Medicare Advantage plans, also known as Medicare HMOs, or
officially as Medicare Part C, are an alternative to traditional Medicare. By
enrolling in such a plan, at additional out-of-pocket cost, the Medicare recipient
gets additional benefits that are characteristic of HMOs. This may include
smaller (or no) copayments or deductibles, coverage for things not covered by
traditional Medicare like dental care, eyeglasses, and hearing aids, and other
“advantages”. There are disadvantages, also, of course, just as in other HMOs.
Beyond cost, the main one is that there is a limited panel of providers –
doctors and hospitals – that the person can use. This is particularly an issue
for retired people who travel a lot, or may spend the winter in a warmer
climate, since these HMOs’ panels are usually in a limited geographic area.
Older “closed panel” HMOs usually had only doctors and other
providers employed by the HMO itself. There are fewer of these than there once
were; some of them, like Kaiser, are well-known. Other HMOs are “open panel”,
where any doctor can be “approved” to be part of their provider group, but many
doctors may choose not to be for reasons such as lower reimbursement or onerous
regulation. Thus, it is at least theoretically possible that a Medicare
Advantage enrollee could receive lower quality care from the doctors and
hospitals that were part of the HMO’s network than from another doctor or
hospital that might not be, but would be available to traditional Medicare
patients. In addition, some Medicare Advantage plans are open to
“dual-eligibles”, people with both Medicare and Medicaid, with Medicaid paying
the additional premium. That such programs might provide worse care than others
isnot an unreasonable concern based upon other services targeted Medicaid
patients (e.g., nursing homes) and other programs targeted specifically to low
income people.
Thus, Medicare has developed a rating
system for Medicare Advantage plans, which assigns from 1 to 5 stars based,
presumably, on carefully considered and assessed quality measures. If you want
a good plan, it would behoove you to choose one with a “5 star” rating.
Provided, of course, one is available in your area, and provided you can afford
the out-of-pocket costs, or, if you have Medicaid, it is one that Medicaid will
pay for. Unsurprisingly, many plans that have enrolled Medicaid or other
lower-income patients have had lower ratings, based on the outcomes of those
patients. The plans argue that this is because these low-income patients are
higher-risk, have more co-existing medical, mental health, and social
conditions outside of the plan’s control. Others, including the Center for
Medicare and Medicaid Services (CMS), which administers Medicare, have argued
that considering these characteristics might “give a pass” to plans that
provide lower-quality care to poor people. A similar rating system exists for
hospitals, and similar arguments have been made. As I discussed in a blog from November
10, 2013, “Does
quality of care vary by insurance status? Even Medicare? Is that OK?”, there
are legitimate arguments to be made on both sides.
Now, however, according to a
report in “Modern Healthcare” on October 21, 2015, CMS interim
administrator Andy Slavitt and his deputy administrator who runs the Center for
Medicare, Sean Cavanaugh, are considering adjusting its quality ratings for
Medicare Advantage plans based upon the pre-existing risk of the patients
enrolled. This is important to the plans, since Medicare can drop them if they
have several years of lower-than-3-star ratings. And they don’t want to be
dropped, because these plans are moneymakers, in no small part because CMS
treats them, financially, better than traditional Medicare plans (a result of
purposeful federal policy to try experiments to “privatize” Medicare). While
new criteria have not been officially announced, and would not take effect
until 2017, “The comments from Slavitt and Cavanaugh were somewhat surprising
because the CMS has previously downplayed the effects of socio-economic status
on the ratings. The agency described the effect as ‘small in most cases and not
consistently negative’ in a summary
of findings from an analysis the CMS commissioned by the RAND Corp.”
It is not only surprising, but when one considers why the
(possible) change of heart is happening, it is difficult to not consider the
financial and political clout of the insurance industry that sponsors these
programs, and the political support that such “private” Medicare-replacement
programs have. It is worth noting that
CMS has not indicated that it will consider revising the ratings for hospitals,
despite the fact that hospitals that care a higher proportion of poor and
socially disadvantaged people face the same issues. The financial penalty for
hospitals is very direct, as Medicare is not paying for readmissions which occur
within 30 days. If this seems, on its face, reasonable, consider that sometimes
even when the care provided in the hospital is of high quality, people go back
to their homes (or long-term care facilities) where it may not be. This is sometimes
a result of lack of money, lack of social support, and other stressors, but the
result is that they are more likely to be readmitted. Again, CMS has argued
that it would not want to encourage hospitals providing lower-quality care for
poor people (which certainly would be a bad thing). But if CMS penalizes
hospitals for readmissions that are outside their control, it simply encourages
hospitals to not care for low-income people, or, if they are sole providers in
their community, possibly even close their doors, and that would be a very bad
thing. Studies that have been done indeed show that readmissions are higher
when hospitals care for lower income and Medicaid patients, and that this is
not the result of poorer quality care provided when those people are
inpatients. (See “Aiming
for Fewer Hospital U-turns: The Medicare Hospital Readmission Reduction
Program” from the Kaiser Family Foundation and “Socioeconomic
status and readmissions: evidence from an urban teaching hospital” in Health Affairs.)
It is important for CMS to ensure that the care provided to
all Medicare recipients (indeed all people) by a hospital is not discriminatory
or inequitable and that all patients have access to the care they need at the
highest possible quality level. But unadjusted readmission rates are a very
crude measure of quality, and it is unreasonable for CMS to expect that
hospitals will be able to compensate for the impacts of poverty and lack of
access to preventive care and early diagnosis and treatment. It is not
unreasonable, however, for us, the American people, to expect that our
government develop and help pay for programs that ensure that people’s basic
needs for shelter, food, clothing, warmth and other social determinants of
health, as well as post-hospital care (access to primary care, home health, and
high-quality long-term care).
A single-payer health system is insufficient to address all
of these needs. But it is a good start for some of them.
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