National Association for Behavioral Healthcare Issue Brief: Details About 9th U.S. Circuit Court of Appeals Ruling to Overturn Wit Vs. United Behavioral Health Decision
In a blow to parity this week, a three-judge panel of the
This NABH Issue Brief highlights brief background on the earlier decision from the trial court, as well as the main points of the three-judge panel's reversal of that decision this week in its seven-page ruling:
* The original Wit decision determined that patients' health and safety are protected when clinicians provide services consistent with GASC that are established by not-for-profit, professional associations, rather than insurance companies whose financial incentives often conflict with what is best for patients.
* The three-judge panel said it is "not unreasonable" for health insurers' coverage determinations to be inconsistent with GASC; however, the trial court's decision, including two 100-page decisions, described how UBH made medical coverage decisions based on financial interests.
* In its ruling, the appellate court's three-judge panel did not cite one holding or one fact that the trial court concluded, despite the trial court's exhaustive trial findings.
* The trial court's decision explained UBH's misrepresentation to regulators that UBH used
* The appellate court's three-judge panel ruled that UBH is not obligated to cover treatment consistent with GASC if the treatment is not a covered benefit; however, the plaintiffs did not argue that UBH was obligated to cover all services consistent with GASC. Instead, the plaintiffs argued that if services--such as outpatient, intensive outpatient, and residential treatment--are covered benefits, UBH must make medical necessity determinations that are consistent with GASC.
The deeply flawed ruling from the three-judge panel of the



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