Health Insurance Exchange (HIX):
HIX – the Basics
Sheila Cooper, Client Executive
Robin Chacon, Client Executive
August 19, 2012
Agenda
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Overview of HIX basics
Exchange governance
Managing challenging timeframes
The evolution of Medicaid as health insurance
Eligibility determination: demystifying Modified Adjusted Gross Income (MAGI)
Discussion of challenges faced by states
HIX Basics
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A Health Insurance Exchange:
Is a marketplace for consumers to purchase commercial health insurance coverage. Types of plans offered include individual policies and small group policies.
Establishes a single access point to health coverage programs including Medicaid, CHIP, and publicly-subsidized commercial insurance.
Supports both individual and small group insurance markets.
Provides premium tax credits for eligible individuals to purchase health coverage.
Offers a two-year tax credit that subsidizes premium costs for eligible small employers that have lower-wage workers.
HIX Basics
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Patient Protection and Affordable Care Act (ACA) rules governing the Exchange can be found primarily in three parts: Establishment of Exchanges and Qualified Health Plans;
Exchange Standards for Employers 45 CFR Subparts 155, 156, and 157
Medicaid Program Eligibility Changes under ACA found in 42 CFR Subparts 431,435, and 457
Standards Related to Reinsurance, Risk Corridors, and Risk Adjustment found in 45 CFR Part 135
HIX Basics
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ACA created the ability for state’s to establish a State-based Exchange entity or elect (default) to a Federally-facilitated Exchange (FFE).
The primary functions of the Exchange include: Eligibility and enrollment for Individuals into Insurance
Affordability Programs, Medicaid, CHIP
Eligibility and enrollment for Small Business Health Options Program (SHOP)
Plan Management
Financial Management
Consumer Assistance for the Exchange
State/Federal Exchange Models
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State-based Exchange Model – All core functions of the Exchange are operated by the state. Must have HHS approval by 1/1/13.
Consortium or Regional Exchange Model – More than one state partner together to establish an exchange that serves the population of participating states. Must have HHS approval by 1/1/13.
Federal Partnership Exchange Model –States may elect to participate in the Federally-facilitated Exchange (FFE) model but retain and operate certain functions of the Exchange. Primary example would be the state retaining the functions of plan management and consumer assistance and eligibility and enrollment managed by the FFE.
Federally-facilitated Exchange Model – All core functions of the Exchange are operated by the United States Department of Health and Human Services (HHS) on behalf of a state.
HIX Basics: Supreme Court Ruling
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The individual mandate was upheld without modification. Implication: timeframes are extremely short, open
enrollment begins 10/1/13
Medicaid expansion was made optional for states; states who chose not to participate in the expansion will not lose existing federal Medicaid funding Implication: states who chose not to expand Medicaid will
need additional state $$ (see next slide)
Upheld that it is within the regulative authority for the government to require guaranteed issue. Implication: risk adjustment will play a critical role
HIX Basics: Supreme Court Ruling
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States have the option to expand Medicaid and considerations include:
Initial federal funding under the ACA provides for three years of 100% Federal Medical Assistance Percentage (FMAP) for the expansion population. Beyond this initial three year period, there is a phased reduction in this FMAP rate until the state’s rate is equal for both the current population and the expansion population.
Individuals under 100% of FPL are ineligible for the tax credit and would not be covered by Medicaid if a state chose not to take part in the Medicaid expansion.
All Medicaid rules such as eligibility determination using modified adjusted gross income (MAGI), maintenance of effort requirements, etc. will apply regardless of whether or not a state chooses to expand Medicaid.
HIX Basics: the Exchange Entity
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An Exchange entity must be one of the following:
An incorporated non-profit entity with demonstrated experience on a state or regional basis in the individual and small group health insurance markets and in benefits coverage. Can not be a health insurance issuer.
The state Medicaid agency
Other state agency
An Exchange that is a non-profit or an independent state agency must have a governing board and follow prescribed board member composition and principles.
A state may elect to have an FFE or, if a state does not have a “blueprint” conditionally approved by HHS by 1/1/13, the state will be defaulted to the FFE.
Eligibility and Enrollment
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Eligibility determination functions include: Accept and process applications
Conduct verifications of applicant information
Determine eligibility for enrollment in a QHP
Determine or assess Medicaid & CHIP eligibility
The Exchange must follow federal rules for verification of application data: Use of Modified Adjusted Gross Income (MAGI) income
methodology
Use of federal Data Hub envisioned for citizenship, residency, and income data elements
On-line, real-time verification is envisioned
Enrollment of individual into QHP, Medicaid, CHIP, as applicable.
Enrollment into Minimum Essential Coverage (MEC) is required. Consumer choice on Medal level of plan
Eligibility Complexity: Premium Tax Credit
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Household income must be between 100% and 400% of the Federal Poverty Level.
Covered individuals must be enrolled in a Qualified Health Plan (QHP).
Covered individuals must be legally present in the U.S., not incarcerated, and not eligible for other qualifying coverage (e.g. Medicare, other employer-sponsored coverage).
The credit amount is generally equal to the difference between the premium for the “benchmark plan” and the taxpayer’s expected contribution and capped at the premium amount (so that no one receives a credit that is larger than the amount they actually pay for their plan.
The credit may be advanced, with advance payments made directly to the insurance plan on the individual’s behalf and reconciled at the end of the year.
Eligibility Complexity
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Depending on whether a state chooses state-based or FFE, the interface between the Insurance Affordability Programs and Medicaid is complex.
Single stream-lined application: difference in the amount of information needed for MAGI versus Non-MAGI Medicaid.
Business process flows for Insurance Affordability Programs and Medicaid – ensuring individuals have a “seamless” experience.
Medicaid assessment versus full determination: Medicaid assessment data could be standardized across states and the FFE.
Eligibility Complexity: FFE
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SHOP
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The Exchange requires states to establish Small Business Health Option Program (SHOP) Exchanges to help small employers find and purchase health insurance for their employees, to assist qualified employers, and to facilitate the enrollment of qualified employees into qualified health plans (QHP’s).
The design of the SHOP exchange encompasses many features and policy considerations that make it distinct from the individual exchange including:
The SHOP Exchange must bill employers
The SHOP Exchange must collect premium payments
The SHOP Exchange must make payments to QHP’s for all enrollees
States face challenges developing successful SHOP exchanges: the value proposition for the SHOP exchange is less obvious.
Plan Management
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The State Insurance Agency (in most states) will work with the issuer to certify and manage the Qualified Health Plan (QHP).
Plan management functions include: Oversee plan selection and shopping approach
Certify, recertify, and decertify QHPs
Collection and analysis of plan rate and benefit package information
Issuer monitoring and oversight
Ongoing issuer account management
Issuer outreach and training
Possibly advantageous for state’s with large Medicaid managed care programs to align the QHP offering with the Medicaid MCO offering in order to provide continuity to individuals who move in and out of coverage groups.
Financial Management
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Financial management functions include: Reporting of advance premium tax credits (APTCs) and
cost-sharing reductions (CSRs)
Premium processing and reporting
Financial sustainability revenue model to support exchange operations costs for state-based exchanges
Reinsurance, risk adjustment and risk corridor programs designed to spread the risk across markets to minimize the impacts of adverse selection and to stabilize premiums. (see next slide)
Program integrity and audit functions to ensure adequate financial controls and to detect fraud, waste and abuse.
Financial Management
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Program: Reinsurance Risk Adjustment Risk Corridors
What: Provides funding to
plans that cover
highest cost
individuals
Transfers funds
from lowest risk
plans to highest
risk plans
Limit issuer loss (and
gains)
Who
Participates:
All issuers and TPAs
contribute funding;
non-grandfathered
individual market
plans (inside and
outside the
Exchange) are
eligible for
payments
Non-grandfathered
individual and
small group market
plans, inside and
outside the
Exchange
Qualified Health
Plans (QHPs)
When: Throughout year
2014-2016
After end of
benefit year;
2014 and
subsequent years
After reinsurance
and risk adjustment;
2014-2016
Source: "Financial Management 101" Presenation, CCIIO, September 2011
Understanding Risk-spreading
Consumer Assistance
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Education and outreach
Website management
Call center management
Written correspondence with consumers to support eligibility and enrollment
Consumer appeals
Navigator management. Navigators are public or private entities or individuals that are qualified to assist consumers in “navigating” the eligibility and enrollment process. Qualifications will be determined by the Exchange and may
include licensure, certification or other standards established by the Exchange.
Governance
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State-based Exchange Model – select a governance and administration option that meets the state’s vision for:
Control/Authority: Executive Board, Advisory Board
Flexibility: The ability to adapt to changing policy and regulations
Accountability: Level of transparency
Interagency Coordination: Level of coordination required and/or supported by model
Federally-facilitated Exchange Model – the Final Rule is silent on the requirements for governance of states participating in the federal exchange, so states have greater flexibility.
States will need the authority to enter into an agreement with HHS.
Even Federal Exchange participation will require state interaction. If a Federal Partnership model is selected, the State will need to select a model for overseeing the state-based functions.
Financial Sustainability
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Affordable Care Act 1311(d)(5)(A) requires Exchanges to be self-sustaining.
State-based Exchanges must provide a long-term operational budget and management plan, monitoring of finances, and tracking of costs and revenues.
State-based Exchanges must define methods for generating revenue (e.g., user fees).
States electing/defaulting to the FFE must pay fees for use of the federal Exchange; CMS has not yet published those fees.
Eligibility System Modernization
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In June 2011, HHS expanded the definition of MMIS to include Eligibility Determination systems (42 CFR §433 Subpart C). Provides states 90% Federal Financial Participation (FFP) to fund
Eligibility System technology projects.
Funding is available for expenses incurred through December 2015.
In order to access funding, new technology must support the Seven Standards and Conditions defined by CMS (published in April 2011).
Cost Allocation is critical
In a letter from HHS Secy. Sebelius in August 2011, cost allocation to other public assistance programs can be waived (OMB Circular A-87).
Cost allocation is required between the Exchange, Medicaid and CHIP to the extent that the Eligibility Determination system supports these programs.
CMS and CCIIO are coordinating closely through the Establishment Review and grant management process.
CMS has developed an expedited review checklist to support a streamlined approval process for eligibility system funding requests
High-Level Timeline
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High Level Exchange Timeline
/
HHS approves
State Exchanges
January 1, 2013
Blueprint
Application
must be
submitted by
11/16/12 if
state chooses
state-based
Exchange
Exchanges
must be
ready to
determine
eligibility
for QHP
enrollment
10/1/13
Exchange
operational
January 1,
2014
State Decision and Funding Timeline
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Essential Health Benefits are the minimum benefit package standard to be applied both inside and outside the Exchanges. Services include:
Ambulatory patient services
Emergency services
Hospitalizations
Maternity and newborn care
Mental health and substance use disorder services, including behavioral health
Prescription drugs
Rehabilitative and habilitative services and devices
Laboratory services
Preventive and wellness services and chronic disease management
Pediatric services, including oral and vision care
States may choose from a pre-set list of federally chosen options that include: States largest HMO; State employee health plan; Federal employee health plan; and the three largest small group health plans.
Decision must be made by September 30, 2012 or the federal government will choose the largest small group health plan.
Essential Health Benefits
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Medicaid Benchmark Newly eligible Medicaid recipients will receive the Medicaid
Benchmark package .
Each state may define their own Medicaid Benchmark package, and it must be at least equivalent to the essential health benefit package. ACA rules offer several “benchmark plan” options that states may choose from: largest commercial HMO, state employee plan, Federal Employees Health Benefit Plan Equivalent Coverage (FEHBP), and standard Medicaid (with HHS approval).
Basic Health Program Option States have the option to offer a Basic Health Program
(BHP) to individuals between Medicaid federal poverty level and up to 200%.
BHP’s will resemble Medicaid Managed Care Organizations (MCOs).
Health Insurance Benefits
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Federal hub and the FFE are not yet well defined
Limited number of Exchange solution vendors
Medicaid expansion decision
Extremely short timeframes
State Challenges
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Sharing of challenges faced by states
Questions and answers
Conclusion
Contact Information
Thank you!
www.CSGdelivers.com
© 2012 CSG Government Solutions 28 8/19/2012
Sheila Cooper
Client Executive
(512) 970-2336
Robin Chacon
Client Executive
(207) 592-1400