2715_ss_08-18-2011

2715_SS_08-18-2011.doc

Affordable Care Act Section 2715 Summary Disclosures

OMB: 1210-0147

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Summary of Benefits and Coverage and the Uniform Glossary Required Under the Affordable Care Act

OMB Control No. 1210-NEW

August 2011

SUPPORTING STATEMENT FOR PAPERWORK REDUCTION ACT SUBMISSIONS


  1. Explain the circumstances that make the collection of information necessary. Identify any legal or administrative requirements that necessitate the collection. Attach a copy of the appropriate section of each statute and regulation mandating or authorizing the collection of information.



Section 2715 of the PHS Act directs the Department of Health and Human Services (HHS), the Department of Labor (DOL), and the Department of the Treasury (collectively, the Departments), in consultation with the National Association of Insurance Commissioners (NAIC) and a working group comprised of stakeholders, to “develop standards for use by a group health plan and a health insurance issuer in compiling and providing to applicants, enrollees, and policyholders and certificate holders a summary of benefits and coverage explanation that accurately describes the benefits and coverage under the applicable plan or coverage.” Plans and issuers are required to begin providing the required disclosure (herein referred to as a “summary of benefits and coverage” or “SBC”) no later than March 23, 2012.


To implement these disclosure requirements, collection of information requests relate to the provision of the following:


  • Summary of benefits and coverage, which includes coverage examples.

  • A uniform glossary of health coverage and medical terms.

  • Notice of modifications.


Group health plans and health insurance issuers will be required to use the SBC template and instructions for completing the template, as authorized by the Departments, to satisfy the section 2715 disclosure requirements.


For each benefits package offered, requested, or provided, as applicable, a plan or issuer will populate the SBC template with the applicable plan or coverage information, including the following: (1) a description of the coverage, including cost sharing, for each category of benefits identified in guidance by the Secretary; (2) exceptions, reductions, and limitations of the coverage; (3) the cost-sharing provisions of the coverage, including deductible, coinsurance, and copayment obligations; (4) the renewability and continuation of coverage provisions; (5) coverage examples that illustrate common benefits scenarios (including pregnancy and serious or chronic medical conditions) and related cost sharing; (6) identifying information for the plan or coverage and contact information for questions and for obtaining a copy of the plan document or the insurance policy, certificate, or contract of insurance (such as a telephone number for customer service and an Internet address for obtaining a copy of the plan document or the insurance policy, certificate, or contract of insurance); (7) for plans and issuers that maintain one or more networks of providers, an Internet address (or similar contact information) for obtaining a list of network providers; (8) for plans and issuers that provide prescription drug coverage through a formulary, an Internet address (or similar contact information) for obtaining information on prescription drug coverage; (9) an Internet address (or similar contact information) where a consumer may review and obtain the uniform glossary; and (10) premium (or, in the case of a self-insured group health plan, cost of coverage).


In order to produce coverage examples (CEs) for various benefits scenarios, plans and issuers will simulate claims processing for clinical care provided under each scenario using the services, dates of service, billing codes, and allowed amounts provided by HHS. Benefits scenarios will be based on recognized treatment guidelines available through the National Guideline Clearinghouse. Allowed amounts for each service will be based on national averages. Plans and issuers will follow the instructions for estimating and displaying costs in a standardized format authorized by HHS. The purpose of the coverage examples is to help consumers synthesize the impact of multiple coverage provisions in order to compare the level of protection offered by a plan or coverage for common benefit scenarios. Initially, three coverage examples will be included in the SBC.


Because the statute additionally requires the Secretary to “provide for the development of standards for the definitions of terms used in health insurance coverage,” including specified insurance-related and medical terms, the Departments have interpreted this provision as requiring plans and issuers to make available a uniform glossary of health coverage and medical terms that is two (2) double-sided pages in length. Plans and issuers must include an Internet address (to either the plan’s or issuer’s website, or the website of HHS or DOL) in the SBC for consumers to access the glossary and provide a paper copy of the glossary within 7 days upon request. Plans and issuers may not modify the glossary provided in guidance by the Departments.


Finally, “if a group health plan or health insurance issuer makes any material modification in any of the terms of the plan or coverage involved (as defined for purposes of section 102 of the ERISA) that is not reflected in the most recently provided summary of benefits and coverage, the plan or issuer must provide notice of such modification to enrollees not later than 60 days prior to the date on which such modification will become effective.” Thus, the Departments will require plans and issuers to provide 60-days advance notice of any material modification in any of the terms of the plan or coverage that (1) affect the information required to be included the SBC; (2) occur during the plan or policy year, other than in connection with renewal or reissuance of the coverage; and (3) is not otherwise reflected in the most recently provided SBC.


In developing the requirements for these collections of information, the Departments have incorporated in their entirety the documents recommended by the NAIC, including the SBC template (with instructions, samples, and a guide for Coverage examples calculations to be used in completing the SBC template) and the uniform glossary. These collection instruments were developed and agreed to by the entire NAIC working group and recommended to the Departments by the full NAIC membership .


2. Indicate how, by whom, and for what purpose the information is to be used. Except for a new collection, indicate the actual use the agency has made of the information received from the current collection.


Beginning in 2012, this information collection will help to ensure that approximately 137.9 million participants and beneficiaries enrolled in ERISA covered group health plans receive the consumer protections of the Affordable Care Act. Employers, employees, and individuals will use this valuable information to compare plan or coverage options prior to selecting coverage and to understand the terms of, and extent of medical benefits offered by, their plan or coverage (or exceptions to such coverage or benefits) once they have coverage.


3. Describe whether, and to what extent, the collection of information involves the use of automated, electronic, mechanical, or other technological collection techniques or other forms of information technology, e.g., permitting electronic submission of responses, and the basis for the decision for adopting this means of collection. Also describe any consideration for using information technology to reduce burden.


The SBC template will be made available to plans and issuers in MS Word, a widely available word processing application. Plans and issuers may choose to populate the template manually or to develop systems to capture and report the relevant data in the required standardized format.


With respect to the coverage examples, HHS will make available in an Excel spreadsheet the clinical benefits scenarios, including specific services, dates of service, billing codes, and allowed charges associated with each scenario. Plans and issuers will simulate processing of claims under each benefits scenario to generate an illustration of costs a consumer could expect to share with the plan or coverage. Plans and issues should eventually be able to generate these outputs using automated systems for each benefits package they offer. At the outset, however, calculations for the Coverage examples may need to be performed manually, such as using Excel.


Once completed, the SBC may be provided either in paper form or, if certain safeguards are met, in electronic form. Electronic disclosure in the individual and group markets, where appropriate, will help reduce the cost and burden of distributing this information.


4. Describe efforts to identify duplication. Show specifically why any similar information already available cannot be used or modified for use for the purposes described in Item 2 above.


Under the health care reform insurance web portal requirements at 45 CFR 159, HHS collects summary information about health insurance products that are available in the individual and small group markets. The web portal collection is similar to a subset of this information collection (i.e., information about health insurance coverage options offered to individuals or small employer groups prior to medical underwriting). To reduce duplication, this NPRM would deem individual and small group market issuers that comply with the Web portal collection compliant with part of this collection. The Departments nonetheless expect some duplication, as issuers will be required to provide such information in paper form upon request.


In addition, under the disclosure requirements at 29 CFR 2520, Employee Retirement Income Security Act (ERISA)-covered group health plans are already required to disclose to participants and beneficiaries similar plan information in a summary plan description (SPD). This collection will require plans to summarize such SPD information so consumers may better understand the terms of the plan and meaningfully compare plan options. While this collection will thus duplicate some information collected under ERISA, the burden of compiling and providing it in the required standardized format is reduced, because it is readily available to plan sponsors and administrators and disclosed as part of their current operations.



5. If the collection of information impacts small businesses or other small entities (Item 5 of OMB Form 83-I), describe any methods used to minimize burden.


The regulation applies to all employee benefit plans and therefore is likely to affect small entities (small business, small plans) that provide benefits. A large majority of small plans purchase administration services from insurers, HMOs, and other service providers, and the Department has taken this fact into account in deriving its burden estimates. These service providers typically develop a single processing system to service a large number of customers, including small entities. Thus, the cost of preparing and distributing the disclosures is spread thinly over a large number of small plans. Moreover, small plans and their respective enrollees benefit equally from the service provider’s expertise and ability to provide the disclosures. Finally, the vast majority of health insurance issuers are not small businesses.1


6. Describe the consequence to Federal program or policy activities if the collection is not conducted or is conducted less frequently, as well as any technical or legal obstacles to reducing burden.


This collection is required to fulfill the statutory requirements under PHS Act section 2715. This collection will ensure that at multiple points in the enrollment process consumers have accurate information with which to understand and compare plan and coverage options. If this collection is not conducted, or is conducted less frequently, consumers will not receive the protections to which they are entitled under the Affordable Care Act. If, however, information collected in the first instance does not change in subsequent collections, duplicate collections are typically not required during the plan or policy year. Furthermore, multiple collections are not required in the case of family coverage, if covered family members reside at the same address. These provisions will limit the collection burden on the industry while providing meaningful and consistent information to consumers.



7. Explain any special circumstances that would cause an information collection to be conducted in a manner:


requiring respondents to report information to the agency more often than quarterly;


requiring respondents to prepare a written response to a collection of information in fewer than 30 days after receipt of it;


requiring respondents to submit more than an original and two copies of any document;


requiring respondents to retain records, other than health, medical, government contract, grant-in-aid, or tax records for more than three years;


in connection with a statistical survey, that is not designed to produce valid and reliable results that can be generalized to the universe of study;


requiring the use of a statistical data classification that has not been reviewed and approved by OMB;


that includes a pledge of confidentiality that is not supported by authority established in statute or regulation, that is not supported by disclosure and data security policies that are consistent with the pledge, or which unnecessarily impedes sharing of data with other agencies for compatible confidential use; or


requiring respondents to submit proprietary trade secret, or other confidential information unless the agency can demonstrate that it has instituted procedures to protect the information's confidentiality to the extent permitted by law.


Plans and issuers are required to provide the SBC to an applicant upon request of an application for, or health coverage information about, a policy, certificate, or contract of insurance and upon request for enrollment pursuant to a special enrollment right. In such instances, disclosure must occur as soon as practicable, but not later than 7 days after receipt of the request. Similarly, upon general request, plans and issuers are required to provide the SBC as soon as practicable, but not later than 7 days after the receipt of the request. Depending on the number of such requests, plans and issuers may have to provide several copies of the SBC.


8. If applicable, provide a copy and identify the date and page number of publication in the Federal Register of the agency's notice, required by 5 CFR 1320.8(d), soliciting comments on the information collection prior to submission to OMB. Summarize public comments received in response to that notice and describe actions taken by the agency in response to these comments. Specifically address comments received on cost and hour burden.


Describe efforts to consult with persons outside the agency to obtain their views on the availability of data, frequency of collection, the clarity of instructions and recordkeeping, disclosure, or reporting format (if any), and on the data elements to be recorded, disclosed, or reported.


Consultation with representatives of those from whom information is to be obtained or those who must compile records should occur at least once every 3 years -- even if the collection of information activity is the same as in prior periods. There may be circumstances that may preclude consultation in a specific situation. These circumstances should be explained.



The proposed regulation provides the public with a 60-day period to submit written comments on the rule and the ICR.

As required by PHS Act section 2715, the Departments consulted on this proposed collection with the NAIC, which convened a multi-stakeholder working group composed of representatives of consumer advocacy organizations, health insurance issuers, health care professionals, patient advocates including those representing individuals with limited English proficiency, and other qualified individuals. The NAIC process, conducted over many months, was open to the public and permitted oral and written comments from interested parties (NAIC records indicate that approximately 100 people participated in each working group session). America’s Health Insurance Plans, Blue Cross Blue Shield Association, Consumers’ Union, and others funded consumer focus-group and cognitive interview testing to determine the usability of the forms. Additionally, the NAIC invited expert comment on the readability of the forms. These forms were recommended to the Departments by unanimous consent of the working group and the NAIC.

In addition to the NAIC process, the Department consulted with industry experts, including health insurance issuers and groups representing employers with self-funded health plans, to gain insight into the hour and cost burden associated with this collection, the tasks and level of effort required, and the availability of data.


9. Explain any decision to provide any payment or gift to respondents, other than remuneration of contractors or grantees.


Not applicable.


10. Describe any assurance of confidentiality provided to respondents and the basis for the assurance in statute, regulation, or agency policy.


This information collection request (ICR) requires the disclosure of information regarding, among other things, premium rates, cost-sharing, covered benefits, and exceptions, reductions and limitations on coverage by plans and issuers directly to consumers. The purpose of this collection is to summarize information about the terms of the applicable plan or coverage that is described in fuller detail in the policy, certificate, or contract of insurance or other plan document. Therefore, the Departments believe this collection does not require the disclosure of trade secrets or other confidential information.


11. Provide additional justification for any questions of a sensitive nature, such as sexual behavior and attitudes, religious beliefs, and other matters that are commonly considered private. This justification should include the reasons why the agency considers the questions necessary, the specific uses to be made of the information, the explanation to be given to persons from whom the information is requested, and any steps to be taken to obtain their consent.


None.


12. Provide estimates of the hour burden of the collection of information. The statement should:


Indicate the number of respondents, frequency of response, annual hour burden, and an explanation of how the burden was estimated. Unless directed to do so, agencies should not conduct special surveys to obtain information on which to base hour burden estimates. Consultation with a sample (fewer than 10) of potential respondents is desirable. If the hour burden on respondents is expected to vary widely because of differences in activity, size, or complexity, show the range of estimated hour burden, and explain the reasons for the variance. Generally, estimates should not include burden hours for customary and usual business practices.


If this request for approval covers more than one form, provide separate hour burden estimates for each form and aggregate the hour burdens in Item 13 of OMB Form 83-I.


Provide estimates of annualized cost to respondents for the hour burdens for collections of information, identifying and using appropriate wage rate categories. The cost of contracting out or paying outside parties for information collection activities should not be included here. Instead, this cost should be included in Item 14.


Each group health plan and health insurance issuer offering group or individual health insurance coverage must provide a summary of benefits and coverage (SBC) to entities and individuals at specified points in the enrollment process. This disclosure must include, among other things, coverage examples that illustrate common benefits scenarios and related cost sharing. Additionally, plans and issuers must make the uniform glossary available in electronic form, with paper upon request, and provide 60-days advance notice of any material modifications in the plan or coverage.


Although coverage examples are part of the SBC disclosure, the Departments calculate separate burden estimates for purposes of this section, assuming the information collection request for the SBC (not including coverage examples) totals six (6) sides of a page in length and assuming the information collection request for coverage examples totals two (2) sides of a page in length.


The Departments estimate 858 respondents each year from 2011-2013. This estimate reflects approximately 220 issuers offering comprehensive major medical coverage in the small and large group markets and approximately 638 third-party administrators (TPAs).


To account for variation in firm size, the Departments estimate a weighted burden on the basis of issuer’s 2009 total earned premiums for comprehensive major medical coverage. The Departments define small issuers as those with total earned premiums less than $50 million; medium issuers as those with total earned premiums between $50 million and $999 million; and large issuers as those with total earned premiums of $1 billion or more. Accordingly, the Departments estimate approximately 70 small, 115 medium, and 35 large issuers. Similarly, the Departments estimate approximately 204 small, 332 medium, and 102 large TPAs.


Note that all burden estimates are the total burden, however for accounting purposes the burden totals are divided evenly between the Department of Labor and the Department of the Treasury.


2011 Burden Estimate


The estimated hour burden and equivalent cost for the collections of information are as follows:


While the disclosures in this NPRM are not required until March 2012, the Departments estimate a one-time administrative cost of about $36,000,000 across the industry and a total of about 680,000 burden hours to prepare for the provisions of these proposed regulations. This calculation is made assuming issuers and TPAs will need to implement two principal tasks: (1) develop teams to analyze current workflow processes in relation to the new requirements and (2) make appropriate changes to IT systems and processes.


With respect to task (1), the Departments estimate about 97,000 burden hours and an equivalent cost of about $4,800,000. The Departments calculate these estimates as follows:



Task 1: Analyze current workflow and new rules

 

Hourly Wage Rate

Small Issuer / TPA

Medium Issuer/TPA

Large Issuer/TPA

Hours

Equivalent Cost

Hours

Equivalent Cost

Hours

Equivalent Cost

IT Professionals

$53.26

36

$1,900

54

$2,900

72

$3,800

Benefits/Sales Professionals

$41.94

40

$1,700

60

$2,500

80

$3,400

Attorneys

$85.44

4

$340

6

$510

8

$680

Total per issuer/ TPA


80

$3,900

120

$5,900

160

$7,900

Total for all issuers/TPAs


22,000

$1,100,000

53,000

$2,600,000

22,000

$1,100,000


With respect to task (2), the Departments estimate about 580,000 burden hours and an equivalent cost of about $31,000,000. The Departments calculate these estimates as follows:


Task 2: IT Changes


Hourly Wage Rate

Small Issuer/TPA

Medium Issuer/TPA

Large Issuer/TPA

Hours

Equivalent Cost

Hours

Equivalent Cost

Hours

Equivalent Cost

IT Professionals

$53.26

480

$26,000

720

$38,000

960

$51,000

Total per issuer/TPA


480

$26,000

720

$38,000

960

$51,000

Total for all issuers/TPAs


130,000

$7,100,000

320,000

$17,000,000

130,000

$7,000,000


The Departments assume the total one-time administrative burden will be divided equally between 2011 and 2012. Thus, in 2011, the Departments estimate a one-time administrative cost of about $18,000,000 across the industry and about 340,000 burden hours. The Departments assume issuers and TPAs will incur no other costs in 2011 related to these collection of information requirements.


2012 Burden Estimate


The estimated hour burden and equivalent cost for the collections of information are as follows:


• The Departments estimate there will be about 77,000,000 SBC responses in 2012.

• The Departments assume that of the total number of SBC responses in 2012, 38% would be provided electronically in the small and large group markets. Accordingly, the Departments estimate that about 29,000,000 SBCs would be electronically distributed, and about 48,000,000 SBCs would be distributed in paper form. The Departments assume there are no costs associated with electronic disclosure; there are costs only with regard to paper disclosure.


Summary of benefits and coverage – The SBC requires issuers/TPAs to summarize the terms of the coverage involved, such as covered benefits, cost sharing, and exceptions, reductions, and limitations on coverage. The Departments estimate an hour burden of about 820,000 hours and an equivalent cost of about $24,000,000. The Departments calculate these estimates as follows:


Equivalent Costs for Producing SBCs (not including coverage examples)

 

Hourly Wage Rate

Small Issuer/TPA

Medium Issuer/TPA

Large Issuer/TPA

Hours

Equivalent Cost

Hours

Equivalent Cost

Hours

Equivalent Cost

IT Professionals

$53.26

1.5

$80

1.5

$80

1.5

$80

Benefits/Sales Professionals

$41.94

1.5

$63

1.5

$63

1.5

$63

Financial Managers

$75.32

0.5

$38

0.5

$38

0.5

$38

Attorneys

$85.44

0.5

$43

0.5

$43

0.5

$43

Total per issuer/TPA


4

$220

4

$220

4

$220

Total for all issuers/ TPAs


1,100

$61,000

1,800

$100,000

550

$31,000


Equivalent Costs for Distributing SBCs (including coverage examples)


Hourly Wage Rate

Hours per SBC

Total Number of SBCs

Total Hours

Total Equivalent Cost

Clerical Staff

$29.15

0.017

48,000,000

820,000

$24,000,000


Coverage examples – A set of three coverage examples is included in each SBC and will require issuers and TPAs to simulate claims processing for services under each scenario, applying the plan’s or coverage’s cost-sharing rules and benefit limitations and exclusions as appropriate. The Departments estimate an hour burden of about 100,000 hours and an equivalent cost of about $5,800,000. The Departments calculate these estimates as follows:

Equivalent Costs for Producing Coverage examples

 

Hourly Wage Rate

Small Issuer/TPA

Medium Issuer/TPA

Large Issuer/TPA

Hours

Equivalent Cost

Hours

Equivalent Cost

Hours

Equivalent Cost

IT Professionals

$53.26

45

$2,400

45

$2,400

45

$2,400

Benefits/Sales Professionals

$41.94

45

$1,900

45

$1,900

45

$1,900

Financial Managers

$75.32

15

$1,100

15

$1,100

15

$1,100

Attorneys

$85.44

15

$1,300

15

$1,300

15

$1,300

Total per issuer/TPA


120

$6,700

120

$6,700

120

$6,700

Total for all issuers/ TPAs


33,000

$1,900,000

53,000

$3,000,000

16,000

$900,000



Uniform glossary – The Departments assume that in 2012, issuers and TPAs will begin responding to requests of covered individuals for paper copies of the uniform glossary, and that 2.5% of covered individuals who receive the SBC in paper form will request glossaries (that is, about 1,200,000 glossary requests). The Departments estimate the burden and equivalent cost of providing the glossary to be 2.5% of the burden and cost of distributing the SBC in paper form. Accordingly, in 2012, the Departments estimate an hour burden of about 21,000 hours and an equivalent cost of about $600,000.

One-time administrative costs – As mentioned above, the Departments estimate a one-time administrative cost of about $36,000,000 across the industry and a total of about 680,000 burden hours, and assume this burden will be equally divided between 2011 and 2012. Thus, in 2012, the Departments estimate a one-time administrative cost of about $18,000,000 across the industry and about 340,000 burden hours.


The total 2012 burden estimate is about $48,000,000. The total number of burden hours is about 1,300,000 hours.


2013 Burden Estimate


The estimated hour burden and equivalent cost for the collections of information are as follows:


Summary of benefits and coverage – The number of SBC responses in 2013 is assumed to remain constant at 2012 levels (that is, 77,000,000 responses) . Thus, in 2013, the Departments again estimate an hour burden of about 820,000 hours and an equivalent cost of about $24,000,000.


Coverage examples – The Departments again estimate an hour burden of about 100,000 hours and an equivalent cost of about $5,800,000 to produce coverage examples in 2013.


Uniform glossary – The Departments assume that in 2013, issuers and TPAs will begin responding to requests of covered individuals for paper copies of the uniform glossary, and that 5% of covered individuals who receive the SBC in paper form will request glossaries (that is, about 2,400,000 glossary requests). The Departments estimate the burden and equivalent cost of providing the glossary to be 5% of the burden and cost of distributing the SBC in paper form. Accordingly, in 2013, the Departments estimate an hour burden of about 41,000 hours and an equivalent cost of about $1,200,000.


Notice of modifications – The Departments assume that in 2013, issuers and TPAs will begin sending notices of modifications to covered individuals, and that 2% of covered individuals would receive such notice (that is, about 1,500,000 notices). The Departments estimate the burden and cost of providing the notices to be 2% of the combined burden and cost of the SBCs (including the coverage examples). Accordingly, in 2013, the Departments estimate an hour burden of about 18,000 hours and an equivalent cost of about $600,000.


Maintenance administrative costs – In 2013, the Departments assume that issuers and TPAs will need to make updates to address changes in requirements, and, thus, incur 15% of the one-time administrative burden. Accordingly, the estimated hour burden is about 100,000 hours, and the estimated total cost is about $5,400,000. The Departments calculate these estimates as follows:


 

Hourly Wage Rate

Small Issuer/TPA

Medium Issuer/TPA

Large Issuer/TPA

Hours

Equivalent Cost

Hours

Equivalent Cost

Hours

Equivalent Cost

IT Professionals

$53.26

46.2

$2,500

69.3

$3,700

92.4

$4,900

Benefits / Sales Professionals

$41.94

33.6

$1,800

50.4

$2,700

67.2

$3,600

Attorneys

$85.44

4.2

$220

6.3

$340

8.4

$450

Total per issuer/TPA


84

$4,500

126

$6,700

168

$8,900

Total for all issuers/ TPAs


23,000

$1,200,000

56,000

$3,000,000

23,000

$1,200,000



The total 2013 cost estimate is about $37,000,000. The total number of burden hours is about 1,100,000 hours.

  1. Provide an estimate of the total annual cost burden to respondents or recordkeepers resulting from the collection of information. (Do not include the cost of any hour burden shown in Items 12 or 14).


2012 Cost Burden Estimate


  • The Departments estimate that there will be about 77,000,000 SBC responses (including coverage examples) in 2012.

  • The Departments assume that of the total number of SBC responses, 38% would be provided electronically in the small and large group markets. Accordingly, the Departments estimate that about 29,000,000 SBCs would be electronically distributed, and about 48,000,000 SBCs would be distributed in paper form. The Departments assume there are no costs associated with electronic disclosures; there are costs only with regard to paper disclosures.

  • The Departments estimate grayscale printing costs at $0.03 per single side of a page.

  • The Departments assume that in 2012, issuers and TPAs will begin responding to requests of covered individuals for paper copies of the uniform glossary, and that 2.5% of covered individuals who receive the SBC in paper form will request glossaries (that is, about 1,200,000 glossary requests) . The Departments estimate the cost of providing the glossary in paper form to be 2.5% of the cost of distributing the paper copies of the SBC, plus an additional cost burden for $0.49 for each glossary (including $0.44 for first-class postage and $0.05 for supply costs).


The estimated cost burdens for the collections of information are as follows:

Cost Burden for Printing SBCs


Cost per SBC

Total SBCs

Total Cost Burden

Printing Costs

$0.12

48,000,000

$5,800,000


Cost Burden for Printing Coverage examples

 

Printing Cost Per Coverage Example

Total Number of Coverage Examples Printed

Total Cost Burden

Printing Costs

$0.06

48,000,000

$2,900,000


Cost Burden for Printing and Mailing Uniform Glossaries

 

Printing Cost Per Glossary

Mailing Costs Per Glossary

Total Glossaries Requested/Printed

Total Cost Burden

Printing Costs

$0.12

$0.49

1,200,000

$730,000


2013 Cost Burden Estimate

  • The Departments make the same assumptions regarding the number of SBC responses (including coverage examples), electronic distribution, and printing costs in 2013 as in 2012.

  • The Departments assume that in 2013, issuers and TPAs would begin sending notices of modifications to covered individuals and that 2% of covered individuals would receive such notice (that is, about 1,500,000 notices). The Departments estimate the cost of providing the notices to be 2% of the cost of the providing SBCs (including coverage examples). Notices are assumed to be equal in length to the SBC (that is, six (6) sides of a page).

  • The Departments assume 5% of covered individuals who receive the SBC in paper form will request paper copies of the uniform glossary (that is, about 2,400,000 glossary requests). The Departments estimate the cost of providing the notices to be 5% of the cost of distributing paper copies of the SBC and make the same assumptions about postage and supply costs in 2013 as in 2012.



The estimated cost burdens for the collections of information are as follows:

Cost Burden for Printing SBCs


Cost per SBC

Total SBCs

Total Cost Burden

Printing Costs

$0.12

48,000,000

$5,800,000


Cost Burden for Printing Coverage examples

 

Printing Cost Per Coverage Example

Total Number of Coverag Examples Printed

Total Cost Burden

Printing Costs

$0.06

48,000,000

$2,900,000


Cost Burden for Printing and Mailing Notices of Modifications

 

Printing Cost Per Notice

Mailing Costs Per Notice

Total Notices Printed

Total Cost Burden

Printing Costs

$0.18

$0.49

960,000

$640,000


Cost Burden for Printing and Mailing Uniform Glossaries

 

Printing Cost Per Glossary

Mailing Costs Per Glossary

Total Glossaries Requested/Printed

Total Cost Burden

Printing Costs

$0.12

$0.49

2,400,000

$1,500,000



14. Provide estimates of annualized cost to the Federal government. Also, provide a description of the method used to estimate cost, which should include quantification of hours, operational expenses (such as equipment, overhead, printing, and support staff), and any other expense that would not have been incurred without this collection of information. Agencies also may aggregate cost estimates from Items 12, 13, and 14 in a single table.


These information collection tools were developed by the Federal government for use by the industry. The Departments will periodically update these forms, as necessary. But because there are no program costs associated with this collection, the annualized cost to the Federal government is minimal.


15. Explain the reasons for any program changes or adjustments reporting in Items 13 or 14 of the OMB 83-I.


This is a new collection of information.



16. For collections of information whose results will be published, outline plans for tabulation, and publication. Address any complex analytical techniques that will be used. Provide the time schedule for the entire project, including beginning and ending dates of the collection of information, completion of report, publication dates, and other actions.


Not applicable.


17. If seeking approval to not display the expiration date for OMB approval of the information collection, explain the reasons that display would be inappropriate.


The Departments request an exemption from displaying the expiration date, as these forms will be used on a continuous basis. To include an expiration date would result in having to discard a potentially large number of forms.


18. Explain each exception to the certification statement identified in Item 19, "Certification for Paperwork Reduction Act Submission," of OMB 83-I.


Not applicable; no exceptions to the certification statement.

1 The Small Business Administration threshold for a small business is $7 million in annual receipts for both health insurers (North American Industry Classification System, or NAICS, Code 524114). Using total Accident and Health (A&H) earned premiums from the 2009 National Association of Insurance Commissioners (NAIC) Health and Life Blank as a proxy for annual receipts, we estimate 28 small entities with less than $7 million in A&H earned premiums offering individual or group comprehensive major medical coverage; however, this estimate may overstate the actual number of small health insurance issuers offering such coverage, since it does not include receipts from these companies’ other lines of business. These 28 small entities represent about 6.3% of 442 total health insurers.


15



File Typeapplication/msword
File TitleSUPPORTING STATEMENT FOR PAPERWORK REDUCTION ACT 1995 SUBMISSIONS
Authorridgwayc
Last Modified ByMichel Smyth
File Modified2011-08-22
File Created2011-08-22

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