Receive Claims Reimbursement in 30 Working Days

Health care providers who have conducted COVID-19 testing or provided treatment for uninsured individuals with a COVID-19 diagnosis on or after February 4, 2020 can request claims reimbursement through the COVID-19 Claims Reimbursement to Health Care Providers and Facilities for Testing and Treatment of the Uninsured program.

More than $110 million in claims have been paid for COVID-19 testing and treatment of uninsured individuals. Get started today and you can receive reimbursement within 30 working days.

Learn more and apply for claims reimbursement.

HHS Awards $107.2 Million to Grow and Train the Health Workforce

June 18, 2020

Today, the U.S. Department of Health and Human Services (HHS), through the Health Resources and Services Administration (HRSA), is announcing awards totaling $107.2 million to 310 recipients to increase the health workforce in rural and underserved communities. Recipients across 45 states and U.S. territories received funding to improve the quality, distribution and diversity of health professionals serving across the country.

“Supporting a strong health workforce is essential to improving health in rural and underserved communities,” said HHS Secretary Alex Azar. “We’ve seen stark disparities in health and healthcare access contribute to the burden of the COVID-19 pandemic. As part of the Trump Administration’s work to address health disparities, these grants provide support for the training of healthcare workers in rural and underserved communities.

Read the release.

Establishing Minimum Standards in Medicaid State Drug Utilization Review (DUR) and Supporting Value Based Purchasing for Drugs Covered in Medicaid – FACT SHEET

June 17, 2020

Today, the Centers for Medicare & Medicaid Services (CMS) released the Establishing Minimum Standards in Medicaid State Drug Utilization Review (DUR) and Supporting Value- Based Purchasing (VBP) for Drugs Covered in Medicaid, Revising Medicaid Drug Rebate and Third Party Liability (TPL) Requirements (CMS 2482-P).

This notice of proposed rulemaking (NPRM) advances CMS’ efforts to support state flexibility to enter innovative value-based purchasing arrangements (VBPs) with drug manufacturers for new expensive therapies, and to provide manufacturers with regulatory flexibility to enter into VBPs with commercial payers, which will benefit Medicaid programs. It also creates minimum standards in state Medicaid Drug Utilization Review (DUR) programs designed to reduce opioid-related fraud, misuse and abuse

This proposed rule also proposes revisions to regulations regarding: how manufacturers should calculate the average manufacturer price (AMP) of the brand name drug when there is also a sale of an authorized generic; how manufacturers should include the value of their patient assistance programs in the calculation of “best price”, including when they are impacted by pharmacy benefit managers (PBM) accumulator programs; state and manufacturer reporting requirements to the Medicaid Drug Rebate Program (MDRP); the definitions of CMS-authorized supplemental rebate agreement in relation to Medicaid Managed Care Organizations (MCOs) and when those sales are exempt from AMP and “best price”; the definition of line extension, new formulation, oral solid dosage form, single source drug, multiple source drug, and innovator multiple source drug for purposes of the MDRP; payments for prescription drugs under the Medicaid program; and coordination of benefits (COB) and third party liability (TPL) rules related to the special treatment of certain types of care and payment in Medicaid and Children’s Health Insurance Program (CHIP).

Increases beneficiary access to medications by promoting value-based purchasing (VBP)

In this NPRM, we are proposing policies and revisions to the MDRP which will modify and relax some of the manufacturer reporting obligations around AMP and best price in order to encourage manufacturers and states to enter into VBP arrangements. Consistent with current statute and regulation, this will help modernize the law which was enacted 30 years ago, and will help implement the President’s drug pricing initiatives.

CMS believes state VBP arrangements with drug manufacturers is an important strategy to manage drug costs and promote beneficiary access to needed medications. By addressing the regulatory hurdles in a proposed regulation, CMS will encourage states to enter into VBP arrangements for drug therapies, especially in cases when the therapy will safeguard against unnecessary utilization of other more expensive medical services.

To accomplish this, the NPRM will for the first time allow manufacturers to report multiple “best prices” for a therapy under the MDRP if the prices are tied to a VBP arrangement. It will also clarify that VBP arrangements can be defined as “performance requirements” under the definition of “bundled sale” which will also facilitate VBP arrangements, especially for small population drugs; and, it will permit revisions to AMP and BP reporting beyond the current thirty-six month time limit to allow for revisions to pricing metrics as a result of VBP arrangements.

Encourages the appropriate use of opioids and reduces prescription-related fraud, abuse and misuse

CMS regulations at 42 CFR 456.703(d) require that the state assess drug use information against predetermined standards developed directly by the state or obtained from another source as provided under 42 CFR 456.703(e). In administering their DUR programs, states have flexibility to develop or select standards that may best fit their programs and patient populations. This proposed rule amends this section of the regulation to implement new opioid-related DUR standards that are required of states under section 1004 of the SUPPORT for Patients and Communities Act, as well as additional opioid-related DUR standards that CMS would propose under the authority of section 1927 of the Act. These changes reflect CMS’ continued efforts to reduce prescription-related fraud, abuse and misuse and assure that opioid prescriptions are appropriate, medically necessary, and not likely to result in adverse medical results. Additionally, we are soliciting comments on other opioid-related DUR standards that CMS could propose to adopt through rulemaking in the future.

Clarifies the application of the new authorized generic law to the calculation of a manufacturer’s brand name AMP

The Continuing Appropriations Act, 2020 and Health Extenders Act of 2019 made changes to the calculation of AMP for brand drugs to exclude the sales of authorized generic drugs when brand manufacturers have approved, allowed, or otherwise permitted an authorized generic to be sold under the brand name drug’s new drug application (NDA). Prior to this statutory change, manufacturers included the sales of the authorized generic in the AMP of the brand name drug which resulted in lowered AMPs and reduced rebates paid for the brand name drug. While the statute is self-implementing, this regulation provides additional clarity to these statutory changes so that manufacturers will understand that they can no longer include the sales of the authorized generic in the calculation of the brand name AMP regardless of the type of relationship between the brand name manufacturer and the authorized generic manufacturer.

Aligns regulation with statute and changes in marketplace which enhance manufacturer and state understanding of the Medicaid Drug Rebate Program

As the pharmaceutical marketplace evolves and new laws are passed, CMS is issuing this proposed rule to define and clarify regulations that will assist manufacturers and states in ensuring compliance with the Medicaid drug rebate statute. We are providing clarity around how manufacturers calculate their AMP and best price when considering the value of patient assistance programs, especially when a health plan uses a PBM accumulator program. The proposed regulation also clarifies that rebates paid on Medicaid managed care claims are only excluded under a CMS authorized supplemental rebate agreement. The NPRM proposes a definition of line extension and oral solid dosage form, which would be used by the manufacturer as part of their determination of whether they should calculate an alternative inflation penalty on their oral brand name drugs. The NPRM creates new requirements around state reporting and certification of state drug utilization data, which are used by CMS and others for multiple program integrity purposes. Finally, the regulation codifies the inflation penalty for non-innovator multiple source drugs (generics), as well as modifications to the definitions of single source drug and innovator multiple source drug.

Third party liability (TPL)

States are currently collecting information on liable third parties for all Medicaid beneficiaries and this rule proposes to change the regulation to instruct states when to cost avoid claims and when to pay and chase claims. In instances when cost avoiding a claim might create an access to care issue for a beneficiary, a state is permitted to pay the claim first and then collect the applicable portion of the payment from the liable third party.

This service is provided to you at no charge by Centers for Medicare & Medicaid Services (CMS).

Federal Office of Rural Health Policy Announcement

June 18, 2020

New Funding Opportunity: Rural Communities Opioid Response Program-Neonatal Abstinence Syndrome (RCORP-NAS) – July 20.  The Health Resources and Services Administration’s (HRSA) Federal Office of Rural Health Policy (FORHP) will be making a $15 million investment, over three years, for approximately 30 grants to reduce the incidence and impact of Neonatal Abstinence Syndrome (NAS).  Over a three-year project period, grant recipients will conduct a combination of prevention, treatment, and recovery activities to improve systems of care, family supports, and social determinants of health. While the focus of RCORP-NAS is primarily opioid use disorder (OUD), applicants may also choose to address additional substances of concern or substance use disorders (SUDs) among pregnant women, mothers, and women of childbearing age who have a history of, or who are at risk for, SUD/OUD and their children, families, and caregivers who reside in rural areas.  Applicant organizations may be located in an urban or rural area; however, all activities supported by the program must exclusively occur in HRSA-designated rural areas.  See the Events section below for an upcoming webinar for applicants. 

The Hidden Pandemic Behind COVID-19.  Cases of domestic violence, child abuse and sexual exploitation in the time of COVID-19 appear to have risen in emergency rooms and health clinics across the country since March. The Substance Abuse and Mental Health Services Administration (SAMHSA) has published a 4-page document entitled Intimate Partner Violence and Child Abuse Considerations During COVID-19 with hyperlinks to relevant SAMHSA and non-SAMHSA resources.   If you would like to view the HRSA webinar on this subject, access the recording by registering with this link. This will redirect you to the recording where you can watch the full session and download the slide presentation and resources shared. For audio replay, please use the line 866-360-7719, with passcode 52020.  

HRSA on Child Poverty and Mental Health.  A new study published in the Journal of Children and Poverty finds an association between family economic hardship and child mental health conditions.  Researchers at the Health Resources and Services Administration (HRSA) based the study on data from the 2016 and 2017 National Surveys of Children’s Health, which is a nationally representative survey of U.S. Children ages 0 to 17. 

#WellChildWednesdays @HRSAgov.  Last month, the Centers for Disease Control and Prevention assessed the impact of the pandemic on pediatric vaccinations and found a noticeable decline beginning in the week after the national emergency declaration.  To help remind parents and caregivers of the need to protect children from preventable disease such as measles, the Maternal and Child Health Bureau at the Health Resources and Services Administration (HRSA) will be releasing social media messages with the hashtag #WellChildWednesdays.  Message will address well visits, immunizations, adolescent and young adult care, and nutrition, safety, and mental health as topics to be discussed with pediatric providers.

CDC: Trends in Occupational Lung Diseases.  In its Morbidity and Mortality Weekly Report, the Centers for Disease Control and Prevention (CDC) examined deaths due to pneumoconiosis – preventable occupational lung disease caused by inhaling dust particles such as coal or mineral dust.  From 1968 to 2000, death rates for all pneumoconioses decreased, though preventable deaths continue to occur.

Federal Office of Rural Health Policy FAQs for COVID-19.  A set of Frequently Asked Questions (FAQs) from our grantees and stakeholders, updated regularly. 

COVID-19 FAQs and Funding for HRSA Programs. Find all funding and frequently asked questions for programs administered by the Health Resources and Services Administration (HRSA).

CDC COVID-19 Updates.  The Centers for Disease Control and Prevention (CDC) provides daily updates and guidance, and ongoing Clinician Outreach and Communication Activity (COCA).

Confirmed COVID-19 Cases, Metropolitan and Nonmetropolitan Counties.  The RUPRI Center for Rural Health Policy Analysis provides up-to-date data and maps on rural and urban confirmed cases throughout the United States.  An animated map shows the progression of cases beginning January 21.

Rural Response to Coronavirus Disease 2019.  The Rural Health Information Hub has created a guide to help you learn about activities underway to address COVID-19.

Letter of Intent now open for Direct Contracting Model (Global and Professional Options)

The Center for Medicare and Medicaid Innovation (Innovation Center) is announcing that if you did not submit a Letter of Intent (LOI) for the Direct Contracting Model you now have the opportunity to do so for participation beginning in the first Performance Year: https://app1.innovation.cms.gov/dc. Once a LOI is submitted, you will have access to the Performance Year 1 application portal for the Direct Contracting Model Professional and Global options. The portal is available at https://app1.innovation.cms.gov/dcrfa/dcrfaLogin.

Applications for Performance Year 1 are due by July 6th, at 11:59 PM EDT. The start date for Performance Year 1 will be April 1, 2021. There will be a second cohort of the Direct Contracting Model Professional and Global options that starts on January 1, 2022. CMS expects that the application period for this cohort will begin in the first quarter of 2021. Please note: A LOI will not be required to access the 2022 application portal.

We encourage you to monitor the Direct Contracting Model website (https://innovation.cms.gov/innovation-models/direct-contracting-model-options) for future updates. Please contact our help desk with any questions/comments at DPC@cms.hhs.gov.

2020 NOSORH Awards – Call for Nominations!

The Awards Committee is now accepting nominations for the 2020 NOSORH Awards! These awards are a special way to recognize and celebrate the hard work and leadership of individuals and organizations dedicated to rural health. If your nominee is chosen for an award, you will be notified and invited to submit a short video clip for the virtual award ceremony during the NOSORH Annual Meeting on September 30, 2020.

The online nomination process is simple and only takes about 15 minutes to do! There are no limits to the number of nominations submitted.

Nominations will be accepted until Friday, August 7 at 4:00 pm Central.   

Click Here to Learn More & Submit a Nomination.