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Maine All Provider/All Payer Claims Database ( What You Need To Know But Were Too Afraid To Ask)

Maine All Provider/All Payer Claims Database ( What You Need To Know But Were Too Afraid To Ask). Alan M. Prysunka Maine Health Data Organization. www.maine.gov/mhdo www.healthweb.maine.gov www.mhdpc.org. October, 2010. Legal Framework.

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Maine All Provider/All Payer Claims Database ( What You Need To Know But Were Too Afraid To Ask)

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  1. Maine All Provider/All Payer Claims Database (What You Need To Know But Were Too Afraid To Ask) Alan M. Prysunka Maine Health Data Organization www.maine.gov/mhdo www.healthweb.maine.gov www.mhdpc.org October, 2010

  2. Legal Framework • Maine Health Data Organization (MHDO) established as an independent executive agency in June, 1996 to continue collection of hospital inpatient, outpatient, and financial data • Legislation passed in June, 2001 creating the Maine Health Data Processing Center (MHDPC) and amending MHDO’s statutes to collect data directly from carriers and TPA’s • MHDO health care claims data collection rules (Chapter 243) finalized in July, 2002 (modified June, 2003; December, 2005; July, 2006; April, 2009)

  3. Legal Framework (continued) • MHDO designated as Public Health Authority by Maine Office of Attorney General under HIPAA Privacy Rules (45 CFR, Subpart E §164.501) • Public Health Authority can compel Covered Entities to submit Protected Health Information without the written authorization of patients or members (45 CFR, Subpart E §164.512) • ME TPA claimed ERISA preemption in 2003 and sought order from Federal Court to exclude TPA’s from data submission requirements • Federal Court ruling on March 24, 2004 stipulated health care claims data held by TPA’s not plan assets - must be provided to the MHDO under Maine law

  4. Legal Framework (continued) • MHDO data release rules (Chapter 120) amended in January, 2007 to allow for direct identification of health care practitioners • MHDO statutes amended June, 2007 to include pharmacy benefits managers, Medicare Part D sponsors, and non-ME licensed carriers under definition of payer

  5. Legal Framework - Compliance • MHDO statutes establish schedule of fines for failure to submit data, failure to pay assessments, failure to safeguard identity of patients (all civil violations): • $1,000/day for health care facility, carrier, TPA, PBM – not to exceed $25,000 • $100/day for all other health care providers – not to exceed $2,500 per occurrence • $500,000 maximum for intentional misuse of data for commercial advantage, pecuniary gain, or malicious harm

  6. Legal Framework – Data Release • MHDO rules (Ch. 120) establish terms and conditions of data release: • No direct/indirect identification of members/patients – unless MHDO Board grants exception to DHHS for public health study • Identity of practitioners performing abortions protected • No release of data deemed confidential or privileged by MHDO – data providers may challenge designation • No release of data that places data provider at a competitive economic disadvantage (negotiated discounts) • Data providers may review all data requests, require additional information, and/or require further review prior to data release • Mandatory advisory committees required for all data requests containing identifiable practitioner data elements and group numbers

  7. Legal Framework – Data Collection • MHDO rules (Ch. 243) specify terms and conditions of commercial claims data collection, including the submission of the following: • Paid medical, dental, pharmacy claims files for all covered services rendered to publicly (Medicare Part C and D) and privately insured Maine residents • Eligibility/membership file • Health care service provider files • Home grown procedure and taxonomy code files • Medicare Part A and B and Medicaid files submitted under DUA’s approved by CMS and ME Office of MaineCare Services

  8. Included Information • Information included in the database: • Type of product (HMO, POS, Indemnity, etc.) • Type of contract (single person, family, etc.) • Coverage type (self-funded, individual, small group, etc.) • Encrypted subscriber/member social security numbers/names • Dates (birth/service/paid) • Patient demographics (age, gender, residence, relationship to subscriber) • Revenue/diagnosis/procedure/drug codes (ICD, E-codes CPT, HCPC, NDC, CDT) • Service/prescribing provider (name, tax id, payer ID, NPI, specialty code, city, state, zip code) • Billing provider (name, payer ID, NPI) • Plan (primary/secondary) and member (co-pay, coinsurance, deductible) payments • Facility/bill type

  9. Excluded Information • Information presently excluded from the database: • Services provided to uninsured (except ME Partners) • Denied claims • Workers’ compensation claims • Services by ME providers for non-Maine residents • Premium information • Capitation/administrative fees • Referrals • Test results from lab work, imaging, etc. • Provider affiliation with group practice • Provider networks

  10. Missing Data Sources • Tricare and Federal Employees Health Benefit Program data not presently in database: • 14,000 federal employees in ME • Both are proprietary and under the auspices of the federal government • Will attempt to secure in 2010 • ERISA preempted: • Self-funded / self-administered ERISA programs (e.g. – WalMart) • ERISA fiduciaries • Unions; private purchasing alliances

  11. Governance • MHDO governed by 21 member policy board representing: • 4 consumers • 3 employers • 2 third-party payers • 9 providers (2 hospital; 2 physician; 1 chiropractor; 1 pharmacist; 1 ambulatory care; 1 home health care; 1 mental health) • 3 state agencies (1 DHHS; 1 Dirigo Health; 1 Professional & Financial Regulation) • Duties include: • Oversight of data collection, distribution, and analysis • Promulgation of all rules under MHDO authority

  12. Financing • Annual MHDO revenue derived equally from health care providers and payers in the following percentages: • 38.5% hospitals (based upon net patient service revenue) • 11.5% non-hospital providers (based upon fixed categorical assessments) • 38.5% carriers (based upon premiums written) • 11.5% TPA’s (based upon claims paid for plan sponsors) • Additional revenue derived from: • Sale of data ($100,000/year) • Prescription privacy fees ($300,000/year)

  13. MHDO Expenditures • Legislatively authorized total expenditures/assessment cap: • FY2008 - $1,794,412 • FY2009 - $1,966,297 • FY2010 - $2,154,613 • Staff: 10 FTE’s (3.5 FTE’s full time claims database) • Funds not expended must be carried forward to reduce following FY assessment

  14. Maine Health Data Processing Center • Legislation passed in June of 2001 creating the Maine Health Data Processing Center (MHDPC) - a public/private partnership between the Maine Health Data Organization (MHDO) and Onpoint Health Data (f/n/a the Maine Health Information Center) • MHDPC defined as a non-profit corporation with a public purpose with powers deemed as essential government functions • Primary functions: collection and processing of claims data submitted by third-party payers with edited data files provided to the MHDO for storage and distribution

  15. MHDPC Expenditures • MHDPC standard processing costs funded by MHDO and Onpoint Health Data in the following manner: 60% MHDO / 40% Onpoint • 3.65 FTE’s at the MHDPC assigned to processing MHDO claims data and producing provider linkage tables

  16. MHDPCExpenditures Maine Health Data Processing Center Annual Budget

  17. Maine Claims Data Flow Commercial Payers Data Feeds/Resubmissions Edit Reports MHDPC Governmental Payers Mapped Files Edited/Updated Data Data Files Data Requestors MHDO Data/Reports

  18. Issues / Problems • HIPAA implementation delays have caused additional problems: • National patient ID does not exist - using encrypted SSN’s and names for subscribers /members • National payer ID not yet established (difficult to track mergers, buy outs, DBA’s) – using NAIC codes for carriers and home grown codes for TPA’s and PBM’s

  19. Issues / Problems (continued) • National provider ID implementation issues have resulted in additional complexities and expenses ($200,000+ / year) requiring: • Stripping information out of the claims and creating separate service provider files • Linking data using all possible data points and conducting manual review • Mapping individual payer provider specialty codes to national specialty taxonomy codes • Identifying substitution of service provider with billing provider • Verifying accuracy of prescribing physicians due to replacement of DEA# with NPI

  20. Uses of Claims Data

  21. Uses (continued)

  22. Uses (continued)

  23. Uses(continued)

  24. Uses(continued)

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