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  • Home
  • About
    • Mission and Priorities
    • Meet the Chairman
    • Steering Committee
    • PIPC Member List
    • Contact
  • The Issues
    • Action Center
    • Value Our Health
    • International
    • Where We Stand
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    • PIPC in the News
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    • PIPC Patients' Blog
    • Chairman's Corner
    • The Data Mine
  • Events
    • Nevada AB 259
    • QALY Panel
    • QALY Briefing
    • Past Webinars >
      • MFN/IPI Webinar 2025
      • Discrimination & Health Care
      • C & GT Webinar
      • ICER COVID Webinar
      • Value Our Health Briefing
      • ICER SCD Webinar
      • VOH Sickle Cell Webinar
      • Rare Disease Webinar
      • QALY Webinar
      • PCORI Advocacy Webinar
      • APM Webinar
      • Patient Empowerment Webinar
      • Value Assessments Briefing
    • Past PIPC Forums >
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The PIPC Blog

PIPC Weekly Update - November 30, 2015

11/30/2015

 
In This Week’s Issue:
1. RSVP TODAY: PIPC’s 6th Annual Forum “CER in the Real World” on December 3rd, click here for details, and email [email protected] to RSVP. 
2. PIPC Submits Comments on LAN APM Framework Draft White Paper, click here to view the comment letter. 
3. Forbes Cites PIPC Survey in Commentary on Biosimilar Payment Rule
4. PIPC Chairman Coelho in Morning Consult: ‘Value: Just Ask The Patient’, click here to view the op-ed. 
5. PIPC: Oncology Roundtable Summary and Recommendations, click here to view the summary.
1. RSVP TODAY: PIPC’s 6th Annual Forum “CER in the Real World” on December 3rd
​

This Thursday, December 3rd, the Partnership to Improve Patient Care (PIPC) will hold our 6th annual forum entitled, "CER in the Real World: The Value of Patient-Centered Outcomes Research." Does the term “patient-centered” sound familiar? Patient-centeredness begins with the development of evidence that patients can use to support improved health decision-making, often including a special type of comparative effectiveness research known now as patient-centered outcomes research. Policymakers, payers and advocates often use terms like patient-centeredness, patient engagement, and patient empowerment. Yet, just using the right terminology does not necessarily indicate a policy that achieves outcomes that matter to patients. Join PIPC for a discussion about the creation of the Patient-Centered Outcomes Research Institute and its implications for achieving outcomes that matter to patients.  Click here for details, and email [email protected] to RSVP. 

2. PIPC Submits Comments on LAN APM Framework Draft White Paper

Recently, the Partnership to Improve Patient Care (PIPC) submitted comments on the Alternative Payment Model (APM) Framework Draft White Paper composed by the Health Care Payment and Learning Action Network (LAN).

In their comments, the Partnership expressed its belief that a few foundational elements must be in place for an APM framework to be successful. First, new payment models must have the tools to appropriately risk adjust so that bundled, population-based or capitated payment models do not inappropriately restrict access to care for chronically ill and disabled patients.  Second, quality measures must be developed and implemented that capture outcomes that matter to patients so that “quality” and “value” are based on patient needs, preferences and outcomes.  Third, decision aids must exist and be used that provide patients with unbiased access to their treatment options and the impacts of those treatments on outcomes that matter to patients so that shared decision-making is meaningful.  Lastly, a constant feedback loop must exist to identify in real time the impact of new payment models on access to care, particularly for vulnerable populations.

In furtherance of this goal, PIPC provides the following broad recommendations for payment and delivery of healthcare.

  • Provide a meaningful voice to patients. Policymakers should establish formalized mechanisms that provide a meaningful voice to patients throughout the healthcare system.
  • Prioritize policies that promote patient-centeredness and ensure new payment and delivery models do not define success as simply meeting financial targets or promote a “one-size-fits all” approach to cost-containment.
  • Catalyze the development and endorsement of meaningful quality measures and ensure they are appropriately incentivized in health systems. Policymakers should recognize the need to improve the patient-centered infrastructure for measuring and rewarding improved health outcomes. There are significant gaps in quality measurement that will require expanded support for measure development and endorsement.
  • Foster informed choices from the range of clinical care options through shared decision-making, transparency of the incentives (financial and otherwise) that drive care decisions, and by empowering patients with accessible, understandable evidence.
  • Support patient access to high quality individualized care.

Click here to view the full comment letter.

3. Forbes Cites PIPC Survey in Commentary on Biosimilar Payment Rule

In a recent article published in Forbes, Graace-Marie Turner of the Galen Institute cites PIPC’s recent survey on patient preferences in a discussion on how the recently-issued biosimilars rule may impact patient choice.  She explains that “since doctors will be reimbursed at one price under the CMS rule no matter which biosimilar they pick, they may be financially forced to pick the cheapest version, regardless of whether their patient may already be stable and doing well on a different biosimilar.  If they were to pick the higher-priced drug because it is more appropriate for their patient, they could lose money because they will be reimbursed at the lower rate. The CMS rule is one more example of how government is sidelining doctors and patients in treatment decisions. A recent survey by the Partnership to Improve Patient Care found that Americans want to actively participate in treatment decisions and want the government to have a limited say in what treatments they can access.  A whopping 72% of Americans surveyed don’t want Medicare to decide which treatment options were best for patients or cover the least expensive option if it decides they are ‘similarly effective.’ But that is just what the CMS rule does:  It deems all biosimilars in a class to be equal, which disregards the fact that biosimilars will not be expected or required to be identical to the reference biologic or other biosimilars.”

Meanwhile, in a video published by the American Journal of Managed Care, PCORI Executive Director Dr. Joe Selby says that PCORI will approach biosimilar research the way it does research on anything else, but there is the added element of finding the right timing. “We are beginning to hear from stakeholders that we should be interested in biosimilars. We're prepared to beleive they might be right, but we're going to want to get multiple stakeholders together and then prioritize the question. And sometimes the most challenging work, from anyone's perspective and particularly from the perspective of multiple stakeholders at the same time: what is the right question? What's the question that will change practice? What's the question that the answer will endure?” Click here to view the video.

4. PIPC Chairman Coelho in Morning Consult: ‘Value: Just Ask The Patient’

Many people want to quantify “value” in health care. But for the ultimate beneficiary, the patient, value is more personal. That doesn’t mean we can’t get better value, it just requires us to find ways that respect patients and their diverse care needs and preferences. This was the big message I took away from a roundtable recently convened by the Partnership to Improve Patient Care (PIPC) and the Cancer Support Community (CSC) with many leading organizations representing cancer patients.

We quickly agreed that there is no one algorithm or formula for value. As a result, our discussion focused on concrete policies that could consistently achieve outcomes that matter to patients, while recognizing those outcomes will vary considerably from one cancer patient to the next.

A few key recommendations emerged from the discussion.  First is the importance of patient engagement. The time is now to bring patients into the conversation about policies impacting patient access to care in the Medicare program and beyond. Patients share the goals articulated by policymakers to improve quality, lower costs and improve the patient experience. But, meaningful patient engagement in pursuit of these goals will require a strong commitment from policymakers – not just checking the box. Patients must be involved in the development of new models of care at the outset, and their success should be measured by their impact on patients. The Centers for Medicare and Medicaid Innovation (CMMI), which has broad authority to test Medicare and Medicaid policy, should hold contracted APM’s accountable for measurable impact from their beneficiary engagement activities, including patients and people with disabilities and their families.

A second recommendation supports shared decision-making and the care planning process.  Patients view APM’s as a critical opportunity to advance shared decision-making.  Congress recognized in statute the need for shared decision-making tools to support achieving outcomes that matter to patients as part of new APM’s. Yet there is little incentive in the payment system to use them.  Nor are they well-defined.  A care planning process that captures patient preferences and changing treatment goals over time (imagine the difference between a cancer patient’s goals at diagnosis versus at later stages) is needed to support meaningful shared decision-making between patients and their providers. In health care, there may be more than one “effective” choice, but only one that suits the patient’s quality of life considerations.  At our roundtable, I was particularly struck by a statement from one participant that there is a big difference between “surviving” and “living;” the latter being a primary goal for many struck with disease.  Patients would be eager to lead a process to identify essential elements of patient-centered care planning and shared decision-making that could be implemented and incentivized through APMs.

Third is quality measurement.  APM’s such as CMMI’s Oncology Care Model are creating the need for more patient-focused measures to assess quality and balance cost-containment incentives. Traditional quality measures often assess processes of care, and others measure clinical outcomes such as overall survival.  However, for APMs to reflect value to the patient, measures that assess patient-reported outcomes, quality of life, and patient engagement must be developed and advanced.  Cancer-focused patient organizations can and should be partners in these efforts.

Lastly, patients want transparency and accountability.  Most patients are not even aware of the transition to value-based payment and its major implications for patient care.  Try asking a Medicare patient if they are aware of a clinical pathway for their oncology care, or if they are enrolled in an accountable care organization.  I bet you’ll get a blank stare.  Until recently, development of APM’s has occurred in a black box.  Within the last year, CMMI has begun to seek external input into new models laying the framework for Medicare’s future.  Still, many questions about their significant impact on patients’ treatment choices, such as the Oncology Care Model, remain unanswered.  The majority of the communication about these initiatives occurs between payers, Medicare, and participating providers. Therefore, CMMI should adopt a more open and accountable process for developing and evaluating payment demonstrations, while directly inviting feedback from impacted patients about the potential or real impact on care delivery.

It has been big news lately that the Centers for Medicare and Medicaid Services (CMS) created the Health Care Payment and Learning Action Network (LAN) to advance new models of payment and care delivery. The payers that have the most to gain from payment reforms are a loud voice in the LAN’s work. Patients have stepped forward to advance the creation of a LAN Consumer and Patient Affinity Workgroup to ensure that APM’s serve patient needs without putting undue restrictions on access. The role of the Consumer and Patient Affinity Workgroup will be a strong indication of whether success of new payment and care delivery models is to be based on outcomes that matter to patients. Beyond this workgroup, better and more targeted methods to get patient input, such as those suggested by oncology patient groups, are needed to ensure that existing APM’s, both those in the development process and those underway, meet the bar of being patient-centered.

The approach that emerged from our forum – one that advances value for all patients while respecting differences in values among patients – is diametrically opposed to renewed calls for policy-making grounded in centralized value judgments and cost-effectiveness thresholds. Instead, achieving personalized or precision medicine requires systematic goals to achieve outcomes that matter to the individual patient, as opposed to treating “averages.” There would in fact be significant costs, both for the healthcare system and for my quality of life, if I were treated as an “average” epilepsy patient – more seizures, hospitalizations, and doctor visits, in addition to the stresses of my recovery.

Our healthcare system will never know how to measure and reward quality if we don’t ask patients what they value. Patients are ready to move towards better value, but to get there, you need to put us in the driver’s seat.

Click here to view the op-ed. 

5. PIPC: Oncology Roundtable Summary and Recommendations

The Partnership to Improve Patient Care (PIPC) and the Cancer Support Community (CSC) convened a roundtable on July 8, 2015 on “Patient-Driven Health Care and Evidence in Oncology: Setting an Agenda.” The roundtable participants represented patient organizations serving cancer patients, as well as a representative from the Patient-Centered Outcomes Research Institute (PCORI). Roundtable participants discussed the outcomes that matter to oncology patients and policies that would support high-quality, patient-driven cancer care. 

As a result of the roundtable, the group developed consensus around a series of recommendations for policymakers, researchers and payers.  The summary below refers to policymakers in the context of those working in federal government to influence health care policies, Members of Congress and their staff, agencies within the Department of Health and Human Services (HHS), particularly the Centers for Medicare and Medicaid Services (CMS), entities acting in an advisory capacity such as the National Quality Forum (NQF), and contractors hired to implement health care programs, particularly payers contracting with CMS as alternative payment models (APMs).
 
The roundtable served as a call to action for patient organizations to determine a guiding set of principles for the cancer patient communities that they represent, reflecting their priorities for public policy as the healthcare system shifts away from a fee-for-service (FFS) model to APMs that reward providers based on their ability to achieve “value.”   It was agreed that the calculus used by some organizations to define “value” does not necessarily represent value to a patient. Therefore, it is vital for patients to come together around a core set of policy recommendations that will better achieve outcomes that matter to patients. 

The full roundtable summary, including the policy recommendations advanced by the panel, is available here. 

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