OFFICE OF INSPECTOR GENERAL MEDICARE PART B DRUG PAYMENTS: IMPACT OF PRICE SUBSTITUTIONS BASED ON 2014 AVERAGE SALES PRICES Suzanne Murrin Deputy Inspector General OEI-03-16-00540 August 2017 Report in Brief of August 2017 OEI-03-16-00540 Why OIG Did This Review Medicare Part B Drug Payments: Impact of Price When Congress established average sales price (ASP) as the basis for Medicare Substitutions Based on 2014 Average Sales Prices Part B drug reimbursement, it also provided a mechanism for monitoring What OIG Found market prices and limiting potentially  CMS lowered Part B reimbursement for 14 drugs on the basis of excessive payment amounts. The Social 2014 data. Security Act mandates that the Office of Inspector General (OIG) compare ASPs  CMS’s price-substitution policy saved Medicare and its beneficiaries with average manufacturer prices $24 million over 1 year based on 2014 data. (AMPs). If OIG finds that the ASP for a drug exceeds the AMP by a certain  Medicare and its beneficiaries could have saved up to an additional percentage (currently 5 percent), the Act $9 million over 1 year by expanding the price-substitution criteria to directs the Secretary of Health and include drugs that exceeded the 5-percent threshold in a single quarter. Human Services to substitute the ASP-based payment amount with a lower Exhibit 1: Results of the Medicare Part B calculated rate. Through regulation, the Price-Substitution Policy Centers for Medicare & Medicaid Services (CMS) outlined that it would make this substitution only if the ASP for a drug exceeds the AMP by 5 percent in the 2 previous quarters or 3 of the previous 4 quarters. Over the last decade, OIG has produced annual reports aggregating the results of our mandated quarterly ASP-to-AMP comparisons. This annual report quantifies the savings to Medicare and its beneficiaries that are a direct result of CMS’s price-substitution policy based on 2014 average sales prices, and this report also offers ways for additional savings. Source: OIG analysis of ASP and AMP data from 2014 How OIG Did This Review What OIG Recommends To determine the effects of the Because of the potential for savings to Medicare beneficiaries and the program, price-substitution policy, we determined the difference between ASP-based OIG recommends that CMS expand the price-substitution policy. CMS did not payment and AMP-based payment for concur with the recommendation. However, CMS stated that as additional data each drug with a price substitution. We becomes available and as it continues to gain experience with the then applied this difference to the price-substitution policy, it will consider further changes as necessary. OIG Medicare utilization for each of these recognizes that CMS, in setting policy for payment substitution, needs to drugs. To account for a 3-quarter lag between the reporting of pricing data achieve an important balance between safeguarding access to drugs and and applying price substitutions, we used ensuring that Medicare and its beneficiaries do not overpay for drugs. To drug utilization data for the fourth provide greater flexibility and achieve this continued balance, any future quarter of 2014 through the third quarter expansion of the payment-substitution policy could contain a provision that of 2015 to calculate the savings based on would prevent a price substitution when there are indications that the 2014 ASP data. substitution amount is below the provider acquisition cost. Full report can be found at http://oig.hhs.gov/oei/reports/oei-03-16-00540.asp BACKGROUND When Congress established average sales price (ASP) as the basis for Medicare Part B drug reimbursement, it also provided a mechanism for monitoring market prices and adjusting ASP-based payments in certain situations. Specifically, the Social Security Act (the Act) mandates that the Office of Inspector General (OIG) compare ASPs with average manufacturer prices (AMPs).1 If OIG finds that the ASP for a drug exceeds the AMP by a certain percentage (currently 5 percent), the Act directs the Secretary of Health and Human Services (after being notified by OIG) to substitute the payment amount with Drug Pricing Terms the lesser of the widely available market price (if any) or 103 percent of the AMP.2, 3 Manufacturer’s Average Sales Price (ASP) Payments for Prescription Drugs Under In general, the manufacturer’s ASP for Medicare Part B a unit of drug that is sold is defined as the Medicare Part B covers a limited number of outpatient manufacturer’s sales of a drug to all prescription drugs. These drugs are usually purchasers in the United States in administered in a physician’s office or other outpatient a calendar quarter divided by the total setting and include, for example, drugs used to treat number of units of the drug sold by the cancer. To obtain reimbursement for Part B drugs, manufacturer in that same quarter. health care providers submit claims to Medicare Average Manufacturer Price (AMP) contractors using Healthcare Common Procedure Coding System (HCPCS) codes. (Hereafter in this report, In general, AMP is defined as the average we refer to HCPCS codes as “drugs.”4) price paid to the manufacturer for the drug in the United States by (1) wholesalers for CMS calculates the payment amount for these drugs drugs distributed to retail community using information provided by manufacturers. Certain pharmacies and (2) retail community manufacturers must provide CMS with the ASP and pharmacies that purchase drugs directly volume of sales for each of their national drug codes (NDCs) on a quarterly basis.5, 6 CMS then calculates an from the manufacturer. ASP-based payment amount for the drug, which National Drug Code (NDC) includes all of the NDCs associated with the drug.7 An NDC is a code used to identify a drug Under the ASP pricing methodology, the Medicare based on its manufacturer, product, and reimbursement for most Part B drugs is equal to package size. 106 percent of the volume-weighted ASP for the drug.8 Healthcare Common Procedure Coding However, under sequestration legislation, the payment System (HCPCS) Code amount for most drugs is reduced by 2 percent.9 A HCPCS code is a standardized billing code Quarterly reimbursement amounts are not based on that is used primarily to identify products, current quarter data because there is a 2-quarter lag supplies, and other services. A HCPCS code between the sales period for which ASPs are reported specifies the name and the amount of the and the effective date of the reimbursement amounts. drug and may represent one or more For example, manufacturers’ ASPs from the first NDCs. quarter of 2014 were used to establish reimbursement amounts for the third quarter of 2014. Medicare Part B Drug Payments: Impact of Price Substitutions Based on 2014 Average Sales Prices 1 OEI-03-16-00540 Manufacturer Reporting of AMPs In addition to providing quarterly ASPs, certain manufacturers must provide CMS quarterly with the AMP for each of their NDCs.10, 11 The AMP is generally calculated as a weighted average of prices for all of a manufacturer’s package sizes of a drug and is reported for the lowest identifiable quantity of the drug, e.g., 1 milliliter, one tablet, one capsule. AMP-Based Price Substitutions Through regulation, CMS established the criteria under which it would implement a price substitution for a drug. CMS may substitute 103 percent of the AMP for the ASP-based reimbursement amount when OIG identifies a drug that exceeds the 5-percent threshold in the two previous quarters or three of the previous four quarters.12 CMS implemented the AMP substitution policy in April 2013. Because CMS believes that comparisons based on partial AMP data may not adequately reflect market trends, the agency will consider lowering reimbursement amounts only when corresponding AMP data is available for each of the NDCs used to determine the published reimbursement amount for a drug.13 To prevent the price-substitution policy from inadvertently raising Medicare reimbursement amounts, CMS does not substitute prices when the substituted amount is greater than the ASP-based payment amount calculated for the quarter in which the price substitution takes effect.14 CMS also does not substitute prices when a drug is identified by the Food and Drug Administration (FDA) as being in short supply.15 Price substitutions take effect in the quarter after OIG shares the results of its most recent pricing comparison and remain in effect for one quarter.16 Because of the 2-quarter lag between the ASP reporting period and the effective date of reimbursement amounts, and the additional quarter that is necessary for OIG to complete its pricing comparison, there is a 3-quarter lag between the ASP reporting period and the effective date of the price substitutions. As shown in Exhibit 2, price substitutions that took effect in the fourth quarter of 2014 were based on comparisons of ASPs and AMPs from the first quarter of 2014. Exhibit 2: Timeline for AMP-Based Price Substitutions in 2014  Manufacturers collect ASPs and AMPs from the first quarter of 2014 for their drugs sold during First that quarter Quarter 2014 Manufacturers send ASPs and AMPs from the first quarter of 2014 to CMS by April 30, 2014 Second  CMS sends first quarter 2014 ASP and AMP data to OIG by end of June 2014 Quarter 2014  OIG identifies the drugs that meet the price substitution criteria and provides them to CMS by August 15, 2014 Third Quarter  CMS publishes Part B drug reimbursement rates for the fourth quarter of 2014, including price 2014 substitution for drugs that met the criteria based on data from the first quarter of 2014  CMS uses AMP-based reimbursements for Part B drugs that met criteria based on data from Fourth the first quarter of 2014 Quarter 2014 Medicare Part B Drug Payments: Impact of Price Substitutions Based on 2014 Average Sales Prices 2 OEI-03-16-00540 OIG Monitoring of ASPs and AMPs To comply with its statutory mandate, OIG has provided CMS with pricing comparisons since the January 2005 implementation of the ASP reimbursement methodology for Part B drugs. OIG issued six annual public reports for the years prior to CMS’s April 2013 implementation of the AMP price-substitution policy. These reports estimated that Medicare and its beneficiaries would have saved $35 million if CMS implemented AMP price substitutions. OIG’s 2013 annual report was the first to provide annual savings that were a direct result of CMS’s price-substitution policy. CMS’s price substitutions based on 2013 data saved Medicare and its beneficiaries an estimated $13 million. RESULTS CMS’s price-substitution policy saved Medicare and its beneficiaries $24 million over 1 year CMS initiated price substitutions for 14 drugs based on 2014 data. Price substitutions for these drugs saved Medicare and its beneficiaries $24 million over the 1-year period between the fourth quarter of 2014 and the third quarter of 2015. Exhibit 3 lists the 14 drugs, the quarter(s) during which the price substitution occurred, and the savings. Exhibit 3: Drugs With Price Substitutions Based on 2014 Data Quarter(s) in Which Price Substitutions Occurred Drug Description Fourth First Second Third Savings Quarter Quarter Quarter Quarter 2014 2015 2015 2015 J0132 Acetylcysteine injection  $48 J0717 Certolizumab pegol injection   $7,548,763 J1650 Enoxaparin sodium injection  $7,706 J2400 Chloroprocaine HCl injection  $1,777 J2675 Progesterone injection     $233 J2820 Sargramostim injection  $172,016 J3070 Pentazocine injection  $950 J3415 Pyridoxine HCl injection     $36,307 J7507 Tacrolimus immediate release oral  $2,702,226 J7626 Budesonide noncompounded   $13,296,014 J9200 Floxuridine injection     $19,920 J9263 Oxaliplatin  $69,012 J9280 Mitomycin injection  $63,706 Q0167 Dronabinol oral  $3,457 Total $23,922,135 Source: OIG analysis of ASP and AMP data from 2014 Medicare Part B Drug Payments: Impact of Price Substitutions Based on 2014 Average Sales Prices 3 OEI-03-16-00540 Expanding the price-substitution criteria could have generated up to $9 million in additional savings for Medicare and its beneficiaries CMS has maintained a cautious approach to price substitutions. However, this cautious approach may restrict the Government’s ability to limit potentially excessive payment amounts based on ASPs. If CMS had expanded its price-substitution criteria to include certain other Part B drugs in 2014, Medicare and its beneficiaries could have saved up to an additional $9 million over 1 year. Millions could be saved by expanding the substitution criteria to include drugs that exceeded the 5-percent threshold in a single quarter. Nineteen drugs with complete AMP data exceeded this threshold in at least 1 quarter of 2014 but were not eligible for price substitution in that quarter because they did not meet CMS’s duration criteria, i.e., they did not exceed the threshold in the 2 previous quarters or 3 of the previous 4 quarters.17 If the 19 drugs had been eligible for price reductions on the basis of data from a single quarter only, Medicare and its beneficiaries could have saved up to an additional $9 million between the fourth quarter of 2014 and the third quarter of 2015. Previously, CMS has expressed concern that price substitutions based on results from a single quarter may represent 1 aberrant quarter of pricing rather than a market trend. 18 However, price discrepancies for the majority of the 19 drugs do not appear to have resulted from isolated fluctuations. According to 2013 and 2014 data, 11 of these 19 drugs exceeded the 5-percent threshold more than once over the 2-year period.19 Over the 2-year period, 6 of the 19 exceeded the threshold in 2 of the 8 quarters, and another 5 drugs exceeded the threshold three or four times in the 8 quarters. If CMS would prefer to employ a more cautious approach than substitution based on a single quarter of data, it could expand its price-substitution criteria to include drugs that exceed the 5-percent threshold in 2 of the previous 6 quarters. Under this approach, 6 drugs would have been eligible for price substitutions, and Medicare and its beneficiaries could have saved an estimated $3 million on these 6 drugs. CONCLUSION AND RECOMMENDATION Under the current price-substitution policy, 14 drugs were subject to reimbursement reductions on the basis of data from 2014, saving Medicare and its beneficiaries $24 million between the fourth quarter of 2014 and the third quarter of 2015. The agency could achieve even greater savings for Medicare and its beneficiaries by expanding its criteria for AMP-based price substitutions. OIG has previously recommended that CMS expand the price-substitution criteria. CMS indicated that it does not concur with expanding the price-substitution policy and continues to believe that more experience with this policy is needed before it can be expanded. CMS also expressed concern that expanding price-substitution criteria may impede physician and beneficiary access to drugs. OIG agrees that access to prescription drugs should always be considered when contemplating pricing policies and supports current safeguards to prevent substitutions for drugs that are identified by FDA as being in short supply. However, OIG continues to believe that CMS can achieve a better balance between safeguarding access to drugs and ensuring that Medicare and its beneficiaries do not overpay for drugs. To provide CMS with greater flexibility, any revisions that CMS makes to its’ price-substitution policy Medicare Part B Drug Payments: Impact of Price Substitutions Based on 2014 Average Sales Prices 4 OEI-03-16-00540 could contain a provision that would prevent a price substitution when there are indications that the substitution amount would be below provider acquisition costs. Therefore, we continue to recommend that CMS:  Expand the price-substitution policy To more effectively limit excessive payment amounts based on ASPs and to generate greater savings for Medicare and its beneficiaries, CMS should consider broadening its price-substitution criteria to include at least some additional drugs. For example, a more expansive policy might include drugs with complete AMP data that exceed the 5-percent threshold in a single quarter. However, CMS also could consider a more modest expansion of the policy that better captures drugs that repeatedly exceed the threshold. It could expand the criteria to include drugs with complete AMP data that exceed the 5-percent threshold in 2 of 6 quarters. AGENCY COMMENTS AND OFFICE OF INSPECTOR GENERAL RESPONSE CMS did not concur with our recommendation. However, CMS stated that as additional data becomes available and as it continues to gain experience with the price-substitution policy, it will consider further changes as necessary. CMS believes the current policy safeguards—which identify drugs that exceed the 5-percent threshold for 2 consecutive quarters or 3 of 4 quarters—identify situations in which AMP consistently exceeds ASP. OIG continues to believe that expanding the policy can achieve a balance between safeguarding access to drugs and ensuring that Medicare and its beneficiaries do not overpay for drugs. Our examination of 2014 data shows that if the policy had been expanded to include the 19 drugs that exceeded the 5-percent threshold in a single quarter, up to an additional $9 million could have been saved by beneficiaries and the program. The majority of the 19 drugs we identified for these potential savings exceeded the threshold multiple times over a 2-year period. Expanding the policy to capture drugs that exceed the threshold in a single quarter could increase the savings to beneficiaries and the program and still ensure access to drugs. To help ensure that CMS has sufficient information for its consideration regarding the price-substitution policy, OIG will continue to provide CMS with the results from our quarterly pricing comparisons, along with annual reports on the impact of the price-substitution policy. For the full text of CMS’s comments, see the Appendix B. Medicare Part B Drug Payments: Impact of Price Substitutions Based on 2014 Average Sales Prices 5 OEI-03-16-00540 APPENDIX A: METHODOLOGY Data Collection and Analysis We obtained NDC-level ASP data and AMP data for Part B drugs from CMS for 2014. We also obtained ASP-based reimbursement amounts and Part B drug utilization for the quarters in which price substitutions occurred, i.e., the fourth quarter of 2014 through the third quarter of 2015. In addition, we obtained the drugs that had price substitutions based on data from 2014. For each quarter of 2014, we calculated volume-weighted AMPs for drugs consistent with CMS’s methodology for calculating volume-weighted ASPs. We then compared the volume-weighted ASPs and AMPs and identified all drugs with ASPs that exceeded the AMPs by at least 5 percent. We also identified drugs that exceeded the 5-percent threshold but did not meet CMS’s duration criteria for price substitution, i.e., they did not exceed the threshold in the 2 previous quarters or 3 of the previous 4 quarters. To calculate the savings associated with price substitutions or potential price substitutions that could be made by expanding the policy, we first reduced AMP-based and ASP-based reimbursement amounts (103 percent of the volume-weighted AMP and 106 percent of the volume-weighted ASP, respectively) by the 2-percent reduction required by sequestration legislation. We then subtracted the AMP-based reimbursement from the ASP-based reimbursement amount for the quarter in which the price substitution occurred20 and multiplied the difference by the Part B utilization for each drug in the respective quarter that the price substitution occurred. We used this same method to calculate savings for potential price substitutions that could be made if CMS expanded the price-substitution policy. Limitations We did not verify the accuracy of manufacturer-reported ASP and AMP data, nor did we verify the underlying methodology used by manufacturers to calculate ASPs and AMPs. We also did not verify the accuracy of CMS’s calculations of Part B drug reimbursement amounts. Manufacturers are required to submit their quarterly ASP and AMP data to CMS within 30 days after the close of the quarter. We did not determine whether manufacturers provided any updated data to CMS at a later date. Standards This study was conducted in accordance with the Quality Standards for Inspection and Evaluation issued by the Council of the Inspectors General on Integrity and Efficiency. Medicare Part B Drug Payments: Impact of Price Substitutions Based on 2014 Average Sales Prices 6 OEI-03-16-00540 APPENDIX B: AGENCY COMMENTS Medicare Part B Drug Payments: Impact of Price Substitutions Based on 2014 Average Sales Prices 7 OEI-03-16-00540 ENDNOTES 1 Section 1847A(d)(2)(B) of the Act. 2 Section 1847A(d)(3) of the Act. 3 Pursuant to § 1847A(d)(3)(B)(ii) of the Act, the threshold percentage has been maintained at 5 percent. 4 A HCPCS code for a drug defines the drug name and the amount of the drug represented by the HCPCS code but does not specify the manufacturer or package size. 5 Section 1927(b)(3) of the Act. 6 An NDC is a drug code that represents a specific manufacturer, product, and package size. 7 Section 1847A(c) of the Act. Certain types of sales are exempted from ASP, and ASP is net of any price concessions (with limited exceptions). 8 Section 1847A(b)(1) of the Act. Medicare beneficiaries are responsible for 20 percent of this amount in the form of coinsurance. 9 Part B claims dated on or after April 1, 2013, incur a reduction in payment in accordance with the Budget Control Act of 2011 and the American Taxpayer Relief Act of 2012 (see CMS Medicare FFS Provider e-News, Mandatory Payment Reductions in the Medicare Fee-for-Service (FFS) Program –“Sequestration,” March 8, 2013). Under this mandatory payment reduction, the payment rate for most Part B drugs is reduced by 2 percent. This reduction does not apply to the coinsurance portion of the Medicare allowed amount for Part B drugs. 10 Section 1927(b)(3) of the Act. 11 Section 1927(k)(1) of the Act. 12 42 CFR § 414.904(d)(3). 13 Ibid. 14 Ibid. 15 Ibid. 16 Ibid. 17 These 19 drugs were not identified by FDA as being in short supply and did not have AMP-based substitution amounts that were greater than the ASP-based reimbursement amounts in the quarters during which the substitutions would have occurred. 18 76 Fed. Reg. 73026, 73288 (Nov. 28, 2011). 19 This analysis is based on pricing comparison results for the 2-year period between the first quarter of 2013 and the last quarter of 2014. 20 AMP-based price substitutions based on data from the first through fourth quarters of 2014 were applied in the fourth quarter of 2014 through the third quarter of 2015, respectively. Medicare Part B Drug Payments: Impact of Price Substitutions Based on 2014 Average Sales Prices 8 OEI-03-16-00540 ACKNOWLEDGMENTS Conswelia McCourt served as the team leader for this study. Office of Evaluation and Inspections staff who provided support include Joe Chiarenzelli, Althea Hosein, Meghan Kearns, and Christine Moritz. This report was prepared under the direction of Linda Ragone, Regional Inspector General for Evaluation and Inspections in the Philadelphia regional office, and Edward Burley, Deputy Regional Inspector General. To obtain additional information concerning this report or to obtain copies, contact the Office of Public Affairs at Public.Affairs@oig.hhs.gov. Medicare Part B Drug Payments: Impact of Price Substitutions Based on 2014 Average Sales Prices 9 OEI-03-16-00540