Monday, July 23, 2012

Medicare Stars and HEDIS

I thought I would start putting together some of the ideas I've been talking about into more concrete forms. I know when I talk about about NCQA and Compliance I get some interesting looks. But the facts are they are tied together. Whether or not you tie in performance measurements to clinical or compliance they still impact you when reporting to the Federal government. Let's talk about HEDIS measures in the STARS program.

1. MEASURE: Breast Cancer Screening

NUMERATOR: % of Denominator that had a mammogram during the measurement year or the year prior to the measurement year.
DENOMINATOR: Number of female enrollees aged 42 to 69

2. MEASURE: Colorectal Cancer Screening

NUMERATOR: % of denominator that had an appropriate screening for colorectal cancer
DENOMINATOR: Number of enrollees aged 51 to 75

3. MEASURE: Cholesterol Screening

NUMERATOR: % of denominator who had LDL-C test during year (and for diabetics the year prior)
DENOMINATOR: Enrollees with either ischemic vascular disease or diabetes

4. MEASURE: Glaucoma Testing

NUMERATOR: % of denominator who had at least 1 glaucoma exam by an eye Dr. during year or year prior
DENOMINATOR: Enrollees aged 67 or older without a prior diagnosis of glaucoma

5. MEASURE: Access to Primary Care Doctor Visits

NUMERATOR: % of denominator that had an ambulatory/preventive care visit during year
DENOMINATOR: All enrollees 
 
6. MEASURE: Diabetes Care – Eye Care

NUMERATOR: % of denominator who had a retinal or dilated eye exam by an eye care professional
DENOMINATOR: Diabetic enrollees

7. MEASURE: Diabetes Care – Kidney Disease Monitoring

NUMERATOR: % of denominator who either had a urine microalbumin test during the measurement year, or who had received medical attention for nephropathy during the measurement year
DENOMINATOR: Diabetic enrollees

8. MEASURE: Diabetes Care – Blood Sugar Controlled

NUMERATOR: % of denominator whose most recent HbA1c level is greater than 9, or who were not tested during the measurement year.
DENOMINATOR: Diabetic enrollees

9. MEASURE: Diabetes Care – Cholesterol Controlled

NUMERATOR: % of denominator whose most recent LDL-C level during the measurement year was 100 or less
DENOMINATOR: Diabetic enrollees

10. MEASURE: Diabetes Care – Cholesterol Screening

NUMERATOR: MA enrollees 18-75 with diabetes (type 1 and type 2) who had an LDL-C screening test performed during the measurement year
DENOMINATOR: MA enrollees 18-75 with diabetes (type 1 and type 2)
   

11. MEASURE: Controlling Blood Pressure

NUMERATOR: % of denominator whose most recent chart notation of systolic BP was 140 or less and diastolic BP was 90 or less during the measurement year
DENOMINATOR: Sampled MA enrollees with hypertension on or before June 30th of the measurement year.

12. MEASURE: Rheumatoid Arthritis Management

NUMERATOR: % of denominator who received at least one prescription for a disease modifying anti-rheumatic drug (DMARD)
DENOMINATOR: Enrollees diagnosed with rheumatoid arthritis during year

13. MEASURE: Osteoporosis Management

NUMERATOR: Female MA enrollees 67 and older who suffered a fracture during the measurement year, and who subsequently had either a bone mineral density test or were prescribed a drug to treat or prevent osteoporosis in the six months after the fracture.
DENOMINATOR: Female MA enrollees 67 and older who suffered a fracture during the measurement year
 

14. MEASURE: Adult BMI Assessment [Checking to See if Members are at a Healthy Weight]

NUMERATOR: Members 18-74 years of age who had an outpatient visit and who had their body mass index (BMI) documented during the measurement year or the year prior the measurement year.
DENOMINATOR: Members 18-74 years of age

15. MEASURE: Care for Older Adults – Medication Review [Yearly Review of All Medications and Supplements Being Taken]

NUMERATOR: Medicare Advantage Special Needs Plan enrollees 66 years and older who received at least one medication review conducted by a prescribing practitioner or clinical pharmacist during the measurement year and the presence of a medication list in the medical record.
DENOMINATOR: Medicare Advantage Special Needs Plan enrollees 66 years and older.

16. MEASURE: Care for Older Adults – Functional Status Assessment [Yearly Assessment of How Well Plan Members Are

 Able to Do Activities of Daily Living]
NUMERATOR: Medicare Advantage Special Needs Plan enrollees 66 years and older who received at least one functional status assessment during the measurement year.
DENOMINATOR: Medicare Advantage Special Needs Plan enrollees 66 years and older.

17. MEASURE: Care for Older Adults – Pain Screening [Yearly Pain Screening or Pain Management Plan]

NUMERATOR: Medicare Advantage Special Needs Plan enrollees 66 years and older who received at least one pain screening or pain management plan during the measurement year.
DENOMINATOR: Medicare Advantage Special Needs Plan enrollees 66 years and older

18. MEASURE: Plan All-Cause Readmissions [Readmission to a Hospital within 30 Days of Being Discharged]  

 (Lower percentages are better because it means fewer members are being readmitted)
NUMERATOR: Senior plan members discharged from hospital stays who were readmitted to a hospital within 30 days, either for the same condition as their recent hospital stay or for a different reason.
DENOMINATOR: Plan enrollees 66 years and older

     All these measure are part of STARS and these are HEDIS.  So who owns them? Clinical or Compliance? The reality is both. Sure these are clinical measures that are monitored and coached upon but these are also results that get reported to Federal agencies.  Sure these get reported and audited and sent to NCQA but then they get used for medicare STARS scores which then affects how much money the HMO might receive.  The lines are blurring between many groups.  Also who actually pulls this information and puts them into a report??  It might be a group's IT department so maybe they own a chunk.  It's going to become an increasingly complex world with blurred lines of responsibilities. Many things will fall through the cracks and you really need to be forward thinking.
I'm going to suggest bring back the old Tripartite Pact just replacing them with Clinical, Compliance and IT as the three partners.  Anyone who works in the HIPAA world knows how important having IT and Clinical on board to be being successful.  But I'm going to take it one step further that in order to be successful in Health Care Compliance you need this pact in the 21st century.  Next I'm going to take a specific measure and break it down.

Tuesday, July 17, 2012

Compliance-- Recent events

Well after a some vacation time its back to blogging again on topics I enjoy. I'm going to ramble a bit on the next few posts about the ever changing world of Health Care Compliance and throw in a little HEDIS and NCQA for good measure.  Well since the Supreme Court punted on the Health Care Act and said it was Congress's responsibility it still doesn't really settle the issue. However in the world of compliance, funding may change but regulations and requirements don't... One thing is for certain is that Federal Dollars are going to be tighter and hard to get. In some ways the regulations that HHS have developed are cost saving benefits. If you don't have a 4 or 5 star Medicare rating you aren't going to get the maximum federal payout as the years go by.  As the populations gets older and the strain on the system is going to get heavier and compliance with federal guideline with get more stringent. Plans will need to show improvement with their HEDIS measures covered by STARS. Some measures will get new weight others less but these ranking will never go away.

Congress really doesn't get this deep into regulations and rules and allows this to be the responsibility of the governing federal agency. That's why the funding may change but the rules won't.  Or they might become an unfunded mandate(a nightmare for many entities).   Most of the people serving in congress do not have technical or clinical backgrounds and really have no idea what is being discussed. They rely on staff members to make recommendations with constituent feedback(hopefully). Throw in a whole bunch of lobbyists and you get the current mess we have. That's why congress punts most of the time on regulations and relies on the governing body to put those in place.

Let's take the topic of the ICD-10 conversion. It's scheduled to go live in October of 2013. However they might move to 2014 now. However that's only a proposed change so what do you do? Well you better assume that its going to be next year.  Compliance is about risk avoidance and good practices.  The safe path is to be ready for next year and if it changes you are already prepared and have less work to do.. Besides you'll get better identification and stratification by converting as the level of detail with ICD-10 is greater(unfortunately a bit more complex). I find it surprising that they  want to delay it again(there must be some lobbyist group putting pressure on HHS). At this rate you might as well convert to ICD-11...

Tuesday, July 3, 2012

Kudos to Health Ed

I follow this blog a bit and wanted to say kudos to them :)

This past week we received word that HealthEd has been named a finalist for the 2012 MM&M Awards in the category of Best Multichannel Campaign, Large Client Organizations for the Xeloda Multichannel Patient Adherence Campaign.
 http://healthed.com/
http://healthed.typepad.com/healthed-blog/