JAMES
MYERS
KELLER
GRADUATE SCHOOL OF MANAGEMENT-ONLINE MGMT-520-60804
JULY
17, 2014
STATEMENT
OF THE ISSUE AND FEDERAL REGULATION TO BE ADDRESSED
On or near the 4th of July
every year, Medicare Dialysis patients hold their breath a little, because it
is around this time that the Centers for Medicare and Medicaid Services[i]
issue its new proposed rules for how dialysis centers will be paid from
Medicare for their services.
2014 was no exception. On or about July 2, 2014, CMS released its
new rules concerning Medicare payments to dialysis facilities.[ii]
The new proposed regulations raise several striking issues for kidney patients.
This is a proposed big change because in past QIP rules[iii]
and payments were not based on patient satisfaction and clinic
performance. The new proposed rules
would change that.
The issues that I see are:
1.
The National Kidney Foundation has stated that
the proposed regulations may hurt rural dialysis clinic due to the flat
payments anticipated for 2015, no increase in Medicare payments to dialysis
centers and in turn to service dialysis patients is proposed; will rural
centers be forced to cut services and/or staff[iv]?
2.
Is the proposal concerning reduced
Medicare payments for readmission to the hospital within 30 days for the same
condition fair to dialysis clinics who may not have as much control over
readmissions as the hospital does[v]?
3.
Is the proposal concerning anemia
management too difficult for dialysis clinics to manage[vi]?
4.
Is it reasonable to base Medicare
payments to dialysis clinics on Patient Satisfaction[vii]?
QUESTIONS
TO BE ADDRESSED
1.
State The Administrative Agency That
Controls The Regulation;
2.
Explain Why This Agency And Your
Proposed Regulation Interests You (Briefly). Will This Proposed Regulation
Affect You, Or The Business In Which You Are Working? If So, How?
3.
Describe The Proposal/Change;
4.
Provide The "Deadline" By
Which The Public Comment Must Be Made. (If The Date Has Already Passed, Please
Provide When The Deadline Was);
5.
Write The Public Comment That You Would
Submit To This Proposal. If The Proposed Regulation Deadline Has Already
Passed, Write The Comment You Would Have Submitted. Explain Briefly What You
Wish To Accomplish With Your Comment.
6.
Once You Have Submitted Your Comment,
What Will You Be Legally Entitled To Do Later In The Promulgation Process (If
You Should Choose To Do So)? (See The Textbook's Discussion Of The
Administrative Procedure Act.)
7.
If The Proposal Passes, Identify And
Explain The Five Legal Theories You Could Use In An Attempt To Have (Any)
Administrative Regulation Declared Invalid And Overturned In Court.
8.
Which Of These Challenges Would Be The
Best Way To Challenge The Regulation You Selected For This Assignment If You
Wanted To Have The Regulation Overturned, And Why?
9.
Conclusion
I.
THE
ADMINISTRATIVE AGENCY THAT CONTROLS THE REGULATION
In
this case it is the Center for Medicare and Medicaid Services.[viii]
They are responsible for making all of the rules for the Medicare ESRD
program. [ix]
II.
WHY THIS AGENCY AND YOUR PROPOSED
REGULATION INTERESTS ME
First
and foremost I am a dialysis patient, so whatever rules they make affects me
directly. When your kidneys fail you have only 3 choices: dialysis, a kidney transplant or death.[x] I
am on two transplant lists, at Indiana University and Rush Medical in Chicago.[xi] I
am currently in my second year of dialysis. Secondly, I am a kidney advocate
for my fellow kidney patients.[xii]
I am the State of Indiana’s Advocate for the National Kidney Foundation, an
Ambassador for the Dialysis Patient Citizens and an Ambassador for the PKD
Foundation. [xiii]
I am very active in the political community as I have been to Washington DC
twice to advocate for my fellow patients, I frequently speak at Kidney Walks
sponsored by the National Kidney Foundation of Indiana, and I run petitions
online for new laws that could affect kidney patients throughout the United
States.[xiv]
I recently won an award from the Renal Network for my advocacy.[xv]
III.
WILL THIS PROPOSED REGULATION AFFECT YOU, OR THE BUSINESS IN
WHICH YOU ARE WORKING? IF SO, HOW?
Yes, I believe it will have affects both positive and
negative. I take dialysis at a Fresenius
clinic in Crown Point, Indiana.[xvi]
The National Kidney Foundation has expressed concerns about the new regulations
and rural clinics like mine:
“As expected, CMS proposes to
keep payment for dialysis services relatively flat in 2015. However, proposed changes to how CMS
calculates annual updates to payment will result in a cut to rural dialysis
facilities by half a percent next year and likely another half percent in
2016. This is because CMS is proposing
to use more recent information on dialysis facility costs to determine how much
they should be paying dialysis facilities….
While basing payment on more recent costs
may be a fairer way to control federal health care spending, it will result in
lower payments to facilities in areas where wages are typically lower and a
small increase to dialysis facilities in areas where wages are higher.
Wages are typically lower in rural areas because the cost of living is also
less. Unfortunately, on average, rural facilities are already losing
money on treatments for patients who have only Medicare and/or Medicaid as
their insurance. Some dialysis providers have indicated that in the face
of flat and declining payments by Medicare, Medicaid and even by some private
insurance companies, they may decide to close some of their clinics that are
losing money.
While we expect overall access to dialysis
facilities to remain stable in the near term, the National Kidney
Foundation is concerned that providers may decide to close clinics that
are in rural areas, causing patients in those areas to have to travel even
further to obtain dialysis care. Longer travel times for dialysis have
been associated with an increase in death and hospitalization because patients
are more likely to miss treatments when they have more challenges getting to
dialysis. CMS is giving the public 60 days to comment on the proposed rule. Over the next several weeks, NKF will evaluate
the impact of the proposed rule on patients’ access to care; particularly in
rural areas. We will then offer recommendations on how CMS can modify its
proposal to make sure that patients are able to receive high quality dialysis
care near their homes.[xvii]”
My concerns here are:
1.
The proposal
envisions a 0.5% cut to rural centers like mine. This would mean a cut back in services like
social workers, dieticians, nurses and dialysis technicians to a point where
the patient ratio to techs/nurses is a much more reduced level[xviii];
2.
“One
issue that patients will not have to worry about this time around is payment
cuts to dialysis facilities. The base payment for 2015 will be the same as it
is in 2014, due to a directive from Congress. That said the cost of care
continues to increase, so even though payment remains the same, providers will
be asked to do more with the same level of funding. At the same time, there are
some adjustments to payment formula, increasing the weight accorded to labor
costs (which vary geographically) and decreasing the weight accorded to drug
costs (which are the same everywhere). This means that more of the overall
dialysis budget will be directed to facilities in regions with a high cost of
living, and less to areas with a low cost of living. This is expected to reduce
payments to rural facilities by a little over one percent. DPC will be
evaluating the effect that this could have on patient access in areas with low
population density, while encouraging CMS to consider an unintended
consequences.[xix]”
3.
According to the NKF, due to past cuts where Medicare is
already not paying the actual incurred costs, rural centers may close[xx];
4.
The closings could then lead to a drastic relocation of
patients. This could result in increased travel time and fuel costs when most
of us are on Social Security Disability[xxi]. For example, I could be relocated to
Lafayette[xxii]
(78.41 miles away) or Indianapolis[xxiii]
(138.8 miles away).
a.
According to the NKF & the DPC, the CMS has proposed
that Patient Satisfaction Surveys will no longer just be passed out to dialysis
patients, but filled out and returned to be tabulated and scored for overall
patient satisfaction.[xxiv] The idea behind this is that the Quality
Incentive Program(QIP) will sets the performance standard for
each dialysis clinic and penalizes those who do not meet or make progress
towards those standards by cutting their payments by up to 2%.[xxv] The purpose is to incentivize providers to do
a better job by tying payment to performance. Clinic are judged by making
improvements against past records or they are judged by their peers and can be
judged by improvements they make in comparison to other neighboring/local
clinics.[xxvi] The goal is to achieve an acceptable score
and receive their full payment.
Deviations from the assigned score can cause cuts in payments that begin
in increments of .5% (1/2 of a percent) to a maximum of 2%.[xxvii]
5.
Nowhere is this more evident than in Proposal #1
concerning Patient Satisfaction. If the
proposed rule is finalized, results from the CAHPS[xxviii]
survey would be tabulated and used to set payment. This should incentivize facilities to improve
their environment and amplify the patients’ voice when giving feedback on their
experience.[xxix]
6.
Once you take the survey, beginning next year in 2015,
instead of just giving you the survey or suffering a penalty for not giving it,
the new CMS rule proposes that the results be tabulated and they will compare
them against the results in 2016 to adjust payments in 2017 & 2018. Questions like how frequent is your access
with your nephrologist? How satisfied are you with the service at your
clinic? Your answers to these survey
questions will be reduced to a score for each facility and the lowest score
among your neighboring facilities, and that will count vs them in their total
performance score. This in turn could
lead to a reduction in payments.[xxx]
7.
Medicare has done this in their Pay For Performance
programs in hospitals[xxxi] In the hospital, if you are randomly selected
for the CAHPS survey, that could result in the hospital getting a reduction in
Medicare payment or a bonus.[xxxii]
8.
The Result: once
these surveys began to count for money, the hospitals were more diligent and
gave better service.[xxxiii]
This is the rationale for applying this to dialysis
clinics, to raise the standard and quality of care for Medicare dialysis
patients. The idea is that if clinic
patient satisfaction counts towards payment, the quality of service will
improve. It is a way to make the patients voice heard in a more direct and
tangible manner.[xxxiv]
This is one I agree with.
9.
Proposal #2 deals with Anemia Management. Anemia occurs
when your body does not have enough iron.[xxxv]
This is a particular issue for ESRD patients on dialysis, because your kidneys
make iron cells, but when your kidneys fail, they no longer make enough iron to
sustain you without medication.[xxxvi]
In my experience, I am administered Epogen for this purpose at the dialysis
lab.[xxxvii]
10.
A little history is necessary to explain this proposal.
The initial QIP programs included measures on how well dialysis facilities kept
the hemoglobin[xxxviii]
reading of patients in a certain range. The lower limit was eliminated years
ago. Observers felt that the clinic should not be graded on a lower limit but
rather whether the patient needed a blood transfusion.[xxxix]
The new rule proposes to monitor the transfusion rate for each facility and to
penalize the group that has a disproportionate level of transfusions.[xl]
The Solution is to measure the transfusion rate of a facilities’ patients. If a particular clinic had a disproportionately
high rate of transfusions, this would result in a penalty.[xli]
This gives facilities the incentive to make sure they give everybody the
adequate dosage.[xlii]
This is another proposal I agree with.
11.
Proposal #3 deals with Hospital Readmissions. Of the three proposals, this one may be the
most controversial. This proposal refers
to hospital readmission rates.[xliii]
In a hospital setting, if a Medicare patient is discharged, and within 30 days
readmitted for the same ailment, the hospital is penalized by Medicare in terms
of its payment.[xliv]
The CMS want to bring this same procedure to dialysis centers and Medicare
patients. [xlv]
The
rule proposes that dialysis centers would be penalized based on readmissions.[xlvi]
Dialysis centers are already screaming foul as it is their position that this
is not their responsibility.[xlvii]
Hospitals have hired a case manager to prevent readmissions and subsequent cuts
to Medicare payments. Clinics have no
such person and no money to do that.[xlviii]
Hospitals check with the patient at home, and if necessary make appointments
with the doctor or pharmacist to make sure medications prescribed are
compatible. [xlix]
This part if the proposal is considered to be controversial because the
dialysis centers may not have the responsibility or control over the patient’s
health in the same way as one’s doctors or hospitals might. The hospital knows
when they discharge you and dialysis clinic may not. They usually find out a few days later when
the patient comes to the clinic.[l]
For this reason, the National Quality Forum[li],
a group that evaluates and debates quality measures, failed to approve proposal
number three, as they could not come to a consensus.[lii]
There
is a second line of controversy that goes with this proposal. Currently, the readjustment basis for
hospitals does not take into account the socioeconomic status of the patient[liii]. The hospitals getting hit the hardest by
penalties are poorer or in poorer areas, health and life expectancy of their
patients is lower and morbidity is higher.[liv] The NQF held that Medicare Hospital penalties
need to be adjusted for socioeconomic status for hospitals, however; this is still
an open question for dialysis clinics.[lv]
IV.
DESCRIBE THE PROPOSAL/CHANGE
The basic proposal contains 3 parts[lvi]:
a.
Patient experience
b.
Anemia Management
c.
Hospital Readmissions Rate
The
rules and objections have been discussed in detail in the above section. The rationale for the changes are:
“Last week, the
Centers for Medicare and Medicaid Services (CMS) released its Proposed Rule specifying
how dialysis facilities will be paid in 2015 and beyond. Most of the proposed
changes relate to the Quality Improvement Program for dialysis. The Quality
Improvement Program (QIP) sets performance standards for each clinic and
penalizes clinics that do not meet or make progress toward the standards by
cutting their payments by up to two percent. The purpose is to incentivize
providers to do a better job by tying their pay to performance.[lvii]”
V.
PROVIDE THE "DEADLINE" BY
WHICH THE PUBLIC COMMENT MUST BE MADE. (IF THE DATE HAS ALREADY PASSED, PLEASE
PROVIDE WHEN THE DEADLINE WAS).
According
to the NKF, there are 60 days from July 1, 2014 to comment on the rule.[lviii]
VI.
WRITE THE PUBLIC COMMENT THAT YOU WOULD
SUBMIT TO THIS PROPOSAL. IF THE PROPOSED REGULATION DEADLINE HAS ALREADY
PASSED, WRITE THE COMMENT YOU WOULD HAVE SUBMITTED. EXPLAIN BRIEFLY WHAT YOU
WISH TO ACCOMPLISH WITH YOUR COMMENT.
In my comment, I am assuming the letter is send by
regular mail.
Marilyn
Tavenner,
Administrator,
Centers
for Medicare & Medicaid Services,
Department
of Health and Human Services,
Attention: CMS-1614-P,
P.O.
Box 8010,
Baltimore,
MD 21244-8010.
Madame
Administrator:
I
am writing to you today to comment on Proposed Regulation, CMS-1614-P. My name is James Myers. I am from Crown Point, Indiana. I am a patient at a small town clinic,
Fresenius Medical Center, Crown Point. I
am a dialysis patient and a kidney advocate.
I
have several objections to the proposed new rules for Medicare payments to
dialysis centers. First, the proposal envisions a 0.5% cut to rural centers like
mine. This would mean a cut back in
services like social workers, dieticians, nurses and dialysis technicians to a
point where the patient ratio to techs/nurses is a much more reduced level.
Secondly, as, the cost of
care continues to increase, even though
payment remains the same, providers will be asked to do more with the same
level of funding. At the same time, there are some adjustments to payment
formula, increasing the weight accorded to labor costs (which vary
geographically) and decreasing the weight accorded to drug costs (which are the
same everywhere). This means that more of the overall dialysis budget will be
directed to facilities in regions with a high cost of living, and less to areas
with a low cost of living. This is expected to reduce payments to rural
facilities by a little over one percent. The effect that this could have on patient
access in areas with low population density, could be closings, which in turn
require patients to travel great distances at additional costs, an unintended
consequence.
Thirdly, concerning the proposal on
hospital readmissions, I have two objections.
I believe it is unfair to hold a dialysis center to the same standards
as a hospital. I do not believe it is
fair to penalize dialysis clinics for readmissions within 30 days times as they
have neither, the personnel or the cash to constantly monitor their
patients. All too frequently, the clinic
is the last to know when an individual has been discharged. They just do not have the control or ability
to follow up with a patient in this manner. The National Quality forum was
unable to acquire a consensus on this item in the proposal for that reason.
Fourth, the proposal does not take into
account the socioeconomic status of either the patient or the clinic. This experiment with hospitals have shown
that care providers in poorer areas are the ones who more frequently suffer the
penalties.
Fifth, for these reasons, the issues raised
with the Medicare reimbursement not only affect the clinics, but also Medicare
patients. As you know, most dialysis
patients are Medicare patients. The
costs of additional travel and loss of services that keep dialysis patients
healthy are being put in jeopardy.
Having ESRD is challenging enough; making dialysis and preventive
patient services more difficult to obtain leads to poorer health for dialysis
patients and in some cases, even death. 400,000 of us depend on CMS to protect
us while we are on dialysis. This is the
greatest failure of these proposed rules.
Very truly yours,
James W. Myers, III
Advocate for the National Kidney Foundation
for the State of Indiana
Ambassador for the Dialysis Patient
Citizens
Ambassador for the PKD Foundation
VII. ONCE
YOU HAVE SUBMITTED YOUR COMMENT, WHAT WILL YOU BE LEGALLY ENTITLED TO DO LATER
IN THE PROMULGATION PROCESS (IF YOU SHOULD CHOOSE TO DO SO)?
Once
you have written a comment for the agency, you then have the right to intervene
in a formal adjudication.[lix]
“Pursuant to 5
USCS § 702, a person suffering legal wrong because of agency action, or
adversely affected or aggrieved by agency action within the meaning of a
relevant statute, is entitled to judicial review thereof. The Administrative Procedure Act confers a
general cause of action upon persons adversely affected or aggrieved by an
agency action within the meaning of a relevant statute, but restricts that
cause of action if the relevant statute precludes judicial review. While the standing requirements imposed by
U.S. Const. art. III require a plaintiff to suffer a sufficient injury in fact,
§ 10 of the Administrative Procedure Act, requires that the plaintiff also
demonstrate that s/he has prudential standing. For a plaintiff to have
prudential standing under the APA, the interest sought to be protected by the
complainant must be arguably within the zone of interests to be protected or
regulated by the statute in question.[lx]”
In
other words, by sending a complaint, you have put the agency on notice, and in
my opinion, like filing a notice of tort claim in a state court, you now have
the right to be a part of the future adjudication should one ever take place.[lxi]
VIII. IF
THE PROPOSAL PASSES, IDENTIFY AND EXPLAIN THE FIVE LEGAL THEORIES YOU COULD USE
IN AN ATTEMPT TO HAVE (ANY) ADMINISTRATIVE REGULATION DECLARED INVALID AND
OVERTURNED IN COURT.
There are five legal theories that can be used to
attempt to declare an administrative regulation invalid. They are:
“The
reviewing court shall ... hold unlawful and set aside agency action, findings,
and conclusions found to be -
(A) arbitrary, capricious, an abuse of
discretion, or otherwise not in accordance with law;
(B) contrary to constitutional right, power,
privilege, or immunity;
(C) in excess of statutory jurisdiction,
authority, or limitations, or short of statutory right;
(D) without observance of procedure required by
law;
(E) unsupported by substantial evidence in a
case subject to sections 556 and 557 of this title or otherwise reviewed on the record of an
agency hearing provided by statute; or
(F) Unwarranted by the facts to the extent
that the facts are subject to trial de novo by the reviewing court.
In making the
foregoing determinations, the court shall review the whole record or those
parts of it cited by a party, and due account shall be taken of the rule of
prejudicial error.[lxii]”
IX.
WHICH OF THESE CHALLENGES WOULD BE THE
BEST WAY TO CHALLENGE THE REGULATION YOU SELECTED FOR THIS ASSIGNMENT IF YOU
WANTED TO HAVE THE REGULATION OVERTURNED, AND WHY?
The
methods of challenge need to be discussed and compared to find the correct one
to choose. There are three standards of
review:
(1)
Substantial evidence; (2) arbitrary and
capricious; and (3) statutory interpretation[lxiii].
The substantial evidence theory of review is used
when there is a formal rulemaking and formal adjudication.[lxiv]
Recent evidence suggests that it can be used in adjudicating the more informal
rule coming from the informal rule making process.[lxv] Under this standard, courts are required to
uphold this rule if it is found that the agency’s decision is “reasonable, or
the record contains such evidence as a reasonable mind might accept as adequate
to support a conclusion.[lxvi]"
Agency actions that are invalidated by substantial evidence review are
typically abandoned[lxvii].
The "arbitrary and capricious" standard is
mainly applied to informal rulemakings like the one in this instance.[lxviii]
Under this standard, the agency must provide a satisfactory explanation for its
actions, there must be a “rational connection between facts and judgment . . .
to pass muster under the 'arbitrary and capricious' standard.[lxix]"
It would be my position that portions of the
proposed new rule are arbitrary and capricious because there is not a rational
basis between the facts and the judgment.
Those portions of the rule are:
1. The
portion of the proposed rule that leaves payments flat has a tremendous effect
on rural dialysis clinics and their Medicare patients. First there is a 0.5% deduction to what is
being paid to rural clinics. When you
add this to the deductions required by the Fiscal Cliff and Medicare Bundling,
this is particularly devastating[lxx]. At this point, many rural clinics are already
paid a fee by Medicare that does not meet their actual costs.[lxxi] This in turn leads to clinics cutting hours
and services and in the severest of circumstances closing clinics.[lxxii]
The costs to disenfranchised dialysis patients is immeasurable. Lengthening travel distances could cause
people to skip dialysis due to costs.
This in turn leads to increased illness or even death. In the words of the National Kidney
Foundation:
“As expected, CMS proposes to keep payment for dialysis
services relatively flat in 2015. However, proposed changes to how CMS
calculates annual updates to payment will result in a cut to rural dialysis
facilities by half a percent next year and likely another half percent in
2016. This is because CMS is proposing to use more recent information on
dialysis facility costs to determine how much they should be paying dialysis
facilities.
In previous years, CMS used 2008 cost information, but
facility costs have changed in recent years. In 2011, Medicare payment for
dialysis services, staff wages, and drugs were bundled together into one
payment. According to CMS, dialysis facilities are now spending less on drugs,
but more on staff wages than in 2008. Therefore, CMS is proposing to weigh
payment more heavily on staff wages and reduce the weight on drugs.
Impact on Rural Dialysis Facilities
While basing payment on more recent costs may be a fairer
way to control federal health care spending, it will result in lower payments to facilities in areas where wages are
typically lower and a small increase to dialysis facilities in areas where
wages are higher. Wages are typically lower in rural areas because the
cost of living is also less. Unfortunately, on average, rural facilities
are already losing money on treatments for patients who have only Medicare
and/or Medicaid as their insurance. Some dialysis providers have
indicated that in the face of flat and declining payments by Medicare, Medicaid
and even by some private insurance companies, they may decide to close some of
their clinics that are losing money.
While we expect overall access to dialysis
facilities to remain stable in the near term, the National Kidney
Foundation is concerned that providers may decide to close clinics that
are in rural areas, causing patients in those areas to have to travel even
further to obtain dialysis care. Longer travel times for dialysis have
been associated with an increase in death and hospitalization because patients
are more likely to miss treatments when they have more challenges getting to
dialysis.[lxxiii]”
(Emphasis added).
2. Proposal
3, concerning Hospital Readmissions Rates has major issues:
(1)
There was significant division over
whether dialysis facilities are in a good position to prevent readmission of
their patients, because often they are not notified that a patient was in the
hospital, nor given access to hospital medical records. By contrast, hospitals
often have a staff member dedicated to discharge follow-up and can arrange
appointments with the nephrologist when the patient is discharged[lxxiv].
(2)
The proposed rules do not take into
account the socioeconomic status of the dialysis clinic or the patient[lxxv].
The hospital version of the rule has shown that poorer clinic with poorer
locations are penalized the most frequently.
The rule is not rationally related to its purpose and violates Due
Process and Equal Protection.[lxxvi]
X.
CONCLUSION
When the CMS makes rules that apply to
dialysis clinics, the inevitable justification that you hear is that dialysis
chains like Fresenius or DaVita are making such incredible profits, that they
can handle a reduction in payment. What
the CMS forgets is that we as dialysis patients cannot handle such a reduction
where services are lost, clinics closed or are consolidated, travel to dialysis
becomes increasing difficult or under predictable circumstances,
impossible. We did not ask for kidney
failure; 26 million Americans suffer from chronic kidney disease[lxxvii]
and 400,000 of us rely on dialysis to sustain life.[lxxviii] 86% of all dialysis patients are Medicare[lxxix].
Kidney failure is thrust upon us and dialysis keeps us alive. Experts have told me that as little as 4 days
without dialysis could cause death for some patients.[lxxx] There are over 100,000 of us now waiting for
a kidney transplant and last year they transplanted only 14,000[lxxxi].
Every day 18 of on the waiting list die.[lxxxii]
I have spoken to a representative from
the CMS who accused me of frightening people.
I don’t frighten anyone; I advocate on behalf of the people who are not
as fortunate as me, who live in a nursing home, come to dialysis every other
day in an ambulance, walk with a cane or a walker, have the mental acuity of a
10 year old, have the added complication of diabetes, congestive heart failure,
amputations. I am not exaggerating when
I tell you that every time I take dialysis this is what I witness. One thing I am very sure of. I am right; I am on the right side of
history.
You
want to know what frightens me? Check
out these articles about the CMS’s recent proposal to force dialysis patients
to choose between staying at the dialysis center and receiving life-saving
dialysis or going to hospice where Medicare will no longer pay for dialysis:
CMS
New Proposal Makes Chronic Kidney Disease Patients Choose Between Dialysis And
Hospice Care, http://www.kidneybuzz.com/cms-new-proposal-makes-chronic-kidney-disease-patients-choose-between-dialysis-and-hospice-care/
(July14, 2014). See also: End of Life
Decisions for Dialysis Patients: Update on Proposed Medicare Rule, http://nkfadvocacy.wordpress.com/2014/07/08/end-of-life-decisions-for-dialysis-patients-update-on-proposed-medicare-rule/
(July 8, 2014).
“Currently dialysis patients who have a terminal illness that is unrelated
to their kidney failure can choose to enter hospice care and still receive
dialysis paid for by Medicare. However, under a proposal by the Centers
for Medicare & Medicaid Services (CMS), this policy could change. That’s because CMS is proposing to expand
the definitions for terminal illness and related care, which could effectively
require hospice providers to pay for dialysis under their current payment even
when the patient may be dying of another condition or disease unrelated to
their kidney failure. However, the Medicare payment for Hospice is not
enough to cover dialysis treatments in addition to other treatments terminally
ill patients need. Therefore, it is unlikely that most hospice providers
will cover dialysis care, leaving patients and their families to choose between
giving up dialysis and entering hospice or continuing to dialyze, but give up
the supportive care and psychological benefits that hospice providers deliver.
A recent study
published in the American Journal of Kidney Disease highlights the
difficulty patients and families experience when faced with the decision to
withdraw from dialysis. The article also suggests that differences in
decision making for withdrawing from dialysis may also be attributed to
cultural beliefs and customs. This study is an example of how dialysis
patients could benefit from the psychological support that hospice care can
provide to patients and their families.
In comments to CMS on this proposal, NKF stated that dialysis patients should
receive an exception from the CMS proposal and be allowed to have Medicare pay
separately for dialysis treatment and hospice care. Doing so would
provide the patient with a terminal illness with access to hospice benefits
while also continuing to receive dialysis. End of life decisions are not easy
for anyone involved, and CMS should not be implementing payment policies that
force a patient to suffer unnecessarily.” (Emphasis added).
Now, I’m scared.
Do you understand now why many kidney advocates dread the 4th
of July?
ENDNOTES
[i] http://cms.hhs.gov/
(Accessed 2014); https://www.cms.gov/Medicare/Medicare.html
(Accessed 2014); https://www.cms.gov/Medicare/End-Stage-Renal-Disease/ESRDGeneralInformation/index.html
(Accessed 2014)(CMS is the administrative body that controls the ESRD program
for Medicare including payments to dialysis centers for Medicare patients).
[ii] Proposed
Dialysis Payment Changes Could Hurt Rural Facilities, http://nkfadvocacy.wordpress.com/2014/07/10/proposed-dialysis-payment-changes-could-hurt-rural-facilities/
(July 10, 2014). See also: Changes
Proposed to the Way Quality of Care is Measured in Dialysis Facilities, http://nkfadvocacy.wordpress.com/2014/07/17/changes-proposed-to-the-way-quality-of-care-is-measured-in-dialysis-facilities/
(July 17, 2014); New Medicare Rule
for Dialysis Facilities Brings Changes to “Pay for Performance” Formula, http://www.dialysispatients.org/articles/new-medicare-rule-dialysis-facilities-brings-changes-%E2%80%9Cpay-performance%E2%80%9D-formula (Accessed 2014).
See Generally:
ESRD Quality Incentive Program, What is the ESRD QIP? http://www.cms.gov/Medicare/Quality-Initiatives-Patient-Assessment-Instruments/ESRDQIP/
(Accessed 2014)(An explanation of how the QIP program works)(“ The Centers for
Medicare & Medicaid Services (CMS) administers the End-Stage Renal Disease
(ESRD) Quality Incentive Program (QIP) to promote high-quality services in
outpatient dialysis facilities treating patients with ESRD. The first of its kind in Medicare, this
program changes the way CMS pays for the treatment of patients with ESRD by linking a portion of
payment directly to facilities’ performance on quality of care measures. These
types of programs are known as “pay-for-performance” or “value-based purchasing”
(VBP) programs.”).
[iv] Proposed
Dialysis Payment Changes Could Hurt Rural Facilities, http://nkfadvocacy.wordpress.com/2014/07/10/proposed-dialysis-payment-changes-could-hurt-rural-facilities/
(July 10, 2014)(“ While basing payment on more recent costs may be a fairer way
to control federal health care spending, it will result in lower payments to
facilities in areas where wages are typically lower and a small increase to
dialysis facilities in areas where wages are higher. Wages are typically lower in rural areas
because the cost of living is also less.
Unfortunately, on average, rural facilities are already losing money on
treatments for patients who have only Medicare and/or Medicaid as their
insurance. Some dialysis providers have
indicated that in the face of flat and declining payments by Medicare, Medicaid
and even by some private insurance companies, they may decide to close some of
their clinics that are losing money.”); Small pay increase for dialysis clinics in
proposed rule for 2015, http://www.nephrologynews.com/articles/110311-small-pay-increase-for-dialysis-clinics-in-proposed-rule-for-2015 (July 3, 2014)(“ rural facilities will
receive a decrease of 0.5%”); Kidney Care Community Plans Careful Review of
CMS' Proposed Rule with Goal of Ensuring Continued Quality Improvement and
Economic Stability, http://www.wfmj.com/story/25938114/kidney-care-community-plans-careful-review-of-cms-proposed-rule-with-goal-of-ensuring-continued-quality-improvement-and-economic-stability (Accessed 2014)(“ Medicare reimbursement for dialysis care
is not keeping pace with the rising costs of delivering quality health care to
individuals with kidney disease," said Dr. Edward R. Jones, Chair of
KCP. "While the proposed rule
implemented Congressional intent by modifying deep cuts planned for 2015, many
dialysis facilities continue to face economic hardship."); New Medicare
Rule for Dialysis Facilities Brings Changes to “Pay for Performance” Formula, http://www.dialysispatients.org/articles/new-medicare-rule-dialysis-facilities-brings-changes-%E2%80%9Cpay-performance%E2%80%9D-formula, (Accessed 2014)(“ That said the cost of care continues to
increase, so even though payment remains the same, providers will be asked to
do more with the same level of funding. At the same time, there are some
adjustments to payment formula, increasing the weight accorded to labor costs
(which vary geographically) and decreasing the weight accorded to drug costs
(which are the same everywhere). This means that more of the overall dialysis
budget will be directed to facilities in regions with a high cost of living,
and less to areas with a low cost of living. This is expected to reduce
payments to rural facilities by a little over one percent.”).
[v]
Changes Proposed to the Way Quality of Care is Measured in Dialysis Facilities,
http://nkfadvocacy.wordpress.com/2014/07/17/changes-proposed-to-the-way-quality-of-care-is-measured-in-dialysis-facilities/
(July 14, 2014)(“ CMS is proposing to hold dialysis facilities accountable for
the percentage of their patients that are readmitted to the hospital, for
nearly any reason, within 30 days of being discharged. The intent of this measure is to encourage
facilities with higher than average readmissions, to go beyond their facility
walls and work to improve communication with the hospital and the patients’
other health care providers.”); New
Medicare Rule for Dialysis Facilities Brings Changes to “Pay for Performance”
Formula, http://www.dialysispatients.org/articles/new-medicare-rule-dialysis-facilities-brings-changes-%E2%80%9Cpay-performance%E2%80%9D-formula (Accessed 2014)(“ The new rule proposes that dialysis facilities
will also be penalized for hospital readmissions of their patients”); CMS
releases proposed ESRD QIP measures, http://www.nephrologynews.com/articles/110310-cms-releases-proposed-esrd-qip-measures (July 3, 2014); CMS Proposes Slight
Increase in ESRD Payments for CY 2015, https://www.aamc.org/advocacy/washhigh/highlights2014/385172/071114cmsproposesslightincreaseinesrdpaymentsforcy2015.html (July 14, 2014).
[vi] Changes
Proposed to the Way Quality of Care is Measured in Dialysis Facilities, http://nkfadvocacy.wordpress.com/2014/07/17/changes-proposed-to-the-way-quality-of-care-is-measured-in-dialysis-facilities/
(July 17, 2014); Video, Dialysis Patient Citizens, July Policy Update, https://www.youtube.com/watch?v=0AfeGFk7rek&feature=youtu.be
(July 8, 2014)(11:43); New Medicare
Rule for Dialysis Facilities Brings Changes to “Pay for Performance” Formula, http://www.dialysispatients.org/articles/new-medicare-rule-dialysis-facilities-brings-changes-%E2%80%9Cpay-performance%E2%80%9D-formula (Accessed 2014)(“… the new rule proposes
to monitor the transfusion ratio for each facility and penalize those
facilities whose patients are disproportionately requiring transfusions.”)
[vii] Changes
Proposed to the Way Quality of Care is Measured in Dialysis Facilities, http://nkfadvocacy.wordpress.com/2014/07/17/changes-proposed-to-the-way-quality-of-care-is-measured-in-dialysis-facilities/
(July 17, 2014)(“ CMS proposes to review responses from the In-centered
Hemodialysis Consumer Assessment of Healthcare Providers and Systems (ICH
CAHPS) survey and score facilities based on patients’ responses to questions
related to their nephrologists’ communication and caring, the quality of their
dialysis centers care and operations, and how well the facility provides
information to patients. It would also include a score related to patients’
overall feeling about the nephrologist, dialysis facility staff and dialysis
facility. The idea is to ensure that
facilities are motivated to address issues of concern to patients in order to
improve patients’ satisfaction and experience.”); New Medicare Rule for Dialysis Facilities Brings
Changes to “Pay for Performance” Formula, http://www.dialysispatients.org/articles/new-medicare-rule-dialysis-facilities-brings-changes-%E2%80%9Cpay-performance%E2%80%9D-formula (July 1, 2014)(“ For several years now, dialysis facilities
have administered the “CAHPS” survey to patients. However, under current
regulations, dialysis facilities are only required to give the survey; poor
results are not held against the facility in determining the payment. If the
proposed rule is finalized, survey results would be tabulated and used to set
payment.
In
Medicare’s pay-for-performance system for hospitals, CAHPS survey results count
toward bonuses and penalties. On the hospital side, observers have taken notice
that hospitals are behaving much differently now that patient surveys affect
their payment.
Counting the
survey results could help to amplify the patients’ voice when giving feedback
in their clinics.”); 2014 ESRD final rule: key components, www.asn-online.org/.../tab_04b_esrd_o, (Accessed 2014); Medicare ESRD Payments To Be Flat in 2015, http://www.medpagetoday.com/Nephrology/ESRD/46656?xid=nl_mpt_DHE_2014-07-08&utm_content=&utm_medium=email&utm_campaign=DailyHeadlines&utm_source=ST&eun=g532215d0r&userid=532215&email=ealmond%40schmidtpa.com&mu_id=5655223&utm_term=Daily%20Headlines%20IP%20Warming (July 10, 2014).
[viii]
http://cms.hhs.gov/ (Accessed 2014); https://www.cms.gov/Medicare/Medicare.html
(Accessed 2014); http://www.cms.gov/Research-Statistics-Data-and-Systems/Research-Statistics-Data-and-Systems.html
(Accessed 2014).
[ix] 42
CFR 413.210 - Conditions for payment under the end-stage renal disease (ESRD)
prospective payment system, http://www.law.cornell.edu/cfr/text/42/413.210
(Accessed 2014); 42 CFR 417.423 - Special rules: ESRD and hospice patients, http://www.law.cornell.edu/cfr/text/42/417.423
(Accessed 2014); http://www.cms.gov/Center/Special-Topic/End-Stage-Renal-Disease-ESRD-Center.html,
(Accessed 2014). See Generally: http://innovation.cms.gov/initiatives/comprehensive-esrd-care/
(Accessed 2014) (“The Comprehensive ESRD Care initiative was designed to
identify, test, and evaluate new ways to improve care for Medicare
beneficiaries with End-Stage Renal Disease (ESRD). Through the Comprehensive
ESRD Care initiative, CMS will partner with health care providers and suppliers
to test the effectiveness of a new payment and service delivery model in
providing beneficiaries with patient-centered, high-quality care.”); http://www.medicare.gov/people-like-me/esrd/esrd.html
(Accessed 2014); http://www.medicare.gov/people-like-me/esrd/getting-medicare-with-esrd.html
(Accessed 2014); https://www.cms.gov/Medicare/End-Stage-Renal-Disease/ESRDGeneralInformation/index.html
(Accessed 2014).
[x] http://kidney.niddk.nih.gov/KUDiseases/pubs/choosingtreatment/index.aspx#fail
(Accessed 2014); http://www.choosingwisely.org/doctor-patient-lists/chronic-kidney-disease/
(Accessed 2014); http://dpcedcenter.org/what-are-my-options-if-i-have-kidney-failure
(Accessed 2014).
[xi] http://iuhealth.org/transplant/
(Accessed 2014); http://www.rush.edu/rumc/page-1230579852739.html
(Accessed 2014).
[xii]
Davich, Dialysis patients drained by proposed budget cut,
http://posttrib.suntimes.com/news/davich/21770756-452/jerry-davich-dialysis-patients-drained-by-proposed-budget-cut.html#.U8k0Yukg9jo (July 13, 2013); http://www.nwitimes.com/news/opinion/columnists/guest-commentary/jim-myers/image_36907def-92ad-5412-95c0-aed42c3a3bc3.html (December 31, 2013); Myers, GUEST COMMENTARY: Early detection is
important for chronic kidney disease, http://www.nwitimes.com/news/opinion/columnists/guest-commentary/guest-commentary-early-detection-is-important-for-chronic-kidney-disease/article_dc5e4853-7f39-5c98-82b0-3bbafc4bbd35.html (December 31, 2013); Myers, Maureen O’Brien — Kidney Pioneer &
Hero, http://www.dialysispatients.org/blog/maureen-o%E2%80%99brien-%E2%80%94-kidney-pioneer-hero (June 24, 2013).
[xiii]
http://kidneystoriesblog.wordpress.com/2013/02/24/kidney-stories-james-myers/
(Accessed 2014)
[xiv] https://www.change.org/petitions/withdraw-the-proposed-cuts-to-dialysis-centers-and-esrd-patients
(Accessed 2014); https://www.change.org/petitions/congressional-kidney-caucus-pass-h-r-4814-the-chronic-kidney-disease-improvement-in-research-and-treatment-act
(Accessed 2014).
[xvi] http://www.ultracare-dialysis.com/dialysis-centers/indiana/crown-point/851-w-burrell-dr-46307/8732.aspx
(Accessed 2014).
[xvii]
Proposed Dialysis Payment Changes Could Hurt Rural Facilities, https://nkfadvocacy.wordpress.com/2014/07/10/proposed-dialysis-payment-changes-could-hurt-rural-facilities/
(July 10, 2014); Small pay increase
for dialysis clinics in proposed rule for 2015, http://www.nephrologynews.com/articles/110311-small-pay-increase-for-dialysis-clinics-in-proposed-rule-for-2015 (July 3, 2014); ESRD Quality Incentive
Program (QIP), http://www.nephrologynews.com/topics/6024-esrd-quality-incentive-program-qip (July 3, 2014); New Medicare Rule for
Dialysis Facilities Brings Changes to “Pay for Performance” Formula, http://www.dialysispatients.org/articles/new-medicare-rule-dialysis-facilities-brings-changes-%E2%80%9Cpay-performance%E2%80%9D-formula (July 1, 2014).
[xviii]
Chronic dialysis
nurse/patient ratio, http://allnurses.com/dialysis-renal-urology/chronic-dialysis-nurse-536985.html (Accessed 2014)(“ the
general norm is 4 pts to each tech & 25 patients for 1 nurse”); 6 to 1
ratio patient to tech in PORTLAND OREGON DSI!!!!, http://forums.homedialysis.org/threads/1928-6-to-1-ratio-patient-to-tech-in-PORTLAND-OREGON-DSI!!!! (October 13, 2008); Staff
Ratio in dialysis units, http://allnurses.com/dialysis-renal-urology/staff-ratio-dialysis-491173.html (Accessed 2014)(“ The
usual ratios:
Techs - 4-5 pts/tech, RNs - 10-15 pts/RN”).
[xix] New Medicare Rule for Dialysis Facilities
Brings Changes to “Pay for Performance” Formula, http://www.dialysispatients.org/articles/new-medicare-rule-dialysis-facilities-brings-changes-%E2%80%9Cpay-performance%E2%80%9D-formula (July 1, 2014).
[xx] Proposed
Dialysis Payment Changes Could Hurt Rural Facilities, https://nkfadvocacy.wordpress.com/2014/07/10/proposed-dialysis-payment-changes-could-hurt-rural-facilities/
(July 10, 2014);
[xxiv]
Changes Proposed to the Way Quality of Care is Measured in Dialysis Facilities,
https://nkfadvocacy.wordpress.com/2014/07/17/changes-proposed-to-the-way-quality-of-care-is-measured-in-dialysis-facilities/
(July 17, 2014); New Medicare Rule
for Dialysis Facilities Brings Changes to “Pay for Performance” Formula, http://www.dialysispatients.org/articles/new-medicare-rule-dialysis-facilities-brings-changes-%E2%80%9Cpay-performance%E2%80%9D-formula (July 1, 2014); Dialysis Patient
Citizens, July Policy Update, https://www.youtube.com/watch?v=0AfeGFk7rek&feature=youtu.be (July 8, 2014).
[xxv] New Medicare Rule for Dialysis Facilities
Brings Changes to “Pay for Performance” Formula, http://www.dialysispatients.org/articles/new-medicare-rule-dialysis-facilities-brings-changes-%E2%80%9Cpay-performance%E2%80%9D-formula (July 1, 2014); Dialysis Patient
Citizens, July Policy Update, https://www.youtube.com/watch?v=0AfeGFk7rek&feature=youtu.be (July 8, 2014).
[xxviii]
https://cahps.ahrq.gov/ (Accessed 2014); About
CAHPS, https://cahps.ahrq.gov/about-cahps/index.html
(Accessed 2014)(“ Consumer Assessment of Healthcare Providers and Systems
(CAHPS) surveys ask consumers and patients to report on and evaluate their
experiences with health care. These surveys cover topics that are important to
consumers and focus on aspects of quality that consumers are best qualified to
assess, such as the communication skills of providers and ease of access to
health care services. CAHPS originally stood for the Consumer Assessment of
Health Plans Study, but as the products have evolved beyond health plans, the
name has evolved as well to capture the full range of surveys. The acronym
"CAHPS" is a registered trademark of the Agency for Healthcare
Research and Quality (AHRQ)”).
[xxix]
New Medicare Rule for Dialysis
Facilities Brings Changes to “Pay for Performance” Formula, http://www.dialysispatients.org/articles/new-medicare-rule-dialysis-facilities-brings-changes-%E2%80%9Cpay-performance%E2%80%9D-formula (July 1, 2014); Dialysis Patient
Citizens, July Policy Update, https://www.youtube.com/watch?v=0AfeGFk7rek&feature=youtu.be (July 8, 2014).
[xxxi]
http://www.medicare.gov/hospitalcompare/linking-quality-to-payment.html?AspxAutoDetectCookieSupport=1
(Accessed 2014);
http://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/sharedsavingsprogram/Quality_Measures_Standards.html;
http://www.healthaffairs.org/healthpolicybriefs/brief.php?brief_id=78.
(Accessed 2014).
[xxxiv]
New Medicare Rule for Dialysis
Facilities Brings Changes to “Pay for Performance” Formula, http://www.dialysispatients.org/articles/new-medicare-rule-dialysis-facilities-brings-changes-%E2%80%9Cpay-performance%E2%80%9D-formula (July 1, 2014); Dialysis Patient
Citizens, July Policy Update, https://www.youtube.com/watch?v=0AfeGFk7rek&feature=youtu.be (July 8, 2014). See also:
Changes
Proposed to the Way Quality of Care is Measured in Dialysis Facilities, https://nkfadvocacy.wordpress.com/2014/07/17/changes-proposed-to-the-way-quality-of-care-is-measured-in-dialysis-facilities/ (July 17, 2014)(“ CMS proposes to review responses from the
In-centered Hemodialysis Consumer Assessment of Healthcare Providers and
Systems (ICH CAHPS) survey and score facilities based on patients’ responses to
questions related to their nephrologists’ communication and caring, the quality
of their dialysis centers care and operations, and how well the facility
provides information to patients. It would also include a score related to
patients’ overall feeling about the nephrologist, dialysis facility staff and
dialysis facility. The idea is to ensure
that facilities are motivated to address issues of concern to patients in order
to improve patients’ satisfaction and experience.”).
[xxxv]
Iron Deficiency Anemia, http://www.webmd.com/a-to-z-guides/iron-deficiency-anemia-topic-overview
(Accessed 2014).
[xxxvi]
Anemia Management and Chronic Kidney Disease, http://www.davita.com/kidney-disease/overview/treatment-overview/anemia-management-and-chronic-kidney-disease/e/4840
(Accessed 2014).
[xxxviii]
Definition of hemoglobin: a red protein responsible for transporting oxygen in
the blood of vertebrates. http://www.nlm.nih.gov/medlineplus/ency/article/003645.htm,
(Accessed 2014); Normal hemoglobin range for dialysis patients: http://www.uptodate.com/contents/anemia-of-chronic-kidney-disease-target-hemoglobin-hematocrit-for-patients-treated-with-erythropoietic-agents
(Accessed 2014)(a mean Hgb level among dialysis patients of 12.0 g/dL [4,5];
two-thirds of all patients had Hgb levels between 11 and 13 g/dL).
[xxxix]
New Medicare Rule for Dialysis
Facilities Brings Changes to “Pay for Performance” Formula, http://www.dialysispatients.org/articles/new-medicare-rule-dialysis-facilities-brings-changes-%E2%80%9Cpay-performance%E2%80%9D-formula (July 1, 2014); Dialysis Patient
Citizens, July Policy Update, https://www.youtube.com/watch?v=0AfeGFk7rek&feature=youtu.be (July 8, 2014). See also:
Changes
Proposed to the Way Quality of Care is Measured in Dialysis Facilities, https://nkfadvocacy.wordpress.com/2014/07/17/changes-proposed-to-the-way-quality-of-care-is-measured-in-dialysis-facilities/ (July 17, 2014). In my experience, I have had blood
transfusions when I have dropped below the level of 7.0 g/dL. http://www.ncbi.nlm.nih.gov/pmc/articles/PMC2572297/ (Accessed 2014).
See Generally:
ii. https://www.kidney.org/professionals/kdoqi/guidelines_updates/doqiupan_ii.html (Accessed 2014); http://kidney.niddk.nih.gov/kudiseases/pubs/anemia/ (Accessed 2014).
[xl] New Medicare Rule for Dialysis Facilities
Brings Changes to “Pay for Performance” Formula, http://www.dialysispatients.org/articles/new-medicare-rule-dialysis-facilities-brings-changes-%E2%80%9Cpay-performance%E2%80%9D-formula (July 1, 2014); Dialysis Patient
Citizens, July Policy Update, https://www.youtube.com/watch?v=0AfeGFk7rek&feature=youtu.be (July 8, 2014). See also:
Changes
Proposed to the Way Quality of Care is Measured in Dialysis Facilities, https://nkfadvocacy.wordpress.com/2014/07/17/changes-proposed-to-the-way-quality-of-care-is-measured-in-dialysis-facilities/ (July 17, 2014)(“ Currently, dialysis facilities are
penalized for patients who are prescribed an Erythropoietin Stimulating Agent
(ESA) and have a hemoglobin <12g/dl.
CMS proposes to remove this as a measure in the QIP. In the past, this measure was included to
ensure that facilities were not prescribing too much of an ESA. However, very few facilities have patients
who are taking an ESA and have a hemoglobin greater than 12g/d so CMS believes
the measure is no longer necessary.
However, to ensure that facilities are still properly treating anemia
with ESAs, when appropriate, CMS is proposing to penalize facilities that have
a high number of patients who receive a blood transfusion. This measure is intended to ensure that
facilities provide proper anemia management and do not subject patients to
unnecessary blood transfusions which pose risks that can make it harder for
patients to find a kidney donor.”).
[xlii]
: http://www.rockwellmed.com/therapeutic-anemia-kidney-disease-treating-dialysis-patients.htm
(Accessed 2014)( i. Hemodialysis
patients lose up to 5-7 mg of iron during each dialysis treatment, which is a
primary contributor to their anemia. There is also an increased need for their
iron level to be maintained within the hemoglobin range to maximize the
response to erythropoiesis-stimulating agent (ESA). Because oral iron supplementation
generally is ineffective due to patient noncompliance and gastrointestinal
adverse effects, most dialysis patients receive intravenous (IV) iron to help
maintain sufficient iron stores. However, IV iron is stored in the liver which
is toxic, causing inflammation or infection, and is also dosed infrequently,
which can impede the ESA’s ability to be fully utilized.).
[xliii]
New Medicare Rule for Dialysis
Facilities Brings Changes to “Pay for Performance” Formula, http://www.dialysispatients.org/articles/new-medicare-rule-dialysis-facilities-brings-changes-%E2%80%9Cpay-performance%E2%80%9D-formula (July 1, 2014); Dialysis Patient
Citizens, July Policy Update, https://www.youtube.com/watch?v=0AfeGFk7rek&feature=youtu.be (July 8, 2014). See also:
Changes
Proposed to the Way Quality of Care is Measured in Dialysis Facilities, https://nkfadvocacy.wordpress.com/2014/07/17/changes-proposed-to-the-way-quality-of-care-is-measured-in-dialysis-facilities/ (July 17, 2014).
[xliv]
Id. Readmissions Reduction Program, http://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/AcuteInpatientPPS/Readmissions-Reduction-Program.html
(Accessed 2014); Hospital readmissions reduction program, http://www.medicare.gov/hospitalcompare/readmission-reduction-program.html
(Accessed 2014); Rau, Armed With Bigger Fines, Medicare To Punish 2,225
Hospitals For Excess Readmissions, http://www.kaiserhealthnews.org/stories/2013/august/02/readmission-penalties-medicare-hospitals-year-two.aspx
(August 2, 2013).
[xlv] New Medicare Rule for Dialysis Facilities
Brings Changes to “Pay for Performance” Formula, http://www.dialysispatients.org/articles/new-medicare-rule-dialysis-facilities-brings-changes-%E2%80%9Cpay-performance%E2%80%9D-formula (July 1, 2014); Dialysis Patient
Citizens, July Policy Update, https://www.youtube.com/watch?v=0AfeGFk7rek&feature=youtu.be (July 8, 2014). See also:
Changes
Proposed to the Way Quality of Care is Measured in Dialysis Facilities, https://nkfadvocacy.wordpress.com/2014/07/17/changes-proposed-to-the-way-quality-of-care-is-measured-in-dialysis-facilities/ (July 17, 2014).
[xlix]
Video: Dialysis Patient Citizens,
July Policy Update, https://www.youtube.com/watch?v=0AfeGFk7rek&feature=youtu.be (July 8, 2014).
[l] New Medicare Rule for Dialysis Facilities
Brings Changes to “Pay for Performance” Formula, http://www.dialysispatients.org/articles/new-medicare-rule-dialysis-facilities-brings-changes-%E2%80%9Cpay-performance%E2%80%9D-formula (July 1, 2014); Dialysis Patient
Citizens, July Policy Update, https://www.youtube.com/watch?v=0AfeGFk7rek&feature=youtu.be (July 8, 2014). See also:
Changes
Proposed to the Way Quality of Care is Measured in Dialysis Facilities, https://nkfadvocacy.wordpress.com/2014/07/17/changes-proposed-to-the-way-quality-of-care-is-measured-in-dialysis-facilities/ (July 17, 2014).
[lii] http://www.qualityforum.org/News_And_Resources/Endorsement_Summaries/Endorsement_Summaries.aspx
(Accessed 2014).
[liii]
Hu, Socioeconomic Status And Readmissions: Evidence From An Urban Teaching
Hospital, http://content.healthaffairs.org/content/33/5/778.abstract
(Accessed 2014)( Patients living in high-poverty neighborhoods were 24 percent
more likely than others to be readmitted, after demographic characteristics and
clinical conditions were adjusted for.)
[liv]New Medicare Rule for Dialysis Facilities
Brings Changes to “Pay for Performance” Formula, http://www.dialysispatients.org/articles/new-medicare-rule-dialysis-facilities-brings-changes-%E2%80%9Cpay-performance%E2%80%9D-formula (July 1, 2014); Dialysis Patient
Citizens, July Policy Update, https://www.youtube.com/watch?v=0AfeGFk7rek&feature=youtu.be (July 8, 2014). See also:
Changes
Proposed to the Way Quality of Care is Measured in Dialysis Facilities, https://nkfadvocacy.wordpress.com/2014/07/17/changes-proposed-to-the-way-quality-of-care-is-measured-in-dialysis-facilities/ (July 17, 2014).
[lvii]
New Medicare Rule for Dialysis
Facilities Brings Changes to “Pay for Performance” Formula, http://www.dialysispatients.org/articles/new-medicare-rule-dialysis-facilities-brings-changes-%E2%80%9Cpay-performance%E2%80%9D-formula (July 1, 2014); Dialysis Patient
Citizens, July Policy Update, https://www.youtube.com/watch?v=0AfeGFk7rek&feature=youtu.be (July 8, 2014).
[lviii]New Medicare Rule for Dialysis Facilities
Brings Changes to “Pay for Performance” Formula, http://www.dialysispatients.org/articles/new-medicare-rule-dialysis-facilities-brings-changes-%E2%80%9Cpay-performance%E2%80%9D-formula (July 1, 2014); Dialysis Patient
Citizens, July Policy Update, https://www.youtube.com/watch?v=0AfeGFk7rek&feature=youtu.be (July 8, 2014). See also:
Changes
Proposed to the Way Quality of Care is Measured in Dialysis Facilities, https://nkfadvocacy.wordpress.com/2014/07/17/changes-proposed-to-the-way-quality-of-care-is-measured-in-dialysis-facilities/ (July 17, 2014).
[lix]
The Administrative Procedure Act (APA), http://epic.org/open_gov/Administrative-Procedure-Act.html
(Accessed 2014).
[lx]
Dismas Charities, Inc. v. United States DOJ, 401 F.3d 666 (6th Cir. Ky 2005) http://administrativelaw.uslegal.com/judicial-review-of-administrative-decisions/standing-under-federal-administrative-procedure-act/#sthash.xu5jVVZV.dpuf
(Accessed 2014).
[lxii]
5 U.S.C. § 706(2), Burrows, A Brief Overview of Rulemaking and Judicial Review,
www.wise-intern.org/orientation/documents/CRSrulemakingCB.pdf
(January 4, 2011); The Administrative Procedure Act (APA), http://epic.org/open_gov/Administrative-Procedure-Act.html
(Accessed 2014); Kubasek, N.K., Brennan, B.A., & Browne,
M.N. (2010). The Legal Environment of
Business, 6th ed. Upper Saddle River, NJ: Pearson Education,
Inc., pg. 484-85. (“the congressional delegation of legislative authority in
the enabling act was unconstitutional because it was too vague and not
limited;
an agency
action violated a constitutional standard, such as the right to be free from
unreasonable searches and seizures under the Fourth Amendment (for example, if
an agency such as OSHA promulgated a rule that allowed its inspectors to search
a business property at any time without its owners’ permission and without an
administrative search warrant, that rule would be in violation of the Fourth
Amendment); and
the act
of an agency was beyond the scope of power granted to it by Congress in its
enabling legislation.”).
[lxiii]
5 U.S.C. § 706(2), Burrows, A Brief Overview of Rulemaking and Judicial Review,
www.wise-intern.org/orientation/documents/CRSrulemakingCB.pdf
(January 4, 2011); The Administrative Procedure Act (APA), http://epic.org/open_gov/Administrative-Procedure-Act.html
(Accessed 2014); Kubasek, N.K., Brennan, B.A., & Browne,
M.N. (2010). The Legal Environment of Business,
6th ed. Upper Saddle River, NJ: Pearson Education, Inc., pg.
484-85.
[lxiv]
The Administrative Procedure Act (APA), http://epic.org/open_gov/Administrative-Procedure-Act.html
(Accessed 2014).
[lxv]
Kubasek, N.K., Brennan, B.A., & Browne, M.N. (2010). The Legal Environment of Business, 6th ed.
Upper Saddle River, NJ: Pearson Education, Inc., pg. 484-85; Matthew J.
McGrath, Note, Convergence of the Substantial Evidence and Arbitrary and
Capricious Standards of Review During Informal Rulemaking, 54 GEO. WASH. L.
REV. 541 (1986) and Antonin Scalia & Frank Goodman, Procedural Aspects of
the Consumer Product Safety Act, 20 UCLA L. REV.
, 935 n.138
(1973). See Generally: Lubbers, A Guide to Federal Agency Rulemaking,
4th Edition, ABA Press, (June 25, 2006); Koch and Murphy,
Administrative Law and Practice, 3rd Edition, Thompson West, (2014
with pocket parts).
[lxvi]
Citizens to
Preserve Overton Park v. Volpe 401 U.S. 402 (1971); The
Administrative Procedure Act (APA), http://epic.org/open_gov/Administrative-Procedure-Act.html
(Accessed 2014).
[lxvii] Burrows, A Brief Overview of Rulemaking and
Judicial Review, www.wise-intern.org/orientation/documents/CRSrulemakingCB.pdf
(January 4, 2011); The Administrative Procedure Act (APA), http://epic.org/open_gov/Administrative-Procedure-Act.html
(Accessed 2014).
[lxviii]
The Administrative Procedure Act (APA), http://epic.org/open_gov/Administrative-Procedure-Act.html
(Accessed 2014).
[lxix]
Motor Vehicle Manufacturers Association of the United States, Inc. v. State
Farm Mutual Automobile Insurance, 463 U.S. 29 (1983);cited in The
Administrative Procedure Act (APA), http://epic.org/open_gov/Administrative-Procedure-Act.html
(Accessed 2014).
[lxx] Proposed
Dialysis Payment Changes Could Hurt Rural Facilities, http://nkfadvocacy.wordpress.com/2014/07/10/proposed-dialysis-payment-changes-could-hurt-rural-facilities/
(July 10, 2014). See also: Changes
Proposed to the Way Quality of Care is Measured in Dialysis Facilities, http://nkfadvocacy.wordpress.com/2014/07/17/changes-proposed-to-the-way-quality-of-care-is-measured-in-dialysis-facilities/
(July 17, 2014); New Medicare Rule
for Dialysis Facilities Brings Changes to “Pay for Performance” Formula, http://www.dialysispatients.org/articles/new-medicare-rule-dialysis-facilities-brings-changes-%E2%80%9Cpay-performance%E2%80%9D-formula (Accessed 2014).
See Generally:
National Kidney Foundation Flyer, “Protect Dialysis Patient Access and
Quality of Care” (March 2013) “Goal:
Preserve dialysis payments to ensure patients have
appropriate access to quality care
Who:
Over 415,000 people with end-stage renal disease receive
dialysis treatments 3 or more times per week to replace kidney function and 82%
are Medicare beneficiaries
Background:
• In 2011, the Centers for Medicare &
Medicaid Services (CMS) implemented a bundled payment system for dialysis
services and built in a 2% reduction in payment.
• The American Taxpayer Relief Act of 2012
called on CMS to “rebase” (reduce) the bundled payment rate based on changes in
the utilization of certain end stage renal disease (ESRD) medications.
• Sequestration will further reduce
Medicare payments for dialysis by 2% on April 1, 2013.
What:
• Continued
cuts may deter providers from opening additional facilities at a time when the
number of ESRD patients continues to rapidly grow.
• The
bundled payment system currently does not provide a separate payment for
innovation and further cuts will leave little room for new advancements in
patient care.
• Cuts
may result in reduced staffing hours at facilities and a greater burden on
staff, which detracts from providing direct patient care.
• In January 2013, the Medicare Payment
Advisory Committee (MedPAC) finalized a recommendation to maintain the current
level of funding for dialysis in 2014. The Chairman noted that the
recommendation did not take into account sequestration or recent changes in
law, which would reduce payment below MedPAC’s recommendation.
• Given
that the dialysis bundled payment system is still new, the MedPAC Chairman
stated that payment rates should be held constant in order to fully assess the
implications of the new payment system on patient care.
NKF requests Congress protect patient access to quality
dialysis care, by ensuring no further cuts to payment are made.” (Emphasis
added).
[lxxi]
Proposed Dialysis Payment Changes Could Hurt Rural Facilities, http://nkfadvocacy.wordpress.com/2014/07/10/proposed-dialysis-payment-changes-could-hurt-rural-facilities/
(July 10, 2014). See also: Changes
Proposed to the Way Quality of Care is Measured in Dialysis Facilities, http://nkfadvocacy.wordpress.com/2014/07/17/changes-proposed-to-the-way-quality-of-care-is-measured-in-dialysis-facilities/
(July 17, 2014); New Medicare Rule
for Dialysis Facilities Brings Changes to “Pay for Performance” Formula, http://www.dialysispatients.org/articles/new-medicare-rule-dialysis-facilities-brings-changes-%E2%80%9Cpay-performance%E2%80%9D-formula (Accessed 2014).
See Generally:
ESRD Quality Incentive Program, What is the ESRD QIP? http://www.cms.gov/Medicare/Quality-Initiatives-Patient-Assessment-Instruments/ESRDQIP/
(Accessed 2014)(An explanation of how the QIP program works)(“ The Centers for
Medicare & Medicaid Services (CMS) administers the End-Stage Renal Disease
(ESRD) Quality Incentive Program (QIP) to promote high-quality services in
outpatient dialysis facilities treating patients with ESRD. The first of its kind in Medicare, this
program changes the way CMS pays for the treatment of patients with ESRD by linking a portion of
payment directly to facilities’ performance on quality of care measures. These
types of programs are known as “pay-for-performance” or “value-based
purchasing” (VBP) programs.”).
[lxxiii]
Proposed Dialysis Payment Changes Could Hurt Rural Facilities, http://nkfadvocacy.wordpress.com/2014/07/10/proposed-dialysis-payment-changes-could-hurt-rural-facilities/
(July 10, 2014).
[lxxiv]
Proposed Dialysis Payment Changes Could Hurt Rural Facilities, http://nkfadvocacy.wordpress.com/2014/07/10/proposed-dialysis-payment-changes-could-hurt-rural-facilities/
(July 10, 2014). See also: Changes
Proposed to the Way Quality of Care is Measured in Dialysis Facilities, http://nkfadvocacy.wordpress.com/2014/07/17/changes-proposed-to-the-way-quality-of-care-is-measured-in-dialysis-facilities/
(July 17, 2014); New Medicare Rule
for Dialysis Facilities Brings Changes to “Pay for Performance” Formula, http://www.dialysispatients.org/articles/new-medicare-rule-dialysis-facilities-brings-changes-%E2%80%9Cpay-performance%E2%80%9D-formula (Accessed 2014).
[lxxvi]
Id. Substantive Due Process, http://legal-dictionary.thefreedictionary.com/Substantive+Due+Process
(Accessed 2014)
(“The substantive
limitations placed on the content
or subject matter
of state and
federal laws by
the Due Process
Clauses of the
Fifth and Fourteenth
Amendments to the
U.S. Constitution. In general, substantive due process prohibits the government from infringing on fundamental constitutional liberties. By contrast, procedural due process refers to the procedural limitations placed on the manner in which a law is administered, applied, or enforced. Thus, procedural due process prohibits the government from arbitrarily depriving individuals of legally protected interests without first giving them notice and the opportunity to be heard. The Due Process Clause provides that no person shall be "deprived of life, liberty, or property without due process of law." When courts face questions concerning procedural due process, the controlling word in this clause is process. Courts must determine how much process is due in a particular hearing to satisfy the fairness requirements of the Constitution. When courts face questions concerning substantive due process, the controlling issue is liberty. Courts must determine the nature and the scope of the liberty protected by the Constitution before affording litigants a particular freedom.”); |
Equal Protection, http://legal-dictionary.thefreedictionary.com/Equal+Protection+Clause
(Accessed 2014)
“The constitutional guarantee that no person or class
of persons shall be denied the same protection of the laws that is enjoyed by
other persons or other classes in like circumstances in their lives, liberty,
property, and pursuit of happiness… The Supreme Court has developed a
three-tiered approach to examine all such legislative classifications. Under
the first tier of scrutiny, known as Strict Scrutiny, the Court will strike
down any legislative classification that is not necessary to fulfill a
compelling or overriding government objective. Strict scrutiny is applied to
legislation involving suspect classifications and fundamental rights. A Suspect
Classification is directed at the type of "discrete and insular
minorities" referred to in the Carolene Products footnote. A fundamental
right is a right that is expressly or implicitly enumerated in the U.S.
Constitution, such as Freedom of Speech or assembly. Most legislation reviewed
by the Supreme Court under the strict scrutiny standard has been invalidated,
because very few classifications are necessary to support a compelling
government objective.
The second tier of scrutiny used by the Court to review
legislative classifications is known as heightened, or intermediate, scrutiny.
Legislation will not survive heightened scrutiny unless the government can
demonstrate that the classification is substantially related to an important
societal interest. Gender classifications are examined under this middle level
of review, as are classifications that burden extramarital children.
The third tier of scrutiny involves the least amount of
judicial scrutiny and is known as the rational relationship test. The Supreme
Court will approve legislation under this standard so long as the
classification is reasonably related to a legitimate government interest. The
rational relationship test permits the legislature to employ any classification
that is conceivably or arguably related to a government interest that does not
infringe upon a specific constitutional right. An overwhelming majority of
social and economic laws are reviewed and upheld by courts using this minimal
level of scrutiny.”
[lxxvii]
Kidney Disease by the Numbers, https://www.kidney.org/.../KIDNEY_DISEASE_BY_THE_NUMBERS.pdf,
(Accessed 2014); Kidney Disease Statistics, https://www.asn-online.org/khi/stats.aspx
(Accessed 2014); Organ Donation and Transplantation Statistics, http://www.kidney.org/news/newsroom/factsheets/Organ-Donation-and-Transplantation-Stats.cfm
(Accessed 2014)(Stats are the most recent from the National Kidney Foundation).
[lxxix]
LaVarne Burton, Hrant Jamgochian, Bruce Skyer and
Lori Hartwell, CMS’ proposed rule to cut Medicare payment for dialysis care bad
for patients,
http://thehill.com/blogs/congress-blog/healthcare/321129-cms-proposed-rule-to-cut-medicare-payment-for-dialysis-care-bad-for-patients#ixzz37xFsyxPt (September 13, 2013)( 85 percent depend on Medicare’s dialysis benefit to pay for
their treatments.) Kidney Disease by the Numbers, https://www.kidney.org/.../KIDNEY_DISEASE_BY_THE_NUMBERS.pdf,
(Accessed 2014); Kidney Disease Statistics, https://www.asn-online.org/khi/stats.aspx
(Accessed 2014); Organ Donation and Transplantation Statistics, http://www.kidney.org/news/newsroom/factsheets/Organ-Donation-and-Transplantation-Stats.cfm
(Accessed 2014)(Stats are the most recent from the National Kidney Foundation).
[lxxx]
Dialysis: Deciding to Stop, http://www.kidney.org/atoz/content/dialysisstop.cfm
(Accessed 2014)(From the NKF)( People who stop dialysis may live anywhere from
one week to several weeks, depending on the amount of kidney function they have
left and their overall medical condition.); What happens if someone stops
dialysis? http://www.davita.com/kidney-disease/dialysis/treatment/what-happens-if-someone-stops-dialysis?/e/1521
(Accessed 2014)(From DaVita)( death usually comes within a few weeks); L U
Mailloux, A G
Bellucci, B Napolitano, R T Mossey, B M Wilkes and P A
Bluestone, Death by withdrawal from dialysis: a 20-year
clinical experience, http://jasn.asnjournals.org/content/3/9/1631.abstract (JASN March 1, 1993 vol. 3
no. 9 1631-1637).
[lxxxi]
Kidney Disease by the Numbers, https://www.kidney.org/.../KIDNEY_DISEASE_BY_THE_NUMBERS.pdf,
(Accessed 2014); Kidney Disease Statistics, https://www.asn-online.org/khi/stats.aspx
(Accessed 2014); Organ Donation and Transplantation Statistics, http://www.kidney.org/news/newsroom/factsheets/Organ-Donation-and-Transplantation-Stats.cfm
(Accessed 2014)(Stats are the most recent from the National Kidney Foundation).
[lxxxii]
Id. The Need Is Real: Data, U.S.
Department of Health and Human Services, U.S. Government Information on Organ
and Tissue Donation and Transplantation, http://www.organdonor.gov/about/data.html
(Accessed 2014)(Each day, an average of 79 people receive organ transplants.
However, an average of 18 people die each day waiting for transplants that
can't take place because of the shortage of donated organs.)
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