Title: MCORegistry Data Exchange Initiative
1MCO/Registry Data Exchange Initiative
- A Collaboration Between
- Every Child By Two The American
- Immunization Registry Association
2July 2002 ECBT Hosted Health Plan Executives
- Aetna Incorporated
- AMERIGROUP
- AvMed Health Plan
- Blue Cross Blue Shield
- Chartered Health Plan
- CIGNA Corporation
- Geisenger Health Plan
3July 2002 ECBT Hosted Health Plan Executives
- Health Partners Incorporated
- Health Right
- Health Net
- Independence Blue Cross
- Kaiser Permanente
- Mid-Atlantic Permanente
- PHP TennCare
- United Healthcare
- University of Pittsburgh Medical Center
- WellPoint Health Networks
4Benefits of Data Exchange
- Increased coverage rates
- Disease prevention
- Decreased missed days of employment by parents
who must care for ill children - Cost savings by eliminating necessity for manual
record pulls - Cost savings by eliminating duplicative
immunizations - Increase in data completeness and quality
5Benefits of Data Exchange
- Public relations value for benefits managers who
can compare services offered by various MCOs - Broader impact on preventive services
- Improved quality ratings for managed care
- Consistent data reporting for providers
- Increased provider and member overall
satisfaction
6Benefits of Data Exchange
- Increased provider satisfaction by eliminating
chart reviews by managed care - Promotion of quality care by providing current
recommendations and adding new vaccines - Move toward electronic CIS
- Increased quality of care by utilizing real
time information (current immunization status,
recommendations, etc)
7Benefits of Data Exchange
- Assists families when moving by providing access
to childrens records - Potential for long-term access to immunization
information -alleviates need for record archiving
by providers - Shows that health plans care about their
participants - GOOD PR Value
8Potential Challenges
- Addressing privacy and confidentiality
regulations - Ensuring legality of disclosing immunization data
to public health from managed care - Ensuring legality of disclosing immunization data
from public health to managed care - Participation of Providers
- Requirements should providers be required to
submit data? This does not always prove to be
effective in increasing registry data because
there are few ways to enforce.
9Potential Challenges
- Incentives there are many examples of managed
care organizations providing incentives to
providers that exhibit high immunization rates,
can there be incentives for providing data to the
registry? - Important to ensure that usage of registry is
simple user friendly ability to look up
reports, attain batch data
10Potential Challenges
- Registry functionality
- Information technology financial investment by
health plans must be modest - Provider and health plan have varying
technological capacity to access registry - Data quality issues
- Financing registries/sustainability
- Standardization of performance measures
- Must be Internet based
11MCO/Registry Data Exchange Advisory Committee
- Therese Hoyle, Michigan Dept. of Comm. Health
- Marcina Robertson, Intermountain Health Care
- Dennis Michaud, Mass DOH/CIRSET Chair
- Dr. Allan Lieberthal, Kaiser Permanente, CA
- Kim Salisbury-Keith, Rhode Island DOH
- Reid Kiser, Natl. Cmte for Quality Assurance
- Debbie Mccune Davis, Arizona Partnership for Imm.
12MCO/Registry Data Exchange Advisory Committee
- James Resnick, Health Resources Services Assoc.
- Julie Jones, Centers for Medicare Medicaid
- Linda Murphy, Centers for Medicare Medicaid
- Jennifer Zavolinsky, American Assoc. of Health
Plans - Angela Salazar, CDC/NIP
- Janet Kelly, CDC/NIP
- Aurora Oliva, American Imm. Registry Assoc.
- Amy Pisani, Every Child By Two
13Goals of the Advisory Group
- To identify key issues and resources to
facilitate data exchange between MCOs and
registries - To create a how-to manual to guide and
articulate the challenges successes of data
exchange
14Advisory Group Activities
- Spent time discussing issues initiatives
- The Vendor Recruitment Model
- Californias SIIS Conference Workgroups
- Partnership for Prevention Insights from
registries/MCOs - Examples of data exchange partnerships
- HIPAA ramifications
- Medicaid/Commercial health plan variations
15Products
- Survey of current registry data sharing
activities - Data exchange guide for registry offices
- Business template to be developed by registry
staff - MCO marketing card
- Available electronically/limited printed
16Registry MCO/Data Exchange Survey Results
- CDC/NIP 2002 annual report data showed that 41
of grantees provided data to health plans to
assist in HEDIS - Data did not delineate whether electronic, paper,
or by MCO staff designated to download
17Registry MCO/Data Exchange Survey Results
- Our Survey sent to all 64 of 317 grantees
- 38 registries returned survey
- 14 of the 38 are electronically exchanging data
18Survey Results - Reasons for Not Exchanging Data
- Nine due to technical reasons
- Registry system being upgraded
- System relatively new, staff focused on
deployment to providers and health depts. - Not HL7 compliant
- Eight due to legal or policy issues
- State laws or local interpretation of HIPAA not
favorable to exchange - Consent-based registry policies act as a barrier
19Survey Results- Reasons for Not Exchanging Data
- Six due to other issues
- Desire to focus on enrolling private providers
- Awaiting higher data saturation to make it
worthwhile to health plans - Lack of staff resources
- Lack of marketing skills
20Anecdotal Findings
- Several of Arizonas commercial and Medicaid
plans used registry as primary source of
information to conduct HEDIS assessments. Costly
record reviews conducted only when information
not found in registry
21Key Findings - Arizona
- Review of imm. coverage levels for four health
plans from 1998 (when registry was launched) and
2001 showed avg. increase of 8 percentage points
for 431 series - One of largest AZ health plans used reg. to raise
adolescent levels - Levels rose by 18 and 22 points for MMR Hep B
in just three years time
22How to Guide Outline
- Health Plan Attributes and Needs
- Quality performance measures
- Registries benefits to health plans
- Health plan benefits to registries
- Increased immunization rates
- Increased data completeness/quality
23How to Guide Outline
- Health plan benefits to registries
- Increased Medicaid enrollment in registry
- Promote the awareness and use of registries by
providers - Provide funding to registry
- Educate members and providers about importance of
immunizations and registries
24How to Guide Outline
- Getting started
- Evaluate registrys resources and assets
- How much time/staff can registry office allocate
- Does your registry have enough imm. records to
make it worthwhile for health plans - Making it Happen
- How to identify health plan contacts
- Identify health plan structure
25How to Guide Outline
- Determine the requirements
- Check with your legal department and agency staff
- What laws/rules in your state/county influence
data exchange
26HIPAA Interpretations
- Special Cmte. On Aging hearing HIPAA Medical
Privacy and Transaction Rules Overkill or
Overdue? - Status from federal agencies on implementation
impact of policies on providers and consumers
27HIPAA Interpretations
- Richard Campanelli, director of HHS Office of
Civil Rights - Testimony dispelling much misinterpretation
- www.ecbt.org/news sept/october
- Majority of registries are not covered entities
therefore not governed by HIPAA
28HIPAA Interpretations
- While registries not covered entities, most users
of registries (health plans) are - Rule allows covered entities to disclose to a
public health authority authorized by law to
collect
29HIPAAs Good Intentions
- Jarad Adair Director of CMS Office of HIPAA
Standards reported that there are 400 different
formats used to submit insurance claimsHIPAAA
requires that there be just one.
30HIPAA Arm Yourself with Pro- Data Sharing
Examples
- resources should be devoted to proper and
vigorous implementation (of the rule), and not to
using misunderstanding and mishap to build public
opposition to the law. - Health Privacy Projects Director-Janlori Goldman
31How to Guide Outline
- Issues to Consider
- HIPAA clear examples of pro data sharing
interpretations included - NY State Immunization Information System
explanation - MOUs from various states
32How to Guide Outline
- Making it Happen Cont.
- Meet with immunization department staff to
discuss how this initiative fits in with
strategic plans/goals of entire department - Create specific marketing plans
- Individualize for staff models, network models,
Medicaid, commercial plans
33Specific Marketing Plans
- Sept, 2003 JAMA reported that quality of care for
commercial MCOs was significantly higher than
that of Medicaid MCOs - of Complete Childhood Imm. Series Commercial
MCOs 64 , Medicaid 49 - of Adolescent MMR Shots
- Commercial MCOs 52, Medicaid 43
34 Make a Good Sales Pitch
- Think like a business person, not a health care
professional Dr. Allan Lieberthal - Use sales techniques
- Deal with health plan decision makers
- Highlight cost savings on manual record pulls,
decreased duplicative imms, data collection - Highlight public relations/sales benefits
- Improved data quality and consistency
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