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President Trump's Speech encouraging in-home Dialysis and Transplantation

Posted By Eric Ladenheim, Friday, July 12, 2019

President Trump’s overall strategy of addressing the ballooning of expenditures for End Stage Renal Disease (ESRD) care by encouraging less expensive home dialysis and transplantation is brilliant but the devil is in the details. The tactics the Administration proposes to use are unnecessarily complicated and resemble a communist Chinese large scale transformative policy experiment rather than a democratic American legislative initiative.

 

At 4:45PM EST today on 7/11/2019 the detailed proposal was released for public inspection at https://s3.amazonaws.com/public-inspection.federalregister.gov/2019-14902.pdf. The proposed rules are 413 pages. Ironically, the authority for the regulation comes from the Obamacare Law that the Administration supports eliminating.

 

Here is the experiment being proposed: The USA will be divided into 306 groups of zip codes called Hospital Referral Regions.  153 Hospital Referral Regions will be randomized to provide incentives for nephrologists to refer for home dialysis (mainly peritoneal dialysis) and transplantation and 153 regions will be randomized to the status quo.  The providers whose payments will be affected by the randomization will be the dialysis unit and the nephrologist.  Since this is a legislative experiment rather than a clinical trial the requirement for informed consent will be waived; rather, participation will be mandatory for the providers. It is called the ESRD Treatment Choices Model (ETC Model).

 

When the study is concluded in 2026, the data can be analyzed to determine whether the clinical and financial outcomes are better with the payment incentives and whether the administration’s goal of increasing home dialysis and transplantation through the incentive program is being achieved. Then the incentives could be implemented systemwide.

 

As we well know, in recent years, CMS has been trying to reduce ESRD expenditures by reducing the payment rates for the services are were needed to maintain hemodialysis access and has run into increasingly loud resistance from providers (like myself)  that performed those services and who had an opposing concentrated interest. This policy does an end-run around the HD maintenance payment conflict by incentivizing home dialysis (mainly peritoneal dialysis) and transplantation which all virtually all specialists agree is much cheaper to maintain. 

 

That home dialysis and transplantation are less costly than in-center hemodialysis there is no doubt. Whether the clinical outcomes of home dialysis are better than the clinical outcomes of in-center dialysis are presently uncertain. In my opinion the data currently available suggests clinical outcomes are about the same.  CMS proposes to resolve this uncertainty by structuring the payment reform measures as a massive nationwide prospective randomized non-blinded study that will study the effect of home dialysis/transplant payment incentives on cost and outcomes.

 

It is obvious that the costs of ESRD care have grown so high that something must be done or the Medicare system will be bankrupted.  But America doesn’t need a grand social experiment to decide whether to  incentivize less costly home dialysis and transplantation.  The administration has the legal authority under the Obamacare Act to implement the proposed innovation systemwide without limiting them to  randomly chosen geographic areas.  I would urge that the regulations be revised before the final rule is issued making the incentives applicable throughout the America, while it monitors clinical and financial outcomes.  Ultimately, the Secretary of HHS has the authority to stop the study  program as soon as it is clear that money is being saved without adversely affecting clinical outcomes and make the changes permanent. I hope this is done as soon as possible.

 

Sincerely,

Eric

Eric Ladenheim MD

LDAC Vascular Centers

 

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Comments on this post...

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Anatole Besarab says...
Posted Friday, July 12, 2019
Agree 100%. This is an attempt at spending control. Goal is to increase PD and Transplantation. No consideration given to the process. Besides where will the "extra kidneys" come from? We could get more bang for the money if the effort was to increase early detection and closer follow-up of those with CKD. This requires more than the 15 min follow up visit, education of and extensive discussion with patient/family as to modality choice (including palliative therapy), and establishment of trust. Done right in CKD 3-5, many patients, particularly the elderly, will never reach the need for RRT and might choose not to undergo it. When I left practice for pharma 6+ years ago, more than half of my 65+ patients choose not to start, and if they did agreed to a temporary trial followed by palliative care if dialysis was not for them. In this country, poverty is increasing and in some settings PD is virtually impossible. Home self dialysis will never grow to the extent it must if the median age of the incident population is > 65 due to their frailty

Anatole Besarab, MD.
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Anil K. Agarwal says...
Posted Friday, July 12, 2019
Great intents disclosed in the announcement, but it is absolutely important to discuss processes which were missing at least from the initial announcement. Just because HHS orders increase in awareness, increase in home dialysis or increase in number of available kidneys, that is not going to happen. It would be important as a society to consider practical approaches to achieve these goals without penalizing stakeholders. We should perhaps convene a meeting of interested individuals to see how we could contribute. Anil Agarwal
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Sumit Kumar says...
Posted Friday, July 12, 2019
No specifics have been announced yet. In speaking with our dialysis providers, they are hearing a 3% bump in MCP for Home patients. Not sure that it translates in to big profits and savings. As care providers, we should continue to advocate for our patients, bereft of small incentives. Where we may falter is in the chase for the $$, instead of quality. ESRD is a disease that disproportionately affects those with limited means to start with. Despite significant efforts on our part and a positive pitch, many patients don’t want to deal with it on their own. Staff assisted home hemo is an another story. They love the idea, but it has limited access. I don’t use 65 as a cut off, as much a more considered view of the full picture.
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Eric Ladenheim says...
Posted Friday, July 12, 2019
Sumit, here are the specifics:
https://s3.amazonaws.com/public-inspection.federalregister.gov/2019-14902.pdf
Eric
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Nnaemeka Chikwendu says...
Posted Friday, July 12, 2019
This is another cart before the horse solution.
Echoing Dr. Besarab's comments above, if more money were given to education and prevention in earlier stages of CKD, with ESRD options being discussed in hour-long sessions with patient's families present, many patients will not get to or start dialysis in the first place.
Attacking ESRD spending is asinine in my opinion. That's the end-game, not the first move.
We have a moderate PD and home program in my practice, but getting my Philadelphia patients, especially lower socio-economic and education demographics, to home therapies is harder than teaching cats synchronized swimming.
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Eric Ladenheim says...
Posted Friday, July 12, 2019
https://s3.amazonaws.com/public-inspection.federalregister.gov/2019-14902.pdf

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Eric Ladenheim says...
Posted Friday, July 12, 2019
Dear Sumit, For Year 1 (2020) the proposal is that dialysis facilities can see up to a 5% payment increase for modality compliance however there would be an 8% cut for modality resistance. For nephrologists it would be a 5% payment increase for modality compliance and a 6% cut if you resist!
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Eric Ladenheim says...
Posted Friday, July 12, 2019
Sumit, I need to correct myself. You are right. There are two different payment adjustment system:beginning 2020 the adjustments would be only positive and providers could see up to a 3% increase. It is beginning in 2021 that the negative adjustments will start to kick in.
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Naveen K. Atray says...
Posted Friday, July 12, 2019
I echo the concerns shared by previous commentators. This appears to be a a very prescriptive and seemingly unilateral initiative.
But let's face it........if the change doesn't come from within, it will come from outside. From CMS perspective, ESRD Medicare Spending per Beneficiary (MSPB) has been ballooning beyond sustainable rates .
From a methodological view, if I saw the patient two weeks ago (which we all do) and he/she ends up with high troponins and the patient gets discharged after getting a few stents, may be a pacemaker and bunch of imaging, CMS attributes that MSPB to me, the nephrologist.
At a macro level, they have tried ESCOs which didn't make any dent in MSPB or substantial change in outcomes.
Unilateral it may seem, it will be nieve to presume that this change occured in vacuum and without any industry input. There is a lot of DNA(or may be RNA) of Patient Choice Act which couldn't get moved in the floors of Congress and got transcribed through this executive order.
Clearly, with shrinking nephrology supply and a mandate to dramatically improve transplants with no real plans how to fix the bottle necks at transplant center and emulating Hong Kong, Japan models with no considerations to cultural and other differences show an act of desperation.
Naveen Atray
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Timothy A. Pflederer says...
Posted Saturday, July 13, 2019
Great discussion everyone and i agree with all concerns expressed. These are rapidly changing times and it is going to be hard to keep up - let alone participate in a successful way. That said, this is also a great opportunity. Congress and the administration are not happy with the cost of kidney patient care - especially ESRD of which a significant contributor is vascular access. Current administration leaders have a personal interest with family members affected by kidney disease. HHS has been gathering input from patients, societies, and industry for the past couple of years. As an industry, we are not performing well and yet when incentivized in the ESCO program to make changes we saved $75 million in the first year (on only about 20,000 patients of the 500,000 Medicare ESRD). In the past year, RPA has had several meetings with HHS, CMS and CMMI to give input about how things could be improved and the importance of ensuring nephrologists are leading and benefitting from these efforts. They have heard that critical message and understand our workforce challenges. The Executive Order and ETC proposed rule that were announced last week reflect a lot of our input. Indeed, the KCF model (CKD MCP payment) is almost identical to the proposal RPA put forward and had approved by the PTAC last year - pay nephrologists an additional capitated monthly amount for doing CKD 4-5 patient population management. We now have opportunity to analyze the details and provide input on the proposed rule before it is finalized in November. (don't forget we will also need to do that for the proposed physician fee schedule and ASC fee schedules that will come out this coming week). ASDIN and RPA need to work hand in hand in that effort to ensure the interventionalist concerns are communicated.

Here is how my practice is looking at this Executive order and ETC rule. I encourage you to do something similar to see where you and your patients can benefit.
1. Will we be in the mandatory ETC model and if not is there an option to get in voluntarily? What are the financial implications of incentives under ETC – HDPA (1-3% increase), PPA (risk of positive or negative adjustment)?
3. Will we want to be in the KCF model (CKD MCP payment)?
4. Will we want to be in the Comprehensive Kidney Care Contracting model (integrated CKD, ESRD, transplant patient care) with other partners such as dialysis providers or transplant centers?
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