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The PIPC Blog

Healthcare Dive: More than 40 patient groups criticize CMS' proposed Part B model

5/12/2016

 
Picture
An article in Healthcare Dive highlights the Partnership to Improve Patient Care (PIPC)'s recent letter to the Centers for Medicare and Medicaid (CMS), which voices their opposition to the agency's Medicare Part B demo. The group expressed concerns over CMS' proposed use of comparative effectiveness research and cost effectiveness as national Medicare standards in phase two of the proposal and urged the agency not to move forward with the proposed rule unless it accommodates people with disabilities.

The article quotes PIPC's letter stating that the ACA's provisions should be embraced to translate patient-centered outcomes research into shared decision-making tools instead of using policies "that were determined by Congress to undermine the very core of the ACA’s goals for advancing a patient-centered health system." The letter concludes, "We strongly urge CMS not to move forward with this flawed policy. Instead, CMS should work to engage patients, people with disabilities and their families, providers and other stakeholders in the identification of models that put patients and people with disabilities at the center, as well as in the development of thoughtful policies that balance progress toward a patient-centered health system and overall health costs." 

The full article is available below.
More than 40 patient groups criticize CMS' proposed Part B model

Dive Brief:
  • The Partnership to Improve Patient Care (PIPC), with support from more than 40 patient groups, sent a letter to CMS acting Administrator Andy Slavitt to voice their concerns about CMS' Medicare Part B demo. 
  • The groups raised concerns about CMS' proposed use of comparative effectiveness research and cost effectiveness as national Medicare standards in phase 2 of the proposal. 
  • The letter urged CMS not to move forward with the proposed rule unless it accommodates people with disabilities, stating, "we also have strongly opposed misuse of comparative effectiveness research (CER) and cost effectiveness in one-size-fits all government policies."
Dive Insight:
The proposed rule -- the Part B Drug Payment Model -- was released by CMS on March 11. The agency proposes it as a two-phase model to test whether alternative drug payment designs will reduce Medicare costs while preserving the quality of care provided to Medicare beneficiaries. The first phase involves changing the 6% add-on used to make drug payments to 2.5% plus a flat fee. The second phase implements value-based purchasing tools similar to those used by commercial health plans, hospitals, etc. 
​
PIPC's letter stated the ACA’s provisions should be embraced to translate patient-centered outcomes research into shared decision-making tools instead of using policies "that were determined by Congress to undermine the very core of the ACA’s goals for advancing a patient-centered health system." The letter concluded, "We strongly urge CMS not to move forward with this flawed policy. Instead, CMS should work to engage patients, people with disabilities and their families, providers and other stakeholders in the identification of models that put patients and people with disabilities at the center, as well as in the development of thoughtful policies that balance progress toward a patient-centered health system and overall health costs." 

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