Statement of ACAP on the Thirteenth Anniversary of the Affordable Care Act
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"Over the last 13 years, the Affordable Care Act has provided tens of millions of Americans with something they hadn't had before - a source of reliable, affordable health coverage no matter their income.
"Despite multiple legal challenges and efforts to sabotage the law, the ACA has been remarkably resilient - more than 16 million people signed up this year for Marketplace coverage, more than ever before. It's a sign that the ACA works, and works well.
"But there are still numerous, obvious improvements that remain. First, a few states have not yet expanded their Medicaid programs. It seems like
"We also saw the one of the most dramatic improvements to health coverage in recent years pass just a few months ago - 12 month continuous eligibility in Medicaid and CHIP for children and new moms. While states have time to implement continuous eligibility for children, we urge them to do so as soon as practical.
"Finally, junk insurance plans continue to threaten the health and financial security of individuals and families by using deceptive marketing practices to make people believe they provide comprehensive coverage that they do not. The Biden administration can build on the promise and progress of the ACA by improving regulation of junk plans.
"The Affordable Care Act is America at our best: we saw pervasive uninsurance and underinsurance among our fellow citizens, despite all we spend on health care, and we said 'we can do better.' It's a testament to our willingness to do better by our fellow Americans - and we stand ready to work with
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To: The Honorable
The Honorable
The Honorable
RE: New Rulemaking on Short-Term, Limited
Dear Secretary Becerra, Secretary Yellen, and Acting Secretary Su,
Over the next year, millions of consumers are expected to lose their Medicaid and CHIP coverage beginning in April as states begin Medicaid redeterminations for the first time since the onset of the pandemic. They will be forced to begin the search for new health insurance by looking online or reaching out to brokers. While the goal is to connect these people with affordable coverage through the Affordable Care Act (ACA) Marketplaces, many will be at high risk of remaining uninsured or being lured into low-cost products that won't protect them.
ACAP is an association of 79 not-for-profit and community-based Safety Net Health Plans (SNHPs). Our member plans provide coverage to more than 20 million individuals enrolled in Medicaid, the
As you know, short-term, limited duration insurance (STLDI) plans have been on the docket for review since
As you know, STLDI plans are currently exempt from ACA- consumer protections such as the requirement to cover pre-existing conditions; the prohibition on coverage rescissions; coverage of essential health benefits such as prescription drug coverage, behavioral health services, substance use disorder coverage, and maternity coverage; prohibitions on underwriting; and no annual or lifetime limits on coverage. These plans are also exempt from medical loss ratio requirements, providing a profit motive to limit benefits and deny coverage. Further, such plans often mislead consumers into believing they are purchasing ACA-compliant plans; often their marketing representatives and brokers provide verbal assurances of coverage in case of accident or illness.
As you know, STLDI plans are currently exempt from ACA- consumer protections such as the requirement to cover pre-existing conditions; the prohibition on coverage rescissions; coverage of essential health benefits such as prescription drug coverage, behavioral health services, substance use disorder coverage, and maternity coverage; prohibitions on underwriting; and no annual or lifetime limits on coverage. These plans are also exempt from medical loss ratio requirements, providing a profit motive to limit benefits and deny coverage. Further, such plans often mislead consumers into believing they are purchasing ACA-compliant plans; often their marketing representatives and brokers provide verbal assurances of coverage in case of accident or illness.
Historically, STLDI plans were intended to serve as a stopgap for consumers whose employer-sponsored insurance required a waiting period.1 With the passage of the ACA, this use became moot, as employer-sponsored waiting periods are now limited and consumers can now access subsidized comprehensive coverage in the Marketplace as stopgap protection.
With millions of consumers slated to begin losing Medicaid in the coming months, it is past time that this Administration issue a new rule limiting STLDI plans to their intended purpose: short in term and limited in duration. We urge you to act to protect consumers from being duped into buying policies that won't cover their health needs if they become sick or injured by moving quickly to implement a new rule limiting STLDIs and improving regulation of non-ACA-compliant coverage.
We urge you to consider implementing the following provisions as part of any new rule:
* Limit STLDI plan terms. Following both the letter and spirit of the ACA, we urge CMS to limit STLDI plans to no longer than 3 months and prohibit renewability, consistent with the 2016 rule issued under
* Improve consumer disclosures. Require that all non-ACA-compliant plans disclose specifically how they do not comply with the ACA so that consumers are aware of exactly what they are purchasing. Currently, STLDI plans, for example, must only disclose that they may not comply with all aspects of the ACA, but such limited information does not elucidate what the key differences are.
* Require coverage terms end on
* Prohibit the sale of non-ACA compliant plans during open enrollment. Many consumers end up in non-compliant plans after doing an internet search for "ACA insurance," only to be duped into a non-compliant plan that they think is an ACA plan--either through deceptive marketing and ad searches or from direct outreach from brokers who may receive higher commissions for non-compliant plans. Prohibiting the sale of STLDIs and other non-compliant plans during open enrollment will prevent consumers from accidentally purchasing such coverage when they are trying to buy ACA coverage, while at the same time limiting the detrimental impact on the risk pool of products being marketed as "alternatives" to ACA coverage.
* Limit other non-ACA compliant "junk" insurance. While STLDI plans are some of the most talked about forms of non-compliant coverage, consumers are more and more falling prey to other similar products, such as fixed indemnity or limited medical and Health Care Sharing Ministries. We urge CMS to consider what other types of non-compliant "insurance" are proliferating that put consumers at risk and draw them away from the individual market risk pool, thereby increasing premiums for ACA-compliant plans.
* Improve data collection. Finally, we urge CMS to improve data collection requirements for STLDI and other non-compliant plans. Unfortunately, no one has a complete understanding of how much such products are being sold, with limited NAIC reporting requirements and no CMS reporting requirements. We urge CMS to institute data collection and reporting requirements for all non-compliant coverage. For example, STLDI meets the definition of both health insurance and creditable coverage under HIPAA and we urge CMS to use its authority to require improved data collection and reporting.
Thank you for your consideration of these important issues; please reach out with any questions to
Sincerely,
Footnotes:
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Original text here: https://www.communityplans.net/2023/03/23/statement-of-acap-on-the-thirteenth-anniversary-of-the-affordable-care-act/



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