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NCVHS Panel 7 ACA Health Plan Compliance Certification – Initial Ideas Testing Issues June 20, 2012 WEDI Statement Jim Daley, Director, IT Risk & Compliance, BlueCross BlueShield of South Carolina WEDI Board Chair-elect

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Page 1: ACA Health Plan Compliance Certification – Initial Ideas › wp-content › uploads › 2014 › 05 › 120620p23.pdfCertification – Initial Ideas Testing Issues June 20, 2012

NCVHS Panel 7 ACA Health Plan Compliance Certification – Initial Ideas Testing Issues June 20, 2012

WEDI Statement Jim Daley, Director, IT Risk & Compliance, BlueCross BlueShield of South Carolina WEDI Board Chair-elect

Page 2: ACA Health Plan Compliance Certification – Initial Ideas › wp-content › uploads › 2014 › 05 › 120620p23.pdfCertification – Initial Ideas Testing Issues June 20, 2012

WEDI

Workgroup for Electronic Data Interchange CORE PURPOSE Improve the administrative efficiency, quality and cost effectiveness of healthcare through … electronic record-keeping, and information exchange and management.

•Envisioned by HHS Secretary Sullivan •Established 1991 •Named under HIPAA •Board comprised of industry cross section •Web site: www.wedi.org

Page 3: ACA Health Plan Compliance Certification – Initial Ideas › wp-content › uploads › 2014 › 05 › 120620p23.pdfCertification – Initial Ideas Testing Issues June 20, 2012

Certification Objective What are we trying to accomplish?

● Needs clear definition –Readiness? – Interpretation? – Internal/business processing? –Trading partner issues?

● Must provide ROI –Focus on critical root issues –Avoid re-testing

Page 4: ACA Health Plan Compliance Certification – Initial Ideas › wp-content › uploads › 2014 › 05 › 120620p23.pdfCertification – Initial Ideas Testing Issues June 20, 2012

Health Plan Identifier

The HPID rule must be considered

● “Health plans” must certify –Clarify definition of health plan –Will other entities be included? –Will some health plans be

excluded? ● How will enumeration relate to

certification requirements? –Sub plans –Fully insured plans

Page 5: ACA Health Plan Compliance Certification – Initial Ideas › wp-content › uploads › 2014 › 05 › 120620p23.pdfCertification – Initial Ideas Testing Issues June 20, 2012

Depth and Format

The effort will depend heavily on what certification implies and what documentation is specified

● Attestation ● Sample EDI reports ● Validation tool ● Robust testing

The sheer number of providers makes it not feasible to test individually

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Clarifying End to End

What does end to end testing with trading partners imply?

● Testing from provider source to health plan?

● Testing of internal usage of data? ● Testing of ‘round trip’?

Data synchronization and trading partner coordination requires significant effort

Page 7: ACA Health Plan Compliance Certification – Initial Ideas › wp-content › uploads › 2014 › 05 › 120620p23.pdfCertification – Initial Ideas Testing Issues June 20, 2012

Typical Transaction Flows

Billing Service/Clearing House

Front End Processing ------------------ Eligibility ------------------ Adjudication ------------------ Payment

Care Delivery

-----------------------

Electronic Health Records

-----------------------

Back Office Processing

Clearing House/

EDI Gateway Submission

Response

Response

Submission

Page 8: ACA Health Plan Compliance Certification – Initial Ideas › wp-content › uploads › 2014 › 05 › 120620p23.pdfCertification – Initial Ideas Testing Issues June 20, 2012

Challenges

The following must be considered:

● Federal health plans ● Third party administrators ● Resources / dollars including

trading partner / provider impacts ● Control over who agrees to test ● Multiple lines of business ● Testing isn’t production ● Point in time only

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Health Plan Only Certification

Applying this requirement only to health plans has limitations and issues

● Doesn’t assure transaction flow ● May exclude critical parties ● Might complicate attestation ● Could cause transaction rejections due

to strict interpretation ● May be dependent on entities outside the

health plan

Page 10: ACA Health Plan Compliance Certification – Initial Ideas › wp-content › uploads › 2014 › 05 › 120620p23.pdfCertification – Initial Ideas Testing Issues June 20, 2012

Return On Investment

Certification adds administrative cost

● Cost must be offset by benefit –Health plans –Trading partners –Providers –HHS

● Documentation must be minimal volume and maximum readability

● Must avoid replication ● Must focus on most critical issues

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Other Considerations

Certification is just one tool

● Pilot testing would help ● Acknowledgements will help ● Market pressures force

compliance

Web should be excluded

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Audits

Audits add to administrative expense

● Consider the overhead ● On site versus third party

evidence ● No new requirements ● Focus on remediation

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Conclusion

WEDI supports the need to assure timely and effective implementation of standards and operating rules

● Must clarify objective ● Must consider cost versus benefit ● Must add value, be easy to

understand and to follow ● Must consider impact to others ● Must consider future

THANK YOU