Revisions from 60-day Comment Period to CY 2008 Part C Reporting Requirements
Summary:
Compared to the CY2008 reporting requirements posted for public comment on June 26, 2008 (60-day notice), this document indicates an increased reporting burden for CY 2009 as a result of the changes made after the 60 day comment period of 28,280 hours. However, for subsequent years there is a decreased reporting burden compared to the 60-day notice of 11,128 hours.
Category |
Measure/Item |
Change |
Effect on reporting burden |
Response to Public Comments |
1876 Cost Plans |
Cost plans will not report on benefit utilization, procedures, and serious reportable adverse events. They will report:
|
Decrease |
Lessons Learned |
National PACE Plans |
No longer required to report. |
Decrease |
Response to Public Comments |
Proprietary Data |
The following data elements in the measures listed below are considered proprietary and not subject to public disclosure:
|
No Effect |
Response to public comments |
Benefit Utilization |
We will no longer require retrospective data for CY 2007 and CY 2008. |
Decrease |
Response to public comments |
Benefit Utilization |
Member months will be reported by service category. |
Increase |
Lessons learned |
Benefit Utilization |
The data will be reported in aggregate dollars, not on a per member per month (PMPM) basis.
|
No effect |
Lessons Learned |
Benefit Utilization |
The data will be reported on an incurred basis, including claims paid during the calendar year and those paid during the first six months of the following year (June 30).
|
No effect |
Lessons Learned |
Benefit Utilization |
The claim reserves will be included for each service category and the total claim reserve will be reflected in the summary section of the report |
Increase |
Lessons Learned |
Benefit Utilization |
Covered member months by service category (of benefit) has been added in Attachment III. |
Increase |
Response to Public Comments |
Benefit Utilization |
Attachment IV which maps MA PBP to Medical Utilization and Expenditure categories has been added. |
No effect |
Response to Public Comments |
Benefit Utilization |
The report due date has been moved from 7/31 to 8/31 |
No Effect |
Category |
Measure/Item |
Change |
Effect on reporting burden |
Lessons Learned |
Procedures |
Deleted “kidney/pancreas” transplant. Added Open coronary angioplasty, PTCA or Coronary Atherectomy with CABG, PTCA or Coronary Atherectomy with insertion of drug-eluting coronary artery stent (s), PTCA or Coronary Atherectomy with insertion of non-drug-eluting coronary artery stent (s), PTCA or Coronary Atherectomy without insertion of Coronary Artery Stent. Kidney/pancreas transplants are rare. The added procedures are relatively frequent.
|
Increase |
Response to public comment |
Procedures |
We now note that CMS has defined the procedure codes in a separate attachment. |
No effect |
Lessons Learned |
Procedures |
Deleted “total enrollees in plan” as one of the data elements since this is already reported. |
Decrease |
Lessons learned |
Procedures |
Deleted rates under “objective/justification” in Attachment II since CMS will develop the rate calculations as appropriate from the data elements reported. |
No effect |
Lessons Learned |
Procedures |
Employer/Union Direct Contract plans will now also report. |
Increase |
Response to public comments |
Procedures |
1876 Cost plans will not report on this measure. |
Decrease |
Response to public comments |
Procedures |
800 series plans clarified as follows: “SNPs (includes all 800 series plans).” |
No effect |
Response to public comments |
Procedures |
Report due date will be 5/31 of following year instead of 2/28 of following year. |
Decrease |
Response to public comments |
Procedures |
Procedure and diagnosis codes are now included in this notice. |
No effect |
Lessons learned |
Procedures |
The procedures that are also HEDIS measures are now listed in the supporting statement. |
No effect |
Regulatory |
Serious Reportable Adverse Events |
Added Falls and Trauma, (Fractures, Dislocations, Intracranial Injuries, Crushing Injuries, Burns) and SSI following Bariatric Surgery for Obesity, DVT and pulmonary embolism following certain orthopedic procedures, Manifestations of Poor Glycemic Control to reporting. |
Increase |
Lessons learned |
Serious Reportable Adverse Events |
Employer/Union Direct Contract plans will now also report |
Increase |
Response to public comments |
Serious Reportable Adverse Events |
800 series plans clarified as follows: “SNPs (includes all 800 series plans).” |
No effect |
Response to public comments |
Serious Reportable Adverse Events |
Report due date will be 5/31 of following year instead of 2/28 of following year. |
Decrease |
Response to public comments |
Serious Reportable Adverse Events |
Codes relevant to “never events” and hospital acquired conditions reporting are now included in this notice. |
No effect |
Response to public comments |
Provider Network Adequacy |
Geriatric medicine (geriatricians) is now included under primary care physicians. |
No effect |
Response to public comments |
Provider Network Adequacy |
All data collected for this measure will be collected in a manner consistent with the long-established rules and definitions established for HSD, minimizing the need for MAOs to learn new rules or develop new internal systems for this reporting requirement. |
Decrease |
Category |
Measure |
Change |
Effect on reporting burden |
Response to public comments |
Provider Network Adequacy |
Revised this measure to consist of Primary Care Physicians and ten other provider and facility types, they are: (1) Hospitals, (2) Home Health Agencies (Medicare Certified), (3) Cardiologist, (4) Oncologist, (5) Pulmonologist, (6) Endocrinologist , (7) Skilled Nursing Facilities, (8) Rheumatologist, (9) Ophthalmologist, and 10 ( Urologist). This will not increase reporting burden since the provider/facility grouping are now consistent with HSD definitions. |
No effect |
Lessons learned |
Provider Network Adequacy |
Deleted rates under “objective/justification” in Attachment II since CMS will develop the rate calculations as appropriate from the data elements reported |
No effect |
Response to public comments |
Provider Network Adequacy |
We eliminated reporting on open practices for specialists |
Decrease |
Response to public comments |
Provider Network Adequacy |
Data will only be reported once annually instead of twice annually. |
Decrease |
Response to public comments |
Provider Network Adequacy |
PFFS plans that meet access requirement through deeming are considered non-network PFFS plans and are not required to report. |
Decrease |
Lessons learned |
Grievances |
Deleted rates under “objective/justification” in Attachment II since CMS will develop the rate calculations as appropriate from the data elements reported |
No effect |
Lessons learned |
Organization Determinations/ Reconsiderations |
Deleted rates under “objective/justification” in Attachment II since CMS will develop the rate calculations as appropriate from the data elements reported |
No effect |
Response to public comments |
Organization Determinations/ Reconsiderations |
We removed the term “substantive” from the data elements for total determinations and total reconsiderations |
No effect |
Response to public comments |
Employer Group Plan Sponsors |
Corrected a typo. In Attachment II ("Part C Reporting Requirements Detail"), for item #7, the "Plan Type" states "PFFS" while under "Data Elements" there is a statement that "All individual MA plans and '800 series' MA Plans sponsored by employer groups will report." This latter statement belongs in the "Plan Type" column and "PFFS" does not. |
No effect |
Lessons Learned |
Employer Group Plan Sponsors |
CCP, PFFS, 1876 Cost, Demo, MSA (includes sponsors of individual plans and 800 series plans) will report.
|
Increase |
Lessons learned |
Plan Enrollment Verification Calls |
Deleted rates under “objective/justification” in Attachment II since CMS will develop the rate calculations as appropriate from the data elements reported. |
No effect |
Response to public comments |
Plan Enrollment Verification Calls |
We changed the data element defined as “Number of initial enrollee taken enrollment verification calls completed in reporting period to read “the number of times the MAO reaches the prospective enrollee with the first call of up to three required attempts.”
|
No effect |
Lessons learned |
Provider Payment Dispute Resolution Process |
Deleted rates under “objective/justification” in Attachment II since CMS will develop the rate calculations as appropriate from the data elements reported. |
No effect |
Category |
Measure |
Change |
Effect on reporting burden |
Response to Public Comments |
Provider Payment Dispute Resolution Process |
Defined primary care and specialist categories more precisely. |
No effect |
Response to public comments |
Agent Commission Structure |
CMS will use the terms “licensed marketing representatives who are employees of the MAO” and “licensed independent agents,” instead of “captive” and “contract” agents. Results for each should be reported separately. |
No effect |
Lessons learned |
Agent Commission Structure |
Deleted rates under “objective/justification” in Attachment II since CMS will develop the rate calculations as appropriate from the data elements reported |
No effect |
Response to public comments |
Agent Training and Testing |
CMS will use the terms “licensed marketing representatives who are employees of the MAO” and “licensed independent agents,” instead of “captive” and “contract” agents. Results for each should be reported separately. |
No effect |
Lessons learned |
Agent Training and Testing |
Deleted rates under “objective/justification” in Attachment II since CMS will develop the rate calculations as appropriate from the data elements reported. |
No effect |
Response to Public Comments |
Agent Training and Testing |
Data elements have been changed. Now requiring for 2009 collection: Number of licensed marketing representatives who are employees of the MAO, Number of licensed independent agents for reporting period, Number of beneficiaries making an enrollment change in 2009, and Initial total agent compensation Data elements for 2010 listed in supporting statement and Attachment II. |
No Effect |
Response to public comments |
Plan Oversight of Agents |
CMS will use the terms “licensed marketing representatives who are employees of the MAO” and “licensed independent agents,” instead of “captive” and “contract” agents. Results for each should be reported separately. |
No effect |
Lessons learned |
Plan Oversight of agents |
Deleted rates under “objective/justification” in Attachment II since CMS will develop the rate calculations as appropriate from the data elements reported |
No effect |
Response to public comments. |
Plan Oversight of agents |
Added a data element: number of agent assisted enrollments. |
Increase |
Response to public comments |
Plan Oversight of agents |
Reportable revocations of selling privileges are now defined as those that stem specifically from marketing conduct. |
No effect |
Response to public comments |
Plan Oversight of agents |
Disciplinary action is defined as “all forms of corrective and disciplinary action (i.e., agents who were alerted to a compliance infraction, directed to retake training certifications).” |
No effect |
Statutory |
SNPs Case Management |
This is a new measure based on section 164 of MIPPA which requires SNPs to conduct an initial assessment and annual reassessment of each enrollee’s physical, psychological, and functional needs. |
Increase |
File Type | application/msword |
File Title | Issue # |
Author | CMS |
Last Modified By | CMS |
File Modified | 2008-09-25 |
File Created | 2008-09-25 |