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Published byMarylou Flynn Modified over 9 years ago
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The State of Coverage Karen Davenport Director of Health Policy Stephanie Glover Health Policy Fellow Dania Palanker Senior Counsel
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1.Findings and Violations in Qualified Health Plans 2.State Partners Update 3.Oversight and Enforcement 4.Connection to Essential Health Benefits Work 5.Discussion Presentation Outline
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Introduction Over 4.3 million women have enrolled in a qualified health plan – 56 percent of all Marketplace enrollees The ACA promises improved coverage for women’s health – which must be backed up by health plans that meet women’s needs What does women’s health coverage look like? – Are QHPs complying with the ACA? – Are QHPs meeting the needs of women?
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Reviewed plan documents from 56 issuers across ten states – CO, CT, ME, MD, NV, RI, SD, TN, WA, WI – Focused exclusively on language in plan documents Analysis of women’s preventive services, including such as contraception, well-woman visits, and lactation supports; prenatal and other maternity care; abortion services; genetic testing; and exclusion policies. Scope of Analysis
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Findings: Maternity Coverage Limited information provided on details of maternity and newborn coverage Major violations: – Coverage excluded for dependents – Service area restrictions – Limit on ultrasounds
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The vast majority of issuers reference USPSTF and HRSA guidelines in the preventive service sections. – Language elsewhere in the documents often contradicts this coverage Major violations: – Cost sharing for preventive services – Time limits on breastfeeding support and supplies – Failure to cover brand name contraception – Genetic testing exclusion Findings: Preventive Services
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Findings: Abortion Coverage Issuers are not required to provide abortion coverage but as a critical area for women’s health, we reviewed to make sure the coverage policies were clear for consumers. Problems and concerns: – Different abortion coverage for enrollees receiving a tax credit – Plans that cover abortion but don’t apply costs to the deductible – Lack of definition around “elective”
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Findings: Other Major Concerns Coverage Details Undermine ACA Requirements – Example: limited to a manual breast pump Overly Restrictive Coverage – Example: off-label use of Rx medications excluded from coverage Misleading or Contradictory Information – Example: excluding contraceptive drugs and devices from coverage “except as required by law”
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Problematic for Women’s Health These violations and concerns could lead to major problems for women’s health and finances. Women could: – Be denied coverage for services required to be covered by their QHP – Face unnecessary cost-sharing or pay out-of- pocket for services their plan should cover, – Or go without needed health care
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Summary Health plans must comply with the ACA and implementing regulation State and federal regulators need to provide strong oversight to ensure plans are complying – Plans should be required to fix current problems – 2015 plans should be better And, consumers need complete and accurate information about their coverage policies
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Oversight and Enforcement State work: – CO, MD, WA: ongoing enforcement work with state partners – WI: beginning stages of state developing strategy – CT, NV, RI, SD, TN: no current partners, NWLC will contact regulators directly Federal work: – HHS advocacy: encouraging stronger oversight of plans in FFM states – OPM advocacy: encouraging stronger oversight of multi- state plans – OCR complaints where possible
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Essential Health Benefits Opportunity to re-visit EHB for 2016 plan year What we’re doing: EHB workgroup Areas for improvement: – Maternity – Prescription Drugs – Mental Health – Other?
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Discussion What coverage issues are you seeing in your state? What is the status of oversight and enforcement in your state? – How are SBCs enforced? What are the most important coverage areas to improve through EHB advocacy? Are there other avenues for improving coverage (for example, state initiatives)?
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