81_FR_13277 81 FR 13229 - Medicare Program; Part B Drug Payment Model

81 FR 13229 - Medicare Program; Part B Drug Payment Model

DEPARTMENT OF HEALTH AND HUMAN SERVICES
Centers for Medicare & Medicaid Services

Federal Register Volume 81, Issue 48 (March 11, 2016)

Page Range13229-13261
FR Document2016-05459

This proposed rule discusses the implementation of a new Medicare payment model under section 1115A of the Social Security Act (the Act). We propose the Part B Drug Payment Model as a two-phase model that would test whether alternative drug payment designs will lead to a reduction in Medicare expenditures, while preserving or enhancing the quality of care provided to Medicare beneficiaries. The first phase would involve changing the 6 percent add-on to Average Sales Price (ASP) that we use to make drug payments under Part B to 2.5 percent plus a flat fee (in a budget neutral manner). The second phase would implement value-based purchasing tools similar to those employed by commercial health plans, pharmacy benefit managers, hospitals, and other entities that manage health benefits and drug utilization. We believe this model will further our goals of smarter, that is, more efficient spending on quality care for Medicare beneficiaries.

Federal Register, Volume 81 Issue 48 (Friday, March 11, 2016)
[Federal Register Volume 81, Number 48 (Friday, March 11, 2016)]
[Proposed Rules]
[Pages 13229-13261]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2016-05459]



[[Page 13229]]

Vol. 81

Friday,

No. 48

March 11, 2016

Part V





Department of Health and Human Services





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 Centers for Medicare & Medicaid Services





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42 CFR Part 511





 Medicare Program; Part B Drug Payment Model; Proposed Rule

Federal Register / Vol. 81 , No. 48 / Friday, March 11, 2016 / 
Proposed Rules

[[Page 13230]]


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DEPARTMENT OF HEALTH AND HUMAN SERVICES

Centers for Medicare & Medicaid Services

42 CFR Part 511

[CMS-1670-P]
RIN 0938-AS85


Medicare Program; Part B Drug Payment Model

AGENCY: Centers for Medicare & Medicaid Services (CMS), HHS.

ACTION: Proposed rule.

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SUMMARY: This proposed rule discusses the implementation of a new 
Medicare payment model under section 1115A of the Social Security Act 
(the Act). We propose the Part B Drug Payment Model as a two-phase 
model that would test whether alternative drug payment designs will 
lead to a reduction in Medicare expenditures, while preserving or 
enhancing the quality of care provided to Medicare beneficiaries. The 
first phase would involve changing the 6 percent add-on to Average 
Sales Price (ASP) that we use to make drug payments under Part B to 2.5 
percent plus a flat fee (in a budget neutral manner). The second phase 
would implement value-based purchasing tools similar to those employed 
by commercial health plans, pharmacy benefit managers, hospitals, and 
other entities that manage health benefits and drug utilization. We 
believe this model will further our goals of smarter, that is, more 
efficient spending on quality care for Medicare beneficiaries.

DATES: To be assured consideration, comments must be received at one of 
the addresses provided below, no later than 5 p.m. on May 9, 2016.

ADDRESSES: In commenting, please refer to file code CMS-1670-P. Because 
of staff and resource limitations, we cannot accept comments by 
facsimile (FAX) transmission.
    You may submit comments in one of four ways (please choose only one 
of the ways listed):
    1. Electronically. You may submit electronic comments on this 
regulation to http://www.regulations.gov. Follow the ``Submit a 
comment'' instructions.
    2. By regular mail. You may mail written comments to the following 
address ONLY: Centers for Medicare & Medicaid Services, Department of 
Health and Human Services, Attention: CMS-1670-P, P.O. Box 8016, 
Baltimore, MD 21244-8016.
    Please allow sufficient time for mailed comments to be received 
before the close of the comment period.
    3. By express or overnight mail. You may send written comments to 
the following address ONLY: Centers for Medicare & Medicaid Services, 
Department of Health and Human Services, Attention: CMS-1670-P, Mail 
Stop C4-26-05, 7500 Security Boulevard, Baltimore, MD 21244-1850.
    4. By hand or courier. Alternatively, you may deliver (by hand or 
courier) your written comments ONLY to the following addresses prior to 
the close of the comment period:
    a. For delivery in Washington, DC--Centers for Medicare & Medicaid 
Services, Department of Health and Human Services, Room 445-G, Hubert 
H. Humphrey Building, 200 Independence Avenue SW., Washington, DC 
20201.
    (Because access to the interior of the Hubert H. Humphrey Building 
is not readily available to persons without Federal government 
identification, commenters are encouraged to leave their comments in 
the CMS drop slots located in the main lobby of the building. A stamp-
in clock is available for persons wishing to retain a proof of filing 
by stamping in and retaining an extra copy of the comments being 
filed.)
    b. For delivery in Baltimore, MD--Centers for Medicare & Medicaid 
Services, Department of Health and Human Services, 7500 Security 
Boulevard, Baltimore, MD 21244-1850.
    If you intend to deliver your comments to the Baltimore address, 
call telephone number (410) 786-7195 in advance to schedule your 
arrival with one of our staff members.
    Comments erroneously mailed to the addresses indicated as 
appropriate for hand or courier delivery may be delayed and received 
after the comment period.
    For information on viewing public comments, see the beginning of 
the SUPPLEMENTARY INFORMATION section.

FOR FURTHER INFORMATION CONTACT: Susan Janeczko (410) 786-4529 or 
Jasmine McKenzie (410) 786-8102.

SUPPLEMENTARY INFORMATION:
     Inspection of Public Comments: All comments received before the 
close of the comment period are available for viewing by the public, 
including any personally identifiable or confidential business 
information that is included in a comment. We post all comments 
received before the close of the comment period on the following Web 
site as soon as possible after they have been received: http://www.regulations.gov. Follow the search instructions on that Web site to 
view public comments.
    Comments received timely will also be available for public 
inspection as they are received, generally beginning approximately 3 
weeks after publication of a document, at the headquarters of the 
Centers for Medicare & Medicaid Services, 7500 Security Boulevard, 
Baltimore, Maryland 21244, Monday through Friday of each week from 8:30 
a.m. to 4 p.m. To schedule an appointment to view public comments, 
phone 1-800-743-3951.

Table of Contents

I. Executive Summary
    A. Purpose
    B. Summary of Major Provisions
    1. Model Overview
    2. Model Scope
    3. Model Payment
    4. Overlap With Ongoing CMS Efforts
    C. Summary of Economic Effects
II. Participation
    A. Background
    1. Drugs and Biologicals Paid Under Part B
    2. Types of Providers and Suppliers Furnishing Part B Drugs
    B. Proposed Drugs Paid Under Part B To Be Included in the Model
    C. Proposed Participants, Selected Geographic Areas, and 
Sampling
    1. Overview and Options for Geographic Selection
    2. PCSA Selection
III. Payment Methodology
    A . Phase I: Proposed Modifications to the ASP Add-On Percentage 
for Drugs Paid Under Part B
    1. Methodology for Creating the Modeling Data Set
    2. Add-On Proposal: Percentage Plus a Flat Fee
    3. Comment Solicitation: Additional Tests of Add-On 
Modifications
    B. Phase II: Applying Value-Based Purchasing Tools
    1. Introduction
    2. Value-Based Pricing Strategies
    3. Development of a Clinical Decision Support Tool
    C. Comment Solicitation
    1. Creating Value-Based Purchasing Arrangements Directly With 
Manufacturers: Solicitation of Comments
    2. The Part B Drug Competitive Acquisition Program (CAP): 
Solicitation of Comments
    3. Episode-Based or Bundled Pricing Approach: Solicitation of 
Comments
    D. Interactions With Other Payment Provisions
    1. Overview
    2. Most Shared Savings Programs and Models
    3. Oncology Care Model
    4. IVIG Demonstration
IV. Provider Supplier, and Beneficiary Protections
    A. Payment Exception Review Process
    B. Current Appeals Procedure
V. Proposed Waivers of Medicare Program Rules
VI. Evaluation
VII. Collection of Information Requirements

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VIII. Response to Comments
IX. Regulatory Impact Analysis
    A. Introduction
    B. Statement of Need
    C. Overall Impacts for the Proposed Part B Drug Payment Model
    D. Detailed Economic Analyses
    E. Regulatory Flexibility Act (RFA) Analysis
    F. Unfunded Mandates Reform Act Analysis
    G. Federalism Analysis
    H. Conclusion
Regulation Text

Acronyms

    Because of the many terms to which we refer by acronym in this 
proposed rule, we are listing these abbreviations and their 
corresponding terms in alphabetical order below:

AHRQ Agency for Healthcare Research and Quality
AMP Average Manufacturer Price
ASP Average Sales Price
AWP Average Wholesale Price
BBA Balanced Budget Act of 1997, Pub. L. 105-33
BPCI Bundled Payments for Care Improvement
CAP Competitive Acquisition Program
CDS Clinical Decision Support
CCN CMS Certification Number
CJR Comprehensive Joint Replacement
CMS Centers for Medicare & Medicaid Services
CPI Consumer Price Index
CY Calendar Year
DME Durable Medical Equipment
ESRD End Stage Renal Disease
FFS Fee-for-Service
GAO U.S. Government Accountability Office
IgG Immunoglobulin G
IVIG Intravenous Immune Globulin
HCPCS Healthcare Common Procedure Coding System
MAC Medicare Administrative Contractor
MedPAC Medicare Payment Advisory Commission
NDC National Drug Code
NOC Not Otherwise Classified
NPI National Provider Identifier
OIG Department of Health and Human Services' Office of the Inspector 
General
OCM Oncology Care Model
OPPS Outpatient Prospective Payment System
OPD Outpatient Department
PBM Pharmacy Benefit Manager
PBPM Per-beneficiary-per-month
PCSA Primary Care Service Area
PFS Physician Fee Schedule
TIN Taxpayer identification number
VBP Value-Based Purchasing
WAC Wholesale Acquisition Cost

I. Executive Summary

A. Purpose

    Part B includes a limited drug benefit that encompasses drugs and 
biologicals described in section 1861(t) of the Act. For the purposes 
of this proposed rule, the term ``drugs'' refers to drugs and 
biologicals paid under the Part B program, as well as biosimilars. 
Currently covered Part B drugs fall into three general categories: 
drugs furnished incident to a physician's services, drugs administered 
via a covered item of durable medical equipment (DME), and other drugs 
specified by statute. Based on our claims data, we estimate total Part 
B payments for separately paid drugs in 2015 were $22 billion (this 
includes cost sharing). In 2007, the total payments were $11 billion; 
the average annual increase since 2007 has been 8.6 percent.\1\ This 
significant growth has largely been driven by spending on separately 
paid drugs in the hospital outpatient setting, which more than doubled 
between 2007 and 2015, from $3 billion to $8 billion respectively.
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    \1\ GAO Report MEDICARE PART B Expenditures for New Drugs 
Concentrated among a Few Drugs, and Most Were Costly for 
Beneficiaries (GAO-16-12) October 2015. http://www.gao.gov/products/GAO-16-12
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    The purpose of this proposed rule is to test a new payment model 
called the Part B Drug Payment Model under the authority of the Center 
for Medicare and Medicaid Innovation (Innovation Center). Section 1115A 
of the Act authorizes the Innovation Center to test innovative payment 
and service delivery models to reduce program expenditures while 
preserving or enhancing the quality of care furnished to Medicare, 
Medicaid, and Children's Health Insurance Program beneficiaries. We 
propose to exercise this authority to test whether the alternative drug 
payment designs discussed in this proposed rule will lead to spending 
our dollars more wisely for drugs paid under Part B, that is, a 
reduction in Medicare expenditures, while preserving or enhancing the 
quality of care provided to Medicare beneficiaries.
    Many Part B drugs, including drugs furnished in the hospital 
outpatient setting, are paid using the methodology in section 1847A of 
the Act. In most cases, this means payment is based on the Average 
Sales Price (ASP) plus a statutorily mandated 6 percent add-on. Under 
this methodology, expensive drugs receive higher add-on payment amounts 
than inexpensive drugs while there are no clear incentives for 
providing high value care, including drug therapy. We propose a two 
phase model to test whether alternative payment approaches for Part B 
drugs improve value (relative to current drug payment approaches under 
Part B), improve outcomes and reduce expenditures for Part B drugs. 
This model's goals are also consistent with the Administration's 
broader strategy to encourage better care, smarter spending, and 
healthier people by paying providers and suppliers for what works, 
unlocking health care data, and finding new ways to coordinate and 
integrate care to improve quality. (http://www.hhs.gov/about/news/2015/01/26/better-smarter-healthier-in-historic-announcement-hhs-sets-clear-goals-and-timeline-for-shifting-medicare-reimbursements-from-volume-to-value.html#).

B. Summary of Major Provisions

1. Model Overview
    Medicare pays for most drugs that are administered in a physician's 
office or the hospital outpatient department at ASP+ 6 percent as 
described in section 1847A of the Act. The payment for these drugs does 
not include costs for administering the drug to a patient (for example 
by injection or infusion); payments for these physician and hospital 
services are made separately, and payment amounts are determined under 
the physician fee schedule (PFS) (https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/PhysicianFeeSched/index.html) and the 
Hospital Outpatient Prospective Payment System (OPPS) (https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/HospitalOutpatientPPS/index.html). The ASP payment amount determined 
under section 1847A of the Act reflects a weighted average sales price 
for all National Drug Codes (NDCs) that are assigned to a Healthcare 
Common Procedure Coding System (HCPCS) code. The ASP payment amount 
does not vary based on the price an individual provider or supplier 
pays to acquire the drug. Payment determinations under the methodology 
in section 1847A of the Act also do not take into account the 
effectiveness of a particular drug. The payment determinations also do 
not consider the cost of clinically comparable drugs that may be priced 
exclusively in other HCPCS codes. The ASP methodology may encourage the 
use of more expensive drugs because the 6 percent add-on generates more 
revenue for more expensive drugs (see MedPAC Report to the Congress: 
Medicare and the Health Care Delivery System June 2015, pages 65-72). 
The ASP is calculated quarterly using manufacturer-submitted data on 
sales to all purchasers (with limited exceptions as articulated in 
section 1847A(c)(2) of the Act, such as sales at nominal charge and 
sales exempt from best price) with manufacturers' rebates, discounts, 
and price concessions included in the ASP calculation. The statute does 
not identify a reason for the

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additional 6 percent add-on above ASP. As noted in the MedPAC report 
(and by sources cited in the report), the add-on is needed to account 
for handling and overhead costs and/or to account for additional mark-
up in distribution channels that are not captured in the manufacturer 
reported ASP.
    The following paragraphs present a brief summary of our proposals. 
Additional details are discussed later in this proposed rule. We 
propose two phases for the Part B Drug Payment Model. In phase I of the 
model, we propose implementing a variation to the add-on component of 
Part B drug payment methodology in different geographic areas of the 
country. We would test whether the proposed alternative approach for 
the ASP add-on payment, which is discussed later in this proposed rule, 
would strengthen the financial incentive for physicians to choose 
higher value drugs. To eliminate selection bias, we are proposing to 
require participation for all providers and suppliers furnishing any 
Part B drugs included in the Part B Drug Payment Model who are located 
in the geographic areas that are selected for inclusion in the model. 
We propose to implement this first phase of the overall model no 
earlier than 60 days following display of the final rule. While this 
approach addresses the add-on to the manufacturer's ASP, it does not 
directly address the manufacturer's ASP, which is a more significant 
driver of drug expenditures than the add-on payment amount for Part B 
drugs. For a given HCPCS code, the add-on represents about 6 percent of 
an ASP-based Part B drug payment; the remaining 94 percent of the 
payment is calculated from the manufacturers' reported ASP data.
    In phase II of this model, we propose to implement value-based 
purchasing (VBP) in conjunction with the phase I variation of the ASP 
add-on payment amount for drugs paid under Part B. Phase II would use 
tools currently employed by commercial health plans, pharmacy benefit 
managers (PBMs), hospitals, and other entities that manage health 
benefits and drug utilization. These tools have been used for years 
with positive results, and we believe that some of these successful 
approaches may be adaptable to Part B. We propose to apply one or more 
tools, such as indication-based pricing, reference pricing, and 
clinical decision support tools to Part B drugs. We will test whether 
the implementation of the tools affects expenditures and outcomes.
    In addition to the proposals and comment solicitations associated 
with phase I and phase II, we also solicit comments on how to create 
value-based purchasing arrangements with manufacturers under Medicare 
fee-for-service (FFS) payment for drugs; on whether we should consider 
implementing an updated version of the Competitive Acquisition Program 
(CAP); and whether we should pursue a more bundled or episode-based 
approach that moves beyond an FFS payment structure. We would consider 
all comments on these two solicitations for future rulemaking.
2. Model Scope
    Under the model, we propose that providers and suppliers, in a 
selected geographic area, who are furnishing a covered and separately 
paid Part B drug that is included in this model, would receive 
alternative Part B drug payments. Within such selected areas, examples 
of providers and suppliers that Medicare commonly pays for Part B drugs 
include: physicians, durable medical equipment (DME) suppliers 
(including certain pharmacies that furnish Part B drugs), and hospital 
outpatient departments that furnish and bill for Part B drugs. There 
will be no specific enrollment activities for providers, suppliers, or 
beneficiaries in this model; the furnishing of Part B drugs in a 
particular geographic area will determine participation. We propose to 
require all providers and suppliers to participate in the model if 
furnishing Part B drugs included in the model and located in a 
geographic area that is chosen for participation in the model. We 
propose to determine a provider or supplier's specific geographic 
location based on the service location ZIP code for physician drug 
claims, the beneficiary ZIP code for DME supply claims, and the ZIP 
code for the address associated with the CMS certification number (CCN) 
for hospital outpatient claims. We propose to use Primary Care Service 
Areas (PCSAs) as the geographic area. We propose random assignment of 
all PCSAs to one of four groups: the three test arms (paying a modified 
ASP add-on amount, implementation of VBP tools, and both modified ASP 
add-on and VBP tools at the same time) or a fourth control group. We 
propose to include the majority of drugs paid under Part B in the 
model; in general, this means drugs that appear on the quarterly ASP 
Price Files. We propose to exclude some categories of drugs, including 
drugs separately billed by End-Stage Renal Disease (ESRD) facilities 
from the proposed Part B Drug Payment Model.
    We propose that the model would run for five years; phase I would 
begin in the fall of 2016 (no earlier than 60 days after the rule is 
finalized). During phase I, providers and suppliers that participate in 
the model would receive payments with either the existing statutory 
add-on amount or payments with the modified add-on amount. Phase II 
would begin no sooner than January 1, 2017. When phase II begins, 
providers and suppliers selected to participate in the VBP arms would 
begin receiving VBP-based payments for certain drugs and would 
participate in other VBP activities, such as feedback on prescribing 
patterns. Providers and suppliers in geographic areas selected for one 
arm of the model will experience both phase I pricing and phase II VBP 
pricing. We expect that phase II could take several years to fully 
implement. Our goal is to have both phases of the model in full 
operation during the last three years of the proposed five year 
duration to fully evaluate changes and collect sufficient data.
3. Model Payment
    In section III of this proposed rule, we propose to test an 
alternative to the ASP add-on payment in phase I of the model. We would 
assign providers and suppliers to the alternative ASP add-on approach 
or to the control group. We propose to use ASP+2.5 percent plus a flat 
fee as the alternative add-on amount; however, we also discuss and 
solicit comments on whether an additional approach, such as ASP + a 
tiered percentage add-on amount should be tested. We invite comment on 
whether these two approaches are sufficiently different to warrant 
separate arms under this model. The aggregate value of the phase I add-
on that is paid each year is proposed to be budget neutral meaning that 
the initial total payments under the model will be based on the most 
recently available calendar year claim's total Part B drug payment 
amount for separately paid drugs and then updated annually. In other 
words, we are not proposing a reduction to total spending for Part B 
drugs. Instead, we propose to test redistribution of the add-on payment 
on Part B drugs expenditure and outcomes. Additional detail about phase 
I appears in section III.A. of this proposed rule.
    In phase II of the model, we propose to test the application of a 
group of value-based purchasing tools that commercial and Medicare Part 
D plans use to improve patient outcomes and manage drug cost. We review 
several different tools, including value-based pricing, clinical 
decision support tools, and we discuss the potential applicability to 
the Part B drug and hospital outpatient benefits. Additional detail 
about phase II appears in section

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III.B. of this proposed rule. Table 1 summarizes the phases and arms of 
the model.

                 Table 1--Summary of the Proposed Model
------------------------------------------------------------------------
 Phase 1--ASP+X  (no earlier than 60 days     Phase 2--VBP  (no earlier
  after display of final rule, Fall 2016)        than January 2017)
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ASP+6% (control)..........................  ASP+6% (control).
                                            ASP+6% with VBP Tools.
ASP+2.5% and Flat Fee Drug Payment........  ASP+2.5% and Flat Fee Drug
                                             Payment.
                                            ASP+2.5% + Flat Fee Drug
                                             Payment with VBP Tools.
------------------------------------------------------------------------
Note: Primary Care Service Areas (which are clusters of ZIP codes that
  reflect primary care service delivery) would be randomly assigned to
  each model test arm and the control group. The assigned PCSAs would
  not include ZIP codes in the state of Maryland where hospital
  outpatient departments operate under an all-payer model.

    We also solicit comment on creating value-based purchasing 
arrangements directly with manufacturers, taking an episode-based or 
bundled pricing approach, and applicability of the Part B Drug CAP.
4. Overlap With Ongoing CMS Efforts
    We note that there are possibilities of overlap between the Part B 
Drug Payment Model and the Medicare Shared Savings Program, the 
Medicare Intravenous Immune Globulin (IVIG) Demonstration, and other 
Innovation Center payment models, such as the Oncology Care Model (OCM) 
and the Bundled Payments for Care Improvement (BPCI) initiative. In 
general, we propose not to exclude beneficiaries, suppliers (including 
physicians), or providers in the Part B Drug Payment Model from other 
Innovation Center models or CMS programs, such as the Medicare Shared 
Savings Program, as detailed in section III.E. of this proposed rule. 
We acknowledge that there is potentially greater overlap between this 
proposed model and OCM than other models. We propose to include OCM 
practices in the Part B Drug Payment Model, but we request comment on 
the best approach for handling that overlap and on whether we should 
exclude OCM practices and their comparison practices from the Part B 
Drug Payment Model.

C. Economic Effects

    Under phase I we propose to modify the ASP add-on amount to be 2.5 
percent plus a flat fee of $16.80. We propose to establish the amount 
of the flat fee to ensure total estimated payments under this model are 
budget neutral to aggregate Part B spending, using the most recent year 
of available claims data. For phase I of this model, budget neutrality 
calculations were done using CY 2014 claims processed through June 30, 
2015. We present the redistributional impacts among practitioners and 
hospitals in section IX. of this proposed rule. In general, phase I has 
the overall effect of modestly shifting money from hospitals and 
specialties that use higher cost drugs, such as ophthalmology, to 
specialties that use lower cost drugs, including primary care, pain 
management, and orthopedic specialties. In aggregate, rural 
practitioners are estimated to experience a net benefit and rural 
hospitals are estimated to experience smaller reductions than urban 
hospitals. Overall, spending on drugs furnished in the office setting 
increases while spending on drugs furnished in the hospital setting 
decreases.
    We intend to achieve savings through behavioral responses to the 
revised pricing, as we hope that the revised pricing will remove any 
excess financial incentive to prescribe high cost drugs over lower cost 
ones when comparable low cost drugs are available. In other words, we 
believe that removing the financial incentive that may be associated 
with higher add-on payments will lead to some reduction in expenditures 
during phase I of the proposed model. An exact estimate of the amount 
of savings that might be achieved through behavioral responses is not 
readily available. Prior research on behavioral changes following 
modifications to drug margins suggests that the modifications we 
propose to the 6 percent add-on are likely to change prescribing 
behavior.
    In phase II, we propose applying VBP tools including value-pricing 
and clinical decision support tools. The pricing under this phase would 
not be budget neutral, and we intend to achieve savings. We invite 
extensive comment throughout this proposed rule on the applicability of 
various value-based purchasing tools to the Part B and hospital 
outpatient drug benefit. We do not believe that we have enough detail 
on the structure of the final VBP component to quantify potential 
savings at this time. As with phase I, we believe that implementation 
of these tools will result in some reduction in expenditures. We invite 
comment on the extent of savings that might be achieved based on 
experience with these VBP tools.

II. Participation

A. Background

    This section describes the drugs that are furnished and paid under 
Part B; the providers and suppliers that furnish them; and the drugs, 
participants, and geographic areas that would be included in the model.
1. Drugs and Biologicals Paid Under Part B
    Part B currently covers and pays for a limited number of 
prescription drugs. As stated earlier, for the purposes of this 
proposed rule, the term ``drugs'' will refer to drugs and biologicals 
paid under Part B and also includes biosimilars. Drugs paid under Part 
B generally fall into three categories: drugs furnished incident to a 
physician's service in the physician office or hospital outpatient 
settings, drugs administered via a covered item of DME, and other 
categories of drugs specified by statute (generally in section 
1861(s)(2) of the Act).
    The majority of Part B drug expenditures are for drugs furnished 
incident to a physician's service. Drugs furnished incident to a 
physician's service are typically injectable drugs that are 
administered in a non-facility setting (covered under section 
1861(s)(2)(A) of the Act) or in a hospital outpatient setting (covered 
under section 1861(s)(2)(B) of the Act). Examples of ``incident to'' 
drugs include injectable drugs used to treat macular degeneration, 
intravenously administered drugs used to treat cancer, injectable drugs 
used in connection with the treatment of cancer, and injectable 
biologicals used to treat rheumatoid arthritis. The statute (sections 
1861(s)(2)(A) and 1861(s)(2)(B) of the Act) limits ``incident to'' 
services to drugs that are not usually self-administered; self-
administered drugs, such as orally administered tablets and capsules 
are not paid for under the ``incident to'' provision. Payment for drugs 
furnished incident to a physician's service falls under section 1842(o) 
of the Act. In accordance with section 1842(o)(1)(C) of the Act, most 
``incident to'' drugs are paid under the methodology in section 1847A 
of the Act.
    Part B also pays for drugs that are infused through a covered item 
of DME, such as drugs administered with an intravenous pump and 
inhalation drugs administered through a nebulizer. Medicare payments 
for these drugs are described in section 1842(o)(1)(D) of the Act for 
DME infusion drugs and section 1842(o)(1)(G) of the Act for inhalation 
drugs.

[[Page 13234]]

    Finally, Part B covers and pays for a number of drugs with specific 
benefit categories defined under section 1861(s) of the Act including--
immunosuppressive drugs; hemophilia blood clotting factors; certain 
oral anti-cancer drugs; certain oral antiemetic drugs; pneumococcal 
pneumonia, influenza and hepatitis B vaccines; erythropoietin for 
trained home dialysis patients; certain other drugs separately billed 
by ESRD facilities; and certain osteoporosis drugs. Payment for many of 
these drugs falls under section 1842(o) of the Act, and in accordance 
with section 1842(o)(1)(C) of the Act, most, but not all, drugs with 
specific benefit categories are paid under the methodology in section 
1847A of the Act. As discussed below, we propose to include the 
majority of Part B drugs in this model.
2. Types of Providers and Suppliers Furnishing Part B Drugs
    Types of providers and suppliers that are paid for all or some of 
the Medicare covered Part B drugs that they furnish include physicians, 
pharmacies, DME suppliers, hospital outpatient departments, and ESRD 
facilities. We propose to include the majority of Part B drugs in the 
Part B Drug Payment Model and therefore we anticipate that few 
providers, and physicians and other suppliers that currently furnish 
Part B drugs would be excluded. However, some may experience limited 
impact from participation if they prescribe or furnish a low volume of 
drugs paid under the Part B benefit. Based on payment data for Part B 
drugs, among the providers, physician, and DME suppliers that furnish 
Part B drugs, we anticipate that physicians and outpatient hospitals 
will see the greatest impact from this proposed model.
    In section IX, Regulatory Impact Analysis, we discuss the potential 
effects of this model on suppliers and providers, including rural 
hospitals. Although the impact on rural hospitals is expected to be 
minimal (see Table 2) and the impact on rural physician specialties is 
generally favorable (when compared to urban specialties) (see Table 1), 
we are soliciting comments on the potential effect that this model may 
have on rural practices, how rural practices may differ from non-rural 
practices and whether rural practices should be considered separately 
from other practice locations. On a similar note, we are also 
soliciting comments on the potential effect that this model may have on 
small practices, how small practices (for example, solo practices and 
practices with two to nine eligible professionals) may differ from 
large practices and whether small practices should be considered 
separately from other practices.

B. Proposed Drugs Paid Under Part B To Be Included in the Model

    Although the Part B drug benefit is generally considered to be 
limited in scope, the Part B drug benefit includes many categories of 
drugs, and encompasses a variety of care settings, and payment 
methodologies. In accordance with section 1842(o)(1)(C) of the Act, 
most Part B drugs are paid based on the ASP methodology described in 
section 1847A of the Act. However, at times Part B drugs are paid based 
on Wholesale Acquisition Cost (WAC), as authorized under section 
1847A(c)(4) of the Act (see 75 FR 73465-6, the section titled Partial 
Quarter ASP data), or average manufacturer price (AMP)-based price 
substitutions, as authorized under section 1847A(d) of the Act (see 77 
FR 69140). Also, in accordance with section 1842(o) of the Act, other 
payment methodologies may also be applied to Part B drugs: average 
wholesale price (AWP)-based payments (using the AWP in effect in 
October 1, 2003) are made for certain drugs infused with covered DME; 
and AWP-based payments (using current AWP) are made for influenza, 
pneumococcal pneumonia and hepatitis B vaccines (section 
1842(o)(1)(A)(iv) of the Act). We also use current AWP to make payment 
for very new drugs without ASP under the OPPS (80 FR 70426 and 80 FR 
70442-3; Medicare Claims Processing Manual 100-04, Chapter 17, Section 
20.1.3). With the exception of the following: influenza vaccine payment 
amounts, which are updated annually near the beginning of each flu 
season (https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Part-B-Drugs/McrPartBDrugAvgSalesPrice/VaccinesPricing.html), certain new 
drugs under the OPPS, and DME infusion drug payments which are based on 
November 2003 AWP values (section 1842(o)(1)(D) of the Act), payment 
amounts for drugs paid under the methodology in section 1847A of the 
Act (which means most Part B drugs) are updated quarterly by CMS. 
Contractors then use these quarterly updates to make payment 
determinations. Examples of the quarterly ASP price file updates for 
2016 are available at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Part-B-Drugs/McrPartBDrugAvgSalesPrice/2016ASPFiles.html. 
Contractors may also make independent payment amount determinations in 
situations where a national price is not available for physician and 
other supplier claims and for drugs that are specifically excluded from 
payment based on section 1847A of the Act (for example, 
radiopharmaceuticals as noted in section 303(h) of the Medicare 
Modernization Act). In such cases, pricing may be determined based on 
compendia or invoices (Medicare Claims Processing Manual 100-04, 
Chapter 17, Section 20.1.3).
    With limited exceptions that are discussed in this section below, 
we propose to include all Part B drugs in this model. We would overlay 
payment amounts for Part B drugs (which are also referred to as payment 
allowance limits) on the quarterly ASP Drug Pricing Files (see https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Part-B-Drugs/McrPartBDrugAvgSalesPrice/2016ASPFiles.html) and the quarterly update 
to Addendum B of the OPPS (https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/HospitalOutpatientPPS/Addendum-A-and-Addendum-B-Updates.html) with model-derived payment amounts in the geographic 
areas that are being evaluated. Therefore, we would include nationally 
priced drugs with ASP, WAC, and AMP-based payment amounts that are on 
the quarterly price file; we note that based on recent claims data, 
nationally priced drugs with ASP-based payments account for the vast 
majority of this group. This means that the following drugs (and 
certain associated fees) would also be included in the model:
     Drugs and biologicals (including biosimilars) with HCPCS 
codes that are nationally priced under the methodology described in 
section 1847A of the Act, including ASP and WAC-based payment amounts, 
and drugs (and biologicals) paid separately under OPPS. Because OPPS 
pass-through drugs described in section 1833(t)(6) of the Act are paid 
ASP+6 percent, which is the same payment as separately paid drugs under 
the OPPS, we propose including all OPPS pass-through drugs in the 
model. In phase I, for drugs paid based on ASP and WAC, the 6 percent 
add-on will be replaced with the updated add-on amount (discussed in 
section III.A. of this proposed rule). In phase I, for HCPCS codes with 
AMP-based payments, the lower of the quarter's AMP-based payment amount 
(that is, the AMP-based amount on the quarterly ASP files) or the model 
payment amount would be used; in other words, if the model-based 
payment is lower than the AMP-substitution-based payment determined 
under the authority in

[[Page 13235]]

section 1847A(d) of the Act, the model-based payment amount will be 
used.
     Non-infused drugs furnished by DME suppliers (including 
the limited number of Part B drugs dispensed by pharmacies), such as 
immunosuppressives, oral chemotherapy, oral antiemetics, inhalation 
drugs used with DME, and clotting factors. Payment for these drugs is 
typically based on the ASP, but additional fees are also paid by 
Medicare for dispensing, supplying, or furnishing some of these drugs 
in accordance with section 1842(o) of the Act. We believe that it is 
important for the model to include drugs that are used outside of the 
incident-to setting. Also, we believe that it is important to 
understand the impact of other payment-related financial incentives 
that are associated with the drug payment, therefore we propose that 
phase II of this model may incorporate changes to the furnishing, 
supplying and dispensing fees that are associated with these drugs. 
(Note that this subset of drugs that are furnished by DME suppliers 
does not include drugs that are infused with covered DME. DME infusion 
drugs are discussed later in this section.)
     Intravenously and subcutaneously administered 
immunoglobulin G (IgG). This includes products administered in the 
office as well as intravenous products administered in the home to 
patients with primary immunodeficiency under the benefit described in 
section 1861(s)(2)(Z) of the Act. Payment for intravenously 
administered IgG used in these situations is typically based on the ASP 
(section 1842(o)(1)(E)), while payment for subcutaneously infused IgG 
will depend on who furnishes the drug. For example, physicians would 
typically be paid an ASP-based amount while DME suppliers would be paid 
an amount based on the AWP.
    We do not believe that all Part B drugs are appropriate candidates 
for inclusion in this phase of the model, and we propose to exclude the 
following categories of drugs:
     Contractor-priced drugs, including drugs that do not 
appear on the quarterly national ASP price file. Because pricing for 
contractor-priced drugs may vary, we are limiting the model to drugs 
that are nationally priced by CMS. Contractor-priced drugs (which are 
not nationally priced) would continue to be priced by contractors as 
described in the Medicare Claims Processing Manual 100-04, Chapter 17, 
Section 20.1.3. However, in situations where the previous manual 
citation either permits contractors to contact us to obtain payment 
limits for drugs not included in the quarterly ASP or Not Otherwise 
Classified (NOC) drug file, or when contractors have the authority to 
independently determine a payment amount, we propose that contractors 
would be permitted to utilize reductions to the add-on percentage that 
they calculate. For example if a contractor currently uses a WAC-based 
payment amount and adds a 6 percent add-on under existing authority, 
the add-on percentage could be decreased to correspond to the model arm 
that is being evaluated in that area. We propose to implement this 
approach by issuing subregulatory instructions to contractors that 
would allow them to utilize the modified add-on percentage for 
contractor-based claims. We seek comments on whether we should permit 
contractors to alter the add-on percentage for drug payment amounts 
that are determined by contractors during this model. Contractor-priced 
drugs include certain radiopharmaceuticals that are furnished in the 
physician's office (therapeutic radiopharmaceuticals paid separately 
under the OPPS for hospital outpatients are discussed later in this 
rule).
     Influenza, pneumococcal pneumonia and hepatitis B vaccines 
paid under the benefit described in section 1861(s)(10) of the Act. 
Payment amounts for these vaccines are not determined using the 
methodology in section 1847A. We consider these items to be preventive 
services (for more information about preventive services, see https://www.cms.gov/Medicare/Prevention/PrevntionGenInfo/index.html?redirect=/Prevntiongeninfo/ Prevntiongeninfo/), and preventive services, such as these vaccines, 
are typically provided at no cost to beneficiaries. We propose to 
exclude vaccines in section 1861(s)(10) of the Act that are preventive 
services from this model.
     Drugs infused with a covered item of DME in phase I. 
Payment for this subset of DME drugs is made based on the AWP in effect 
on October 1, 2003. We propose to exclude this category of drugs from 
phase I of the model so that DME policy can focus on issues related to 
DME and so that the model does not interfere with decisions related to 
the inclusion or exclusion of these drugs in DME competitive bidding. 
However, OIG has pointed out concerns related to mismatch between 
acquisition costs and payment for this group of drugs (OEI-12-12-00310, 
February 2013. See http://oig.hhs.gov/oei/reports/oei-12-12-00310.asp). 
We do not propose to exclude DME infusion drugs from the entire model, 
just phase I.
     ESRD drugs paid under the authority in section 1881 of the 
Act. Many ESRD drugs are bundled with services, and relatively few 
drugs are still paid separately. Given adoption of bundled payments for 
renal dialysis services and the diminishing number of drugs that are 
paid separately in this setting, we do not believe that including ESRD 
drugs in the proposed Part B Drug Payment Model is prudent.
     Blood and blood products. Blood and blood products are 
prepared in blood banks (rather than drug manufacturing facilities), 
and have different distribution channels than drugs that are paid under 
Part B. ASP sales data and compendia pricing for many of these products 
are not available.
    We are also concerned about how to treat drugs that are in short 
supply. Due to access concerns related to drug shortages, under current 
Part B drug payment, we exclude drugs that are in short supply from 
AMP-based price substitution and, instead, we utilize the ASP+6 percent 
payment amount. The exclusion criteria for the AMP price substitution 
and the process for determining whether a drug is in short supply are 
described in the CY 2013 Medicare PFS rule with comment (77 FR 69141). 
To maintain access to drugs that are in short supply, we believe that 
incorporating a safeguard is prudent. Thus, for drugs that are included 
in the model and are reported by the FDA to be in short supply (for 
example on the FDA Current Drug Shortage list at http://www.fda.gov/Drugs/DrugSafety/DrugShortages/ucm050792.htm) at the time that model 
payment amounts are being finalized for the next quarter, we propose to 
continue paying for these drugs using the existing statutory 
methodology in section 1847A of the Act. This safeguard will prevent 
the use of a payment amount that is lower than that determined using 
the existing statutory methodology if a drug is in short supply.
    We considered proposing to pay the greater of the following: the 
applicable arm's model payment amount, or the current quarter's 
statutory payment amount (which is often ASP+6 percent). We believe 
that this approach could increase payment compared to the model 
intervention for many drugs that are in short supply; however, we have 
no evidence that leads us to believe that this approach would have any 
meaningful positive effect on the resolution of a drug shortage. We are 
also concerned that incorporating this approach in this model would not 
provide us reliable information on how pricing impacts the focus, size, 
and

[[Page 13236]]

duration of drug shortages. We are seeking comment on whether paying 
the greater of the applicable arm's model payment amount, or the 
current quarter's statutory payment amount has a significant potential 
benefit that would persuade us to reconsider our position.
    The new proposed Sec.  511.200, found in subpart C of this proposed 
rule, reflects the drugs that we propose to include in the model. 
Section 511.300(c)(1) addresses drugs that are in short supply.

C. Proposed Participants, Selected Geographic Areas, and Sampling

    We propose that providers and suppliers in selected geographic 
areas furnishing covered and separately paid Part B drugs that are 
included in this model, under phase I, would receive an alternative 
add-on to the ASP for Part B drug payments. Under phase II of the 
proposed model, providers and suppliers in other distinct and/or 
overlapping geographic areas would receive VBP payments (see sections 
III.A and B. of this proposed rule for a description of the proposed 
alternative Part B drug payments; note that one arm combines an 
alternative ASP add-on payment and VBP). We are interested in testing 
and evaluating the impact of an alternative ASP payment for Part B 
drugs alone in phase I of the proposed model, and in phase II, we are 
interested in testing and evaluating the impact of VBP tools alone and 
simultaneously in combination with alternative ASP payments (see Table 
1 in section I).
    The Part B Drug Payment Model requires the participation of all 
providers and suppliers furnishing covered and separately paid Part B 
drugs that are included in this model. We believe a model in which 
participation is required of all providers and suppliers furnishing 
included Part B drugs in the selected geographic areas is appropriate 
to ensure that observed outcomes in each arm of the model do not suffer 
from selection bias inherent in a voluntary participation model and 
that observed outcomes can be generalized to all providers and 
suppliers billing Part B drugs. The voluntary structure of some 1115A 
model initiatives has facilitated testing new payment methodologies 
that differ significantly from current payment structures, such as 
BPCI. Voluntary participation can limit the generalizability of model 
results as voluntary model participants may not be broadly 
representative of all entities who could be affected by the model. 
Before BPCI models were scheduled to end, CMS launched the 
Comprehensive Joint Replacement (CJR) initiative after realizing that 
the full potential of new payment models requires the engagement of an 
even broader set of providers and suppliers than have participated to 
date, including those who may only be reached when new payment models 
are applied to an entire class of providers of a service. Requiring 
participation in the Part B Drug Payment Model ensures that the 
broadest set of providers and suppliers are included in the model from 
the start. Mandatory participation allows us to observe the experiences 
of an entire class of providers and suppliers with various 
characteristics, such as different geographies, patient populations, 
and specialty mixes, and to examine whether these characteristics 
impact the effect of the model on prescribing patterns and Medicare 
Part B drug expenditures.
    In determining which providers and suppliers to include in the 
model, we considered whether the model should be limited to specific 
specialties that prescribe (or furnish) a significant portion of high 
cost drugs only or to any entity prescribing drugs for certain 
indications. Limiting the model to specific specialties that are 
associated with high cost drug payments would not allow us to observe 
overall changes in prescribing patterns by practitioners for all Part B 
drugs. Many types of providers and suppliers furnish Part B drugs that 
are of low or medium cost in addition to high cost drugs. Medium and 
low-cost drugs may also be affected by statutory pricing, and CMS 
believes that understanding their prescribing patterns may be as 
important as understanding high cost drug prescribing patterns.
    Similarly, limiting the model to drugs that only treat a specific 
indication also would not allow us to assess the full impact of 
proposed payment changes on Part B expenditures and outcomes as drugs 
that treat a specific indication rarely represent the full range of 
drug treatment options that are typically available in Part B, and 
could miss attributes such as the presence of substitutable therapies 
and a wide range of pricing. Therefore, given the authority in section 
1115A(a)(5) of the Act, which allows the Secretary to elect to limit 
testing of a model to certain geographic areas, we propose to require 
all providers and suppliers in selected geographic areas furnishing and 
receiving separate payment for the drugs separately paid under Part B 
that are included in this proposed model to take part in the model. We 
discuss our consideration of geographic area selection and random 
assignment methodology in more detail below.
1. Overview and Options for Geographic Area Selection
    In determining the most appropriate geographic unit for this model, 
we considered five options: (1) States; (2) Core Based Statistical 
Areas (CBSA); \2\ (3) Dartmouth Atlas of Health Care's Hospital 
Referral Regions (HRR); \3\ (4) ZIP codes \4\ and (5) PCSA.\5\
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    \2\ http://www.census.gov/population/metro/.
    \3\ http://www.dartmouthatlas.org/downloads/methods/geogappdx.pdf.
    \4\ http://www.census.gov/geo/reference/zctas.html.
    \5\ http://bhpr.hrsa.gov/healthworkforce/data/primarycareserviceareas/index.html.
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    For phase I of the model, we are proposing an alternative ASP 
payment method to be tested against the current ASP+6 percent method 
(see section III of this proposed rule), that creates three 
requirements for the selection of geographic areas. First, the areas 
need to be sufficiently large so that most providers and suppliers do 
not have practice locations in multiple areas. A provider or supplier 
with practice locations in multiple areas may be subject to multiple 
payment changes. This situation could create an unnecessary 
administrative burden for the provider or supplier. It may also create 
an opportunity for a provider or supplier to attempt to influence a 
patient to receive a medically appropriate drug paid under Part B at 
the practice location that provides higher payment to the provider or 
supplier. Moreover, we want to test the alternative payment methods in 
circumstances that most closely resemble how Part B drug payment policy 
currently is implemented, with only one payment methodology applicable 
to a particular provider or supplier for a particular Part B drug. 
Under all of these circumstances, a larger unit of analysis is 
preferred.
    Second, the areas need to be sufficient in number to ensure 
adequate statistical power for the evaluation of the model. In general, 
the larger the number of geographic units available for assignment to 
the intervention and comparison groups, the greater our ability to 
determine whether measured differences between the intervention and 
comparison groups are attributable to the effects of the model or to 
random chance. Thus, in choosing a unit of analysis, a choice that 
creates more independent geographic units is preferred.
    Third, the areas need to have characteristics that are relatively 
more similar when comparing one to another so that observed changes at 
the area level can be more clearly attributed to

[[Page 13237]]

the intervention and not to other factors. If two groups of areas are 
exactly alike in all relevant aspects before an intervention is 
applied, then after the intervention is applied to one group of areas 
and not the other, we can conclude that any differences that we 
observed between the two groups are a result of the intervention. In 
practice, while it is possible to select intervention and comparison 
areas in a way that ensures that the intervention and comparison groups 
are similar with respect to a set of observed characteristics (an 
approach known as ``stratification''), it is generally impossible to 
construct groups that are identical in all respects because not all 
relevant differences can be observed. Instead, the standard approach to 
evaluating the effects of an intervention is to select a sufficiently 
large number of intervention and comparison areas to ensure that any 
unobserved differences between the two groups are likely to be small 
(on average), which permits the differences between the groups to be 
attributed to the intervention with reasonable confidence. The less 
variation there is among the areas being studied (after accounting for 
any reduction in variation due to stratification), the smaller the 
number of intervention and comparison areas required to reliably detect 
an effect of a given size (or, equivalently, the smaller the effect 
that can reliably be detected for any given number of intervention and 
comparison areas).
    In general, with geographic areas as the unit of analysis, larger 
areas are likely to exhibit more substantial cross-area variation with 
respect to relevant characteristics such as the total number of 
beneficiaries as well as variations in the number of beneficiaries per 
square mile, or beneficiary population density. While, as noted above, 
stratification can help reduce the differences between the intervention 
and comparison areas with respect to observed characteristics, when 
areas vary widely and there are relatively few potential areas to test, 
stratification may have a limited ability to ensure balance with 
respect to observed characteristics and thereby increase the power of a 
test.
    In selecting the most appropriate geographic unit for the model, 
the first option that we considered for a unit of analysis was entire 
states. States represent a sufficiently large area so as to prevent 
most individual providers or suppliers from experiencing multiple 
interventions under the model simultaneously. However, states as a unit 
of analysis also would greatly limit the number of independent 
geographic areas subject to selection under the model and, therefore, 
would decrease the statistical power of the model test to the extent 
that none of the anticipated changes in Part B drug use or expenditures 
due to the model interventions could be measured with statistical 
confidence.
    For the second option, we considered CBSAs, a Census-defined core 
area containing a substantial population nucleus together with adjacent 
communities that have a high degree of economic and social integration. 
There are 929 CBSAs, which include 388 Metropolitan Statistical Areas 
(MSAs), with an urban core population of at least 50,000, and 541 
Micropolitan Statistical Areas ([mu]SA), with an urban core population 
of at least 10,000 but less than 50,000. All remaining areas within a 
state that are not included in CBSAs are lumped into one area 
designated as Outside Core Based Statistical Areas.\6\ The choice of a 
geographical unit based on CBSA status could mean an MSA, or a Combined 
Statistical Area (CSA) that consists of adjacent MSAs or [mu]SAs or 
both. Unlike CJR, where the providers and suppliers of services 
included in the model tend to be concentrated in high population 
density regions captured by CBSAs, in this proposed model, the practice 
locations of Part B drug providers and suppliers are distributed more 
often in less population dense areas. Therefore, the choice of a CBSA 
unit for the model would not include all providers and suppliers 
eligible for the model in regions that are fully representative of the 
entire country. To address this issue, we would anticipate designating 
the non-CBSA portions of each state (if any) as additional units of 
analysis to ensure the model addresses all eligible providers and 
suppliers. These non-CBSA areas could either be considered a single 
large unit or could be divided into counties. If CBSAs were adopted as 
the unit of analysis for the model test, they are sufficiently large to 
prevent most individual providers or suppliers from experiencing two 
intervention arms simultaneously. The 929 CBSAs divided equally among 
the three proposed model test arms and the fourth control arm would 
result in approximately 232 CBSAs per arm. This could provide minimally 
sufficient statistical power to detect moderate changes in Part B drug 
expenditures or utilization, provided that appropriate stratification 
or analytic adjustments are made to address the wide variation across 
CBSAs in size and population density. However, having only minimally 
sufficient power may reduce the opportunities to conduct deeper 
analyses, such as examining whether specific aspects of the VBP 
intervention have a greater impact compared with smaller and more 
uniform areas.\7\ The differences in sizes and population densities of 
CBSA subunits may require additional stratification or analytic 
adjustments to be able to generalize results.
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    \6\ On July 15, 2015, OMB issued OMB Bulletin No. 15-01, which 
established revised delineations for MSAs, [micro]SAs, and CSAs, and 
provided guidance on the use of the delineations of these 
statistical areas. A copy of this bulletin may be obtained at 
https://www.whitehouse.gov/sites/default/files/omb/bulletins/2015/15-01.pdf. The Standards for Delineating Metropolitan and 
Micropolitan Statistical Areas Notice upon which the 2015 revisions 
are based was published June 28, 2010 and corrected July 7, 2010.
    \7\ Murray, D.M., Varnell, S.P., & Blitstein, J.L. (2004). 
Design and Analysis of Group-Randomized Trials: A Review of Recent 
Methodological Developments. American Journal of Public Health, 
94(3), 423-432.
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    For the third option, we considered HRRs, which represent regional 
health care markets for tertiary medical care. There are 306 HRRs, 
which include at least one city where both major cardiovascular 
surgical procedures and neurosurgery are performed.\8\ The number of 
HRRs is an improvement relative to states, but would not provide 
sufficient statistical power for an effective evaluation of this model. 
Therefore, the HRR is not the most appropriate unit of analysis for 
this model.
---------------------------------------------------------------------------

    \8\ http://www.dartmouthatlas.org/downloads/methods/geogappdx.pdf. pp.294-5. Accessed Jan 13, 2016.
---------------------------------------------------------------------------

    Fourth, we considered the smallest geographic unit directly 
linkable to Medicare Part B claims, the U.S. Postal Service's five 
digit ZIP codes.\9\ ZIP codes are assigned by the U.S. Postal Service 
to every address in the country. They represent a system of 5-digit 
codes that geographically identifies individual Post Offices or 
metropolitan area delivery stations associated with every mailing 
address. There are more than 42,000 five digit ZIP codes.\10\ The 
number of ZIP codes would provide sufficient statistical power for the 
model evaluation analyses. However, we are concerned that ZIP codes are 
very small geographic areas. While hospital outpatient departments bill 
as part of the hospital from a single location with a single ZIP code, 
large physician practices can span multiple ZIP codes. Supplier claims 
include a service location ZIP code that determines the geographic 
adjustment, and the physician must bill based upon the ZIP code of the 
location where services were

[[Page 13238]]

rendered. While sampling by ZIP code would improve the power of the 
model's evaluation, it could expose physicians to multiple payment 
methods during the model test, which as we discussed above, is an 
unnecessary burden and has no analog in current policy.
---------------------------------------------------------------------------

    \9\ http://faq.usps.com/#Zone. Accessed Jan 13, 2016.
    \10\ http://faq.usps.com/?articleId=219334. Accessed Jan 13, 
2016.
---------------------------------------------------------------------------

    In seeking an area definition that is sufficiently large to 
minimize the potential for exposing providers or suppliers to multiple 
test payment alternatives, while sufficiently small to ensure a 
sufficient numbers of areas, and to limit cluster effects due to 
differences that cannot be balanced using stratification, we considered 
aggregations of contiguous ZIP codes. Random aggregations of contiguous 
ZIP codes can be developed to optimize the characteristics required for 
a robust test of the model. Developing a unit of analysis tailored to 
the model test has merit, but the goal of this model is not to develop 
a new unit of analysis, and the process for doing so would require 
considerable resources for definition and validation. We would prefer 
to adopt an existing geographic unit of analysis that meets the 
requirements for testing the model.
    Finally, we considered PCSAs, which were defined and updated under 
contract to the Health Resources and Services Administration (HRSA) by 
The Dartmouth Institute.\11\ With the goal of representing service 
areas for office based primary health care services, PCSAs were defined 
based upon patterns of Medicare Part B primary care services 
(specifically, patterns linking the residence of Medicare Part B 
beneficiaries with the practice locations for evaluation and management 
visits to Medicare participating physicians in primary care specialties 
\12\). While the service areas for evaluation and management visits may 
not directly match Part B drug-service areas, they are likely to be a 
closer match than randomly aggregated ZIP codes. CMS analyzed CY 2014 
claims data, including provider and supplier practice locations for 
those delivering Part B drugs relative to PCSA boundaries using the 
practice location of the performing National Provider Identifier (NPI) 
or the billing location of the organizational NPI for hospital 
outpatient departments, and observed that almost all claims for an 
individual provider or supplier were billed within a single PCSA. It is 
possible, however, that large practices may have practice locations in 
more than one PCSA. As a result, there could be situations during the 
model test in which those large practices are exposed to multiple arms, 
and thus to different payment methods simultaneously.
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    \11\ http://datawarehouse.hrsa.gov/data/dataDownload/pcsa2010download.aspx. Accessed Jan 13, 2016.
    \12\ Goodman, DC, et al. Primary Care Service Areas: A New Tool 
for the Evaluation of Primary Care Services. Health Services 
Research 2003:38:287-309.
---------------------------------------------------------------------------

    Nevertheless, we believe that of all existing units of analysis, 
PCSAs are the most appropriate unit for testing this model in that they 
exhibit a desirable mix of size, internal homogeneity relative to 
differences between areas, and number. This preference is based on the 
specifics of this model, including the types of services involved, the 
national scope, and the simultaneous testing of multiple payment 
alternatives, and is not meant to imply that other units of analysis 
would not be appropriate in a different model (for example, the MSA 
used in the CJR model \13\).
---------------------------------------------------------------------------

    \13\ https://www.federalregister.gov/articles/2015/11/24/2015-29438/medicare-program-comprehensive-care-for-joint-replacement-payment-model-for-acute-care-hospitals#h-32. Accessed Jan 13, 2016.
---------------------------------------------------------------------------

    We propose to require all providers and suppliers furnishing Part B 
drugs that are included in the model to participate in the Part B Drug 
Payment Model. Participation means that any claim submitted for a Part 
B drug in the model will be paid according to the payment applicable 
for the control group, ASP+6 percent, or one of the proposed test 
alternatives (see Table 1). We propose the payment method used will be 
determined by the PCSA associated with the claim. We propose to 
associate claims with a PCSA on the basis of the ZIP code of the 
appropriate performing or billing NPI or beneficiary recorded on the 
claim. The service location ZIP code linked to the performing NPI 
(recorded in item 32) will be used for practitioner claims (CMS-1500). 
The ZIP code in the CCN address associated with a hospital will be used 
for hospital outpatient department claims. The residence ZIP code of 
the beneficiary receiving a Part B drug will be used for DME claims 
(CMS-1490S). Each five digit ZIP code identified in U.S. Postal Service 
ZIP code files is linked to a PCSA. The PCSA associated with the claim 
in the manner above will be assigned to one of the three test arms or 
the control arm of this model test (see below for PCSA assignment 
method). We include a summary table of the proposed model under section 
I.B.3. of this proposed rule.
2. PCSA Selection
    There are 7,144 PCSAs in the United States, covering all 50 
states.\14\ Because the waiver for Medicare hospital payment rules in 
the Maryland All-Payer Model \15\ may create unobservable bias in the 
prescribing patterns or payments for the Part B drugs in this model 
test, we propose to exclude Part B drug claims from providers and 
suppliers associated with the 96 PCSAs located in Maryland from the 
Part B Drug Payment Model. This exclusion leaves a total of 7,048 PCSAs 
in the model test.
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    \14\ http://datawarehouse.hrsa.gov/DataDownload/PCSA/2010/p_103113_1.dbf, Accessed Jan 13, 2016.
    \15\ This initiative will update Maryland's 36-year-old Medicare 
waiver to allow the state to adopt new policies that reduce per 
capita hospital expenditures and improve health outcomes as 
encouraged by the Affordable Care Act. https://innovation.cms.gov/initiatives/Maryland-All-Payer-Model/, accessed Jan 13, 2016.
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    To test the impact of the model's intervention arms compared to the 
control (discussed in section III. of this proposed rule and also see 
summary table in section I.B.3.), we propose to assign all 7,048 PCSAs 
to an arm of the model test, approximately 1,700 PCSAs to each of the 
control and three test arms. Under the control arm, we propose a 
provider or supplier would receive payment for a Part B drug claim 
according to the current ASP+6 percent methodology. Under the arms with 
an ASP payment alternative, we propose a provider or supplier would 
receive payment for a Part B drug claim according to the assigned 
alternative method, ASP+2.5 percent + flat fee. Under the two model 
arms with the VBP tools in phase II, we propose a provider or supplier 
would receive payment for a Part B drug claim according to the assigned 
payment method, either the current ASP+6 percent methodology or the ASP 
payment alternative (ASP+2.5 percent + flat fee), but with one or more 
of the VBP tools discussed in section III.B. The model is designed to 
allow the simultaneous testing of the ASP payment alternative 
separately compared to the control without VBP, and with the ASP 
payment alternative interactively with the VBP tools.
    The assignment of each PCSA to an arm of the study will be based on 
a stratified random approach. We consider a randomized design to be the 
best method for achieving balance in unobserved confounding factors 
that otherwise could bias the test results. Randomized designs can be 
made better with stratification prior to random assignment to assure 
representation of population subgroups in the sample. Simple random 
assignment will ensure

[[Page 13239]]

that each stratum contains the same proportion of PCSAs in each 
treatment arm. Strata are mutually exclusive temporarily defined groups 
of PCSAs proposed to be randomly assigned in equal proportions to the 
control and three model test arms.
    The current strata proposed are defined by the number of Medicare 
beneficiaries being furnished Part B drugs in each PCSA and the mean 
Part B drug expenditures per beneficiary. These two factors drive the 
differences among PCSAs for the purpose of this model test and both 
factors have a significant number of outliers that must be evenly 
distributed to each arm. Stratification gains are obtained with six or 
fewer strata within each factor. In this proposed rule, based upon an 
analysis of the CY 2014 claims for Part B drugs included in this model, 
we propose to use a single cut point of Part B drug beneficiary counts 
per PCSA at 1,500 and two cut points for the distribution of mean 
dollars expended for Part B drugs per beneficiary per PCSA of $500 and 
$3,000. These three cut points in two factors result in six strata from 
which the PCSAs will be assigned to the one control and three test arms 
of the model in equal numbers by simple randomization. We solicit 
comment from the public regarding additional factors or cut points that 
may be necessary to achieve balance across the three test arms and the 
control arm in this model test.
    Because we propose to randomly assign PCSAs within each stratum in 
equal proportion to the one control and three model test arms, the 
randomized assignment should account for unobservable confounding 
factors that may affect outcomes of interest while simultaneously 
assuring that population subgroups are equally represented within each 
arm of the model. After randomization of the PCSAs, we can adjust our 
analyses of the model test results to account for any imbalance across 
the arms of the model in observable characteristics that were not the 
basis of stratification, such as the beneficiary population's average 
socio-economic status in a PCSA.
    The stratified random sample design cannot support analyses of all 
potential sub-groups of providers and suppliers, patients, and drugs at 
the same level of precision or with the same statistical power as it 
supports the primary analysis of a model test. However, we believe 
stakeholders will be interested in impacts of the model's interventions 
on these subgroups. We expect the model evaluation will employ a range 
of appropriate analytic methods to address questions of interest to 
stakeholders and to provide additional support to the overall model 
test analyses. We seek information on which sub-group analyses might be 
of more interest and which additional analytic methods may be most 
appropriate. New section 511.105 reflects our proposed definition of 
geographic areas.

III. Payment Methodology

    CMS is required to reduce Medicare payments for Part B drugs under 
the Balanced Budget and Emergency Deficit Control Act of 1985 (BBEDCA), 
as amended by the Budget Control Act of 2011. The application of the 
sequestration requires the reduction of Medicare payments by two 
percent for many Medicare FFS claims with dates-of-service on or after 
April 1, 2013. The discussion in this proposed rule does not consider 
reductions applied to Medicare payment under sequestration, which is 
independent of Medicare payment policy.

A. Phase I: Proposed Modifications to the ASP Add-On Percentage for 
Drugs Paid Under Part B

    In general, payment for drugs paid under Part B varies over a wide 
range; drugs may be paid between several dollars per dose to thousands 
of dollars per dose. Drug therapy may require one or a few doses, or it 
may require many doses over a long time period, sometimes indefinitely. 
As we developed potential approaches for evaluating changes to the add-
on percentage, we considered the effect of a proposal on the drug price 
points (that is, high, medium and low cost Part B drugs), as well as 
the types of drugs that are paid for under Part B. We also considered 
the effects on entities within the drug supply chain (for example, 
manufacturers and wholesalers), beneficiaries, providers, suppliers, 
and the Medicare program. Overall, we believe that phase I of this 
model will not change how Part B drugs are acquired by providers or 
suppliers, or how drug manufacturers sell their products to providers, 
suppliers, or intermediaries such as wholesalers. As discussed in the 
paragraphs below, phase I would establish payment at ASP plus a 2.5 
percent add-on percentage and a flat fee per administration day as a 
budget neutral test. We propose to derive the flat fee from the 
difference in total payment between total payments with a 6 percent 
add-on percentage across Part B drugs in the most recently available 
calendar year claims', which is CY 2014, and total estimated payment 
for Part B drugs in the same set of claims with a 2.5 percent add-on 
percentage to the flat fee. We propose to divide this difference by the 
total number of encounters per day per drug in the CY 2014 claims data. 
Because total payments made under this phase are not expected to change 
considerably, we anticipate that providers or suppliers will continue 
to buy and bill for Part B drugs that they furnish to their patients. 
Having established the flat fee for the initial year in 2016, we 
propose to update the flat fee amount each year by the percentage 
increase in the consumer price index (CPI) for medical care for the 
most recent 12-month period. The dollar value of the 2.5 percent add-on 
percentage would automatically adjust to changes in price levels as ASP 
changes. The modeling methodology is discussed in section 1 below.
    We are proposing a budget neutral approach to isolate the impact of 
changes to the ASP add-on amount without introducing additional savings 
as a second potential source of behavioral adjustments. We do not 
expect a sizable overall reduction in Part B drug spending associated 
with phase I of this model, but we do anticipate an incentive to use 
higher value drugs.
    In sections 2 and 3, we describe the proposed approaches for 
modifying the ASP add-on amount. The approaches discussed below are 
intended to minimize the risk of excessively large or small add-on 
payments for individual Part B drugs across the range of Part B drug 
prices. At the same time, our goal is to minimize providers' and 
suppliers' (including physicians') financial incentives to prescribe 
more expensive drugs. This phase of the model would not affect other 
payments that are associated with furnishing a drug such as the 
clotting factor furnishing fee, or supplying and dispensing fees that 
are authorized under section 1842(o) of the Act.
1. Methodology for Creating Modeling Data Set
    To determine the initial aggregate Part B drug annual spending for 
the implementation of phase I in 2016, we are proposing to use CY 2014 
utilization for drugs paid under Part B to calculate the amount of 
payments that were associated with the 6 percent ASP add-on percentage. 
For a detailed discussion of those drugs, please see section II.B. of 
this proposed rule. The data set includes drugs that are in the model.
    We begin with CY 2014 Part B institutional hospital outpatient 
claims and Part B supplier claims data processed through June 30, 2015. 
We note that the payment amounts on the CY 2014 claims include the 
effect of sequestration. Therefore, to establish

[[Page 13240]]

baseline payment at ASP+6 percent within the Part B Drug Payment model, 
we first calculate ASP+0 percent by dividing the line payments by 1.043 
and then the full ASP+6 payment by multiplying by 1.06.
    We propose the following approach to develop the supplier and 
outpatient hospital claims dataset for modeling purposes; this approach 
is intended to remove unusable data, errors and inconsistencies in the 
data set. We propose to exclude all claims billed by providers and 
suppliers in the state of Maryland as hospital outpatient services are 
paid under the Maryland All-Payer Model and not at ASP+6 percent. We 
also propose to exclude claims from American Samoa, Virgin Islands, and 
Guam because hospitals in these locations are paid at reasonable cost. 
We propose to remove Medicare secondary payer claims from the modeling 
dataset because the payment amounts in situations where Medicare is 
secondary may not reflect the Medicare payment amounts that are 
determined under statutory authority, such as the methodology in 
section 1847A of the Act, and used when Medicare is the primary payer. 
We propose to remove individual lines with units three standard 
deviations outside the geometric mean units billed by HCPCS, specific 
to the applicable portion of the dataset (supplier or hospital claims) 
because we believe that payments deviating from the mean by this amount 
are likely errors and they do not represent payment amounts that are 
determined and published in our price files. Additionally, we propose 
to remove claim lines that were rejected or denied by the claims 
systems for not meeting the Medicare requirements for payment and 
restrict the dataset to drugs that we are proposing to include in phase 
I of the model.
    OPPS claims will be handled in a manner that is similar to what we 
apply in the OPPS rates setting process; the process was established in 
2000 and has been updated annually (https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/HospitalOutpatientPPS/Hospital-Outpatient-Regulations-and-Notices.html). We propose to include 
hospital bill types 12X (Hospital Inpatient (Medicare Part B only)), 
13X (Hospital Outpatient), 14X (Hospital--Laboratory Services Provided 
to Nonpatients), which are paid under the OPPS. We propose to exclude 
claims not paid under the OPPS based on provider type, similar to the 
standard OPPS rate setting process, including those from all-inclusive 
hospitals, Religious Nonmedical Health Care Institutions, and critical 
access hospitals. We are proposing to exclude certain OPPS claims: 
claims with more than 100,000 units on a service line, claims with 
condition codes `04' (HMO enrollee--information only bill), `20' 
(beneficiary requested billing), `21' (billing for denial notice), and 
`77' (payer fully paid claims), claims with more than 30 related 
condition codes, claims with more than 300 revenue lines on the claim, 
and claims where the revenue center payment is equal to the charge 
amount. Those claims are either not paid or may contain aberrant data. 
We also would exclude claim lines for hospitals with erroneous cost-to-
care ratios (CCRs) (greater than 90 or less than 0.0001) on their cost 
reports. We propose to exclude all claim lines for packaged drugs in 
the hospital outpatient setting because such items are not paid 
separately and are not subject to the 6 percent add-on.
    We propose a number of exclusions that would apply specifically to 
supplier claims. We propose to exclude claims with the following 
facility place of service codes because these places of service are not 
typically associated with the use of ``incident to'' drugs: `21' 
(Inpatient Hospital), `22' (Outpatient Hospital), `23' (Emergency Room-
Hospital), `24' (Medicare-participating Ambulatory Surgical Center 
(ASC) for a HCPCS code included on the ASC approved list of 
procedures), `26' (Military Treatment Facility), `31' (Skilled Nursing 
Facility (SNF) for a Part A resident), `34' (Hospice--for inpatient 
care), `41' (Ambulance--Land), `42' (Ambulance--Air or Water), `51' 
(Inpatient Psychiatric Facility), `52' (Psychiatric Facility--Partial 
Hospitalization), `53' (Community Mental Health Center), `56' 
(Psychiatric Residential Treatment Center), and `61' (Comprehensive 
Inpatient Rehabilitation Facility) because the proposed Part B Drug 
Payment Model would not apply. We propose to remove claims with Carrier 
number ``00882'' which are those associated with the Railroad 
Retirement Board benefit since they are paid under a separate payment 
methodology.
    We propose to exclude DME MAC claims for drugs infused through a 
covered item of DME from our modeling dataset. As discussed in section 
II.B. of this proposed rule, we propose to exclude drugs infused with a 
covered item of DME from phase I of the Part B Drug Payment Model. 
Therefore, we also propose to remove claim lines for these codes from 
the set of DME MAC claims to establish the flat fee amount.
    In addition to soliciting comment on our proposal to exclude the 
data that is described above, we are interested in stakeholder comments 
on whether the CY 2015 claims updated as of March might be appropriate 
as an alternative dataset to establish the CY 2016 flat fee amount in 
the final rule. We note that for the final rule, more CY 2014 claims 
data would be available due to additional claims processing, which we 
would include in modeling the final rule.
    We provide a summary file containing the Part B drug model payment 
and utilization data used to calculate the flat fee amount on the CMS 
Web site with display of this proposed rule. The summary file contains 
no personally identifiable information and we exclude drug codes with 
low beneficiary volume from the summary file.
2. Add-On Proposal: Percentage Plus a Flat Fee
    As discussed previously, a flat percentage, like the current 6 
percent add-on percentage to ASP, may create an incentive for using 
more expensive drugs because the add-on portion of the payment amount 
is higher for more expensive products (MedPAC Report to the Congress 
Medicare and the Health Care Delivery System June 2015, page 68). A 
flat add-on fee alone, for example $30 per prescribed dose, that does 
not vary with the cost of the drug may potentially increase the risk of 
having payments fall below acquisition costs for expensive drugs, 
particularly for providers and suppliers whose acquisition costs are 
near or above a drug's ASP. Also, without any sort of limits or 
constraints, a flat add-on fee that is large (relative to the cost of 
an inexpensive drug) may also promote the overuse of inexpensive drugs 
like intravenous fluids and antihistamine injections by creating a 
profit incentive for overprescribing inexpensive drugs that may be 
associated with little risk of audits or claim denials.
    Changing the add-on amount from a percentage that applies in all 
circumstances to a lower percentage plus a flat fee that is limited 
could minimize the potential for underpayment or overpayment across the 
entire range of prices for Part B drugs. For example, the add-on 
payment for high cost drugs could be lowered by decreasing the add-on 
percentage to an amount that minimizes the risk for providers and 
suppliers losing money on expensive drugs, and the add-on payment for 
inexpensive drugs could be preserved through the use of a flat fee that 
covers expected price variations among inexpensive drugs and decreases 
the risk for underpayment. For inexpensive drugs, inappropriate

[[Page 13241]]

incentives that could lead to over utilization could also be mitigated 
by a limit on the flat fee to decrease the motivation for profit-
oriented overprescribing of very inexpensive drugs that are not 
typically subject to medical review.
    A specific approach for the use of an add-on percentage with a flat 
fee was described by the MedPAC in a recent report (MedPAC Report to 
the Congress Medicare and the Health Care Delivery System June 2015, 
pages 65-72). MedPAC modeled this add-on approach as budget neutral in 
aggregate, meaning that it would not change total Medicare Part B 
spending. MedPAC evaluated changing the add-on to 2.5 percent of ASP 
plus a budget neutral flat fee per dose of $14. The result 
redistributed add-on payments by decreasing payments for expensive 
drugs in favor of drugs that are paid at lower amounts. Redistribution 
under this approach favors the provider specialties and suppliers that 
utilize relatively inexpensive drugs. The June 2015 MedPAC report 
determined that under this approach physician specialties that heavily 
utilize drug therapy would see a decrease in drug revenues while 
specialties that utilize fewer drugs like primary care would see an 
increase in drug revenue.
    We propose to utilize the same basic approach that was described in 
the June 2015 MedPAC report: A fixed percentage with a flat fee, 
specifically, a fixed percentage of 2.5 percent and a flat fee of 
$16.80 per drug per day administered (an example of the approach 
appears at the end of this paragraph). We propose to update the flat 
fee amount annually. The flat fee amount of $16.80 was determined using 
the data set described in section III.A.1. We agree with MedPAC that 
this approach limits financial incentives for overuse across the range 
of Part B drugs and the values that we are proposing are similar to 
those in the MedPAC report. We have chosen a 2.5 percent starting point 
because we agree with MedPAC's assessment that this value should be 
sufficient to cover markups from wholesalers, such as prompt pay 
discounts that are not passed on to purchasers. In the June 2015 report 
that is cited in this proposed rule, MedPAC stated that there is 
anecdotal evidence that such markups are between 1 and 2 percent, but 
MedPAC was not aware of data that could verify this estimate. We are 
not aware of information that conflicts with the assessment. The 
proposed add-on fee of $16.80 is also comparable to the MedPAC 
determined value of $14. In the Part B Drug Payment Model, application 
of the flat fee would result in the following: a primary care provider 
would receive $33.60 ($16.80 per drug) for two model drugs given during 
an office visit in addition to 2.5 percent of the ASP for each of the 
drugs. If another practitioner, such as a rheumatologist, saw the 
patient later in the day, and administered one model drug, that 
practitioner would receive $16.80 in addition to 2.5 percent of the ASP 
for the prescribed drug.
    We propose to keep the 2.5 percent add-on constant over the 
duration of the model, but propose to update the flat fee each year 
based on the percentage increase in the CPI Medical Care (MC) for the 
most recent 12-month period. This update method is stipulated in 
section 1842(o)(5)(C) of the Act for use with the blood clotting factor 
furnishing fee. We considered several potential updates including the 
producer price index for Pharmaceuticals for Human Use (Prescription) 
or an inflation factor derived from changes in ASP for Part B drugs. We 
propose the CPI MC because we believe that the flat fee addresses many 
different services included in drug acquisition activities similar to 
the services including in furnishing clotting factors. The CPI MC is 
both widely available and based on an accepted methodology. We solicit 
comment on whether a different update factor would be more appropriate.
    For 2016, we would establish alternative ASP pricing under phase I 
of the model so that total spending for Part B drugs included in the 
model under phase I would be equal to aggregate spending for the same 
set of drugs in our CY 2014 claims data. The dollar value of the flat 
fee of $16.80 is proposed, but we may refine this figure for the final 
rule if we use more recent versions of the claims data, which would 
include additional utilization and payment information. We would plan 
to update the flat fee for January 2017 using the CPI MC and annually 
thereafter. We anticipate using a G-code, that providers and suppliers 
billing in geographic areas assigned to this approach (ASP+2.5 percent 
+ flat fee) would use to bill for the flat fee portion of the payment. 
We propose to continue our standard practice of updating the weighted 
average portion of drug payment amount (that is, the ASP+0 portion of 
the payment) on a quarterly basis using the manufacturers' sales data 
and the weighted average calculations that are used when determining 
payment amounts that are set forth in section 1847A(c)(5) of the Act.
    We believe that the per drug per day administered limit will 
mitigate profit-oriented overprescribing of inexpensive drugs, but we 
are concerned that an add-on that is roughly equal to or slightly more 
than the cost of a drug may still leave some incentive for overusing 
some inexpensive drugs. While we expect that contractors will continue 
to examine claims (as well as patterns of claims) for potentially 
unnecessary use (that is use that is not reasonable or necessary), we 
also seek comment on whether additional measures should be taken to 
limit add-on amounts, especially for very low cost drugs, or whether an 
alternative approach to calculating the percent and flat fee should be 
considered, such as an additional one to three tiers of decreasing flat 
dollar amounts that would provide lower flat fees for very inexpensive 
drugs, while still maintaining overall budget neutrality.
3. Comment Solicitation: Additional Tests of Add-On Modifications
    In addition to MedPAC's discussion for pairing a reduced percentage 
add-on with a flat fee per drug per day administered, we considered 
whether it would be helpful to test additional variations of the ASP 
add-on. As proposed, the model would have four arms: a control and 
three test arms including, modified ASP add-on only, VBP only, and 
modified ASP add-on and VBP. However, we are concerned that adding 
another variation in phase I would increase the number of arms in the 
model which may negatively impact the statistical power of this model.
    We also considered whether other variations of the ASP add-on 
percentage would be a useful complement to the proposed ASP+2.5 percent 
+ flat fee, such as a higher starting percentage, (instead of 2.5 
percent, using 3 percent or 3.5 percent), a flat fee without a 
percentage add-on in lower quartiles, or a tiered approach in which we 
would vary the percentage or flat fee add-on across several tiers of 
drugs defined based on cost.
    We considered defining tiers for an alternative approach based on 
quartiles because they create several steps between the highest and 
lowest add-on values; however, we also considered whether a different 
number of steps, such as deciles, or a gradient approach would result 
in more consistent payments for groups of similar drugs. One method 
that we considered to create the quartiles was to array the annual 
payment per beneficiary for each drug from lowest to highest annual 
payment and then divide the distribution into quartiles based on 
relatively even number of doses. We established quartiles for drugs 
with annual per beneficiary payment of greater than $1,000, $50.01 to 
$1,000,

[[Page 13242]]

$10.01 to $50, and less than or equal to $10 and distributed the 
aggregate add-on amount among the tiered quartiles. Like the percentage 
plus flat fee option, a tiered add-on could redistribute the add-on 
payments toward less expensive drugs based on quartiles developed from 
annual per beneficiary spending for each drug. However, a budget 
neutral redistribution across quartiles also resulted in very high add-
ons for inexpensive drugs (for example, under an approach in which a 
different add-on percentage was set for each tier, add-on percentages 
for drugs with as ASP of less than $10 exceeded 200 percent).
    Ultimately, we were concerned that testing another variation of the 
add-on percentage modification in phase I would not provide us with 
significant additional information. We are requesting comments from the 
public on whether the tiered approach described above, a variation 
(such as using deciles or a gradient) or another approach for modifying 
the add-on would be a useful complement to the percentage and flat fee 
approach that is proposed in section III.A.2. We are interested in 
gaining perspective on whether the approaches are sufficiently 
different to justify testing them, noting that adding arms to the study 
will likely impact the statistical power of this model and other 
overlapping models, especially the OCM.
    We are also interested in understanding whether any advantages from 
testing these approaches are sufficient to overcome the potentially 
significant disadvantages of these approaches. In particular, we are 
concerned that tiered approaches could set a very different add on 
amounts for each of the four quartiles. This could create large changes 
(``cliffs'') in payment amounts at the boundaries between quartiles. In 
addition, tiered approaches that specify varying percentage add-ons by 
quartile could generate very high percentage add-ons for the bottom 
three quartiles. This could create incentives for manufacturers and 
suppliers to vary prices of drugs near the quartile boundaries in order 
to increase Medicare's payment rate. We are also concerned about the 
potentially high add-on payments for inexpensive drugs, their impact on 
providers, suppliers, and patients, and if such an approach were 
tested, whether additional steps to limit such payments should be 
considered.
    Finally, we are also interested in receiving comment on whether 
there are any common elements within groups of drugs that might provide 
a basis for varying the flat fee across groups of drugs that would 
justify higher payments, such as requirements for cold handling, 
special packaging, or other contributors to costs. If such factors 
could be identified, we could also use this information to vary the 
flat fee appropriately under the ASP+2.5 percent + flat fee proposal.

B. Phase II: Applying Value-Based Purchasing Tools

1. Introduction
    In the second phase of this model, we propose to implement VBP 
tools for Part B drugs using value-based pricing and clinical decision 
support tools--tools often used collectively to manage a prescription 
drug benefit by commercial health plans, PBMs, hospitals, and other 
entities that manage health benefits and drug utilization. Medicare 
Part D plans and the commercial insurance sector have used these tools 
for years to successfully manage health benefits and drug utilization, 
and we believe that the approaches, when appropriately structured, may 
be adaptable to Part B to improve patient care and manage drug 
spending. The revision to the 6 percent ASP add-on percentage proposed 
for phase I of this model broadly addresses financial incentives that 
may affect prescribing. However, these revisions do not directly 
address differences in payment when there is a group of therapeutically 
similar drugs, nor are they able to test the benefits of using 
alternative incentives to improve the effectiveness, safety, and 
quality of physician prescribing patterns for Part B drugs.
    Medicare Part D plans, PBMs, other third party payers, and entities 
like hospitals use a variety of VBP tools, such as value-based pricing, 
clinical decision support tools, and rebates and discounts, to improve 
patient outcomes and manage drug costs.\16\ The VBP tools vary in 
commercial implementation by scope and intensity; however, many of the 
tools, particularly those used by PBMs, are applied primarily in the 
retail pharmacy setting. PBMs and third party payers also agree on 
discounts and rebates for placement of drugs on a tiered formulary or 
for volume of business provided to a specific manufacturer. The 
application of these tools to drugs that are typically paid for under a 
medical benefit, such as physician administered drugs, has the 
potential to result in significant savings.\17\ Based on background 
work done on this model, we believe private payers are currently using 
these tools to manage drugs under a medical benefit.
---------------------------------------------------------------------------

    \16\ Hoadley J. Adapting Tools from Other Nations to Slow U.S. 
Prescription Drug Spending. NIHCR Policy Analysis No. 10. Aug. 2012. 
National Institute for Health Care Reform. http://www.nihcr.org/Drug_Spending.
    \17\ Dorholt M. Advancing Drug Trend Management in the Medical 
Benefit. Managed Care. June 2014. http://managedcaremag.com/archives/2014/6/advancing-drug-trend-management-medical-benefit.
---------------------------------------------------------------------------

    Below, we propose the types of VBP tools that potentially could be 
used in the Part B Drug Payment Model to improve patient outcomes and 
manage drug costs. We propose to implement one or more of the following 
value-based pricing strategies, including reference pricing, pricing 
based on safety and cost-effectiveness for different indications, 
outcomes-based risk-sharing agreements, and discounting or elimination 
of patient coinsurance amounts. We also propose to implement a tool to 
support clinical decisions for appropriate drug use and safe 
prescribing. The tool would provide education and data on the use of 
certain Part B drugs to prescribers; such information would not be 
meant to interfere or substitute for medical decision making. New 
section 511.305 reflects our proposed VBP model requirements. We are 
mindful that, in particular circumstances, the arrangements discussed 
here, if not properly structured and operated, could pose a risk of 
abuse. In adapting and using VBP tools in the Part B Drug Payment 
Model, one of our goals is to ensure that the model promotes integrity, 
transparency, and accountability. Finally, we note that we would 
implement these proposed tools through a contractor, as we do with many 
Medicare programs. We would retain final review and authority over the 
final version of any VBP tools implemented under phase II.
2. Value-Based Pricing Strategies
    The application of the value-based pricing strategies discussed in 
this section would be limited. We are proposing value-based pricing 
strategies that include one or more of the following specific tools: 
reference pricing, indications-based pricing, outcomes-based risk-
sharing agreements, and discounting or eliminating patient coinsurance 
amount. This group of tools would serve as a framework for 
interventions for selected Part B drugs. We would gather additional 
information on the proposed tools, including which specific Part B 
drugs are suitable candidates for the application of specific tools 
within the group. We would finalize the implementation of specific 
tools for specific HCPCS codes after soliciting

[[Page 13243]]

public input on each proposal by posting on the CMS Web site, and we 
would allow 30 days for public comment. We would provide a minimum of 
45 days public notice before implementation. Under phase II, we do not 
intend to apply these tools to all Part B drugs; we plan to implement 
the use of the tools in a limited manner for certain drug HCPCS codes 
after considering these tools' appropriateness to specific Part B drugs 
within those codes.
    Value-based pricing for pharmaceuticals involves linking payment 
for a medicine to patient outcomes and cost-effectiveness rather than 
solely the volume of sales.\18\ Under phase II of this model, we seek 
to test approaches for transitioning from a volume-based payment system 
into one that encourages or even rewards providers and suppliers who 
maintain or achieve better patient outcomes while lowering Part B drug 
expenditures. The market today uses the term ``value-based'' to 
encompass a wide variety of different options designed to improve 
clinical results, quality of care provided, and reduce costs.\19\ The 
following examples highlight the range of value-based pricing tools 
currently in use, and we propose the testing of one or more of these 
tools during phase II of the model.
---------------------------------------------------------------------------

    \18\ Deloitte. Issue Brief: Value-Based Pricing for 
Pharmaceuticals: Implications of the Shift from Volume to Value. 
2012. Web. 17 Dec. 2015. http://www.converge-health.com/sites/default/files/uploads/resources/white-papers/valuebasedpricingpharma_060412.pdf.
    \19\ Pharmacy Benefit Management Institute. 2013-2014 
Prescription Drug Benefit Cost and Plan Design Report. 2013. Web. 17 
Dec. 2015. http://reports.pbmi.com/report.php?id=4.
---------------------------------------------------------------------------

    First, providing equal payment for therapeutically similar drug 
products \20\ is one form of value-based pricing that we propose to 
implement as part of phase II of the model. The private market 
capitalizes on this concept through reference pricing, which refers to 
a standard payment rate--a benchmark--set for a group of drugs.\21\ A 
benchmark is set based on the payment rate for the average price \22\ 
for drugs in a group of therapeutically similar drug products, the most 
clinically effective drug in the group,\23\ or another threshold that 
is specifically developed for such drug products, like a specified 
percentile of the current price distribution; and all drugs from the 
group are then paid based on this amount. For example, if sodium 
hyaluronates used for intra-articular injection were chosen as 
candidates for reference pricing, each of the HCPCS codes determined to 
fall into this group would be paid a benchmark rate based on the 
current payment rate for a product or products in this group. Based on 
a review of the evidence, we may determine that the specific benchmark 
for this group should be the current payment rate for the HCPCS code 
including the most effective drug in the group. Individual 
characteristics of each group of drugs considered for reference 
pricing, such as relative effectiveness demonstrated in competent and 
reliable scientific evidence, would be taken into account before 
selecting a benchmark rate. Reference pricing eliminates the direct 
link between the purchase prices paid by suppliers and providers for 
Part B drugs and payment rates for those drugs from insurers, thereby 
providing stronger incentives to evaluate outcomes and cost together 
when determining treatment regimens. When multiple drugs in a group 
have varying levels of effectiveness, the payment for the most 
clinically effective drug in the group could be paid based on a 
benchmark while the payment for the remaining products could be 
adjusted downward based on their effectiveness in relation to the most 
clinically effective drug. We propose to include reference pricing in 
phase II.
---------------------------------------------------------------------------

    \20\ Therapeutically similar drug products are generally members 
of the same drug class that work on the same biochemical processes 
but have different chemical structures. For example, the HMG-CoA 
reductase inhibitors, also known as statins, include the drugs 
atorvastatin and simvastatin. Both of these drugs lower cholesterol 
by inhibiting the same enzyme, but they are unique chemical 
entities. While these therapeutically similar drug products are not 
automatically interchangeable, the therapeutic effects achieved are 
generally similar from one member of the drug class to another.
    \21\ Partnership for Sustainable Health Care. Strengthening 
affordability and quality in America's health care system. Apr. 
2013. Web. 17 Dec. 2015. http://www.rwjf.org/content/dam/farm/reports/reports/2013/rwjf405432.
    \22\ Boynton A, Robinson JC. Appropriate Use of Reference 
Pricing Can Increase Value. Health Affairs. 7 July 2015. http://healthaffairs.org/blog/2015/07/07/appropriate-use-of-reference-pricing-can-increase-value/.
    \23\ A determination of clinical effectiveness would be based on 
published studies and reviews, such as those produced by ICER as 
described below, and evidence-based clinical practice guidelines 
located at AHRQ's National Guideline Clearinghouse: 
www.guideline.gov.
---------------------------------------------------------------------------

    We understand that some insurance plans allow providers and 
suppliers to hold the patient responsible for paying the difference 
between their prescribed drug and the benchmark set for the group of 
therapeutically similar drugs. We propose that any version of reference 
pricing implemented would not allow for balance billing of the 
beneficiary for any differences in pricing. For example, if reference 
pricing was implemented for the sodium hyaluronates mentioned 
previously and the particular sodium hyaluronate product selected by 
the prescriber had a cost above the reference price defined by CMS for 
the sodium hyaluronates included in the reference pricing arrangement, 
the patient could not be held responsible for paying the difference 
between the reference price and either the statutory payment amount or 
the cost for the selected drug. By grouping similar drugs into a single 
payment rate, we give prescribers incentives to use the drug product 
that provides the most value for the patient.
    Second, we propose using value-based pricing to vary prices for a 
given drug based on its varying clinical effectiveness for different 
indications that are covered under existing Medicare authority, 
specifically section 1861(t) of the Act, and existing national and 
local coverage determinations. This is often called ``indications-based 
pricing.'' Drugs are often indicated for more than one condition and 
may be more effective when used in one condition than another. For 
example, if a new drug is introduced with indications for treating two 
types of cancer and this drug did no better in clinical trials than 
existing treatments for the first type of cancer and significantly 
better than existing treatments for the second, our use of indications-
based pricing might result in lower payments when the drug is used to 
treat the first type of cancer and higher payments when the drug is 
used to treat the second type. The Institute for Clinical and Economic 
Review (ICER) is currently producing reports on high-impact drugs that 
analyze comparative effectiveness and cost-effectiveness before 
calculating a benchmark price for each drug.\24\ ICER's reports reflect 
the dependence of the value of medications on evidence available for 
certain target populations.\25\
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    \24\ Institute for Clinical and Economic Review. Emerging 
Therapy Assessment and Pricing: Transforming the Market for New 
Drugs. Web. 17 Dec. 2015. http://www.icer-review.org/etap/.
    \25\ Institute for Clinical and Economic Review. 17 Dec. 2015. 
http://ctaf.org/sites/default/files/u148/CHF_Final_Report_120115.pdf 
and http://cepac.icer-review.org/wp-content/uploads/2015/04/Final-Report-for-Posting-11-24-15.pdf.
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    We propose to use indications-based pricing where appropriately 
supported by published studies and reviews or evidenced-based clinical 
practice guidelines, such as the ICER reports, to more closely align 
drug payment with outcomes for a particular clinical indication. 
Indications-based pricing decisions would reflect the clinical evidence 
available and strive to rely on competent and reliable scientific

[[Page 13244]]

evidence from neutral and/or independent sources. We understand that 
the quality of available evidence can vary for any given drug or 
indication. High quality evidence is comprehensive, relies on 
randomized trial designs where possible, and measures outcomes. 
Research findings should be valid, competent, reliable, and 
generalizable to the Medicare population.
    Third, we propose to allow CMS to enter into voluntary agreements 
with manufacturers to link health care outcomes with payment. This 
method is sometimes used in the private sector when relatively few 
published studies or other pieces of evidence are available to 
establish a drug's long-term value with regard to the magnitude of 
patient health outcomes. Payers and pharmaceutical manufacturers 
contract in outcomes-based risk-sharing agreements to link payment for 
drugs to patient health outcomes.\26\ These agreements tie the final 
price of a drug to results achieved by specific patients rather than 
using a predetermined price based on historical population data.\27\ 
Manufacturers agree to provide rebates, refunds, or price adjustments 
if the product does not meet targeted outcomes.\28\ The University of 
Washington's School of Pharmacy maintains the Performance Based Risk 
Sharing Database, which currently lists detailed information on 311 
risk-sharing arrangements subject to participation fees and licensing 
agreements.\29\ VBP arrangements with manufacturers are discussed in 
more detail in a later section.
---------------------------------------------------------------------------

    \26\ Neumann PJ, et al. Risk-Sharing Arrangements That Link 
Payment For Medications To Health Outcomes Are Proving Hard To 
Implement. Health Affairs. 2011;30(12):2329-2337.
    \27\ Garrison L, Carlson J. Performance-Based Risk-Sharing 
Arrangements for Drugs and Other Medical Products. Web. 12 Jan. 
2016. https://depts.washington.edu/pbrs/PBRS_slides.pdf.
    \28\ Garrison LP, et al. Private Sector Risk-Sharing Agreements 
in the United States: Trends, Barriers, and Prospects. Am J Manag 
Care. 2015;21(9):632-640. Web. 17 Dec. 2015. http://www.ajmc.com/journals/issue/2015/2015-vol21-n9/private-sector-risk-sharing-agreements-in-the-united-states-trends-barriers-and-prospects.
    \29\ University of Washington School of Pharmacy. Performance-
Based Risk-Sharing Database. Web. 17 Dec. 2015. https://depts.washington.edu/pbrs/index.php#sthash.g3bTvMFA.dpuf.
---------------------------------------------------------------------------

    We propose that any outcomes-based risk-sharing agreements that we 
enter into would require a clearly defined outcome goal. We seek 
comment on methods to collect and measure outcomes, including 
parameters around standardizing value metrics based on differences in 
drug treatments and their targeted patient subpopulations. At a 
minimum, and in addition to sources such as evidence-based literature 
and best practices, we propose manufacturers provide all competent and 
reliable scientific evidence to create an accurate picture regarding 
clinical value for a specific drug; and we also propose that 
manufacturers provide outcome measures for any outcome-based risk-
sharing pricing agreement.\30\ We set forth our thinking on competent 
and reliable scientific evidence for the purpose of establishing value-
based pricing and the clinical decision support (CDS) tool in the next 
section. We are seeking comments on the level of transparency that 
would be required or desired for outcomes-based risk-sharing agreements 
while recognizing the need to protect proprietary information. Finally, 
we seek comment on methods for establishing patient-specific pricing 
contingent on response to therapy.
---------------------------------------------------------------------------

    \30\ We discuss evidence further in section III.B.3 (Development 
of a Clinical Decision Support Tool) of this proposed rule.
---------------------------------------------------------------------------

    In addition to proposals specifically aimed at improving quality 
and outcomes and reducing the costs of purchasing for the payer, we 
also propose a value-based pricing strategy that involves discounting 
or eliminating patient coinsurance amounts for services that are 
determined to be high in value in an attempt to tailor incentives. 
Although many Medicare beneficiaries have wrap-around coverage (which 
reduces or eliminates cost sharing), reducing cost sharing for certain 
products can still provide an effective incentive for a subset of the 
population to encourage use of high-value drug products. Therefore, we 
propose to waive beneficiary cost sharing from the current 20 percent, 
meaning that the copayment that is associated with a HCPCS code in 
phase II of the model could be reduced by CMS to a value that is less 
than 20 percent and could be waived completely. In addition, consistent 
with cost sharing approaches for Part B drugs, we propose that 
beneficiary cost sharing will not exceed 20 percent of the total model-
based payment amount for the Part B drug. In other words, this model 
does not seek to increase cost sharing percentages beyond 20 percent 
for low-value drugs. We would also like to make clear that cost sharing 
changes will be applied at the HCPCS level to all drugs NDCs in a HCPCS 
code; we are not proposing manufacturer-specific or NDC-specific cost 
sharing amounts, nor are we proposing that providers or suppliers would 
have flexibility to change or waive cost sharing amounts. By itself, 
value-based pricing that involves discounting or eliminating patient 
coinsurance would not be expected to change the overall payment amount. 
In other words, we are proposing to increase Medicare's payment 
percentage while maintaining the total allowed charges for the drug 
using this tool. However, we seek comments on whether more targeted 
modifications of cost sharing should be considered and how such 
modifications would avoid creating unintended competitive advantages 
for drugs within the same HCPCS code or other similar drugs that are 
paid under other HCPCS codes.
    We propose to solicit public feedback on specific pricing proposals 
for use of all VBP tools. We propose that any CMS approved pricing 
changes under phase II would allow for the public to provide feedback 
and would be made public 45 days ahead of implementation . Proposed new 
Sec.  511.305 reflects these proposals.
    We would also engage in educational activities to support 
implementation and testing of the value-based pricing strategies. We 
seek comment to define the parameters of these educational activities.
    While all proposed Part B drugs would be potentially subject to the 
value-based pricing strategies outlined here, we seek comment on the 
potential groups of Part B drugs most suitable for each of the proposed 
approaches to value-based pricing. We also seek comment on any 
additional types of value-based pricing that could be considered for 
future rulemaking for the Medicare Part B Drug Payment Model.
    To protect beneficiaries and to allow for the consideration of 
special circumstances that may warrant the use of non-model payments in 
certain situations, we are proposing a Pre-Appeals process for certain 
value-based pricing strategies. The process is discussed in section IV. 
of this proposed rule.
    As noted, we are aware that the value-based pricing tools discussed 
here could pose a risk of abuse if not properly structured and 
operated. It is our goal that the Medicare Part B Drug Payment Model 
promotes integrity, transparency, and accountability. We seek comment 
on potential safeguards that could be implemented with each of these 
tools to make certain that the intent of the policy is not undermined.
3. Development of a Clinical Decision Support Tool
    Another potential component of VBP is the support of accurate 
clinical decision-making that is based on up-to-date scientific and 
medical evidence,

[[Page 13245]]

such as well-designed and conducted clinical trials, updated 
information on drug safety, and practice guidelines. Clinical decision 
support (CDS) can assist physicians and other health professionals with 
clinical decision-making tasks, including prescribing. Information that 
is delivered to the clinician can include general clinical knowledge 
and guidance (such as updated guidelines for the clinical use of drugs, 
updated safety information, etc.), processed patient data, or a mixture 
of both. The Agency for Healthcare Research and Quality (AHRQ) defines 
CDS tools as a system that ensures timely clinical information at the 
point of care by focusing on patient-specific information in real time 
to help physician and clinical care teams proactively identify early 
warnings of potential problems, or providing suggestions for the 
clinical team and patient to consider.\31\ Other examples of CDS tools 
include standardized drug and test orders that are developed from 
evidence-based medical guidelines when prescribing for particular 
conditions or types of patients; preventive care reminders; and alerts 
about potentially dangerous situations such as adverse drug events.\32\
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    \31\ Clinical Decision Support. June 2015. Agency for Healthcare 
Research and Quality, Rockville, MD. http://www.ahrq.gov/professionals/prevention-chronic-care/decision/clinical/index.html.
    \32\ Ibid.
---------------------------------------------------------------------------

    We are aware of reports that CDS tools can be effective in changing 
practice patterns to better align with evidence-based developments and 
best practices.33 34 35 CDS tools enable physicians to 
improve patient safety and quality of care by improving patient-
specific drug dosing, reducing the risk of toxic drug levels, reducing 
the time to achieve therapeutic drug levels, decreasing medication 
errors, and changing prescribing patterns in accordance with evidence-
based clinical guideline recommendations.\36\ For example, one study 
showed that CDS activity supporting the use of an injectable antibiotic 
altered prescribing of the drug such that prescribing better matched 
appropriate use guidelines from the Centers for Disease Control and 
Prevention.\37\ Similarly, CDS tools could help guide physicians to 
more efficiently utilize companion diagnostic tests such as testing for 
HER2 expression in certain tumors prior to beginning chemotherapy. We 
are also aware that CDS feedback on practice patterns can encourage 
physicians to improve their practice patterns.\38\
---------------------------------------------------------------------------

    \33\ Moxey, A., Robertson, J., Newby, D., Hains, I., Williamson, 
M., & Pearson, S.-A. (2010). Computerized clinical decision support 
for prescribing: provision does not guarantee uptake. Journal of the 
American Medical Informatics Association: JAMIA, 17(1), 25-33. 
http://doi.org/10.1197/jamia.M3170.
    \34\ Bates, D. W., Kuperman, G. J., Wang, S., Gandhi, T., 
Kittler, A., Volk, L., . . . Middleton, B. (2003). Ten Commandments 
for Effective Clinical Decision Support: Making the Practice of 
Evidence-based Medicine a Reality. Journal of the American Medical 
Informatics Association: JAMIA, 10(6), 523-530. http://doi.org/10.1197/jamia.M1370.
    \35\ Kevin M. Terrell DO, MS, Anthony J. Perkins MS, Paul R. 
Dexter MD, Siu L. Hui Ph.D., Christopher M. Callahan MD and Douglas 
K. Miller MD. Computerized Decision Support to Reduce Potentially 
Inappropriate Prescribing to Older Emergency Department Patients: A 
Randomized, Controlled Trial. J Am Geriatr Soc. 2009 Aug;57(8):1388-
94.
    \36\ Moxey, A., Robertson, J., Newby, D., Hains, I., Williamson, 
M., & Pearson, S.-A. (2010). Computerized clinical decision support 
for prescribing: provision does not guarantee uptake. Journal of the 
American Medical Informatics Association: JAMIA, 17(1), 25-33. 
http://doi.org/10.1197/jamia.M3170.
    \37\ Shojania, K. G., Yokoe, D., Platt, R., Fiskio, J., Ma'luf, 
N., & Bates, D. W. (1998). Reducing Vancomycin Use Utilizing a 
Computer Guideline: Results of a Randomized Controlled Trial. 
Journal of the American Medical Informatics Association: JAMIA, 
5(6), 554-562.
    \38\ Stammen LA, Stalmeijer RE, Paternotte E, et al. Training 
Physicians to Provide High-Value, Cost-Conscious Care: A Systematic 
Review. JAMA. 2015;314(22):2384-2400. doi:10.1001/jama.2015.16353.
---------------------------------------------------------------------------

    We propose a two component CDS tool that consists of an online tool 
that supports clinical decisions through education and provides 
feedback based on drug utilization in Medicare claims. The educational 
tool would be developed by CMS with support from the VBP contractor and 
would be available to physicians in the VBP arms of the model (see 
Table 1). Physicians participating in the model would voluntarily 
access the education tool, meaning that they would have a choice about 
whether to use the tool and how they would apply information from the 
tool to their practice. This tool is not intended to act as or replace, 
in any way, the physician's medical judgment for the treatment of 
patient-specific clinical conditions nor is the tool intended to 
replace a practitioner's ability to order reasonable and necessary Part 
B drugs as appropriate. Rather, the tool is intended to provide 
information on prescribing for specific indications that reflects up-
to-date literature and consensus guidelines. We believe that the 
availability of this tool could provide physicians with better access 
to up-to-date information such as guidelines for effective treatments 
as well as safe and appropriate drug use for specific diagnoses. We 
anticipate that information would be listed and indexed to correspond 
to drugs and disease states or conditions that are commonly treated in 
Part B. However, we would consider alternative approaches for 
presenting the data, such as the use of a decision-tree format. We seek 
comment on how to format the educational information. We also envision 
that the tool would provide information on Part B claim payment 
patterns for specific drugs and/or indications. This part of the tool 
could be utilized nationally or within specific geographic areas and 
could provide feedback on how an individual physician's drug claim 
patterns compare with local or national data or even recommended 
guidelines. This information would be solely for feedback and to 
support a physician's interest in mindful prescribing. We believe that 
the concept of this tool is consistent with the proposed model's aim as 
discussed in the introduction to the preamble, to achieve high quality 
and smarter spending on drugs and biologicals paid under Part B.
    We propose the evidence-based part of the CDS tool would encompass 
specific drugs, groups of similar drugs, or diagnoses that are 
typically encountered in Part B. The tool would be available online and 
readily available to participants in the VBP arm of the model and would 
provide pertinent up-to-date information on drug therapies and 
treatments for a specific condition. The tool would provide information 
such as links to evidence-based guidelines for appropriate drug use and 
updated information on drug safety.
    A CDS tool is more likely to be effective in improving the value of 
payment for prescribed drugs if it adequately reflects the clinical 
evidence available and strives to rely on objective, high quality 
evidence from neutral and/or independent sources. We understand that 
the quality of available evidence can vary for any given drug or 
indication. High quality evidence is comprehensive, relies on 
randomized trial designs where possible, and measures outcomes. 
Research findings should be valid, reliable, and generalizable to the 
Medicare population. To incorporate information in the CDS tool, we 
propose that we would follow a hierarchy of evidence review similar to 
that followed by our Medicare Coverage Advisory Committee, the AHRQ, or 
the United States Preventive Services Task Force, as well as numerous 
private bodies such as the National Comprehensive Cancer 
Network.39 40 41 These entities and others

[[Page 13246]]

favor peer reviewed scientific literature and randomized control trial 
research designs over other types of evidence, but provide a process 
that allows for consideration of many types of evidence.
---------------------------------------------------------------------------

    \39\ Medicare Coverage Advisory Committee; Operations and 
Methodology Subcommittee. Process for Evaluation of Effectiveness 
and Committee Operations. July 21, 2005.
    \40\ Agency for Healthcare Research and Quality. Methods Guide 
for Effectiveness and Comparative Effectiveness Reviews. January 
2014.
    \41\ National Comprehensive Cancer Network (NCCN). NCCN 
Categories of Evidence and Consensus. http://www.nccn.org/professionals/physician_gls/categories_of_consensus.asp.
---------------------------------------------------------------------------

    In addition to prioritizing review of high quality evidence, CMS 
would post the evidence base that supports information that is included 
in the online CDS, and consider feedback from the public on that 
evidence basis for 30 days before finalizing a CDS tool for a specific 
indication. We propose that the public would be able to provide 
feedback on the evidence basis proposed for information that is 
included in the CDS tool before CMS finalizes the information. We plan 
to implement the CDS tool incrementally, that is, to begin with a 
limited number of drugs and/or disease states. We seek comment on which 
Part B drugs and conditions that are commonly treated by drug therapy 
would be good candidates for inclusion. We also would allow for 
feedback on any substantial refinements to an online tool.
    In addition to developing an evidence-based component for the tool, 
we propose creating an online source of data under our section 1115A 
authority that would provide feedback to physicians in the VBP arms of 
the model. We propose to use a process similar to that already 
established for reporting programs such as the Quality and Resource Use 
Reports (QRURs) that physician group practices and solo practitioners 
receive nationwide. At this time, we make QRURs available to groups and 
solo practitioners that participate in the Medicare Shared Savings 
Program, the Pioneer Accountable Care Organization (ACO) Model, or the 
Comprehensive Primary Care Initiative. We propose that this online tool 
under the Part B Drug Payment Model would allow providers and suppliers 
to access reports on their Medicare Part B drug claims as well as 
claims patterns in their geographic area and national patterns. We 
intend for this feedback to allow providers and suppliers to better 
understand Part B claim payment patterns and identify opportunities for 
individual improvement. We also believe that this activity will align 
with our efforts to provide regularly updated feedback to providers and 
suppliers on metrics such as cost and quality measures. We propose that 
the CDS tool will be available to physicians (that is, internal use 
only and non-publicly available) for informational purposes only and 
will not impact participating physician group practices and solo 
practitioners' Part B drug payments.
    In summary, we are proposing a two-component CDS tool for 
physicians in the VBP arms of the model. The tool will use high quality 
evidence to educate physicians on best practices. The tool also would 
rely on regularly updated claims data reports to provide feedback on 
prescribing patterns. We seek comments on our proposed approach for 
identifying high-quality evidence and allowing for public feedback on 
the evidence basis; the online format of this proposed support tool; 
the most effective method for physicians to access their reports on 
prescribing patterns, identifying what content should be included (for 
example, claim payment/prescribing patterns, resource use, clinical and 
cost domains, patient clinical and demographic information, information 
about drug-drug and drug-disease interactions and clinical support 
guidelines for these interactions, among other factors). We also 
solicit comment on the level of feedback, and whether personalized 
reports are necessary. To the extent that such feedback includes 
personally identifiable information, we would provide such information 
through the proposed support tool consistent with applicable privacy 
laws, including, but not limited to, the Health Insurance Portability 
and Accountability Act of 1996 (HIPAA) Privacy Rule. We solicit comment 
concerning privacy issues with respect to the proposed support tool.

C. Comment Solicitation

    We are considering the three approaches discussed below: Creating 
value-based purchasing arrangements for Part B drugs directly with 
manufacturers, the Part B Drug CAP, and an episode-based or bundled 
pricing approach for Part B drugs, as potential areas of interest in 
furthering value for Part B drugs. We solicit comments to determine if 
any or all are appropriate to pursue as part of the Part B Drug Payment 
Model or in the near future.
1. Creating Value-Based Purchasing Arrangements Directly With 
Manufacturers: Solicitation of Comments
    We have received inquiries from manufacturers interested in testing 
new approaches to paying for medications under Part B that are not 
accommodated within the current payment system. These approaches are 
generally built around achievement of clinical outcomes and a new 
payment flow between CMS and the manufacturer, using a mechanism such 
as a rebate.
    Outcomes-based rebates, for example, appear to be used by industry 
to measure and reward quality and clinical effectiveness for new drug 
products. Ideally, outcomes-based rebates lead to payers realizing a 
reduction in the uncertainty that is associated with a new drug's 
clinical value, performance, and financial impact, while manufacturers 
are able to better differentiate and demonstrate the value and 
effectiveness of their product.\42\ Value is measured through data 
collection likely, though not necessarily, provided by the prescriber 
and intended to address factors such as long-term safety and outcomes, 
effect on an individual patient, patient adherence, or impact on 
utilization and costs. The product's final price or rebate amount is 
linked to its actual effect on these measured outcomes.
---------------------------------------------------------------------------

    \42\ Garrison, Louis, et al. Private Sector Risk-Sharing 
Agreements in the United States: Trends, Barriers, and Prospects. Am 
J Manag Care. 21(9) Sep. 2015: 632-640. Web. 16 Dec. 2015. http://www.ajmc.com/journals/issue/2015/2015-vol21-n9/private-sector-risk-sharing-agreements-in-the-united-states-trends-barriers-and-prospects.
---------------------------------------------------------------------------

    One example of a potential structure would be a ``try before you 
buy'' arrangement. For example, for a product that works for some but 
not all beneficiaries, a manufacturer might offer to provide a partial 
or full rebate to CMS for the costs of product purchased for patients 
that do not ultimately benefit from therapy. Because of the time lag 
involved in assessing response to therapy from claims data sources, a 
rebate might be the most efficient way to implement such a purchasing 
agreement.
    We solicit comment on the approach described above and on 
implementing a program to incorporate VBP arrangements created with 
manufacturers as a part of the VBP tools that will be tested in this 
model. We also seek comment on a number of specific issues, discussed 
below, surrounding rebate-based payment structures.
    CMS is currently considering whether rebate distributions could be 
returned to the Medicare Part B Trust Fund, the beneficiary, the 
provider or supplier, or a combination of the three. Any rebate 
arrangement would have to conform to the requirements of the Act and 
federal appropriations law. Comments regarding the construction of 
these rebate arrangements are especially

[[Page 13247]]

welcome. We seek comment on the value of and potential approaches for 
sharing rebates by providing incentive payments to beneficiaries and 
prescribers. We solicit comments on how to incorporate rebates into 
claims payment for prescribers or potentially the use of payments made 
outside of the claims processing system. Additionally, we seek comment 
on the value and potential methods for sharing rebates with 
beneficiaries through reduced cost sharing or other incentives. As we 
are aware that the incentives discussed here could pose a risk of abuse 
if not properly structured and operated, we also seek comment on the 
appropriate amount for any rebate sharing and other potential 
safeguards that could be implemented to make certain that the intent of 
the policy is not undermined. It is our goal that the Medicare Part B 
Drug Payment Model promotes integrity, transparency, and 
accountability. Further, we seek comment on the basis for potential 
voluntary rebates other than the proposed value-based pricing, CDS 
tool, or other educational activities as discussed earlier in this 
proposed rule for future rulemaking. We are particularly interested in 
whether and to what extent other payers base rebates on tools other 
than those we have listed here. We are interested in specific examples 
of rebate agreements appropriate for this proposed model that 
manufacturers might be interested in creating. We recognize that 
manufacturers are much more likely to offer rebates for drugs where 
potential therapeutically similar drug alternatives are available. We 
also seek comments that identify examples of groups of therapeutically 
similar Part B drugs that are potential candidates for rebate 
arrangements, as well as industry examples of rebates for drugs paid 
for by Medicare Part B, including drugs that are used in physicians' 
offices and outpatient hospital settings. We are particularly 
interested in how significant an effort might be required to establish 
and execute risk sharing for outcomes-based rebates compared to volume-
based rebates.
    Finally, we seek comment on specific approaches that could be used 
to define rebates, details on how these arrangements could be created, 
mechanisms that could be used to calculate and distribute rebate 
amounts, the amount of transparency in any arrangement, how the rebates 
should be accounted for in manufacturers' ASP reports, other applicable 
pricing information reported to CMS (for example, for Medicaid 
purposes), and how we might monitor the prices paid by suppliers and 
providers for Part B drugs under the proposed model.
2. The Part B Drug Competitive Acquisition Program (CAP): Solicitation 
of Public Comments
    Section 1847B of the Act required the implementation of the CAP for 
drugs that are not paid on a cost or prospective payment basis. The CAP 
was an alternative to the ASP method that is used to pay for the 
majority of Part B drugs, particularly drugs that are administered 
during a physician's office visit. Instead of buying drugs for their 
offices, physicians who chose to participate in the CAP would place a 
patient-specific drug order with an approved CAP vendor; the vendor 
would provide the drug to the office and then bill Medicare and collect 
cost sharing amounts from the patient. Drugs were supplied in unopened 
containers (not pharmacy-prepared individualized doses like syringes 
containing a patient's prescribed dose). Most Part B drugs used in 
physicians' offices were supplied by the approved CAP vendor. Unlike 
the ``buy and bill'' process that is still used to obtain many Part B 
drugs, physicians who participated in the CAP did not buy or take title 
to the drug. Physician participation in the CAP was voluntary, but 
physicians had to elect to participate in the CAP. CAP drug claims were 
processed by a designated carrier.
    We conducted bidding for CAP vendors in 2005. The first CAP 
contract period ran from July 1, 2006 until December 31, 2008. One drug 
vendor participated in the program, providing drugs that included 
approximately 180 HCPCS billing codes (including heavily utilized drugs 
in Part B) to physicians across the United States and its territories. 
The parameters for the second round of the vendor contract were 
essentially the same as those for the first round. While we received 
several qualified bids for the subsequent contract period, shortly 
before the second contract period began, contractual issues with the 
successful bidders led to the postponement of the program, and the CAP 
has been suspended since January 1, 2009. Details are available in the 
links at the end of this section.
    After the CAP was suspended, we sought additional input from 
physicians and interested parties about further improvements to the 
program. For example, we held Open Door Forums, met with stakeholders 
and encouraged correspondence from stakeholders and physicians who 
participated in the CAP. Although we received some useful suggestions, 
several significant concerns could not be addressed under the existing 
statutory requirements. These concerns included uncertainty about the 
participation of non-pharmacy entities like wholesalers as approved CAP 
vendors, and the requirement for a beneficiary-specific order which 
impacts the use of a consignment model to facilitate emergency 
deliveries and to manage inventory through automated dispensing systems 
in the office. Many commenters were also concerned about the complexity 
of the program and the level of financial risk, particularly for 
vendors. Also, an evaluation of the program found that it was not 
associated with savings (https://www.cms.gov/Research-Statistics-Data-and-Systems/Statistics-Trends-and-Reports/Reports/Research-Reports-Items/CMS1234237.html).
    More detailed information about the CAP is available on the 
following CMS Web page and links within the Web page: https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Part-B-Drugs/CompetitiveAcquisforBios/index.html. The downloads section of the 
following CMS Web page includes information about CAP vendor bidding, 
physician participation, and drugs provided under the CAP: https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Part-B-Drugs/CompetitiveAcquisforBios/vendorbackground.html.
    The Part B drug market has evolved significantly since the CAP was 
suspended in 2009. For example, there has been enormous growth in 
specialty drugs, both by the number of drugs available and the cost of 
the products; acquisition of specialty drugs may utilize restricted 
distribution channels (like specialty distributors or pharmacies as 
opposed to buying drugs from wholesalers and the manufacturer); and 
health information technology also has changed the way physicians and 
distributers manage many drug products.
    Although we are not proposing to include a CAP-like alternative in 
this model at this time, we are interested in receiving comments that 
would help us determine whether sufficient interest in such a program 
is present for us to consider developing and testing such an 
alternative as a part of a future model. We are specifically interested 
in comments on whether there is a role for a CAP-like alternative to 
the ASP (buy and bill) process for obtaining drugs that are billed 
under Part B in the physician's office. Given the length of time that 
has elapsed since the last solicitation for comments about the CAP in 
2010, we are also interested in updated perspectives on issues such as 
smaller geographic areas, smaller scope

[[Page 13248]]

of drugs included in the program, the role of wholesalers and 
consignment in the program, the drug ordering process, risk sharing, 
impact on physician negotiated volume discounts when CAP would be used 
for Medicare patients, and how these issues could be addressed if we 
were to consider developing and testing a phase of this model in the 
future that is based on the CAP.
3. Episode-Based or Bundled Pricing Approach: Solicitation of Public 
Comments
    Under the current FFS structure, Medicare makes separate payments 
for drugs based primarily on the manufacturer's pricing. Medicare also 
makes separate payments for the administration of these drugs to 
hospital outpatient settings and physician offices. This payment 
approach may not encourage practitioners in the physician office or in 
outpatient hospital settings to consider the total cost of care for 
treating a beneficiary. Instead, the current FFS drug payment structure 
may provide an incentive to increase the volume of drugs furnished to 
beneficiaries and to prescribe more expensive drugs without considering 
the total cost of care for treating a beneficiary with a particular 
drug regimen across the episode of care. MedPAC, in its June 2015 
report, discussed bundled payments for Part B drugs as a potential 
approach to obtain better pricing for Part B drugs for beneficiaries 
compared to current pricing under the FFS system.
    In the absence of an episode-based or bundled pricing model for 
Part B drugs, provider and practitioner prescribing patterns for a 
given drug treatment regimen under the current FFS payment system may 
unintentionally de-emphasize the value of drug regimens beyond the 
immediate care setting and throughout the course of drug therapy. For 
instance, in situations where drugs represent a small portion of the 
total cost of the patient's overall treatment therapy across multiple 
settings, particular attention may not be given to the financial impact 
of the cost of the drugs relative to the total cost of a patient's care 
or to the interaction of drug therapy with other aspects of the 
patient's care.
    As part of this proposed rule, we are soliciting comments and 
suggestions to consider in future rulemaking related to an episode-
based or bundled pricing approach for Part B drugs in both physician 
offices and hospital outpatient settings. The intent of this comment 
solicitation is to explore an initial framework that could promote 
greater incentives for improved patient outcomes and financial 
accountability for episodes of care surrounding particular courses of 
treatment using particular Part B drugs. CMS is pursuing bundled and 
episode payments through models such as the BPCI initiatives,\43\ the 
OCM,\44\ and CJR.\45\ As evidenced by the BPCI initiative and the OCM, 
we have demonstrated interest in developing models that utilize aligned 
financial incentives, including performance-based payments, to improve 
care coordination, appropriateness of care, and access for 
beneficiaries. As part of this proposed rule, we are specifically 
seeking comment on issues related to an episode-based or bundled 
pricing approach for Part B drugs, including, but not limited to:
---------------------------------------------------------------------------

    \43\ The BPCI initiative comprises four broadly defined models 
of care, which link payments for the multiple services beneficiaries 
receive during an episode of care. Under the initiative, 
organizations enter into payment arrangements that include financial 
and performance accountability for episodes of care. These models 
may lead to higher quality and more coordinated care at a lower cost 
to Medicare. More information on the four models can be accessed at 
the CMS Innovation Center: https://innovation.cms.gov/initiatives/Bundled-Payments/.
    \44\ OCM is an innovative multi-payer model in which practices 
enter into payment arrangements that include financial and 
performance accountability for episodes of care surrounding 
chemotherapy administration to cancer patients. This model aims to 
provide higher quality, more highly coordinated oncology care at a 
lower cost. OCM is a 5-year model and will begin in spring 2016. 
More information on the four models can be accessed at the CMS 
Innovation Center: https://innovation.cms.gov/initiatives/Oncology-Care/.
    \45\ The Comprehensive Care for Joint Replacement (CJR) model 
aims to support better and more efficient care for beneficiaries 
undergoing hip and knee replacements. This model tests bundled 
payment and quality measurement for an episode of care associated 
with hip and knee replacements to encourage hospitals, physicians, 
and post-acute care providers to improve the quality and 
coordination of care from the initial hospitalization through 
recovery. https://innovation.cms.gov/initiatives/cjr.
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     How CMS could identify groups of similar drugs for 
inclusion in an episode (for example, are drugs used to treat certain 
types of arthritis suitable candidates for inclusion in an episode-
based or bundled payment model).
     The care settings (for example physician office, 
outpatient hospital) and disease states that we should consider for an 
episode-based or bundled pricing model.
     What types of entities/providers and suppliers would be 
responsible for care under the program and the types of financial 
relationships would there be if shared savings were considered.
     Measuring and setting outcomes, including parameters 
around standardizing value metrics based on differences in drug 
treatments and their targeted patient subpopulations, as well as 
measures of total cost of care and adjustments for case-mix.
     The scope of the bundle or episode of care, if not 
considering total cost of care.
     The provider or entity that is responsible for the bundle.
     The length of time the episode should cover.
     The best way to establish pricing for a bundle and whether 
sharing risk and savings should be considered.
     Whether the bundles should be established prospectively or 
calculated retrospectively.

D. Interactions With Other Payment Provisions

1. Overview
    We acknowledge that there may be circumstances where a Medicare 
beneficiary whose Part B drug therapy is paid under the Part B Drug 
Payment Model may also be assigned to or otherwise accounted for in 
other payment models, demonstrations, programs, or other initiatives 
that are being tested by the Innovation Center. In this proposed rule, 
the term shared savings refers to models in which the payment structure 
includes a calculation of total savings with CMS and the model 
participants each retaining a particular percentage of that savings. We 
note that there is a potential for overlap between the Part B Drug 
Payment Model and the Medicare Shared Savings Program, the IVIG 
Demonstration, Innovation Center shared savings models, and other 
Innovation Center payment models, such as the OCM and the BPCI 
initiative. For other models tested by the Innovation Center, we have 
worked to prevent duplication and to monitor arrangements that minimize 
duplication of effort. We anticipate undertaking similar efforts for 
the Part B Drug Payment Model.
2. Most Shared Savings Programs and Models
    Unlike the Medicare Shared Savings Program and shared savings 
models such as the Next Generation ACO model or the Comprehensive ESRD 
Initiative where performance is measured using expansive measures that 
examine many facets of a patient's care, the Part B Drug Payment Model 
is limited to payments for drug therapy. Also, the Part B Drug Payment 
Model as it is proposed does not define episodes of care and instead 
makes payments for specific drug claims that are submitted by provider 
or supplier to the Medicare Administrative

[[Page 13249]]

Contractors (MACs) that typically process their current drug claims. We 
believe that the adjustments made to the ASP add-on and other Part B 
payment amounts will typically represent a small proportion of the 
beneficiary's total payments for care, and thus we propose not to 
exclude beneficiaries assigned to ACOs in the Medicare Shared Savings 
Program or otherwise accounted for in shared savings models from 
inclusion in the Part B Drug Payment Model. Also, we do not propose a 
separate reconciliation process or modification to the reconciliation 
process for these beneficiaries. This means that with the exception of 
the OCM discussed in the next section, we do not plan to exclude or 
apply reconciliation processes to other shared savings programs or 
models.
3. Oncology Care Model
    OCM evaluates the impact of appropriately aligned financial 
incentives to improve care coordination, appropriateness of care, and 
access to care for beneficiaries undergoing chemotherapy. Under OCM, 
practices will enter into payment arrangements that include financial 
and performance accountability for episodes of care surrounding 
chemotherapy administration to cancer patients. The OCM is one of our 
key initiatives on alternative payment models, and we are preparing for 
implementation later this year.
    OCM incorporates a two-part payment system for participating 
practices, creating incentives to improve the quality of care and 
furnish enhanced services for beneficiaries who undergo chemotherapy 
treatment for a cancer diagnosis. The two forms of payment include a 
monthly per-beneficiary-per-month (PBPM) payment for the duration of 
the episode and the potential for a performance-based payment for 
episodes of chemotherapy care. The monthly PBPM care management payment 
supports infrastructure and organizational change to meet the OCM 
requirements, such as 24/7 access to care, and assists participating 
practices in effectively managing and coordinating care for oncology 
patients during episodes of care, while the potential for performance-
based payment will give practices incentives to lower the total cost of 
care and improve care for beneficiaries during treatment episodes.
    There will be overlap between the Part B Drug Payment Model 
presented in this proposed rule and OCM in that both models will affect 
providers' and suppliers' incentives for the use of oncology drugs, but 
in different ways. Oncology drugs represent a significant portion of 
Part B claims and include many high cost drugs. Drug claims under the 
OCM are paid under the ASP methodology and costs associated with 
therapy (including drugs) are evaluated periodically. In the impact 
section to this proposed rule, section IX, we note the percent of total 
spending attributable to Part B drugs by specialty. Almost 80 percent 
of oncology practice Medicare FFS revenue is from Part B drugs.
    We plan to proceed with both models, and we propose to include OCM 
practices in all arms of the Part B Drug Payment Model. That is, we 
would not alter the sampling plan discussed in section II of this 
proposed rule to exclude practices choosing to participate in OCM or 
practices that we might identify as the comparison group for OCM. In 
particular, as described above, the Part B Drug Payment Model is 
proposed as a national mandatory model so that all practices in 
selected PCSAs will participate in the Part B Drug Payment Model 
whether or not they elect to participate in any voluntary models. 
Selected OCM practices and matched comparison group practices could 
account for up to almost 40 percent of total Part B drug spending and 
for 70 percent of Part B spending on oncology drugs depending upon the 
actual enrollment of number and type of practices in the model. For 
this reason, we also believe that the remaining oncology spending would 
not be representative of Part B spending overall and Part B oncology 
spending in particular. Therefore we are proposing to include all OCM 
practices, both intervention and comparison group practices, in this 
model.
    We believe that including OCM practices in the Part B Drug Payment 
Model will not compromise our ability to evaluate effectively the 
effects of either model. In particular, the stratified random 
assignment approach used to allocate PCSAs to the treatment and control 
arms of the Part B Drug Payment Model will ensure that each arm of the 
Part B Drug Payment Model contains an approximately equal number of OCM 
participating practices. Since the number of OCM participants will be 
approximately the same in all arms of the Part B Drug Payment Model, 
the existence of the OCM should not bias comparisons of outcomes across 
arms of the Part B Drug Payment Model; thus, the existence of the OCM 
should not affect our ability to identify the independent effect of the 
Part B Drug Payment Model (that is, the effect of the Part B Drug 
Payment Model holding the level of OCM participation constant). 
Similarly, the stratified random assignment approach used in the Part B 
Drug Payment Model will ensure that OCM participant and comparison 
practices are each allocated approximately evenly across the arms of 
the Part B Drug Payment Model. Since the share of practices allocated 
to each Part B Drug Payment Model treatment arm will be approximately 
the same across both the OCM participant and comparison groups, the 
existence of the Part B Drug Payment Model should not bias comparisons 
between OCM participants and non-participants and thus should not 
affect our ability to identify the independent effect of the OCM (that 
is, the effect of the OCM holding Part B Drug Payment Model activities 
constant). We seek comment on these conclusions.
    The agency continues to assess best methods for addressing the 
overlap between the two models. We solicit comments on why practices 
choosing to participate in the OCM should or should not be included in 
the Part B Drug Payment Model. Should OCM practices be included in this 
Part B Drug Payment Model as we propose, we solicit comment on the best 
mechanism to account for the overlap between these two models. We also 
solicit comments on the generalizability of the results of the Part B 
Drug Payment Model if the OCM practices and their matched comparison 
practices are excluded; specifically, on whether the model will produce 
usable information without the OCM practices and their comparison 
practices. As we move forward to implement OCM, we will work closely 
with OCM practices within the context of that voluntary model to adapt 
to the Part B Drug Payment Model if necessary, for example through 
modifications to the financial reconciliation methodology.
4. Intravenous Immune Globulin (IVIG) Demonstration
    The Medicare IVIG Demonstration evaluates the benefits of providing 
payment and items for services needed for the in-home administration of 
intravenous immune globulin for the treatment of primary immune 
deficiency disease (PIDD).
    Services and items covered under the demonstration are provided and 
billed by the suppliers that provide the IVIG, which is already covered 
under Medicare Part B. The demonstration-covered services and items are 
paid as a single bundle and will be subject to coinsurance and 
deductible in the same manner as other Part B services. Home health 
agencies are not eligible to bill for services covered under the

[[Page 13250]]

demonstration but may still bill for services related to the 
administration of IVIG that are covered under the payment for a home 
health episode of care.
    This IVIG demonstration encompasses only the items and services 
that are needed for the in-home administration of IVIG; payments for 
IVIG are not changed. We therefore propose not to exclude patients in 
the IVIG demonstration from inclusion in this model. We seek comment on 
our proposed approach and the potential interactions with existing 
models and payment provisions.

IV. Provider, Supplier, and Beneficiary Protections

    Providers, suppliers, and beneficiaries who are included in the 
model will have access to the existing claims appeals process, as well 
as a proposed Pre-Appeals Payment Exceptions Review process, to resolve 
disputes arising from the policies implemented by this model. The 
process will be developed and finalized by CMS. The phase II 
contractor's scope of work will also include day-to-day operation of 
this process. The Payment Exceptions Review process will precede the 
formal Part B claims appeals process in existing 42 CFR part 405 
subpart I and will allow a provider, supplier, or beneficiary to raise 
issues regarding payment that are included in the VBP tools under phase 
II before submitting a claim. We anticipate the Payment Exceptions 
Review process will give providers, suppliers, or beneficiaries the 
opportunity to preempt potential disputes regarding a model payment, 
prior to filing a Medicare Appeal under 42 CFR part 405 subpart I.

A. Pre-Appeals Payment Exceptions Review Process

    We propose to establish this Pre-Appeals Payment Exceptions Review 
process for pricing established under the value-based pricing section 
of phase II of this model only in order to allow the provider, 
supplier, or beneficiary an opportunity to dispute payments made under 
phase II. This process would be in addition to, not in lieu of, the 
current appeals process, and would be available to any providers, 
suppliers, or beneficiaries receiving services in PCSAs assigned to one 
of the VBP arms. Providers, suppliers, and beneficiaries would have the 
opportunity to appeal any payment determination via the appeals 
mechanism that currently exist outside of this model.
    We propose that the Payment Exceptions Review process would be 
applicable to phase II payments, described in section III.B of this 
proposed rule, and would not include modifications to the ASP add-on, 
described in section III.A of this proposed rule. The Pre-Appeals 
Payment Exception Review process would allow the provider, supplier, or 
beneficiary to contact the contractor, before submitting a claim, and 
explain why an exception to Medicare's pricing policy, as described in 
section II.B, is warranted in the beneficiary's situation, and explain 
why the price provided under the phase II pricing policy does not 
provide accurate compensation for the prescribed drug. The Payment 
Exceptions decisions would be issued, in writing, within 5 business 
days of receipt of the request for a payment exception. While a payment 
exception decision would not confer appeal rights, a provider, 
supplier, or beneficiary dissatisfied with a payment exception decision 
or a pricing decision, may still utilize the current appeals process in 
42 CFR part 405 subpart I following submission of a claim. Throughout 
this process, providers and suppliers would be prohibited from charging 
a beneficiary more than the applicable cost sharing as explained in 
Section III.B.2, above, even if a payment exceptions request is not 
approved by the contractor or the payment amount determined by the 
contractor remains unchanged as a result of the appeals process.
    All of the current claims appeals rights will remain in place 
regardless of participation in this model or the choice to utilize the 
Pre-Appeals process. We discuss the current appeals process below.

B. Current Appeals Procedure

    As stated above, the Pre-Appeals process is intended as an option 
that would precede, not replace, the Medicare claims appeals process 
that is currently in place. The Pre-Appeals process is voluntary and 
intended to resolve payment disputes before the appeals process is 
needed, to minimize the number of formal Medicare appeals. Utilizing, 
or bypassing, the Pre-Appeals process will not affect the right of a 
provider, supplier, or beneficiary to access the current appeals 
process, following submission of a claim. In either the situation where 
the provider, supplier, or beneficiary submits a request for a Payment 
Exception, and that request is denied, or where the provider, supplier, 
or beneficiary does not choose to go through the Pre-Appeals process, 
the amount that will be paid on a submitted claim is that amount 
established through phase II pricing policy. The provider, supplier, or 
beneficiary may choose to appeal the payment amount, under 42 CFR part 
405 subpart I, after the phase II price has been paid for a drug.
    Under 42 CFR part 405 subpart I, MACs make an initial determination 
in response to a claim for benefits submitted by a provider, supplier, 
or beneficiary. We propose that the phase II pricing policy established 
by Medicare, which is proposed in Sec.  511.305 of this proposed rule, 
and discussed in section III.B of this proposed rule, and any pricing 
determination rendered through the Pre-Appeals process will be given 
substantial deference, but will not be binding on any appeals 
adjudicator, regardless of whether the party requesting an appeal first 
utilized the Pre-Appeals process. If the provider, supplier, or 
beneficiary is dissatisfied with the MAC's initial determination, they 
may request that the MAC perform a redetermination under 42 CFR 
405.940. If the provider, supplier, or beneficiary is dissatisfied with 
the redetermination, they may then request a reconsideration by the 
Qualified Independent Contractor (QIC) under 42 CFR 405.960. A 
provider, supplier, or beneficiary may then request a hearing before an 
Administrative Law Judge (ALJ) under 42 CFR 405.1000, if the claim(s) 
at issue meet the amount in controversy requirement ($150 for CY2016). 
Finally, a provider, supplier or beneficiary may request Appeals 
Council review under 42 CFR 405.1100, et seq., and then, in certain 
circumstances, request judicial review in Federal district court under 
42 CFR 405.1132, if the amount in controversy requirement is satisfied 
($1,500 for CY 2016).

V. Proposed Waivers of Medicare Program Rules

    Section 1115A(d)(1) of the Act provides the Secretary with broad 
authority to waive the statutory requirements titles XI and XVIII and 
of sections 1902(a)(1), 1902(a)(13), and 1903(m)(2)(A)(iii) of the Act 
as may be necessary solely for purposes of carrying out section 1115A 
of the Act with respect to testing models, described in section 
1115A(b) of the Act. To test alternative approaches for Part B drug 
payments, we propose to use the waiver authority provided to the 
Secretary under section 1115A of the Act. The purpose of this 
flexibility would be to allow Medicare to test approaches described in 
this proposed rule with the goal of increasing the value of drug 
therapy that is paid under Medicare Part B while improving, or 
maintaining, the quality of beneficiaries' care as we

[[Page 13251]]

implement and test this model. We believe that these waivers are 
necessary and appropriate to test whether the alternative drug payment 
designs discussed in this proposed rule will lead to better value for 
drugs paid under Part B, that is, a reduction in Medicare expenditures, 
while preserving or enhancing quality of care provided to Medicare 
beneficiaries.
    First, we propose to waive portions of section 1847A(b)(1) of the 
Act which specify the 6 percent add-on percentage for payments 
determined under section 1847A of the Act. Waiving the fixed add-on 
percentage will allow the agency to modify the add-on percentage for 
payment determinations made under section 1847A of the Act to test 
whether modifying the add-on percentage improves provider and supplier 
financial incentives associated with Part B drug payment. The waiver 
for the add-on encompasses single source drugs, biologicals, multiple 
source drugs and biosimilars as described in section 1847A of the Act. 
The 6 percent add-on is typically used for payments based on the 
manufacturer's ASP, but as discussed in the CY 2011 PFS rule, the ASP 
price files also include payments that use 106 percent of WAC. This 
percentage is consistent with sections 1847A(c)(4)(A) and 1847A(b) of 
the Act.
    We also propose to waive the definitions of single source drug or 
biological, multiple source drug, and biosimilar biological product in 
section 1847A(c)(6) of the Act to determine payment for Part B drugs, 
which are grouped in a way that is different from how they are grouped 
in the statute. We propose to waive these definitions to test whether 
paying these types of drugs and biologicals using the pricing 
approaches described in this proposed rule will reduce expenditures 
while maintaining or improving quality of care. Alternative payment 
amounts proposed in this model may involve assigning a HCPCS code 
payment value with a different payment amount, than what would be 
determined under section 1847A of the Act. For example, under value-
based pricing (Section II.B.2), equal or benchmarked payment for 
therapeutically similar drug products that are used for a given 
indication like osteoarthritis is unlikely to be consistent with the 
statutory definitions of single source drug or biological, multiple 
source drug, and biosimilar biologicals.
    We also propose to waive provisions in section 1847A(b) of the Act 
that require the assignment of NDCs to HCPCS codes based on whether a 
drug meets the definition of single source drug or biological, multiple 
source drug, or biosimilar, which this section defines, and requires 
the agency to base the determination of the ASP (that is, the ASP+0 
percent) on the NDCs from this assignment. We are proposing to waive 
this statutory requirement for the required approach of assigning NDC's 
to HCPCS to test changes in these payment limits. As stated in the 
preceding paragraph, the determination of the model's payment amounts 
may not be consistent with the statutory definitions of single source 
drug or biological, multiple source drug, and biosimilar biologicals.
    Furthermore, we propose to waive section 1847A(b)(6) of the Act, 
which specifies how the volume-weighted average sales price is to be 
used in the calculation of average sales price, so that we can test 
alternatives to the ASP+6 percent methodology in this model, 
irrespective of the volume-weighted average payment amount 
determination. This subsection provides the formula for using volume as 
a factor for determining the average sales price. Waiving this 
provision is necessary to test changes to the payment determination 
methodology that is described in section 1847A of the Act. Consistent 
with the statutory provisions discussed above, we also propose to waive 
applicable portions of Sec.  414.904-906 which define and implement 
payment provisions associated with section 1847A of the Act.
    The waiver should also encompass other Part B drug payment 
methodologies that are used to pay for Part B drugs which are described 
in section 1842(o) of the Act. Section 1842(o)(1)(D) of the Act 
requires that infusion drugs furnished through an item of DME be paid 
at 95 percent of the AWP in effect on October 1, 2003. We are proposing 
to waive this section to include infusion drugs that are furnished 
through covered DME items in the model. Immunosuppressive drug 
supplying fees, inhalation drug dispensing fees and the clotting factor 
furnishing fees are described in sections 1842(o)(2), 1842(o)(5), 
1842(o)(6) of the Act. We propose to waive these provisions to include 
modifications to the fees in the model. Section 1842(o)(2) of the Act 
allows Medicare to pay a dispensing fee (less the applicable deductible 
and coinsurance amounts) to the supplier for certain drugs that are 
dispensed and then paid under Part B. Section 1842(o)(5) of the Act 
requires the Secretary to provide a separate payment for items and 
services related to the furnishing of blood clotting factors. Finally, 
section 1842(o)(6) of the Act requires the Secretary to pay a supplying 
fee to pharmacies for certain immunosuppressive, oral anticancer and 
oral antiemetic drugs (less the applicable deductible and coinsurance 
amounts).
    Further, we propose to waive portions of section 1833 of the Act. 
Specifically, we propose to waive section 1833(t)(14) of the Act in its 
entirety, which specifies that the OPPS pays for certain outpatient 
drugs at acquisition cost plus an adjustment for overhead and handling; 
this payment is currently set to ASP+6 percent. We propose to waive 
this provision to test the proposed changes to the ASP+6 percent 
methodology calculation for drugs and biologicals in the hospital 
outpatient department setting. Some drugs and biologicals, including 
certain diagnostic radiopharmaceuticals receive packaged payment. We 
would not revise our policy for packaging drugs and biologicals with 
per day costs below a certain threshold at this time for those drugs 
and biologicals that meet OPPS packaging criteria (we discuss episodes 
of care in this proposed rule, but do not propose to include episodes 
or other bundles at this time). We also propose to waive section 
1833(t)(6) of the Act, which requires the Secretary to furnish 
additional pass through payments for certain drugs that are covered 
under the OPD service or group of services described under this 
section. This includes orphan drugs, cancer therapy drugs and 
brachytherapy, radiopharmaceuticals, and certain new drugs. We would 
waive the requirement that drugs and biologicals with pass-through 
status receive payment at ASP+6 percent to test changes with either 
alternative under either phase of the model. We propose to waive these 
sections of section 1833 of the Act, as well as related regulation text 
at Sec.  419.64, which provides definitions of terms used in the 
statute, including cancer therapy drugs, orphan drugs, and 
radiopharmaceutical drugs. We are waiving these regulatory definitions 
of terms described in section 1833 of the Act to achieve a waiver of 
the statutory requirement for pass through payment.
    We further propose to waive section 1847B of the Act and portions 
of Sec.  414.906 through Sec.  414.920 which implement the Part B drug 
CAP. This section requires the establishment of a CAP and sets forth 
detailed requirements for the program. We have discussed an alternative 
to the CAP in this rule and solicited comments about how a similar 
program may be implemented, but we are not proposing the implementation 
of the CAP as described in section 1847B of the Act at this time.

[[Page 13252]]

    Providers and suppliers who participate in this model must comply 
with all applicable laws and regulations not explicitly waived in this 
document. We also seek comment on any additional Medicare program rules 
that it may be necessary to waive using our authority under section 
1115A of the Act to effectively test the payment changes, described in 
this model, as it has been proposed, which we could consider in the 
context of our early model implementation experience to inform any 
future proposals we may make.

VI. Evaluation

    Our evaluation of the Part B Drug Payment Model would test the 
proposed innovative health care payment model in this proposed rule to 
examine its potential to lower program expenditures while maintaining 
or improving the quality of care furnished to Medicare Program 
beneficiaries. Under this proposal, the Innovation Center would 
exercise its authority under section 1115A of the Act to test 
alternative payment designs for Part B drugs. The evaluation would 
collect and analyze data primarily to test the hypothesis that these 
alternative payment designs would lead to both higher quality and more 
affordable care for Part B Medicare enrollees and reduced Medicare 
expenditures. Our evaluation of the Part B Drug Payment Model would be 
used to inform the Secretary and policymakers about the impact of the 
alternatives tested relative to payment under the traditional Part B 
drug payment system in the absence of such alternatives. We propose to 
evaluate this model in a manner similar to other models developed and 
tested under the Innovation Center authority.
    Obtaining information that is representative of a wide and diverse 
group of providers, suppliers, and beneficiaries will best inform us on 
about how such a payment model might function were it to be more fully 
integrated within the Medicare program. Our evaluation approach will 
compare historic patterns of Part B drug use and Medicare program costs 
for providers and suppliers, and health outcomes for beneficiaries in 
response to the alternative interventions proposed in this model (see 
section III. of this proposed rule).
    We propose to apply the model interventions based upon a stratified 
random assignment of PCSAs, the unit of analysis for the model test 
(see section II.C. of this proposed rule). Researchers would evaluate 
separately the impacts of the test interventions by comparing Part B 
drug use, program costs, and the quality of care for providers, 
suppliers, and beneficiaries in the areas assigned to each model test 
arm to those in areas assigned to the control arm. The evaluation will 
include a range of analytic methods, including regression and other 
multivariate analyses.
    In our design, we primarily examine the impact of the proposed 
model interventions at the PCSA level. However, to address a broader 
variety of stakeholders and topics, we also propose to examine the 
model impact at the provider and supplier level and at the beneficiary 
level. We anticipate using various statistical methods to address 
observable factors that could confound or bias our results. We also 
plan, to the extent possible, to examine and account for the 
interactions of this model with other ongoing interventions such as the 
OCM, BPCI, the Pioneer ACO Models, and the Medicare Shared Savings 
Program. For example, the evaluation of this model may require 
excluding areas, providers, suppliers, or beneficiaries if including 
them has the potential to seriously bias the results of an existing 
model. Alternatively, statistical and other data analytic techniques 
could help to adjust for the effects of adding the Part B drug model in 
areas where providers, suppliers, or patients are participating in 
these other interventions.
    Although, we expect to base many of our analyses on secondary data 
sources such as Medicare FFS claims, we may consider a survey of 
beneficiaries, suppliers, and providers to provide insight on 
beneficiaries' experience under the model and additional information on 
any strategies undertaken by those providing drugs included under this 
model.
    Our evaluation will focus upon whether the intervention reduces 
costs while improving quality of care. It also could include 
assessments of patient experience of care, prescribing and utilization 
patterns, health outcomes, Medicare expenditures, provider and supplier 
costs, and other potential impacts of interest to stakeholders. Our key 
evaluation questions would include, but are not limited to, the 
following:
     Payment. Is there a reduction in Part B drug spending, as 
well as total Part B and total Medicare program expenditures, in 
absolute terms or for subcategories of providers and suppliers (for 
example, physician office vs hospital outpatient department, or rural 
vs urban settings)?
     Prescribing Patterns. Are there any observed changes in 
utilization (measure number of doses/refill patterns) and prescribing 
patterns overall and for specific types of providers and suppliers? How 
do these patterns compare to the control or historic patterns, 
potentially including longitudinal patterns and, if data permit, before 
and after the budget sequester that began in 2013? How are these 
patterns of changing utilization associated with the different Medicare 
payment alternatives?
     Prescriber Acquisition Prices. Is there any change in the 
prices at which providers and suppliers are able to obtain Part B drugs 
depending upon the payment environment that applies in a particular 
area?
     Outcomes/Quality. What is the impact on quality of care, 
access to care, timeliness of care, and the patient experience of care?
     Unintended Consequences. Did the model result in any 
observable unintended consequences? If so, how, to what extent, under 
which conditions, and for which beneficiaries, or providers and 
suppliers?
     Variable Model Effects. Was each intervention tested in 
the model more or less successful under some conditions compared to 
others, for example, in certain types of markets, geographic areas, or 
for certain categories of drugs?
    In addition, we seek comments on other potential questions for 
inclusion in the evaluation of the Part B Drug Payment Model.

VII. Collection of Information Requirements

    As stated in section 1115A(d)(3) of the Act, Chapter 35 of title 
44, United States Code, shall not apply to the testing and evaluation 
of models under section 1115A of the Act. As a result, the information 
collection requirements contained in this proposed rule need not be 
reviewed by the Office of Management and Budget. However, costs 
incurred through information collections are included in the Regulatory 
Impact Analysis.

VIII. Response to Comments

    Because of the large number of public comments we normally receive 
on Federal Register documents, we are not able to acknowledge or 
respond to them individually. We will consider all comments we receive 
by the date and time specified in the ``DATES'' section of this 
preamble, and, when we proceed with a subsequent document, we will 
respond to the comments in the preamble to that document.

IX. Regulatory Impact Analysis

A. Introduction

    We have examined the impacts of this proposed rule, as required by 
Executive

[[Page 13253]]

Order 12866 on Regulatory Planning and Review (September 30, 1993), 
Executive Order 13563 on Improving Regulation and Regulatory Review 
(January 18, 2011), the Regulatory Flexibility Act (RFA) (September 19, 
1980, Pub. L. 96-354), section 1102(b) of the Social Security Act, 
section 202 of the Unfunded Mandates Reform Act of 1995 (UMRA) (March 
22, 1995, Pub. L. 104-4), Executive Order 13132 on Federalism (August 
4, 1999), and the Contract with America Advancement Act of 1996 (Pub. 
L. 104-121) (5 U.S.C. 804(2)). This section of the proposed rule 
contains the impact and other economic analyses for the provisions that 
we are proposing.
    Executive Orders 12866 and 13563 direct agencies to assess all 
costs and benefits of available regulatory alternatives and, if 
regulation is necessary, to select regulatory approaches that maximize 
net benefits (including potential economic, environmental, public 
health and safety effects, distributive impacts, and equity). Executive 
Order 13563 emphasizes the importance of quantifying both costs and 
benefits, of reducing costs, of harmonizing rules, and of promoting 
flexibility. This proposed rule has been designated as an economically 
significant rule under section 3(f)(1) of Executive Order 12866 and a 
major rule under the Contract with America Advancement Act of 1996 
(Pub. L. 104-121). Accordingly, this proposed rule has been reviewed by 
the Office of Management and Budget. We have prepared a regulatory 
impact analysis that, to the best of our ability, presents the costs 
and benefits of this proposed rule. We solicit comments on the 
regulatory impact analysis in the proposed rule.

B. Statement of Need

    This proposed rule is necessary to implement and test a new payment 
and service delivery model under the authority of section 1115A of the 
Act, which allows the Innovation Center to test innovative payment and 
service delivery models to reduce program expenditures while preserving 
or enhancing the quality of care furnished to individuals. The 
underlying issue addressed by the Part B Drug Payment Model is whether 
the FFS payment amount for drugs furnished in physician offices and 
hospital outpatient departments at ASP+6 percent encourages the use of 
more expensive drugs because the 6 percent add-on generates more 
revenue for more expensive drugs (see MedPAC Report to the Congress: 
Medicare and the Health Care Delivery System June 2015, pages 65-72). 
Medicare pays this price regardless of the price a provider pays to 
acquire the drug. The ASP methodology does not take into account the 
effectiveness of a particular drug, nor the cost of comparable drugs, 
when determining the Medicare payment amount.
    This proposed rule creates and tests one alternative payment 
approach to the ASP add-on amount and whether a combination of value-
pricing and clinical decision support tools can change physician and 
hospital outpatient prescribing patterns. With minor exclusions, we 
propose to include the vast majority of Part B drugs in this proposed 
model, and we are requiring all providers and suppliers that furnish 
those Medicare Part B drugs to beneficiaries in selected geographic 
areas to participate. Some providers and suppliers will be included in 
the control group continuing to receive payment at ASP+6 percent. 
Testing the model in this manner will allow us to learn more about how 
best to structure FFS incentives for Part B drug payment and whether 
managing aspects of the Part B drug benefit can improve the value of 
Medicare spending on drugs. This learning could inform future Medicare 
payment policy.

C. Overall Impacts for the Proposed Part B Drug Payment Model

    As detailed in section III of this proposed rule, we are proposing 
to establish the CY 2016 alternative ASP add-on amount in phase I as 
budget neutral to Part B spending using CY 2014 claims data. We propose 
to update the flat fee amount each year based on the CPI MC. We intend 
to achieve savings through behavioral responses to the revised pricing, 
as we hope that the revised pricing removes any excess financial 
incentive to prescribe high cost drugs over lower cost ones when 
comparable low cost drugs are available. In other words, we believe 
that removing the financial incentive that may be associated with 
higher add-on payments may lead to some savings during phase I of the 
proposed model. We do not have an exact estimate of the amount of 
savings that might be achieved through behavioral responses. However, 
prior research suggests that changes in the 6 percent add-on percentage 
can change prescribing behavior. For example, in one study, the 
implementation of ASP+6 percent resulted in providers shifting patients 
to newer, more expensive drugs which had a higher profit margin under 
the ASP+6 percent methodology.\46\ For urologists, rheumatologists, 
infectious disease specialists, and medical oncologists, Medicare 
billing decreased for Part B drugs but increased for other services 
(for example, drug administration and testing) between 2004 and 2005, 
when ASP+6 percent went into effect.\47\
---------------------------------------------------------------------------

    \46\ Medicare Payment Advisory Commission. (2006). Report to the 
Congress: Effects of Medicare payment changes on oncology. 
Washington, DC: MedPAC.
    \47\ Medicare Payment Advisory Commission. (2007). Report to the 
Congress: Impact of changes in Medicare payments for Part B drugs. 
Washington, DC: MedPAC.
---------------------------------------------------------------------------

    In phase II, we are proposing that the VBP component of the model 
would not be budget neutral. We intend to achieve savings in phase II 
through the use of value-pricing tools. We invite extensive comment 
throughout this proposed rule on the applicability of various VBP tools 
to the Part B and hospital outpatient drug benefit. We do not believe 
that we have enough detail on the structure of the final value-based 
purchasing component to quantify potential savings. As with phase I, we 
note evidence that changes in drug margin and the +6 percent add-on 
amount have correlated with changes in prescribing patterns. We cannot 
gauge the magnitude of savings for either proposed phase of the model 
at this time but we expect both to produce savings. We invite comment 
on the extent of savings that might be achieved based on commenter 
experience.
    Part B and hospital outpatient spending for separately paid drugs 
and biologicals is estimated at $21 billion for CY 2016. We propose to 
assign through the stratified random sample one-half of the PCSAs to 
the phase I model arms testing payment at ASP+2.5 percent plus a flat 
fee and that should include roughly one-half of that estimated spending 
amount within those arms. We estimate that the flat fee would account 
for roughly $675 million of total Part B drug spending if calculated 
nationally. In addition to any changes in spending introduced through 
phase II, we believe that the model's effects will trigger the 
threshold of ``an annual effect on the economy of $100 million or 
more'' under E.O. 12866.

D. Detailed Economic Analyses

1. Estimated Effect of Part B Drug Payment Model Changes in This 
Proposed Rule
a. Limitations of Our Analysis
    The distributional impacts presented here are the projected effects 
of phase I of the proposed Part B Drug Payment Model implementing 
alternative ASP

[[Page 13254]]

add-on amounts to drug payment by various hospital categories and 
physician specialties, where applicable. We estimate the effects of the 
policy changes by categorizing drug payment and other factors from the 
provider and supplier claims into the appropriate categories and then 
recalculating payment based on the characteristics of proposed pricing 
under the Part B Drug Payment Model. In developing the budget neutral 
Part B Drug Payment Model and the corresponding impact tables, we use 
the best data available, but do not attempt to predict behavioral 
responses to our policy changes. In addition, we have not made 
adjustments for future changes in variables such as service volume, 
service-mix, or number of encounters. The impact tables included in 
this proposed rule display the estimated effects if the Part B Drug 
Payment Model were to apply to all providers. Since we propose to 
randomly assign PCSAs to one of three model test arms or a control 
group, we believe that including all providers is a fair representation 
of the impact. We also note that we included all providers and 
suppliers in our calculation of the proposed flat fee amount. In this 
proposed rule, we are soliciting public comment and information about 
the anticipated effects of our proposed changes on providers and 
suppliers and the methodologies used to develop the Part B Drug Payment 
Model. Any public comments that we receive will be addressed in the 
applicable section(s) of the final rule with comment period.
    For phase II of this model we do not present distributional 
impacts. This phase of the proposed model is not budget neutral, and as 
discussed in section II.B.1., evidence generally suggests that 
utilizing approaches employed by commercial and Part D plans to contain 
drug costs and improve value should lead to savings in Part B drug 
spending. However, the proposed rule invites extensive comment on which 
VBP tools are appropriately applied to the Part B and hospital 
outpatient drug benefit. We cannot yet quantify the overall impact of 
VBP. We invite comment on the extent of savings that might be achieved 
based on commenter experience, and we anticipate being able to better 
estimate the probability and magnitude of savings from those comments.
b. Estimated Effects of Phase I
i. Estimated Effects of Phase I: Changes to ASP Add-on Amount on 
Physicians, Practitioners, and other Suppliers
    Table 2 shows the estimated impact of this proposed rule on 
physicians, practitioners, and other suppliers. Table 2 does not show 
specialties with less than $10 million in total drug spending and 
includes outpatient hospital spending as a specialty to demonstrate 
budget neutrality. Overall, Part B drug payment to practitioners, 
pharmacies, and hospitals by specialty in phase I of this proposed 
model will not change, as the ASP add-on revision is proposed to be 
budget neutral.
     Column 1: Physician Specialty Descriptor: Column 1 
displays the physician specialty categories in the Part B drug claims. 
We do not show specialties with aggregate drug spending less than $10 
million.
     Column 2: Total Medicare Payment for Specialty (in 
millions): Column 2 displays total Medicare payment (in millions) for 
physician/supplier specialties in the model, including both the 
Medicare program and beneficiary share, based on CY 2014 claims with 
proposed trims and exclusions as discussed in the proposed rule. These 
payment values are included to provide context for the Part B Drug 
Payment Model changes in the broader context of overall payment. The 
first line in Column 2 in Table 3 shows the total Medicare payment for 
all hospital and physician/supplier specialties (approximately $127 
billion). The second line in Column 2 shows the total Medicare payment 
for all hospitals. The third line in Column 2 shows the total Medicare 
payment for all specialties with drugs included in the proposed Part B 
drug payment model.
     Column 3: Total Medicare Payment-Physician Specialty 
Percent Change: Column 3 displays the estimated impact of the ASP+2.5 
percent and flat fee model within the context of overall Medicare 
payment to physician/supplier specialties. Under the proposed rule the 
estimated overall percent change for specialties ranges from -2.9 
percent to 3.2 percent.
     Column 4: Total Medicare Payment-Urban Area Percent 
Change: Column 4 displays the estimated impact of the ASP+2.5 percent 
and flat fee model within the context of overall Medicare payment to 
urban geographic areas. Under the proposed rule the estimated overall 
percent change for physician/supplier specialties ranges from -2.9 
percent to 3.4 percent.
     Column 5: Total Medicare Payment-Rural Area Percent 
Change: Column 5 displays the estimated impact of the ASP+2.5 percent 
and flat fee model within the context of overall Medicare payment in 
rural geographic areas. Under the proposed rule the estimated overall 
percent change for physician/supplier specialties in rural areas ranges 
from -2.4 percent to 2.6 percent.
     Column 6: Total Drug Payment at ASP+6 percent for 
Specialty (in millions): Column 6 displays total drug payment at the 
full ASP+6 percent based on CY 2014 claims, with proposed trims and 
exclusions as discussed in the proposed rule.
     Column 7: ASP+2.5 percent plus Flat Fee--Physician 
Specialty Percent Change in Drug Payment: Column 7 displays the 
estimated impact of the ASP+2.5 percent + flat fee model within the 
context of drug payment to physician/supplier specialties, from ASP+6 
percent to ASP+2.5 percent + flat fee. The proposed flat fee amount is 
calculated as $16.80, and applies per drug per day administered. Under 
the proposed rule, Part B drug payments to physician/supplier 
specialties are expected to decrease and increase in the range of -3.3 
to 50.2 percent. We note that the specialty impacts will vary based on 
the share that Part B drug payment represents as a portion of overall 
practice revenue for that category. We note that the proposed changes 
are budget neutral across Part B drug spending hospitals and physician 
offices.
     Column 8: ASP+2.5 percent + Flat Fee--Urban Area Percent 
Change in Drug Payment: Column 8 displays the estimated impact of the 
ASP+2.5 percent and flat fee model within the context of Medicare 
payment in urban geographic areas. Under the proposed rule the 
estimated overall percent change for Part B drug payments to physician/
supplier specialties in urban areas ranges from -3.3 percent to 50.2 
percent.
     Column 9: ASP+2.5 percent + Flat Fee--Rural Area Percent 
Change in Drug Payment: Column 9 displays the estimated impact of the 
ASP+2.5 percent + flat fee model within the context of Medicare payment 
in rural geographic areas. Under the proposed rule the estimated 
overall percent change for Part B drug payments to physician/supplier 
specialties in rural areas ranges from -3.2 percent to 82.1 percent.

[[Page 13255]]



                         Table 2--Impact of Part B Drug Payment Model on Hospitals, Practitioners, and Pharmacies by Specialty *
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                         Total Medicare payment                          Total drug payment
                                                             -------------------------------------------------------------------------------------------
                                                                                                             Total drug
                                                                 Total                                       payment at
      Rows             Specialty        Physician specialty     Medicare   Physician                           ASP+6     Physician
                                             descriptor       payment for  specialty   Urban %    Rural %   percent for  specialty   Urban %    Rural %
                                                               specialty    % change    change     change    specialty    % change    change     change
                                                                  (in                                           (in
                                                               millions)                                     millions)
--------------------------------------------------------------------------------------------------------------------------------------------------------
1..............  All.................  Hospital OPPS and         $127,417        0.0        0.0        0.3      $20,391        0.0       -0.3        2.1
                                        MPFS.
2..............  Hospital............  Hospital.............       50,043       -0.3       -0.3       -0.3        7,209       -2.3       -2.3       -2.2
3..............  Total **............  All Specialties......       77,374        0.2        0.2        0.6       13,181        1.3        0.9        4.8
4..............  83..................  Hematology/Oncology..        5,150       -0.4       -0.5       -0.2        4,059       -0.6       -0.6       -0.2
5..............  18..................  Ophthalmology........        6,234       -0.6       -0.7       -0.4        2,387       -1.7       -1.7       -1.4
6..............  A5..................  Pharmacy.............        3,316        1.8        1.5        2.6        1,432        4.2        3.4        6.2
7..............  66..................  Rheumatology.........        1,699       -1.1       -1.1       -1.0        1,205       -1.5       -1.5       -1.5
8..............  90..................  Medical Oncology.....        1,499       -0.5       -0.5       -0.4        1,193       -0.7       -0.7       -0.5
9..............  87..................  Other................          486       -2.9       -2.9       -2.4          429       -3.3       -3.3       -3.2
10.............  11..................  Internal Medicine....        6,266        0.6        0.5        1.0          412        9.1        8.1       17.5
11.............  34..................  Urology..............        1,619        0.1        0.1        0.2          349        0.4        0.4        0.7
12.............  13..................  Neurology............        1,162       -0.3       -0.3       -0.1          231       -1.4       -1.4       -0.5
13.............  20..................  Orthopedic Surgery...        1,792        1.9        1.9        2.0          223       15.0       14.9       16.2
14.............  82..................  Hematology...........          206       -0.5       -0.5       -0.3          164       -0.6       -0.6       -0.4
15.............  50..................  Nurse Practitioner...        1,444        0.8        0.5        2.1          136        8.7        5.2       27.1
16.............  08..................  Family Practice......        4,825        1.1        0.9        1.6          119       43.6       38.2       62.1
17.............  06..................  Cardiovascular               3,850        0.3        0.3        0.2          113        9.3        9.3        8.6
                                        Disease (Cardiology).
18.............  97..................  Physician Assistant..          879        1.1        1.0        1.4           79       12.3       11.5       15.9
19.............  10..................  Gastroenterology.....          658       -0.2       -0.2        0.0           76       -1.5       -1.6       -0.5
20.............  44..................  Infectious Disease...          177        3.2        3.4       -0.2           71        8.1        8.3       -0.6
21.............  03..................  Allergy/Immunology...          270       -0.3       -0.3       -0.3           66       -1.4       -1.4       -1.3
22.............  25..................  Physical Medicine And          589        1.0        1.0        1.1           57       10.3       10.0       16.0
                                        Rehabilitation.
23.............  98..................  Gynecological/                  85        0.6        0.6        0.6           51        1.0        1.0        2.1
                                        Oncology.
24.............  39..................  Nephrology...........        1,357        0.2        0.2        0.1           50        4.7        4.9        3.3
25.............  07..................  Dermatology..........        3,036        0.0        0.0        0.1           30        4.5        4.4        4.7
26.............  29..................  Pulmonary Disease....          665        0.3        0.2        0.3           28        5.9        6.0        5.4
27.............  46..................  Endocrinology........          410        0.1        0.1        0.1           25        1.7        1.7        1.1
28.............  37..................  Pediatric Medicine...           58       -0.4       -0.6        1.5           21       -1.1       -1.5       81.0
29.............  92..................  Radiation Oncology...        1,489        0.0        0.0        0.0           18       -1.2       -1.3       -0.5
30.............  16..................  Obstetrics/Gynecology          419        0.3        0.3        0.3           17        6.4        6.8        4.5
31.............  09..................  Interventional Pain            390        2.0        2.0        1.8           16       46.9       45.2       82.1
                                        Management.
32.............  72..................  Pain Management......          253        1.7        1.7        1.5           13       33.7       32.6       58.9
33.............  05..................  Anesthesiology.......          343        1.7        1.7        1.6           12       50.2       50.2       47.4
34.............  01..................  General Practice.....          404        1.2        1.0        1.9           11       44.5       42.1       51.9
--------------------------------------------------------------------------------------------------------------------------------------------------------
* Table does not display specialties with less than $10 million in total drug spending. Identification of geographic location was based on the
  performing NPI's ZIP code for the line item. We note that this represented approximately 0.2% of NPI's included in this table and an estimated $2.5
  million in total drug spending.
** This row includes all specialty information for drugs included in the proposed Part B drug payment model.

ii. Changes to ASP Add-On Amount on Hospitals
    Table 3 shows the estimated impact of this proposed rule on 
hospitals. The table includes cancer and children's hospitals, which 
are held harmless to their amount prior to the Balanced Budget Act of 
1997 (BBA) (Pub. L. 105-33). These providers are part of OPPS budget 
neutrality but would not be affected by the proposed Part B Drug 
Payment Model due to their hold harmless status. Overall, Part B drug 
payment to hospitals in the ASP+X phase of the Part B Drug Payment 
Model, phase 1, will decrease by an estimated 2.3 percent within the 
context of ASP based drug payment, and by an estimated 0.3 percent in 
overall hospital spending.
    As discussed in section III.B. of this proposed rule, payment to 
hospitals for low cost drugs is included in the OPPS payment for 
primary services. We likely overestimate the cost of these drugs in our 
OPPS rate setting methodology due to our use of an average CCR in our 
cost estimation methodology. It is important to note that hospitals 
already receive robust payment for low cost drugs under a different 
payment methodology in light of the Table 3 conclusion demonstrating an 
overall -0.3 distribution away from hospitals.
     Column 1: Total Number of Hospitals: The first line in 
Column 1 in Table 3 shows the total number of hospitals in the Part B 
Drug Payment Model (3,204), including designated cancer and children's 
hospitals, for which we were able to use CY 2014 hospital outpatient 
claims data to extract actual CY 2014 ASP based drug payments. We 
excluded hospitals and entities that are not paid under the OPPS. The 
latter entities include CAHs, all-inclusive hospitals, and hospitals 
located in Guam, the U.S. Virgin Islands, Northern Mariana Islands, 
American Samoa, and the State of Maryland. At this time, we are unable 
to calculate a disproportionate share hospital (DSH) variable for 
hospitals that are not also paid under the IPPS, since DSH payments are 
only made to hospitals paid under the IPPS. Hospitals for which we do 
not have a DSH variable are grouped separately and generally include 
freestanding psychiatric hospitals, rehabilitation hospitals, and long-
term care hospitals. We included cancer and children's hospitals 
because they are considered in OPPS budget neutrality. However, section 
1833(t)(7)(D) of the Act permanently holds harmless cancer hospitals 
and children's hospitals to their ``pre-BBA amount'' as specified under 
the terms of the statute, and therefore, they would not be affected by 
these proposed models.
     Column 2: Total Drug Payment at ASP+6 percent (in 
millions): Column 2 shows the total drug payment for separately payable 
drugs included in the model, calculated at the full ASP+6 percent for 
each category based on CY 2014 claims with trimming and

[[Page 13256]]

exclusions as discussed in the proposed rule.
     Column 3: Total Medicare Payment (in millions): Column 3 
displays Medicare payment for hospitals in the model, including both 
the Medicare program and beneficiary share, based on CY 2014 claims 
with proposed trims and exclusions. These payment numbers are included 
to provide context for the Part B Drug Payment Model changes in the 
broader context of overall payment to classes of hospitals.
     Column 4: ASP+2.5 percent + Flat Fee--Revised Payment (in 
millions): Column 4 displays total estimated revised payment under the 
ASP+2.5 percent and flat fee model. The proposed flat fee amount is 
calculated as $16.80, and applies per drug per day administered.
     Column 5: ASP+2.5 percent + Flat Fee--Percent Change: 
Column 5 column displays the estimated impact of the model within the 
context of drug payment, from ASP+6 percent to ASP+2.5 percent + flat 
fee of $16.80. Part B drug payments to hospitals based on the various 
categories are estimated to experience decreases in the range of -2.5 
to -2.0 percent, under this proposed ASP+2.5 percent + flat fee model. 
We note that the proposed changes are budget neutral across Part B drug 
spending hospitals and physician offices.
     Column 6: ASP+2.5 percent + Flat Fee--Estimated Percent 
Change in Overall Spending: Column 6 displays the estimated impact of 
the model within the context of overall Medicare payment to hospitals. 
Under the proposed rule the estimated overall percent change for 
overall Medicare payments to outpatient hospitals ranges from -0.9 
percent to -0.1 percent.

                                          Table 3--Outpatient Impact Analysis of the Part B Drug Payment Model
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                                                                    ASP+2.5 percent + Flat Fee
                                                                            Total drug    Total medicare -----------------------------------------------
           Row                                               Number of      payment at      payment (in       Revised                        Estimated
                                                             hospitals    ASP+6  percent     millions)     payment  (in     % Change in      overall %
                                                                           (in millions)                     millions)     drug spending      change
                                                                     (1)             (2)             (3)             (4)             (5)             (6)
--------------------------------------------------------------------------------------------------------------------------------------------------------
1.......................  ALL PROVIDERS *...............           3,204          $7,209         $50,043          $7,044            -2.3            -0.3
2.......................  URBAN HOSPITALS...............           2,412           6,390          43,887           6,242            -2.3            -0.3
3.......................    LARGE URBAN (GT 1 MILL.)               1,324           3,564          23,730           3,481            -2.3            -0.4
4.......................    OTHER URBAN (LE 1 MILL.)               1,088           2,826          20,157           2,761            -2.3            -0.3
5.......................  RURAL HOSPITALS...............             792             819           6,156             801            -2.2            -0.3
6.......................    SOLE COMMUNITY                           371             491           3,310             480            -2.2            -0.3
7.......................    OTHER RURAL                              421             328           2,845             322            -2.1            -0.2
                          BEDS (URBAN)
8.......................    0-99 BEDS                                592             434           3,668             424            -2.3            -0.3
9.......................    100-199 BEDS                             737             915           8,078             894            -2.2            -0.3
10......................    200-299 BEDS                             450           1,066           8,248           1,042            -2.2            -0.3
11......................    300-499 BEDS                             416           1,716          12,002           1,677            -2.3            -0.3
12......................    500 + BEDS                               217           2,260          11,891           2,206            -2.4            -0.5
                          BEDS (RURAL)
13......................    0-49 BEDS                                289              98             906              96            -2.1            -0.2
14......................    50-100 BEDS                              305             285           2,196             279            -2.1            -0.3
15......................    101-149 BEDS                             111             157           1,180             153            -2.1            -0.3
16......................    150-199 BEDS                              48             111             879             109            -2.1            -0.3
17......................    200 + BEDS                                39             168             995             164            -2.3            -0.4
                          REGION (URBAN)
18......................    NEW ENGLAND                              131             542           3,362             529            -2.3            -0.4
19......................    MIDDLE ATLANTIC                          308             981           5,924             958            -2.4            -0.4
20......................    SOUTH ATLANTIC                           407           1,116           8,069           1,091            -2.3            -0.3
21......................    EAST NORTH CENT                          393           1,106           7,616           1,081            -2.3            -0.3
22......................    EAST SOUTH CENT                          147             456           2,739             446            -2.3            -0.4
23......................    WEST NORTH CENT                          165             541           3,471             529            -2.3            -0.4
24......................    WEST SOUTH CENT                          349             539           4,694             527            -2.3            -0.3
25......................    MOUNTAIN                                 158             356           2,466             347            -2.4            -0.3
26......................    PACIFIC                                  330             751           5,516             733            -2.3            -0.3
27......................    PUERTO RICO                               24               2              30               2            -2.5            -0.2
                          REGION (RURAL)
28......................    NEW ENGLAND                               21              75             401              74            -2.4            -0.4
29......................    MIDDLE ATLANTIC                           56              60             450              58            -2.2            -0.3
30......................    SOUTH ATLANTIC                           123             117             946             114            -2.1            -0.3
31......................    EAST NORTH CENT                          114             143           1,168             140            -2.1            -0.3
32......................    EAST SOUTH CENT                          149             121             959             118            -2.2            -0.3
33......................    WEST NORTH CENT                           95             145             897             142            -2.1            -0.3
34......................    WEST SOUTH CENT                          152              41             676              40            -2.0            -0.1
35......................    MOUNTAIN                                  58              70             366              68            -2.3            -0.4
36......................    PACIFIC                                   24              47             293              46            -2.3            -0.4
                          TEACHING STATUS
37......................    NON-TEACHING                           2,130           2,371          21,298           2,318            -2.2            -0.2
38......................    MINOR                                    712           2,162          15,739           2,112            -2.3            -0.3
39......................    MAJOR                                    362           2,677          13,006           2,613            -2.4            -0.5
                          DSH PATIENT PERCENT
40......................    0                                          9               3              33               3            -2.2            -0.2
41......................    GT 0-0.10                                283             347           3,326             340            -2.3            -0.2
42......................    0.10-0.16                                288             419           4,178             410            -2.2            -0.2

[[Page 13257]]

 
43......................    0.16-0.23                                639           1,063           9,929           1,039            -2.3            -0.2
44......................    0.23-0.35                              1,096           2,863          19,051           2,798            -2.3            -0.3
45......................    GE 0.35                                  774           2,055          12,308           2,007            -2.3            -0.4
46......................    DSH NOT AVAILABLE *                      115             459           1,218             448            -2.4            -0.9
                          TYPE OF OWNERSHIP
47......................    VOLUNTARY                              1,934           5,535          36,228           5,407            -2.3            -0.4
48......................    PROPRIETARY                              799             428           6,753             419            -2.1            -0.1
49......................    GOVERNMENT                               471           1,246           7,062           1,217            -2.3            -0.4
--------------------------------------------------------------------------------------------------------------------------------------------------------
* Complete DSH numbers are not available for providers that are not paid under IPPS, including rehabilitation, psychiatric, and long-term care
  hospitals.

c. Estimated Effect of Part B Drug Payment Model Changes on 
Beneficiaries
    For phase I of this model, we estimate that the aggregate 
beneficiary share within the context of the model will remain unchanged 
as we are establishing the alternative ASP add-on amounts to be budget 
neutral. Coinsurance for most separately payable drugs is set at 20 
percent of the payment rates, while payment for new drugs would also be 
set at 20 percent of payment based on the OPPS and Part B drug 
coinsurance requirements. As noted above, we intend to achieve savings 
through anticipated behavioral response to price changes, although we 
cannot quantify the amount. To the extent that prescribing patterns do 
shift toward lower cost drugs under phase I, in aggregate, 
beneficiaries would benefit along with the Medicare program. We note 
that individual beneficiaries may see increases or decreases in their 
cost-sharing responsibility consistent with any redistribution in 
payment.
    For phase II of this model, commercial experience suggests that 
some savings could be achieved, but we cannot anticipate the magnitude 
of changes in spending as already discussed. To the extent that savings 
ultimately are realized, both the beneficiary and Medicare program 
would benefit. Further, we have proposed in our value-based pricing 
discussion in section III.A. of this proposed rule, consistent with 
cost sharing approaches for Part B drugs, that beneficiary cost sharing 
will not exceed 20 percent of the total model-based payment amount for 
the Part B drug.
d. Alternative Part B Drug Payment Proposed Policies Considered
    Alternatives to the Part B Drug Payment Model changes that we are 
proposing and the reasons for our selected alternatives are discussed 
throughout this proposed rule. In this section, we discuss some of the 
significant issues and the alternatives considered.
    In the context of phase I, we considered several alternative 
structures for the ASP add-on amount. We first considered proposing a 
flat fee with no percent add-on. MedPAC discussed this alternative 
among several in their June 2015 report on Part B drug payment (MedPAC 
Report to the Congress: Medicare and the Health Care Delivery System 
June 2015, pages 65-72). Under such an approach, we would pay for an 
individual drug using baseline ASP amount and redistribute the entire 
+6 percent add-on amount in the form of a flat fee divided equally 
among doses of all drugs. This would shift an even greater portion of 
payments from the high cost drugs to the lower cost drugs even more 
aggressively than the proposed redistribution of ASP+2.5 percent plus a 
flat fee of $16.80. Like MedPAC, we believe that some amount of 
percentage add-on is required to address distribution channel costs 
associated with wholesalers and others between the manufacturer sales 
price and the physician purchase of a drug. Converting the ASP add-on 
payment to a complete flat fee might limit providers' ability to 
purchase expensive drugs as well as overly incentivize payment for the 
low cost drugs. We chose not to propose such a payment structure. We 
also have discussed additional tests of add-on modifications in section 
III.A.3 of this proposed rule. However, we believe that these 
approaches are not sufficiently different from the proposed approach to 
warrant proposal. We also were concerned that additional arms in the 
model could reduce statistical power. We invited comments on the 
decision to test one approach, ASP+2.5 percent + flat fee of $16.80.
    Regarding the proposed Part B VBP model and its component tools, an 
alternative that we had considered was establishing episode of care 
based payments, potentially focused on specific drug treatments. There 
are a variety of ways to remove financial incentives from the 
prescribing decision. Clearly embedding decisions about prescribing 
within a model that pays for care management or rewards changes in 
total cost of care could create incentives for better quality and lower 
cost care. We are testing such an approach under the OCM, which we 
discuss in greater detail under section III. E. of this proposed rule. 
We chose not to explore an episode of care approach under this proposed 
Part B Drug Payment Model because of our immediate interest in 
addressing current incentives in Part B payment for the full range of 
Part B drugs. Rather than proposing an episode of care based payment 
built upon drug treatments, we are soliciting comments on an episode 
approach in section III.D. of this proposed rule for future 
consideration. We also plan to monitor experiences under the OCM 
closely to identify other opportunities for similar models that include 
drug therapies.
e. Accounting Statements and Table
    As required by OMB Circular A-4 (available on the Office of 
Management and Budget Web site at http://www.whitehouse.gov/sites/default/files/omb/assets/regulatory_matters_pdf/a-4.pdf), we have 
prepared an accounting statement to illustrate the estimated impact of 
this proposed rule. The accounting statement, Table 4, illustrates the 
classification of expenditures for providers and

[[Page 13258]]

suppliers paid under the OPPS or MPFS, based on the estimated impacts 
in this proposed rule. Table 4 classifies most estimated impacts as 
transfers.

 Table 4--Accounting Statement: CY 2016 Estimated Hospital OPPS and MPFS
         Transfers as a Result of Changes in This Proposed Rule
------------------------------------------------------------------------
                Category                            Transfers
------------------------------------------------------------------------
Annualized Monetized Transfers.........  $0 million.
From Whom to Whom......................  Federal Government to
                                          outpatient providers,
                                          physicians, other
                                          practitioners and providers
                                          and suppliers who receive OPPS
                                          or MPFS payment.
    Total..............................  $0 million.
------------------------------------------------------------------------

E. Regulatory Flexibility Act (RFA) Analysis

    The RFA requires agencies to analyze options for regulatory relief 
of small entities, if a rule has a significant impact on a substantial 
number of small entities. For purposes of the RFA, most hospitals, 
practitioners, and most other providers and suppliers are small 
entities, either by nonprofit status or by having annual revenues that 
qualify for small business status under the Small Business 
Administration standards. For details, see the Small Business 
Administration's ``Table of Small Business Size Standards'' at http://www.sba.gov/content/table-smallbusiness-size-standards.
    In addition, section 1102(b) of the Act requires us to prepare a 
regulatory impact analysis if a rule may have a significant impact on 
the operations of a substantial number of small rural hospitals. This 
analysis must conform to the provisions of section 603 of the RFA. For 
purposes of section 1102(b) of the Act, we define a small rural 
hospital as a hospital that is located outside of a metropolitan 
statistical area and has 100 or fewer beds. We estimate that this 
proposed rule may have a significant impact on small rural hospitals 
selected for the model. Therefore, we have prepared a regulatory impact 
analysis that includes the effects of the proposed rule on small rural 
hospitals.

F. Unfunded Mandates Reform Act Analysis

    Section 202 of the Unfunded Mandates Reform Act of 1995 (UMRA) also 
requires that agencies assess anticipated costs and benefits before 
issuing any rule whose mandates require spending in any 1 year of $100 
million in 1995 dollars, updated annually for inflation. That threshold 
level is currently approximately $144 million. This proposed rule does 
not mandate any requirements for State, local, or tribal governments, 
or for the private sector.

G. Federalism Analysis

    Executive Order 13132 establishes certain requirements that an 
agency must meet when it issues a proposed rule (and subsequent final 
rule) that imposes substantial direct costs on State and local 
governments, preempts state law, or otherwise has Federalism 
implications. We have examined the OPPS and MPFS provisions in the Part 
B Drug Payment Model included in this proposed rule in accordance with 
Executive Order 13132, Federalism, and have determined that they will 
not have a substantial direct effect on state, local or tribal 
governments, preempt state law, or otherwise have a Federalism 
implication. As reflected in Table 3 of this proposed rule, we estimate 
that OPPS payments to governmental hospitals (including state and local 
governmental hospitals) would decrease payment by 0.4 percent under 
this proposed rule. While we do not know the number of physician 
offices with government ownership, we anticipate that it is small. The 
analyses we have provided in this section of this proposed rule, in 
conjunction with the remainder of this document, demonstrate that this 
proposed rule is consistent with the regulatory philosophy and 
principles identified in Executive Order 12866, the RFA, and section 
1102(b) of the Act.

H. Conclusion

    The changes we are proposing to make in this proposed rule will 
affect all categories of outpatient providers, physicians, 
practitioners, and other suppliers who furnish drugs that we are 
proposing to include in the Part B Drug Payment Model. We estimate that 
the effect of this proposal on physician specialties changes will vary, 
depending on what drugs they furnish and their clinical patterns. Table 
2 demonstrates the estimated impact of the proposal on physician and 
supplier specialties, which for most would result in changes in drug 
payments in the range of -3.3 to 50.2 percent and -2.9 to 3.2 percent 
for overall Medicare payments. We estimate that most classes of 
hospitals paid under the OPPS will experience a minimal decrease in 
overall payment related to the proposed Part B Drug Payment Model. 
Table 3 demonstrates the estimated impact of the proposal, which for 
most hospital categories would result in decreases in payments for 
separately paid drugs in the range of -2.5 to -2.0 percent and -0.9 to 
-0.1 percent for overall Medicare payments. The effect of this proposal 
on an individual hospital, physician, practitioner, or other supplier 
will depend on its individual practice patterns.

List of Subjects in 42 CFR Part 511

    Administrative practice and procedure, Health facilities, Medicare, 
Reporting and recordkeeping requirements.

    For the reasons set forth in the preamble, under the authority at 
section 1115A of the Social Security Act, the Centers for Medicare & 
Medicaid Services proposes to amend 42 CFR Chapter IV by adding Part 
511 to Subchapter H to read as follows:

PART 511--PART B DRUG PAYMENT MODEL

Sec.
Subpart A--General Provisions
511.1 Basis and scope.
511.2 Abbreviations and definitions.
Subpart B--Part B Drug Payment Model Participants
511.100 Included providers and suppliers.
511.105 Geographic areas.
Subpart C--Scope
511.200 Part B drugs and related fees included in the model.
511.205 Model structure and duration.
Subpart D--Pricing and Payment
511.300 Determination of model-based ASP payment (Phase I).
511.305 Determination of VBP tools (Phase II).
511.315 Pre-appeals Payment Exceptions Review Process.

[[Page 13259]]

Subpart E--Waivers
511.400 Waiver of certain ASP payment methodologies, requirements, 
and definitions for certain Medicare Part B drugs.
511.405 Waiver of other Part B drug payment methodologies.
511.410 Waiver of CAP.

    Authority:  Secs. 1102, 1115A, and 1871 of the Social Security 
Act (42 U.S.C. 1302, 1315(a), and 1395hh).

Subpart A--General Provisions


Sec.  511.1  Basis and scope.

    (a) Basis. This part implements the test of the Part B Drug Payment 
Model under section 1115A of the Act. Except as specifically noted in 
this part, the regulations under this part must not be construed to 
affect the payment, coverage, program integrity, and other requirements 
(such as those in parts 412 and 482 of this chapter) that apply to 
providers and suppliers under this chapter.
    (b) Scope. This part sets forth the following:
    (1) The participants in the model.
    (2) The drugs being tested in the model.
    (3) The methodologies for pricing and payment under the model.
    (4) Safeguards to ensure preservation of beneficiary choice and 
beneficiary notification.


Sec.  511.2  Abbreviations and definitions.

    For the purposes of this part, the following definitions are 
applicable:
    AMP stands for Average Manufacturer Price.
    ASP stands for Average Sales Price.
    ASP drug pricing files means the drug pricing files that contain 
the payment amounts that contractors use to pay for Part B covered 
drugs. They are updated quarterly and each year's files are available 
to the public through links at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Part-B-Drugs/McrPartBDrugAvgSalesPrice/index.html.
    AWP stands for Average Wholesale Price.
    CAP stands for Competitive Acquisition Program.
    CCN stands for CMS certification number.
    DME stands for Durable Medical Equipment.
    FFS stands for fee for service.
    Hospital means a hospital as specified in section 1861(e) of the 
Act.
    MAC stands for Medicare Administrative Contractor.
    Maryland All-Payer Model means the CMS initiative to modernize 
Maryland's unique all-payer rate-setting system for hospital services 
that will improve patient health and reduce costs.
    NCD which stands for National Coverage Determination.
    NPI stands for National Provider Identifier.
    OIG stands for the Department of Health and Human Services', Office 
of the Inspector General.
    OPPS stands for Outpatient Prospective Payment System under section 
42 CFR part 419.
    OPD which means outpatient department.
    Participant means any provider or supplier operating in an 
identified geographic area.
    PBM stands for pharmacy benefit manager.
    PBPM stands for per-beneficiary-per-month.
    PCSA stands for primary care service area as defined and updated 
under contract to the Health Resources and Services Administration 
(HRSA) by the Dartmouth Institute.
    Provider has the same meaning as a ``provider of services'' under 
section 1861(u) of the Act and includes a hospital, critical access 
hospital, skilled nursing facility, comprehensive outpatient 
rehabilitation facility, home health agency, or hospice program.
    Supplier has the same meaning as defined in section 1861(e) of the 
Act and unless the context otherwise requires, a physician or other 
practitioner, a facility, or other entity (other than a provider of 
services) that furnishes items or services under this title.
    TIN stands for Taxpayer Identification Number.
    United States means the fifty states, the District of Columbia, the 
Commonwealth of Puerto Rico, the Virgin Islands, Guam, American Samoa, 
and the Northern Mariana Islands (42 CFR 400.200).
    VBP stands for value-based purchasing, which refers to a suite of 
tools emphasizing beneficiary outcomes, education and feedback, and 
price used to manage a prescription drug benefit.
    VBP contractor means the entity with which CMS will contract to 
assist in implementation of the tools included in phase II of the Part 
B Drug Payment Model
    WAC stands for wholesale acquisition cost.

Subpart B--Part B Drug Payment Model Program Participants


Sec.  511.100  Included providers and suppliers.

    General. This model requires mandatory participation for the 
providers and suppliers (including physicians) who furnish Part B drugs 
that are included in the model if the provider or supplier is located 
(or services are billed) in the geographic areas that are selected for 
inclusion in the model. This includes physicians, DME suppliers 
(including certain pharmacies that furnish Part B drugs), and hospital 
outpatient departments that furnish and bill for Part B drugs.


Sec.  511.105  Geographic areas.

    (a) General. The geographic areas for inclusion in the Part B Drug 
Payment Model are obtained through stratified random assignment of 
PCSAs to each model arm.
    (b) Exclusions. PCSAs with any ZIP code located in the state of 
Maryland are excluded from this model.

Subpart C--Scope


Sec.  511.200  Part B drugs and related fees included in the model.

    (a) General: The model includes separately paid drugs and 
biologicals under Medicare Part B including those with ASP and WAC 
based payment amounts, AMP-based substitutions of ASP payment amounts, 
and certain drug-related fees.
    (b) Drugs, biologicals, and fees subject to inclusion. (1) Single 
source drugs, biologicals, multiple source drugs, and biosimilars 
receiving distinct and separate payments in accordance with section 
1842(o) of the Act, including drugs and biologicals paid under sections 
1847A, 1847B or 1833(t) of the Act,.
    (2) Specified fees paid in accordance with section 1842(o) of the 
Act, including those paid for immunosuppressive drugs, inhalation drugs 
and clotting factors under sections 1842(o)(6), 1842(o)(2), 1842(o)(5) 
of the Act.
    (c) Drugs and biologicals subject to exclusion. (1) MAC/Contractor 
priced drugs and biologicals that do not appear on the quarterly 
national ASP Drug Pricing Files.
    (2) ESRD drugs paid under the authority in section 1881 of the Act.
    (3) Influenza, pneumococcal pneumonia and Hepatitis B vaccines paid 
under the benefit described in section 1862(s)(10) of the Act.
    (4) OPPS drugs that receive packaged payment.
    (5) Blood and blood products.


Sec.  511.205  Model structure and duration.

    (a) General. There will be 3 different arms and one control in this 
model.
    (b) Random assignment. Geographic areas are randomly assigned 
within six strata to one of three model arms or control.

[[Page 13260]]

    (c) Model arms defined. The model arms contain the following ASP 
payment for separately paid drugs under the Part B benefit or hospital 
outpatient prospective payment system and application of a suite of 
value-based purchasing tools.
    (1) ASP+6 percent [control].
    (2) ASP+2.5 percent plus a flat fee.
    (3) Value-based purchasing.
    (4) ASP+2.5 plus a flat fee and value-based purchasing.
    (d) Duration and phased in implementation. (1) The duration of the 
model is 5 years from implementation. Implementation will be on or 
after August 1, 2016.
    (2) ASP add-on will be tested in phases I and II and will be 
implemented no sooner than 60 days after the rule is finalized. VBP 
arms are tested in conjunction with ASP add-on in phase II. Phase II 
will be implemented on or after January 1, 2017.
    (e) Use of contractor. One or more contractors will be utilized to 
implement CMS approved VBP tools described in Sec.  511.305(b).

Subpart D--Pricing and payment


Sec.  511.300  Determination of model-based ASP payment (Phase I).

    (a) General. The ASP portion of the model encompasses testing of 
modifications to the 6 percent add-on for Part B drug payments. ASP 
model based payment rates are determined based upon values published in 
the quarterly ASP Drug Pricing Files per Sec.  414.904 of this chapter, 
except the 6 percent add-on is replaced with a fixed percentage of 2.5 
percent and a flat fee. The add-on is based on the total add-on payment 
for all Part B drugs that are included in the model for the most 
recently available complete set of Part B calendar year claims. For 
2016, alternative ASP pricing add-on under phase I of the model will be 
equal to aggregate add-on spending in a model CY 2014 claims data set.
    (b) Payment updates. (1) The flat fee will be updated every 
calendar year based on the percentage increase in the consumer price 
index for medical care.
    (2) The ASP+0 portion of the model payment rates are updated 
quarterly concurrently with determinations made under Sec.  414.904 of 
this chapter.
    (c) Special circumstances--(1) Shortages. For drugs that are 
reported by the FDA to be in short supply at the time that ASP payment 
amounts are being finalized for the next quarter, payments are made 
using the amount determined under section 1847A of the Act.
    (2) AMP-based price substitutions: For HCPCS codes with AMP-based 
substitutions determined under Sec.  414.904(d)(3) of this chapter, the 
lower of the quarter's AMP-based substitution or the model ASP amount 
as determined under Sec.  511.300 will be used.


Sec.  511.305  Determination of VBP tools (phase II).

    (a) General. The model includes a VBP program which uses the tools 
approved for applicable Part B drugs as noted in paragraph (b) of this 
section.
    (b) Approved tools. The following tools will be available to 
implement VBP:
    (1) Value-based pricing strategies. Value-based pricing strategies 
include:
    (i) Reference pricing. Reference pricing sets a benchmark rate 
based on the current payment rate for a drug or drugs in a class that 
may be used as the basis of payment for all other therapeutically 
similar drug products in a group. Medicare providers and suppliers may 
not bill the beneficiary for any difference in pricing between the 
benchmark rate and the statutory payment rate or the provider or 
supplier's charge for the drug prescribed.
    (ii) Indications-based pricing. A drug's price may be adjusted 
based on the product's safety and cost-effectiveness for a specific 
indication as evidenced by published studies and reviews or evidence-
based clinical practice guidelines that are competent and reliable.
    (iii) Outcomes-based risk-sharing agreements. CMS may enter into 
outcomes-based risk-sharing contracts with pharmaceutical manufacturers 
to link price adjustments for a drug or drugs to clearly defined 
patient health outcome goals. CMS may base these goals on outcome 
measures submitted as part of a package of competent and reliable 
scientific evidence regarding the clinical value of a drug by the 
manufacturer.
    (iv) Discounting or eliminating patient coinsurance amounts. 
Beneficiary cost-sharing may be reduced for Part B drugs deemed to be 
high in value. Any reductions in beneficiary cost-sharing may not 
change the overall payment amount.
    (2) Clinical decision support. Clinical decision support policies 
are developed based on one or more of the following: competent and 
reliable scientific evidence, clinical guidelines, and Part B claims 
data.
    (c) Beneficiary cost-sharing. Beneficiary cost-sharing must not 
exceed 20 percent of the total model-based payment amount for the 
applicable Part B drug.
    (d) Public feedback. CMS will solicit public input for 30 days on 
the specific application of a proposed VBP tool.
    (e) Public notification. CMS will notify the public by posting on 
the CMS Web site of application of any VBP tools 45 days before 
implementation.


Sec.  511.315  Pre-appeals Payment Exceptions Review Process.

    (a) General. This process precedes the current appeals process in 
42 CFR part 405 subpart I, and allows providers, suppliers, and 
beneficiaries the option to dispute pricing decisions, made under Sec.  
511.305 (phase II of the model) before the claim is submitted.
    (b) Payment Exceptions Review Process. This process will be 
conducted by the VBP contractor. A provider, supplier, or beneficiary 
may file a payment exception request regarding a pricing policy for a 
drug furnished to a beneficiary.
    (c) Requirements of the Payment Exceptions Review Process. The 
provider, supplier, or beneficiary may submit pertinent information to 
the VBP contractor with the exceptions request to explain why a payment 
exception is appropriate, given the beneficiary's circumstances.
    (d) Rendering a decision. A decision regarding a request for a 
payment exception shall be issued by the VBP contractor within 5 
business days of receipt of the request.
    (e) Current appeals process. The provider, supplier, or beneficiary 
retain their right to utilize the current appeals process, regardless 
of whether they first utilize the Pre-Appeals process, once they have 
submitted a claim.

Subpart E--Waivers


Sec.  511.400  Waiver of certain ASP payment methodologies, 
requirements, and definitions for certain Medicare Part B drugs.

    (a) Waiver of 6 percent add-on percentage for certain Medicare Part 
B drugs. We waive portions of section 1847A (b) (1) of the Act which 
specify the 6 percent add-on percentage for payments determined under 
section 1847A of the Act.
    (b) Waiver of how the volume-weighted ASP is to be used in the 
calculation of average sales price. We waive portions of section 
1847A(b)(6) of the Act, which specifies how the volume-weighted average 
sales price is to be used in the calculation of ASP.
    (c) Waiver of definitions of single source drug or biological, 
multiple source drug and biosimilar. We waive definitions of single 
source drug or biological, multiple source drug and

[[Page 13261]]

biosimilar in section 1847A (c) of the Act
    (d) Waiver of the NDC assignment requirement. We waive provisions 
in section 1847A(b) of the Act that require the assignment of NDCs to 
HCPCS codes based on whether a drug meets the definition of single 
source drug, multiple source drug, biological or biosimilar and to base 
the determination of the ASP (that is, the ASP+0 percent) on the NDCs 
from this assignment.
    (e) Waiver of OPPS requirement to pay for drugs acquisition cost 
plus an overhead adjustment or by default, to ASP+6 percent. We waive 
section 1833 (t)(14) of the Act which specifies that the Outpatient 
Prospective Payment System pays for certain outpatient drugs at 
acquisition cost plus an adjustment for overhead and handling, or by 
default, to ASP+6 percent.
    (f) Waiver of OPPS pass through payment for outpatient drugs. We 
waive section 1833(t)(6) of the Act, which requires the Secretary to 
furnish additional pass through payments for certain drugs that are 
covered under the OPD service (group of services).


Sec.  511.405  Waiver of other Part B drug payment methodologies.

    (a) Waiver of specified payment methodology for certain infusion 
drugs. We propose to waive section 1842 (o)(1)(D) of the Act, which 
requires that infusion drugs furnished through an item of DME be paid 
at 95 percent of the AWP in effect on October 1, 2003.
    (b) Waiver of specified fees for immunosuppressive drugs, 
inhalation drugs and clotting factors. We waive sections 1842(o)(6), 
1842(o)(2), 1842(o)(5) of the Act that state the immunosuppressive drug 
supplying fees, inhalation drug dispensing fees and the clotting factor 
furnishing fees.


Sec.  511.410  Waiver of CAP.

    We waive section 1847B of the Act and portions of Sec. Sec.  
414.906 through 414.920 of this chapter which implement the Part B drug 
competitive acquisition program (CAP).

    Dated: February 24, 2016.
Andrew M. Slavitt,
Acting Administrator, Centers for Medicare & Medicaid Services.
    Dated: February 26, 2016.

Sylvia M. Burwell,
Secretary, Department of Health and Human Services.
[FR Doc. 2016-05459 Filed 3-8-16; 4:15 pm]
 BILLING CODE P



                                                                                                           Vol. 81                           Friday,
                                                                                                           No. 48                            March 11, 2016




                                                                                                           Part V


                                                                                                           Department of Health and Human Services
                                                                                                           Centers for Medicare & Medicaid Services
                                                                                                           42 CFR Part 511
                                                                                                           Medicare Program; Part B Drug Payment Model; Proposed Rule
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                                                      13230                     Federal Register / Vol. 81, No. 48 / Friday, March 11, 2016 / Proposed Rules

                                                      DEPARTMENT OF HEALTH AND                                   Please allow sufficient time for mailed              Comments received timely will also
                                                      HUMAN SERVICES                                          comments to be received before the                    be available for public inspection as
                                                                                                              close of the comment period.                          they are received, generally beginning
                                                      Centers for Medicare & Medicaid                            3. By express or overnight mail. You               approximately 3 weeks after publication
                                                      Services                                                may send written comments to the                      of a document, at the headquarters of
                                                                                                              following address ONLY: Centers for                   the Centers for Medicare & Medicaid
                                                      42 CFR Part 511                                         Medicare & Medicaid Services,                         Services, 7500 Security Boulevard,
                                                                                                              Department of Health and Human                        Baltimore, Maryland 21244, Monday
                                                      [CMS–1670–P]                                            Services, Attention: CMS–1670–P, Mail                 through Friday of each week from 8:30
                                                                                                              Stop C4–26–05, 7500 Security                          a.m. to 4 p.m. To schedule an
                                                                                                              Boulevard, Baltimore, MD 21244–1850.                  appointment to view public comments,
                                                      RIN 0938–AS85                                              4. By hand or courier. Alternatively,              phone 1–800–743–3951.
                                                      Medicare Program; Part B Drug                           you may deliver (by hand or courier)
                                                                                                              your written comments ONLY to the                     Table of Contents
                                                      Payment Model
                                                                                                              following addresses prior to the close of             I. Executive Summary
                                                      AGENCY:  Centers for Medicare &                         the comment period:                                      A. Purpose
                                                      Medicaid Services (CMS), HHS.                              a. For delivery in Washington, DC—                    B. Summary of Major Provisions
                                                                                                              Centers for Medicare & Medicaid                          1. Model Overview
                                                      ACTION: Proposed rule.                                                                                           2. Model Scope
                                                                                                              Services, Department of Health and
                                                                                                              Human Services, Room 445–G, Hubert                       3. Model Payment
                                                      SUMMARY:    This proposed rule discusses                                                                         4. Overlap With Ongoing CMS Efforts
                                                      the implementation of a new Medicare                    H. Humphrey Building, 200                                C. Summary of Economic Effects
                                                      payment model under section 1115A of                    Independence Avenue SW.,                              II. Participation
                                                      the Social Security Act (the Act). We                   Washington, DC 20201.                                    A. Background
                                                      propose the Part B Drug Payment Model                      (Because access to the interior of the                1. Drugs and Biologicals Paid Under Part
                                                      as a two-phase model that would test                    Hubert H. Humphrey Building is not                          B
                                                      whether alternative drug payment                        readily available to persons without                     2. Types of Providers and Suppliers
                                                      designs will lead to a reduction in                     Federal government identification,                          Furnishing Part B Drugs
                                                                                                              commenters are encouraged to leave                       B. Proposed Drugs Paid Under Part B To
                                                      Medicare expenditures, while                                                                                        Be Included in the Model
                                                      preserving or enhancing the quality of                  their comments in the CMS drop slots
                                                                                                              located in the main lobby of the                         C. Proposed Participants, Selected
                                                      care provided to Medicare beneficiaries.                                                                            Geographic Areas, and Sampling
                                                      The first phase would involve changing                  building. A stamp-in clock is available                  1. Overview and Options for Geographic
                                                      the 6 percent add-on to Average Sales                   for persons wishing to retain a proof of                    Selection
                                                      Price (ASP) that we use to make drug                    filing by stamping in and retaining an                   2. PCSA Selection
                                                      payments under Part B to 2.5 percent                    extra copy of the comments being filed.)              III. Payment Methodology
                                                      plus a flat fee (in a budget neutral                       b. For delivery in Baltimore, MD—                     A . Phase I: Proposed Modifications to the
                                                                                                              Centers for Medicare & Medicaid                             ASP Add-On Percentage for Drugs Paid
                                                      manner). The second phase would                                                                                     Under Part B
                                                                                                              Services, Department of Health and
                                                      implement value-based purchasing tools                                                                           1. Methodology for Creating the Modeling
                                                                                                              Human Services, 7500 Security
                                                      similar to those employed by                                                                                        Data Set
                                                                                                              Boulevard, Baltimore, MD 21244–1850.
                                                      commercial health plans, pharmacy                          If you intend to deliver your                         2. Add-On Proposal: Percentage Plus a Flat
                                                      benefit managers, hospitals, and other                  comments to the Baltimore address, call
                                                                                                                                                                          Fee
                                                      entities that manage health benefits and                                                                         3. Comment Solicitation: Additional Tests
                                                                                                              telephone number (410) 786–7195 in                          of Add-On Modifications
                                                      drug utilization. We believe this model                 advance to schedule your arrival with
                                                      will further our goals of smarter, that is,                                                                      B. Phase II: Applying Value-Based
                                                                                                              one of our staff members.                                   Purchasing Tools
                                                      more efficient spending on quality care                    Comments erroneously mailed to the                    1. Introduction
                                                      for Medicare beneficiaries.                             addresses indicated as appropriate for                   2. Value-Based Pricing Strategies
                                                      DATES: To be assured consideration,                     hand or courier delivery may be delayed                  3. Development of a Clinical Decision
                                                      comments must be received at one of                     and received after the comment period.                      Support Tool
                                                      the addresses provided below, no later                     For information on viewing public                     C. Comment Solicitation
                                                      than 5 p.m. on May 9, 2016.                                                                                      1. Creating Value-Based Purchasing
                                                                                                              comments, see the beginning of the
                                                                                                                                                                          Arrangements Directly With
                                                      ADDRESSES: In commenting, please refer                  SUPPLEMENTARY INFORMATION section.                          Manufacturers: Solicitation of Comments
                                                      to file code CMS–1670–P. Because of                     FOR FURTHER INFORMATION CONTACT:                         2. The Part B Drug Competitive Acquisition
                                                      staff and resource limitations, we cannot               Susan Janeczko (410) 786–4529 or                            Program (CAP): Solicitation of
                                                      accept comments by facsimile (FAX)                      Jasmine McKenzie (410) 786–8102.                            Comments
                                                      transmission.                                           SUPPLEMENTARY INFORMATION:                               3. Episode-Based or Bundled Pricing
                                                         You may submit comments in one of                       Inspection of Public Comments: All                       Approach: Solicitation of Comments
                                                                                                                                                                       D. Interactions With Other Payment
                                                      four ways (please choose only one of the                comments received before the close of                       Provisions
                                                      ways listed):                                           the comment period are available for                     1. Overview
                                                         1. Electronically. You may submit                    viewing by the public, including any                     2. Most Shared Savings Programs and
                                                      electronic comments on this regulation                  personally identifiable or confidential                     Models
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      to http://www.regulations.gov. Follow                   business information that is included in                 3. Oncology Care Model
                                                      the ‘‘Submit a comment’’ instructions.                  a comment. We post all comments                          4. IVIG Demonstration
                                                         2. By regular mail. You may mail                     received before the close of the                      IV. Provider Supplier, and Beneficiary
                                                      written comments to the following                       comment period on the following Web                         Protections
                                                                                                                                                                       A. Payment Exception Review Process
                                                      address ONLY: Centers for Medicare &                    site as soon as possible after they have                 B. Current Appeals Procedure
                                                      Medicaid Services, Department of                        been received: http://                                V. Proposed Waivers of Medicare Program
                                                      Health and Human Services, Attention:                   www.regulations.gov. Follow the search                      Rules
                                                      CMS–1670–P, P.O. Box 8016, Baltimore,                   instructions on that Web site to view                 VI. Evaluation
                                                      MD 21244–8016.                                          public comments.                                      VII. Collection of Information Requirements



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                                                                                Federal Register / Vol. 81, No. 48 / Friday, March 11, 2016 / Proposed Rules                                          13231

                                                      VIII. Response to Comments                              biologicals paid under the Part B                     and healthier people by paying
                                                      IX. Regulatory Impact Analysis                          program, as well as biosimilars.                      providers and suppliers for what works,
                                                        A. Introduction                                       Currently covered Part B drugs fall into              unlocking health care data, and finding
                                                        B. Statement of Need
                                                                                                              three general categories: drugs furnished             new ways to coordinate and integrate
                                                        C. Overall Impacts for the Proposed Part B
                                                           Drug Payment Model                                 incident to a physician’s services, drugs             care to improve quality. (http://
                                                        D. Detailed Economic Analyses                         administered via a covered item of                    www.hhs.gov/about/news/2015/01/26/
                                                        E. Regulatory Flexibility Act (RFA)                   durable medical equipment (DME), and                  better-smarter-healthier-in-historic-
                                                           Analysis                                           other drugs specified by statute. Based               announcement-hhs-sets-clear-goals-
                                                        F. Unfunded Mandates Reform Act                       on our claims data, we estimate total                 and-timeline-for-shifting-medicare-
                                                           Analysis                                           Part B payments for separately paid                   reimbursements-from-volume-to-
                                                        G. Federalism Analysis                                drugs in 2015 were $22 billion (this                  value.html#).
                                                        H. Conclusion                                         includes cost sharing). In 2007, the total
                                                      Regulation Text                                                                                               B. Summary of Major Provisions
                                                                                                              payments were $11 billion; the average
                                                      Acronyms                                                annual increase since 2007 has been 8.6               1. Model Overview
                                                        Because of the many terms to which                    percent.1 This significant growth has                    Medicare pays for most drugs that are
                                                      we refer by acronym in this proposed                    largely been driven by spending on                    administered in a physician’s office or
                                                      rule, we are listing these abbreviations                separately paid drugs in the hospital                 the hospital outpatient department at
                                                      and their corresponding terms in                        outpatient setting, which more than                   ASP+ 6 percent as described in section
                                                                                                              doubled between 2007 and 2015, from                   1847A of the Act. The payment for these
                                                      alphabetical order below:
                                                                                                              $3 billion to $8 billion respectively.                drugs does not include costs for
                                                      AHRQ Agency for Healthcare Research and                   The purpose of this proposed rule is
                                                        Quality                                                                                                     administering the drug to a patient (for
                                                                                                              to test a new payment model called the
                                                      AMP Average Manufacturer Price                                                                                example by injection or infusion);
                                                                                                              Part B Drug Payment Model under the
                                                      ASP Average Sales Price                                                                                       payments for these physician and
                                                                                                              authority of the Center for Medicare and
                                                      AWP Average Wholesale Price                                                                                   hospital services are made separately,
                                                      BBA Balanced Budget Act of 1997, Pub. L.                Medicaid Innovation (Innovation
                                                                                                                                                                    and payment amounts are determined
                                                        105–33                                                Center). Section 1115A of the Act
                                                                                                                                                                    under the physician fee schedule (PFS)
                                                      BPCI Bundled Payments for Care                          authorizes the Innovation Center to test
                                                                                                                                                                    (https://www.cms.gov/Medicare/
                                                        Improvement                                           innovative payment and service
                                                                                                                                                                    Medicare-Fee-for-Service-Payment/
                                                      CAP Competitive Acquisition Program                     delivery models to reduce program
                                                      CDS Clinical Decision Support                           expenditures while preserving or                      PhysicianFeeSched/index.html) and the
                                                      CCN CMS Certification Number                            enhancing the quality of care furnished               Hospital Outpatient Prospective
                                                      CJR Comprehensive Joint Replacement                     to Medicare, Medicaid, and Children’s                 Payment System (OPPS) (https://
                                                      CMS Centers for Medicare & Medicaid
                                                                                                              Health Insurance Program beneficiaries.               www.cms.gov/Medicare/Medicare-Fee-
                                                        Services                                                                                                    for-Service-Payment/
                                                      CPI Consumer Price Index                                We propose to exercise this authority to
                                                                                                              test whether the alternative drug                     HospitalOutpatientPPS/index.html).
                                                      CY Calendar Year                                                                                              The ASP payment amount determined
                                                      DME Durable Medical Equipment                           payment designs discussed in this
                                                      ESRD End Stage Renal Disease                            proposed rule will lead to spending our               under section 1847A of the Act reflects
                                                      FFS Fee-for-Service                                     dollars more wisely for drugs paid                    a weighted average sales price for all
                                                      GAO U.S. Government Accountability                      under Part B, that is, a reduction in                 National Drug Codes (NDCs) that are
                                                        Office                                                Medicare expenditures, while                          assigned to a Healthcare Common
                                                      IgG Immunoglobulin G                                    preserving or enhancing the quality of                Procedure Coding System (HCPCS)
                                                      IVIG Intravenous Immune Globulin                                                                              code. The ASP payment amount does
                                                      HCPCS Healthcare Common Procedure
                                                                                                              care provided to Medicare beneficiaries.
                                                                                                                Many Part B drugs, including drugs                  not vary based on the price an
                                                        Coding System                                                                                               individual provider or supplier pays to
                                                      MAC Medicare Administrative Contractor                  furnished in the hospital outpatient
                                                      MedPAC Medicare Payment Advisory                        setting, are paid using the methodology               acquire the drug. Payment
                                                        Commission                                            in section 1847A of the Act. In most                  determinations under the methodology
                                                      NDC National Drug Code                                  cases, this means payment is based on                 in section 1847A of the Act also do not
                                                      NOC Not Otherwise Classified                            the Average Sales Price (ASP) plus a                  take into account the effectiveness of a
                                                      NPI National Provider Identifier                        statutorily mandated 6 percent add-on.                particular drug. The payment
                                                      OIG Department of Health and Human                      Under this methodology, expensive                     determinations also do not consider the
                                                        Services’ Office of the Inspector General             drugs receive higher add-on payment                   cost of clinically comparable drugs that
                                                      OCM Oncology Care Model                                                                                       may be priced exclusively in other
                                                      OPPS Outpatient Prospective Payment
                                                                                                              amounts than inexpensive drugs while
                                                                                                              there are no clear incentives for                     HCPCS codes. The ASP methodology
                                                        System
                                                      OPD Outpatient Department                               providing high value care, including                  may encourage the use of more
                                                      PBM Pharmacy Benefit Manager                            drug therapy. We propose a two phase                  expensive drugs because the 6 percent
                                                      PBPM Per-beneficiary-per-month                          model to test whether alternative                     add-on generates more revenue for more
                                                      PCSA Primary Care Service Area                          payment approaches for Part B drugs                   expensive drugs (see MedPAC Report to
                                                      PFS Physician Fee Schedule                              improve value (relative to current drug               the Congress: Medicare and the Health
                                                      TIN Taxpayer identification number                      payment approaches under Part B),                     Care Delivery System June 2015, pages
                                                      VBP Value-Based Purchasing                              improve outcomes and reduce                           65–72). The ASP is calculated quarterly
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                                                      WAC Wholesale Acquisition Cost                          expenditures for Part B drugs. This                   using manufacturer-submitted data on
                                                      I. Executive Summary                                    model’s goals are also consistent with                sales to all purchasers (with limited
                                                                                                              the Administration’s broader strategy to              exceptions as articulated in section
                                                      A. Purpose                                              encourage better care, smarter spending,              1847A(c)(2) of the Act, such as sales at
                                                        Part B includes a limited drug benefit                                                                      nominal charge and sales exempt from
                                                      that encompasses drugs and biologicals                    1 GAO Report MEDICARE PART B Expenditures
                                                                                                                                                                    best price) with manufacturers’ rebates,
                                                                                                              for New Drugs Concentrated among a Few Drugs,         discounts, and price concessions
                                                      described in section 1861(t) of the Act.                and Most Were Costly for Beneficiaries (GAO–16–
                                                      For the purposes of this proposed rule,                 12) October 2015. http://www.gao.gov/products/        included in the ASP calculation. The
                                                      the term ‘‘drugs’’ refers to drugs and                  GAO-16-12                                             statute does not identify a reason for the


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                                                      13232                     Federal Register / Vol. 81, No. 48 / Friday, March 11, 2016 / Proposed Rules

                                                      additional 6 percent add-on above ASP.                  purchasing arrangements with                          I, providers and suppliers that
                                                      As noted in the MedPAC report (and by                   manufacturers under Medicare fee-for-                 participate in the model would receive
                                                      sources cited in the report), the add-on                service (FFS) payment for drugs; on                   payments with either the existing
                                                      is needed to account for handling and                   whether we should consider                            statutory add-on amount or payments
                                                      overhead costs and/or to account for                    implementing an updated version of the                with the modified add-on amount.
                                                      additional mark-up in distribution                      Competitive Acquisition Program (CAP);                Phase II would begin no sooner than
                                                      channels that are not captured in the                   and whether we should pursue a more                   January 1, 2017. When phase II begins,
                                                      manufacturer reported ASP.                              bundled or episode-based approach that                providers and suppliers selected to
                                                         The following paragraphs present a                   moves beyond an FFS payment                           participate in the VBP arms would begin
                                                      brief summary of our proposals.                         structure. We would consider all                      receiving VBP-based payments for
                                                      Additional details are discussed later in               comments on these two solicitations for               certain drugs and would participate in
                                                      this proposed rule. We propose two                      future rulemaking.                                    other VBP activities, such as feedback
                                                      phases for the Part B Drug Payment                                                                            on prescribing patterns. Providers and
                                                      Model. In phase I of the model, we                      2. Model Scope
                                                                                                                                                                    suppliers in geographic areas selected
                                                      propose implementing a variation to the                    Under the model, we propose that                   for one arm of the model will
                                                      add-on component of Part B drug                         providers and suppliers, in a selected                experience both phase I pricing and
                                                      payment methodology in different                        geographic area, who are furnishing a                 phase II VBP pricing. We expect that
                                                      geographic areas of the country. We                     covered and separately paid Part B drug               phase II could take several years to fully
                                                      would test whether the proposed                         that is included in this model, would                 implement. Our goal is to have both
                                                      alternative approach for the ASP add-on                 receive alternative Part B drug                       phases of the model in full operation
                                                      payment, which is discussed later in                    payments. Within such selected areas,                 during the last three years of the
                                                      this proposed rule, would strengthen                    examples of providers and suppliers                   proposed five year duration to fully
                                                      the financial incentive for physicians to               that Medicare commonly pays for Part B                evaluate changes and collect sufficient
                                                      choose higher value drugs. To eliminate                 drugs include: physicians, durable                    data.
                                                      selection bias, we are proposing to                     medical equipment (DME) suppliers
                                                      require participation for all providers                 (including certain pharmacies that                    3. Model Payment
                                                      and suppliers furnishing any Part B                     furnish Part B drugs), and hospital                      In section III of this proposed rule, we
                                                      drugs included in the Part B Drug                       outpatient departments that furnish and               propose to test an alternative to the ASP
                                                      Payment Model who are located in the                    bill for Part B drugs. There will be no               add-on payment in phase I of the model.
                                                      geographic areas that are selected for                  specific enrollment activities for                    We would assign providers and
                                                      inclusion in the model. We propose to                   providers, suppliers, or beneficiaries in             suppliers to the alternative ASP add-on
                                                      implement this first phase of the overall               this model; the furnishing of Part B                  approach or to the control group. We
                                                      model no earlier than 60 days following                 drugs in a particular geographic area                 propose to use ASP+2.5 percent plus a
                                                      display of the final rule. While this                   will determine participation. We                      flat fee as the alternative add-on
                                                      approach addresses the add-on to the                    propose to require all providers and                  amount; however, we also discuss and
                                                      manufacturer’s ASP, it does not directly                suppliers to participate in the model if              solicit comments on whether an
                                                      address the manufacturer’s ASP, which                   furnishing Part B drugs included in the               additional approach, such as ASP + a
                                                      is a more significant driver of drug                    model and located in a geographic area                tiered percentage add-on amount should
                                                      expenditures than the add-on payment                    that is chosen for participation in the               be tested. We invite comment on
                                                      amount for Part B drugs. For a given                    model. We propose to determine a                      whether these two approaches are
                                                      HCPCS code, the add-on represents                       provider or supplier’s specific                       sufficiently different to warrant separate
                                                      about 6 percent of an ASP-based Part B                  geographic location based on the service              arms under this model. The aggregate
                                                      drug payment; the remaining 94 percent                  location ZIP code for physician drug                  value of the phase I add-on that is paid
                                                      of the payment is calculated from the                   claims, the beneficiary ZIP code for                  each year is proposed to be budget
                                                      manufacturers’ reported ASP data.                       DME supply claims, and the ZIP code                   neutral meaning that the initial total
                                                         In phase II of this model, we propose                for the address associated with the CMS               payments under the model will be based
                                                      to implement value-based purchasing                     certification number (CCN) for hospital               on the most recently available calendar
                                                      (VBP) in conjunction with the phase I                   outpatient claims. We propose to use                  year claim’s total Part B drug payment
                                                      variation of the ASP add-on payment                     Primary Care Service Areas (PCSAs) as                 amount for separately paid drugs and
                                                      amount for drugs paid under Part B.                     the geographic area. We propose                       then updated annually. In other words,
                                                      Phase II would use tools currently                      random assignment of all PCSAs to one                 we are not proposing a reduction to total
                                                      employed by commercial health plans,                    of four groups: the three test arms                   spending for Part B drugs. Instead, we
                                                      pharmacy benefit managers (PBMs),                       (paying a modified ASP add-on amount,                 propose to test redistribution of the add-
                                                      hospitals, and other entities that manage               implementation of VBP tools, and both                 on payment on Part B drugs expenditure
                                                      health benefits and drug utilization.                   modified ASP add-on and VBP tools at                  and outcomes. Additional detail about
                                                      These tools have been used for years                    the same time) or a fourth control group.             phase I appears in section III.A. of this
                                                      with positive results, and we believe                   We propose to include the majority of                 proposed rule.
                                                      that some of these successful                           drugs paid under Part B in the model;                    In phase II of the model, we propose
                                                      approaches may be adaptable to Part B.                  in general, this means drugs that appear              to test the application of a group of
                                                      We propose to apply one or more tools,                  on the quarterly ASP Price Files. We                  value-based purchasing tools that
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                                                      such as indication-based pricing,                       propose to exclude some categories of                 commercial and Medicare Part D plans
                                                      reference pricing, and clinical decision                drugs, including drugs separately billed              use to improve patient outcomes and
                                                      support tools to Part B drugs. We will                  by End-Stage Renal Disease (ESRD)                     manage drug cost. We review several
                                                      test whether the implementation of the                  facilities from the proposed Part B Drug              different tools, including value-based
                                                      tools affects expenditures and outcomes.                Payment Model.                                        pricing, clinical decision support tools,
                                                         In addition to the proposals and                        We propose that the model would run                and we discuss the potential
                                                      comment solicitations associated with                   for five years; phase I would begin in                applicability to the Part B drug and
                                                      phase I and phase II, we also solicit                   the fall of 2016 (no earlier than 60 days             hospital outpatient benefits. Additional
                                                      comments on how to create value-based                   after the rule is finalized). During phase            detail about phase II appears in section


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                                                                                Federal Register / Vol. 81, No. 48 / Friday, March 11, 2016 / Proposed Rules                                           13233

                                                      III.B. of this proposed rule. Table 1           payments under this model are budget                          II. Participation
                                                      summarizes the phases and arms of the           neutral to aggregate Part B spending,                         A. Background
                                                      model.                                          using the most recent year of available
                                                                                                      claims data. For phase I of this model,                         This section describes the drugs that
                                                              TABLE 1—SUMMARY OF THE                  budget neutrality calculations were                           are furnished and paid under Part B; the
                                                                    PROPOSED MODEL                    done using CY 2014 claims processed                           providers and suppliers that furnish
                                                                                                      through June 30, 2015. We present the                         them; and the drugs, participants, and
                                                         Phase 1—ASP+X                                                                                              geographic areas that would be included
                                                                                   Phase   2—VBP      redistributional impacts among
                                                        (no earlier than 60    (no earlier than Janu-                                                               in the model.
                                                       days after display of                          practitioners and hospitals in section IX.
                                                                                     ary 2017)        of this proposed rule. In general, phase                      1. Drugs and Biologicals Paid Under
                                                       final rule, Fall 2016)
                                                                                                      I has the overall effect of modestly                          Part B
                                                      ASP+6% (control) ..... ASP+6% (control).        shifting money from hospitals and
                                                                               ASP+6% with VBP
                                                                                                                                                                       Part B currently covers and pays for
                                                                                                      specialties that use higher cost drugs,                       a limited number of prescription drugs.
                                                                                 Tools.
                                                      ASP+2.5% and Flat        ASP+2.5% and Flat      such as ophthalmology, to specialties                         As stated earlier, for the purposes of this
                                                         Fee Drug Payment.       Fee Drug Payment. that use lower cost drugs, including                             proposed rule, the term ‘‘drugs’’ will
                                                                               ASP+2.5% + Flat Fee primary care, pain management, and                               refer to drugs and biologicals paid under
                                                                                 Drug Payment with    orthopedic specialties. In aggregate,                         Part B and also includes biosimilars.
                                                                                 VBP Tools.           rural practitioners are estimated to                          Drugs paid under Part B generally fall
                                                         Note: Primary Care Service Areas (which experience a net benefit and rural                                 into three categories: drugs furnished
                                                      are clusters of ZIP codes that reflect primary hospitals are estimated to experience                          incident to a physician’s service in the
                                                      care service delivery) would be randomly as- smaller reductions than urban hospitals.                         physician office or hospital outpatient
                                                      signed to each model test arm and the control                                                                 settings, drugs administered via a
                                                      group. The assigned PCSAs would not include Overall, spending on drugs furnished in
                                                      ZIP codes in the state of Maryland where hos- the office setting increases while                              covered item of DME, and other
                                                      pital outpatient departments operate under an spending on drugs furnished in the                              categories of drugs specified by statute
                                                      all-payer model.                                hospital setting decreases.                                   (generally in section 1861(s)(2) of the
                                                         We also solicit comment on creating                                                                        Act).
                                                                                                         We intend to achieve savings through                          The majority of Part B drug
                                                      value-based purchasing arrangements             behavioral responses to the revised
                                                      directly with manufacturers, taking an                                                                        expenditures are for drugs furnished
                                                                                                      pricing, as we hope that the revised                          incident to a physician’s service. Drugs
                                                      episode-based or bundled pricing
                                                                                                      pricing will remove any excess financial                      furnished incident to a physician’s
                                                      approach, and applicability of the Part
                                                                                                      incentive to prescribe high cost drugs                        service are typically injectable drugs
                                                      B Drug CAP.
                                                                                                      over lower cost ones when comparable                          that are administered in a non-facility
                                                      4. Overlap With Ongoing CMS Efforts             low cost drugs are available. In other                        setting (covered under section
                                                         We note that there are possibilities of      words, we believe that removing the                           1861(s)(2)(A) of the Act) or in a hospital
                                                      overlap between the Part B Drug                 financial incentive that may be                               outpatient setting (covered under
                                                      Payment Model and the Medicare                  associated with higher add-on payments                        section 1861(s)(2)(B) of the Act).
                                                      Shared Savings Program, the Medicare            will lead to some reduction in                                Examples of ‘‘incident to’’ drugs include
                                                      Intravenous Immune Globulin (IVIG)              expenditures during phase I of the                            injectable drugs used to treat macular
                                                      Demonstration, and other Innovation             proposed model. An exact estimate of                          degeneration, intravenously
                                                      Center payment models, such as the              the amount of savings that might be                           administered drugs used to treat cancer,
                                                      Oncology Care Model (OCM) and the               achieved through behavioral responses                         injectable drugs used in connection
                                                      Bundled Payments for Care                       is not readily available. Prior research                      with the treatment of cancer, and
                                                      Improvement (BPCI) initiative. In               on behavioral changes following                               injectable biologicals used to treat
                                                      general, we propose not to exclude              modifications to drug margins suggests                        rheumatoid arthritis. The statute
                                                      beneficiaries, suppliers (including             that the modifications we propose to the                      (sections 1861(s)(2)(A) and 1861(s)(2)(B)
                                                      physicians), or providers in the Part B         6 percent add-on are likely to change                         of the Act) limits ‘‘incident to’’ services
                                                      Drug Payment Model from other                   prescribing behavior.                                         to drugs that are not usually self-
                                                      Innovation Center models or CMS                                                                               administered; self-administered drugs,
                                                                                                         In phase II, we propose applying VBP
                                                      programs, such as the Medicare Shared                                                                         such as orally administered tablets and
                                                                                                      tools including value-pricing and                             capsules are not paid for under the
                                                      Savings Program, as detailed in section
                                                                                                      clinical decision support tools. The                          ‘‘incident to’’ provision. Payment for
                                                      III.E. of this proposed rule. We
                                                                                                      pricing under this phase would not be                         drugs furnished incident to a
                                                      acknowledge that there is potentially
                                                                                                      budget neutral, and we intend to                              physician’s service falls under section
                                                      greater overlap between this proposed
                                                                                                      achieve savings. We invite extensive                          1842(o) of the Act. In accordance with
                                                      model and OCM than other models. We
                                                      propose to include OCM practices in the comment throughout this proposed rule                                 section 1842(o)(1)(C) of the Act, most
                                                      Part B Drug Payment Model, but we               on the applicability of various value-                        ‘‘incident to’’ drugs are paid under the
                                                      request comment on the best approach            based purchasing tools to the Part B and                      methodology in section 1847A of the
                                                      for handling that overlap and on                hospital outpatient drug benefit. We do                       Act.
                                                      whether we should exclude OCM                   not believe that we have enough detail                           Part B also pays for drugs that are
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                                                      practices and their comparison practices on the structure of the final VBP                                    infused through a covered item of DME,
                                                      from the Part B Drug Payment Model.             component to quantify potential savings                       such as drugs administered with an
                                                                                                      at this time. As with phase I, we believe                     intravenous pump and inhalation drugs
                                                      C. Economic Effects                             that implementation of these tools will                       administered through a nebulizer.
                                                         Under phase I we propose to modify           result in some reduction in                                   Medicare payments for these drugs are
                                                      the ASP add-on amount to be 2.5                 expenditures. We invite comment on                            described in section 1842(o)(1)(D) of the
                                                      percent plus a flat fee of $16.80. We           the extent of savings that might be                           Act for DME infusion drugs and section
                                                      propose to establish the amount of the          achieved based on experience with                             1842(o)(1)(G) of the Act for inhalation
                                                      flat fee to ensure total estimated              these VBP tools.                                              drugs.


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                                                      13234                     Federal Register / Vol. 81, No. 48 / Friday, March 11, 2016 / Proposed Rules

                                                        Finally, Part B covers and pays for a                 practices and whether small practices    for physician and other supplier claims
                                                      number of drugs with specific benefit                   should be considered separately from     and for drugs that are specifically
                                                      categories defined under section 1861(s)                other practices.                         excluded from payment based on
                                                      of the Act including—                                                                            section 1847A of the Act (for example,
                                                                                                              B. Proposed Drugs Paid Under Part B To
                                                      immunosuppressive drugs; hemophilia                                                              radiopharmaceuticals as noted in
                                                                                                              Be Included in the Model
                                                      blood clotting factors; certain oral anti-                                                       section 303(h) of the Medicare
                                                      cancer drugs; certain oral antiemetic                     Although the Part B drug benefit is    Modernization Act). In such cases,
                                                      drugs; pneumococcal pneumonia,                          generally considered to be limited in    pricing may be determined based on
                                                      influenza and hepatitis B vaccines;                     scope, the Part B drug benefit includes  compendia or invoices (Medicare
                                                      erythropoietin for trained home dialysis                many categories of drugs, and            Claims Processing Manual 100–04,
                                                      patients; certain other drugs separately                encompasses a variety of care settings,  Chapter 17, Section 20.1.3).
                                                      billed by ESRD facilities; and certain                  and payment methodologies. In               With limited exceptions that are
                                                      osteoporosis drugs. Payment for many of                 accordance with section 1842(o)(1)(C) of discussed in this section below, we
                                                      these drugs falls under section 1842(o)                 the Act, most Part B drugs are paid      propose to include all Part B drugs in
                                                      of the Act, and in accordance with                      based on the ASP methodology             this model. We would overlay payment
                                                      section 1842(o)(1)(C) of the Act, most,                 described in section 1847A of the Act.   amounts for Part B drugs (which are also
                                                      but not all, drugs with specific benefit                However, at times Part B drugs are paid  referred to as payment allowance limits)
                                                      categories are paid under the                           based on Wholesale Acquisition Cost      on the quarterly ASP Drug Pricing Files
                                                      methodology in section 1847A of the                     (WAC), as authorized under section       (see https://www.cms.gov/Medicare/
                                                      Act. As discussed below, we propose to                  1847A(c)(4) of the Act (see 75 FR
                                                                                                                                                       Medicare-Fee-for-Service-Part-B-Drugs/
                                                      include the majority of Part B drugs in                 73465–6, the section titled Partial
                                                                                                                                                       McrPartBDrugAvgSalesPrice/
                                                      this model.                                             Quarter ASP data), or average
                                                                                                                                                       2016ASPFiles.html) and the quarterly
                                                                                                              manufacturer price (AMP)-based price
                                                      2. Types of Providers and Suppliers                                                              update to Addendum B of the OPPS
                                                                                                              substitutions, as authorized under
                                                      Furnishing Part B Drugs                                                                          (https://www.cms.gov/Medicare/
                                                                                                              section 1847A(d) of the Act (see 77 FR
                                                                                                                                                       Medicare-Fee-for-Service-Payment/
                                                         Types of providers and suppliers that                69140). Also, in accordance with section
                                                                                                                                                       HospitalOutpatientPPS/Addendum-A-
                                                      are paid for all or some of the Medicare                1842(o) of the Act, other payment
                                                                                                                                                       and-Addendum-B-Updates.html) with
                                                      covered Part B drugs that they furnish                  methodologies may also be applied to
                                                                                                                                                       model-derived payment amounts in the
                                                      include physicians, pharmacies, DME                     Part B drugs: average wholesale price
                                                      suppliers, hospital outpatient                          (AWP)-based payments (using the AWP geographic areas that are being
                                                      departments, and ESRD facilities. We                    in effect in October 1, 2003) are made   evaluated. Therefore, we would include
                                                      propose to include the majority of Part                 for certain drugs infused with covered   nationally priced drugs with ASP, WAC,
                                                      B drugs in the Part B Drug Payment                      DME; and AWP-based payments (using       and AMP-based payment amounts that
                                                      Model and therefore we anticipate that                  current AWP) are made for influenza,     are on the quarterly price file; we note
                                                      few providers, and physicians and other                 pneumococcal pneumonia and hepatitis that based on recent claims data,
                                                      suppliers that currently furnish Part B                 B vaccines (section 1842(o)(1)(A)(iv) of nationally priced drugs with ASP-based
                                                      drugs would be excluded. However,                       the Act). We also use current AWP to     payments account for the vast majority
                                                      some may experience limited impact                      make payment for very new drugs          of this group. This means that the
                                                      from participation if they prescribe or                 without ASP under the OPPS (80 FR        following drugs (and certain associated
                                                      furnish a low volume of drugs paid                      70426 and 80 FR 70442–3; Medicare        fees) would also be included in the
                                                      under the Part B benefit. Based on                      Claims Processing Manual 100–04,         model:
                                                      payment data for Part B drugs, among                    Chapter 17, Section 20.1.3). With the       • Drugs and biologicals (including
                                                      the providers, physician, and DME                       exception of the following: influenza    biosimilars) with HCPCS codes that are
                                                      suppliers that furnish Part B drugs, we                 vaccine payment amounts, which are       nationally priced under the
                                                      anticipate that physicians and                          updated annually near the beginning of   methodology described in section
                                                      outpatient hospitals will see the greatest              each flu season (https://www.cms.gov/    1847A of the Act, including ASP and
                                                      impact from this proposed model.                        Medicare/Medicare-Fee-for-Service-Part- WAC-based payment amounts, and
                                                         In section IX, Regulatory Impact                     B-Drugs/McrPartBDrugAvgSalesPrice/       drugs (and biologicals) paid separately
                                                      Analysis, we discuss the potential                      VaccinesPricing.html), certain new       under OPPS. Because OPPS pass-
                                                      effects of this model on suppliers and                  drugs under the OPPS, and DME            through drugs described in section
                                                      providers, including rural hospitals.                   infusion drug payments which are based 1833(t)(6) of the Act are paid ASP+6
                                                      Although the impact on rural hospitals                  on November 2003 AWP values (section percent, which is the same payment as
                                                      is expected to be minimal (see Table 2)                 1842(o)(1)(D) of the Act), payment       separately paid drugs under the OPPS,
                                                      and the impact on rural physician                       amounts for drugs paid under the         we propose including all OPPS pass-
                                                      specialties is generally favorable (when                methodology in section 1847A of the      through drugs in the model. In phase I,
                                                      compared to urban specialties) (see                     Act (which means most Part B drugs)      for drugs paid based on ASP and WAC,
                                                      Table 1), we are soliciting comments on                 are updated quarterly by CMS.            the 6 percent add-on will be replaced
                                                      the potential effect that this model may                Contractors then use these quarterly     with the updated add-on amount
                                                      have on rural practices, how rural                      updates to make payment                  (discussed in section III.A. of this
                                                      practices may differ from non-rural                     determinations. Examples of the          proposed rule). In phase I, for HCPCS
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                                                      practices and whether rural practices                   quarterly ASP price file updates for     codes with AMP-based payments, the
                                                      should be considered separately from                    2016 are available at https://           lower of the quarter’s AMP-based
                                                      other practice locations. On a similar                  www.cms.gov/Medicare/Medicare-Fee-       payment amount (that is, the AMP-
                                                      note, we are also soliciting comments on                for-Service-Part-B-Drugs/                based amount on the quarterly ASP
                                                      the potential effect that this model may                McrPartBDrugAvgSalesPrice/               files) or the model payment amount
                                                      have on small practices, how small                      2016ASPFiles.html. Contractors may       would be used; in other words, if the
                                                      practices (for example, solo practices                  also make independent payment            model-based payment is lower than the
                                                      and practices with two to nine eligible                 amount determinations in situations      AMP-substitution-based payment
                                                      professionals) may differ from large                    where a national price is not available  determined under the authority in


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                                                                                Federal Register / Vol. 81, No. 48 / Friday, March 11, 2016 / Proposed Rules                                         13235

                                                      section 1847A(d) of the Act, the model-                 to obtain payment limits for drugs not                   • ESRD drugs paid under the
                                                      based payment amount will be used.                      included in the quarterly ASP or Not                  authority in section 1881 of the Act.
                                                         • Non-infused drugs furnished by                     Otherwise Classified (NOC) drug file, or              Many ESRD drugs are bundled with
                                                      DME suppliers (including the limited                    when contractors have the authority to                services, and relatively few drugs are
                                                      number of Part B drugs dispensed by                     independently determine a payment                     still paid separately. Given adoption of
                                                      pharmacies), such as                                    amount, we propose that contractors                   bundled payments for renal dialysis
                                                      immunosuppressives, oral                                would be permitted to utilize reductions              services and the diminishing number of
                                                      chemotherapy, oral antiemetics,                         to the add-on percentage that they                    drugs that are paid separately in this
                                                      inhalation drugs used with DME, and                     calculate. For example if a contractor                setting, we do not believe that including
                                                      clotting factors. Payment for these drugs               currently uses a WAC-based payment                    ESRD drugs in the proposed Part B Drug
                                                      is typically based on the ASP, but                      amount and adds a 6 percent add-on                    Payment Model is prudent.
                                                      additional fees are also paid by                        under existing authority, the add-on                     • Blood and blood products. Blood
                                                      Medicare for dispensing, supplying, or                  percentage could be decreased to                      and blood products are prepared in
                                                      furnishing some of these drugs in                       correspond to the model arm that is                   blood banks (rather than drug
                                                      accordance with section 1842(o) of the                  being evaluated in that area. We propose              manufacturing facilities), and have
                                                      Act. We believe that it is important for                to implement this approach by issuing                 different distribution channels than
                                                      the model to include drugs that are used                subregulatory instructions to contractors             drugs that are paid under Part B. ASP
                                                      outside of the incident-to setting. Also,               that would allow them to utilize the                  sales data and compendia pricing for
                                                      we believe that it is important to                      modified add-on percentage for                        many of these products are not
                                                      understand the impact of other                          contractor-based claims. We seek                      available.
                                                      payment-related financial incentives                    comments on whether we should permit                     We are also concerned about how to
                                                      that are associated with the drug                       contractors to alter the add-on                       treat drugs that are in short supply. Due
                                                      payment, therefore we propose that                      percentage for drug payment amounts                   to access concerns related to drug
                                                      phase II of this model may incorporate                  that are determined by contractors                    shortages, under current Part B drug
                                                      changes to the furnishing, supplying                    during this model. Contractor-priced                  payment, we exclude drugs that are in
                                                      and dispensing fees that are associated                 drugs include certain                                 short supply from AMP-based price
                                                      with these drugs. (Note that this subset                radiopharmaceuticals that are furnished               substitution and, instead, we utilize the
                                                      of drugs that are furnished by DME                      in the physician’s office (therapeutic                ASP+6 percent payment amount. The
                                                      suppliers does not include drugs that                   radiopharmaceuticals paid separately                  exclusion criteria for the AMP price
                                                      are infused with covered DME. DME                       under the OPPS for hospital outpatients               substitution and the process for
                                                      infusion drugs are discussed later in this              are discussed later in this rule).                    determining whether a drug is in short
                                                      section.)                                                 • Influenza, pneumococcal                           supply are described in the CY 2013
                                                         • Intravenously and subcutaneously                   pneumonia and hepatitis B vaccines                    Medicare PFS rule with comment (77
                                                      administered immunoglobulin G (IgG).                    paid under the benefit described in                   FR 69141). To maintain access to drugs
                                                      This includes products administered in                  section 1861(s)(10) of the Act. Payment               that are in short supply, we believe that
                                                      the office as well as intravenous                       amounts for these vaccines are not                    incorporating a safeguard is prudent.
                                                      products administered in the home to                    determined using the methodology in                   Thus, for drugs that are included in the
                                                      patients with primary                                   section 1847A. We consider these items                model and are reported by the FDA to
                                                      immunodeficiency under the benefit                      to be preventive services (for more                   be in short supply (for example on the
                                                      described in section 1861(s)(2)(Z) of the               information about preventive services,                FDA Current Drug Shortage list at
                                                      Act. Payment for intravenously                          see https://www.cms.gov/Medicare/                     http://www.fda.gov/Drugs/DrugSafety/
                                                      administered IgG used in these                          Prevention/PrevntionGenInfo/                          DrugShortages/ucm050792.htm) at the
                                                      situations is typically based on the ASP                index.html?redirect=/                                 time that model payment amounts are
                                                      (section 1842(o)(1)(E)), while payment                  Prevntiongeninfo/), and preventive                    being finalized for the next quarter, we
                                                      for subcutaneously infused IgG will                     services, such as these vaccines, are                 propose to continue paying for these
                                                      depend on who furnishes the drug. For                   typically provided at no cost to                      drugs using the existing statutory
                                                      example, physicians would typically be                  beneficiaries. We propose to exclude                  methodology in section 1847A of the
                                                      paid an ASP-based amount while DME                      vaccines in section 1861(s)(10) of the                Act. This safeguard will prevent the use
                                                      suppliers would be paid an amount                       Act that are preventive services from                 of a payment amount that is lower than
                                                      based on the AWP.                                       this model.                                           that determined using the existing
                                                         We do not believe that all Part B drugs                • Drugs infused with a covered item                 statutory methodology if a drug is in
                                                      are appropriate candidates for inclusion                of DME in phase I. Payment for this                   short supply.
                                                      in this phase of the model, and we                      subset of DME drugs is made based on                     We considered proposing to pay the
                                                      propose to exclude the following                        the AWP in effect on October 1, 2003.                 greater of the following: the applicable
                                                      categories of drugs:                                    We propose to exclude this category of                arm’s model payment amount, or the
                                                         • Contractor-priced drugs, including                 drugs from phase I of the model so that               current quarter’s statutory payment
                                                      drugs that do not appear on the                         DME policy can focus on issues related                amount (which is often ASP+6 percent).
                                                      quarterly national ASP price file.                      to DME and so that the model does not                 We believe that this approach could
                                                      Because pricing for contractor-priced                   interfere with decisions related to the               increase payment compared to the
                                                      drugs may vary, we are limiting the                     inclusion or exclusion of these drugs in              model intervention for many drugs that
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      model to drugs that are nationally                      DME competitive bidding. However,                     are in short supply; however, we have
                                                      priced by CMS. Contractor-priced drugs                  OIG has pointed out concerns related to               no evidence that leads us to believe that
                                                      (which are not nationally priced) would                 mismatch between acquisition costs and                this approach would have any
                                                      continue to be priced by contractors as                 payment for this group of drugs (OEI–                 meaningful positive effect on the
                                                      described in the Medicare Claims                        12–12–00310, February 2013. See http://               resolution of a drug shortage. We are
                                                      Processing Manual 100–04, Chapter 17,                   oig.hhs.gov/oei/reports/oei-12-12-                    also concerned that incorporating this
                                                      Section 20.1.3. However, in situations                  00310.asp). We do not propose to                      approach in this model would not
                                                      where the previous manual citation                      exclude DME infusion drugs from the                   provide us reliable information on how
                                                      either permits contractors to contact us                entire model, just phase I.                           pricing impacts the focus, size, and


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                                                      13236                     Federal Register / Vol. 81, No. 48 / Friday, March 11, 2016 / Proposed Rules

                                                      duration of drug shortages. We are                      realizing that the full potential of new              1. Overview and Options for Geographic
                                                      seeking comment on whether paying the                   payment models requires the                           Area Selection
                                                      greater of the applicable arm’s model                   engagement of an even broader set of                     In determining the most appropriate
                                                      payment amount, or the current                          providers and suppliers than have                     geographic unit for this model, we
                                                      quarter’s statutory payment amount has                  participated to date, including those                 considered five options: (1) States; (2)
                                                      a significant potential benefit that                    who may only be reached when new                      Core Based Statistical Areas (CBSA); 2
                                                      would persuade us to reconsider our                     payment models are applied to an entire               (3) Dartmouth Atlas of Health Care’s
                                                      position.                                               class of providers of a service. Requiring            Hospital Referral Regions (HRR); 3 (4)
                                                         The new proposed § 511.200, found in                 participation in the Part B Drug                      ZIP codes 4 and (5) PCSA.5
                                                      subpart C of this proposed rule, reflects               Payment Model ensures that the                           For phase I of the model, we are
                                                      the drugs that we propose to include in                 broadest set of providers and suppliers               proposing an alternative ASP payment
                                                      the model. Section 511.300(c)(1)                        are included in the model from the start.             method to be tested against the current
                                                      addresses drugs that are in short supply.               Mandatory participation allows us to                  ASP+6 percent method (see section III
                                                      C. Proposed Participants, Selected                      observe the experiences of an entire                  of this proposed rule), that creates three
                                                      Geographic Areas, and Sampling                          class of providers and suppliers with                 requirements for the selection of
                                                                                                              various characteristics, such as different            geographic areas. First, the areas need to
                                                         We propose that providers and                        geographies, patient populations, and
                                                      suppliers in selected geographic areas                                                                        be sufficiently large so that most
                                                                                                              specialty mixes, and to examine                       providers and suppliers do not have
                                                      furnishing covered and separately paid                  whether these characteristics impact the
                                                      Part B drugs that are included in this                                                                        practice locations in multiple areas. A
                                                                                                              effect of the model on prescribing
                                                      model, under phase I, would receive an                                                                        provider or supplier with practice
                                                                                                              patterns and Medicare Part B drug
                                                      alternative add-on to the ASP for Part B                                                                      locations in multiple areas may be
                                                                                                              expenditures.
                                                      drug payments. Under phase II of the                       In determining which providers and                 subject to multiple payment changes.
                                                      proposed model, providers and                           suppliers to include in the model, we                 This situation could create an
                                                      suppliers in other distinct and/or                      considered whether the model should                   unnecessary administrative burden for
                                                      overlapping geographic areas would                      be limited to specific specialties that               the provider or supplier. It may also
                                                      receive VBP payments (see sections III.A                prescribe (or furnish) a significant                  create an opportunity for a provider or
                                                      and B. of this proposed rule for a                      portion of high cost drugs only or to any             supplier to attempt to influence a
                                                      description of the proposed alternative                 entity prescribing drugs for certain                  patient to receive a medically
                                                      Part B drug payments; note that one arm                 indications. Limiting the model to                    appropriate drug paid under Part B at
                                                      combines an alternative ASP add-on                      specific specialties that are associated              the practice location that provides
                                                      payment and VBP). We are interested in                  with high cost drug payments would not                higher payment to the provider or
                                                      testing and evaluating the impact of an                 allow us to observe overall changes in                supplier. Moreover, we want to test the
                                                      alternative ASP payment for Part B                      prescribing patterns by practitioners for             alternative payment methods in
                                                      drugs alone in phase I of the proposed                  all Part B drugs. Many types of                       circumstances that most closely
                                                      model, and in phase II, we are interested               providers and suppliers furnish Part B                resemble how Part B drug payment
                                                      in testing and evaluating the impact of                 drugs that are of low or medium cost in               policy currently is implemented, with
                                                      VBP tools alone and simultaneously in                   addition to high cost drugs. Medium                   only one payment methodology
                                                      combination with alternative ASP                        and low-cost drugs may also be affected               applicable to a particular provider or
                                                      payments (see Table 1 in section I).                    by statutory pricing, and CMS believes                supplier for a particular Part B drug.
                                                         The Part B Drug Payment Model                        that understanding their prescribing                  Under all of these circumstances, a
                                                      requires the participation of all                       patterns may be as important as                       larger unit of analysis is preferred.
                                                      providers and suppliers furnishing                      understanding high cost drug                             Second, the areas need to be sufficient
                                                      covered and separately paid Part B                      prescribing patterns.                                 in number to ensure adequate statistical
                                                      drugs that are included in this model.                     Similarly, limiting the model to drugs             power for the evaluation of the model.
                                                      We believe a model in which                             that only treat a specific indication also            In general, the larger the number of
                                                      participation is required of all providers              would not allow us to assess the full                 geographic units available for
                                                      and suppliers furnishing included Part                  impact of proposed payment changes on                 assignment to the intervention and
                                                      B drugs in the selected geographic areas                Part B expenditures and outcomes as                   comparison groups, the greater our
                                                      is appropriate to ensure that observed                  drugs that treat a specific indication                ability to determine whether measured
                                                      outcomes in each arm of the model do                    rarely represent the full range of drug               differences between the intervention
                                                      not suffer from selection bias inherent                 treatment options that are typically                  and comparison groups are attributable
                                                      in a voluntary participation model and                  available in Part B, and could miss                   to the effects of the model or to random
                                                      that observed outcomes can be                           attributes such as the presence of                    chance. Thus, in choosing a unit of
                                                      generalized to all providers and                        substitutable therapies and a wide range              analysis, a choice that creates more
                                                      suppliers billing Part B drugs. The                     of pricing. Therefore, given the                      independent geographic units is
                                                      voluntary structure of some 1115A                       authority in section 1115A(a)(5) of the               preferred.
                                                      model initiatives has facilitated testing               Act, which allows the Secretary to elect                 Third, the areas need to have
                                                      new payment methodologies that differ                   to limit testing of a model to certain                characteristics that are relatively more
                                                      significantly from current payment                      geographic areas, we propose to require               similar when comparing one to another
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      structures, such as BPCI. Voluntary                     all providers and suppliers in selected               so that observed changes at the area
                                                      participation can limit the                             geographic areas furnishing and                       level can be more clearly attributed to
                                                      generalizability of model results as                    receiving separate payment for the drugs
                                                      voluntary model participants may not                    separately paid under Part B that are                   2 http://www.census.gov/population/metro/.
                                                                                                                                                                      3 http://www.dartmouthatlas.org/downloads/
                                                      be broadly representative of all entities               included in this proposed model to take
                                                                                                                                                                    methods/geogappdx.pdf.
                                                      who could be affected by the model.                     part in the model. We discuss our                       4 http://www.census.gov/geo/reference/
                                                      Before BPCI models were scheduled to                    consideration of geographic area                      zctas.html.
                                                      end, CMS launched the Comprehensive                     selection and random assignment                         5 http://bhpr.hrsa.gov/healthworkforce/data/

                                                      Joint Replacement (CJR) initiative after                methodology in more detail below.                     primarycareserviceareas/index.html.



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                                                                                Federal Register / Vol. 81, No. 48 / Friday, March 11, 2016 / Proposed Rules                                                      13237

                                                      the intervention and not to other factors.              model and, therefore, would decrease                      statistical power to detect moderate
                                                      If two groups of areas are exactly alike                the statistical power of the model test to                changes in Part B drug expenditures or
                                                      in all relevant aspects before an                       the extent that none of the anticipated                   utilization, provided that appropriate
                                                      intervention is applied, then after the                 changes in Part B drug use or                             stratification or analytic adjustments are
                                                      intervention is applied to one group of                 expenditures due to the model                             made to address the wide variation
                                                      areas and not the other, we can                         interventions could be measured with                      across CBSAs in size and population
                                                      conclude that any differences that we                   statistical confidence.                                   density. However, having only
                                                      observed between the two groups are a                      For the second option, we considered                   minimally sufficient power may reduce
                                                      result of the intervention. In practice,                CBSAs, a Census-defined core area                         the opportunities to conduct deeper
                                                      while it is possible to select intervention             containing a substantial population                       analyses, such as examining whether
                                                      and comparison areas in a way that                      nucleus together with adjacent                            specific aspects of the VBP intervention
                                                      ensures that the intervention and                       communities that have a high degree of                    have a greater impact compared with
                                                      comparison groups are similar with                      economic and social integration. There                    smaller and more uniform areas.7 The
                                                      respect to a set of observed                            are 929 CBSAs, which include 388                          differences in sizes and population
                                                      characteristics (an approach known as                   Metropolitan Statistical Areas (MSAs),                    densities of CBSA subunits may require
                                                      ‘‘stratification’’), it is generally                    with an urban core population of at least                 additional stratification or analytic
                                                      impossible to construct groups that are                 50,000, and 541 Micropolitan Statistical                  adjustments to be able to generalize
                                                      identical in all respects because not all               Areas (mSA), with an urban core                           results.
                                                      relevant differences can be observed.                   population of at least 10,000 but less                       For the third option, we considered
                                                      Instead, the standard approach to                       than 50,000. All remaining areas within                   HRRs, which represent regional health
                                                      evaluating the effects of an intervention               a state that are not included in CBSAs                    care markets for tertiary medical care.
                                                      is to select a sufficiently large number                are lumped into one area designated as                    There are 306 HRRs, which include at
                                                      of intervention and comparison areas to                 Outside Core Based Statistical Areas.6                    least one city where both major
                                                      ensure that any unobserved differences                  The choice of a geographical unit based                   cardiovascular surgical procedures and
                                                      between the two groups are likely to be                 on CBSA status could mean an MSA, or                      neurosurgery are performed.8 The
                                                      small (on average), which permits the                   a Combined Statistical Area (CSA) that                    number of HRRs is an improvement
                                                      differences between the groups to be                    consists of adjacent MSAs or mSAs or                      relative to states, but would not provide
                                                      attributed to the intervention with                     both. Unlike CJR, where the providers                     sufficient statistical power for an
                                                      reasonable confidence. The less                         and suppliers of services included in                     effective evaluation of this model.
                                                      variation there is among the areas being                the model tend to be concentrated in                      Therefore, the HRR is not the most
                                                      studied (after accounting for any                       high population density regions                           appropriate unit of analysis for this
                                                      reduction in variation due to                           captured by CBSAs, in this proposed                       model.
                                                      stratification), the smaller the number of              model, the practice locations of Part B                      Fourth, we considered the smallest
                                                      intervention and comparison areas                       drug providers and suppliers are                          geographic unit directly linkable to
                                                      required to reliably detect an effect of a              distributed more often in less                            Medicare Part B claims, the U.S. Postal
                                                      given size (or, equivalently, the smaller               population dense areas. Therefore, the                    Service’s five digit ZIP codes.9 ZIP
                                                      the effect that can reliably be detected                choice of a CBSA unit for the model                       codes are assigned by the U.S. Postal
                                                      for any given number of intervention                    would not include all providers and                       Service to every address in the country.
                                                      and comparison areas).                                  suppliers eligible for the model in                       They represent a system of 5-digit codes
                                                         In general, with geographic areas as                 regions that are fully representative of                  that geographically identifies individual
                                                      the unit of analysis, larger areas are                  the entire country. To address this issue,                Post Offices or metropolitan area
                                                      likely to exhibit more substantial cross-               we would anticipate designating the                       delivery stations associated with every
                                                      area variation with respect to relevant                 non-CBSA portions of each state (if any)                  mailing address. There are more than
                                                      characteristics such as the total number                as additional units of analysis to ensure                 42,000 five digit ZIP codes.10 The
                                                      of beneficiaries as well as variations in               the model addresses all eligible                          number of ZIP codes would provide
                                                      the number of beneficiaries per square                  providers and suppliers. These non-                       sufficient statistical power for the model
                                                      mile, or beneficiary population density.                CBSA areas could either be considered                     evaluation analyses. However, we are
                                                      While, as noted above, stratification can               a single large unit or could be divided                   concerned that ZIP codes are very small
                                                      help reduce the differences between the                 into counties. If CBSAs were adopted as                   geographic areas. While hospital
                                                      intervention and comparison areas with                  the unit of analysis for the model test,                  outpatient departments bill as part of
                                                      respect to observed characteristics,                    they are sufficiently large to prevent                    the hospital from a single location with
                                                      when areas vary widely and there are                    most individual providers or suppliers                    a single ZIP code, large physician
                                                      relatively few potential areas to test,                 from experiencing two intervention                        practices can span multiple ZIP codes.
                                                      stratification may have a limited ability               arms simultaneously. The 929 CBSAs                        Supplier claims include a service
                                                      to ensure balance with respect to                       divided equally among the three                           location ZIP code that determines the
                                                      observed characteristics and thereby                    proposed model test arms and the fourth                   geographic adjustment, and the
                                                      increase the power of a test.                           control arm would result in                               physician must bill based upon the ZIP
                                                         In selecting the most appropriate                    approximately 232 CBSAs per arm. This                     code of the location where services were
                                                      geographic unit for the model, the first                could provide minimally sufficient
                                                      option that we considered for a unit of                                                                             7 Murray, D.M., Varnell, S.P., & Blitstein, J.L.
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      analysis was entire states. States                        6 On  July 15, 2015, OMB issued OMB Bulletin No.        (2004). Design and Analysis of Group-Randomized
                                                                                                              15–01, which established revised delineations for         Trials: A Review of Recent Methodological
                                                      represent a sufficiently large area so as                                                                         Developments. American Journal of Public Health,
                                                                                                              MSAs, mSAs, and CSAs, and provided guidance on
                                                      to prevent most individual providers or                 the use of the delineations of these statistical areas.   94(3), 423–432.
                                                      suppliers from experiencing multiple                    A copy of this bulletin may be obtained at https://
                                                                                                                                                                          8 http://www.dartmouthatlas.org/downloads/

                                                      interventions under the model                           www.whitehouse.gov/sites/default/files/omb/               methods/geogappdx.pdf. pp.294–5. Accessed Jan
                                                                                                              bulletins/2015/15-01.pdf. The Standards for               13, 2016.
                                                      simultaneously. However, states as a                                                                                9 http://faq.usps.com/#Zone. Accessed Jan 13,
                                                                                                              Delineating Metropolitan and Micropolitan
                                                      unit of analysis also would greatly limit               Statistical Areas Notice upon which the 2015              2016.
                                                      the number of independent geographic                    revisions are based was published June 28, 2010             10 http://faq.usps.com/?articleId=219334.

                                                      areas subject to selection under the                    and corrected July 7, 2010.                               Accessed Jan 13, 2016.



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                                                      13238                     Federal Register / Vol. 81, No. 48 / Friday, March 11, 2016 / Proposed Rules

                                                      rendered. While sampling by ZIP code                    a single PCSA. It is possible, however,               2. PCSA Selection
                                                      would improve the power of the                          that large practices may have practice                   There are 7,144 PCSAs in the United
                                                      model’s evaluation, it could expose                     locations in more than one PCSA. As a                 States, covering all 50 states.14 Because
                                                      physicians to multiple payment                          result, there could be situations during              the waiver for Medicare hospital
                                                      methods during the model test, which                    the model test in which those large                   payment rules in the Maryland All-
                                                      as we discussed above, is an                            practices are exposed to multiple arms,               Payer Model 15 may create unobservable
                                                      unnecessary burden and has no analog                    and thus to different payment methods                 bias in the prescribing patterns or
                                                      in current policy.                                      simultaneously.                                       payments for the Part B drugs in this
                                                         In seeking an area definition that is                                                                      model test, we propose to exclude Part
                                                      sufficiently large to minimize the                         Nevertheless, we believe that of all
                                                                                                              existing units of analysis, PCSAs are the             B drug claims from providers and
                                                      potential for exposing providers or                                                                           suppliers associated with the 96 PCSAs
                                                      suppliers to multiple test payment                      most appropriate unit for testing this
                                                                                                              model in that they exhibit a desirable                located in Maryland from the Part B
                                                      alternatives, while sufficiently small to                                                                     Drug Payment Model. This exclusion
                                                      ensure a sufficient numbers of areas,                   mix of size, internal homogeneity
                                                                                                                                                                    leaves a total of 7,048 PCSAs in the
                                                      and to limit cluster effects due to                     relative to differences between areas,
                                                                                                                                                                    model test.
                                                      differences that cannot be balanced                     and number. This preference is based on                  To test the impact of the model’s
                                                      using stratification, we considered                     the specifics of this model, including                intervention arms compared to the
                                                      aggregations of contiguous ZIP codes.                   the types of services involved, the                   control (discussed in section III. of this
                                                      Random aggregations of contiguous ZIP                   national scope, and the simultaneous                  proposed rule and also see summary
                                                      codes can be developed to optimize the                  testing of multiple payment alternatives,             table in section I.B.3.), we propose to
                                                      characteristics required for a robust test              and is not meant to imply that other                  assign all 7,048 PCSAs to an arm of the
                                                      of the model. Developing a unit of                      units of analysis would not be                        model test, approximately 1,700 PCSAs
                                                      analysis tailored to the model test has                 appropriate in a different model (for                 to each of the control and three test
                                                      merit, but the goal of this model is not                example, the MSA used in the CJR                      arms. Under the control arm, we
                                                      to develop a new unit of analysis, and                  model 13).                                            propose a provider or supplier would
                                                      the process for doing so would require                                                                        receive payment for a Part B drug claim
                                                                                                                 We propose to require all providers
                                                      considerable resources for definition                                                                         according to the current ASP+6 percent
                                                                                                              and suppliers furnishing Part B drugs
                                                      and validation. We would prefer to                                                                            methodology. Under the arms with an
                                                      adopt an existing geographic unit of                    that are included in the model to
                                                                                                              participate in the Part B Drug Payment                ASP payment alternative, we propose a
                                                      analysis that meets the requirements for                                                                      provider or supplier would receive
                                                      testing the model.                                      Model. Participation means that any
                                                                                                              claim submitted for a Part B drug in the              payment for a Part B drug claim
                                                         Finally, we considered PCSAs, which                                                                        according to the assigned alternative
                                                      were defined and updated under                          model will be paid according to the
                                                                                                              payment applicable for the control                    method, ASP+2.5 percent + flat fee.
                                                      contract to the Health Resources and                                                                          Under the two model arms with the VBP
                                                      Services Administration (HRSA) by The                   group, ASP+6 percent, or one of the
                                                                                                              proposed test alternatives (see Table 1).             tools in phase II, we propose a provider
                                                      Dartmouth Institute.11 With the goal of                                                                       or supplier would receive payment for
                                                      representing service areas for office                   We propose the payment method used
                                                                                                                                                                    a Part B drug claim according to the
                                                      based primary health care services,                     will be determined by the PCSA
                                                                                                                                                                    assigned payment method, either the
                                                      PCSAs were defined based upon                           associated with the claim. We propose
                                                                                                                                                                    current ASP+6 percent methodology or
                                                      patterns of Medicare Part B primary care                to associate claims with a PCSA on the                the ASP payment alternative (ASP+2.5
                                                      services (specifically, patterns linking                basis of the ZIP code of the appropriate              percent + flat fee), but with one or more
                                                      the residence of Medicare Part B                        performing or billing NPI or beneficiary              of the VBP tools discussed in section
                                                      beneficiaries with the practice locations               recorded on the claim. The service                    III.B. The model is designed to allow the
                                                      for evaluation and management visits to                 location ZIP code linked to the                       simultaneous testing of the ASP
                                                      Medicare participating physicians in                    performing NPI (recorded in item 32)                  payment alternative separately
                                                      primary care specialties 12). While the                 will be used for practitioner claims                  compared to the control without VBP,
                                                      service areas for evaluation and                        (CMS–1500). The ZIP code in the CCN                   and with the ASP payment alternative
                                                      management visits may not directly                      address associated with a hospital will               interactively with the VBP tools.
                                                      match Part B drug-service areas, they are               be used for hospital outpatient                          The assignment of each PCSA to an
                                                      likely to be a closer match than                        department claims. The residence ZIP                  arm of the study will be based on a
                                                      randomly aggregated ZIP codes. CMS                      code of the beneficiary receiving a Part              stratified random approach. We
                                                      analyzed CY 2014 claims data,                           B drug will be used for DME claims                    consider a randomized design to be the
                                                      including provider and supplier                         (CMS–1490S). Each five digit ZIP code                 best method for achieving balance in
                                                      practice locations for those delivering                 identified in U.S. Postal Service ZIP                 unobserved confounding factors that
                                                      Part B drugs relative to PCSA                           code files is linked to a PCSA. The                   otherwise could bias the test results.
                                                      boundaries using the practice location                  PCSA associated with the claim in the                 Randomized designs can be made better
                                                      of the performing National Provider                     manner above will be assigned to one of               with stratification prior to random
                                                      Identifier (NPI) or the billing location of             the three test arms or the control arm of             assignment to assure representation of
                                                      the organizational NPI for hospital                                                                           population subgroups in the sample.
                                                                                                              this model test (see below for PCSA
                                                      outpatient departments, and observed
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                                                                              assignment method). We include a                      Simple random assignment will ensure
                                                      that almost all claims for an individual
                                                                                                              summary table of the proposed model
                                                      provider or supplier were billed within                                                                         14 http://datawarehouse.hrsa.gov/DataDownload/
                                                                                                              under section I.B.3. of this proposed
                                                                                                                                                                    PCSA/2010/p_103113_1.dbf, Accessed Jan 13, 2016.
                                                        11 http://datawarehouse.hrsa.gov/data/                rule.                                                   15 This initiative will update Maryland’s 36-year-
                                                      dataDownload/pcsa2010download.aspx. Accessed                                                                  old Medicare waiver to allow the state to adopt new
                                                      Jan 13, 2016.                                             13 https://www.federalregister.gov/articles/2015/   policies that reduce per capita hospital
                                                        12 Goodman, DC, et al. Primary Care Service           11/24/2015–29438/medicare-program-                    expenditures and improve health outcomes as
                                                      Areas: A New Tool for the Evaluation of Primary         comprehensive-care-for-joint-replacement-payment-     encouraged by the Affordable Care Act. https://
                                                      Care Services. Health Services Research                 model-for-acute-care-hospitals#h-32. Accessed Jan     innovation.cms.gov/initiatives/Maryland-All-Payer-
                                                      2003:38:287–309.                                        13, 2016.                                             Model/, accessed Jan 13, 2016.



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                                                                                Federal Register / Vol. 81, No. 48 / Friday, March 11, 2016 / Proposed Rules                                           13239

                                                      that each stratum contains the same                     to provide additional support to the                  difference by the total number of
                                                      proportion of PCSAs in each treatment                   overall model test analyses. We seek                  encounters per day per drug in the CY
                                                      arm. Strata are mutually exclusive                      information on which sub-group                        2014 claims data. Because total
                                                      temporarily defined groups of PCSAs                     analyses might be of more interest and                payments made under this phase are not
                                                      proposed to be randomly assigned in                     which additional analytic methods may                 expected to change considerably, we
                                                      equal proportions to the control and                    be most appropriate. New section                      anticipate that providers or suppliers
                                                      three model test arms.                                  511.105 reflects our proposed definition              will continue to buy and bill for Part B
                                                         The current strata proposed are                      of geographic areas.                                  drugs that they furnish to their patients.
                                                      defined by the number of Medicare                                                                             Having established the flat fee for the
                                                      beneficiaries being furnished Part B                    III. Payment Methodology
                                                                                                                                                                    initial year in 2016, we propose to
                                                      drugs in each PCSA and the mean Part                       CMS is required to reduce Medicare                 update the flat fee amount each year by
                                                      B drug expenditures per beneficiary.                    payments for Part B drugs under the                   the percentage increase in the consumer
                                                      These two factors drive the differences                 Balanced Budget and Emergency Deficit                 price index (CPI) for medical care for
                                                      among PCSAs for the purpose of this                     Control Act of 1985 (BBEDCA), as                      the most recent 12-month period. The
                                                      model test and both factors have a                      amended by the Budget Control Act of                  dollar value of the 2.5 percent add-on
                                                      significant number of outliers that must                2011. The application of the                          percentage would automatically adjust
                                                      be evenly distributed to each arm.                      sequestration requires the reduction of               to changes in price levels as ASP
                                                      Stratification gains are obtained with six              Medicare payments by two percent for                  changes. The modeling methodology is
                                                      or fewer strata within each factor. In this             many Medicare FFS claims with dates-                  discussed in section 1 below.
                                                      proposed rule, based upon an analysis                   of-service on or after April 1, 2013. The                We are proposing a budget neutral
                                                      of the CY 2014 claims for Part B drugs                  discussion in this proposed rule does                 approach to isolate the impact of
                                                      included in this model, we propose to                   not consider reductions applied to                    changes to the ASP add-on amount
                                                      use a single cut point of Part B drug                   Medicare payment under sequestration,                 without introducing additional savings
                                                      beneficiary counts per PCSA at 1,500                    which is independent of Medicare                      as a second potential source of
                                                      and two cut points for the distribution                 payment policy.                                       behavioral adjustments. We do not
                                                      of mean dollars expended for Part B                     A. Phase I: Proposed Modifications to                 expect a sizable overall reduction in
                                                      drugs per beneficiary per PCSA of $500                  the ASP Add-On Percentage for Drugs                   Part B drug spending associated with
                                                      and $3,000. These three cut points in                   Paid Under Part B                                     phase I of this model, but we do
                                                      two factors result in six strata from                                                                         anticipate an incentive to use higher
                                                      which the PCSAs will be assigned to the                    In general, payment for drugs paid                 value drugs.
                                                      one control and three test arms of the                  under Part B varies over a wide range;                   In sections 2 and 3, we describe the
                                                      model in equal numbers by simple                        drugs may be paid between several                     proposed approaches for modifying the
                                                      randomization. We solicit comment                       dollars per dose to thousands of dollars              ASP add-on amount. The approaches
                                                      from the public regarding additional                    per dose. Drug therapy may require one                discussed below are intended to
                                                      factors or cut points that may be                       or a few doses, or it may require many                minimize the risk of excessively large or
                                                      necessary to achieve balance across the                 doses over a long time period,                        small add-on payments for individual
                                                      three test arms and the control arm in                  sometimes indefinitely. As we                         Part B drugs across the range of Part B
                                                      this model test.                                        developed potential approaches for                    drug prices. At the same time, our goal
                                                         Because we propose to randomly                       evaluating changes to the add-on                      is to minimize providers’ and suppliers’
                                                      assign PCSAs within each stratum in                     percentage, we considered the effect of               (including physicians’) financial
                                                      equal proportion to the one control and                 a proposal on the drug price points (that             incentives to prescribe more expensive
                                                      three model test arms, the randomized                   is, high, medium and low cost Part B                  drugs. This phase of the model would
                                                      assignment should account for                           drugs), as well as the types of drugs that            not affect other payments that are
                                                      unobservable confounding factors that                   are paid for under Part B. We also                    associated with furnishing a drug such
                                                      may affect outcomes of interest while                   considered the effects on entities within             as the clotting factor furnishing fee, or
                                                      simultaneously assuring that population                 the drug supply chain (for example,                   supplying and dispensing fees that are
                                                      subgroups are equally represented                       manufacturers and wholesalers),                       authorized under section 1842(o) of the
                                                      within each arm of the model. After                     beneficiaries, providers, suppliers, and              Act.
                                                      randomization of the PCSAs, we can                      the Medicare program. Overall, we
                                                      adjust our analyses of the model test                   believe that phase I of this model will               1. Methodology for Creating Modeling
                                                      results to account for any imbalance                    not change how Part B drugs are                       Data Set
                                                      across the arms of the model in                         acquired by providers or suppliers, or                   To determine the initial aggregate Part
                                                      observable characteristics that were not                how drug manufacturers sell their                     B drug annual spending for the
                                                      the basis of stratification, such as the                products to providers, suppliers, or                  implementation of phase I in 2016, we
                                                      beneficiary population’s average socio-                 intermediaries such as wholesalers. As                are proposing to use CY 2014 utilization
                                                      economic status in a PCSA.                              discussed in the paragraphs below,                    for drugs paid under Part B to calculate
                                                         The stratified random sample design                  phase I would establish payment at ASP                the amount of payments that were
                                                      cannot support analyses of all potential                plus a 2.5 percent add-on percentage                  associated with the 6 percent ASP add-
                                                      sub-groups of providers and suppliers,                  and a flat fee per administration day as              on percentage. For a detailed discussion
                                                      patients, and drugs at the same level of                a budget neutral test. We propose to                  of those drugs, please see section II.B. of
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      precision or with the same statistical                  derive the flat fee from the difference in            this proposed rule. The data set
                                                      power as it supports the primary                        total payment between total payments                  includes drugs that are in the model.
                                                      analysis of a model test. However, we                   with a 6 percent add-on percentage                       We begin with CY 2014 Part B
                                                      believe stakeholders will be interested                 across Part B drugs in the most recently              institutional hospital outpatient claims
                                                      in impacts of the model’s interventions                 available calendar year claims’, which is             and Part B supplier claims data
                                                      on these subgroups. We expect the                       CY 2014, and total estimated payment                  processed through June 30, 2015. We
                                                      model evaluation will employ a range of                 for Part B drugs in the same set of claims            note that the payment amounts on the
                                                      appropriate analytic methods to address                 with a 2.5 percent add-on percentage to               CY 2014 claims include the effect of
                                                      questions of interest to stakeholders and               the flat fee. We propose to divide this               sequestration. Therefore, to establish


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                                                      13240                     Federal Register / Vol. 81, No. 48 / Friday, March 11, 2016 / Proposed Rules

                                                      baseline payment at ASP+6 percent                       Institutions, and critical access                     described above, we are interested in
                                                      within the Part B Drug Payment model,                   hospitals. We are proposing to exclude                stakeholder comments on whether the
                                                      we first calculate ASP+0 percent by                     certain OPPS claims: claims with more                 CY 2015 claims updated as of March
                                                      dividing the line payments by 1.043 and                 than 100,000 units on a service line,                 might be appropriate as an alternative
                                                      then the full ASP+6 payment by                          claims with condition codes ‘04’ (HMO                 dataset to establish the CY 2016 flat fee
                                                      multiplying by 1.06.                                    enrollee—information only bill), ‘20’                 amount in the final rule. We note that
                                                         We propose the following approach to                 (beneficiary requested billing), ‘21’                 for the final rule, more CY 2014 claims
                                                      develop the supplier and outpatient                     (billing for denial notice), and ‘77’                 data would be available due to
                                                      hospital claims dataset for modeling                    (payer fully paid claims), claims with                additional claims processing, which we
                                                      purposes; this approach is intended to                  more than 30 related condition codes,                 would include in modeling the final
                                                      remove unusable data, errors and                        claims with more than 300 revenue                     rule.
                                                      inconsistencies in the data set. We                     lines on the claim, and claims where the                 We provide a summary file containing
                                                      propose to exclude all claims billed by                 revenue center payment is equal to the                the Part B drug model payment and
                                                      providers and suppliers in the state of                 charge amount. Those claims are either                utilization data used to calculate the flat
                                                      Maryland as hospital outpatient services                not paid or may contain aberrant data.                fee amount on the CMS Web site with
                                                      are paid under the Maryland All-Payer                   We also would exclude claim lines for                 display of this proposed rule. The
                                                      Model and not at ASP+6 percent. We                      hospitals with erroneous cost-to-care                 summary file contains no personally
                                                      also propose to exclude claims from                     ratios (CCRs) (greater than 90 or less                identifiable information and we exclude
                                                      American Samoa, Virgin Islands, and                     than 0.0001) on their cost reports. We                drug codes with low beneficiary volume
                                                      Guam because hospitals in these                         propose to exclude all claim lines for                from the summary file.
                                                      locations are paid at reasonable cost. We               packaged drugs in the hospital                        2. Add-On Proposal: Percentage Plus a
                                                      propose to remove Medicare secondary                    outpatient setting because such items                 Flat Fee
                                                      payer claims from the modeling dataset                  are not paid separately and are not
                                                      because the payment amounts in                          subject to the 6 percent add-on.                         As discussed previously, a flat
                                                      situations where Medicare is secondary                     We propose a number of exclusions                  percentage, like the current 6 percent
                                                      may not reflect the Medicare payment                    that would apply specifically to                      add-on percentage to ASP, may create
                                                      amounts that are determined under                       supplier claims. We propose to exclude                an incentive for using more expensive
                                                      statutory authority, such as the                        claims with the following facility place              drugs because the add-on portion of the
                                                      methodology in section 1847A of the                     of service codes because these places of              payment amount is higher for more
                                                      Act, and used when Medicare is the                      service are not typically associated with             expensive products (MedPAC Report to
                                                      primary payer. We propose to remove                     the use of ‘‘incident to’’ drugs: ‘21’                the Congress Medicare and the Health
                                                      individual lines with units three                       (Inpatient Hospital), ‘22’ (Outpatient                Care Delivery System June 2015, page
                                                      standard deviations outside the                         Hospital), ‘23’ (Emergency Room-                      68). A flat add-on fee alone, for example
                                                      geometric mean units billed by HCPCS,                   Hospital), ‘24’ (Medicare-participating               $30 per prescribed dose, that does not
                                                      specific to the applicable portion of the               Ambulatory Surgical Center (ASC) for a                vary with the cost of the drug may
                                                      dataset (supplier or hospital claims)                   HCPCS code included on the ASC                        potentially increase the risk of having
                                                      because we believe that payments                        approved list of procedures), ‘26’                    payments fall below acquisition costs
                                                      deviating from the mean by this amount                  (Military Treatment Facility), ‘31’                   for expensive drugs, particularly for
                                                      are likely errors and they do not                       (Skilled Nursing Facility (SNF) for a                 providers and suppliers whose
                                                      represent payment amounts that are                      Part A resident), ‘34’ (Hospice—for                   acquisition costs are near or above a
                                                      determined and published in our price                   inpatient care), ‘41’ (Ambulance—                     drug’s ASP. Also, without any sort of
                                                      files. Additionally, we propose to                      Land), ‘42’ (Ambulance—Air or Water),                 limits or constraints, a flat add-on fee
                                                      remove claim lines that were rejected or                ‘51’ (Inpatient Psychiatric Facility), ‘52’           that is large (relative to the cost of an
                                                      denied by the claims systems for not                    (Psychiatric Facility—Partial                         inexpensive drug) may also promote the
                                                      meeting the Medicare requirements for                   Hospitalization), ‘53’ (Community                     overuse of inexpensive drugs like
                                                      payment and restrict the dataset to                     Mental Health Center), ‘56’ (Psychiatric              intravenous fluids and antihistamine
                                                      drugs that we are proposing to include                  Residential Treatment Center), and ‘61’               injections by creating a profit incentive
                                                      in phase I of the model.                                (Comprehensive Inpatient                              for overprescribing inexpensive drugs
                                                         OPPS claims will be handled in a                     Rehabilitation Facility) because the                  that may be associated with little risk of
                                                      manner that is similar to what we apply                 proposed Part B Drug Payment Model                    audits or claim denials.
                                                      in the OPPS rates setting process; the                  would not apply. We propose to remove                    Changing the add-on amount from a
                                                      process was established in 2000 and has                 claims with Carrier number ‘‘00882’’                  percentage that applies in all
                                                      been updated annually (https://                         which are those associated with the                   circumstances to a lower percentage
                                                      www.cms.gov/Medicare/Medicare-Fee-                      Railroad Retirement Board benefit since               plus a flat fee that is limited could
                                                      for-Service-Payment/                                    they are paid under a separate payment                minimize the potential for
                                                      HospitalOutpatientPPS/Hospital-                         methodology.                                          underpayment or overpayment across
                                                      Outpatient-Regulations-and-                                We propose to exclude DME MAC                      the entire range of prices for Part B
                                                      Notices.html). We propose to include                    claims for drugs infused through a                    drugs. For example, the add-on payment
                                                      hospital bill types 12X (Hospital                       covered item of DME from our modeling                 for high cost drugs could be lowered by
                                                      Inpatient (Medicare Part B only)), 13X                  dataset. As discussed in section II.B. of             decreasing the add-on percentage to an
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      (Hospital Outpatient), 14X (Hospital—                   this proposed rule, we propose to                     amount that minimizes the risk for
                                                      Laboratory Services Provided to                         exclude drugs infused with a covered                  providers and suppliers losing money
                                                      Nonpatients), which are paid under the                  item of DME from phase I of the Part B                on expensive drugs, and the add-on
                                                      OPPS. We propose to exclude claims                      Drug Payment Model. Therefore, we                     payment for inexpensive drugs could be
                                                      not paid under the OPPS based on                        also propose to remove claim lines for                preserved through the use of a flat fee
                                                      provider type, similar to the standard                  these codes from the set of DME MAC                   that covers expected price variations
                                                      OPPS rate setting process, including                    claims to establish the flat fee amount.              among inexpensive drugs and decreases
                                                      those from all-inclusive hospitals,                        In addition to soliciting comment on               the risk for underpayment. For
                                                      Religious Nonmedical Health Care                        our proposal to exclude the data that is              inexpensive drugs, inappropriate


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                                                                                Federal Register / Vol. 81, No. 48 / Friday, March 11, 2016 / Proposed Rules                                         13241

                                                      incentives that could lead to over                      result in the following: a primary care               add-on that is roughly equal to or
                                                      utilization could also be mitigated by a                provider would receive $33.60 ($16.80                 slightly more than the cost of a drug
                                                      limit on the flat fee to decrease the                   per drug) for two model drugs given                   may still leave some incentive for
                                                      motivation for profit-oriented                          during an office visit in addition to 2.5             overusing some inexpensive drugs.
                                                      overprescribing of very inexpensive                     percent of the ASP for each of the drugs.             While we expect that contractors will
                                                      drugs that are not typically subject to                 If another practitioner, such as a                    continue to examine claims (as well as
                                                      medical review.                                         rheumatologist, saw the patient later in              patterns of claims) for potentially
                                                         A specific approach for the use of an                the day, and administered one model                   unnecessary use (that is use that is not
                                                      add-on percentage with a flat fee was                   drug, that practitioner would receive                 reasonable or necessary), we also seek
                                                      described by the MedPAC in a recent                     $16.80 in addition to 2.5 percent of the              comment on whether additional
                                                      report (MedPAC Report to the Congress                   ASP for the prescribed drug.                          measures should be taken to limit add-
                                                      Medicare and the Health Care Delivery                      We propose to keep the 2.5 percent                 on amounts, especially for very low cost
                                                      System June 2015, pages 65–72).                         add-on constant over the duration of the              drugs, or whether an alternative
                                                      MedPAC modeled this add-on approach                     model, but propose to update the flat fee             approach to calculating the percent and
                                                      as budget neutral in aggregate, meaning                 each year based on the percentage                     flat fee should be considered, such as an
                                                      that it would not change total Medicare                 increase in the CPI Medical Care (MC)                 additional one to three tiers of
                                                      Part B spending. MedPAC evaluated                       for the most recent 12-month period.                  decreasing flat dollar amounts that
                                                      changing the add-on to 2.5 percent of                   This update method is stipulated in                   would provide lower flat fees for very
                                                      ASP plus a budget neutral flat fee per                  section 1842(o)(5)(C) of the Act for use              inexpensive drugs, while still
                                                      dose of $14. The result redistributed                   with the blood clotting factor furnishing             maintaining overall budget neutrality.
                                                      add-on payments by decreasing                           fee. We considered several potential
                                                      payments for expensive drugs in favor                   updates including the producer price                  3. Comment Solicitation: Additional
                                                      of drugs that are paid at lower amounts.                index for Pharmaceuticals for Human                   Tests of Add-On Modifications
                                                      Redistribution under this approach                      Use (Prescription) or an inflation factor                In addition to MedPAC’s discussion
                                                      favors the provider specialties and                     derived from changes in ASP for Part B                for pairing a reduced percentage add-on
                                                      suppliers that utilize relatively                       drugs. We propose the CPI MC because                  with a flat fee per drug per day
                                                      inexpensive drugs. The June 2015                        we believe that the flat fee addresses                administered, we considered whether it
                                                      MedPAC report determined that under                     many different services included in                   would be helpful to test additional
                                                      this approach physician specialties that                drug acquisition activities similar to the            variations of the ASP add-on. As
                                                      heavily utilize drug therapy would see                  services including in furnishing clotting             proposed, the model would have four
                                                      a decrease in drug revenues while                       factors. The CPI MC is both widely                    arms: a control and three test arms
                                                      specialties that utilize fewer drugs like               available and based on an accepted                    including, modified ASP add-on only,
                                                      primary care would see an increase in                   methodology. We solicit comment on                    VBP only, and modified ASP add-on
                                                      drug revenue.                                           whether a different update factor would               and VBP. However, we are concerned
                                                         We propose to utilize the same basic                 be more appropriate.                                  that adding another variation in phase I
                                                      approach that was described in the June                    For 2016, we would establish                       would increase the number of arms in
                                                      2015 MedPAC report: A fixed                             alternative ASP pricing under phase I of              the model which may negatively impact
                                                      percentage with a flat fee, specifically,               the model so that total spending for Part             the statistical power of this model.
                                                      a fixed percentage of 2.5 percent and a                 B drugs included in the model under                      We also considered whether other
                                                      flat fee of $16.80 per drug per day                     phase I would be equal to aggregate                   variations of the ASP add-on percentage
                                                      administered (an example of the                         spending for the same set of drugs in                 would be a useful complement to the
                                                      approach appears at the end of this                     our CY 2014 claims data. The dollar                   proposed ASP+2.5 percent + flat fee,
                                                      paragraph). We propose to update the                    value of the flat fee of $16.80 is                    such as a higher starting percentage,
                                                      flat fee amount annually. The flat fee                  proposed, but we may refine this figure               (instead of 2.5 percent, using 3 percent
                                                      amount of $16.80 was determined using                   for the final rule if we use more recent              or 3.5 percent), a flat fee without a
                                                      the data set described in section III.A.1.              versions of the claims data, which                    percentage add-on in lower quartiles, or
                                                      We agree with MedPAC that this                          would include additional utilization                  a tiered approach in which we would
                                                      approach limits financial incentives for                and payment information. We would                     vary the percentage or flat fee add-on
                                                      overuse across the range of Part B drugs                plan to update the flat fee for January               across several tiers of drugs defined
                                                      and the values that we are proposing are                2017 using the CPI MC and annually                    based on cost.
                                                      similar to those in the MedPAC report.                  thereafter. We anticipate using a G-code,                We considered defining tiers for an
                                                      We have chosen a 2.5 percent starting                   that providers and suppliers billing in               alternative approach based on quartiles
                                                      point because we agree with MedPAC’s                    geographic areas assigned to this                     because they create several steps
                                                      assessment that this value should be                    approach (ASP+2.5 percent + flat fee)                 between the highest and lowest add-on
                                                      sufficient to cover markups from                        would use to bill for the flat fee portion            values; however, we also considered
                                                      wholesalers, such as prompt pay                         of the payment. We propose to continue                whether a different number of steps,
                                                      discounts that are not passed on to                     our standard practice of updating the                 such as deciles, or a gradient approach
                                                      purchasers. In the June 2015 report that                weighted average portion of drug                      would result in more consistent
                                                      is cited in this proposed rule, MedPAC                  payment amount (that is, the ASP+0                    payments for groups of similar drugs.
                                                      stated that there is anecdotal evidence                 portion of the payment) on a quarterly                One method that we considered to
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      that such markups are between 1 and 2                   basis using the manufacturers’ sales data             create the quartiles was to array the
                                                      percent, but MedPAC was not aware of                    and the weighted average calculations                 annual payment per beneficiary for each
                                                      data that could verify this estimate. We                that are used when determining                        drug from lowest to highest annual
                                                      are not aware of information that                       payment amounts that are set forth in                 payment and then divide the
                                                      conflicts with the assessment. The                      section 1847A(c)(5) of the Act.                       distribution into quartiles based on
                                                      proposed add-on fee of $16.80 is also                      We believe that the per drug per day               relatively even number of doses. We
                                                      comparable to the MedPAC determined                     administered limit will mitigate profit-              established quartiles for drugs with
                                                      value of $14. In the Part B Drug Payment                oriented overprescribing of inexpensive               annual per beneficiary payment of
                                                      Model, application of the flat fee would                drugs, but we are concerned that an                   greater than $1,000, $50.01 to $1,000,


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                                                      13242                     Federal Register / Vol. 81, No. 48 / Friday, March 11, 2016 / Proposed Rules

                                                      $10.01 to $50, and less than or equal to                drugs that would justify higher                       savings.17 Based on background work
                                                      $10 and distributed the aggregate add-                  payments, such as requirements for cold               done on this model, we believe private
                                                      on amount among the tiered quartiles.                   handling, special packaging, or other                 payers are currently using these tools to
                                                      Like the percentage plus flat fee option,               contributors to costs. If such factors                manage drugs under a medical benefit.
                                                      a tiered add-on could redistribute the                  could be identified, we could also use                   Below, we propose the types of VBP
                                                      add-on payments toward less expensive                   this information to vary the flat fee                 tools that potentially could be used in
                                                      drugs based on quartiles developed from                 appropriately under the ASP+2.5                       the Part B Drug Payment Model to
                                                      annual per beneficiary spending for                     percent + flat fee proposal.                          improve patient outcomes and manage
                                                      each drug. However, a budget neutral                                                                          drug costs. We propose to implement
                                                      redistribution across quartiles also                    B. Phase II: Applying Value-Based                     one or more of the following value-
                                                      resulted in very high add-ons for                       Purchasing Tools                                      based pricing strategies, including
                                                      inexpensive drugs (for example, under                   1. Introduction                                       reference pricing, pricing based on
                                                      an approach in which a different add-                                                                         safety and cost-effectiveness for
                                                      on percentage was set for each tier, add-                  In the second phase of this model, we              different indications, outcomes-based
                                                      on percentages for drugs with as ASP of                 propose to implement VBP tools for Part               risk-sharing agreements, and
                                                      less than $10 exceeded 200 percent).                    B drugs using value-based pricing and                 discounting or elimination of patient
                                                         Ultimately, we were concerned that                   clinical decision support tools—tools                 coinsurance amounts. We also propose
                                                      testing another variation of the add-on                 often used collectively to manage a                   to implement a tool to support clinical
                                                      percentage modification in phase I                      prescription drug benefit by commercial               decisions for appropriate drug use and
                                                      would not provide us with significant                   health plans, PBMs, hospitals, and other              safe prescribing. The tool would provide
                                                      additional information. We are                          entities that manage health benefits and              education and data on the use of certain
                                                      requesting comments from the public on                  drug utilization. Medicare Part D plans               Part B drugs to prescribers; such
                                                      whether the tiered approach described                   and the commercial insurance sector                   information would not be meant to
                                                      above, a variation (such as using deciles               have used these tools for years to                    interfere or substitute for medical
                                                      or a gradient) or another approach for                  successfully manage health benefits and               decision making. New section 511.305
                                                      modifying the add-on would be a useful                  drug utilization, and we believe that the             reflects our proposed VBP model
                                                      complement to the percentage and flat                   approaches, when appropriately                        requirements. We are mindful that, in
                                                      fee approach that is proposed in section                structured, may be adaptable to Part B                particular circumstances, the
                                                      III.A.2. We are interested in gaining                   to improve patient care and manage                    arrangements discussed here, if not
                                                      perspective on whether the approaches                   drug spending. The revision to the 6                  properly structured and operated, could
                                                      are sufficiently different to justify                   percent ASP add-on percentage                         pose a risk of abuse. In adapting and
                                                      testing them, noting that adding arms to                proposed for phase I of this model                    using VBP tools in the Part B Drug
                                                      the study will likely impact the                        broadly addresses financial incentives                Payment Model, one of our goals is to
                                                      statistical power of this model and other               that may affect prescribing. However,                 ensure that the model promotes
                                                      overlapping models, especially the                      these revisions do not directly address               integrity, transparency, and
                                                      OCM.                                                    differences in payment when there is a                accountability. Finally, we note that we
                                                         We are also interested in                            group of therapeutically similar drugs,               would implement these proposed tools
                                                      understanding whether any advantages                    nor are they able to test the benefits of             through a contractor, as we do with
                                                      from testing these approaches are                       using alternative incentives to improve               many Medicare programs. We would
                                                      sufficient to overcome the potentially                  the effectiveness, safety, and quality of             retain final review and authority over
                                                      significant disadvantages of these                      physician prescribing patterns for Part B             the final version of any VBP tools
                                                      approaches. In particular, we are                       drugs.                                                implemented under phase II.
                                                      concerned that tiered approaches could
                                                                                                                 Medicare Part D plans, PBMs, other                 2. Value-Based Pricing Strategies
                                                      set a very different add on amounts for
                                                                                                              third party payers, and entities like                    The application of the value-based
                                                      each of the four quartiles. This could
                                                                                                              hospitals use a variety of VBP tools,                 pricing strategies discussed in this
                                                      create large changes (‘‘cliffs’’) in
                                                                                                              such as value-based pricing, clinical                 section would be limited. We are
                                                      payment amounts at the boundaries
                                                                                                              decision support tools, and rebates and               proposing value-based pricing strategies
                                                      between quartiles. In addition, tiered
                                                                                                              discounts, to improve patient outcomes                that include one or more of the
                                                      approaches that specify varying
                                                                                                              and manage drug costs.16 The VBP tools                following specific tools: reference
                                                      percentage add-ons by quartile could
                                                                                                              vary in commercial implementation by                  pricing, indications-based pricing,
                                                      generate very high percentage add-ons
                                                      for the bottom three quartiles. This                    scope and intensity; however, many of                 outcomes-based risk-sharing
                                                      could create incentives for                             the tools, particularly those used by                 agreements, and discounting or
                                                      manufacturers and suppliers to vary                     PBMs, are applied primarily in the retail             eliminating patient coinsurance amount.
                                                      prices of drugs near the quartile                       pharmacy setting. PBMs and third party                This group of tools would serve as a
                                                      boundaries in order to increase                         payers also agree on discounts and                    framework for interventions for selected
                                                      Medicare’s payment rate. We are also                    rebates for placement of drugs on a                   Part B drugs. We would gather
                                                      concerned about the potentially high                    tiered formulary or for volume of                     additional information on the proposed
                                                      add-on payments for inexpensive drugs,                  business provided to a specific                       tools, including which specific Part B
                                                      their impact on providers, suppliers,                   manufacturer. The application of these                drugs are suitable candidates for the
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      and patients, and if such an approach                   tools to drugs that are typically paid for            application of specific tools within the
                                                      were tested, whether additional steps to                under a medical benefit, such as                      group. We would finalize the
                                                      limit such payments should be                           physician administered drugs, has the                 implementation of specific tools for
                                                      considered.                                             potential to result in significant                    specific HCPCS codes after soliciting
                                                         Finally, we are also interested in
                                                                                                                16 Hoadley J. Adapting Tools from Other Nations
                                                      receiving comment on whether there are                                                                          17 Dorholt M. Advancing Drug Trend
                                                                                                              to Slow U.S. Prescription Drug Spending. NIHCR        Management in the Medical Benefit. Managed Care.
                                                      any common elements within groups of                    Policy Analysis No. 10. Aug. 2012. National           June 2014. http://managedcaremag.com/archives/
                                                      drugs that might provide a basis for                    Institute for Health Care Reform. http://             2014/6/advancing-drug-trend-management-
                                                      varying the flat fee across groups of                   www.nihcr.org/Drug_Spending.                          medical-benefit.



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                                                                                Federal Register / Vol. 81, No. 48 / Friday, March 11, 2016 / Proposed Rules                                                    13243

                                                      public input on each proposal by                        payment rate for the average price 22 for               previously and the particular sodium
                                                      posting on the CMS Web site, and we                     drugs in a group of therapeutically                     hyaluronate product selected by the
                                                      would allow 30 days for public                          similar drug products, the most                         prescriber had a cost above the reference
                                                      comment. We would provide a                             clinically effective drug in the group,23               price defined by CMS for the sodium
                                                      minimum of 45 days public notice                        or another threshold that is specifically               hyaluronates included in the reference
                                                      before implementation. Under phase II,                  developed for such drug products, like                  pricing arrangement, the patient could
                                                      we do not intend to apply these tools to                a specified percentile of the current                   not be held responsible for paying the
                                                      all Part B drugs; we plan to implement                  price distribution; and all drugs from                  difference between the reference price
                                                      the use of the tools in a limited manner                the group are then paid based on this                   and either the statutory payment
                                                      for certain drug HCPCS codes after                      amount. For example, if sodium                          amount or the cost for the selected drug.
                                                      considering these tools’ appropriateness                hyaluronates used for intra-articular                   By grouping similar drugs into a single
                                                      to specific Part B drugs within those                   injection were chosen as candidates for                 payment rate, we give prescribers
                                                      codes.                                                  reference pricing, each of the HCPCS                    incentives to use the drug product that
                                                         Value-based pricing for                              codes determined to fall into this group                provides the most value for the patient.
                                                      pharmaceuticals involves linking                        would be paid a benchmark rate based                       Second, we propose using value-
                                                      payment for a medicine to patient                       on the current payment rate for a                       based pricing to vary prices for a given
                                                      outcomes and cost-effectiveness rather                  product or products in this group. Based                drug based on its varying clinical
                                                      than solely the volume of sales.18 Under                on a review of the evidence, we may                     effectiveness for different indications
                                                      phase II of this model, we seek to test                 determine that the specific benchmark                   that are covered under existing
                                                      approaches for transitioning from a                     for this group should be the current                    Medicare authority, specifically section
                                                      volume-based payment system into one                    payment rate for the HCPCS code                         1861(t) of the Act, and existing national
                                                      that encourages or even rewards                         including the most effective drug in the                and local coverage determinations. This
                                                      providers and suppliers who maintain                    group. Individual characteristics of each               is often called ‘‘indications-based
                                                      or achieve better patient outcomes while                group of drugs considered for reference                 pricing.’’ Drugs are often indicated for
                                                      lowering Part B drug expenditures. The                  pricing, such as relative effectiveness                 more than one condition and may be
                                                      market today uses the term ‘‘value-                     demonstrated in competent and reliable                  more effective when used in one
                                                      based’’ to encompass a wide variety of                  scientific evidence, would be taken into                condition than another. For example, if
                                                      different options designed to improve                   account before selecting a benchmark                    a new drug is introduced with
                                                      clinical results, quality of care provided,             rate. Reference pricing eliminates the                  indications for treating two types of
                                                      and reduce costs.19 The following                       direct link between the purchase prices                 cancer and this drug did no better in
                                                      examples highlight the range of value-                  paid by suppliers and providers for Part                clinical trials than existing treatments
                                                      based pricing tools currently in use, and               B drugs and payment rates for those                     for the first type of cancer and
                                                      we propose the testing of one or more                   drugs from insurers, thereby providing                  significantly better than existing
                                                      of these tools during phase II of the                   stronger incentives to evaluate outcomes                treatments for the second, our use of
                                                      model.                                                  and cost together when determining                      indications-based pricing might result
                                                         First, providing equal payment for                   treatment regimens. When multiple                       in lower payments when the drug is
                                                      therapeutically similar drug products 20                drugs in a group have varying levels of                 used to treat the first type of cancer and
                                                      is one form of value-based pricing that                 effectiveness, the payment for the most                 higher payments when the drug is used
                                                      we propose to implement as part of                      clinically effective drug in the group                  to treat the second type. The Institute
                                                      phase II of the model. The private                      could be paid based on a benchmark                      for Clinical and Economic Review
                                                      market capitalizes on this concept                      while the payment for the remaining                     (ICER) is currently producing reports on
                                                      through reference pricing, which refers                 products could be adjusted downward                     high-impact drugs that analyze
                                                      to a standard payment rate—a                            based on their effectiveness in relation                comparative effectiveness and cost-
                                                      benchmark—set for a group of drugs.21                   to the most clinically effective drug. We               effectiveness before calculating a
                                                      A benchmark is set based on the                         propose to include reference pricing in                 benchmark price for each drug.24 ICER’s
                                                                                                              phase II.                                               reports reflect the dependence of the
                                                        18 Deloitte. Issue Brief: Value-Based Pricing for
                                                                                                                 We understand that some insurance                    value of medications on evidence
                                                      Pharmaceuticals: Implications of the Shift from         plans allow providers and suppliers to
                                                      Volume to Value. 2012. Web. 17 Dec. 2015.                                                                       available for certain target
                                                      http://www.converge-health.com/sites/default/files/     hold the patient responsible for paying                 populations.25
                                                      uploads/resources/white-papers/                         the difference between their prescribed                    We propose to use indications-based
                                                      valuebasedpricingpharma_060412.pdf.                     drug and the benchmark set for the                      pricing where appropriately supported
                                                        19 Pharmacy Benefit Management Institute. 2013–
                                                                                                              group of therapeutically similar drugs.                 by published studies and reviews or
                                                      2014 Prescription Drug Benefit Cost and Plan
                                                      Design Report. 2013. Web. 17 Dec. 2015. http://
                                                                                                              We propose that any version of                          evidenced-based clinical practice
                                                      reports.pbmi.com/report.php?id=4.                       reference pricing implemented would                     guidelines, such as the ICER reports, to
                                                        20 Therapeutically similar drug products are          not allow for balance billing of the                    more closely align drug payment with
                                                      generally members of the same drug class that work      beneficiary for any differences in                      outcomes for a particular clinical
                                                      on the same biochemical processes but have              pricing. For example, if reference
                                                      different chemical structures. For example, the                                                                 indication. Indications-based pricing
                                                      HMG-CoA reductase inhibitors, also known as             pricing was implemented for the                         decisions would reflect the clinical
                                                      statins, include the drugs atorvastatin and             sodium hyaluronates mentioned                           evidence available and strive to rely on
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      simvastatin. Both of these drugs lower cholesterol
                                                      by inhibiting the same enzyme, but they are unique         22 Boynton A, Robinson JC. Appropriate Use of
                                                                                                                                                                      competent and reliable scientific
                                                      chemical entities. While these therapeutically          Reference Pricing Can Increase Value. Health
                                                      similar drug products are not automatically             Affairs. 7 July 2015. http://healthaffairs.org/blog/      24 Institute for Clinical and Economic Review.

                                                      interchangeable, the therapeutic effects achieved       2015/07/07/appropriate-use-of-reference-pricing-        Emerging Therapy Assessment and Pricing:
                                                      are generally similar from one member of the drug       can-increase-value/.                                    Transforming the Market for New Drugs. Web. 17
                                                      class to another.                                          23 A determination of clinical effectiveness would   Dec. 2015. http://www.icer-review.org/etap/.
                                                        21 Partnership for Sustainable Health Care.                                                                     25 Institute for Clinical and Economic Review. 17
                                                                                                              be based on published studies and reviews, such as
                                                      Strengthening affordability and quality in America’s    those produced by ICER as described below, and          Dec. 2015. http://ctaf.org/sites/default/files/u148/
                                                      health care system. Apr. 2013. Web. 17 Dec. 2015.       evidence-based clinical practice guidelines located     CHF_Final_Report_120115.pdf and http://
                                                      http://www.rwjf.org/content/dam/farm/reports/           at AHRQ’s National Guideline Clearinghouse:             cepac.icer-review.org/wp-content/uploads/2015/04/
                                                      reports/2013/rwjf405432.                                www.guideline.gov.                                      Final-Report-for-Posting-11-24-15.pdf.



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                                                      13244                     Federal Register / Vol. 81, No. 48 / Friday, March 11, 2016 / Proposed Rules

                                                      evidence from neutral and/or                            such as evidence-based literature and                 involves discounting or eliminating
                                                      independent sources. We understand                      best practices, we propose                            patient coinsurance would not be
                                                      that the quality of available evidence                  manufacturers provide all competent                   expected to change the overall payment
                                                      can vary for any given drug or                          and reliable scientific evidence to create            amount. In other words, we are
                                                      indication. High quality evidence is                    an accurate picture regarding clinical                proposing to increase Medicare’s
                                                      comprehensive, relies on randomized                     value for a specific drug; and we also                payment percentage while maintaining
                                                      trial designs where possible, and                       propose that manufacturers provide                    the total allowed charges for the drug
                                                      measures outcomes. Research findings                    outcome measures for any outcome-                     using this tool. However, we seek
                                                      should be valid, competent, reliable,                   based risk-sharing pricing agreement.30               comments on whether more targeted
                                                      and generalizable to the Medicare                       We set forth our thinking on competent                modifications of cost sharing should be
                                                      population.                                             and reliable scientific evidence for the              considered and how such modifications
                                                         Third, we propose to allow CMS to                    purpose of establishing value-based                   would avoid creating unintended
                                                      enter into voluntary agreements with                    pricing and the clinical decision                     competitive advantages for drugs within
                                                      manufacturers to link health care                       support (CDS) tool in the next section.               the same HCPCS code or other similar
                                                      outcomes with payment. This method is                   We are seeking comments on the level                  drugs that are paid under other HCPCS
                                                      sometimes used in the private sector                    of transparency that would be required                codes.
                                                      when relatively few published studies                   or desired for outcomes-based risk-                      We propose to solicit public feedback
                                                      or other pieces of evidence are available               sharing agreements while recognizing                  on specific pricing proposals for use of
                                                      to establish a drug’s long-term value                   the need to protect proprietary                       all VBP tools. We propose that any CMS
                                                      with regard to the magnitude of patient                 information. Finally, we seek comment                 approved pricing changes under phase
                                                      health outcomes. Payers and                             on methods for establishing patient-                  II would allow for the public to provide
                                                      pharmaceutical manufacturers contract                   specific pricing contingent on response               feedback and would be made public 45
                                                      in outcomes-based risk-sharing                          to therapy.                                           days ahead of implementation .
                                                      agreements to link payment for drugs to                    In addition to proposals specifically              Proposed new § 511.305 reflects these
                                                      patient health outcomes.26 These                        aimed at improving quality and                        proposals.
                                                      agreements tie the final price of a drug                outcomes and reducing the costs of                       We would also engage in educational
                                                      to results achieved by specific patients                purchasing for the payer, we also                     activities to support implementation
                                                      rather than using a predetermined price                 propose a value-based pricing strategy                and testing of the value-based pricing
                                                      based on historical population data.27                  that involves discounting or eliminating              strategies. We seek comment to define
                                                      Manufacturers agree to provide rebates,                 patient coinsurance amounts for                       the parameters of these educational
                                                      refunds, or price adjustments if the                    services that are determined to be high               activities.
                                                      product does not meet targeted                          in value in an attempt to tailor                         While all proposed Part B drugs
                                                      outcomes.28 The University of                           incentives. Although many Medicare                    would be potentially subject to the
                                                      Washington’s School of Pharmacy                         beneficiaries have wrap-around                        value-based pricing strategies outlined
                                                      maintains the Performance Based Risk                    coverage (which reduces or eliminates                 here, we seek comment on the potential
                                                      Sharing Database, which currently lists                 cost sharing), reducing cost sharing for              groups of Part B drugs most suitable for
                                                      detailed information on 311 risk-sharing                certain products can still provide an                 each of the proposed approaches to
                                                      arrangements subject to participation                   effective incentive for a subset of the               value-based pricing. We also seek
                                                      fees and licensing agreements.29 VBP                    population to encourage use of high-                  comment on any additional types of
                                                      arrangements with manufacturers are                     value drug products. Therefore, we                    value-based pricing that could be
                                                      discussed in more detail in a later                     propose to waive beneficiary cost                     considered for future rulemaking for the
                                                      section.                                                sharing from the current 20 percent,                  Medicare Part B Drug Payment Model.
                                                         We propose that any outcomes-based                   meaning that the copayment that is                       To protect beneficiaries and to allow
                                                      risk-sharing agreements that we enter                   associated with a HCPCS code in phase                 for the consideration of special
                                                      into would require a clearly defined                    II of the model could be reduced by                   circumstances that may warrant the use
                                                      outcome goal. We seek comment on                        CMS to a value that is less than 20                   of non-model payments in certain
                                                      methods to collect and measure                          percent and could be waived                           situations, we are proposing a Pre-
                                                      outcomes, including parameters around                   completely. In addition, consistent with              Appeals process for certain value-based
                                                      standardizing value metrics based on                    cost sharing approaches for Part B                    pricing strategies. The process is
                                                      differences in drug treatments and their                drugs, we propose that beneficiary cost               discussed in section IV. of this proposed
                                                      targeted patient subpopulations. At a                   sharing will not exceed 20 percent of                 rule.
                                                      minimum, and in addition to sources                     the total model-based payment amount                     As noted, we are aware that the value-
                                                                                                              for the Part B drug. In other words, this             based pricing tools discussed here could
                                                         26 Neumann PJ, et al. Risk-Sharing Arrangements
                                                                                                              model does not seek to increase cost                  pose a risk of abuse if not properly
                                                      That Link Payment For Medications To Health
                                                                                                              sharing percentages beyond 20 percent                 structured and operated. It is our goal
                                                      Outcomes Are Proving Hard To Implement. Health                                                                that the Medicare Part B Drug Payment
                                                      Affairs. 2011;30(12):2329–2337.                         for low-value drugs. We would also like
                                                         27 Garrison L, Carlson J. Performance-Based Risk-    to make clear that cost sharing changes               Model promotes integrity, transparency,
                                                      Sharing Arrangements for Drugs and Other Medical        will be applied at the HCPCS level to all             and accountability. We seek comment
                                                      Products. Web. 12 Jan. 2016. https://                   drugs NDCs in a HCPCS code; we are                    on potential safeguards that could be
                                                      depts.washington.edu/pbrs/PBRS_slides.pdf.                                                                    implemented with each of these tools to
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                                                         28 Garrison LP, et al. Private Sector Risk-Sharing
                                                                                                              not proposing manufacturer-specific or
                                                                                                              NDC-specific cost sharing amounts, nor                make certain that the intent of the
                                                      Agreements in the United States: Trends, Barriers,
                                                      and Prospects. Am J Manag Care. 2015;21(9):632–         are we proposing that providers or                    policy is not undermined.
                                                      640. Web. 17 Dec. 2015. http://www.ajmc.com/            suppliers would have flexibility to
                                                      journals/issue/2015/2015-vol21-n9/private-sector-
                                                                                                                                                                    3. Development of a Clinical Decision
                                                      risk-sharing-agreements-in-the-united-states-trends-
                                                                                                              change or waive cost sharing amounts.                 Support Tool
                                                      barriers-and-prospects.                                 By itself, value-based pricing that
                                                         29 University of Washington School of Pharmacy.
                                                                                                                                                                       Another potential component of VBP
                                                      Performance-Based Risk-Sharing Database. Web. 17          30 We discuss evidence further in section III.B.3   is the support of accurate clinical
                                                      Dec. 2015. https://depts.washington.edu/pbrs/           (Development of a Clinical Decision Support Tool)     decision-making that is based on up-to-
                                                      index.php#sthash.g3bTvMFA.dpuf.                         of this proposed rule.                                date scientific and medical evidence,


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                                                                                Federal Register / Vol. 81, No. 48 / Friday, March 11, 2016 / Proposed Rules                                                     13245

                                                      such as well-designed and conducted                      guideline recommendations.36 For                          we would consider alternative
                                                      clinical trials, updated information on                  example, one study showed that CDS                        approaches for presenting the data, such
                                                      drug safety, and practice guidelines.                    activity supporting the use of an                         as the use of a decision-tree format. We
                                                      Clinical decision support (CDS) can                      injectable antibiotic altered prescribing                 seek comment on how to format the
                                                      assist physicians and other health                       of the drug such that prescribing better                  educational information. We also
                                                      professionals with clinical decision-                    matched appropriate use guidelines                        envision that the tool would provide
                                                      making tasks, including prescribing.                     from the Centers for Disease Control and                  information on Part B claim payment
                                                      Information that is delivered to the                     Prevention.37 Similarly, CDS tools could                  patterns for specific drugs and/or
                                                      clinician can include general clinical                   help guide physicians to more                             indications. This part of the tool could
                                                      knowledge and guidance (such as                          efficiently utilize companion diagnostic                  be utilized nationally or within specific
                                                      updated guidelines for the clinical use                  tests such as testing for HER2                            geographic areas and could provide
                                                      of drugs, updated safety information,                    expression in certain tumors prior to                     feedback on how an individual
                                                      etc.), processed patient data, or a                      beginning chemotherapy. We are also                       physician’s drug claim patterns compare
                                                      mixture of both. The Agency for                          aware that CDS feedback on practice                       with local or national data or even
                                                      Healthcare Research and Quality                          patterns can encourage physicians to                      recommended guidelines. This
                                                      (AHRQ) defines CDS tools as a system                     improve their practice patterns.38                        information would be solely for
                                                      that ensures timely clinical information                    We propose a two component CDS                         feedback and to support a physician’s
                                                      at the point of care by focusing on                      tool that consists of an online tool that                 interest in mindful prescribing. We
                                                      patient-specific information in real time                supports clinical decisions through                       believe that the concept of this tool is
                                                      to help physician and clinical care                      education and provides feedback based                     consistent with the proposed model’s
                                                      teams proactively identify early                         on drug utilization in Medicare claims.                   aim as discussed in the introduction to
                                                      warnings of potential problems, or                       The educational tool would be                             the preamble, to achieve high quality
                                                      providing suggestions for the clinical                   developed by CMS with support from                        and smarter spending on drugs and
                                                      team and patient to consider.31 Other                    the VBP contractor and would be                           biologicals paid under Part B.
                                                      examples of CDS tools include                            available to physicians in the VBP arms                      We propose the evidence-based part
                                                      standardized drug and test orders that                   of the model (see Table 1). Physicians                    of the CDS tool would encompass
                                                      are developed from evidence-based                        participating in the model would                          specific drugs, groups of similar drugs,
                                                      medical guidelines when prescribing for                  voluntarily access the education tool,                    or diagnoses that are typically
                                                      particular conditions or types of                        meaning that they would have a choice                     encountered in Part B. The tool would
                                                      patients; preventive care reminders; and                 about whether to use the tool and how                     be available online and readily available
                                                      alerts about potentially dangerous                       they would apply information from the                     to participants in the VBP arm of the
                                                      situations such as adverse drug events.32                tool to their practice. This tool is not                  model and would provide pertinent up-
                                                         We are aware of reports that CDS tools                intended to act as or replace, in any                     to-date information on drug therapies
                                                      can be effective in changing practice                    way, the physician’s medical judgment                     and treatments for a specific condition.
                                                      patterns to better align with evidence-                  for the treatment of patient-specific
                                                                                                                                                                         The tool would provide information
                                                      based developments and best                              clinical conditions nor is the tool
                                                                                                                                                                         such as links to evidence-based
                                                      practices.33 34 35 CDS tools enable                      intended to replace a practitioner’s
                                                                                                                                                                         guidelines for appropriate drug use and
                                                      physicians to improve patient safety and                 ability to order reasonable and
                                                                                                                                                                         updated information on drug safety.
                                                      quality of care by improving patient-                    necessary Part B drugs as appropriate.
                                                                                                               Rather, the tool is intended to provide                      A CDS tool is more likely to be
                                                      specific drug dosing, reducing the risk                                                                            effective in improving the value of
                                                                                                               information on prescribing for specific
                                                      of toxic drug levels, reducing the time                                                                            payment for prescribed drugs if it
                                                                                                               indications that reflects up-to-date
                                                      to achieve therapeutic drug levels,                                                                                adequately reflects the clinical evidence
                                                                                                               literature and consensus guidelines. We
                                                      decreasing medication errors, and                                                                                  available and strives to rely on
                                                                                                               believe that the availability of this tool
                                                      changing prescribing patterns in                                                                                   objective, high quality evidence from
                                                                                                               could provide physicians with better
                                                      accordance with evidence-based clinical                                                                            neutral and/or independent sources. We
                                                                                                               access to up-to-date information such as
                                                                                                               guidelines for effective treatments as                    understand that the quality of available
                                                        31 Clinical Decision Support. June 2015. Agency
                                                                                                               well as safe and appropriate drug use for                 evidence can vary for any given drug or
                                                      for Healthcare Research and Quality, Rockville, MD.                                                                indication. High quality evidence is
                                                      http://www.ahrq.gov/professionals/prevention-            specific diagnoses. We anticipate that
                                                      chronic-care/decision/clinical/index.html.               information would be listed and                           comprehensive, relies on randomized
                                                        32 Ibid.
                                                                                                               indexed to correspond to drugs and                        trial designs where possible, and
                                                        33 Moxey, A., Robertson, J., Newby, D., Hains, I.,
                                                                                                               disease states or conditions that are                     measures outcomes. Research findings
                                                      Williamson, M., & Pearson, S.-A. (2010).
                                                                                                               commonly treated in Part B. However,                      should be valid, reliable, and
                                                      Computerized clinical decision support for                                                                         generalizable to the Medicare
                                                      prescribing: provision does not guarantee uptake.
                                                      Journal of the American Medical Informatics                36 Moxey, A., Robertson, J., Newby, D., Hains, I.,      population. To incorporate information
                                                      Association: JAMIA, 17(1), 25–33. http://doi.org/        Williamson, M., & Pearson, S.-A. (2010).                  in the CDS tool, we propose that we
                                                      10.1197/jamia.M3170.                                     Computerized clinical decision support for                would follow a hierarchy of evidence
                                                        34 Bates, D. W., Kuperman, G. J., Wang, S.,            prescribing: provision does not guarantee uptake.         review similar to that followed by our
                                                      Gandhi, T., Kittler, A., Volk, L., . . . Middleton, B.   Journal of the American Medical Informatics
                                                      (2003). Ten Commandments for Effective Clinical          Association: JAMIA, 17(1), 25–33. http://doi.org/         Medicare Coverage Advisory
                                                                                                               10.1197/jamia.M3170.                                      Committee, the AHRQ, or the United
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      Decision Support: Making the Practice of Evidence-
                                                      based Medicine a Reality. Journal of the American          37 Shojania, K. G., Yokoe, D., Platt, R., Fiskio, J.,   States Preventive Services Task Force,
                                                      Medical Informatics Association: JAMIA, 10(6),           Ma’luf, N., & Bates, D. W. (1998). Reducing               as well as numerous private bodies such
                                                      523–530. http://doi.org/10.1197/jamia.M1370.             Vancomycin Use Utilizing a Computer Guideline:
                                                        35 Kevin M. Terrell DO, MS, Anthony J. Perkins         Results of a Randomized Controlled Trial. Journal
                                                                                                                                                                         as the National Comprehensive Cancer
                                                      MS, Paul R. Dexter MD, Siu L. Hui Ph.D.,                 of the American Medical Informatics Association:          Network.39 40 41 These entities and others
                                                      Christopher M. Callahan MD and Douglas K. Miller         JAMIA, 5(6), 554–562.
                                                      MD. Computerized Decision Support to Reduce                38 Stammen LA, Stalmeijer RE, Paternotte E, et al.        39 Medicare Coverage Advisory Committee;

                                                      Potentially Inappropriate Prescribing to Older           Training Physicians to Provide High-Value, Cost-          Operations and Methodology Subcommittee.
                                                      Emergency Department Patients: A Randomized,             Conscious Care: A Systematic Review. JAMA.                Process for Evaluation of Effectiveness and
                                                      Controlled Trial. J Am Geriatr Soc. 2009                 2015;314(22):2384–2400. doi:10.1001/                      Committee Operations. July 21, 2005.
                                                      Aug;57(8):1388–94.                                       jama.2015.16353.                                                                                   Continued




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                                                      13246                     Federal Register / Vol. 81, No. 48 / Friday, March 11, 2016 / Proposed Rules

                                                      favor peer reviewed scientific literature               propose that the CDS tool will be                     within the current payment system.
                                                      and randomized control trial research                   available to physicians (that is, internal            These approaches are generally built
                                                      designs over other types of evidence,                   use only and non-publicly available) for              around achievement of clinical
                                                      but provide a process that allows for                   informational purposes only and will                  outcomes and a new payment flow
                                                      consideration of many types of                          not impact participating physician                    between CMS and the manufacturer,
                                                      evidence.                                               group practices and solo practitioners’               using a mechanism such as a rebate.
                                                         In addition to prioritizing review of                Part B drug payments.                                    Outcomes-based rebates, for example,
                                                      high quality evidence, CMS would post                     In summary, we are proposing a two-                 appear to be used by industry to
                                                      the evidence base that supports                         component CDS tool for physicians in                  measure and reward quality and clinical
                                                      information that is included in the                     the VBP arms of the model. The tool                   effectiveness for new drug products.
                                                      online CDS, and consider feedback from                  will use high quality evidence to                     Ideally, outcomes-based rebates lead to
                                                      the public on that evidence basis for 30                educate physicians on best practices.                 payers realizing a reduction in the
                                                      days before finalizing a CDS tool for a                 The tool also would rely on regularly                 uncertainty that is associated with a
                                                      specific indication. We propose that the                updated claims data reports to provide                new drug’s clinical value, performance,
                                                      public would be able to provide                         feedback on prescribing patterns. We                  and financial impact, while
                                                      feedback on the evidence basis                          seek comments on our proposed                         manufacturers are able to better
                                                      proposed for information that is                        approach for identifying high-quality                 differentiate and demonstrate the value
                                                      included in the CDS tool before CMS                     evidence and allowing for public                      and effectiveness of their product.42
                                                      finalizes the information. We plan to                   feedback on the evidence basis; the                   Value is measured through data
                                                      implement the CDS tool incrementally,                   online format of this proposed support                collection likely, though not necessarily,
                                                      that is, to begin with a limited number                 tool; the most effective method for                   provided by the prescriber and intended
                                                      of drugs and/or disease states. We seek                 physicians to access their reports on                 to address factors such as long-term
                                                      comment on which Part B drugs and                       prescribing patterns, identifying what                safety and outcomes, effect on an
                                                      conditions that are commonly treated by                 content should be included (for                       individual patient, patient adherence, or
                                                      drug therapy would be good candidates                   example, claim payment/prescribing                    impact on utilization and costs. The
                                                      for inclusion. We also would allow for                  patterns, resource use, clinical and cost             product’s final price or rebate amount is
                                                      feedback on any substantial refinements                 domains, patient clinical and                         linked to its actual effect on these
                                                      to an online tool.                                      demographic information, information                  measured outcomes.
                                                         In addition to developing an                         about drug-drug and drug-disease                         One example of a potential structure
                                                      evidence-based component for the tool,                  interactions and clinical support                     would be a ‘‘try before you buy’’
                                                      we propose creating an online source of                 guidelines for these interactions, among              arrangement. For example, for a product
                                                      data under our section 1115A authority                  other factors). We also solicit comment               that works for some but not all
                                                      that would provide feedback to                          on the level of feedback, and whether                 beneficiaries, a manufacturer might offer
                                                      physicians in the VBP arms of the                       personalized reports are necessary. To                to provide a partial or full rebate to CMS
                                                      model. We propose to use a process                      the extent that such feedback includes                for the costs of product purchased for
                                                      similar to that already established for                 personally identifiable information, we               patients that do not ultimately benefit
                                                      reporting programs such as the Quality                  would provide such information                        from therapy. Because of the time lag
                                                      and Resource Use Reports (QRURs) that                   through the proposed support tool                     involved in assessing response to
                                                      physician group practices and solo                      consistent with applicable privacy laws,              therapy from claims data sources, a
                                                      practitioners receive nationwide. At this               including, but not limited to, the Health             rebate might be the most efficient way
                                                      time, we make QRURs available to                        Insurance Portability and                             to implement such a purchasing
                                                      groups and solo practitioners that                      Accountability Act of 1996 (HIPAA)                    agreement.
                                                      participate in the Medicare Shared                      Privacy Rule. We solicit comment                         We solicit comment on the approach
                                                      Savings Program, the Pioneer                            concerning privacy issues with respect                described above and on implementing a
                                                      Accountable Care Organization (ACO)                     to the proposed support tool.                         program to incorporate VBP
                                                      Model, or the Comprehensive Primary                                                                           arrangements created with
                                                      Care Initiative. We propose that this                   C. Comment Solicitation
                                                                                                                                                                    manufacturers as a part of the VBP tools
                                                      online tool under the Part B Drug                         We are considering the three                        that will be tested in this model. We
                                                      Payment Model would allow providers                     approaches discussed below: Creating                  also seek comment on a number of
                                                      and suppliers to access reports on their                value-based purchasing arrangements                   specific issues, discussed below,
                                                      Medicare Part B drug claims as well as                  for Part B drugs directly with                        surrounding rebate-based payment
                                                      claims patterns in their geographic area                manufacturers, the Part B Drug CAP,                   structures.
                                                      and national patterns. We intend for this               and an episode-based or bundled                          CMS is currently considering whether
                                                      feedback to allow providers and                         pricing approach for Part B drugs, as                 rebate distributions could be returned to
                                                      suppliers to better understand Part B                   potential areas of interest in furthering             the Medicare Part B Trust Fund, the
                                                      claim payment patterns and identify                     value for Part B drugs. We solicit                    beneficiary, the provider or supplier, or
                                                      opportunities for individual                            comments to determine if any or all are               a combination of the three. Any rebate
                                                      improvement. We also believe that this                  appropriate to pursue as part of the Part             arrangement would have to conform to
                                                      activity will align with our efforts to                 B Drug Payment Model or in the near                   the requirements of the Act and federal
                                                      provide regularly updated feedback to                   future.
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                                                                                                                                    appropriations law. Comments
                                                      providers and suppliers on metrics such                                                                       regarding the construction of these
                                                                                                              1. Creating Value-Based Purchasing
                                                      as cost and quality measures. We                                                                              rebate arrangements are especially
                                                                                                              Arrangements Directly With
                                                        40 Agency for Healthcare Research and Quality.
                                                                                                              Manufacturers: Solicitation of                          42 Garrison, Louis, et al. Private Sector Risk-
                                                      Methods Guide for Effectiveness and Comparative         Comments                                              Sharing Agreements in the United States: Trends,
                                                      Effectiveness Reviews. January 2014.                       We have received inquiries from                    Barriers, and Prospects. Am J Manag Care. 21(9)
                                                        41 National Comprehensive Cancer Network                                                                    Sep. 2015: 632–640. Web. 16 Dec. 2015. http://
                                                      (NCCN). NCCN Categories of Evidence and
                                                                                                              manufacturers interested in testing new               www.ajmc.com/journals/issue/2015/2015-vol21-n9/
                                                      Consensus. http://www.nccn.org/professionals/           approaches to paying for medications                  private-sector-risk-sharing-agreements-in-the-
                                                      physician_gls/categories_of_consensus.asp.              under Part B that are not accommodated                united-states-trends-barriers-and-prospects.



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                                                                                Federal Register / Vol. 81, No. 48 / Friday, March 11, 2016 / Proposed Rules                                          13247

                                                      welcome. We seek comment on the                         how we might monitor the prices paid                  could not be addressed under the
                                                      value of and potential approaches for                   by suppliers and providers for Part B                 existing statutory requirements. These
                                                      sharing rebates by providing incentive                  drugs under the proposed model.                       concerns included uncertainty about the
                                                      payments to beneficiaries and                                                                                 participation of non-pharmacy entities
                                                                                                              2. The Part B Drug Competitive
                                                      prescribers. We solicit comments on                                                                           like wholesalers as approved CAP
                                                                                                              Acquisition Program (CAP): Solicitation
                                                      how to incorporate rebates into claims                                                                        vendors, and the requirement for a
                                                                                                              of Public Comments
                                                      payment for prescribers or potentially                                                                        beneficiary-specific order which
                                                      the use of payments made outside of the                    Section 1847B of the Act required the              impacts the use of a consignment model
                                                      claims processing system. Additionally,                 implementation of the CAP for drugs                   to facilitate emergency deliveries and to
                                                      we seek comment on the value and                        that are not paid on a cost or                        manage inventory through automated
                                                      potential methods for sharing rebates                   prospective payment basis. The CAP                    dispensing systems in the office. Many
                                                      with beneficiaries through reduced cost                 was an alternative to the ASP method                  commenters were also concerned about
                                                      sharing or other incentives. As we are                  that is used to pay for the majority of               the complexity of the program and the
                                                      aware that the incentives discussed here                Part B drugs, particularly drugs that are             level of financial risk, particularly for
                                                      could pose a risk of abuse if not                       administered during a physician’s office              vendors. Also, an evaluation of the
                                                      properly structured and operated, we                    visit. Instead of buying drugs for their              program found that it was not associated
                                                      also seek comment on the appropriate                    offices, physicians who chose to                      with savings (https://www.cms.gov/
                                                      amount for any rebate sharing and other                 participate in the CAP would place a                  Research-Statistics-Data-and-Systems/
                                                      potential safeguards that could be                      patient-specific drug order with an                   Statistics-Trends-and-Reports/Reports/
                                                      implemented to make certain that the                    approved CAP vendor; the vendor                       Research-Reports-Items/
                                                      intent of the policy is not undermined.                 would provide the drug to the office and              CMS1234237.html).
                                                      It is our goal that the Medicare Part B                 then bill Medicare and collect cost                      More detailed information about the
                                                      Drug Payment Model promotes                             sharing amounts from the patient. Drugs               CAP is available on the following CMS
                                                      integrity, transparency, and                            were supplied in unopened containers                  Web page and links within the Web
                                                      accountability. Further, we seek                        (not pharmacy-prepared individualized                 page: https://www.cms.gov/Medicare/
                                                      comment on the basis for potential                      doses like syringes containing a                      Medicare-Fee-for-Service-Part-B-Drugs/
                                                      voluntary rebates other than the                        patient’s prescribed dose). Most Part B               CompetitiveAcquisforBios/index.html.
                                                      proposed value-based pricing, CDS tool,                 drugs used in physicians’ offices were                The downloads section of the following
                                                                                                              supplied by the approved CAP vendor.                  CMS Web page includes information
                                                      or other educational activities as
                                                                                                              Unlike the ‘‘buy and bill’’ process that              about CAP vendor bidding, physician
                                                      discussed earlier in this proposed rule
                                                                                                              is still used to obtain many Part B drugs,            participation, and drugs provided under
                                                      for future rulemaking. We are
                                                                                                              physicians who participated in the CAP                the CAP: https://www.cms.gov/
                                                      particularly interested in whether and to
                                                                                                              did not buy or take title to the drug.                Medicare/Medicare-Fee-for-Service-Part-
                                                      what extent other payers base rebates on
                                                                                                              Physician participation in the CAP was                B-Drugs/CompetitiveAcquisforBios/
                                                      tools other than those we have listed
                                                                                                              voluntary, but physicians had to elect to             vendorbackground.html.
                                                      here. We are interested in specific
                                                                                                              participate in the CAP. CAP drug claims                  The Part B drug market has evolved
                                                      examples of rebate agreements
                                                                                                              were processed by a designated carrier.               significantly since the CAP was
                                                      appropriate for this proposed model that                   We conducted bidding for CAP                       suspended in 2009. For example, there
                                                      manufacturers might be interested in                    vendors in 2005. The first CAP contract               has been enormous growth in specialty
                                                      creating. We recognize that                             period ran from July 1, 2006 until                    drugs, both by the number of drugs
                                                      manufacturers are much more likely to                   December 31, 2008. One drug vendor                    available and the cost of the products;
                                                      offer rebates for drugs where potential                 participated in the program, providing                acquisition of specialty drugs may
                                                      therapeutically similar drug alternatives               drugs that included approximately 180                 utilize restricted distribution channels
                                                      are available. We also seek comments                    HCPCS billing codes (including heavily                (like specialty distributors or
                                                      that identify examples of groups of                     utilized drugs in Part B) to physicians               pharmacies as opposed to buying drugs
                                                      therapeutically similar Part B drugs that               across the United States and its                      from wholesalers and the manufacturer);
                                                      are potential candidates for rebate                     territories. The parameters for the                   and health information technology also
                                                      arrangements, as well as industry                       second round of the vendor contract                   has changed the way physicians and
                                                      examples of rebates for drugs paid for by               were essentially the same as those for                distributers manage many drug
                                                      Medicare Part B, including drugs that                   the first round. While we received                    products.
                                                      are used in physicians’ offices and                     several qualified bids for the subsequent                Although we are not proposing to
                                                      outpatient hospital settings. We are                    contract period, shortly before the                   include a CAP-like alternative in this
                                                      particularly interested in how                          second contract period began,                         model at this time, we are interested in
                                                      significant an effort might be required to              contractual issues with the successful                receiving comments that would help us
                                                      establish and execute risk sharing for                  bidders led to the postponement of the                determine whether sufficient interest in
                                                      outcomes-based rebates compared to                      program, and the CAP has been                         such a program is present for us to
                                                      volume-based rebates.                                   suspended since January 1, 2009.                      consider developing and testing such an
                                                         Finally, we seek comment on specific                 Details are available in the links at the             alternative as a part of a future model.
                                                      approaches that could be used to define                 end of this section.                                  We are specifically interested in
                                                      rebates, details on how these                              After the CAP was suspended, we                    comments on whether there is a role for
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      arrangements could be created,                          sought additional input from physicians               a CAP-like alternative to the ASP (buy
                                                      mechanisms that could be used to                        and interested parties about further                  and bill) process for obtaining drugs that
                                                      calculate and distribute rebate amounts,                improvements to the program. For                      are billed under Part B in the
                                                      the amount of transparency in any                       example, we held Open Door Forums,                    physician’s office. Given the length of
                                                      arrangement, how the rebates should be                  met with stakeholders and encouraged                  time that has elapsed since the last
                                                      accounted for in manufacturers’ ASP                     correspondence from stakeholders and                  solicitation for comments about the CAP
                                                      reports, other applicable pricing                       physicians who participated in the CAP.               in 2010, we are also interested in
                                                      information reported to CMS (for                        Although we received some useful                      updated perspectives on issues such as
                                                      example, for Medicaid purposes), and                    suggestions, several significant concerns             smaller geographic areas, smaller scope


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                                                      13248                     Federal Register / Vol. 81, No. 48 / Friday, March 11, 2016 / Proposed Rules

                                                      of drugs included in the program, the                   greater incentives for improved patient                 differences in drug treatments and their
                                                      role of wholesalers and consignment in                  outcomes and financial accountability                   targeted patient subpopulations, as well
                                                      the program, the drug ordering process,                 for episodes of care surrounding                        as measures of total cost of care and
                                                      risk sharing, impact on physician                       particular courses of treatment using                   adjustments for case-mix.
                                                      negotiated volume discounts when CAP                    particular Part B drugs. CMS is pursuing                  • The scope of the bundle or episode
                                                      would be used for Medicare patients,                    bundled and episode payments through                    of care, if not considering total cost of
                                                      and how these issues could be                           models such as the BPCI initiatives,43                  care.
                                                      addressed if we were to consider                        the OCM,44 and CJR.45 As evidenced by                     • The provider or entity that is
                                                      developing and testing a phase of this                  the BPCI initiative and the OCM, we                     responsible for the bundle.
                                                      model in the future that is based on the                have demonstrated interest in                             • The length of time the episode
                                                      CAP.                                                    developing models that utilize aligned                  should cover.
                                                                                                              financial incentives, including                           • The best way to establish pricing for
                                                      3. Episode-Based or Bundled Pricing
                                                      Approach: Solicitation of Public                        performance-based payments, to                          a bundle and whether sharing risk and
                                                      Comments                                                improve care coordination,                              savings should be considered.
                                                                                                              appropriateness of care, and access for                   • Whether the bundles should be
                                                         Under the current FFS structure,                     beneficiaries. As part of this proposed                 established prospectively or calculated
                                                      Medicare makes separate payments for                    rule, we are specifically seeking                       retrospectively.
                                                      drugs based primarily on the                            comment on issues related to an
                                                      manufacturer’s pricing. Medicare also                                                                           D. Interactions With Other Payment
                                                                                                              episode-based or bundled pricing                        Provisions
                                                      makes separate payments for the                         approach for Part B drugs, including,
                                                      administration of these drugs to hospital               but not limited to:                                     1. Overview
                                                      outpatient settings and physician                          • How CMS could identify groups of
                                                      offices. This payment approach may not                                                                            We acknowledge that there may be
                                                                                                              similar drugs for inclusion in an episode               circumstances where a Medicare
                                                      encourage practitioners in the physician                (for example, are drugs used to treat
                                                      office or in outpatient hospital settings                                                                       beneficiary whose Part B drug therapy is
                                                                                                              certain types of arthritis suitable                     paid under the Part B Drug Payment
                                                      to consider the total cost of care for                  candidates for inclusion in an episode-
                                                      treating a beneficiary. Instead, the                                                                            Model may also be assigned to or
                                                                                                              based or bundled payment model).                        otherwise accounted for in other
                                                      current FFS drug payment structure                         • The care settings (for example
                                                      may provide an incentive to increase the                                                                        payment models, demonstrations,
                                                                                                              physician office, outpatient hospital)
                                                      volume of drugs furnished to                                                                                    programs, or other initiatives that are
                                                                                                              and disease states that we should
                                                      beneficiaries and to prescribe more                                                                             being tested by the Innovation Center. In
                                                                                                              consider for an episode-based or
                                                      expensive drugs without considering                                                                             this proposed rule, the term shared
                                                                                                              bundled pricing model.
                                                      the total cost of care for treating a                      • What types of entities/providers                   savings refers to models in which the
                                                      beneficiary with a particular drug                      and suppliers would be responsible for                  payment structure includes a
                                                      regimen across the episode of care.                     care under the program and the types of                 calculation of total savings with CMS
                                                      MedPAC, in its June 2015 report,                        financial relationships would there be if               and the model participants each
                                                      discussed bundled payments for Part B                   shared savings were considered.                         retaining a particular percentage of that
                                                      drugs as a potential approach to obtain                    • Measuring and setting outcomes,                    savings. We note that there is a potential
                                                      better pricing for Part B drugs for                     including parameters around                             for overlap between the Part B Drug
                                                      beneficiaries compared to current                       standardizing value metrics based on                    Payment Model and the Medicare
                                                      pricing under the FFS system.                                                                                   Shared Savings Program, the IVIG
                                                         In the absence of an episode-based or                   43 The BPCI initiative comprises four broadly        Demonstration, Innovation Center
                                                      bundled pricing model for Part B drugs,                 defined models of care, which link payments for the     shared savings models, and other
                                                      provider and practitioner prescribing                   multiple services beneficiaries receive during an       Innovation Center payment models,
                                                      patterns for a given drug treatment                     episode of care. Under the initiative, organizations    such as the OCM and the BPCI
                                                                                                              enter into payment arrangements that include
                                                      regimen under the current FFS payment                   financial and performance accountability for            initiative. For other models tested by the
                                                      system may unintentionally de-                          episodes of care. These models may lead to higher       Innovation Center, we have worked to
                                                      emphasize the value of drug regimens                    quality and more coordinated care at a lower cost       prevent duplication and to monitor
                                                      beyond the immediate care setting and                   to Medicare. More information on the four models        arrangements that minimize duplication
                                                                                                              can be accessed at the CMS Innovation Center:
                                                      throughout the course of drug therapy.                  https://innovation.cms.gov/initiatives/Bundled-         of effort. We anticipate undertaking
                                                      For instance, in situations where drugs                 Payments/.                                              similar efforts for the Part B Drug
                                                      represent a small portion of the total                     44 OCM is an innovative multi-payer model in         Payment Model.
                                                      cost of the patient’s overall treatment                 which practices enter into payment arrangements
                                                                                                              that include financial and performance                  2. Most Shared Savings Programs and
                                                      therapy across multiple settings,                       accountability for episodes of care surrounding         Models
                                                      particular attention may not be given to                chemotherapy administration to cancer patients.
                                                      the financial impact of the cost of the                 This model aims to provide higher quality, more           Unlike the Medicare Shared Savings
                                                      drugs relative to the total cost of a                   highly coordinated oncology care at a lower cost.       Program and shared savings models
                                                                                                              OCM is a 5-year model and will begin in spring          such as the Next Generation ACO model
                                                      patient’s care or to the interaction of                 2016. More information on the four models can be
                                                      drug therapy with other aspects of the                  accessed at the CMS Innovation Center: https://         or the Comprehensive ESRD Initiative
                                                      patient’s care.                                                                                                 where performance is measured using
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                                                                                                              innovation.cms.gov/initiatives/Oncology-Care/.
                                                         As part of this proposed rule, we are                   45 The Comprehensive Care for Joint Replacement      expansive measures that examine many
                                                      soliciting comments and suggestions to                  (CJR) model aims to support better and more             facets of a patient’s care, the Part B Drug
                                                                                                              efficient care for beneficiaries undergoing hip and
                                                      consider in future rulemaking related to                knee replacements. This model tests bundled
                                                                                                                                                                      Payment Model is limited to payments
                                                      an episode-based or bundled pricing                     payment and quality measurement for an episode          for drug therapy. Also, the Part B Drug
                                                      approach for Part B drugs in both                       of care associated with hip and knee replacements       Payment Model as it is proposed does
                                                      physician offices and hospital                          to encourage hospitals, physicians, and post-acute      not define episodes of care and instead
                                                                                                              care providers to improve the quality and
                                                      outpatient settings. The intent of this                 coordination of care from the initial hospitalization
                                                                                                                                                                      makes payments for specific drug claims
                                                      comment solicitation is to explore an                   through recovery. https://innovation.cms.gov/           that are submitted by provider or
                                                      initial framework that could promote                    initiatives/cjr.                                        supplier to the Medicare Administrative


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                                                                                Federal Register / Vol. 81, No. 48 / Friday, March 11, 2016 / Proposed Rules                                         13249

                                                      Contractors (MACs) that typically                       Oncology drugs represent a significant                Similarly, the stratified random
                                                      process their current drug claims. We                   portion of Part B claims and include                  assignment approach used in the Part B
                                                      believe that the adjustments made to the                many high cost drugs. Drug claims                     Drug Payment Model will ensure that
                                                      ASP add-on and other Part B payment                     under the OCM are paid under the ASP                  OCM participant and comparison
                                                      amounts will typically represent a small                methodology and costs associated with                 practices are each allocated
                                                      proportion of the beneficiary’s total                   therapy (including drugs) are evaluated               approximately evenly across the arms of
                                                      payments for care, and thus we propose                  periodically. In the impact section to                the Part B Drug Payment Model. Since
                                                      not to exclude beneficiaries assigned to                this proposed rule, section IX, we note               the share of practices allocated to each
                                                      ACOs in the Medicare Shared Savings                     the percent of total spending                         Part B Drug Payment Model treatment
                                                      Program or otherwise accounted for in                   attributable to Part B drugs by specialty.            arm will be approximately the same
                                                      shared savings models from inclusion in                 Almost 80 percent of oncology practice                across both the OCM participant and
                                                      the Part B Drug Payment Model. Also,                    Medicare FFS revenue is from Part B                   comparison groups, the existence of the
                                                      we do not propose a separate                            drugs.                                                Part B Drug Payment Model should not
                                                      reconciliation process or modification to                  We plan to proceed with both models,               bias comparisons between OCM
                                                      the reconciliation process for these                    and we propose to include OCM                         participants and non-participants and
                                                      beneficiaries. This means that with the                 practices in all arms of the Part B Drug              thus should not affect our ability to
                                                      exception of the OCM discussed in the                   Payment Model. That is, we would not                  identify the independent effect of the
                                                      next section, we do not plan to exclude                 alter the sampling plan discussed in                  OCM (that is, the effect of the OCM
                                                      or apply reconciliation processes to                    section II of this proposed rule to                   holding Part B Drug Payment Model
                                                      other shared savings programs or                        exclude practices choosing to                         activities constant). We seek comment
                                                      models.                                                 participate in OCM or practices that we               on these conclusions.
                                                                                                              might identify as the comparison group                  The agency continues to assess best
                                                      3. Oncology Care Model                                  for OCM. In particular, as described                  methods for addressing the overlap
                                                         OCM evaluates the impact of                          above, the Part B Drug Payment Model                  between the two models. We solicit
                                                      appropriately aligned financial                         is proposed as a national mandatory                   comments on why practices choosing to
                                                      incentives to improve care coordination,                model so that all practices in selected               participate in the OCM should or should
                                                      appropriateness of care, and access to                  PCSAs will participate in the Part B                  not be included in the Part B Drug
                                                      care for beneficiaries undergoing                       Drug Payment Model whether or not                     Payment Model. Should OCM practices
                                                      chemotherapy. Under OCM, practices                      they elect to participate in any                      be included in this Part B Drug Payment
                                                      will enter into payment arrangements                    voluntary models. Selected OCM                        Model as we propose, we solicit
                                                      that include financial and performance                  practices and matched comparison                      comment on the best mechanism to
                                                      accountability for episodes of care                     group practices could account for up to               account for the overlap between these
                                                      surrounding chemotherapy                                almost 40 percent of total Part B drug                two models. We also solicit comments
                                                      administration to cancer patients. The                  spending and for 70 percent of Part B                 on the generalizability of the results of
                                                      OCM is one of our key initiatives on                    spending on oncology drugs depending                  the Part B Drug Payment Model if the
                                                      alternative payment models, and we are                  upon the actual enrollment of number                  OCM practices and their matched
                                                      preparing for implementation later this                 and type of practices in the model. For               comparison practices are excluded;
                                                      year.                                                   this reason, we also believe that the                 specifically, on whether the model will
                                                         OCM incorporates a two-part payment                  remaining oncology spending would not                 produce usable information without the
                                                      system for participating practices,                     be representative of Part B spending                  OCM practices and their comparison
                                                      creating incentives to improve the                      overall and Part B oncology spending in               practices. As we move forward to
                                                      quality of care and furnish enhanced                    particular. Therefore we are proposing                implement OCM, we will work closely
                                                      services for beneficiaries who undergo                  to include all OCM practices, both                    with OCM practices within the context
                                                      chemotherapy treatment for a cancer                     intervention and comparison group                     of that voluntary model to adapt to the
                                                      diagnosis. The two forms of payment                     practices, in this model.                             Part B Drug Payment Model if
                                                      include a monthly per-beneficiary-per-                     We believe that including OCM                      necessary, for example through
                                                      month (PBPM) payment for the duration                   practices in the Part B Drug Payment                  modifications to the financial
                                                      of the episode and the potential for a                  Model will not compromise our ability                 reconciliation methodology.
                                                      performance-based payment for                           to evaluate effectively the effects of
                                                      episodes of chemotherapy care. The                      either model. In particular, the stratified           4. Intravenous Immune Globulin (IVIG)
                                                      monthly PBPM care management                            random assignment approach used to                    Demonstration
                                                      payment supports infrastructure and                     allocate PCSAs to the treatment and                      The Medicare IVIG Demonstration
                                                      organizational change to meet the OCM                   control arms of the Part B Drug Payment               evaluates the benefits of providing
                                                      requirements, such as 24/7 access to                    Model will ensure that each arm of the                payment and items for services needed
                                                      care, and assists participating practices               Part B Drug Payment Model contains an                 for the in-home administration of
                                                      in effectively managing and                             approximately equal number of OCM                     intravenous immune globulin for the
                                                      coordinating care for oncology patients                 participating practices. Since the                    treatment of primary immune deficiency
                                                      during episodes of care, while the                      number of OCM participants will be                    disease (PIDD).
                                                      potential for performance-based                         approximately the same in all arms of                    Services and items covered under the
                                                      payment will give practices incentives                  the Part B Drug Payment Model, the                    demonstration are provided and billed
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                                                      to lower the total cost of care and                     existence of the OCM should not bias                  by the suppliers that provide the IVIG,
                                                      improve care for beneficiaries during                   comparisons of outcomes across arms of                which is already covered under
                                                      treatment episodes.                                     the Part B Drug Payment Model; thus,                  Medicare Part B. The demonstration-
                                                         There will be overlap between the                    the existence of the OCM should not                   covered services and items are paid as
                                                      Part B Drug Payment Model presented                     affect our ability to identify the                    a single bundle and will be subject to
                                                      in this proposed rule and OCM in that                   independent effect of the Part B Drug                 coinsurance and deductible in the same
                                                      both models will affect providers’ and                  Payment Model (that is, the effect of the             manner as other Part B services. Home
                                                      suppliers’ incentives for the use of                    Part B Drug Payment Model holding the                 health agencies are not eligible to bill
                                                      oncology drugs, but in different ways.                  level of OCM participation constant).                 for services covered under the


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                                                      13250                     Federal Register / Vol. 81, No. 48 / Friday, March 11, 2016 / Proposed Rules

                                                      demonstration but may still bill for                    described in section III.B of this                    or beneficiary may choose to appeal the
                                                      services related to the administration of               proposed rule, and would not include                  payment amount, under 42 CFR part
                                                      IVIG that are covered under the                         modifications to the ASP add-on,                      405 subpart I, after the phase II price has
                                                      payment for a home health episode of                    described in section III.A of this                    been paid for a drug.
                                                      care.                                                   proposed rule. The Pre-Appeals                           Under 42 CFR part 405 subpart I,
                                                        This IVIG demonstration encompasses                   Payment Exception Review process                      MACs make an initial determination in
                                                      only the items and services that are                    would allow the provider, supplier, or                response to a claim for benefits
                                                      needed for the in-home administration                   beneficiary to contact the contractor,                submitted by a provider, supplier, or
                                                      of IVIG; payments for IVIG are not                      before submitting a claim, and explain                beneficiary. We propose that the phase
                                                      changed. We therefore propose not to                    why an exception to Medicare’s pricing                II pricing policy established by
                                                      exclude patients in the IVIG                            policy, as described in section II.B, is              Medicare, which is proposed in
                                                      demonstration from inclusion in this                    warranted in the beneficiary’s situation,             § 511.305 of this proposed rule, and
                                                      model. We seek comment on our                           and explain why the price provided                    discussed in section III.B of this
                                                      proposed approach and the potential                     under the phase II pricing policy does                proposed rule, and any pricing
                                                      interactions with existing models and                   not provide accurate compensation for                 determination rendered through the Pre-
                                                      payment provisions.                                     the prescribed drug. The Payment                      Appeals process will be given
                                                                                                              Exceptions decisions would be issued,                 substantial deference, but will not be
                                                      IV. Provider, Supplier, and Beneficiary
                                                                                                              in writing, within 5 business days of                 binding on any appeals adjudicator,
                                                      Protections
                                                                                                              receipt of the request for a payment                  regardless of whether the party
                                                         Providers, suppliers, and beneficiaries              exception. While a payment exception                  requesting an appeal first utilized the
                                                      who are included in the model will                      decision would not confer appeal rights,              Pre-Appeals process. If the provider,
                                                      have access to the existing claims                      a provider, supplier, or beneficiary                  supplier, or beneficiary is dissatisfied
                                                      appeals process, as well as a proposed                  dissatisfied with a payment exception                 with the MAC’s initial determination,
                                                      Pre-Appeals Payment Exceptions                          decision or a pricing decision, may still             they may request that the MAC perform
                                                      Review process, to resolve disputes                     utilize the current appeals process in 42             a redetermination under 42 CFR
                                                      arising from the policies implemented                   CFR part 405 subpart I following                      405.940. If the provider, supplier, or
                                                      by this model. The process will be                      submission of a claim. Throughout this                beneficiary is dissatisfied with the
                                                      developed and finalized by CMS. The                     process, providers and suppliers would                redetermination, they may then request
                                                      phase II contractor’s scope of work will                be prohibited from charging a                         a reconsideration by the Qualified
                                                      also include day-to-day operation of this               beneficiary more than the applicable                  Independent Contractor (QIC) under 42
                                                      process. The Payment Exceptions                         cost sharing as explained in Section                  CFR 405.960. A provider, supplier, or
                                                      Review process will precede the formal                  III.B.2, above, even if a payment                     beneficiary may then request a hearing
                                                      Part B claims appeals process in existing               exceptions request is not approved by                 before an Administrative Law Judge
                                                      42 CFR part 405 subpart I and will allow                the contractor or the payment amount                  (ALJ) under 42 CFR 405.1000, if the
                                                      a provider, supplier, or beneficiary to                 determined by the contractor remains                  claim(s) at issue meet the amount in
                                                      raise issues regarding payment that are                 unchanged as a result of the appeals                  controversy requirement ($150 for
                                                      included in the VBP tools under phase                   process.                                              CY2016). Finally, a provider, supplier or
                                                      II before submitting a claim. We                           All of the current claims appeals                  beneficiary may request Appeals
                                                      anticipate the Payment Exceptions                       rights will remain in place regardless of             Council review under 42 CFR 405.1100,
                                                      Review process will give providers,                     participation in this model or the choice             et seq., and then, in certain
                                                      suppliers, or beneficiaries the                         to utilize the Pre-Appeals process. We                circumstances, request judicial review
                                                      opportunity to preempt potential                        discuss the current appeals process                   in Federal district court under 42 CFR
                                                      disputes regarding a model payment,                     below.                                                405.1132, if the amount in controversy
                                                      prior to filing a Medicare Appeal under                                                                       requirement is satisfied ($1,500 for CY
                                                                                                              B. Current Appeals Procedure
                                                      42 CFR part 405 subpart I.                                                                                    2016).
                                                                                                                 As stated above, the Pre-Appeals
                                                      A. Pre-Appeals Payment Exceptions                       process is intended as an option that                 V. Proposed Waivers of Medicare
                                                      Review Process                                          would precede, not replace, the                       Program Rules
                                                         We propose to establish this Pre-                    Medicare claims appeals process that is                  Section 1115A(d)(1) of the Act
                                                      Appeals Payment Exceptions Review                       currently in place. The Pre-Appeals                   provides the Secretary with broad
                                                      process for pricing established under                   process is voluntary and intended to                  authority to waive the statutory
                                                      the value-based pricing section of phase                resolve payment disputes before the                   requirements titles XI and XVIII and of
                                                      II of this model only in order to allow                 appeals process is needed, to minimize                sections 1902(a)(1), 1902(a)(13), and
                                                      the provider, supplier, or beneficiary an               the number of formal Medicare appeals.                1903(m)(2)(A)(iii) of the Act as may be
                                                      opportunity to dispute payments made                    Utilizing, or bypassing, the Pre-Appeals              necessary solely for purposes of carrying
                                                      under phase II. This process would be                   process will not affect the right of a                out section 1115A of the Act with
                                                      in addition to, not in lieu of, the current             provider, supplier, or beneficiary to                 respect to testing models, described in
                                                      appeals process, and would be available                 access the current appeals process,                   section 1115A(b) of the Act. To test
                                                      to any providers, suppliers, or                         following submission of a claim. In                   alternative approaches for Part B drug
                                                      beneficiaries receiving services in                     either the situation where the provider,              payments, we propose to use the waiver
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                                                      PCSAs assigned to one of the VBP arms.                  supplier, or beneficiary submits a                    authority provided to the Secretary
                                                      Providers, suppliers, and beneficiaries                 request for a Payment Exception, and                  under section 1115A of the Act. The
                                                      would have the opportunity to appeal                    that request is denied, or where the                  purpose of this flexibility would be to
                                                      any payment determination via the                       provider, supplier, or beneficiary does               allow Medicare to test approaches
                                                      appeals mechanism that currently exist                  not choose to go through the Pre-                     described in this proposed rule with the
                                                      outside of this model.                                  Appeals process, the amount that will                 goal of increasing the value of drug
                                                         We propose that the Payment                          be paid on a submitted claim is that                  therapy that is paid under Medicare Part
                                                      Exceptions Review process would be                      amount established through phase II                   B while improving, or maintaining, the
                                                      applicable to phase II payments,                        pricing policy. The provider, supplier,               quality of beneficiaries’ care as we


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                                                                                Federal Register / Vol. 81, No. 48 / Friday, March 11, 2016 / Proposed Rules                                           13251

                                                      implement and test this model. We                       or biosimilar, which this section                     immunosuppressive, oral anticancer
                                                      believe that these waivers are necessary                defines, and requires the agency to base              and oral antiemetic drugs (less the
                                                      and appropriate to test whether the                     the determination of the ASP (that is,                applicable deductible and coinsurance
                                                      alternative drug payment designs                        the ASP+0 percent) on the NDCs from                   amounts).
                                                      discussed in this proposed rule will                    this assignment. We are proposing to                     Further, we propose to waive portions
                                                      lead to better value for drugs paid under               waive this statutory requirement for the              of section 1833 of the Act. Specifically,
                                                      Part B, that is, a reduction in Medicare                required approach of assigning NDC’s to               we propose to waive section 1833(t)(14)
                                                      expenditures, while preserving or                       HCPCS to test changes in these payment                of the Act in its entirety, which specifies
                                                      enhancing quality of care provided to                   limits. As stated in the preceding                    that the OPPS pays for certain
                                                      Medicare beneficiaries.                                 paragraph, the determination of the                   outpatient drugs at acquisition cost plus
                                                         First, we propose to waive portions of               model’s payment amounts may not be                    an adjustment for overhead and
                                                      section 1847A(b)(1) of the Act which                    consistent with the statutory definitions             handling; this payment is currently set
                                                      specify the 6 percent add-on percentage                 of single source drug or biological,                  to ASP+6 percent. We propose to waive
                                                      for payments determined under section                   multiple source drug, and biosimilar                  this provision to test the proposed
                                                      1847A of the Act. Waiving the fixed                     biologicals.                                          changes to the ASP+6 percent
                                                      add-on percentage will allow the agency                    Furthermore, we propose to waive                   methodology calculation for drugs and
                                                      to modify the add-on percentage for                     section 1847A(b)(6) of the Act, which                 biologicals in the hospital outpatient
                                                      payment determinations made under                       specifies how the volume-weighted                     department setting. Some drugs and
                                                      section 1847A of the Act to test whether                average sales price is to be used in the              biologicals, including certain diagnostic
                                                      modifying the add-on percentage                         calculation of average sales price, so                radiopharmaceuticals receive packaged
                                                      improves provider and supplier                          that we can test alternatives to the                  payment. We would not revise our
                                                      financial incentives associated with Part               ASP+6 percent methodology in this                     policy for packaging drugs and
                                                      B drug payment. The waiver for the add-                 model, irrespective of the volume-                    biologicals with per day costs below a
                                                      on encompasses single source drugs,                     weighted average payment amount                       certain threshold at this time for those
                                                      biologicals, multiple source drugs and                  determination. This subsection provides               drugs and biologicals that meet OPPS
                                                      biosimilars as described in section                     the formula for using volume as a factor              packaging criteria (we discuss episodes
                                                      1847A of the Act. The 6 percent add-on                  for determining the average sales price.              of care in this proposed rule, but do not
                                                      is typically used for payments based on                 Waiving this provision is necessary to                propose to include episodes or other
                                                      the manufacturer’s ASP, but as                          test changes to the payment                           bundles at this time). We also propose
                                                      discussed in the CY 2011 PFS rule, the                  determination methodology that is
                                                                                                                                                                    to waive section 1833(t)(6) of the Act,
                                                      ASP price files also include payments                   described in section 1847A of the Act.
                                                                                                                                                                    which requires the Secretary to furnish
                                                      that use 106 percent of WAC. This                       Consistent with the statutory provisions
                                                                                                                                                                    additional pass through payments for
                                                      percentage is consistent with sections                  discussed above, we also propose to
                                                                                                                                                                    certain drugs that are covered under the
                                                      1847A(c)(4)(A) and 1847A(b) of the Act.                 waive applicable portions of § 414.904–
                                                         We also propose to waive the                                                                               OPD service or group of services
                                                                                                              906 which define and implement
                                                      definitions of single source drug or                                                                          described under this section. This
                                                                                                              payment provisions associated with
                                                      biological, multiple source drug, and                                                                         includes orphan drugs, cancer therapy
                                                                                                              section 1847A of the Act.
                                                      biosimilar biological product in section                   The waiver should also encompass                   drugs and brachytherapy,
                                                      1847A(c)(6) of the Act to determine                     other Part B drug payment                             radiopharmaceuticals, and certain new
                                                      payment for Part B drugs, which are                     methodologies that are used to pay for                drugs. We would waive the requirement
                                                      grouped in a way that is different from                 Part B drugs which are described in                   that drugs and biologicals with pass-
                                                      how they are grouped in the statute. We                 section 1842(o) of the Act. Section                   through status receive payment at
                                                      propose to waive these definitions to                   1842(o)(1)(D) of the Act requires that                ASP+6 percent to test changes with
                                                      test whether paying these types of drugs                infusion drugs furnished through an                   either alternative under either phase of
                                                      and biologicals using the pricing                       item of DME be paid at 95 percent of the              the model. We propose to waive these
                                                      approaches described in this proposed                   AWP in effect on October 1, 2003. We                  sections of section 1833 of the Act, as
                                                      rule will reduce expenditures while                     are proposing to waive this section to                well as related regulation text at
                                                      maintaining or improving quality of                     include infusion drugs that are                       § 419.64, which provides definitions of
                                                      care. Alternative payment amounts                       furnished through covered DME items                   terms used in the statute, including
                                                      proposed in this model may involve                      in the model. Immunosuppressive drug                  cancer therapy drugs, orphan drugs, and
                                                      assigning a HCPCS code payment value                    supplying fees, inhalation drug                       radiopharmaceutical drugs. We are
                                                      with a different payment amount, than                   dispensing fees and the clotting factor               waiving these regulatory definitions of
                                                      what would be determined under                          furnishing fees are described in sections             terms described in section 1833 of the
                                                      section 1847A of the Act. For example,                  1842(o)(2), 1842(o)(5), 1842(o)(6) of the             Act to achieve a waiver of the statutory
                                                      under value-based pricing (Section                      Act. We propose to waive these                        requirement for pass through payment.
                                                      II.B.2), equal or benchmarked payment                   provisions to include modifications to                   We further propose to waive section
                                                      for therapeutically similar drug                        the fees in the model. Section 1842(o)(2)             1847B of the Act and portions of
                                                      products that are used for a given                      of the Act allows Medicare to pay a                   § 414.906 through § 414.920 which
                                                      indication like osteoarthritis is unlikely              dispensing fee (less the applicable                   implement the Part B drug CAP. This
                                                      to be consistent with the statutory                     deductible and coinsurance amounts) to                section requires the establishment of a
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                                                      definitions of single source drug or                    the supplier for certain drugs that are               CAP and sets forth detailed
                                                      biological, multiple source drug, and                   dispensed and then paid under Part B.                 requirements for the program. We have
                                                      biosimilar biologicals.                                 Section 1842(o)(5) of the Act requires                discussed an alternative to the CAP in
                                                         We also propose to waive provisions                  the Secretary to provide a separate                   this rule and solicited comments about
                                                      in section 1847A(b) of the Act that                     payment for items and services related                how a similar program may be
                                                      require the assignment of NDCs to                       to the furnishing of blood clotting                   implemented, but we are not proposing
                                                      HCPCS codes based on whether a drug                     factors. Finally, section 1842(o)(6) of the           the implementation of the CAP as
                                                      meets the definition of single source                   Act requires the Secretary to pay a                   described in section 1847B of the Act at
                                                      drug or biological, multiple source drug,               supplying fee to pharmacies for certain               this time.


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                                                      13252                     Federal Register / Vol. 81, No. 48 / Friday, March 11, 2016 / Proposed Rules

                                                         Providers and suppliers who                          costs, and the quality of care for                    overall and for specific types of
                                                      participate in this model must comply                   providers, suppliers, and beneficiaries               providers and suppliers? How do these
                                                      with all applicable laws and regulations                in the areas assigned to each model test              patterns compare to the control or
                                                      not explicitly waived in this document.                 arm to those in areas assigned to the                 historic patterns, potentially including
                                                      We also seek comment on any                             control arm. The evaluation will include              longitudinal patterns and, if data
                                                      additional Medicare program rules that                  a range of analytic methods, including                permit, before and after the budget
                                                      it may be necessary to waive using our                  regression and other multivariate                     sequester that began in 2013? How are
                                                      authority under section 1115A of the                    analyses.                                             these patterns of changing utilization
                                                      Act to effectively test the payment                        In our design, we primarily examine                associated with the different Medicare
                                                      changes, described in this model, as it                 the impact of the proposed model                      payment alternatives?
                                                      has been proposed, which we could                       interventions at the PCSA level.                        • Prescriber Acquisition Prices. Is
                                                      consider in the context of our early                    However, to address a broader variety of              there any change in the prices at which
                                                      model implementation experience to                      stakeholders and topics, we also                      providers and suppliers are able to
                                                      inform any future proposals we may                      propose to examine the model impact at                obtain Part B drugs depending upon the
                                                      make.                                                   the provider and supplier level and at                payment environment that applies in a
                                                                                                              the beneficiary level. We anticipate                  particular area?
                                                      VI. Evaluation                                          using various statistical methods to                    • Outcomes/Quality. What is the
                                                         Our evaluation of the Part B Drug                    address observable factors that could                 impact on quality of care, access to care,
                                                      Payment Model would test the proposed                   confound or bias our results. We also                 timeliness of care, and the patient
                                                      innovative health care payment model                    plan, to the extent possible, to examine              experience of care?
                                                      in this proposed rule to examine its                    and account for the interactions of this                • Unintended Consequences. Did the
                                                      potential to lower program expenditures                 model with other ongoing interventions                model result in any observable
                                                      while maintaining or improving the                      such as the OCM, BPCI, the Pioneer                    unintended consequences? If so, how, to
                                                      quality of care furnished to Medicare                   ACO Models, and the Medicare Shared                   what extent, under which conditions,
                                                      Program beneficiaries. Under this                       Savings Program. For example, the                     and for which beneficiaries, or
                                                      proposal, the Innovation Center would                   evaluation of this model may require                  providers and suppliers?
                                                      exercise its authority under section                    excluding areas, providers, suppliers, or               • Variable Model Effects. Was each
                                                      1115A of the Act to test alternative                    beneficiaries if including them has the               intervention tested in the model more or
                                                      payment designs for Part B drugs. The                   potential to seriously bias the results of            less successful under some conditions
                                                      evaluation would collect and analyze                    an existing model. Alternatively,                     compared to others, for example, in
                                                      data primarily to test the hypothesis that              statistical and other data analytic                   certain types of markets, geographic
                                                      these alternative payment designs                       techniques could help to adjust for the               areas, or for certain categories of drugs?
                                                      would lead to both higher quality and                   effects of adding the Part B drug model                 In addition, we seek comments on
                                                      more affordable care for Part B Medicare                in areas where providers, suppliers, or               other potential questions for inclusion
                                                      enrollees and reduced Medicare                          patients are participating in these other             in the evaluation of the Part B Drug
                                                      expenditures. Our evaluation of the Part                interventions.                                        Payment Model.
                                                      B Drug Payment Model would be used                         Although, we expect to base many of                VII. Collection of Information
                                                      to inform the Secretary and                             our analyses on secondary data sources                Requirements
                                                      policymakers about the impact of the                    such as Medicare FFS claims, we may
                                                      alternatives tested relative to payment                 consider a survey of beneficiaries,                     As stated in section 1115A(d)(3) of the
                                                      under the traditional Part B drug                       suppliers, and providers to provide                   Act, Chapter 35 of title 44, United States
                                                      payment system in the absence of such                   insight on beneficiaries’ experience                  Code, shall not apply to the testing and
                                                      alternatives. We propose to evaluate this               under the model and additional                        evaluation of models under section
                                                      model in a manner similar to other                      information on any strategies                         1115A of the Act. As a result, the
                                                      models developed and tested under the                   undertaken by those providing drugs                   information collection requirements
                                                      Innovation Center authority.                            included under this model.                            contained in this proposed rule need
                                                         Obtaining information that is                           Our evaluation will focus upon                     not be reviewed by the Office of
                                                      representative of a wide and diverse                    whether the intervention reduces costs                Management and Budget. However,
                                                      group of providers, suppliers, and                      while improving quality of care. It also              costs incurred through information
                                                      beneficiaries will best inform us on                    could include assessments of patient                  collections are included in the
                                                      about how such a payment model might                    experience of care, prescribing and                   Regulatory Impact Analysis.
                                                      function were it to be more fully                       utilization patterns, health outcomes,                VIII. Response to Comments
                                                      integrated within the Medicare program.                 Medicare expenditures, provider and
                                                      Our evaluation approach will compare                    supplier costs, and other potential                     Because of the large number of public
                                                      historic patterns of Part B drug use and                impacts of interest to stakeholders. Our              comments we normally receive on
                                                      Medicare program costs for providers                    key evaluation questions would include,               Federal Register documents, we are not
                                                      and suppliers, and health outcomes for                  but are not limited to, the following:                able to acknowledge or respond to them
                                                      beneficiaries in response to the                           • Payment. Is there a reduction in                 individually. We will consider all
                                                      alternative interventions proposed in                   Part B drug spending, as well as total                comments we receive by the date and
                                                      this model (see section III. of this                    Part B and total Medicare program                     time specified in the ‘‘DATES’’ section
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                                                      proposed rule).                                         expenditures, in absolute terms or for                of this preamble, and, when we proceed
                                                         We propose to apply the model                        subcategories of providers and suppliers              with a subsequent document, we will
                                                      interventions based upon a stratified                   (for example, physician office vs                     respond to the comments in the
                                                      random assignment of PCSAs, the unit                    hospital outpatient department, or rural              preamble to that document.
                                                      of analysis for the model test (see                     vs urban settings)?                                   IX. Regulatory Impact Analysis
                                                      section II.C. of this proposed rule).                      • Prescribing Patterns. Are there any
                                                      Researchers would evaluate separately                   observed changes in utilization                       A. Introduction
                                                      the impacts of the test interventions by                (measure number of doses/refill                         We have examined the impacts of this
                                                      comparing Part B drug use, program                      patterns) and prescribing patterns                    proposed rule, as required by Executive


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                                                                                Federal Register / Vol. 81, No. 48 / Friday, March 11, 2016 / Proposed Rules                                                 13253

                                                      Order 12866 on Regulatory Planning                      65–72). Medicare pays this price                      percent methodology.46 For urologists,
                                                      and Review (September 30, 1993),                        regardless of the price a provider pays               rheumatologists, infectious disease
                                                      Executive Order 13563 on Improving                      to acquire the drug. The ASP                          specialists, and medical oncologists,
                                                      Regulation and Regulatory Review                        methodology does not take into account                Medicare billing decreased for Part B
                                                      (January 18, 2011), the Regulatory                      the effectiveness of a particular drug,               drugs but increased for other services
                                                      Flexibility Act (RFA) (September 19,                    nor the cost of comparable drugs, when                (for example, drug administration and
                                                      1980, Pub. L. 96–354), section 1102(b) of               determining the Medicare payment                      testing) between 2004 and 2005, when
                                                      the Social Security Act, section 202 of                 amount.                                               ASP+6 percent went into effect.47
                                                      the Unfunded Mandates Reform Act of                                                                              In phase II, we are proposing that the
                                                      1995 (UMRA) (March 22, 1995, Pub. L.                       This proposed rule creates and tests               VBP component of the model would not
                                                      104–4), Executive Order 13132 on                        one alternative payment approach to the               be budget neutral. We intend to achieve
                                                      Federalism (August 4, 1999), and the                    ASP add-on amount and whether a                       savings in phase II through the use of
                                                      Contract with America Advancement                       combination of value-pricing and                      value-pricing tools. We invite extensive
                                                      Act of 1996 (Pub. L. 104–121) (5 U.S.C.                 clinical decision support tools can                   comment throughout this proposed rule
                                                      804(2)). This section of the proposed                   change physician and hospital                         on the applicability of various VBP tools
                                                      rule contains the impact and other                      outpatient prescribing patterns. With                 to the Part B and hospital outpatient
                                                      economic analyses for the provisions                    minor exclusions, we propose to                       drug benefit. We do not believe that we
                                                      that we are proposing.                                  include the vast majority of Part B drugs             have enough detail on the structure of
                                                         Executive Orders 12866 and 13563                     in this proposed model, and we are                    the final value-based purchasing
                                                      direct agencies to assess all costs and                 requiring all providers and suppliers                 component to quantify potential
                                                      benefits of available regulatory                        that furnish those Medicare Part B drugs              savings. As with phase I, we note
                                                      alternatives and, if regulation is                      to beneficiaries in selected geographic               evidence that changes in drug margin
                                                      necessary, to select regulatory                         areas to participate. Some providers and              and the +6 percent add-on amount have
                                                      approaches that maximize net benefits                   suppliers will be included in the control             correlated with changes in prescribing
                                                      (including potential economic,                          group continuing to receive payment at                patterns. We cannot gauge the
                                                      environmental, public health and safety                 ASP+6 percent. Testing the model in                   magnitude of savings for either
                                                      effects, distributive impacts, and                      this manner will allow us to learn more               proposed phase of the model at this
                                                      equity). Executive Order 13563                          about how best to structure FFS                       time but we expect both to produce
                                                      emphasizes the importance of                            incentives for Part B drug payment and                savings. We invite comment on the
                                                      quantifying both costs and benefits, of                 whether managing aspects of the Part B                extent of savings that might be achieved
                                                      reducing costs, of harmonizing rules,                   drug benefit can improve the value of                 based on commenter experience.
                                                      and of promoting flexibility. This                      Medicare spending on drugs. This                         Part B and hospital outpatient
                                                      proposed rule has been designated as an                                                                       spending for separately paid drugs and
                                                                                                              learning could inform future Medicare
                                                      economically significant rule under                                                                           biologicals is estimated at $21 billion for
                                                                                                              payment policy.
                                                      section 3(f)(1) of Executive Order 12866                                                                      CY 2016. We propose to assign through
                                                      and a major rule under the Contract                     C. Overall Impacts for the Proposed Part              the stratified random sample one-half of
                                                      with America Advancement Act of 1996                    B Drug Payment Model                                  the PCSAs to the phase I model arms
                                                      (Pub. L. 104–121). Accordingly, this                                                                          testing payment at ASP+2.5 percent
                                                      proposed rule has been reviewed by the                     As detailed in section III of this                 plus a flat fee and that should include
                                                      Office of Management and Budget. We                     proposed rule, we are proposing to                    roughly one-half of that estimated
                                                      have prepared a regulatory impact                       establish the CY 2016 alternative ASP                 spending amount within those arms. We
                                                      analysis that, to the best of our ability,              add-on amount in phase I as budget                    estimate that the flat fee would account
                                                      presents the costs and benefits of this                 neutral to Part B spending using CY                   for roughly $675 million of total Part B
                                                      proposed rule. We solicit comments on                   2014 claims data. We propose to update                drug spending if calculated nationally.
                                                      the regulatory impact analysis in the                   the flat fee amount each year based on                In addition to any changes in spending
                                                      proposed rule.                                          the CPI MC. We intend to achieve                      introduced through phase II, we believe
                                                      B. Statement of Need                                    savings through behavioral responses to               that the model’s effects will trigger the
                                                                                                              the revised pricing, as we hope that the              threshold of ‘‘an annual effect on the
                                                        This proposed rule is necessary to                    revised pricing removes any excess
                                                      implement and test a new payment and                                                                          economy of $100 million or more’’
                                                                                                              financial incentive to prescribe high                 under E.O. 12866.
                                                      service delivery model under the                        cost drugs over lower cost ones when
                                                      authority of section 1115A of the Act,                  comparable low cost drugs are available.              D. Detailed Economic Analyses
                                                      which allows the Innovation Center to                   In other words, we believe that
                                                      test innovative payment and service                                                                           1. Estimated Effect of Part B Drug
                                                                                                              removing the financial incentive that                 Payment Model Changes in This
                                                      delivery models to reduce program
                                                                                                              may be associated with higher add-on                  Proposed Rule
                                                      expenditures while preserving or
                                                                                                              payments may lead to some savings
                                                      enhancing the quality of care furnished                                                                       a. Limitations of Our Analysis
                                                      to individuals. The underlying issue                    during phase I of the proposed model.
                                                                                                              We do not have an exact estimate of the                  The distributional impacts presented
                                                      addressed by the Part B Drug Payment                                                                          here are the projected effects of phase I
                                                      Model is whether the FFS payment                        amount of savings that might be
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                                                                                                              achieved through behavioral responses.                of the proposed Part B Drug Payment
                                                      amount for drugs furnished in physician                                                                       Model implementing alternative ASP
                                                      offices and hospital outpatient                         However, prior research suggests that
                                                      departments at ASP+6 percent                            changes in the 6 percent add-on                         46 Medicare Payment Advisory Commission.
                                                      encourages the use of more expensive                    percentage can change prescribing                     (2006). Report to the Congress: Effects of Medicare
                                                      drugs because the 6 percent add-on                      behavior. For example, in one study, the              payment changes on oncology. Washington, DC:
                                                      generates more revenue for more                         implementation of ASP+6 percent                       MedPAC.
                                                      expensive drugs (see MedPAC Report to                   resulted in providers shifting patients to              47 Medicare Payment Advisory Commission.

                                                                                                                                                                    (2007). Report to the Congress: Impact of changes
                                                      the Congress: Medicare and the Health                   newer, more expensive drugs which had                 in Medicare payments for Part B drugs. Washington,
                                                      Care Delivery System June 2015, pages                   a higher profit margin under the ASP+6                DC: MedPAC.



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                                                      13254                     Federal Register / Vol. 81, No. 48 / Friday, March 11, 2016 / Proposed Rules

                                                      add-on amounts to drug payment by                       b. Estimated Effects of Phase I                          • Column 5: Total Medicare Payment-
                                                      various hospital categories and                         i. Estimated Effects of Phase I: Changes              Rural Area Percent Change: Column 5
                                                      physician specialties, where applicable.                to ASP Add-on Amount on Physicians,                   displays the estimated impact of the
                                                      We estimate the effects of the policy                   Practitioners, and other Suppliers                    ASP+2.5 percent and flat fee model
                                                      changes by categorizing drug payment                                                                          within the context of overall Medicare
                                                                                                                 Table 2 shows the estimated impact of              payment in rural geographic areas.
                                                      and other factors from the provider and
                                                                                                              this proposed rule on physicians,                     Under the proposed rule the estimated
                                                      supplier claims into the appropriate                    practitioners, and other suppliers. Table
                                                      categories and then recalculating                                                                             overall percent change for physician/
                                                                                                              2 does not show specialties with less                 supplier specialties in rural areas ranges
                                                      payment based on the characteristics of                 than $10 million in total drug spending
                                                      proposed pricing under the Part B Drug                                                                        from ¥2.4 percent to 2.6 percent.
                                                                                                              and includes outpatient hospital
                                                      Payment Model. In developing the                        spending as a specialty to demonstrate                   • Column 6: Total Drug Payment at
                                                      budget neutral Part B Drug Payment                      budget neutrality. Overall, Part B drug               ASP+6 percent for Specialty (in
                                                      Model and the corresponding impact                      payment to practitioners, pharmacies,                 millions): Column 6 displays total drug
                                                      tables, we use the best data available,                 and hospitals by specialty in phase I of              payment at the full ASP+6 percent
                                                      but do not attempt to predict behavioral                this proposed model will not change, as               based on CY 2014 claims, with
                                                      responses to our policy changes. In                     the ASP add-on revision is proposed to                proposed trims and exclusions as
                                                      addition, we have not made adjustments                  be budget neutral.                                    discussed in the proposed rule.
                                                      for future changes in variables such as                    • Column 1: Physician Specialty                       • Column 7: ASP+2.5 percent plus
                                                      service volume, service-mix, or number                  Descriptor: Column 1 displays the                     Flat Fee—Physician Specialty Percent
                                                      of encounters. The impact tables                        physician specialty categories in the                 Change in Drug Payment: Column 7
                                                      included in this proposed rule display                  Part B drug claims. We do not show                    displays the estimated impact of the
                                                      the estimated effects if the Part B Drug                specialties with aggregate drug spending              ASP+2.5 percent + flat fee model within
                                                      Payment Model were to apply to all                      less than $10 million.                                the context of drug payment to
                                                                                                                 • Column 2: Total Medicare Payment
                                                      providers. Since we propose to                                                                                physician/supplier specialties, from
                                                                                                              for Specialty (in millions): Column 2
                                                      randomly assign PCSAs to one of three                                                                         ASP+6 percent to ASP+2.5 percent +
                                                                                                              displays total Medicare payment (in
                                                      model test arms or a control group, we                                                                        flat fee. The proposed flat fee amount is
                                                                                                              millions) for physician/supplier
                                                      believe that including all providers is a               specialties in the model, including both              calculated as $16.80, and applies per
                                                      fair representation of the impact. We                   the Medicare program and beneficiary                  drug per day administered. Under the
                                                      also note that we included all providers                share, based on CY 2014 claims with                   proposed rule, Part B drug payments to
                                                      and suppliers in our calculation of the                 proposed trims and exclusions as                      physician/supplier specialties are
                                                      proposed flat fee amount. In this                       discussed in the proposed rule. These                 expected to decrease and increase in the
                                                      proposed rule, we are soliciting public                 payment values are included to provide                range of ¥3.3 to 50.2 percent. We note
                                                      comment and information about the                       context for the Part B Drug Payment                   that the specialty impacts will vary
                                                      anticipated effects of our proposed                     Model changes in the broader context of               based on the share that Part B drug
                                                      changes on providers and suppliers and                  overall payment. The first line in                    payment represents as a portion of
                                                      the methodologies used to develop the                   Column 2 in Table 3 shows the total                   overall practice revenue for that
                                                                                                              Medicare payment for all hospital and                 category. We note that the proposed
                                                      Part B Drug Payment Model. Any public
                                                                                                              physician/supplier specialties                        changes are budget neutral across Part B
                                                      comments that we receive will be
                                                                                                              (approximately $127 billion). The                     drug spending hospitals and physician
                                                      addressed in the applicable section(s) of
                                                                                                              second line in Column 2 shows the total               offices.
                                                      the final rule with comment period.
                                                                                                              Medicare payment for all hospitals. The                  • Column 8: ASP+2.5 percent + Flat
                                                         For phase II of this model we do not                 third line in Column 2 shows the total                Fee—Urban Area Percent Change in
                                                      present distributional impacts. This                    Medicare payment for all specialties                  Drug Payment: Column 8 displays the
                                                      phase of the proposed model is not                      with drugs included in the proposed                   estimated impact of the ASP+2.5
                                                      budget neutral, and as discussed in                     Part B drug payment model.                            percent and flat fee model within the
                                                      section II.B.1., evidence generally                        • Column 3: Total Medicare Payment-                context of Medicare payment in urban
                                                      suggests that utilizing approaches                      Physician Specialty Percent Change:                   geographic areas. Under the proposed
                                                      employed by commercial and Part D                       Column 3 displays the estimated impact                rule the estimated overall percent
                                                      plans to contain drug costs and improve                 of the ASP+2.5 percent and flat fee                   change for Part B drug payments to
                                                      value should lead to savings in Part B                  model within the context of overall                   physician/supplier specialties in urban
                                                      drug spending. However, the proposed                    Medicare payment to physician/                        areas ranges from ¥3.3 percent to 50.2
                                                      rule invites extensive comment on                       supplier specialties. Under the proposed              percent.
                                                      which VBP tools are appropriately                       rule the estimated overall percent
                                                                                                              change for specialties ranges from ¥2.9                  • Column 9: ASP+2.5 percent + Flat
                                                      applied to the Part B and hospital                                                                            Fee—Rural Area Percent Change in
                                                      outpatient drug benefit. We cannot yet                  percent to 3.2 percent.
                                                                                                                 • Column 4: Total Medicare Payment-                Drug Payment: Column 9 displays the
                                                      quantify the overall impact of VBP. We                  Urban Area Percent Change: Column 4                   estimated impact of the ASP+2.5
                                                      invite comment on the extent of savings                 displays the estimated impact of the                  percent + flat fee model within the
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                                                      that might be achieved based on                         ASP+2.5 percent and flat fee model                    context of Medicare payment in rural
                                                      commenter experience, and we                            within the context of overall Medicare                geographic areas. Under the proposed
                                                      anticipate being able to better estimate                payment to urban geographic areas.                    rule the estimated overall percent
                                                      the probability and magnitude of                        Under the proposed rule the estimated                 change for Part B drug payments to
                                                      savings from those comments.                            overall percent change for physician/                 physician/supplier specialties in rural
                                                                                                              supplier specialties ranges from ¥2.9                 areas ranges from ¥3.2 percent to 82.1
                                                                                                              percent to 3.4 percent.                               percent.




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                                                                                             Federal Register / Vol. 81, No. 48 / Friday, March 11, 2016 / Proposed Rules                                                                       13255

                                                       TABLE 2—IMPACT OF PART B DRUG PAYMENT MODEL ON HOSPITALS, PRACTITIONERS, AND PHARMACIES BY SPECIALTY *
                                                                                                                                                                     Total Medicare payment                              Total drug payment

                                                                                                                                                                                                          Total drug
                                                                                                                                                         Total                                           payment at
                                                       Rows            Specialty                 Physician specialty descriptor                        Medicare       Physician                                          Physician
                                                                                                                                                                                  Urban %     Rural %       ASP+6                    Urban %    Rural %
                                                                                                                                                     payment for      specialty                                          specialty
                                                                                                                                                                                  change      change     percent for                 change     change
                                                                                                                                                       specialty      % change                                           % change
                                                                                                                                                                                                           specialty
                                                                                                                                                     (in millions)                                       (in millions)

                                                      1 .........    All ...............    Hospital OPPS and MPFS ...............                      $127,417            0.0         0.0       0.3        $20,391          0.0        ¥0.3       2.1
                                                      2 .........    Hospital ......        Hospital ............................................         50,043           ¥0.3        ¥0.3      ¥0.3          7,209         ¥2.3        ¥2.3      ¥2.2
                                                      3 .........    Total ** ........      All Specialties ...................................           77,374            0.2         0.2       0.6         13,181          1.3         0.9       4.8
                                                      4 .........    83 ...............     Hematology/Oncology ......................                     5,150           ¥0.4        ¥0.5      ¥0.2          4,059         ¥0.6        ¥0.6      ¥0.2
                                                      5 .........    18 ...............     Ophthalmology .................................                6,234           ¥0.6        ¥0.7      ¥0.4          2,387         ¥1.7        ¥1.7      ¥1.4
                                                      6 .........    A5 ...............     Pharmacy .........................................             3,316            1.8         1.5       2.6          1,432          4.2         3.4       6.2
                                                      7 .........    66 ...............     Rheumatology ..................................                1,699           ¥1.1        ¥1.1      ¥1.0          1,205         ¥1.5        ¥1.5      ¥1.5
                                                      8 .........    90 ...............     Medical Oncology ............................                  1,499           ¥0.5        ¥0.5      ¥0.4          1,193         ¥0.7        ¥0.7      ¥0.5
                                                      9 .........    87 ...............     Other ................................................           486           ¥2.9        ¥2.9      ¥2.4            429         ¥3.3        ¥3.3      ¥3.2
                                                      10 .......     11 ...............     Internal Medicine ..............................               6,266            0.6         0.5       1.0            412          9.1         8.1      17.5
                                                      11 .......     34 ...............     Urology .............................................          1,619            0.1         0.1       0.2            349          0.4         0.4       0.7
                                                      12 .......     13 ...............     Neurology .........................................            1,162           ¥0.3        ¥0.3      ¥0.1            231         ¥1.4        ¥1.4      ¥0.5
                                                      13 .......     20 ...............     Orthopedic Surgery ..........................                  1,792            1.9         1.9       2.0            223         15.0        14.9      16.2
                                                      14 .......     82 ...............     Hematology ......................................                206           ¥0.5        ¥0.5      ¥0.3            164         ¥0.6        ¥0.6      ¥0.4
                                                      15 .......     50 ...............     Nurse Practitioner ............................                1,444            0.8         0.5       2.1            136          8.7         5.2      27.1
                                                      16 .......     08 ...............     Family Practice ................................               4,825            1.1         0.9       1.6            119         43.6        38.2      62.1
                                                      17 .......     06 ...............     Cardiovascular           Disease           (Cardi-             3,850            0.3         0.3       0.2            113          9.3         9.3       8.6
                                                                                               ology).
                                                      18   .......   97   ...............   Physician Assistant ..........................                    879           1.1         1.0       1.4              79        12.3        11.5      15.9
                                                      19   .......   10   ...............   Gastroenterology ..............................                   658          ¥0.2        ¥0.2       0.0              76        ¥1.5        ¥1.6      ¥0.5
                                                      20   .......   44   ...............   Infectious Disease ............................                   177           3.2         3.4      ¥0.2              71         8.1         8.3      ¥0.6
                                                      21   .......   03   ...............   Allergy/Immunology ..........................                     270          ¥0.3        ¥0.3      ¥0.3              66        ¥1.4        ¥1.4      ¥1.3
                                                      22   .......   25   ...............   Physical Medicine And Rehabilita-                                 589           1.0         1.0       1.1              57        10.3        10.0      16.0
                                                                                               tion.
                                                      23   .......   98   ...............   Gynecological/Oncology ..................                          85           0.6         0.6        0.6             51         1.0         1.0       2.1
                                                      24   .......   39   ...............   Nephrology .......................................              1,357           0.2         0.2        0.1             50         4.7         4.9       3.3
                                                      25   .......   07   ...............   Dermatology .....................................               3,036           0.0         0.0        0.1             30         4.5         4.4       4.7
                                                      26   .......   29   ...............   Pulmonary Disease ..........................                      665           0.3         0.2        0.3             28         5.9         6.0       5.4
                                                      27   .......   46   ...............   Endocrinology ..................................                  410           0.1         0.1        0.1             25         1.7         1.7       1.1
                                                      28   .......   37   ...............   Pediatric Medicine ............................                    58          ¥0.4        ¥0.6        1.5             21        ¥1.1        ¥1.5      81.0
                                                      29   .......   92   ...............   Radiation Oncology ..........................                   1,489           0.0         0.0        0.0             18        ¥1.2        ¥1.3      ¥0.5
                                                      30   .......   16   ...............   Obstetrics/Gynecology .....................                       419           0.3         0.3        0.3             17         6.4         6.8       4.5
                                                      31   .......   09   ...............   Interventional Pain Management .....                              390           2.0         2.0        1.8             16        46.9        45.2      82.1
                                                      32   .......   72   ...............   Pain Management ............................                      253           1.7         1.7        1.5             13        33.7        32.6      58.9
                                                      33   .......   05   ...............   Anesthesiology .................................                  343           1.7         1.7        1.6             12        50.2        50.2      47.4
                                                      34   .......   01   ...............   General Practice ..............................                   404           1.2         1.0        1.9             11        44.5        42.1      51.9
                                                        * Table does not display specialties with less than $10 million in total drug spending. Identification of geographic location was based on the performing NPI’s ZIP
                                                      code for the line item. We note that this represented approximately 0.2% of NPI’s included in this table and an estimated $2.5 million in total drug spending.
                                                        ** This row includes all specialty information for drugs included in the proposed Part B drug payment model.


                                                      ii. Changes to ASP Add-On Amount on                                                to our use of an average CCR in our cost                   hospital (DSH) variable for hospitals
                                                      Hospitals                                                                          estimation methodology. It is important                    that are not also paid under the IPPS,
                                                                                                                                         to note that hospitals already receive                     since DSH payments are only made to
                                                         Table 3 shows the estimated impact of
                                                                                                                                         robust payment for low cost drugs under                    hospitals paid under the IPPS. Hospitals
                                                      this proposed rule on hospitals. The
                                                      table includes cancer and children’s                                               a different payment methodology in                         for which we do not have a DSH
                                                      hospitals, which are held harmless to                                              light of the Table 3 conclusion                            variable are grouped separately and
                                                      their amount prior to the Balanced                                                 demonstrating an overall ¥0.3                              generally include freestanding
                                                      Budget Act of 1997 (BBA) (Pub. L. 105–                                             distribution away from hospitals.                          psychiatric hospitals, rehabilitation
                                                      33). These providers are part of OPPS                                                 • Column 1: Total Number of                             hospitals, and long-term care hospitals.
                                                      budget neutrality but would not be                                                 Hospitals: The first line in Column 1 in                   We included cancer and children’s
                                                      affected by the proposed Part B Drug                                               Table 3 shows the total number of                          hospitals because they are considered in
                                                      Payment Model due to their hold                                                    hospitals in the Part B Drug Payment                       OPPS budget neutrality. However,
                                                      harmless status. Overall, Part B drug                                              Model (3,204), including designated                        section 1833(t)(7)(D) of the Act
                                                      payment to hospitals in the ASP+X                                                  cancer and children’s hospitals, for                       permanently holds harmless cancer
                                                      phase of the Part B Drug Payment                                                   which we were able to use CY 2014                          hospitals and children’s hospitals to
                                                      Model, phase 1, will decrease by an                                                hospital outpatient claims data to                         their ‘‘pre-BBA amount’’ as specified
                                                      estimated 2.3 percent within the context                                           extract actual CY 2014 ASP based drug                      under the terms of the statute, and
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                                                      of ASP based drug payment, and by an                                               payments. We excluded hospitals and                        therefore, they would not be affected by
                                                      estimated 0.3 percent in overall hospital                                          entities that are not paid under the                       these proposed models.
                                                      spending.                                                                          OPPS. The latter entities include CAHs,                      • Column 2: Total Drug Payment at
                                                         As discussed in section III.B. of this                                          all-inclusive hospitals, and hospitals                     ASP+6 percent (in millions): Column 2
                                                      proposed rule, payment to hospitals for                                            located in Guam, the U.S. Virgin                           shows the total drug payment for
                                                      low cost drugs is included in the OPPS                                             Islands, Northern Mariana Islands,                         separately payable drugs included in the
                                                      payment for primary services. We likely                                            American Samoa, and the State of                           model, calculated at the full ASP+6
                                                      overestimate the cost of these drugs in                                            Maryland. At this time, we are unable                      percent for each category based on CY
                                                      our OPPS rate setting methodology due                                              to calculate a disproportionate share                      2014 claims with trimming and


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                                                      13256                               Federal Register / Vol. 81, No. 48 / Friday, March 11, 2016 / Proposed Rules

                                                      exclusions as discussed in the proposed                                 revised payment under the ASP+2.5                         model. We note that the proposed
                                                      rule.                                                                   percent and flat fee model. The                           changes are budget neutral across Part B
                                                         • Column 3: Total Medicare Payment                                   proposed flat fee amount is calculated                    drug spending hospitals and physician
                                                      (in millions): Column 3 displays                                        as $16.80, and applies per drug per day                   offices.
                                                      Medicare payment for hospitals in the                                   administered.
                                                      model, including both the Medicare                                        • Column 5: ASP+2.5 percent + Flat                         • Column 6: ASP+2.5 percent + Flat
                                                      program and beneficiary share, based on                                 Fee—Percent Change: Column 5 column                       Fee—Estimated Percent Change in
                                                      CY 2014 claims with proposed trims                                      displays the estimated impact of the                      Overall Spending: Column 6 displays
                                                      and exclusions. These payment                                           model within the context of drug                          the estimated impact of the model
                                                      numbers are included to provide                                         payment, from ASP+6 percent to                            within the context of overall Medicare
                                                      context for the Part B Drug Payment                                     ASP+2.5 percent + flat fee of $16.80.                     payment to hospitals. Under the
                                                      Model changes in the broader context of                                 Part B drug payments to hospitals based                   proposed rule the estimated overall
                                                      overall payment to classes of hospitals.                                on the various categories are estimated                   percent change for overall Medicare
                                                         • Column 4: ASP+2.5 percent + Flat                                   to experience decreases in the range of                   payments to outpatient hospitals ranges
                                                      Fee—Revised Payment (in millions):                                      ¥2.5 to ¥2.0 percent, under this                          from ¥0.9 percent to ¥0.1 percent.
                                                      Column 4 displays total estimated                                       proposed ASP+2.5 percent + flat fee

                                                                                           TABLE 3—OUTPATIENT IMPACT ANALYSIS OF THE PART B DRUG PAYMENT MODEL
                                                                                                                                                 Total drug                                      ASP+2.5 percent + Flat Fee
                                                                                                                                                payment at        Total medicare
                                                                                                                           Number of
                                                        Row                                                                                        ASP+6           payment (in           Revised                             Estimated
                                                                                                                            hospitals                                                                       % Change in
                                                                                                                                                   percent           millions)           payment                             overall %
                                                                                                                                                                                                           drug spending
                                                                                                                                                (in millions)                          (in millions)                          change

                                                                                                                              (1)                   (2)                  (3)               (4)                  (5)             (6)

                                                      1   ........   ALL PROVIDERS * ...................                            3,204              $7,209            $50,043              $7,044                  ¥2.3            ¥0.3
                                                      2   ........   URBAN HOSPITALS ................                               2,412               6,390             43,887               6,242                  ¥2.3            ¥0.3
                                                      3   ........     LARGE URBAN (GT 1 MILL.)                                     1,324               3,564             23,730               3,481                  ¥2.3            ¥0.4
                                                      4   ........     OTHER URBAN (LE 1 MILL.)                                     1,088               2,826             20,157               2,761                  ¥2.3            ¥0.3
                                                      5   ........   RURAL HOSPITALS .................                                792                 819              6,156                 801                  ¥2.2            ¥0.3
                                                      6   ........     SOLE COMMUNITY ..............                                  371                 491              3,310                 480                  ¥2.2            ¥0.3
                                                      7   ........     OTHER RURAL .....................                              421                 328              2,845                 322                  ¥2.1            ¥0.2
                                                                     BEDS (URBAN)
                                                      8 ........       0–99 BEDS ............................                        592                    434             3,668                  424                ¥2.3            ¥0.3
                                                      9 ........       100–199 BEDS ......................                           737                    915             8,078                  894                ¥2.2            ¥0.3
                                                      10 ......        200–299 BEDS ......................                           450                  1,066             8,248                1,042                ¥2.2            ¥0.3
                                                      11 ......        300–499 BEDS ......................                           416                  1,716            12,002                1,677                ¥2.3            ¥0.3
                                                      12 ......        500 + BEDS ..........................                         217                  2,260            11,891                2,206                ¥2.4            ¥0.5
                                                                     BEDS (RURAL)
                                                      13    ......     0–49 BEDS ............................                        289                     98                  906               96                 ¥2.1            ¥0.2
                                                      14    ......     50–100 BEDS ........................                          305                    285                2,196              279                 ¥2.1            ¥0.3
                                                      15    ......     101–149 BEDS ......................                           111                    157                1,180              153                 ¥2.1            ¥0.3
                                                      16    ......     150–199 BEDS ......................                            48                    111                  879              109                 ¥2.1            ¥0.3
                                                      17    ......     200 + BEDS ..........................                          39                    168                  995              164                 ¥2.3            ¥0.4
                                                                     REGION (URBAN)
                                                      18    ......     NEW ENGLAND ....................                              131                    542                3,362               529                ¥2.3            ¥0.4
                                                      19    ......     MIDDLE ATLANTIC ..............                                308                    981                5,924               958                ¥2.4            ¥0.4
                                                      20    ......     SOUTH ATLANTIC ...............                                407                  1,116                8,069             1,091                ¥2.3            ¥0.3
                                                      21    ......     EAST NORTH CENT ............                                  393                  1,106                7,616             1,081                ¥2.3            ¥0.3
                                                      22    ......     EAST SOUTH CENT ............                                  147                    456                2,739               446                ¥2.3            ¥0.4
                                                      23    ......     WEST NORTH CENT ...........                                   165                    541                3,471               529                ¥2.3            ¥0.4
                                                      24    ......     WEST SOUTH CENT ...........                                   349                    539                4,694               527                ¥2.3            ¥0.3
                                                      25    ......     MOUNTAIN ...........................                          158                    356                2,466               347                ¥2.4            ¥0.3
                                                      26    ......     PACIFIC ................................                      330                    751                5,516               733                ¥2.3            ¥0.3
                                                      27    ......     PUERTO RICO .....................                              24                      2                   30                 2                ¥2.5            ¥0.2
                                                                     REGION (RURAL)
                                                      28    ......     NEW ENGLAND ....................                               21                     75                  401               74                 ¥2.4            ¥0.4
                                                      29    ......     MIDDLE ATLANTIC ..............                                 56                     60                  450               58                 ¥2.2            ¥0.3
                                                      30    ......     SOUTH ATLANTIC ...............                                123                    117                  946              114                 ¥2.1            ¥0.3
                                                      31    ......     EAST NORTH CENT ............                                  114                    143                1,168              140                 ¥2.1            ¥0.3
                                                      32    ......     EAST SOUTH CENT ............                                  149                    121                  959              118                 ¥2.2            ¥0.3
                                                      33    ......     WEST NORTH CENT ...........                                    95                    145                  897              142                 ¥2.1            ¥0.3
                                                      34    ......     WEST SOUTH CENT ...........                                   152                     41                  676               40                 ¥2.0            ¥0.1
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                                                      35    ......     MOUNTAIN ...........................                           58                     70                  366               68                 ¥2.3            ¥0.4
                                                      36    ......     PACIFIC ................................                       24                     47                  293               46                 ¥2.3            ¥0.4
                                                                     TEACHING STATUS
                                                      37 ......        NON-TEACHING ...................                             2,130                 2,371            21,298                2,318                ¥2.2            ¥0.2
                                                      38 ......        MINOR ...................................                      712                 2,162            15,739                2,112                ¥2.3            ¥0.3
                                                      39 ......        MAJOR ..................................                       362                 2,677            13,006                2,613                ¥2.4            ¥0.5
                                                                     DSH PATIENT PERCENT
                                                      40 ......        0 .............................................                 9                      3                   33                3                 ¥2.2            ¥0.2
                                                      41 ......        GT 0–0.10 .............................                       283                    347                3,326              340                 ¥2.3            ¥0.2
                                                      42 ......        0.10–0.16 ...............................                     288                    419                4,178              410                 ¥2.2            ¥0.2



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                                                                                      Federal Register / Vol. 81, No. 48 / Friday, March 11, 2016 / Proposed Rules                                                     13257

                                                                             TABLE 3—OUTPATIENT IMPACT ANALYSIS OF THE PART B DRUG PAYMENT MODEL—Continued
                                                                                                                                          Total drug                                    ASP+2.5 percent + Flat Fee
                                                                                                                                         payment at        Total medicare
                                                                                                                    Number of
                                                        Row                                                                                 ASP+6           payment (in         Revised                             Estimated
                                                                                                                     hospitals                                                                     % Change in
                                                                                                                                            percent           millions)         payment                             overall %
                                                                                                                                                                                                  drug spending
                                                                                                                                         (in millions)                        (in millions)                          change

                                                                                                                       (1)                   (2)                  (3)             (4)                  (5)             (6)

                                                      43   ......     0.16–0.23 ...............................                639                 1,063             9,929              1,039                ¥2.3            ¥0.2
                                                      44   ......     0.23–0.35 ...............................              1,096                 2,863            19,051              2,798                ¥2.3            ¥0.3
                                                      45   ......     GE 0.35 .................................                774                 2,055            12,308              2,007                ¥2.3            ¥0.4
                                                      46   ......     DSH NOT AVAILABLE * ........                             115                   459             1,218                448                ¥2.4            ¥0.9
                                                                    TYPE OF OWNERSHIP
                                                      47 ......       VOLUNTARY .........................                    1,934                 5,535            36,228              5,407                ¥2.3            ¥0.4
                                                      48 ......       PROPRIETARY .....................                        799                   428             6,753                419                ¥2.1            ¥0.1
                                                      49 ......       GOVERNMENT .....................                         471                 1,246             7,062              1,217                ¥2.3            ¥0.4
                                                        * Complete DSH numbers are not available for providers that are not paid under IPPS, including rehabilitation, psychiatric, and long-term care
                                                      hospitals.


                                                      c. Estimated Effect of Part B Drug                               proposing and the reasons for our                       comments on the decision to test one
                                                      Payment Model Changes on                                         selected alternatives are discussed                     approach, ASP+2.5 percent + flat fee of
                                                      Beneficiaries                                                    throughout this proposed rule. In this                  $16.80.
                                                         For phase I of this model, we estimate                        section, we discuss some of the                            Regarding the proposed Part B VBP
                                                      that the aggregate beneficiary share                             significant issues and the alternatives                 model and its component tools, an
                                                      within the context of the model will                             considered.                                             alternative that we had considered was
                                                      remain unchanged as we are                                          In the context of phase I, we                        establishing episode of care based
                                                      establishing the alternative ASP add-on                          considered several alternative structures               payments, potentially focused on
                                                      amounts to be budget neutral.                                    for the ASP add-on amount. We first                     specific drug treatments. There are a
                                                      Coinsurance for most separately payable                          considered proposing a flat fee with no                 variety of ways to remove financial
                                                      drugs is set at 20 percent of the payment                        percent add-on. MedPAC discussed this                   incentives from the prescribing
                                                      rates, while payment for new drugs                               alternative among several in their June                 decision. Clearly embedding decisions
                                                      would also be set at 20 percent of                               2015 report on Part B drug payment                      about prescribing within a model that
                                                      payment based on the OPPS and Part B                             (MedPAC Report to the Congress:                         pays for care management or rewards
                                                      drug coinsurance requirements. As                                Medicare and the Health Care Delivery                   changes in total cost of care could create
                                                      noted above, we intend to achieve                                System June 2015, pages 65–72). Under                   incentives for better quality and lower
                                                      savings through anticipated behavioral                           such an approach, we would pay for an                   cost care. We are testing such an
                                                      response to price changes, although we                           individual drug using baseline ASP                      approach under the OCM, which we
                                                      cannot quantify the amount. To the                               amount and redistribute the entire +6                   discuss in greater detail under section
                                                      extent that prescribing patterns do shift                        percent add-on amount in the form of a                  III. E. of this proposed rule. We chose
                                                      toward lower cost drugs under phase I,                           flat fee divided equally among doses of                 not to explore an episode of care
                                                      in aggregate, beneficiaries would benefit                        all drugs. This would shift an even                     approach under this proposed Part B
                                                      along with the Medicare program. We                              greater portion of payments from the                    Drug Payment Model because of our
                                                      note that individual beneficiaries may                           high cost drugs to the lower cost drugs                 immediate interest in addressing current
                                                      see increases or decreases in their cost-                        even more aggressively than the                         incentives in Part B payment for the full
                                                      sharing responsibility consistent with                           proposed redistribution of ASP+2.5                      range of Part B drugs. Rather than
                                                      any redistribution in payment.                                   percent plus a flat fee of $16.80. Like                 proposing an episode of care based
                                                         For phase II of this model,                                   MedPAC, we believe that some amount                     payment built upon drug treatments, we
                                                      commercial experience suggests that                              of percentage add-on is required to                     are soliciting comments on an episode
                                                      some savings could be achieved, but we                           address distribution channel costs                      approach in section III.D. of this
                                                      cannot anticipate the magnitude of                               associated with wholesalers and others                  proposed rule for future consideration.
                                                      changes in spending as already                                   between the manufacturer sales price                    We also plan to monitor experiences
                                                      discussed. To the extent that savings                            and the physician purchase of a drug.                   under the OCM closely to identify other
                                                      ultimately are realized, both the                                Converting the ASP add-on payment to                    opportunities for similar models that
                                                      beneficiary and Medicare program                                 a complete flat fee might limit                         include drug therapies.
                                                      would benefit. Further, we have                                  providers’ ability to purchase expensive
                                                                                                                                                                               e. Accounting Statements and Table
                                                      proposed in our value-based pricing                              drugs as well as overly incentivize
                                                      discussion in section III.A. of this                             payment for the low cost drugs. We                         As required by OMB Circular A–4
                                                      proposed rule, consistent with cost                              chose not to propose such a payment                     (available on the Office of Management
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                                                      sharing approaches for Part B drugs, that                        structure. We also have discussed                       and Budget Web site at http://
                                                      beneficiary cost sharing will not exceed                         additional tests of add-on modifications                www.whitehouse.gov/sites/default/files/
                                                      20 percent of the total model-based                              in section III.A.3 of this proposed rule.               omb/assets/regulatory_matters_pdf/a-
                                                      payment amount for the Part B drug.                              However, we believe that these                          4.pdf), we have prepared an accounting
                                                                                                                       approaches are not sufficiently different               statement to illustrate the estimated
                                                      d. Alternative Part B Drug Payment                               from the proposed approach to warrant                   impact of this proposed rule. The
                                                      Proposed Policies Considered                                     proposal. We also were concerned that                   accounting statement, Table 4,
                                                        Alternatives to the Part B Drug                                additional arms in the model could                      illustrates the classification of
                                                      Payment Model changes that we are                                reduce statistical power. We invited                    expenditures for providers and


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                                                      13258                             Federal Register / Vol. 81, No. 48 / Friday, March 11, 2016 / Proposed Rules

                                                      suppliers paid under the OPPS or                                           in this proposed rule. Table 4 classifies
                                                      MPFS, based on the estimated impacts                                       most estimated impacts as transfers.

                                                         TABLE 4—ACCOUNTING STATEMENT: CY 2016 ESTIMATED HOSPITAL OPPS AND MPFS TRANSFERS AS A RESULT OF
                                                                                          CHANGES IN THIS PROPOSED RULE
                                                                                                    Category                                                                                             Transfers

                                                      Annualized Monetized Transfers ..............................................................                    $0 million.
                                                      From Whom to Whom ..............................................................................                 Federal Government to outpatient providers, physicians, other practi-
                                                                                                                                                                         tioners and providers and suppliers who receive OPPS or MPFS
                                                                                                                                                                         payment.
                                                           Total ...................................................................................................   $0 million.



                                                      E. Regulatory Flexibility Act (RFA)                                        G. Federalism Analysis                                         paid under the OPPS will experience a
                                                      Analysis                                                                      Executive Order 13132 establishes                           minimal decrease in overall payment
                                                                                                                                 certain requirements that an agency                            related to the proposed Part B Drug
                                                         The RFA requires agencies to analyze                                                                                                   Payment Model. Table 3 demonstrates
                                                      options for regulatory relief of small                                     must meet when it issues a proposed
                                                                                                                                 rule (and subsequent final rule) that                          the estimated impact of the proposal,
                                                      entities, if a rule has a significant impact                                                                                              which for most hospital categories
                                                                                                                                 imposes substantial direct costs on State
                                                      on a substantial number of small                                                                                                          would result in decreases in payments
                                                                                                                                 and local governments, preempts state
                                                      entities. For purposes of the RFA, most                                                                                                   for separately paid drugs in the range of
                                                                                                                                 law, or otherwise has Federalism
                                                      hospitals, practitioners, and most other                                                                                                  ¥2.5 to ¥2.0 percent and ¥0.9 to ¥0.1
                                                                                                                                 implications. We have examined the
                                                      providers and suppliers are small                                          OPPS and MPFS provisions in the Part                           percent for overall Medicare payments.
                                                      entities, either by nonprofit status or by                                 B Drug Payment Model included in this                          The effect of this proposal on an
                                                      having annual revenues that qualify for                                    proposed rule in accordance with                               individual hospital, physician,
                                                      small business status under the Small                                      Executive Order 13132, Federalism, and                         practitioner, or other supplier will
                                                      Business Administration standards. For                                     have determined that they will not have                        depend on its individual practice
                                                      details, see the Small Business                                            a substantial direct effect on state, local                    patterns.
                                                      Administration’s ‘‘Table of Small                                          or tribal governments, preempt state
                                                      Business Size Standards’’ at http://                                                                                                      List of Subjects in 42 CFR Part 511
                                                                                                                                 law, or otherwise have a Federalism
                                                      www.sba.gov/content/table-                                                 implication. As reflected in Table 3 of                          Administrative practice and
                                                      smallbusiness-size-standards.                                              this proposed rule, we estimate that                           procedure, Health facilities, Medicare,
                                                         In addition, section 1102(b) of the Act                                 OPPS payments to governmental                                  Reporting and recordkeeping
                                                      requires us to prepare a regulatory                                        hospitals (including state and local                           requirements.
                                                      impact analysis if a rule may have a                                       governmental hospitals) would decrease
                                                      significant impact on the operations of                                    payment by 0.4 percent under this                                For the reasons set forth in the
                                                      a substantial number of small rural                                        proposed rule. While we do not know                            preamble, under the authority at section
                                                      hospitals. This analysis must conform to                                   the number of physician offices with                           1115A of the Social Security Act, the
                                                                                                                                 government ownership, we anticipate                            Centers for Medicare & Medicaid
                                                      the provisions of section 603 of the
                                                                                                                                 that it is small. The analyses we have                         Services proposes to amend 42 CFR
                                                      RFA. For purposes of section 1102(b) of
                                                                                                                                 provided in this section of this proposed                      Chapter IV by adding Part 511 to
                                                      the Act, we define a small rural hospital
                                                                                                                                 rule, in conjunction with the remainder                        Subchapter H to read as follows:
                                                      as a hospital that is located outside of
                                                      a metropolitan statistical area and has                                    of this document, demonstrate that this
                                                                                                                                 proposed rule is consistent with the                           PART 511—PART B DRUG PAYMENT
                                                      100 or fewer beds. We estimate that this                                                                                                  MODEL
                                                      proposed rule may have a significant                                       regulatory philosophy and principles
                                                      impact on small rural hospitals selected                                   identified in Executive Order 12866, the                       Sec.
                                                      for the model. Therefore, we have                                          RFA, and section 1102(b) of the Act.
                                                                                                                                                                                                Subpart A—General Provisions
                                                      prepared a regulatory impact analysis                                      H. Conclusion
                                                      that includes the effects of the proposed                                                                                                 511.1     Basis and scope.
                                                                                                                                    The changes we are proposing to                             511.2     Abbreviations and definitions.
                                                      rule on small rural hospitals.                                             make in this proposed rule will affect all
                                                                                                                                 categories of outpatient providers,                            Subpart B—Part B Drug Payment Model
                                                      F. Unfunded Mandates Reform Act
                                                                                                                                 physicians, practitioners, and other                           Participants
                                                      Analysis
                                                                                                                                 suppliers who furnish drugs that we are                        511.100     Included providers and suppliers.
                                                         Section 202 of the Unfunded                                             proposing to include in the Part B Drug                        511.105     Geographic areas.
                                                      Mandates Reform Act of 1995 (UMRA)                                         Payment Model. We estimate that the                            Subpart C—Scope
                                                      also requires that agencies assess                                         effect of this proposal on physician
                                                      anticipated costs and benefits before                                                                                                     511.200 Part B drugs and related fees
                                                                                                                                 specialties changes will vary, depending
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                                                                                                                                                                                                    included in the model.
                                                      issuing any rule whose mandates                                            on what drugs they furnish and their
                                                                                                                                                                                                511.205 Model structure and duration.
                                                      require spending in any 1 year of $100                                     clinical patterns. Table 2 demonstrates
                                                      million in 1995 dollars, updated                                           the estimated impact of the proposal on                        Subpart D—Pricing and Payment
                                                      annually for inflation. That threshold                                     physician and supplier specialties,                            511.300 Determination of model-based ASP
                                                      level is currently approximately $144                                      which for most would result in changes                             payment (Phase I).
                                                      million. This proposed rule does not                                       in drug payments in the range of ¥3.3                          511.305 Determination of VBP tools (Phase
                                                      mandate any requirements for State,                                        to 50.2 percent and ¥2.9 to 3.2 percent                            II).
                                                      local, or tribal governments, or for the                                   for overall Medicare payments. We                              511.315 Pre-appeals Payment Exceptions
                                                      private sector.                                                            estimate that most classes of hospitals                            Review Process.



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                                                                                Federal Register / Vol. 81, No. 48 / Friday, March 11, 2016 / Proposed Rules                                            13259

                                                      Subpart E—Waivers                                          NCD which stands for National                      that are included in the model if the
                                                      511.400 Waiver of certain ASP payment                   Coverage Determination.                               provider or supplier is located (or
                                                          methodologies, requirements, and                       NPI stands for National Provider                   services are billed) in the geographic
                                                          definitions for certain Medicare Part B             Identifier.                                           areas that are selected for inclusion in
                                                          drugs.                                                 OIG stands for the Department of                   the model. This includes physicians,
                                                      511.405 Waiver of other Part B drug                     Health and Human Services’, Office of                 DME suppliers (including certain
                                                          payment methodologies.
                                                      511.410 Waiver of CAP.
                                                                                                              the Inspector General.                                pharmacies that furnish Part B drugs),
                                                                                                                 OPPS stands for Outpatient                         and hospital outpatient departments
                                                        Authority: Secs. 1102, 1115A, and 1871 of             Prospective Payment System under                      that furnish and bill for Part B drugs.
                                                      the Social Security Act (42 U.S.C. 1302,
                                                                                                              section 42 CFR part 419.
                                                      1315(a), and 1395hh).                                                                                         § 511.105   Geographic areas.
                                                                                                                 OPD which means outpatient
                                                      Subpart A—General Provisions                            department.                                             (a) General. The geographic areas for
                                                                                                                 Participant means any provider or                  inclusion in the Part B Drug Payment
                                                      § 511.1   Basis and scope.                              supplier operating in an identified                   Model are obtained through stratified
                                                        (a) Basis. This part implements the                   geographic area.                                      random assignment of PCSAs to each
                                                      test of the Part B Drug Payment Model                      PBM stands for pharmacy benefit                    model arm.
                                                      under section 1115A of the Act. Except                  manager.                                                (b) Exclusions. PCSAs with any ZIP
                                                      as specifically noted in this part, the                    PBPM stands for per-beneficiary-per-               code located in the state of Maryland are
                                                      regulations under this part must not be                 month.                                                excluded from this model.
                                                      construed to affect the payment,                           PCSA stands for primary care service
                                                      coverage, program integrity, and other                  area as defined and updated under                     Subpart C—Scope
                                                      requirements (such as those in parts 412                contract to the Health Resources and                  § 511.200 Part B drugs and related fees
                                                      and 482 of this chapter) that apply to                  Services Administration (HRSA) by the                 included in the model.
                                                      providers and suppliers under this                      Dartmouth Institute.
                                                      chapter.                                                                                                        (a) General: The model includes
                                                                                                                 Provider has the same meaning as a
                                                        (b) Scope. This part sets forth the                                                                         separately paid drugs and biologicals
                                                                                                              ‘‘provider of services’’ under section
                                                      following:                                                                                                    under Medicare Part B including those
                                                                                                              1861(u) of the Act and includes a
                                                        (1) The participants in the model.                                                                          with ASP and WAC based payment
                                                                                                              hospital, critical access hospital, skilled
                                                        (2) The drugs being tested in the                                                                           amounts, AMP-based substitutions of
                                                                                                              nursing facility, comprehensive
                                                      model.                                                                                                        ASP payment amounts, and certain
                                                                                                              outpatient rehabilitation facility, home
                                                        (3) The methodologies for pricing and                                                                       drug-related fees.
                                                                                                              health agency, or hospice program.
                                                      payment under the model.                                                                                        (b) Drugs, biologicals, and fees subject
                                                                                                                 Supplier has the same meaning as
                                                        (4) Safeguards to ensure preservation                                                                       to inclusion. (1) Single source drugs,
                                                                                                              defined in section 1861(e) of the Act
                                                      of beneficiary choice and beneficiary                                                                         biologicals, multiple source drugs, and
                                                                                                              and unless the context otherwise
                                                      notification.                                                                                                 biosimilars receiving distinct and
                                                                                                              requires, a physician or other
                                                                                                                                                                    separate payments in accordance with
                                                      § 511.2   Abbreviations and definitions.                practitioner, a facility, or other entity
                                                                                                                                                                    section 1842(o) of the Act, including
                                                        For the purposes of this part, the                    (other than a provider of services) that
                                                                                                                                                                    drugs and biologicals paid under
                                                      following definitions are applicable:                   furnishes items or services under this
                                                                                                                                                                    sections 1847A, 1847B or 1833(t) of the
                                                        AMP stands for Average Manufacturer                   title.
                                                                                                                 TIN stands for Taxpayer Identification             Act,.
                                                      Price.                                                                                                          (2) Specified fees paid in accordance
                                                        ASP stands for Average Sales Price.                   Number.
                                                                                                                 United States means the fifty states,              with section 1842(o) of the Act,
                                                        ASP drug pricing files means the drug
                                                                                                              the District of Columbia, the                         including those paid for
                                                      pricing files that contain the payment
                                                                                                              Commonwealth of Puerto Rico, the                      immunosuppressive drugs, inhalation
                                                      amounts that contractors use to pay for
                                                                                                              Virgin Islands, Guam, American Samoa,                 drugs and clotting factors under sections
                                                      Part B covered drugs. They are updated
                                                                                                              and the Northern Mariana Islands (42                  1842(o)(6), 1842(o)(2), 1842(o)(5) of the
                                                      quarterly and each year’s files are
                                                                                                              CFR 400.200).                                         Act.
                                                      available to the public through links at
                                                                                                                 VBP stands for value-based                           (c) Drugs and biologicals subject to
                                                      https://www.cms.gov/Medicare/
                                                                                                              purchasing, which refers to a suite of                exclusion. (1) MAC/Contractor priced
                                                      Medicare-Fee-for-Service-Part-B-Drugs/
                                                                                                              tools emphasizing beneficiary outcomes,               drugs and biologicals that do not appear
                                                      McrPartBDrugAvgSalesPrice/
                                                                                                              education and feedback, and price used                on the quarterly national ASP Drug
                                                      index.html.
                                                        AWP stands for Average Wholesale                      to manage a prescription drug benefit.                Pricing Files.
                                                      Price.                                                     VBP contractor means the entity with                 (2) ESRD drugs paid under the
                                                        CAP stands for Competitive                            which CMS will contract to assist in                  authority in section 1881 of the Act.
                                                      Acquisition Program.                                    implementation of the tools included in                 (3) Influenza, pneumococcal
                                                        CCN stands for CMS certification                      phase II of the Part B Drug Payment                   pneumonia and Hepatitis B vaccines
                                                      number.                                                 Model                                                 paid under the benefit described in
                                                        DME stands for Durable Medical                           WAC stands for wholesale acquisition               section 1862(s)(10) of the Act.
                                                      Equipment.                                              cost.                                                   (4) OPPS drugs that receive packaged
                                                                                                                                                                    payment.
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                                                        FFS stands for fee for service.
                                                        Hospital means a hospital as specified                Subpart B—Part B Drug Payment                           (5) Blood and blood products.
                                                      in section 1861(e) of the Act.                          Model Program Participants
                                                        MAC stands for Medicare                                                                                     § 511.205   Model structure and duration.
                                                      Administrative Contractor.                              § 511.100 Included providers and                         (a) General. There will be 3 different
                                                        Maryland All-Payer Model means the                    suppliers.                                            arms and one control in this model.
                                                      CMS initiative to modernize Maryland’s                    General. This model requires                           (b) Random assignment. Geographic
                                                      unique all-payer rate-setting system for                mandatory participation for the                       areas are randomly assigned within six
                                                      hospital services that will improve                     providers and suppliers (including                    strata to one of three model arms or
                                                      patient health and reduce costs.                        physicians) who furnish Part B drugs                  control.


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                                                      13260                     Federal Register / Vol. 81, No. 48 / Friday, March 11, 2016 / Proposed Rules

                                                         (c) Model arms defined. The model                    substitutions determined under                          (d) Public feedback. CMS will solicit
                                                      arms contain the following ASP                          § 414.904(d)(3) of this chapter, the lower            public input for 30 days on the specific
                                                      payment for separately paid drugs under                 of the quarter’s AMP-based substitution               application of a proposed VBP tool.
                                                      the Part B benefit or hospital outpatient               or the model ASP amount as determined                   (e) Public notification. CMS will
                                                      prospective payment system and                          under § 511.300 will be used.                         notify the public by posting on the CMS
                                                      application of a suite of value-based                                                                         Web site of application of any VBP tools
                                                      purchasing tools.                                       § 511.305 Determination of VBP tools
                                                                                                                                                                    45 days before implementation.
                                                         (1) ASP+6 percent [control].                         (phase II).
                                                         (2) ASP+2.5 percent plus a flat fee.                    (a) General. The model includes a                  § 511.315 Pre-appeals Payment
                                                         (3) Value-based purchasing.                          VBP program which uses the tools                      Exceptions Review Process.
                                                         (4) ASP+2.5 plus a flat fee and value-               approved for applicable Part B drugs as                 (a) General. This process precedes the
                                                      based purchasing.                                       noted in paragraph (b) of this section.               current appeals process in 42 CFR part
                                                         (d) Duration and phased in                              (b) Approved tools. The following                  405 subpart I, and allows providers,
                                                      implementation. (1) The duration of the                 tools will be available to implement                  suppliers, and beneficiaries the option
                                                      model is 5 years from implementation.                   VBP:                                                  to dispute pricing decisions, made
                                                      Implementation will be on or after                         (1) Value-based pricing strategies.                under § 511.305 (phase II of the model)
                                                      August 1, 2016.                                         Value-based pricing strategies include:               before the claim is submitted.
                                                         (2) ASP add-on will be tested in                                                                             (b) Payment Exceptions Review
                                                                                                                 (i) Reference pricing. Reference
                                                      phases I and II and will be implemented                                                                       Process. This process will be conducted
                                                      no sooner than 60 days after the rule is                pricing sets a benchmark rate based on
                                                                                                              the current payment rate for a drug or                by the VBP contractor. A provider,
                                                      finalized. VBP arms are tested in                                                                             supplier, or beneficiary may file a
                                                      conjunction with ASP add-on in phase                    drugs in a class that may be used as the
                                                                                                              basis of payment for all other                        payment exception request regarding a
                                                      II. Phase II will be implemented on or                                                                        pricing policy for a drug furnished to a
                                                      after January 1, 2017.                                  therapeutically similar drug products in
                                                                                                              a group. Medicare providers and                       beneficiary.
                                                         (e) Use of contractor. One or more
                                                                                                              suppliers may not bill the beneficiary                  (c) Requirements of the Payment
                                                      contractors will be utilized to
                                                                                                              for any difference in pricing between                 Exceptions Review Process. The
                                                      implement CMS approved VBP tools
                                                      described in § 511.305(b).                              the benchmark rate and the statutory                  provider, supplier, or beneficiary may
                                                                                                              payment rate or the provider or                       submit pertinent information to the VBP
                                                      Subpart D—Pricing and payment                           supplier’s charge for the drug                        contractor with the exceptions request
                                                                                                              prescribed.                                           to explain why a payment exception is
                                                      § 511.300 Determination of model-based                     (ii) Indications-based pricing. A                  appropriate, given the beneficiary’s
                                                      ASP payment (Phase I).                                                                                        circumstances.
                                                                                                              drug’s price may be adjusted based on
                                                        (a) General. The ASP portion of the                   the product’s safety and cost-                          (d) Rendering a decision. A decision
                                                      model encompasses testing of                            effectiveness for a specific indication as            regarding a request for a payment
                                                      modifications to the 6 percent add-on                   evidenced by published studies and                    exception shall be issued by the VBP
                                                      for Part B drug payments. ASP model                     reviews or evidence-based clinical                    contractor within 5 business days of
                                                      based payment rates are determined                      practice guidelines that are competent                receipt of the request.
                                                      based upon values published in the                      and reliable.                                           (e) Current appeals process. The
                                                      quarterly ASP Drug Pricing Files per                                                                          provider, supplier, or beneficiary retain
                                                                                                                 (iii) Outcomes-based risk-sharing
                                                      § 414.904 of this chapter, except the 6                                                                       their right to utilize the current appeals
                                                                                                              agreements. CMS may enter into
                                                      percent add-on is replaced with a fixed                                                                       process, regardless of whether they first
                                                                                                              outcomes-based risk-sharing contracts
                                                      percentage of 2.5 percent and a flat fee.                                                                     utilize the Pre-Appeals process, once
                                                                                                              with pharmaceutical manufacturers to
                                                      The add-on is based on the total add-on                                                                       they have submitted a claim.
                                                                                                              link price adjustments for a drug or
                                                      payment for all Part B drugs that are
                                                                                                              drugs to clearly defined patient health
                                                      included in the model for the most                                                                            Subpart E—Waivers
                                                                                                              outcome goals. CMS may base these
                                                      recently available complete set of Part B
                                                                                                              goals on outcome measures submitted as                § 511.400 Waiver of certain ASP payment
                                                      calendar year claims. For 2016,
                                                                                                              part of a package of competent and                    methodologies, requirements, and
                                                      alternative ASP pricing add-on under
                                                                                                              reliable scientific evidence regarding the            definitions for certain Medicare Part B
                                                      phase I of the model will be equal to                                                                         drugs.
                                                                                                              clinical value of a drug by the
                                                      aggregate add-on spending in a model
                                                                                                              manufacturer.                                           (a) Waiver of 6 percent add-on
                                                      CY 2014 claims data set.
                                                         (b) Payment updates. (1) The flat fee                   (iv) Discounting or eliminating patient            percentage for certain Medicare Part B
                                                      will be updated every calendar year                     coinsurance amounts. Beneficiary cost-                drugs. We waive portions of section
                                                      based on the percentage increase in the                 sharing may be reduced for Part B drugs               1847A (b) (1) of the Act which specify
                                                      consumer price index for medical care.                  deemed to be high in value. Any                       the 6 percent add-on percentage for
                                                         (2) The ASP+0 portion of the model                   reductions in beneficiary cost-sharing                payments determined under section
                                                      payment rates are updated quarterly                     may not change the overall payment                    1847A of the Act.
                                                      concurrently with determinations made                   amount.                                                 (b) Waiver of how the volume-
                                                      under § 414.904 of this chapter.                           (2) Clinical decision support. Clinical            weighted ASP is to be used in the
                                                         (c) Special circumstances—(1)                        decision support policies are developed               calculation of average sales price. We
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                                                      Shortages. For drugs that are reported                  based on one or more of the following:                waive portions of section 1847A(b)(6) of
                                                      by the FDA to be in short supply at the                 competent and reliable scientific                     the Act, which specifies how the
                                                      time that ASP payment amounts are                       evidence, clinical guidelines, and Part B             volume-weighted average sales price is
                                                      being finalized for the next quarter,                   claims data.                                          to be used in the calculation of ASP.
                                                      payments are made using the amount                         (c) Beneficiary cost-sharing.                        (c) Waiver of definitions of single
                                                      determined under section 1847A of the                   Beneficiary cost-sharing must not                     source drug or biological, multiple
                                                      Act.                                                    exceed 20 percent of the total model-                 source drug and biosimilar. We waive
                                                         (2) AMP-based price substitutions: For               based payment amount for the                          definitions of single source drug or
                                                      HCPCS codes with AMP-based                              applicable Part B drug.                               biological, multiple source drug and


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                                                                                Federal Register / Vol. 81, No. 48 / Friday, March 11, 2016 / Proposed Rules                                               13261

                                                      biosimilar in section 1847A (c) of the                    (f) Waiver of OPPS pass through                     immunosuppressive drug supplying
                                                      Act                                                     payment for outpatient drugs. We waive                fees, inhalation drug dispensing fees
                                                         (d) Waiver of the NDC assignment                     section 1833(t)(6) of the Act, which                  and the clotting factor furnishing fees.
                                                      requirement. We waive provisions in                     requires the Secretary to furnish
                                                      section 1847A(b) of the Act that require                additional pass through payments for                  § 511.410   Waiver of CAP.
                                                      the assignment of NDCs to HCPCS codes                   certain drugs that are covered under the                We waive section 1847B of the Act
                                                      based on whether a drug meets the                       OPD service (group of services).                      and portions of §§ 414.906 through
                                                      definition of single source drug,                                                                             414.920 of this chapter which
                                                      multiple source drug, biological or                     § 511.405 Waiver of other Part B drug
                                                                                                              payment methodologies.                                implement the Part B drug competitive
                                                      biosimilar and to base the determination                                                                      acquisition program (CAP).
                                                      of the ASP (that is, the ASP+0 percent)                    (a) Waiver of specified payment
                                                      on the NDCs from this assignment.                       methodology for certain infusion drugs.                 Dated: February 24, 2016.
                                                         (e) Waiver of OPPS requirement to                    We propose to waive section 1842                      Andrew M. Slavitt,
                                                      pay for drugs acquisition cost plus an                  (o)(1)(D) of the Act, which requires that             Acting Administrator, Centers for Medicare
                                                      overhead adjustment or by default, to                   infusion drugs furnished through an                   & Medicaid Services.
                                                      ASP+6 percent. We waive section 1833                    item of DME be paid at 95 percent of the                Dated: February 26, 2016.
                                                      (t)(14) of the Act which specifies that                 AWP in effect on October 1, 2003.
                                                      the Outpatient Prospective Payment                         (b) Waiver of specified fees for                   Sylvia M. Burwell,
                                                      System pays for certain outpatient drugs                immunosuppressive drugs, inhalation                   Secretary, Department of Health and Human
                                                      at acquisition cost plus an adjustment                  drugs and clotting factors. We waive                  Services.
                                                      for overhead and handling, or by                        sections 1842(o)(6), 1842(o)(2),                      [FR Doc. 2016–05459 Filed 3–8–16; 4:15 pm]
                                                      default, to ASP+6 percent.                              1842(o)(5) of the Act that state the                  BILLING CODE P
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Document Created: 2016-03-11 01:50:50
Document Modified: 2016-03-11 01:50:50
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionProposed Rules
ActionProposed rule.
DatesTo be assured consideration, comments must be received at one of
ContactSusan Janeczko (410) 786-4529 or Jasmine McKenzie (410) 786-8102.
FR Citation81 FR 13229 
RIN Number0938-AS85
CFR AssociatedAdministrative Practice and Procedure; Health Facilities; Medicare and Reporting and Recordkeeping Requirements

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