America's Frontline Physicians Offer Recommendations for Action to New Administration
This letter, written on behalf of 590,000 physicians and medical students represented by six medical associations including the AOA, offers recommendations to the new administration on issues to be prioritized for action.
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To: The Honorable
Dear President Biden:
On behalf of America's frontline physicians, we write to congratulate you on your election as the 46th president of
Our six organizations, and the more than 590,000 frontline physicians we represent, provide the overwhelming majority of care to our nation's children, pregnant women, adults, and elderly for a full range of physical, mental, and substance use conditions. Each day, our physician members provide health care to patients in communities large and small, urban and rural, rich and poor, and play a critical role in caring for patients with COVID-19. Please see our website, America's Frontline Physicians: The Group of 6, to learn more about our organizations and the issues that we address together.
We would like to be a resource to you and your administration in taking on the opportunities and challenges of improving
Implement a Science-Based and Public Health Approach to End the COVID-19 Pandemic
Our organizations are greatly encouraged by your administration's commitment to an evidence-based approach to ending the COVID-19 pandemic, and the reliance on medical and scientific leadership in this effort. We strongly support the goals announced in the National Strategy for the COVID-19 Response
and Pandemic Preparedness, and in related executive actions, including to massively expand access to treatment, vaccination, and testing; ensure an equitable pandemic response and recovery for communities that have been disproportionately impacted by the pandemic; and provide global leadership and engagement, including rejoining the
* Ensure that community-based physicians and medical students are prioritized and have access to the COVID-19 vaccines. According to the
* All vaccinators, including those working in pharmacies and retail health clinics, should coordinate, collaborate, and communicate with the patient's primary care team to ensure patient safety and continuity of care. This includes providing appropriate paperwork to patients, referring patients to their physician for any necessary counseling and follow-up care, and having a structured referral system to primary care settings.
* We urge the
* Ensure reasonable efforts to track administration and document vaccination. We support funding for a coordinated effort to improve the electronic exchange of public health data to support public health registries.
* Require insurers to provide adequate payment for administration of all vaccines, including COVID-19 vaccines. Payers also need to inform care teams of billing, coding, and other information necessary to obtain prompt payment for not only administering the vaccine, but also for providing counseling and follow-up care.
* Work with
* Build public confidence in COVID-19 vaccines by appropriately preparing physicians and other vaccine providers to engage in effective conversations with patients and families. Despite the seriousness of the spread of COVID-19, a large number of Americans are still hesitant to take the vaccine, including many health care workers. Some are influenced by misinformation being spread about the vaccine's safety and effectiveness, and others are wary due to the speed of the vaccine's development and historical racism in medical research.
Physicians are frontline experts and will be among our most important messengers to instill confidence among the general public. Clinicians must have access to data and other information needed to be able to answer patients' questions about vaccine safety and efficacy. It is imperative that the administration boost education efforts about the safety and effectiveness of the vaccines so frontline health care workers can in turn share this information with the general public. These efforts must also be complemented with awareness campaigns to address vaccine hesitancy by funding the newly authorized VACCINES Act (Sec. 313 of the Public Health Service Act).
Finally, we must also address the recent decline in non-COVID-19 immunization rates. One of the unfortunate side effects of the COVID-19 pandemic is the dramatic fall in regular immunization rates among children and adults. Unfortunately, this decline in immunizations threatens herd immunity levels. To ensure that children, adolescents, and adults are still receiving routine immunizations, we must focus not only on the COVID-19 vaccine rates over the next several months, but also routine immunizations by encouraging Americans to continue receiving recommended primary care.
* We applaud the use of the federal government's authority to expand use of masks as part of a comprehensive strategy to slow the transmission of COVID-19.
Expand Health Care Coverage and Protect Access to Care
The Affordable Care Act (ACA) has played an essential role in extending coverage and patient protections to millions of Americans, including those with pre-existing conditions. Our organizations have championed policies to expand ACA coverage to reach more people and provide a greater level of protection from the costs of health care, and opposed actions that undermine coverage and patient protections. We offer the following recommendations to build and improve on the ACA:
* We strongly support your decision to establish a COVID-19 open enrollment period for individuals and families to be able to enroll in an ACA marketplace plan as included in the Executive Order Strengthening Medicaid and the Affordable Care Act.
* We appreciate that the same executive order requires agency review of policies that undermine protections for people with pre-existing conditions, demonstrations, and waivers under Medicaid and the ACA that may reduce coverage or undermine the programs; policies that undermine the
* We specifically urge you to prioritize halting and reversing the "Short-Term, Limited
* We urge you to expand the 45-day ACA annual enrollment period to at least 90 days.
* We strongly recommend that funding and support for ACA outreach and navigators be increased.
* We urge you to work with the 117th
* We urge you to reverse the public charge rule. Our organizations spoke out forcefully in opposition to the public charge final rule. The public charge regulation that forced families to choose between accessing critical services or remaining together in our country has created a chilling effect that is going to take extensive work to address, and it requires the attention of policymakers at all levels. We appreciate that you have taken bold action early on in your administration to begin the process of reversing this rule.
Expand and Strengthen Medicaid
Medicaid provides an essential source of coverage for more than 75 million children, pregnant women, adults, and seniors. The ACA created policies, including federal funding for Medicaid expansion, that have allowed many more people to qualify for coverage, yet more can and must be done to strengthen and expand Medicaid, including reversing current restrictions at state and national levels that are creating barriers to care. We are encouraged by your executive order requiring agencies to examine policies or practices that may present unnecessary barriers to individuals and families attempting to access Medicaid or ACA coverage, and that may reduce the affordability of coverage or financial assistance for coverage, including for dependents. Our organizations specifically recommend that you:
* Seek enactment of legislation to increase the Federal Medicare Assistance Percentages (FMAP) during the public health emergency (PHE) and at least through the end of CY 2021. We support the goals of your
* Continue your efforts to revise agency guidance and review existing state waivers to ensure guidance and waivers are consistent with the intent of the Medicaid program and appropriately increase beneficiaries' access to needed care. Specifically, we strongly support withdrawing the 1115 Community Engagement Initiative guidance and the Healthy Adult Opportunity guidance, and rescinding approval for waivers that reduce coverage, such as those that condition eligibility on work requirements and those that reduce benefits via eliminating retroactive eligibility.
* Rescind approval for waivers that reduce coverage, such as work and community engagement requirements; that include high premiums and cost sharing on beneficiaries; or that seek to eliminate or pare back retroactive coverage, non-emergency medical transportation, and other crucial benefits.
* Approve pending waivers that broadly expand coverage, including waivers that allow payment for behavioral health treatment services provided in Institutions for Mental Diseases and proposals to extend postpartum Medicaid coverage beyond 60 days without narrow applications to subpopulations.
* Work with
*
Improve Health Care for Women; End Interference in the Patient-Physician Relationship
We applaud your commitment to supporting women's and girls' sexual and reproductive health and rights in
* As stated above, we urge the administration to approve Section 1115 waivers that seek to extend Medicaid coverage for pregnant individuals beyond 60 days postpartum. HHS has affirmed that Medicaid plays a critical role in protecting our nation's mothers from adverse maternal health outcomes, including maternal mortality. Continuous access to Medicaid is crucial to addressing our nation's shameful rising rate of maternal mortality. Medicaid paid for 43 percent of
* We appreciate your swift action in issuing an executive order requiring a review of the Compliance with Statutory Program Integrity Requirements rule and any other regulations governing the Title X program that impose undue restrictions on women's access to complete medical information. We strongly urge the administration to rescind this rule immediately, reverse other harmful policies that interfere with the patient-physician relationship, and implement policies that affirm a woman's right to comprehensive, evidence-based, essential health care. The current Title X regulation threatens women's lives by severely restricting access to medically accurate, preventive health care for millions of low-income women and adolescents
* Rescind the Religious Exemptions and Accommodations for Coverage of Certain Preventive Services Under the Affordable Care Act and the Moral Exemptions and Accommodations for Coverage of Certain Preventive Services Under the Affordable Care Act regulations, which undermine the ACA by undercutting access to contraception without cost-sharing. These rules created a dangerous new standard for employers to deny their employees coverage based on their own religious or moral objections. This interferes in the personal health care decisions of our members' patients, and inappropriately inserts a patient's employer into the patient- physician relationship. In addition, these rules open the door to religious or moral exemptions for other essential physician-recommended preventive services, such as immunizations. No- copay coverage of contraception has an undeniable positive effect on the health of women and families everywhere, as well as the economic health of the nation by saving money for taxpayers and state and federal governments. In 2010, unintended pregnancies cost approximately
Address Physician Workforce Issues
Our nation is facing a significant shortage of primary care and mental health physicians. We look forward to working with your administration to grow the physician pipeline and ensure a robust and diverse health care workforce.
* Our organizations recommend you reverse the Strengthening Wage Protections for Temporary and Permanent Employment of Certain Aliens in
* We strongly support your revocation of Executive Order 13950, which prohibited federal agencies and contractors from offering or supporting certain forms of implicit bias training, including in medical schools and residency programs that receive federal funding.
* Our organizations appreciate your proclamation to extend the pause on federal student loan payments and collections through
Reducing Administrative Burden in Health Care
Our organizations believe that as the health care system continues to evolve to one based on the value of care over the volume of services, and as we strive toward ensuring more equitable care to underserved communities, it is critical to expand and accelerate efforts to meaningfully reduce administrative burden. We recognize that this has been a focus of some efforts to date by the CMS office of Burden Reduction and Health Informatics-and believe that it is critically important to put patient care first by reducing unnecessary administrative burden. However, while well-intentioned, not all of these approaches have achieved their intended outcome; therefore, we encourage your administration to prioritize the following actions:
* Continuously evaluate the impact of regulations and administrative tasks on clinicians and patients. We are encouraged by the Biden administration's recently released Memorandum regarding Modernizing Regulatory Review and stand ready to work with you to ensure its implementation in a manner that includes assessments of the financial, time, and quality-of-care impacts for new and existing regulations on clinicians and patients. We sincerely appreciate that the modernization effort will also focus on how the regulatory review process can promote public health, social welfare, and racial justice.
* Our organizations believe strongly in the importance of streamlining and/or eliminating prior authorization. We believe that all industry stakeholders (e.g., private payers, public payers, and vendors) should standardize and automate prior authorization processes and requirements across the health care system in order to minimize restrictions that prohibit timely access to medically necessary health care services. The previous administration recently finalized a rule titled Reducing Provider and
* Reissue the Requests for Information (RFIs) that were originally included in "Reducing Provider and
* Continue and expand upon efforts to leverage health information technology (IT) to reduce administrative burdens and improve usability and interoperability of health IT, clinical workflows, and patient access to electronic health information. It will be critical to collaborate with stakeholders, including frontline clinicians to make better use of new and existing health IT.
* Improve health care performance measurement by continuing to engage with specialty societies, frontline clinicians, patients, and health IT vendors in the development, refinement, testing, and implementation of measures with a focus on decreasing clinician burden and integrating the measurement of performance with quality improvement, care delivery, and clinical workflow.
We appreciate the opportunity to work with you and your administration, and hope you will view our organizations as trusted resources, as we work collectively to create a health care system that provides every American with the care they need, at the time they need it, with equity and justice for all.
Sincerely,
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