HEALTH INSURANCE RATE REVIEW AND REGULATORY ISSUES Jan Graeber, ASA, MAAA Director and Chief Actuary Rate and Form Review Office Texas Department of Insurance 1 Actuaries Club of the Southwest Spring 2012 Meeting 2 Presentation Overview The Impact of the Affordable Care Act (ACA) on Rate Review Prior to the ACA New Requirements under the ACA The Enhanced Review and Its Impact Data Requirements for Rate Filings SERFF Requirements Data Required by Federal Regulations Rate Review in the 3 Prior to the ACA Reviewed limited selection of individual and small employer rates Reviewed rates that generated complaints Focused on rates that required approval Resources limitations prevented more expansive review ACA Implementation Timeline 4 2010 2011 2012 2013 2014 2015 2016 2017 Temporary High Risk Pool Program Temporary Reinsurance Program for Early Retirees Immediate Reforms No lifetime limits Restricted annual limits Restrictions on recessions Medical Loss Ratios with Rebates First dollar coverage of preventive services Extended dependent coverage Internal and external review Market Reforms Guaranteed issue No pre-existing conditions for adults Rating rules s No pre-existing conditions for children Rate increase disclosure and review Subsidies and Medicaid Expansion Individual and Employer Mandates CO-OP Plans and Multi-state Plans Risk Adjustment Individual Market Reinsurance Program and Risk Corridors Essential health benefits No annual limits for essential health benefits 2010 2011 2012 2013 2014 2015 2016 2017 Rate Review Requirements under 5the ACA 1. The Secretary must establish a process for annual review of unreasonable premium increases. 2. Issuers must submit justifications for increases to HHS and states before they take effect and post justifications on their website. 3. HHS will award grants to states to assist them in reviewing rates and to create data collection centers. 6 Rate Review Requirements under the ACA 4. States that receive grants must provide HHS: Data about trends in premium increases and Recommendations about which issuers participate in the based on patterns of excessive increases. 5. Beginning in 2014, HHS and states will monitor premium increases inside and outside the s. 6. States must take into account any excess premium growth outside the when deciding to offer large group plans on the. 1
7 Rates Subject to the Regulations Health insurance coverage excluding excepted benefits under the Public Health Services Act Individual and small employer markets Non-grandfathered plans Association coverage that, if not sold through an association, would be considered individual or small employer coverage Rate increases of 10 percent or greater in a 12-month period 8 Grant Funding to Support Rate Review Federal government provided grants to states TDI received a $1 million grant in September 2010 TDI received an extension to continue operations through September 2012 Grant requirements: Develop a plan to enhance rate review Quarterly reporting on health insurance rates and trends HHS deemed Texas a state with an effective rate review program. Rate Review Flow Chart Company submits a rate filing to TDI If the rate increase meets or exceeds 10% 10 The Review At-A- Glance SERFF Via paper Company must also file the Preliminary Justification via HIOS Insurance Specialist Assistant Actuary Certifying Actuary Actuarial review determines if increase is reasonable Review Complete Filings that are below the threshold are reviewed but are not publicly disclosed. TDI uploads the outcome of its review in HIOS HIOS filings only: Consumerfriendly information about the rate increase is publicly disclosed on HealthCare.gov TDI s website links to rate increase information on HealthCare.gov. Ensures filing is complete Closes filing once actuarial review complete Carries out the initial actuarial analysis Prepares summary for the certifying actuary Conducts final review of the rates and issues a decision 11 Steps in the Actuarial Review 12 Links to HealthCare.gov 1. Determine the pricing methodology and pricing target The regulations require that rate increases be publicly disclosed. 2. Determine why and how the company is changing rates 3. Verify that the magnitude of the rate change is appropriate 4. Verify the assumptions used to produce the rate change 5. Review calculations and assumptions for accuracy and consistency http://companyprofiles.healthcare.gov / 2
13 14 A wider range of rate filings are now reviewed. All rates increases must now be justified. The number of rate increases in the individual market has declined since 2009. There has been a general decrease in the magnitude of rate increases for these products. Decreased rates and neutral rates comprise a greater portion of rate filings in 2012. Year Count Average Minimum Max 2011 28-2.75% -14% 0% 2012 34-2.06% -13% 0% 120 Number of Rate Increases Requested 2002-2012 172 128 117 141 127 133 2002 2003 2004 2005 2006 2007 2008 2009 2010 2011 2012* *As of June 11, 2012. 145 109 94 30 Number for 2012 exceeds 2011 in only 6 months Largely due to one issuer that used a lower trend assumption and decreased base rates Three other issuers have also filed decreased or neutral rates in 2012 15 100% Decrease in the Magnitude of Rate Increases in the Individual Market 2002-2011 16 Data Requirements for Rates 90% 80% Helpful Tips to For Filing Rates with TDI 70% 60% 50% or greater 50% 40% Between 20% and 50% Between 10% and 20% Between 5% and 10% 30% Less than 5% 20% 10% 0% 2002 2003 2004 2005 2006 2007 2008 2009 2010 2011 120 173 128 117 141 127 133 145 109 94 Number of rate increases submitted in each year. 17 Required Data in SERFF Required as a condition of grant funding Reported quarterly HHS reviewed data for FFY 2011 quarters 3 and 4 Requested TDI ask issuers to revise inaccurate data Reopened over 150 filings for post-submission updates TDI developed a checklist based on HHS review 18 SERFF Data: Helpful Tips Applie s To Nature of Data All rates submitted, including SERFF and paper filings. High-level data Provides an understanding of the scope of the rate change Reviewers use the checklist to ensure: All fields are complete Issuer entered HIOS ID Rate increase is in a range of minimum, maximum, and weighted average (unless a uniform increase) Data is specific to that filing, not national or company-wide (i.e. covered lives figure is the actual number covered by the plans in that filing) Member months bear a logical relationship to reported covered lives Can calculate average new rate by dividing total projected premium by member months Prior rate and new rate dollar amount figures are in PMPM format 3
19 Data Required by Federal Regulations 20 Section 154.301(b) Two Categories: Section 154.301(b) of the final rule Lists 12 data elements states should consider in the review process, if applicable Preliminary Justification Submitted in HIOS only when rate is at or above 10% Consists of an Excel worksheet with experience data and a written explanation of the rate increase Guidance on CCIIO s website for completing the filing: http://cciio.cms.gov/resources/training/index.html#rir (3)(i) Medical trend changes by major service categories. (3)(ii) Utilization changes by major service category. (3)(iii) Cost-sharing changes by major service categories. (3)(iv) Benefit changes. (3)(v) Changes in enrollee risk profile. (3)(vi) Any overestimates or under estimates of medical trend for prior year periods related to the rate increase. (3)(vii) Changes in reserve needs. (3)(viii) Changes in administrative costs related to programs that improve health care quality. (3)(ix) Changes in other administrative costs. (3)(x) Changes in applicable taxes or licensing or regulatory fees. (3)(xi) Medical loss ratio. Tips: Regulations require this information to be reviewed to the extent applicable. Tell us what is driving the rate increase for that particular filing and provide supporting exhibits that allow us to draw the same conclusions. Use this list as a checklist for what you need to explain in your filing. 21 Rate Review in the 22 How Rate Review Fits into the Plan Management Functions Licensing and Solvency Accreditation and Quality Rate review Form review Network Adequacy Marketing Other Core Functions: Eligibility Enrollment Financial Management Consumer Assistance Plan Management is one core function of the Qualified Health Plans Certification Requirements Rate Review in the 23 24 Issuer must submit justifications for rate increases prior to implementation Post the justification on its website Charge the same premium rates for QHPs it offers inside the and similar plans outside Once certified, QHPs must Submit rates at least annually Continue to file justifications before increases take effect Set Small Business Health Options Program (SHOP) rates for an entire benefit or plan year Guaranteed issue and renewal Modified community rating Geographic rating areas Age, maximum ratio of 3:1 Family size and composition Tobacco use, maximum of 1.5:1 Risk mitigating programs Risk adjustment (permanent) Reinsurance (temporary) Risk corridors (temporary) 4
Contact Information 25 Actuarial team Karl Baker Karl.baker@tdi.state.tx.us 512.305.9848 Hector Garza Hector.garza@tdi.state.tx.us 512.305.8637 Stephen Nyamapfumba Stephen.nyamapfumba@tdi.state.tx.us 512.305.8185 5