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DSS Health Care Transformation Agenda

DSS Health Care Transformation Agenda. This is the new Department of Social Services. 2. We are transforming every aspect of how we provide health services to Connecticut residents. 3. We are putting systems in place to help people access services easily and timely .

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DSS Health Care Transformation Agenda

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  1. DSS Health Care Transformation Agenda

  2. This is the new Department of Social Services. 2

  3. We are transforming every aspect of how we provide health services to Connecticut residents. 3

  4. We are putting systems in place to help people access services easily and timely. We will be expanding Medicaid eligibility. Our partner Administrative Services Organizations are supporting people in using their medical, behavioral health, and dental benefits well and in connecting with providers. 4

  5. We are investing in primary, preventative care. We are working to integrate medical and behavioral health care. We are enabling people who need long-term services and supports to receive them in the community. 5

  6. We are moving to shift from paying for procedures and services, to reimbursing in a way that rewards outcomes. 6

  7. Why are we doing this? Medicaid is a major payer of health services and currently serves over 618,000 beneficiaries (20% of the state population) 3 out of 10 births in Connecticut are to mothers who are Medicaid beneficiaries Under the ACA expansion, Connecticut Medicaid expects to serve approximately an additional 43,000 individuals 7

  8. Why are we doing this? Key health indicators for Connecticut Medicaid beneficiaries, including hospital readmission rates and outcomes related to chronic disease, are in need of improvement 8

  9. Why are we doing this? Connecticut’s health care spending in Medicaid is high compared to other states The $5.12 billion Connecticut Medicaid budget represents a significant percentage of the State budget 9

  10. Why are we doing this? (cont.) 10 Connecticut has: the fourth highest level of health care expenditures at $8,654 per capita, behind only the District of Columbia, Massachusetts, and Alaska the ninth highest level of Medicare costs at $11,086 per enrollee the highest level of Medicaid costs at $9,577 per enrollee [Kaiser State Health Facts, 2009 data]

  11. Why are we doing this? (cont.) Among populations in need, the cost profile for Connecticutindividuals who are dually eligible for Medicare and Medicaid is of particular concern, with per capita costs exceeding the national average by 55% 11

  12. Enabling Easy and Timely Access to Services 12

  13. Projects Related to Enabling Access to Services 13 ConneCT Integrated Eligibility Determination with accessHealth (the Connecticut Health Insurance Exchange, HIX)

  14. Projects Related to Enabling Access to Services (cont.) 14 Why are we focusing here? DSS has historically not been able to process eligibility determinations within the federal standard of promptness. This is because of staffing shortages and an antiquated eligibility management system. Further, beneficiaries have struggled to access DSS regional offices and to get timely access to information on their benefits.

  15. Projects Related to Enabling Access to Services (cont.) 15 Why are we focusing here? (cont.) A recent poll of 19-64 year olds conducted by the Robert Wood Johnson Foundation found: people want help using the Exchange – help is a key feature the most popular enrollment location is from the convenience of home, with the option for using call-in customer assistance people do not like the idea of retail kiosks – “it’s not private”

  16. ConneCT 16 My Account Am I Eligible? Document scanning Benefits centers On-line application

  17. Integrated Eligibility Determination • Effective January 1, 2014, ACA : • Requires states to operate an Internet website that links the Exchange, Medicaid, and Childrens Health Insurance Plan (CHIP) and permits individuals to compare available health subsidy programs and apply for or renew such coverage 17

  18. Integrated Eligibility Determination (cont.) • Requires CMS to develop a single, streamlined form (paper and online application) that states can use for all those applying on the basis of income to applicable State health subsidy programs (e.g. premium tax credits and cost-sharing reductions in the Exchange, Medicaid, CHIP, and state qualified basic health plans) 18

  19. Integrated Eligibility Determination (cont.) • Requires state Exchanges to establish “Navigator” and “In-Person Assistor” supports to provide fair and impartial, culturally and linguistically appropriate information concerning enrollment in qualified health plans and available subsidies through the Exchange, facilitate enrollment in qualified health plans, and provide referrals for complaints 19

  20. Integrated Eligibility Determination (cont.) • Effective January 1, 2014, ACA requires states to remove asset tests and to use modified adjusted gross income (MAGI) for purposes of Medicaid/CHIP eligibility determination for parents, pregnant women and other non-elderly adults as well as children 20

  21. Integrated Eligibility Determination (cont.) • Connecticut plans to implement a “no wrong door” approach to the citizen web portal that will provide access to Health Insurance Exchange services as well as to non-MAGI Medicaid, SNAP, and Temporary Assistance to Needy Families (TANF)-related services and data 21

  22. Integrated Eligibility Determination (cont.) • This will be facilitated by a single shared eligibility service that will be used by both the Exchange and DSS to determine eligibility for Medicaid, CHIP, Advance Premium Tax Credits & Cost Sharing Reductions (APTC/CSR), as well as non-health public assistance programs such as SNAP and TANF 22

  23. Overview Series of projects has been broken into 4 Tiers Tier Scope Tier I • CTHIX, MAGI Medicaid & CHIP Tier II • Non MAGI Medicaid & CHIP and back office • SNAP, TANF, RCA, RMA, SAGA, CADAP, (IE, back office) Tier III Tier IV • TBD (LIHEAP, Child care, Employment, WIC, or DDS)

  24. Planned system Planned October 2013

  25. Planned System Planned – No later than end 2015

  26. Expanding Medicaid Eligibility 26

  27. Projects Related to Expansion of Eligibility 27 Why are we focusing here? Connecticut has a relatively high incidence of people who do not have insurance coverage. ACA provides means of covering these individuals, both through expansion of Medicaid income eligibility and also under the State Health Insurance Exchange (accessHealth).

  28. Projects Related to Expansion of Eligibility 28 Why are we focusing here? (cont.) A recent poll of 18-64 year olds conducted by the Robert Wood Johnson Foundation found that: Medicaid is viewed as a good program there is high interest in enrolling in Medicaid but much of the expansion-eligible population doubts that they would ever be eligible for Medicaid and is unaware of new income guidelines

  29. Medicaid Expansion Effective January 1, 2014, ACA as enacted required states to expand Medicaid to all individuals not eligible for Medicare under age 65 (children, pregnant women, parents, and adults without dependent children) with incomes up to 133% FPL 29

  30. Medicaid Expansion (cont.) Note that Connecticut currently meets or exceeds this requirement through HUSKY A and B for all of these groups with the exception of childless adults Childless adults age 19-64 are currently covered under HUSKY D (the Medicaid for Low-Income Adults (MLIA) program) up to an income limit of 55% of FPL* 86,503 beneficiaries are currently being served by MLIA * for regions B & C; 67% of FPL for region A 30

  31. Medicaid Expansion (cont.) • This expansion in coverage will be associated with enhanced federal match funds: • 100% match for calendar years 2014 through 2016 • 95% match for calendar year 2017 • 94% match for calendar year 2018 • 93% match for calendar year 2019 • 90% match for calendar years 2020 and ongoing 31

  32. Medicaid Expansion (cont.) On June 28, 2012, the Supreme Court issued a decision in a challenge to the constitutionality of the ACA: National Federation of Independent Business, et al v. Sebelius, Secretary of Health and Human Services, et al 32

  33. Medicaid Expansion (cont.) The Court: generally upheld the constitutionality of the law with respect to the mandate that States expand Medicaid coverage as described above held: 33

  34. Medicaid Expansion (cont.) • that while Congress acted constitutionally in offering federal match funds to states to expand coverage • the provision that requires states to either expand coverage of forego all federal match funds for their Medicaid programs exceeded Congress’ scope of authority under the Spending Clause of the Constitution 34

  35. Medicaid Expansion (cont.) • but, that this can be corrected by narrowly tailoring the expansion requirement to give states two options: • to accept federal match funds for expansion in compliance with the conditions associated with those funds; or • to refuse federal match funds for expansion and continue to operate their Medicaid programs as they do currently 35

  36. Medicaid Expansion (cont.) How many individuals are likely to be eligible under the expansion? • approximately 129,786 uninsured Connecticut residents have incomes of less than 139% FPL (note that the 86,503 MLIA beneficiaries are a subset of this figure) [Kaiser Commission on Key Facts: How Will the Medicaid Expansion for Adults Impact Eligibility and Coverage, July 2012] 36

  37. Supporting people in using their health benefits well and in connecting with providers 37

  38. Projects Relating to Utilization of Benefits and Connections with Providers 38 ASO Member services Predictive modeling/Intensive Care Management (ICM) Primary care attribution

  39. Projects Related to Utilization and Connections with Providers 39 Why are we focusing here? A small proportion of Medicaid beneficiaries with chronic, complex co-occurring conditions account for a significant percentage of Medicaid expenditures. Historically, many Medicaid beneficiaries have struggled to connect with primary care providers and to maintain these relationships over time.

  40. Transition to Medical ASO: Member Services 40 • Centralization of member services with CHN-CT has enabled streamlined support with: • Referral to primary care physicians • Referral to specialists • Assistance with prior authorization requirements and coverage questions

  41. Medical ASO: Predictive Modeling/Intensive Care Management 41 • Predictive modeling tools and other referral means (e.g. self-report, provider referrals) enable CHN-CT to identify those beneficiaries most in need of care management support • Through Intensive Care Management (ICM), CHN-CT nurse care managers use a specially developed care coordination tool to work with beneficiaries to set goals and address needs

  42. Medical ASO: Predictive Modeling/Intensive Care Management *Medical literature typically cites enrollment rates in care management and disease management programs that range between 7% and 13%

  43. Medical ASO: Predictive Modeling/Intensive Care Management *While these results are encouraging, they reflect a very short period of activity targeting the most medically and socially complex of our members; future activity may not sustain this higher level of savings. Intensive Care Management Utilization and Savings

  44. Primary Care Attribution 44 • CHN-CT worked with the Department to implement a method through which Medicaid beneficiaries are being attributed to primary care practices • Those beneficiaries who have not historically access primary care are being helped by CHN-CT member services to do so

  45. Investing in primary, preventative care 45

  46. Projects Related to Primary Preventative Care 46 ACA primary care rate increases Person-centered medical home (PCMH) Electronic Health Records (EHR) Rewards to Quit Health Disparities Grant

  47. Projects Related to Primary Preventative Care 47 Why are we focusing here? Adults do not use primary care as indicated, with 1) 12% of at-risk Connecticut residents not having visited a doctor within the two years previous to the study; 2) considerably fewer people of color having done so; and 3) only half of Connecticut adults over age 50 receiving recommended care. [Commonwealth Fund, 2009]

  48. Projects Related to Primary Preventative Care 48 Why are we focusing here? (cont.) A report from the Connecticut Hospital Association indicated that one-third of all emergency department visits are for non-urgent health issues, and that 64% occur between 8:00 a.m. and 6:00 p.m., suggesting that there are barriers to accessing primary care even during typical work hours. [Connecticut Hospital Association, 2009]

  49. Projects Related to Primary Preventative Care Why are we focusing here? (cont.) Primary care providers have identified adequacy of reimbursement as a key issue. Based on 2008 data, Kaiser State Health Facts indicate the following about Connecticut’s overall Medicaid-to-Medicare fee index: 49

  50. Primary Care Rate Increases • Effective January 1, 2013, ACA requires states to increase Medicaid payments for primary care services provided by primary care doctors to 100% of the Medicare payment rate for 2013 and 2014 (financed with 100% federal funding) • Final federal rule issued November 2, 2012 50

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