The Federal 340B Drug Discount Program: A Primer



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The Federal 340B Drug Discount Program: A Primer Andrea G. Cohen Manatt, Phelps & Phillips, LLP Presentation to the National Medicaid Congress June 4, 2006

Preview 340B Program Overview What is it Who is eligible Pricing/Discounts and Pharmacy Arrangements Revenue/Savings Opportunities 340B and Part D 340B and Medicaid State Opportunities 2 Issues to Watch

340B Overview What is it? Program established by Congress in 1992 Requires pharmaceutical manufacturers that contract with the Medicaid program to provide discounts on outpatient drugs purchased by covered entities, Generally, designated safety net providers that receive government funds Program named by section of the Public Health Service Act Original statute also amended the Medicaid statute, Section 1927 of the Social Security Act 3

340B Overview Covered entities include Federally-qualified health centers (FQHCs) ) and look- alikes Public and non-profit DSH hospitals that have indigent care contracts with state/local governments DRA added Children s Hospitals Ryan White CARE Act grantees Title X Family Planning/STD clinics TB and Black Lung Clinics Urban Indian clinics Homeless clinics Others 4

340B Overview 340B Program administered by the Office of Pharmacy Affairs (OPA) in the Health Resources and Services Administration (HRSA) 5

340B Discounts and Pricing 340B ceiling price = rough Medicaid net price (or AMP mandatory rebate amount under SSA 1927(c)) Impact of Medicare Part D best price exemption Impact of DRA Medicaid pricing changes Covered entities can negotiate prices lower than the ceiling price on their own or through a statutorily- chartered Prime Vendor program Actual 340B prices may be significantly lower than Medicaid net price 6

340B Discounts and Pricing Double rebates not permitted Manufacturers cannot be subject to 340B discount and Medicaid rebate on same drug DSH hospitals not permitted to obtain 340B discount and use Group Purchasing Organization 7

Estimated Prices Paid to Manufacturers Relative to List Price, for Brand-Name Drugs Under Selected Federal Programs, 2003 Average Manufacturer Price Nonfederal Average Manufacturer Price Best Price Federal Supply Schedule Price Medicaid Net Manufacturer Price 340B Ceiling Price Federal Ceiling Price Price Available to the "Big Four" VA Average Price DoD's Military Treatment Facility Average Price 8 Source: Congressional Budget Office. Notes: In this analysis, the list price is the average wholesale price. The Big Four are the four largest federal purchasers of pharmaceuticals: the Department of Veterans Affairs (VA), the Department of Defense (DoD), the Public Health Service, and the Coast Guard. 0 10 20 30 40 50 60 70 80 90 100

340B & Pharmacy Arrangements Covered entities can use in-house (outpatient) pharmacies to purchase and dispense 340B drugs If no in-house pharmacies, covered entities can contract with one outside pharmacy to act as dispensing agent Covered entity owns the drugs, but has them shipped to contract pharmacy Complex recordkeeping/tracking systems required to ensure discount drugs are not diverted 9 Alternative Methods Demonstration authority allows HRSA to waive one contract pharmacy rule Some covered entities use several contract pharmacies to dispense 340B drugs Others have created networks to allow patients a choice of pharmacies

Patients 10 340B drugs may only be dispensed by a covered entity to a patient of that covered entity What makes a person a patient? Covered entity has relationship with individual such that it maintains a record of the individual s health care; and Individual receives health care services/prescription from health care professional Employed by the covered entity, or Providing services under contractual, referral or other arrangement such that responsibility for care remains with covered entity; and Services the individual receives are consistent with the covered entity s grant funding (does not apply to DSH hospitals) Patient definition causes significant confusion lots of very gray areas Examples

340B Offers Savings/Revenues for Safety Net Providers 340B law does not require covered entities to pass on discounts to patients or 3 rd party purchasers Covered entities that provide free or reduced price/sliding scale drugs to low-income patients can save money by using 340B drugs Covered entities that bill insurance or government payors for patients drugs can make money by using 340B drugs Medicaid reimbursement poses special issues 11

340B and Part D: Payment Terms 12 Covered entities may dispense 340B drugs to patients who are enrolled in Part D plans Reimbursement is negotiated by covered entity with Part D plan CMS/HRSA have prepared a model addendum for Part D contracts for 340B covered entities Entities/Part D plans not required to use the model addendum Part D plans not required to contract with 340B covered entities, though encouraged Interplay with any willing provider provision Some Part D plans offer standard payment terms, others reduced reimbursement to 340B covered entities to capture benefit of 340B discount In some cases, Part D plans may not know about the use of 340B drugs, e.g. in contract pharmacy scenario Payment negotiation issues increasingly contentious policy issue Covered entities want CMS/HRSA to weigh in

340B and Part D: Copayment Assistance Typically, many covered entities have missions/grants that require them to provide co- payment assistance or sliding scale fees for drugs to low-income patients low income for covered entities may exceed Part D s LIS levels When patients are enrolled in Part D, co-payment assistance provided by most covered entities (FQHCs,, DSH hospitals, etc.) does NOT count toward TrOOP 13

340B and Part D: Copayment Assistance Co-payment waivers subject to specific CMS/OIG rules to avoid anti-kickback concerns Waivers can t be routine; Indicia of need or inability to pay; Not advertised Covered entities may need to consider new ways to advance mission for low-income patients enrolled in Part D who cannot afford copays 14

340B and Medicaid General rule: drug may not be subject to both 340B discount and a Medicaid rebate Known as double dipping State may elect to claim Medicaid rebate whenever possible In that case, covered entities may not use 340B drugs for Medicaid patients Exceptions where Medicaid reimburses for drugs under bundled per diem or per visit rate and rebate cannot be pursued OR 15

340B and Medicaid State may elect to forgo Medicaid rebate and reimburse for 340B drug at 340B acquisition cost + dispensing fee/admin fee State must evaluate potential for budget savings Weigh difficulty of pursuing rebates on the back end; value of supplemental rebates; state s up-front reimbursement rate, etc. E.g., Massachusetts 16

340B Take Up In January 2006, there were 12,469 Federal grantee covered entities Family Planning Clinics (Title X) 40% FQHCs 22% Disproportionate Share Hospitals 12% Sexually Transmitted Disease Clinics 11% Tuberculosis Clinics 8% FQHC Look-Alikes,, AIDS Clinics, Black Lung Clinics, Hemophilia Treatment Centers, Urban Indian Clinics, Native Hawaiian Health Centers 7% 17

340B Growth Expected All covered entities 2005 (actual): 12,000+ 2007 (projected): 14,000 Participating Hospitals (including DSHs) 2005 (actual): 1200+ 2007 (projected): ~ 2000 Contracted Pharmacy Arrangements 2005 (actual): 1075 2007 (projected): 1786 18 Source: Presentation by Jim Mitchell. "Office of Pharmacy Affairs Update." July 2005.

Eligible Health Facilities For 340B Pharmaceutical Discounts as of January 1, 2006 States with Highest Numbers CA 1058 GA 838 NY 816 TX - 664 19 Source: NCSL. States and the 340B Drug Discount Program. http://www.ncsl.org/programs/health/drug340b.htm

340B and State Partnerships 20 State and local government are increasingly partnering with 340B covered entities to reduce prescription drug costs for certain populations Opportunities for savings on drugs purchased by government programs for Medicaid State-financed health insurance other than Medicaid (immigrants; childless adults) Prison populations Mental health populations Nursing home residents in publicly-owned facilities State employees To take advantage of 340B prices, government- funded populations must be patients of 340B covered entities

Texas 2001 Legislation required University of Texas Medical Branch at Galveston to purchase drugs through 340B for inmates in UTMB managed care program One contracted pharmacy in Huntsville handles all 340B drug dispensing for inmates 21 Source: 1) Texas State Senate Legislation SB 347. 2) Presentation by Nancy Gast. Texas Department of Criminal Justice (TDCJ) Managed Care 340B Pricing Initiative.

California Recent legislation Authorizes the Department of Corrections to set up a pilot project to provide drugs for inmates through 340B (AB 77; Signed into law 10/05) California Performance Review recommends involving the University of California (a covered entity) as the primary provider of health services to California s inmate population Requires State DOHS to develop a standard contract for private nonprofit hospitals to facilitate participation in 340B program (SB 708; Signed into law 9/05) 22 Source: Official California Legislative Information Web Site. http://www.leginfo.ca.gov/.

West Virginia Workgroup Established in 2003 with representation from Governor s office, State DHHS, Medicaid, Primary Care Association Increase number of covered entities Increase number of dispensing pharmacies Prioritize contracts with independent pharmacies Enhance coordination of care by forming 340B covered entity network Increase programs that offer cost savings in prisons, Medicaid programs, etc. Pharmacy Cost Management Council Established through 2004 Law Makes recommendations to the Governor and Legislature on drug prices, expanding 340B 23 Source: Presentation by Scott Brown and Phil Schenck. West Virginia: The Health Care System and 340B. July 2005.

West Virginia Launching large-scale educational effort to increase participation in 340B Presentations to Governor s Cabinet, Pharmacy Cost Management Council, DHHS, Public hearings Promotion through WV Primary Care Association Discussions with Board of Pharmacy, Pharmacist s Association 24 Source: Presentation by Scott Brown and Phil Schenck. West Virginia: The Health Care System and 340B. July 2005.

Issues to Watch 25 Enforcement of anti-diversion rules Enforcement of pricing rules Drug shortages New guidance on definition of patient New guidance on use of contract pharmacies Implementation of expansion to children s hospitals OVERALL: Tensions between program expansion and heightened attention to program integrity issues Providers Manufacturers Regulators

Questions? Andrea G. Cohen Counsel Manatt, Phelps & Phillips, LLP acohen@manatt.com 212-790-4562 26