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For more behavioral health benefits coverage, see Mental Health Payers Ask Trump Team to Ax Obama-Era Disclosure Rules.•
The Trump administration recently put out a major, little-noticed packet of documents that sends a clear message: Federal agencies still want to drop a heavy hammer on health insurers and group health plans that fail to comply with federal mental health and addiction treatment benefits parity rules. The new packet could affect any clients who are trying to get health insurers or health plans to cover services such as inpatient care for anorexia, depression or opioid addiction. Officials developed the new document packet to help members of the public understand how the Trump administration interprets the Mental Health Parity and Addiction Equity Act of 2008 (MHPAEA). (Related: Milliman Finds Huge Mental Health Care Access Gap) The packet could also affect any producers with benefits clients who are wondering what they can, and can't, do to defend themselves against unqualified or unscrupulous behavioral services providers. The Centers for Medicaid and Medicaid Services (CMS) worked on the documents together with the Employee Benefits Security Administration (EBSA).EBSA has posted a neatly organized collection of links to the packet here. CMS is the arm of the U.S. Department of Health and Human Services (HHS) that oversees HHS regulations that affect commercial health insurance. EBSA is the arm of the U.S. Department of Labor (DOL) that oversees DOL regulations that affect employee benefit plans. The Mental Health Parity and Addiction Equity Act of 2008 (MHPAEA) Before the MHPAEA came along, an earlier federal parity required any group health plan that chose to cover or mental health services to make the co-payments, benefits limits and other quantitative provisions comparable for mental health care and other types of care. MHPAEA takes the parity rules further. It does not require any plan to cover mental health care or addiction treatment services. But, if a "large group plan" chooses to cover behavioral health care, then the "nonquantitative treatment limits," or NQTLs, for behavioral care must be about the same as the limits for physical care, unless the plan can show that complying with the MHPAEA will increase the plan's costs by about 1% or more. For MHPAEA purposes, the size cut-off for a "large group" is 51 employees in some states and 101 employees in others. While former President Barack Obama was in office, HHS, DOL and the U.S. Department of Treasury required all individual and small-group major medical plans that are required to comply with Affordable Care Act benefits standards to offer MHPAEA-compliant behavioral benefits. The MHPAEA Packet The packet includes:- A report on what EBSA found when it investigated health plans for MHPAEA violations. EBSA found, for example, a fully insured health plan in San Francisco that excluded any coverage for chronic behavior disorders, but not for chronic medical health problems. The plan also required prior authorization for non-emergency admissions to mental health treatment facilities, but not for non-emergency admissions to facilities for surgery. EBSA notes that it needs help from state insurance regulators to get health insurers to meet MHPAEA requirements.
- A "tool," or guide, that insurers and plans can use to see if they are complying with MHPAEA requirements.
- A standardized draft form that patients and providers could use to get information relevant to MHPAEA parity from health insurers or health plans.
- A draft of proposed CMS and EBSA answers to commonly asked questions about the MHPAEA, such as whether it's OK if a plan provider directory to list a psychiatrist who stopped participating in the plan three years earlier.
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