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Tauzin, Greenwood Investigate Hospital Billing Disparities for the Uninsured
WASHINGTON (July 16) --As part of an investigation into the billing inequalities
many uninsured patients face during hospital visits, House
Energy and Commerce Committee Chairman Billy Tauzin (R-LA) and Oversight and Investigations
Subcommittee Chairman James Greenwood (R-PA) today sent letters to the following
medical providers:
Adventist Health, Roseville,
CA;
Ascension Health, Inc., St. Louis, MO;
Catholic Healthcare Partners, Cincinnati, OH;
Catholic Health East, Newtown Square, PA;
Catholic Health Initiatives, Denver, CO;
Catholic Health West, San Francisco, CA;
HCA, Nashville, TN;
Los Angeles County Department of Health Services, Los Angeles, CA;
Marian Health Systems, Tulsa, OK;
Mayo Health Systems, Rochester, MN;
New York-Presbyterian, New York, NY;
NYC Health and Hospitals Corporation, New York, NY;
North Shore Long Island Jewish Health System, Great Neck, NY;
Providence Health System, Seattle, WA;
Sutter Health, Sacramento, CA;
Tenet, Santa Barbara, CA;
Triad Hospitals, Inc., Plano, TX;
Trinity Health, Novi, MI;
UC Davis Health System, Sacramento, CA;
Universal Health Services, King of Prussia, PA.
July 16, 2003
Dear _____:
The Committee on Energy and Commerce is conducting an investigation into the
billing practices of certain medical providers under which the uninsured are
expected to pay substantially higher amounts for medical services than
third-party health plans such as medical insurers, health maintenance
organizations, and preferred provider organizations (collectively,
"third-party health plans"), or government health care programs. These
practices raise significant public health and consumer protection issues. The
uninsured seem caught in the middle of the sophisticated and complicated forces
driving health care financing including government entitlements, managed care,
rising costs and shrinking public funds. The Committee is approaching your
hospital system, as well as other large acute care hospital systems, to obtain
further information about these issues.
We understand that medical providers commonly interpret Federal law to
require the establishment of uniform charge master lists setting forth rates for
each of their services. Yet, based on the Committee's preliminary investigation,
these rates are often inflated far beyond their actual costs and reasonable
profit due, in part, by the providers' need to make up for the steep discounts
from charge master prices demanded by the third-party health plans. For example,
according to the U.S. Department of Health and Human Services, California urban
hospitals in 2002 averaged a 304.8% mark-up over actual costs in their master
charge list prices. While the third-party health plans have bargained to pay far
less than these retail charges, individual uninsured patients are expected to
pay this full, undiscounted, "sticker" price.
This pricing system also may have other unintended and undesirable
consequences. Because these "self-pay" individuals receive bills much
higher than other patients for the exact same services, medical providers may be
generating a disproportionate share of profit from this relatively small group
of patients. Data published for the first time by the California Office of
Statewide Health Planning and Development, which is part of the California
Health and Human Services Agency, suggests that the 2001 net revenue of one
hospital chain in that State, for its self-pay, uninsured and walk-in patients -
who, as a whole, accounted for less than 2% of the chain's total patient
population - accounted for as much as 35% of the chain's total profits in that
State.
Further, while we recognize that Federal law also directs providers to seek
full payment on all medical bills, we are concerned that the current system may
give incentives to providers not to work with patients in developing payment
plans and other structured arrangements.
In this regard, pursuant to Rules X and XI of the U.S. House of
Representatives, please provide the Committee with the following records and
information by July 31, 2003. For the purpose of responding to these requests,
please observe the following definitions: "you" or "your
system" means both your parent system as well as individually each acute
care hospital within this system; "self-pay" means any patient who (1)
has no applicable coverage through a third-party health plan, (2) is not
enrolled or eligible for any government-sponsored program such as Medicare,
Medicaid, or state or county indigent care, and (3) is not eligible for charity
care; "elective procedure" means any medical care sought only for
aesthetic or physical enhancement such as cosmetic surgery or eye correction but
not including reconstruction or any such procedure recommended by a medical
provider for rehabilitation or health reasons; "uninsured" means any
self-pay patient not undergoing an elective procedure; "charity care"
means any financial assistance or gift, from any source, which directly covers
all or part of an individual patient's medical expenses submitted to that
patient for payment but not mean any general payments to you for the indirect
benefit of patients in the form of facilities or other such overhead; and
"payment planning assistance" means any type of counseling or
assistance to schedule, structure or tailor the payment of medical accounts
based on the financial circumstances of a particular patient.
Please note that Requests No. 1, 2, 3, 4, 5, 6, 7, 8, 11, 13, 14, and 20 ask
for narrative responses or a statement of specific data. The breadth and
timeliness of this investigation require you to prepare and submit complete
written responses, as appropriate. To avoid any doubt, answers by way of simple
reference to produced documents will be considered insufficient and incomplete
for the purposes of this investigation.
Finally, for the purposes of these requests, please do not provide any
patient names or patient specific or individually identifiable health
information. Also, with respect to questions regarding matters of billing,
payment or collection, please do not produce any records which relate only to
the accounts of individual, specific patients.
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For the period beginning January 1, 1998, and for each subsequent
calendar quarter, please provide the following information for each acute
care hospital within your system, using the format of the chart below.
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Net operating income;
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Total patient days;
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Net revenue collected per patient day from;
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Fee-for-service Medicare
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Medicare+Choice
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Net revenue collected per patient day from;
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Fee-for-service Medicaid
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Managed Medicaid
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Net revenue collected per patient day from third-party payors from;
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i. Traditional insurance
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ii. Managed care insurance
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For uninsured patients.
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Net revenue collected per patient day
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Gross billing per patient day
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Number of patient days for uninsured patients.
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For the period beginning January 1, 1998, and for each subsequent
calendar quarter, please provide the following information, in aggregate,
for your system nationally, using the format of the chart above in Request
No. 1.
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Net operating income;
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Total patient days;
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Net revenue collected
per patient day from:
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Fee-for-service Medicare ii. Medicare+Choice
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Net
revenue collected per patient day from;
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Fee-for-service Medicaid ii.
Managed Medicaid
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Net revenue collected per patient day from third-party
payors from:
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Traditional insurance
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Managed care insurance
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For the
uninsured:
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Net revenue collected per patient day
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Gross billing per
patient day iii. Number of patient days for uninsured patients.
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For the period beginning January 1, 1998, and for each subsequent
calendar quarter, please provide the following information, in aggregate,
for your system in each State in which you provide acute care hospital
medical services, using the format of the chart above in Request No. 1.
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Net operating income;
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Total patient days;
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Net revenue collected
per patient day from:
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Fee-for-service Medicare
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Medicare+Choice
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New
revenue collected per patient day from;
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Fee-for-service Medicaid
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Managed Medicaid
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Net revenue collected per patient day from third-party
payors from:
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Traditional insurance
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Managed care insurance
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For the
uninsured:
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Net revenue collected per patient day
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Gross billing per
patient day iii. Number of patient days for uninsured patients.
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4. For the period beginning January 1, 1998, and for each subsequent
calendar quarter, please provide the following information for each acute
care hospital within your system, using the format of the chart below.
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The total gross revenue from uninsured patients
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The total net
revenue from uninsured patients
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The total net revenue collected from
uninsured patients
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i. under any payment planning assistance program
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ii.
through involuntary means such as debt collection
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For the deductions from
uninsured revenue (gross revenue less net revenue) state:
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the total
deductions from revenue
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the amount claimed or otherwise identified bad
debt
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the amount of such bad debt recovered in any way through any state
or federal fund, pool or resource iv. the amount of deductions from revenue
claimed or otherwise identified as charity care
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For the period beginning January 1, 1998, and for each subsequent
calendar quarter, please provide the following for each acute care hospital
in your system:
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the total disproportionate share hospital ("DSH") payment
received; and b. whether the value of any bad debt or otherwise
uncompensated services delivered to the uninsured formed any part of the
basis or demonstrated need upon which the DSH payments under Medicaid and
Medicare, were calculated and, if so, provide the value of such bad debt or
services.
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6. For the period beginning January 1, 1998, please state each source
through which your system received any funds for bad debt or charity care on
services provided to the uninsured.
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Please state whether line item charges in individual patient bills have
ever been earmarked for bad debt pools, charity care pools, or any other
such resource or state or local administered fund. If so, please describe
this policy, practice or procedure.
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For the period beginning January 1, 1998, and for each subsequent
calendar quarter, please provide, in chart format, the operating
cost-to-charge ratios for the following:
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Each acute care hospital within your system;
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In aggregate, your
system nationally; and
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In aggregate, your system in each State in which
you provide acute care hospital medical services.
Please provide unaudited numbers where audited numbers are not yet
available.
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For the period beginning January 1, 1998, and for each subsequent
calendar quarter, please provide, in chart format, the following for each
acute care hospital within your system:
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the ten most billed (in terms of total gross charges) diagnostic
related group codes of your system and the cost-to-charge ratio for each
such code;
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the ten most billed (in terms of total gross charges)
ambulatory payment classification codes of your system and the
cost-to-charge ratio for each such code;
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the three revenue centers and/or
profit centers with the lowest cost to charge ratios providing, as well, the
relevant ratios.
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For the period beginning January 1, 1998, to the present, please
provide all records relating to any discussions, comparisons or analyses
regarding differences between the payments made for medical services by
uninsured patients and those paid by third-party health plans or government
health care programs.
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For the period beginning January 1, 1998, to the present, please
provide all records relating to rates of collection or realization on bills
from self-pay or uninsured patients.
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Please state how your system identifies uninsured patients who are
eligible for any charity care or payment planning assistance. Please also
state how such eligible patients are notified of the availability of such
charity care or payment planning assistance. Please describe any substantive
changes or enhancements to the policies, procedures or practices relating to
the eligibility, notification of availability and delivery (in terms of
crediting the accounts of eligible patients) of charity care or payment
planning assistance since January 1, 1998, including specific dates on which
any such changes or enhancements came, or will come, into effect.
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For the period beginning January 1, 1998, to the present, please
provide all records relating to the eligibility, notification of
availability and delivery (in terms of crediting the accounts of eligible
patients) of charity care and payment planning assistance offered by your
system.
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Please describe any formula and/or methodology used to calculate or
otherwise establish charge master rates in your system and state whether
there have been any changes to such formulas and/or methodologies from
January 1, 1998 to the present.
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Please describe any policies, procedures or practices relating to
availability, posting, dissemination, publication or production of your
system's charge master rates to the public and/or current or prospective
patients. Please also describe any substantive changes or enhancements to
such policies, procedures or practices since January 1, 1998, including
specific dates on which any such changes or enhancements came, or will come,
into effect.
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For the period beginning January 1, 1998, to the present, please
provide all records relating to any policies, procedures or practices
relating to availability, posting, dissemination, publication or production
of your system's charge master rates to the public and/or current or
prospective patients.
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For the period beginning January 1, 1998, to the present, please
provide all records relating to any considered or implemented changes in
charge master rates. This request includes, but is not limited to, any
studies, reports or recommendations concerning charge masters rates prepared
by any third-party or consultant.
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For the period beginning January 1, 1998, to the present, please
provide all records relating to any discussions, comparisons or analyses of
whether any proposed, considered or implemented charge master rates or
applicable cost-to-charge ratios are consistent with state or federal law.
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For the period beginning January 1, 1998, to the present, please
provide all records relating to any considered or implemented policy, plan,
procedure or practice by which you might increase revenue or profit through
changing the mix or ratios within your patient population in terms of
responsible payor - e.g., Medicare, uninsured, self-pay, or third-party
health plans.
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For the period beginning January 1, 1998, to the present, please
provide all records relating to any considered or implemented policy, plan,
procedure or practice the intended effect or result of which would be to
increase your amount of bad debt from self-pay or uninsured patients.
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For the period beginning January 1, 1998, and for each subsequent
calendar quarter, please describe your policies, practices and procedures
relating to outstanding patient bills (including, but not limited to,
payment terms, interest rates, and debt collection), and provide all records
relating thereto (including, but not limited to, all records relating to the
use of collection agents and under what circumstances matters would be
referred to such agents).
Please note that, for the purpose of responding to these requests, the terms
"records" and "relating" should be interpreted in accordance
with the attachment to this letter. If you have any questions, please contact
Mark Paoletta, Chief Counsel for Oversight and Investigations, at (202) 225-2927
or Anthony M. Cooke, Majority Counsel for Oversight and Investigations, at (202)
226-2424.
Sincerely,
W.J. "Billy" Tauzin
Chairman
James C. Greenwood, Chairman
Subcommittee on Oversight & Investigations
cc:
The Honorable John D. Dingell, Ranking Member
The Honorable Peter Deutsch, Ranking Member
Subcommittee on Oversight & Investigations
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