tribal
communities and geographically isolated communities?
ii. Do certain products or policies present opportunities to better
serve members of underserved communities?
7. Patients can pay for care in many different ways, such as by
medical credit card or loan, general purpose credit card, insurance, or
through a zero-interest payment plan. What are
[[Page 44288]]
the costs and benefits for health care providers of offering each of
these methods? Are there situations where one method of payment is more
advantageous than another?
8. What incentives do financial services companies offer health
care providers, including revenue-sharing or other financial or non-
financial incentives?
9. How do medical payment products and health insurance coverage
interact? Do group health plan or health insurance issuer practices
contribute to uptake of medical payment products by patients and
providers?
i. How many days do providers typically have to wait to be paid by
plans or issuers versus by medical payment product companies or general
purpose credit card companies? What factors, such as administrative
requirements or clinical reviews, contribute to any differential
resolution timelines?
ii. Does a patient's use of a medical payment product exempt them
from certain consumer protections, provider requirements, or group
health plan or health insurance issuer requirements? Are different
types of health coverage treated differently?
10. Does health care provider organizational structure, including
ownership by private equity, affect providers' decisions to offer and
promote these products?
11. What are some best practices for health care providers who
offer medical payment products in avoiding adverse financial and health
impacts for patients?
i. Are there specific tactics or practices that are well tailored
and adapted for use by health care professionals in and serving
underserved communities, including Tribal communities and
geographically isolated communities?
ii. What actions should the agencies take to develop and encourage
uptake of these established best practices?
iii. Are there examples of actions or best practices at the State
or local level to which the Federal government should look?
12. To what extent are patients using medical payment products to
pay bills that are incorrect, or that could be covered or defrayed by
lower-cost alternatives?
i. What billing errors may patients commonly encounter?
ii. How does using a medical payment product affect patients'
rights to dispute incorrect bills?
iii. Are certain groups of patients, such as members of specific
underserved communities, more likely to experience medical billing
errors or issues resolving disputes over bills paid using medical
payment products?
13. What actions should agencies consider taking to better
understand the effects of medical payment products on consumers and the
health care industry, educate consumers and providers about the risks
of these products, and collect complaints?
i. What are some sources of data on medical payment products? What
additional data are needed to understand the impact of medical payment
products on patients and the health care industry?
ii. What data collection, data analysis, and research actions
should agencies take?
iii. Are there different or other actions that agencies should
consider for underserved communities, including Tribal communities and
geographically isolated communities?
iv. What types of consumer complaints have States and localities
received?
14. Where medical payment products are causing harm, what are some
specific levers for regulatory oversight and enforcement by Federal
agencies that regulate financial products or health care providers?
i. Are there specific areas for Federal enforcement actions?
ii. Are there examples of regulation or enforcement at the State or
local level to which the Federal government should look?
iii. What complementary legislative actions are worth exploring?
Where may additional statutory authority be needed?
Individual Inquiries
1. Have medical payment products ever been marketed to you,
including by your health care provider? If so, please describe your
experience and how the products were marketed to you. Were other
options, such as financial assistance, marketed or explained at the
same time?
2. If you have used a medical credit card or loan to pay for your
care, what was your experience with the product?
a. What benefits or harms did you experience?
b. Was your health affected by your use of a medical credit card or
loan?
c. How much did interest and fee charges add to the cost of your
care?
d. How did using a medical credit card or loan affect your credit
score and your ability to access credit?
e. Would you use a medical credit card or loan to cover medical
expenses again? Why or why not?
3. Have you ever tried to dispute a medical bill you paid using a
medical credit card or loan? If so, please describe your experience.
4. Have you ever had an overdue bill on a medical credit card or
loan sent to collections? How quickly was the bill sent to collections?
Did your experience with collections affect your credit score, your
access to medical care, or your health?
5. Have you ever felt pressured to pay for care using a medical
payment product or general purpose credit card when you believed that
was not in your best interest? If so, please describe your experience.
6. Have you ever used or been pressured to use a medical credit
card or loan to pay a bill that you believe should have been covered by
your health insurance? If so, please describe your experience.
7. Have you ever used or been pressured to use a medical credit
card or loan to pay a bill that you believe should have been covered by
your health care provider's financial assistance policy? If so, please
describe your experience.
8. Has your knowledge about the availability of medical credit
cards or loans led you to believe that health insurance might not be
necessary, or not acquire health insurance?
b. CFPB-Specific Questions
The CFPB implements and enforces Federal consumer financial law,
including the Fair Credit Reporting Act, the Fair Debt Collection
Practices Act, the Equal Credit Opportunity Act, and the Consumer
Financial Protection Act's prohibition on unfair, deceptive, or abusive
acts or practices in connection with the offering or provision of
consumer financial products or services. As such, the CFPB seeks to
better understand consumer financial issues raised by medical payment
products, including the credit practices of medical payment product
companies as well as the debt collection and credit reporting practices
utilized by both health care providers and medical payment product
companies. The CFPB welcomes comment on these areas, including comments
in response to any of the following specific questions:
1. What actions should the CFPB consider taking to address
problematic practices related to medical credit cards or loans,
including debt collection and credit reporting practices?
2. How do firms offering medical financial products typically
market to providers?
3. How do creditors and their affiliates underwrite loans to
patients? What specific factors (e.g., age, type of
[[Page 44289]]
medical procedure, credit score, etc.) are considered in underwriting?
4. Do consumers understand the risks of paying medical bills via a
medical credit card, installment loan, or other commercial payment
product, including lowered ability to negotiate their bill with their
provider?
5. To what extent are alleged debts placed on medical credit cards
and loans sent to debt collectors? How do medical payment product
companies' debt collection practices differ from those of health care
providers, and are any issuer or provider debt collection practices
posing risks to consumers?
6. How can the CFPB use its authorities to ensure people with
medical bills in collections, including medical payment product debt,
are screened for eligibility for financial assistance and other
benefits?
7. How are health care providers and financial companies using
credit or ``propensity to pay'' scores to determine patients'
eligibility for financial assistance or medical payment products? What
are the implications for compliance with the Fair Credit Reporting Act
or other CFPB authorities?
8. When hospitals write off a patient's debt as uncollectible or
``bad debt'' and cease attempts to collect, do they notify patients
that collection attempts will cease? Would patients benefit from such
notifications, and would such notifications reduce hospital revenue?
c. HHS-Specific Questions
The Department of Health and Human Services shares jurisdiction
with the Departments of Treasury and Labor over key health care
consumer protections related to health coverage, including those
enacted by the Affordable Care Act and the No Surprises Act. HHS is
also responsible for regulation and oversight of Medicare, Medicaid and
the Children's Health Insurance Program, and the Affordable Care Act
Marketplaces, and shares responsibility for enforcement of Federal
health care fraud and abuse laws, including the Federal anti-kickback
statute. HHS works to enhance the health and well-being of all
Americans by providing for effective health and human services and by
understanding and addressing the barriers patients experience in
accessing health care. HHS also includes the Indian Health Service
(IHS), which administers and oversees health and human services
programs for American Indians and Alaska Natives.
HHS seeks to better understand how medical payment products affect
access to care and intersect with health care coverage, including
Medicare, Medicaid, and the Children's Health Insurance Program, group
and individual health insurance coverage (including Marketplace plans
and employer-sponsored coverage), and non-comprehensive coverage
products. HHS also seeks specific comments from all Indian Health Care
Providers, including Indian Tribal Governments, Tribal Organizations,
and Urban Indian Organizations about medical credit card and loans and
the role they play in the Indian health care provider billing
environment. HHS additionally seeks to understand how medical payment
products interact with Affordable Care Act and No Surprises Act
protections and the prohibitions set forth in the Federal anti-kickback
statute.\49\ Relevant Affordable Care Act protections include the right
to seek an internal appeal and an external review of an insurance claim
denial. Relevant No Surprises Act protections include surprise billing
protections and good faith estimate rights for uninsured and self-pay
patients (including the right to use a Federal dispute process to
challenge a bill that is $400 or more higher than a patient's good
faith estimate). Finally, HHS seeks to understand whether any financial
institution or health care provider practices in connection with
medical payment products may violate health care fraud and abuse laws,
including the Federal anti-kickback statute.
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\49\ 42 U.S.C. 1320a-7b(b), the Federal anti-kickback statute,
provides for criminal penalties for whoever knowingly and willfully
offers, pays, solicits, or receives anything of value to induce or
reward the referral, recommendation, or arranging for the referral
or recommendation of business reimbursable under any of the Federal
health care programs, including Medicare and Medicaid. To assess the
application of the Federal anti-kickback statute requires an
examination of all of the facts and circumstances of an arrangement.
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HHS welcomes comment on the intersection of medical payment
products with Federal health programs, Federal laws against health care
fraud and abuse, and Affordable Care Act and No Surprises Act
protections, including comments in response to any of the following
specific questions:
1. What actions should HHS consider taking to address problematic
practices related to medical credit cards or loans, particularly as
they relate to patients eligible for or enrolled in Medicare, Medicaid,
or the Children's Health Insurance Program, or patients enrolled in
Affordable Care Act Marketplace plans?
2. What types of health insurance (Medicare, Medicaid, private
insurance, etc.) are particularly associated with the likelihood that
an individual is offered or makes use of medical credit cards and
loans, and how does the type of health coverage affect relevant
provider billing practices?
3. Are there particular health care provider types that are most
associated with being offered or offering medical payment products, and
are these providers receiving directed payments or other incentives
through State Medicaid programs?
4. Has the No Surprises Act and its surprise billing protections
affected the prevalence and use of medical credit cards and loans, and
if so, how?
i. Has the notice and consent process been used to promote medical
cards and loans to patients seeking health care items or services from
out-of-network providers/facilities, and if so, how? For example, in
instances where the No Surprises Act permits providers and facilities
to seek notice and obtain consent from an insured patient to waive
their balance billing and cost-sharing protections under the No
Surprises Act, are providers and facilities impermissibly attaching or
incorporating medical card or loan documents or information to the
notice and consent forms, or giving them to the patient at the same
time as the notice and consent forms?
ii. What steps are health care providers and facilities putting
into place to ensure that bills paid through medical payment products
do not violate surprise billing requirements and that patients who use
medical payment products retain their No Surprises Act rights?
5. How does or might the use of medical credit cards and loans
affect the amount and timing of cost sharing a patient covered through
Medicare, Medicaid, and/or the Affordable Care Act Marketplace owes for
a covered service?
i. Are there any observable differences in cost sharing among
patients belonging to underserved communities, such as Tribal
communities or geographically isolated communities?
6. Hospital Price Transparency: What prices or versions of standard
charges (e.g., cash prices) are offered to patients who sign up for a
medical credit card or installment loan? What steps are taken by health
care providers to ensure these charges are adequately disclosed in
accordance with hospital price transparency requirements? Do these
charges reflect and specifically identify facility fees?
7. How might HHS improve patient understanding of options for
covering the cost of medical treatments? At what points in the care
process could patients be provided with information about
[[Page 44290]]
their financial obligations and payment options?
Anti-Kickback Statute
HHS is interested in whether incentives offered to health care
providers by financial companies may implicate the Federal anti-
kickback statute. Specifically, HHS is interested in the following
questions:
8. What financial relationships exist between medical payment
product companies and health care providers? For example, do companies
provide financial incentives to providers who enroll patients in
medical payment products? Do providers pay financial companies to
collect patients' overdue balances? Or, do providers have arrangements
with financial companies to indemnify the company in whole or in part
if the patient defaults, such as an arrangement that when patients
default on their debt to the financial company, the debt reverts to the
provider?
9. Do health care providers or financial institutions market or
recommend medical credit cards or loans to Federal health care program
beneficiaries (e.g., Medicare, Medicaid, Affordable Care Act
Marketplace, or Children's Health Insurance Program enrollees)? Is the
use of these products limited to certain types of health care items or
services, such as items and services that are not reimbursable by
Medicare or another third-party payor?
10. Do medical payment product companies recommend certain health
care providers to their users? Do companies limit where or how patients
use medical credit cards?
11. Is the health care provider (or the medical payment product
company) offsetting some of the patient's medical debt or providing any
other incentives to the patient (e.g., travel rewards for charges to
the card)?
d. Treasury-Specific Questions
The Treasury Department oversees policy decisions relating to the
Internal Revenue Code, including those provisions relating to tax-
exempt hospitals found in section 501(r). Section 501(r)(4) and 26 CFR
1.501(r)-4 require tax-exempt hospital organizations to establish and
widely publicize a written financial assistance policy that applies to
all medically necessary care provided by the hospital organization.
Section 501(r)(6) and 26 CFR 1.501(r)-6 require hospital organizations
to make reasonable efforts to determine whether an individual is
eligible for assistance under the hospital organization's financial
assistance policy (FAP) before engaging in extraordinary collection
actions against that individual. Extraordinary collection actions
include credit reporting an unpaid medical bill, deferring or denying
care to a patient due to their unpaid medical bills, taking legal or
judicial action to recoup an alleged medical debt, or selling an
alleged medical debt.
However, selling an alleged medical debt is not considered an
extraordinary collection action if, prior to the sale, the hospital
facility enters into a legally binding written agreement with the debt
buyer that meets four conditions: (1) the buyer agrees not to engage in
any extraordinary collection actions to obtain payment; (2) the buyer
agrees not to charge interest in excess of the rate in effect under
section 6621(a)(2) at the time the debt is sold (currently set at 7
percent through June 2023); (3) the debt is returnable to or recallable
by the hospital facility upon a determination that the individual is
financial assistance-eligible; and (4) if the individual is determined
to be financial assistance-eligible and the debt is not returned or
recalled, the buyer must adhere to specified procedures which ensure
that the individual does not pay, and has no obligation to pay, the
buyer and the hospital facility together more than that individual is
personally responsible for paying under the financial assistance
policy.
Treasury welcomes comment on the interplay between the requirements
that apply to tax-exempt hospitals and medical payment products,
including comments in response to any of the following specific
questions:
1. What policy actions should Treasury consider taking to address
problematic practices related to medical credit cards or loans,
including debt collection and credit reporting practices, to conform
with the existing tax laws and regulations pertaining to tax-exempt
hospitals?
2. Should a tax-exempt hospital's signing patients up for medical
payment products be considered similar to a tax-exempt hospital's
selling medical debt, such that the special rules that only exclude
debt sales from being extraordinary collection actions if certain
requirements are met would be applied to these payment products?
3. How would applying the debt sale special rules to payment
products change hospitals' and payment product providers' current
practices, especially those related to financial assistance eligibility
screening, extraordinary collection actions, interest rates, and recall
or return of balances owed by FAP-eligible individuals?
4. How do tax-exempt hospitals' promotion of medical payment
products compare to their operationalization of the requirement that
their financial assistance policies be widely publicized?
5. What are best practices for hospitals publishing and making
patients aware of financial assistance programs (beyond compliance with
the widely publicized requirements found in the section 501(r)
regulations)?
6. Are medical payment product companies advertising their products
as delivering community benefits or as a form of financial assistance?
7. Are tax-exempt hospitals claiming that their promotion of
medical payment products delivers community benefits or provides
financial assistance, including in their filings of Form 990, Schedule
H?
8. Does the availability of medical payment products generally
benefit the community or assist patients financially?
Signing Authority for HHS
The Administrator of the Centers for Medicare & Medicaid Services
(CMS), Chiquita Brooks-LaSure, having reviewed and approved this
document, authorizes Vanessa Garcia, who is the Federal Register
Liaison, to electronically sign this document for purposes of
publication in the Federal Register.
Rohit Chopra,
Director, Consumer Financial Protection Bureau.
Thomas C. West Jr.,
Deputy Assistant Secretary for Tax Policy, Department of the Treasury.
Vanessa Garcia,
Federal Register Liaison, Centers for Medicare & Medicaid Services.
[FR Doc. 2023-14726 Filed 7-11-23; 8:45 am]
BILLING CODE 4810-AM-P; 4120-01-P; 4810-AK-P