Universal Health Care Coverage: Employer Perspective David Harlow JD MPH T HE H ARLOW G ROUP LLC ...
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Transcript of Universal Health Care Coverage: Employer Perspective David Harlow JD MPH T HE H ARLOW G ROUP LLC ...
Universal Health Care Coverage: Employer Perspective
David Harlow JD MPHTHE HARLOW GROUP LLC
www.harlowgroup.netNovember 8, 2006
2 THE HARLOW GROUP LLC
MA Universal Health Care Law
Goals Preserve Federal dollars under Medicaid
“1115” waiver Cover 95% of the 550,000 residents of MA
without health care coverage
Methods Free insurance replacing free care for the needy Sticks and carrots for employers Carrots for insurers
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Elements of Law (1 of 3)
Redeploy public funds to more effectively cover low-income populations
Promote individual responsibility by requiring that everyone who can afford health insurance must buy it
Commonwealth Health Insurance Connector will connect individuals with affordable, “certified” health insurance products
4 THE HARLOW GROUP LLC
Elements of Law (2 of 3)
Merger of non-group and small-group markets in July 2007 24% reduction in non-group premiums expected
HMOs may offer plans linked to health savings accounts (HSAs)Young adults May stay longer on parents’ plan (2 years after loss of
dependent status or age 25, whichever comes first) 19-26-year-olds may purchase lower-cost, specially-
designed products
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Elements of Law (3 of 3)
Moratorium on adding new mandated benefits through 2008
Subsidized plans for residents in need Details beyond scope of this presentation
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Individual mandate (1 of 3)
July 1, 2007: All residents of MA must obtain healthcare coverage if it is affordable (to be defined)
Mandate will stabilize risk pools by including the super-healthy and super-unhealthy
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Individual mandate (2 of 3)
Some of the money spent on “free care” in hospitals in past years will pay for insurance premiums for residents eligible for free careMA residents will have to confirm on their state tax returns, beginning with 2007 returns (filed in 2008), that they have health insurance coverage. This will be verified against a database of health insurance coverage for all individuals
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Individual mandate (3 of 3)
This requirement will be enforced with financial penalties for noncompliance: Tax year 2007: Loss of personal exemption Subsequent years: 50% of premium for health
insurance for each month without health insurance
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Employer responsibility (1 of 2)
Fair Share Contribution: Every employer with more than 10 FTE employees must either Provide health insurance for employees and
make fair and reasonable contribution to its cost
OR, if it does not, Pay a “fair share” contribution of $295 per
employee
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Employer responsibility (2 of 2)
Fair share contribution represents a portion of the cost paid by the state for “free care” used by workers whose employers do not provide health insurance At present, a portion of health insurance premiums paid
by employers go to fund the free care pool It’s only fair to require a similar contribution from
employers who do not provide insurance benefits
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Free rider surcharge (1 of 2)
Surcharge imposed on employers who do not provide insurance and whose employees use free care
Triggered if One employee receives free care more than
three times in one year, or A company has five or more instances of
employees receiving free care in one year
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Free rider surcharge (2 of 2)
Surcharge to range from 10% to 100% (TBD by DHCFP) of state’s cost of free care provided, with the first $50K per employer exceptedRevamped free care pool Old: Uncompensated Care Pool paying a portion of
hospital charges New: Health Safety Net fund paying under standard fee
schedule for hospital services Over time, more people will have coverage, less free
care will be provided, and money in the pool will be redirected to fund subsidized health insurance
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Cafeteria plans - mandatory
Mandatory offer of cafeteria plans (“Section 125” plans), effective July 1, 2007 (changed from original January 1, 2007 deadline), for employers with more than 10 employees
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Health Care Quality and Cost Council
New state board to Set cost containment and quality improvement
goals for providers Host consumer-friendly website with provider-
specific cost and quality data
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The Connector (1 of 3)
Will act as intermediary and administrator for the merged small group and non-group markets (employers with up to 50 employees)
Health plans will include the usual suspects, but at lower premiums levels (projected 24% drop), plus some new choices . . .
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The Connector (2 of 3)
High-deductible health plans coupled with HSAs, to be offered through cafeteria plans (HSAs may be sold by HMOs) Consistent with current federal priorities – emphasizing
individual responsibility and choice Favorable tax treatment of HSAs now mandated at state
level, and recently clarified at federal level Query: Will people use these plans appropriately, or
will they delay care (and then require more costly care) because they have to actually write the check?
17 THE HARLOW GROUP LLC
The Connector (3 of 3)
“High Value” plans (aka restricted or tiered panel plans), available at lower cost Exception to “any willing provider” (AWP)
rule which requires health insurers to contract with all providers interested in doing so
Stripped-down plans for 19-26 year olds, offering first dollar coverage for PCP visits
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Issues for employers
“Pay or Play”
Cafeteria plans
Definitions in development through rulemaking process
ERISA preemption?
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Questions / Discussion
David Harlow JD MPH
THE HARLOW GROUP [email protected]
http://healthblawg.typepad.com617.965.9732