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Montana Medical Association September 10, 2016 MACRA Basics Rev. 8/31/16

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Page 1: MACRA Basics - Montana Medical Associationmmaoffice.org/ez/files/home/Cynthia Brown MMA MACRA... · •50% in of total MIPS score in 2019, phases down to 30% in 2022 MIPS weight •Full-year

Montana Medical Association

September 10, 2016

MACRA Basics

Rev. 8/31/16

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Some general observations

• MACRA is complex

– More than a “replacement for the SGR”

– Law reflects the diversity of the profession

– Regulations can add complications

• Many of the new requirements are simply revisions of current requirements

• One goal of MACRA was to simplify administrative processes for physicians

– Compared to recent past/ current framework, the proposed regulations include significant improvements

– More improvements are needed—looking for net reduction in burden

• The proposed rule issued in April is a draft attempt to implement a complex law.

– Lengthy and detailed recommendations have been submitted for improvements

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3

MACRA establishes two Medicare paths for physicians

• MACRA was designed to offer

physicians two payment model

pathways:

• A modified fee-for-service model

(MIPS)

• New payment models that reduce

costs of care and/or support high-value

services not typically covered under

the Medicare fee schedule (APMs)

• In the beginning, most are expected to

participate in MIPS

MIPS

APMs

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APMs and MIPS reporting at a glance

4

In an APM?

Yes No

In first year in Medicare or below the volume threshold?

Yes No

In an Advanced APM?

Yes No

Enough payments or patients to meet the threshold?

Yes No

Qualifying APM Participant. Eligible for:

• 5% lump sum bonus payment 2019-2024

• Higher fee schedule updates 2026 and beyond

• APM-specific rewards

• Exclusion from MIPS reporting

Not subject

to MIPS Subject to

MIPS

Partially qualified or MIPS

APM participant:

• Favorable CPIA scoring

• APM-specific rewards

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Merit-based

Incentive Payment

System (MIPS)

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MIPS components

Quality Reporting (was

PQRS)

Resource Use or Cost (was Value-based Modifier)

Advancing Care Information (was

MU)

Clinical Practice Improvement

Activities

MIPS

6

MIPS aims: • Align 3 current independent programs

• Add 4th component to promote improvement and

innovation

• Provide more flexibility and choice of measures

• Retain a fee-for-service payment option

Clinicians exempt from MIPS: • First year of Part B participation

• Medicare claims < $10K AND patients < 100

• Advanced APM participants

AMA recommendation: • Increase low-volume threshold to $30K OR 100

patients

• Would exempt 29% of physicians (vs.

10%) while covering 93% of Medicare

spending

• Mean Medicare revenue per physician is

about $109K

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Quality reporting basics

7

•50% in of total MIPS score in 2019, phases down to 30% in 2022

•Full-year reporting period MIPS weight

•6 measures required out of 200 available, reported by physicians

•Include one cross-cutting measure, one outcome measure (if outcome measure not available, substitute with choice of another “high priority” measure)

•3 population health measures from former VBM calculated by CMS administratively via claims (groups of 10 or more only)

Measures

•Each measure worth up to 10 points

•90 total points for groups >10

•80 total points for smaller groups (all-cause hospital readmission measure not applied)

•Distribution of points for each measure based on performance benchmarks (80% for claims reporting, 90% for registry reporting)

Scoring

•Up to 4 bonus points may be added for reporting on outcome and high priority measures

•1 bonus point possible for each measure captured and reported through CEHRT

•Total bonus points capped at 5% of those used to calculate the quality score Bonus points

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Quality reporting vs. PQRS

PQRS

9 measures

Pass/fail approach

Measures must fall across specific quality domains

Quality in NPRM

6 measures

Partial credit allowed

Flexibility in choice of measures

AMA recommendations

Maintain scoring thresholds at 50% (vs.

proposed 80-90%)

Further reduce the number of required quality

measures to 4

Simplify the scoring methodology

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Resource use basics

9

•10% of total MIPS score in 2019 (phases up to 30% in 2021)

•CMS will calculate administratively via claims over full year MIPS weight

•Continues use of VBM cost measures (Medicare spending per beneficiary and total per capita cost) developed for hospital-level measurement

•41 episode-specific measures potentially added Measures

•10 points, calculated average of all attributable cost measures (worth 10 points each)

•20 patient sample required for measure attribution

•If patient volume insufficient for all measures, score is zero and other MIPS categories will be reweighted

Scoring

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Resource use vs. VBM

10

VBM

Included both quality reporting and resource-use measures; PQRS failure counted twice

Poor risk adjustment produced penalties for

treating sickest patients

No statutory limits on penalty risk

Resource Use in NPRM

Focuses solely on cost/ resource-use; no duplicative quality

reporting

41 episode-based measures proposed

Plans to improve attribution methods in

2018 (for 2020 payments)

AMA recommendations

Cost measures flawed, episode groups need testing/ improvement

Improve attribution methods for episodes

Develop pilot rather than using flawed measures

Do not incorporate Part D or B drug costs

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Advancing care information basics

11

•25% of total MIPS score

•May be reduced if >75% of clinicians are successful

•12-month physician reporting period MIPS weight

•50 points for achieving 6 objectives (pass/fail)

•Immunization registry reporting required; reporting to more than one public health registry earns bonus point

•CPOE and clinical decision support no longer required

•Provide numerator/denominator or yes/no attestation for each

•Failure to attest to “protecting patient health information” results in zero total ACI score

Base measures and

scoring

•80 points available; total combined score exceeding 100 gets full credit

•Clinicians select from measures across 3 objective areas: patient electronic access, patient engagement, HI exchange

•ACI performance category will be reweighted to zero and other MIPS categories increased if objectives don’t apply (e.g., for hospital-based clinicians)

•Clinical quality measures from Meaningful Use no longer required

Performance measures and

scoring

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Advancing care information vs. meaningful use

12

MU

100% score required on all measures to avoid 5%

penalty

Included redundant measures and

problematic CPOE, CDS and clinical quality

measures

ACI in NPRM

Pass-fail program replaced with base and

performance scoring

Measures reduced

Performance score thresholds eliminated

Public health registry reporting reduced

AMA recommendations

50 point base score threshold still 100%; grant

credit for measures reported

Maintain existing measure exclusions

Permit proposals for more relevant measures

Establish a 90-day reporting period

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CPIA basics

• 15% of total MIPS score

• 90-day reporting period MIPS weight

• 8 activity categories

• 90+ activities

• Do not need activities in each category CPIA categories

• 60 points = 100% CPIA score

• 7 of 8 categories have both high (20 points) and medium (10 points) weighted activities

Scoring

• Certified PCMH (60 points); other APM (30 points)

• Non-patient facing specialties & small rural practices need fewer points (one activity for partial credit, 2 activities for full credit)

Exceptions

• High weight activities should be expanded, required activities reduced

• Credit for APM participation should be increased

• Practices should be able to maintain CPIA activities over time Concerns

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CPIA categories

Expanded Practice Access

Population Management

Care Coordination

Beneficiary Engagement

Patient Safety & Practice

Assessment

Achieving Health Equity

Emergency Response and Preparedness

Integrated Behavioral &

Mental Healtah

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2019 (first year) penalty risks compared

15

Prior Law 2019

adjustments

PQRS -2%

MU -5%

VBM -4% or more*

Total penalty risk -11% or more*

Bonus potential (VBM

only)

Unknown (budget

neutral)*

MIPS factors 2019 scoring

Quality measurement 50% of score

Advancing Care Info. 25% of score

Resource use 10% of score

Clinical improvement

activities

15% of score

Total penalty risk Max of -4%

Bonus potential Max of 4%, plus

potential 10% for high

performers *VBM was in effect for 3 years before MACRA passed, and

penalty risk was increased in each of these years; there

were no ceilings or floors on penalties and bonuses, only a

budget neutrality requirement.

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MIPS component weights and scoring in 2019

50%

25%

15%

10%

Component Weights

Quality

ACI

CPIA

Resource Use

Component Scoring • Quality:

– 80 points groups <10

– 90 points for larger groups

– Weight phases down to 30% in 2021

• Advancing Care Information:

– 50 points base score

– 80 points performance score

• Clinical Practice Improvement Activities:

– 60 points (3-6 activities; 2 activities for small and rural practices)

• Resource Use:

– 10 points per measure

– Score is average of attributable measures

– Weight phases up to 30% in 2021

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Calculating MIPS payment adjustments (2019)

17

Quality score

weighted 50%

Cost score

weighted 10%

ACI score

weighted 25%

CPIA score

weighted 15%

Composite

Performance

Score (CPS)

CPS at threshold (tied to

average performance) = 0%

CPS above threshold = 0% to 4%

CPS below threshold = 0% to -4%

Depending on CPS distribution, upward

adjustments only could increase up to 3x to

maintain budget neutrality

Physicians with CPS scores

< 25% of threshold receive

maximum reduction

Up to $500 million available

2019-2024 to provide 10%

extra bonus for exceptional

performance (> top 25% of

those above the threshold)

Maximum adjustment ranges increase to +/- 5% in 2020, +/- 7%

in 2021, +/- 9% in 2022 onward

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Some observations about MIPS

Positives:

• Overlapping quality measurement across separate programs eliminated

• Overall reduction in measures, many thresholds eliminated

• More flexibility in measure choice

• Pass/ fail approach (largely) eliminated

• Financial risk from penalties significantly reduced

Issues to address:

• Aggregate administrative burden for practices is still too high

• A more holistic approach is needed to integrate the 4 components into a single program

• MU measures largely retained in ACI; need greater flexibility and focus on goal vs. process

• Methodological issues of VBM cost and quality measures remain

• Full-year reporting for most components

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Estimated impacts

• Estimated MIPS actuarial impact table (table 64) predicting payment cuts for small practices should be interpreted with caution

– Data used are based on successful participation of “eligible clinicians” in PQRS and VBM in 2014

• Moving away from pass/fail approach and other accommodations proposed for small practices not reflected in the analysis

• Does not reflect reduced risk of penalties under MACRA vs. previous law

• AMA recommended changes that could ease impact (e.g., raising low volume threshold)

• Many policymakers recognize small practices as an effective means of delivering high-value care

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Small practice accommodations

NPRM Provisions

• Low-volume MIPS exemption

• Fewer quality measures, CPIA reporting requirements

• Reporting category exemptions if insufficient measures applicable

• Cost score not calculated if volume insufficient for measures

AMA Recommendations

• Low-volume threshold should be increased

• Peer-to-peer comparisons on performance

• Further reduce reporting requirements

• Consistent definition of small practice

• Implement virtual group provision

• Maintain EHR exemption for lack of high speed Internet, physicians who do not refer patients

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Alternative

Payment Models

(APMs)

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APMs participation options as outlined by CMS

22

Advanced APMs

Qualified Medical Homes

MIPS APMs

• “Advanced” APMs--term

established by CMS; these

have greatest risks and offer

potential for greatest

rewards

• Qualified Medical Homes

have different risk structure

but otherwise treated as

Advanced APMs

• MIPS APMs receive

favorable MIPS scoring

• Physician-focused APMs

are under development

Physician-

focused

APMs TBD

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CMS criteria for Advanced APMs

23

Advanced APMs

EHR use

Quality Reporting

Financial

Risk

• Participants must use certified EHR technology

• At least 50% of clinicians in first year, 75%

thereafter

• Payment based on quality measures

comparable to MIPS

• Bear “more than nominal risk” for monetary

losses (current proposal is 4% of total Medicare

expenditures)

• Expanded Medical Home models exempt from

risk

• Other Medical Home models have different

standards (2.5%-5% total Medicare revenues)

• Physicians may be Qualified Participants (QPs)

or Partially Qualified Participants (PQPs) based

on revenue and patient thresholds, with

differential rewards

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MACRA incentives for Advanced APM participation

Model design

• APMs have shared savings, flexible payment bundles and other desirable features

Bonuses

• In 2019-2024, 5% bonus payments made to physicians participating in Advanced APMs

Higher updates

• Annual baseline payment updates will be higher (0.75%) for Advanced APM participants than for MIPS participants (0.25%) starting 2026

MIPS exemption

• Advanced APM participants do not have to participate in MIPS (models include their own EHR use and quality reporting requirements)

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Currently proposed Advanced APMs

Comprehensive ESRD Care Model

(currently 13 ESCOs)

Comprehensive Primary Care Plus

(coming in Fall 2016)

Medicare Shared Savings Track 2

(currently 6 ACOs, 1% of total)

Medicare Shared Savings Track 3

(currently 16 ACOs, 4% of total)

Next Generation ACO Model

(currently 18)

Oncology Care Model, 2-Sided

Risk Arrangement

(coming in 2018)

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MIPS APMs

Criteria

• Do not meet qualifications for Advanced APM—most likely financial risk

• Examples includes Track 1 ACOs, certified medical homes, bundled payment programs, any upside risk-only models

Advanced APM benefits do not apply

• Must participate in MIPS to receive any favorable payment adjustments

• Do not qualify for 5% APM bonus payments 2019-2024

• Not eligible for higher baseline annual updates beginning 2026

Other benefits

• Certified medical home participants get full CPIA score (60 points); others get half (30 points)

• APM-specific rewards (e.g., shared savings)

• Eligible for annual MIPS bonuses, which continue indefinitely (vs. 6 years for 5% APM bonuses)

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Requirements and payments for APM participants

Qualified

Participant in

Advanced APM

Partially Qualified

Participant in

Advanced APM

MIPS APM

participant

Patient and revenue

thresholds required

>25% revenues or >20%

patients in 2019, rising to

75% or 50%, respectively

by 2023

>20% revenues or >10%

patients in 2019, rising to

50% and 35%,

respectively, by 2023

None

Eligible for APM bonus,

higher updates

Yes No No

Must participate in MIPS No Optional (but no

performance adjustments

without MIPS)

Yes

MIPS scoring and

adjustments

N/A Favorable weighting and

scoring

Favorable weighting and

scoring

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Some observations about APM pathway

Positives

• Approach to quality measure requirements seems reasonable

• Initial EHR use proposal (50%) seems flexible (although threshold increases quickly)

• Performance judged on group basis

• Reasonable criteria for judging physician-focused payment models

Issues to address

• Too few qualified APMs will be available in 2017

• Timeline for developing new models is long; bonus payments intended to ease transition expire

• Risk requirements are unrealistic (e.g., risk for costs vs. revenues, no credit for investment)

• Risk requirements too complicated

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Moving Forward

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Timeline on payment adjustments

30

2016 2017 2018 2019 2020 2021 2022 2023 2024 2025 2026

on

Fee

Schedule

Updates

MIPS

QPs in

Adv.

APMs

0.5% annual baseline updates No annual baseline updates

4% 5% 7% 9% Max Adjustment (additional bonuses

possible)

0.25%

or

0.75%

9% 9% 9%

5% bonus

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Regulatory timeline

31

NPRM comments deadline

• June 27, 2016

Final MACRA rule issued

• Fall 2016 (Nov. 1?)

MIPS measurement and APM participation begins

• Jan 1, 2017

Second year of measurement

• 2018

MIPS and APM pay adjustments for 2017 performance occur

• Jan 1, 2019

• Implementation timeline

concerns: • Short lead-time for

physicians to learn the

rules

• Inadequate time to

make practice

adjustments

• Too few APMs are

available

• AMA recommends

transitional reporting

year in 2017, to begin

July 1

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AMA advocacy

• Our overarching aims in shaping regulations:

– Choice, flexibility, simplicity, feasibility, clinical relevance

• Four key issues:

– Start date and reporting period

– Accommodations for small and rural practices

– Complexity of the programs

– Expanding APMs

• Extensive Federation outreach

– MACRA Task Force, MIPS workgroup, APM workgroup, CMS listening sessions

• Extensive outreach to the Administration

• Keeping Congress informed, leveraging oversight function

• Developing tool chest of practical resources to help physicians make choices and succeed under new payment systems

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What Physicians

Can Do to Prepare

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AMA MACRA checklist

Are you exempt from MIPS?

Low volume provider?

Qualified participant in an advanced APM?

Do you meet requirements for small, rural, non-patient-facing accommodations?

Do you/ can you participate in a qualified clinical data registry?

Do your PQRS and QRUR reports reveal areas for improvement?

Which CPIAs is your practice doing now? What are you interested in doing?

Is your EHR certified? If so, is it the 2014 or 2015 edition? Does your vendor support Medicare quality reporting?

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AMA MACRA web site

35

www.ama-assn.org/go/medicarepayment Links and tabs to:

• Detailed AMA comments

and recommendations

• Specific info on MIPS and

APMs

• STEPSForward modules

• Checklist to prepare

• MACRA Action Kit and

slides from A-16

• Other MACRA resources,

links, and news stories

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Take advantage of educational opportunities

36

www.stepsforward.org

Completion of select STEPSForward™ modules meets eligibility

criteria for CPIA credit

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Learning from those who do

37

Plans underway to share information

from experienced physicians

• Interviews

• Instructional videos

• Demos

• Webinars

Also:

• Paid media

• Social media

• Federation outreach

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New tool coming soon

38

Payment Model Evaluator Tool (PS2)

• Version 1.0 due to be released in

September

• Educational and preliminary

decision making information

• User testing

• Updated and enhanced Version 1.5

incorporating final rule requirements

and greater functionality planned for

December 2017

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