The Hon. Brad Wenstrup
2335 Rayburn House Office Building
Washington, DC 20515
The Hon. Greg Murphy
407 Cannon House Office Building
Washington, DC 20515
The Hon. Michael Burgess
2161 Rayburn House Office Building
Washington,
DC 20515
Dear Representatives Wenstrup, Murphy, and Burgess:
The undersigned national medical organizations and state medical societies deeply appreciate your leadership in drafting a proposal to reform the budget-neutrality policies that have been eroding Medicare physician payment levels in recent years. Your
October 4 draft legislation would add needed stability and predictability to Medicare physician payments.
As one of the few Medicare providers without a payment update tied to inflation, physicians have watched inflation-adjusted payments decline 26% from 2001 to 2023. Physician payments are further eroded by frequent and large payment redistributions caused
by statutory mandates for the Centers for Medicare and Medicaid Services (CMS) to make refinements to fee schedule service valuations and coding policies subject to budget neutrality. Unfortunately, it is not uncommon for CMS to overestimate utilization
assumptions related to code revaluations in its budget neutrality estimates. The most prominent example of this occurred when transitional care management (TCM) services were added to the Medicare Physician Fee Schedule in 2013. CMS estimated 5.6
million new claims would be submitted for these services. Actual utilization, however, turned out to be just under 300,000 claims for the first year and it was still less than one million claims after three years. As a result of this overestimation
for TCM services alone, Medicare physician payments were reduced by more than $5.2 billion from 2013 to 2021. Once these redistributions are made through the conversion factor they are not added back, even when actual utilization is far lower than
projected. The net result in these circumstances is not budget neutrality, but rather permanent and unjustifiable Medicare cuts to physician payments across-the- board.
By providing a lookback period that would allow CMS to reconcile erroneous utilization projections based on actual claims, your proposal would allow the Medicare conversion factor to be re-adjusted as appropriate, while simultaneously plugging this “leak”
in the Medicare physician payment pool. Your proposal would also update the spending threshold that spurs the need to apply a budget neutrality adjustment. The current threshold of $20 million was enacted into law in 1989, when total Medicare spending
was far lower. Provisions raising this amount to $53 million and increasing it every 5 years by the cumulative increase in Medicare Economic Index (MEI) allow for greater flexibility in determining pricing and policy changes for services without triggering
across-the-board cuts.
Finally, starting in 2025, the proposal would require the Secretary to limit positive or negative budget neutrality adjustments to the conversion factor to 2.5% each year, which will provide greater stability for the Medicare physician payment system
by removing relatively large and abrupt changes in conversion factor calculations.
Thank you once again for your commitment to Medicare physician payment reform. Enactment of the policies in the discussion draft, combined with other reforms such as an annual payment update tied to inflation, promise to improve the financial viability
of physician practices—particularly those in rural and underserved areas. We look forward to working with you and your colleagues in this endeavor.
Sincerely,
American Medical Association
AMDA—The Society for Post-Acute and Long-Term Care Medicine
American Academy of Dermatology Association
American Academy of Emergency Medicine
American Academy of Family Physicians
American Academy
of Neurology
American Academy of Ophthalmology
American Academy of Otolaryngic Allergy
American Academy of Otolaryngology–Head and Neck Surgery
American Academy of Pain Medicine
American Academy of Physical Medicine and Rehabilitation
American Academy of Sleep Medicine
American Association of Clinical Urologists, Inc.
American Association of Hip and Knee Surgeons
American Association of Neurological Surgeons
American Association of Neuromuscular & Electrodiagnostic
Medicine
American Association of Orthopaedic Surgeons
American College of Allergy, Asthma & Immunology
American College of Cardiology
American College of Chest Physicians
American College of Emergency Physicians
American
College of Gastroenterology
American College of Lifestyle Medicine
American College of Medical Genetics and Genomics
American College of Obstetricians and Gynecologists
American College of Physicians American College of Radiology
American College of Rheumatology
American College of Surgeons
American Epilepsy Society
American Gastroenterological Association
American Geriatrics Society
American Orthopaedic Foot & Ankle Society
American Osteopathic
Association
American Society for Clinical Pathology
American Society for Dermatologic Surgery Association
American Society for Gastrointestinal Endoscopy
American Society for Laser Medicine and Surgery, Inc.
American Society
for Radiation Oncology
American Society of Anesthesiologists
American Society of Cataract and Refractive Surgery
American Society of Echocardiography
American Society of Hematology
American Society of Interventional Pain Physicians
American Society of Nephrology
American Society of Neuroradiology
American Society of Nuclear Cardiology
American Society of Plastic Surgeons
American Society of Retina Specialists
American Society of Transplant Surgeons
American Urological Association
American Vein & Lymphatic
American Venous Forum
AMGA (American Medical Group Association)
Association for Clinical Oncology
College of American Pathologists
Congress of Neurological Surgeons
Endocrine Society
Heart Rhythm Society
International Pain and Spine Intervention Society
International Society for Advancement of Spine Surgery
Medical Group Management Association
National Association of Spine Specialists
North American Neuromodulation Society
Renal
Physicians Association
Society for Cardiovascular Angiography & Interventions
Society for Pediatric Dermatology
Society for Vascular Surgery
Society of American Gastrointestinal and Endoscopic Surgeons
Society of Cardiovascular
Computed Tomography
Society of Hospital Medicine
Society of Interventional Radiology
The American Academy of Allergy, Asthma & Immunology
The Society of Thoracic Surgeons
Medical Association of the State of Alabama
Alaska
State Medical Association
Arizona Medical Association
Arkansas Medical Society
California Medical Association
Colorado Medical Society
Connecticut State Medical Society
Medical Society of Delaware
Medical Society
of the District of Columbia
Florida Medical Association, Inc.
Medical Association of Georgia
Hawaii Medical Association
Idaho Medical Association
Illinois State Medical Society
Indiana State Medical Association
Iowa Medical Society
Kansas Medical Society
Kentucky Medical
Association
Louisiana State Medical Society
Maine Medical Association
MedChi, The Maryland State Medical Society
Massachusetts Medical Society
Michigan State Medical Society
Minnesota Medical Association
Mississippi
State Medical Association
Missouri State Medical Association
Montana Medical Association
Nebraska Medical Association
Nevada State Medical Association
Medical Society of New Jersey
New Mexico Medical Society
Medical
Society of the State of New York
North Carolina Medical Society
North Dakota Medical Association
Ohio State Medical Association
Oklahoma State Medical Association
Oregon Medical Association
Pennsylvania Medical Society
Rhode Island Medical Society
South Carolina Medical Association
South Dakota State Medical Association
Tennessee Medical Association
Texas Medical Association
Utah Medical Association
Vermont Medical Society
Washington
State Medical Association
West Virginia State Medical Association
Wisconsin Medical Society
Wyoming Medical Society
View a PDF version of this letter here.