Medicaid and CHIP Payment and Access Commission Releases March 2021 Report to Congress
The Medicaid and
"This report offers
Chapter 1 addresses the challenge that states face during recessions when Medicaid enrollment grows and state revenues decline. Although
Chapter 2 focuses on Medicaid's essential role in maternal health, highlighting the importance of postpartum care in the year after delivery and the unacceptably high rates of maternal mortality and morbidity among people of color generally and among those covered by Medicaid specifically. Medicaid coverage for individuals enrolled in Medicaid coverage by virtue of their pregnancy ends after 60 days postpartum, causing disruptions to care and access to coverage. Drawing on a deep body of evidence, Chapter 2 contains recommendations that would expand postpartum coverage under Medicaid, including making it mandatory for states to extend postpartum coverage from 60 days to a full year with 100 percent federal matching rate.
Chapter 3 examines the burden of Medicaid estate recovery, which often falls on those with modest means, and may disproportionally affect people of color and perpetuate intergenerational poverty. Federal law requires state Medicaid programs to seek recovery from the estates of certain deceased beneficiaries for payments for long-term services and supports (LTSS) and other services. The chapter contains three recommendations related to easing the burden of estate recovery, including making estate recovery optional, rather than mandatory, as was allowed under prior law.
Chapter 4 continues the Commission's work integrating care for individuals who are dually eligible for Medicaid and Medicare. The chapter examines key design issues that would have to be addressed to establish a unified program for the dual eligible population. Medicare and Medicaid are administered and financed differently, and were designed to accomplish different goals, making fully integrating these programs a challenge. A unified program could simplify coverage for beneficiaries, providing care and services under a single umbrella.
The final chapter contains MACPAC's annual report on Medicaid disproportionate share hospital (DSH) allotments to states. As in prior years, the Commission continues to find little meaningful relationship between state DSH allotments and the number of uninsured individuals; the amounts and sources of hospitals' uncompensated care costs; and the number of hospitals with high levels of uncompensated care that also provide essential community services for low-income, uninsured and vulnerable populations. It also summarizes limited information about the early effects of the COVID-19 pandemic on safety-net hospitals. MACPAC has been required by statute to report on these indicators of hospitals' need for DSH funds since 2016.
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The Medicaid and



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