Options to change Medicare payment for outpatient prescription drugs and biotechnology products

Authors

  • Thomas Barker Foley Hoag
  • Maia Larsson Foley Hoag

DOI:

https://doi.org/10.5912/jcb480

Keywords:

Medicare, ACO, Prescription Drugs, Biotechnology

Abstract

The debates over the Obama Administration’s health care reform law, and, more recently, the federal budget deficit and national debt have focused attention on the growth in costs of the Medicare program.  Three approaches to reducing Medicare expenditures command the most attention.  Under the first, changes to the Medicare delivery system – such as accountable care organizations (ACOs) and medical homes – are believed to have the potential to reduce the growth in costs in the program over time.  Under the second, tinkering with the reimbursement formulae in the Medicare program – pejoratively, government “price fixing†– will reduce the price that Medicare pays for an item or service, thereby reducing the growth in costs.  A third approach – converting Medicare to a premium support or defined contribution model – has been passed by the House of Representatives, but has failed in the United States Senate.

This article addresses the effect of these various approaches on Medicare payment for outpatient prescription drugs and biotechnology products.  It begins by analyzing the Administration’s ACO regulation and the effect that this regulation may have on reimbursement for outpatient prescription drugs and biotechnology products.  It then addresses legislative proposals to alter the Medicare reimbursement formulae for these products.  It concludes by speculating on how the Medicare reform legislation passed by the House of Representatives might affect reimbursement for outpatient prescription drugs and biotechnology products.

Author Biographies

Thomas Barker, Foley Hoag

Thomas Barker is a partner in the life sciences government strategies practice at the law firm of Foley Hoag LLP.  Prior to joining Foley Hoag in March of 2009, Mr. Barker was the Acting General Counsel of the U.S. Department of Health and Human Services and the Deputy General Counsel for the Centers for Medicare & Medicaid Services (CMS) Division of the General Counsel’s office.  Mr. Barker is an adjunct professor at the George Washington University School of Public Health and Health Services in Washington, D.C. and the Suffolk University School of Law in Boston

Maia Larsson, Foley Hoag

Maia Larsson is an associate in the life sciences government strategies practice at the law firm of Foley Hoag LLP, and focuses her practice on issues involving CMS, as well as general health policy matters.  Ms. Larsson received her law degree from Boston University School of Law and B.A. from Stanford University.  Prior to law school, Ms. Larsson worked for U.S. Senator Dianne Feinstein on Capitol Hill.

Published

2012-01-01

Issue

Section

Article