CMS-R-144 and 368 - Supporting Statement A (2021 version 1)

CMS-R-144 and 368 - Supporting Statement A (2021 version 1).docx

Medicaid Drug Rebate Program (MDRP): Quarterly State Invoice (CMS-R-144) and State Agency Contact Form (CMS-368)

OMB: 0938-0582

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Supporting Statement Part A

Medicaid Drug Rebate Program (MDRP)

Quarterly State Invoice (CMS-R-144)

State Agency Contact Form (CMS-368)

OMB 0938-0582


Background


Section 1927 of the Social Security Act (the Act) requires drug manufacturers to enter into and have in effect a national rebate agreement with the Federal Government for States to receive funding for prescription drugs dispensed to Medicaid recipients. For purposes of this legislation, a drug manufacturer is defined as an entity holding legal title to the National Drug Code (NDC) number for a prescription drug, nonprescription drug or biological product.


To receive a rebate on the drugs dispensed to Medicaid recipients, States are required to submit quarterly utilization data reports to drug manufacturers that have national rebate agreements with the Federal Government. In addition, a copy of these reports must also be submitted to the Centers for Medicare & Medicaid Services (CMS). In turn, States are required to refund the Federal share of all Medicaid drug rebates they collect by reporting such rebates on a quarterly Medicaid expenditure report for the quarter in which the rebate was received.


CMS is requesting a three year approval of the State reporting requirements (forms CMS-R-144 and CMS-368) under the drug rebate program.


Form CMS-R-144 is required from States quarterly to report utilization for any drugs paid for during that quarter. Form CMS 368 is a report of contact for the State to name the individuals involved in the Medicaid Drug Rebate Program (MDRP), and is required only in those instances where a change to the originally submitted data is necessary. The ability to require the reporting of any changes to these data is necessary to the efficient operation of these programs.


In this 2020/2021 iteration we have revised our per response time estimate by 1 hours (for CMS-R-144) due to the new certification requirement that was captured in the previous iteration. We have also adjusted our labor rates based on more recent BLS data. Consequently, there is a slight increase in our total time and cost estimates.


Effective July 1, 2021, we are updating to a new Medicaid Drug Programs (MDP) system which will now accept a delimited text file format, Comma Separated Values (.CSV), in addition to the current Text (.TXT) file format. We have also increased several file format data field sizes in order to accommodate the higher priced drugs that are entering the market. These changes in conjunction with numerous edits to verbiage are applicable to Forms CMS-304 and CMS-304a. This PRA package (0938-0676) is simultaneously being updated along with our two corresponding PRA packages (0938-0578 and 0938-0582), so that all the MDP file formats, field sizes, and verbiage will align across the MDRP. In this regard we added a one-time burden for each manufacturer to make any system updates to accommodate the updated field sizes and .CSV file formats for CMS-R-144.


Form CMS-368 has been revised by removing the DUR State Contact information and description “Drug Utilization Review (DUR) Program” in the CMS-368 header. This information is now accounted for in CMS-R-153 (OMB control number: 0938-0659).


See section 15 for more details regarding the changes.


  1. Justification


1. Need and Legal Basis


The authority for requiring States to submit the quarterly data report is found in Section 1927 of the Act. Specifically, Section 1927(a)(1) describes the requirements for rebate agreements and section 1927(b)(2) describes the state’s responsibilities with respect to the drug rebate program. Copies of these portions of the statute are attached, along with copies of the relevant statutory changes included in the Affordable Care Act.


2. Information Users


CMS develops the rebate amount per drug unit from information supplied by the drug manufacturers and distributes these data to the States. States then must report quarterly to the drug manufacturers and to CMS the total number of units of each dosage form/strength of their covered outpatient drugs reimbursed during a quarter and the rebate amount to be refunded. This report is due within 60 days of the end of each calendar quarter. The information in the report is based on claims paid by the State Medicaid agency during a calendar quarter.


3. Use of Information Technology


Currently, States are required to submit their quarterly reports to CMS via Electronic File Transfer (EFT), however with MDP, states will be required to upload their quarterly reports directly into MDP and EFT will no longer be an option. However, States determine the vehicle by which they submit the same reports to the drug manufacturers, i.e., electronic media or hard copy. CMS developed a hard copy layout of the required reporting data which contains the same data as that developed for electronic record layout. This layout was agreed upon by the States and CMS for those instances where electronic media is not used for quarterly reporting to drug manufacturers.


4. Duplication of Efforts


This information collection does not duplicate any other effort and the information cannot be obtained from any other source.


5. Small Businesses


This collection of information does not involve small businesses or other small entities.


6. Less Frequent Collection


Section 1927 of the Act requires the quarterly reporting by States of the drug identification and rebate data. Less frequent reporting of these documents would hamper the efficient administration and function of the MDRP.


7. Special Circumstances


There are no special circumstances that would require an information collection to be conducted in a manner that requires respondents to:


  • Report information to the agency more often than quarterly;

  • Prepare a written response to a collection of information in fewer than 30 days after receipt of it;

  • Submit more than an original and two copies of any document;

  • Retain records, other than health, medical, government contract, grant-in-aid, or tax records for more than three years;

  • Collect data 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,

  • Use a statistical data classification that has not been reviewed and approved by OMB;

  • Include 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

  • 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.


8. FR Notice/Outside Consultations


The 60-day notice published in the Federal Register on November 30, 2020 (85 FR 76577). Comments were received and are included in this package along with our response.


The 30-day notice published in the Federal Register on February 23, 2021 (86 FR 10971). Comments are due by March 25, 2021.


9. Payments/Gifts


There is no provision for any payment or gift to respondents associated with this reporting requirement.


10. Confidentiality


Confidentiality has been assured in accordance with Section 1927(b)(3)(D) of the Act.


11. Sensitive Questions


There are no sensitive questions associated with this collection. Specifically, the collection does not solicit questions of a sensitive nature, such as sexual behavior and attitudes, religious beliefs, and other matters that are commonly considered private.


12. Burden Estimates


12.1 Wage Estimates


To derive average costs, we used data from the U.S. Bureau of Labor Statistics’ May 2019 National Occupational Employment and Wage Estimates for all salary estimates (http://www.bls.gov/oes/current/oes_nat.htm). In this regard, the following table presents the mean hourly wage, the cost of fringe benefits and overhead (calculated at 100 percent of salary), and the adjusted hourly wage.


Hourly Wage Estimates

Occupation Title

Occupation Code

Mean Hourly Wage ($/hr)

Fringe Benefits and Overhead ($/hr)

Adjusted Hourly Wage ($/hr)

Accountant/Auditor

13-2011

38.23

38.23

76.46

Chief Executives

11-1011

93.20

93.20

186.40

Computer Programmer

15-1251

44.53

44.53

89.06

Computer System Analyst

15-1211

46.23

46.23

92.46

Computer Tester

15-1256

53.66

53.66

107.32

General & Operations Manager

11-1021

59.15

59.15

118.30

Office & Administrative Support Worker

43-9199

18.41

18.41

36.82


As indicated, we are adjusting our employee hourly wage estimates by a factor of 100 percent. This is necessarily a rough adjustment, both because fringe benefits and overhead costs vary significantly from employer to employer, and because methods of estimating these costs vary widely from study to study. Nonetheless, we believe that doubling the hourly wage to estimate total cost is a reasonably accurate estimation method.


12.2 Collection of Information Requirements and Associated Burden Estimates


CMS-R-144 – Quarterly State Invoice


There are 56 states (including Washington, D.C. and the U.S. Territories) in the rebate program. The majority of the State burden is associated with the quarterly drug utilization reports, in which all State agencies report drug utilization data to drug manufacturers and to CMS. Currently these reports are submitted to CMS via Electronic File Transfer (EFT), which will switch to direct file upload with our MDP system; however, CMS has no control over the vehicle by which States report to the drug manufacturers. The States and the drug manufacturers agree on a method of data transmission. Some States opt for hard copy reports, while others use magnetic media or other forms of electronic transmission. States that opt to report via hard copy are required to use the format associated with the CMS-R-144. The quarterly burden associated with the CMS-R-144 is the total average of the time and effort it takes for both types of data transmissions.


The quarterly burden is an average of the time and effort it takes for both types of data transmissions (hardy copy or electronic), for state data review and certification, and to account for any updates to state management CMS system access.


We estimate a quarterly burden of 5 hours at $76.46/hr for an Accountant/Auditor, 1.0 hours at $186.40/hr for a Chief Executive, 5 hours at $92.46/hr for a Computer Systems Analyst, 4 hours at $118.30/hr for a General Operations Manager, and 40 hours at $36.82/hr for an Office & Administrative Support Worker to submit a quarterly drug utilization report to drug manufacturers and CMS.


In aggregate we estimate an annual burden of 12,320 hours (56 states x 55 hr/response x 4 responses/yr) at a cost of $666,848 (224 responses x [(5 hr x $76.46/hr) + (1.0 hr x $186.40/hr) + (5 hr x $92.46/hr) + (4 hr x $118.30/hr) + (40 hr x $36.82/hr)]).


CMS-R-144 – One-Time System Updates


We also estimate a one-time burden of 16 hours at $89.06/hr for a Computer Programmer and 8 hours at $107.32/hr for a Computer Tester for each manufacturer to make any system updates to accommodate the updated field sizes and .CSV file formats for CMS-R-144. This equates to a total one-time burden of 1,344 hours (24 hr x 56 states) at a cost of $127,877 (56 responses x [(16 hr x $89.06/hr for a Computer Programmer) + (8 hr x $107.32/hr for a Computer Tester)]).


CMS-368 – State Agency Contact Form


Form CMS-368 is submitted by states on an as-needed basis in order to report changes to previously submitted administrative data (contact persons). We anticipate that only 10 States will need to revise their current administrative data on an as needed basis.


We estimate that it will take 0.5 hours at $36.82/hr for an Office & Administrative Support Worker to report any changes to previously submitted administrative data. In aggregate we estimate an annual burden of 5 hours (10 states x 0.5 hr/state) at a cost of $184 (5 hr x $36.82/hr).


12.3 Summary of Burden Estimates


Form

Annual Frequency

No. Respondents

Total Responses

Time per Response (hr)

Total Annual Time (hr)

Labor Cost ($/hr)

Total Cost ($)

CMS-R-144

Quarterly

56

224

55

12,320

Varies*

666,848

CMS-R-144

One-Time

56

56

24

1,344

Varies*

127,877

Subtotal (R-144)

56

280

Varies

13,664

Varies

794,725

CMS-368

As Needed

10

10

0.5

5

36.82

184

TOTAL

Varies

290

Varies

13,669

Varies

794,909

*See above for details.


12.4 Information Collection Instruments and Instruction/Guidance Documents


CMS-R-144 – Quarterly State Invoice


  • CMS Form R-144 – Quarterly State Invoice (No changes)


The established invoice format that states use to send rebate invoices (within 60 days of the end of the calendar quarter) to each manufacture Invoice Contact for any rebate- eligible drugs the states paid for during that quarter.


  • CMS-R-144 – Record Format (Changes)


Provides the electronic field size listing which must be used if labelers submits the form electronically.


  • CMS-R-144 – Data Definitions (Changes)


Provides the corresponding Data Field Definitions to the CMS-R-144 Record Layout.


  • Invoice Process Instructions (No changes)


Provides an invoice process overview for states.


CMS-368 – State Agency Contact Form


  • CMS Form 368 – State Agency Contact Form (Changes)


Submitted by states on as as-needed basis in order to report changes to previously submitted administrative data (i.e., contact persons).


13. Capital Costs


There are no capital or start-up costs associated with this information collection because the Medicaid Drug Rebate Program has been in existence since January 1, 1991. States have had their data systems in place for drug rebate data collection since that time.


14. Cost to Federal Government


Per the U.S. Office of Personnel Management (OPM), 2021 General Schedule (GS) Locality Pay Tables (https://www.opm.gov/policy-data-oversight/pay-leave/salaries-wages/salary-tables/pdf/2020/DCB_h.pdf), for the pay area of Washington, DC-Baltimore, MD-Arlington, VA. Quarterly, we estimate it will take a GS-11, Step 1, Health Insurance Specialist, 1 hour at $34.86/hr to update any state contact information, and a GS-13, Step 1, Health Insurance Specialist, 3 hours at $49.68/hr to review any issues with the state utilization data.


In aggregate we estimate an annual burden of 16 hours (4 hr x 4 responses/yr) at a cost of $735 [(4 hr x $34.86/hr) + (12 hr x $49.68/hr)].


Annual Federal Burden Summary

Burden Category

Time per Quarter

(hours)

Total Annual Time (hr)

Labor Cost ($/hr)

Total Annual

Cost

($)

Update State

Contact Information

1

4

34.86

139

Review State Utilization Data

3

12

49.68

596

Total

4

16

Varies

735


15. Changes to Collection of Information Requirements and Burden


In this 2020/2021 iteration we have revised our per response time estimate by 1 hours (for CMS-R-144) due to the new certification requirement that was captured in the previous iteration. We have also adjusted our labor rates based on more recent BLS data. Consequently, there is a slight increase in our total time and cost estimates.


CMS-R-144 – Quarterly State Invoice

Burden Category

Annual Respondents

Annual Responses

Time per response (hr)

Total Annual Time (hr)

Labor cost ($/hr)

Total Annual Cost ($)

Proposed (see section 12, above)




56



224




55






12,320





Varies




666,848



Currently Approved Burden

56

224

54

12,096

Varies

615,346


CHANGE

No Change

No Change

+1

+224

Varies

+51,502


Effective July 1, 2021, we are updating to a new Medicaid Drug Programs (MDP) system which will now accept a delimited text file format, Comma Separated Values (.CSV), in addition to the current Text (.TXT) file format. We have also increased several file format data field sizes in order to accommodate the higher priced drugs that are entering the market. These changes in conjunction with numerous edits to verbiage are applicable to Forms CMS-368 and CMS-R-144. This PRA package (0938-0582) is simultaneously being updated along with our two corresponding PRA packages (0938-0578 and 0938-0676), so that all the MDP file formats, field sizes, and verbiage will align across the MDRP. In this regard we added a one-time burden for each manufacturer to make any system updates to accommodate the updated field sizes and .CSV file formats for CMS-R-144.


We estimate a one-time burden of 16 hours at $89.06/hr for a Computer Programmer and 8 hours at $107.32/hr for a Computer Tester for each manufacturer to make any system updates to accommodate the updated field sizes and .CSV file formats for CMS-R-144. This equates to a total one-time burden of 1,344 hours (24 hr x 56 states) at a cost of $127,877 (56 responses x [(16 hr x $89.06/hr for a Computer Programmer) + (8 hr x $107.32/hr for a Computer Tester)]).


CMS-R-144 – One-Time System Updates

Annual Frequency

No. Respondents

Total Responses

Time per Response (hr)

Total Annual Time (hr)

Labor Cost ($/hr)

Total Cost ($)

One-Time

56

+56

+24

+1,344

Varies

+127,877


Form CMS-368 has been revised by removing the DUR State Contact information and description “Drug Utilization Review (DUR) Program” in the CMS-368 header. This information is now accounted for in CMS-R-153 (OMB control number: 0938-0659).


Summary of Changes

Form

Respondents

Total Responses

Time per Response (hr)

Total Time (hr)

Labor Cost ($/hr)

Total Cost ($)

CMS-R-144 – Quarterly State Invoice

No Change

No Change

+1

+224

Varies

+51,502

CMS-R-144 – One-Time System Updates

No Change

+56

+24

+1,344

Varies

+127,877

Total Change

No Change

+56

+25

+1,568

Varies

+179,379


16. Publication/Tabulation Dates


There are no plans to publish the information for statistical use.


17. Expiration Date


Both the expiration date and PRA Disclosure Statement are set out on form CMS-368 and form CMS-R-144.


18. Certification Statement


There are no exceptions to the certification statement.


B. Collections of Information Employing Statistical Methods


CMS does not intend to collect information employing statistical methods.



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File Typeapplication/vnd.openxmlformats-officedocument.wordprocessingml.document
File TitleSupporting Statement for the Medicaid Drug Rebate Program
AuthorCMS
File Modified0000-00-00
File Created2021-03-02

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