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SPONSOR: |
Picraux |
DATE TYPED: |
02/07/02 |
HB |
HJM 80 |
||
SHORT TITLE: |
Interagency Benefits Advisory Committee |
SB |
|
||||
|
ANALYST: |
Carrillo |
|||||
APPROPRIATION
Appropriation
Contained |
Estimated
Additional Impact |
Recurring or Non-Rec |
Fund Affected |
||
FY02 |
FY03 |
FY02 |
FY03 |
|
|
|
|
$300.0 Indeterminate See Narrative |
Non Recurring |
Other State Funds |
|
(Parenthesis
( ) Indicate Expenditure Decreases)
Duplicates/Relates
to Appropriation in The General Appropriation Act Public School Insurance Authority, Retiree Health Care
Authority, General Services Department, Public School Support
Duplicates/Conflicts
with/Companion to/Relates to SJM42, SJM21,
SJM5, HJM8, SB219, HB175, HB200, HB262, HB420, HJM49, SB91, and SB236
Public School Insurance Authority (PSIA)
Retiree Health Care Authority (RHCA)
General Services Department (GSD)
Health Policy Commission (HPC)
SUMMARY
Synopsis of Bill
House Joint Memorial
80, Interagency Benefits Advisory Committee (Public School Insurance Authority,
Retiree Health Care Authority, General Services Department/Risk Management
Division, and Albuquerque Public Schools) requests the Interagency Benefits
Advisory Committee to:
(a) consolidate
its administrative functions
(b) standardize
data management and exchange
(c) contract
with an external, independent benefits consultant or consolidation expert to develop
an implementation plan
(d) contract
for one base benefit plan that provides each agency with cafeteria plan-type options
(e) contract
for a common pharmacy plan with a formulary
(f) contract
for a state-run plan that includes a consolidated internally operated administration
(g) present
a status report on consolidation and standardization to an appropriate interim
committee by September 1, 2002
(h) ensure
implementation of the consolidation and standardization plan by July 1, 2003
(i) work
with the Human Services Department and the Health Policy Commission on a comparison
of benefits available under (1) the entire state Medicaid program and (2) the
IBAC group health benefits programs.
Findings will be presented to the Legislative Council or the Legislative
Finance Committee on September 1, 2003.
Significant
Issues
According to the Retiree Health Care Authority
(RHCA), the memorial seeks to create efficiency in publicly funded health care
programs through consolidations and standardization of common administrative
functions currently performed separately by the agencies. Each agency retains its responsibility to
determine policy directions of the benefit plans, plan development, training,
and coordination with respect to participants and its benefits staff, as well
as establishing and enforcing its respective eligibility rules.
Public School Insurance Authority (PSIA) staff
comments:
The memorial concludes that the need for consolidated administration and standardized data has been well documented by previous studies. PSIA disagrees that prior studies have proved conclusively that more effective and less costly administration would result from consolidation of these functions. We would expect the new study to provide both a comprehensive review of previous material and recommendations on the effectiveness and efficiency of combined administration. Only upon that recommendation being reached would the implementation plan for consolidated administration be developed.
PSIA agrees with the
value of a consolidated data warehouse for claims utilization analysis and
eligibility transfer. PSIA utilizes
RHCA for the standardization of transmission of eligibility data to the
carriers. PSIA claim data is being
transferred to the RHCA claim repository.
The collective intelligence resulting from full participation in this
approach by all IBAC entities will increase our leverage in negotiations.
The requirement for
the agencies to contract with an independent benefit consultant to develop an
implementation plan for consolidation presents a problem for PSIA. The RFP process and resulting contract award
to a consultant is a time consuming and costly process. The RFP responses by consultant for the
consolidation study required by Laws 2001, Chapter 351 ranged from $78.4 to
over $250.0. That scope of work was not
as complex as the study/implementation plan proposed under HJM 80. PSIA ‘s budget does not include any amount
to pay for its share of this new study.
Through the Health
Care Purchasing Act, the IBAC entities have already adopted nearly uniform
benefit plan designs through the offering of three medical plans in each region
of the state through five separate managed care organizations. If the intent of this language is
to change from a
multi-plan offering to one state wide plan, competition is reduced and costs may
increase, as noted in the Lewin study (January 29, 1997).
All agencies currently
utilize the same pharmacy benefit manager (PBM) for the carve-out prescription
program with the same formulary. There
are differences in co-pays between the active employees’ plans and the
retirees’ plan.
An RFP (in compliance
with the Procurement Code) could be issued in advance of the effective date of
this memorial. Selection of the
consultant, issuing of the contract, clarification of the scope of work and
analysis would need to be done on a highly accelerated timeline in order to
have any meaningful status report by September 1, 2002.
The memorial requires
implementation of consolidation of administration, data warehouse, and plan
standardization by July 1, 2003 a very short time frame. A shortcoming in the Talbot, Inc., study was
the short time frame.
An implementation
timetable could be developed by the consultant which would allow for testing,
parallel administration, issuance of any RFPs, new contractual arrangements, governing
board approvals, and statute changes (modifications to the enabling legislation
for PSIA and RHCA).
The General Services Department (GSD) staff
notes five major technical concerns with the memorial:
·
It is beyond the scope of a memorial
·
It conflicts with the substance and time
requirements of Section 13-7-7 NMSA 1978
(Consolidated Administrative Functions)
·
It conflicts with statutory authority of the
IBAC entities
·
It directs IBAC to contract for specific
services in violation of the separation of powers doctrine
·
IBAC is not a legal entity with authority to
enter contracts
GSD staff also states the major substantive
concern is that the study performed by an independent consultant (Talbot, Inc.)
pursuant to Laws 2001, Chapter 351 (expanding the Health Care Purchasing Act)
concerning possibilities for consolidation of administrative functions confirms
the conclusions of previous studies conducted by the Department of Insurance
and the New Mexico Health Policy Commission:
there would be no cost savings by consolidating administrative
functions beyond a data warehouse for claims analysis.
Health Policy Commission (HPC) staff notes the
need for consolidated administration and standardized data has been well
documented, as presented by numerous persons to various (legislative) interim
committees. The federal Health
Insurance Portability and Accountability Act of 1996 (HIPAA) mandates the
standardization of electronic health care information and communication. The memorial does not designate where
consolidated administrative functions should be housed. Consideration should be given to an agency
with experience with both the retiree and active employee populations.
The HPC further comments the purpose of the
Health Care Purchasing Act is to ensure public employees, public school
employees and retirees of public employment and the public schools access to
more affordable and enhanced quality of health insurance through cost
containment and savings effected by procedures for consolidating the purchasing
of publicly financed health insurance.
New Mexico taxpayers fund health care payers and providers that produce
volumes of data, yet useful health care information for fiscal and policy
planning remains limed or unavailable.
FISCAL IMPLICATIONS
RHCA staff notes there
is no direct appropriation for any of the costs associated with the consultant. The cost for this contract is estimated to
be approximately $300.0.
PSIA staff explains
past studies have not shown substantive savings for common administration. Participation in a data warehouse will have
a small fiscal impact if RHCA is used; significantly more if a private data
analysis firm is used. In kind support
by PSIA staff to participate in another study and involvement in an implementation
plan will require an estimated 30 percent time commitment by agency staff. The consultant contract is estimated at
$300.0. There is no appropriation for
any of these increased costs.
GSD staff comments the
IBAC entities already have incurred additional expense in the study by Talbot,
Inc. HJM80 would require an expenditure
of $300.0, not included in the FY03 IBAC agencies appropriations.
GSD explains the use
of the Benefit Management System (BMS) to track enrollment data. The BMS interfaces with the integrated human
resources/payroll system (HRS) housed in the Department of Finance and
Administration (DFA). The cost to
conform that system could be significant, depending on the extent to which
administrative functions would be consolidated.
ADMINISTRATIVE IMPLICATIONS
GSD staff notes the
requirements of HJM 80 could be significant (based on the time requirements of
the study required by the Laws 2001, Chapter 351) and would have a negative
impact on management of the remaining risk management programs.
CONFLICT/DUPLICATION/COMPANIONSHIP/RELATIONSHIP
GSD included the
following conflicts in their analysis:
(1) Section
13-7-7 NMSA 1978 (Consolidated administrative functions)
(2) The
individual IBAC entities statutory mandates
(3) The
separation of powers doctrine gives authority to establish broad policy to the
legislative branch and leaves the details of policy implementation to the
executive branch.
(4) The
contracting requirement on page 3, lines 13 through 25 conflict with that basic
premise of a 3-branch government system.
Also, IBAC is not a legal entity with authority to sign contracts as
required in that language.
The memorial relates
to:
SJM 42, State Health Care
Reorganization
SJM
21, Cabinet Level Department for Medicaid
SJM
5, State Government Organizational Study
HJM
8, Stat Government Organizational Study
SB
219, Consolidate Purchasing of Health Care
HB
175, Tobacco Settlement to Retiree Health Care
HB
200, Senior Prescription Drug Program
HB
262, Dental & Eye Care Coverage Exemption
HB
420, Senior Prescription Drug Program
HJM
49, Study Multistate Purchasing Cooperatives
SB
91, Senior Prescription Drug Benefit
SB
236, Group Insurance Contribution
TECHNICAL ISSUES
PSIA suggests:
On page 3 delete line
1
On page 3 on line 7
insert the word “appropriate” after the word “of
On page 3 on line 8
insert the phrase, “as identified by an independent benefits consultant or
consolidation expert” after the word “functions”
On page 4 line 7 after
the word “by” strike the remainder of the line and insert in lieu thereof, “the
date identified in the implementation plan but no later than July 1, 2004.
HPC staff suggests including a statement
referencing HIPAA’s state compliance requirement to “administration
simplification” provision.
OTHER SUBSTANTIVE ISSUES
GSD staff comments the
Talbot, Inc., report (dated September 28, 2001) makes the following recommendations:
Eligibility
and Enrollment.
The study did not indicate any cost savings for these processes, and
“recommended the current arrangement be continued.”
Member
Communications.
The member communications committee said “further consolidation of
communications does not seem to be indicated.”
The project manager recommendations was “continue to standardize the
processes and benefits of all the agencies”.
Claims
Analysis. The
claims analysis committee recommended “that evaluation of the claims repository
continue as a function of the IBAC with the possible future release of a request
for proposal (RFP), or the development of any already existing
capabilities.” The pro
ject
manager recommendation was “that the agencies participate in the data
warehousing plans already underway in the RHCA data warehousing system.”
GSD comments all four
IBAC entities conducted an RFP for health benefits and each signed the one
resulting contract. Each IBAC entity
has an independent external benefits consultant. One IBAC entity contracts for enrollment and eligibility services
while the remaining three IBAC entities perform enrollment and eligibility
functions in-house.
PSIA staff notes a
consolidated data warehouse will provide a credible database to assist the IBAC
in analyzing utilization trends, outcomes, and regional variations in medical
care and costs.
WJC/prr:njw:ar
[1]Begin typing on the * in replace mode. Do not add or delete spaces.