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Essential Health Benefits

This presentation discusses the key issues and recommendations for defining Essential Health Benefits (EHBs) based on the Institute of Medicine's study. It highlights the need to balance comprehensiveness and affordability, consider state mandates, and incorporate cost and public input into the decision-making process.

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Essential Health Benefits

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  1. Essential Health Benefits Amy Monahan University of Minnesota Law School Presentation to the Health & Human Services Reform Committee February 8, 2012

  2. IOM Study Background • The Institute of Medicine (IOM) was commissioned by HHS to develop policy foundations, criteria, and methods for defining and updating Essential Health Benefits (EHB) • Over the course of 9 months, the committee: • Held two public workshops where we heard from 59 speakers • Solicited public input online • Conducted research and analysis • Held 4 in-person committee meetings

  3. Key Issues that Emerged • Setting a balance between comprehensiveness and affordability • Defining what “typical” should mean • Determining whether state mandates should be automatically included • Deciding whether state variation might be allowable

  4. Key Conclusions and Recommendations • Incorporate consideration of cost • Initial package should be guided by a national average premium target • EHB package should be actuarially equivalent to the average premium that would have been paid by small employers in 2014 for a comparable population with a typical benefit design. • Role for a public deliberative process in weighing tradeoffs

  5. Key Conclusions and Recommendations • Provide states with the ability to apply for approval of a state-specific EHB definition • For states administering their own exchanges, provided: • Statutory criteria met • Package is actuarially equivalent to national package • State has adopted a process that has included meaningful public input • State mandates would not receive preferential treatment • “Because state mandates are not typically subject to a rigorous evidence-based review or cost analysis, cornerstones of the committee’s criteria, the committee does not believe that state-mandated benefits should receive any special treatment in the definition of the EHB.”

  6. Key Conclusions and Recommendations • Better data • Independent advisors – National Benefits Advisory Council • Continue to incorporate cost into updates • Goal for EHBs to become more fully evidence-based, specific, and value-promoting over time

  7. HHS Bulletin • “HHS aims to balance comprehensiveness, affordability, and State flexibility” • States may choose one of four benchmark plans for 2014 and 2015 • At least two of which incorporate state mandates (one of the three largest small group plans and largest non-Medicaid HMO) • One of which will not incorporate state mandates (one of the three largest national FEHBP plan options)

  8. HHS Bulletin • Benchmark plan will need to be adjusted to cover the 10 categories of care specified in the statute • Habilitative services and pediatric oral and vision care likely to require adjustments • Mental health and substance abuse benefit parity • Benchmark choice will influence whether state must pay the “additional cost” associated with state mandates in excess of the EHBs • HHS has indicated that beginning in 2016, some state mandates may be excluded from the EHB package

  9. Reconciling the IOM and HHS Recommendations from a State Perspective • Lack of cost constraint on state choice • Allows states to have their mandated benefits federally subsidized • Selecting too generous a benchmark may result in unaffordable insurance • How high a priority to place on existing mandates? • What role for a public deliberative process? • Creates significant uncertainty going forward • How to plan for 2016 and beyond?

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