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Medicare Marketing
Danielle R. Moon, J.D., M.P.A.Director, Medicare Drug & Health Plan
Contract Administration Group
National Association of Health UnderwritersCapitol Conference, March 10, 2010
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Marketing in the CMS Context
• Scope of the term “marketing” by Medicare health plans extends beyond the public’s general concept of advertising materials.
• CMS’ authority for marketing oversight includes a range of:oMarketing materialsoMarketing activities
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Marketing Oversight
• Paramount goal: Protecting Medicare beneficiaries enrolled in Part C/D plans and promoting efficiency and sustainability of Medicare program
• Strategy: target resources to high-risk program areas or areas of known concern.
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Recent Changes
• Medicare Improvements for Patients and Providers Act of 2008 (MIPPA) made a number of statutory changes to:o Set limits on agent/broker compensation
structures to ensure beneficiaries enroll in plans that best meet their health care needs.
o Address allegations of agent/broker misconduct in the market
o Eliminate inappropriate or unnecessary beneficiary plan-to-plan moves
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Fair Market Value (FMV) of Compensation
• Plan agent/broker compensation amounts must be of FMV
• Based on compensation schedules submitted to CMS in late 2008
• Compensation amounts must be adjusted annually by rate of change of plan payments in annual rate notice.
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Public Display of 2010 Compensation
• CMS made available plans’ initial and renewal compensation amounts for 2010
• Schedules or range of schedules for each contract’s PBP are posted on www.cms.hhs.gov
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CMS Oversight of Compensation
• Compensation structures must be available upon CMS request, including for audits, investigations, and to resolve complaints
• Plans must keep detailed records demonstrating payment of compensation is consistent with all CMS guidance on agent and broker compensation
• CMS has, and will continue to, monitor and audit plan agent/broker compensation records to ensure compliance
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Oversight of Marketing Sales Events
• Vulnerability in the marketing area was identified due to persistent complaints and evidence of agent and broker misconduct.
• Led to the development of a comprehensive surveillance strategy o Designed to detect, prevent, and
respond to marketing violations
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Surveillance Activities CY2010
• Secret shopping of public sales event oOver 1300 events conducted to date
• Pilot for CY2010: Secret shopping of one-on-one appointments
• Special focus on non-renewals (NR)o Secret shopping in 55 markets with
highest NR rates
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Surveillance Philosophies
• “Real-time” observations and responses• Resources allocated initially based on risk -
then adjusted based on performance• Industry provided the opportunity to
research and respond to violations• Compliance action taken only when
deficiencies are confirmed and validated • Severity of compliance action based on
severity and recurrence of violations
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Industry Performance
• Room for Improvement o Approximately 40% of public sales events
had one or more violationso Lower incidence of egregious behavior /
aggressive marketing tactics than prior years
o Still problems in providing clear, complete, and accurate information around health plan and drug benefits
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Industry Performance
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• Most Common Deficiencies at Public Sales Eventso Failure to provide clear and accurate
information related to drug coverageo Requiring beneficiaries to provide personal
contact informationo Inappropriate, unsubstantiated comparative
marketing claims (e.g. the plan is “the best”, “the most highly rated”)
o Agents that did not show up for scheduled marketing events
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Industry Performance
• Positive Trendso Improvement in performance observed
during the Open Enrollment Periodo Significant reduction in violations
observed for plans that received compliance notifications
o Organizations are acting proactively to respond to violations and implement new strategies and best practices
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Industry Best Practices
• Organizations have reported the following best practices: o Standardizing training packages o Implementing more effective controls to
track agent/broker licensing informationo Utilizing 3rd party vendors to conduct
internal secret shopping o Enrollment verification programs o Financial penalties written into
agent/broker contracts for marketing violations
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Strengthened Information Sharing
• Complaint/information exchanges with State Departments of Insurance (DOIs).o Information sharing based on MOU includes:
• Information related to specific agents/brokers • Consumer complaints• Information on CMS enforcement actions
o Recent Partnership with Compliance and Enforcement (C&E) MEDIC
o CMS establishing a State referral notification to provide status on pending MEDIC investigation of agents
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QUESTIONS?