RURAL DOCTORS ASSOCIATION OF AUSTRALIA. Submission to the Private Health Insurance Consultation

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RURAL DOCTORS ASSOCIATION OF AUSTRALIA Submission to the Private Health Insurance Consultation Via email: PHI Consultations 2015-16 Contact for RDAA: Jenny Johnson Chief Executive Officer Email: ceo@rdaa.com.au 3 December 2015 PO Box 3636, Manuka ACT 2603 Phone: 02 6239 7730 Web: www.rdaa.com.au

RURAL DOCTORS ASSOCIATION OF AUSTRALIA The Rural Doctors Association of Australia (RDAA) is a national body representing the interests of all rural medical practitioners and the communities where they live and work. Our vision for rural and remote communities is accessible, high quality health services provided by a medical workforce that is numerically adequate, located within the community it serves, and comprises doctors and other health professionals who have the necessary training and skills to meet the needs of those communities. INTRODUCTION RDAA welcomes the opportunity to contribute to consultations on the role and functioning of private health insurance (PHI) in Australia recognising that it is an important part of the health system. PHI can provide benefits to fund members, including rebates for private health services; rebates for a number of ancillary services not covered by Medicare; shorter waiting times for some services, including elective surgery; and choice of specialist. However, in rural and remote areas these benefits are often diminished or negated by the lack of access to health services and products enjoyed by people in urban centres. The cost of premiums and out-of-pocket expenses, the plethora of health insurance policies available, the range of variations and exclusions and the lack of plain English explanations which hamper the ability of rural people to assess the adequacy and appropriateness of health insurance products for their needs, are deterrents to the uptake of PHI. Almost one third of Australia s population lives in the range of farming, mining, tourism and Aboriginal and Torres Strait Islander communities that make up rural Australia. The diversity of these communities is reflected in differences in their social and economic determinants of health. On average people in rural and remote areas have lower incomes, lower levels of education and lower health literacy. These and other social determinants of health, and factors such as poor nutrition as a result of the reduced availability and high cost of fresh food and exposure to a broad range of physical risks related to occupation, contribute to rural people having higher rates of disease and injury and shorter life expectancy than people living in major cities. The fundamental needs of rural people for more easily available primary care and specialist services, and the underlying workforce and infrastructure issues contributing to poor access, must be recognised, prioritised and addressed to improve health and wellbeing outcomes. RDAA maintains the view that private healthcare services should be seen as a complement to not a substitute for the public health system. RDAA strongly supports Medicare as an effective national universal healthcare scheme. It is important to ensure that the PHI consultations are closely aligned with other healthcare reviews and processes, including the Medicare Benefits Schedule (MBS) Review and the work of the Primary Health Care Advisory Group (PHCAG). 1

RECOMMENDATIONS RDAA believes that it is important to: 1. Clearly articulate the role of private healthcare services as a complement to not a substitute for Medicare and the public health system. 2. Ensure any changes to private health insurance arrangements do not compromise primary health care provisions, and the public health system more broadly, to avoid adverse impacts on people in rural and remote areas. 3. Include appropriate rural representatives on all Australian Government health-related decision-making bodies to ensure that any changes to policy and regulation are sensitive to the differential impact they may have in rural and remote Australia. 4. Ensure that access to health services in rural and remote areas is supported, not further compromised, by private health insurance arrangements. 5. Maintain the community rating system for private health insurance to ensure that consumer protections are not eroded. 6. Ensure robust policy and regulatory frameworks for private health insurance to prevent potential conflict of interest or discriminatory practices which may exacerbate inequities. KEY ISSUES A greater focus on value for rural PHI fund members which recognises that their needs centre on access to primary care and specialist services, not alternative health and other inaccessible options, is required. In rural and remote Australia fewer people are covered by PHI than in urban areas. Affordability; lack of access to health professionals, services and products; and difficult to understand industry information and practices, prevent people living in rural and remote communities from fully benefitting from private healthcare and influence its uptake. Many people living in Australia s rural and remote communities are experiencing socio-economic disadvantage. For these people the increasing cost of PHI for annual cover, and out-of-pocket costs including for excess and gap payments, is prohibitively expensive. Those rural people who are insured often make considerable financial and other sacrifices to afford premiums. They do so in order to get timely access to care, avoid long waiting lists for public hospital and specialist consultations if they need to travel to a larger regional centre for treatment, and cover in the event of an unexpected emergency. Their decisions about the relative value of PHI are also governed by whether services can be accessed locally. High out-of-pocket expenses, including lost income, travel and accommodation, are also incurred when private health services 2

are not locally available. Lack of nearby access to the full range of services covered by PHI means that rural people are, in essence, paying more for less. Rural people, even if they are not PHI fund members, also subsidise the PHI industry through their federal tax contributions, further compounding access and cost inequities. In 2015-16 the Private Health Insurance programme will cost an estimated $6.34 billion 1. Those rural people who can afford or make sacrifices to afford PHI find it particularly valuable to be able to access visiting specialists and services like obstetrics, colonoscopies, endoscopies, radiology and general surgery as private patients at their local public hospital. They may also maintain it for unexpected accidents and emergencies. However, rural people are often significantly underserved: there is lack of access to these and many other private healthcare services and products so easily available in larger regional and urban centres. In addition to affordability and access issues, complex arrangements with preferred providers, an array of exclusions, and unclear or misleading language contribute to confusion and make it more difficult for people in rural and remote communities to make informed decisions about the relevance, adequacy and comparative value of health products and services covered by PHI, especially if they have lower health literacy. Access to health services in rural and remote areas must be supported, not compromised, by PHI arrangements. Any reduction in the number of private healthcare services that are currently being provided in rural and remote areas would be extremely detrimental to rural and remote patients. Policy and regulatory modifications to PHI arrangements must be carefully designed to ensure that access to services in rural and remote areas is supported, not compromised, by changes. It should be noted that being able to access private healthcare services locally also has critical flow-on effects in helping to retain generalist and specialist clinicians in rural communities, supporting the viability and sustainability of rural hospitals and taking pressure off the large regional and metropolitan hospitals by reducing their patient loads. The provision of incentives to improve access to services should be considered. Consumer protections must not be eroded. Removal of the community rating system for health insurance will allow the introduction of differential premiums based on lifestyle choices and risk factors. Such a move could further compromise the affordability of PHI for many rural and remote Australians and have significant adverse impacts on their health and on the health system more broadly. The view that responsibility for health costs associated with lifestyle choices and unhealthy behaviours should be borne by the individual not by all those paying for PHI has been promulgated as an argument for differential premiums. Any initiative that simplifies the notion of choice in relation to health behaviours gives rise to a 1 Table 3.1, Budget Strategy and Outlook Budget Paper No. 1 2015-16. p 5-13. http://www.budget.gov.au/2015-16/content/bp1/download/budget_paper_no_1.pdf. Accessed 25 November 2015. 3

number of concerns, not least of which is the assumption that choices are informed and made independently of other factors. In rural and remote Australia the importance of social, cultural and environmental determinants of health cannot be overstated. The inequities that exist in these areas inhibit the capacity of individuals and families to make healthy choices and to access preventive healthcare. Rural and remote patients should not be burdened with extra PHI costs simply because they have a higher risk of chronic and complex disease. Furthermore, if insurers are allowed to charge higher premiums on the basis of specific health risk factors, such as smoking or obesity, there is a danger that this will become a precedent for extending differential pricing to other risk factors such as genetic predisposition. It must also be noted that while some people may benefit financially in the shorter term from lower premiums under a differential pricing approach, potential benefits may be eroded over time by rising rates of health risk factors associated with affluence and ageing. Differential pricing could also increase financial stress for many Australians, not just those living in rural and remote areas. In a recent report by the Private Health Insurance Administration Council it is noted that the proportion of the population covered by private health insurance in Australia has declined significantly since the 1970s. In 1971 more than 77 per cent (or 10.2 million people) were covered and this had declined to 47 per cent (or 11.2 million people) by 2014. 2 If more Australians decide that private health insurance is unaffordable and not worthwhile given the range of exclusions and very high out-of-pocket gap fees, this decline could continue. There will then be increased pressure on the public health system and consequent cost implications. The role of private health insurers in primary health care must be clarified and regulated to ensure inequities of access are not further exacerbated. It must be recognised that increased profitability is a driver within the health insurance industry. To this end private health insurers explore a range of initiatives in the primary health care sector to increase their capacity to differentiate their products and increase market share. Some initiatives, such as those focused on support for behavioural change, may prove to be beneficial but their efficacy must be independently evaluated. Others, such as the trialling of preferential appointments where patients with PHI are given priority for appointments over those without PHI, give rise to equity concerns and the possibility of a tiered have and have not system of healthcare. In rural and remote communities, where access to services is already problematic, this type of initiative could further compromise the provision of health care and exacerbate inequities. Any inherent conflict of interest and potentially discriminatory practices must be subjected to careful scrutiny and regulation to ensure that Medicare does not become a default safety net in a tiered healthcare system. 2 Private Health Insurance Administration Council. Barriers to entry in the Australian private health insurance market. Research Paper 3. June 2015. p7 http://www.apra.gov.au/phi/phiac-archive/documents/barriers-to-entry_june-2015.pdf. Accessed 9 November 2015. 4