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The No Surprises Act (NSA), enacted in 2022, aims to protect patients from unexpected medical bills, particularly for out-of-network services. It establishes independent dispute resolution (IDR) process to resolve payment disputes between insurers and healthcare providers. This process is intended to ensure fair payment rates and minimize patient financial burden.
From January to June 2023, Centers for Medicare and Medicaid Services (CMS) published data on 83,849 disputes resolved through IDR process. This analysis focuses on three service categories: emergency care, imaging and neonatal/pediatric critical care. It compares IDR outcomes with Medicare rates and historical commercial prices.
Service Category | Median IDR Decision | Medicare Payment | IDR vs. Medicare Ratio |
Emergency Care | $1,200 | $325 | 3.7x |
Imaging | $1,500 | $400 | 3.75x |
Neonatal/Pediatric Critical Care | $2,000 | $500 | 4.0x |
Metric | CBO Projection | Actual IDR Outcome | Deviation from Projection |
Expected QPA vs. Mean In-Network | 15% lower | Significantly lower | Higher than expected |
IDR Decisions favoring Providers | Not specified | 75%+ | Exceeds CBO expectations |
The early outcomes of NSA’s IDR process raise important questions about impact on healthcare pricing and patient billing practices. While act aims to protect patients from unexpected costs, it appears that it may inadvertently lead to increased costs for in-network services. These developments underscore need for ongoing assessment and potential adjustments to IDR process to align with NSA’s original objectives.
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