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Once the target is set, states need to measure the change in annual per capita health care expenditures against the target. This is done using aggregate claims and non-claims spending data collected from payers, which requires developing specifications for data submission.
This section outlines considerations for how to approach the measurement of cost growth, identify the payer and provider entities whose performance will be measured, collect spending data, and analyze performance in relation to the target.
All states calculate total health care expenditures (THCE), a measurement defined as the sum of total medical expense (TME) plus the net cost of private health insurance (NCPHI). All states define TME in terms of provider payments. TME comprises claims and non-claims payments to providers, and patient cost-sharing. States request aggregate claims data in broad categories, such as hospital inpatient, hospital outpatient, professional, pharmaceutical, and long-term care, to allow for deeper analysis.
Non-claims costs include incentive program payments and prospective service payments, among others. These payments are increasingly important as more services are paid through value-based arrangements that do not flow through the claims system. To capture patient cost-sharing data, states require payers to report the “allowed amount” on a claim, which indicates what portion the patient owes the provider according to the patient’s benefit plan.
NCPHI is the spending associated with administering private health insurance and is calculated as the difference between health premiums earned and benefits incurred. It includes administrative expenditures, net additions to reserves, rate credits and dividends, and profits and losses.
Adopting Standardized Approaches to Measuring Health Care Cost Growth Target Performance
States follow a general framework for cost growth target performance measurement but tailor approaches based on their specific policy goals and health care landscape. As states collaborate to share best practices, they have made recommendations for how to approach specific data collection and analysis issues that merit standardization, including:
All states measure costs for the commercial, Medicare, and Medicaid populations, as they typically represent about 90% of all covered individuals in a state.4 To be more inclusive, some states have also considered incorporating spending for populations that receive health care coverage through other sources, such as veterans who typically access health care through Veterans Health Administration (VHA) facilities, individuals who are incarcerated for whom the state pays health care costs, the Native American population that receives care from the Indian Health Service, and employees who receive workers’ compensation health care benefits. In determining whether to include these types of health care spending, states need to account for data availability and whether the gain from including the additional spending outweighs the level of effort involved to access the data.
What Is Not Included in Total Health Care Expenditures?
Stakeholders in many states have expressed a desire to include spending by the uninsured in measuring cost growth. However, no state has been able to do so because no comprehensive source of such data exists.
Similarly, hospitals have noted that uncompensated care constitutes a significant medical expense that is not included in the measurement. Nationally, uncompensated care costs for uninsured individuals reached nearly $43 billion in 2020.3These costs include charity care — free or deeply discounted services for patients who cannot afford treatment — for which hospitals must budget, and “bad debt,” or write-offs for bills that go unpaid. These are not considered payments to providers, and therefore do not represent spending as defined by states. No state has developed a provision to subtract uncompensated care from a provider’s spending performance. Because of the administrative burden of reporting charity care and bad debt consistently across all providers in a state, states have accepted these as known challenges to complete measurement for now.
Currently, all states measure the health care spending of all state residents with commercial, Medicare, or Medicaid coverage, regardless of whether they seek care in or out of the state. States have also considered measuring spending of (1) state residents who seek care only from in-state providers, or (2) all individuals who seek care from in-state providers, regardless of where they live. However, no state has pursued these options due to the data collection and reporting challenges of segmenting data by provider location and/or a decision to focus only on spending associated with state residents.
Another consideration for states is what population to use as the denominator for calculating per capita spending. Reporting on a per capita basis allows states to account for migration and population changes that could significantly affect total health care spending. It also facilitates comparisons of cost growth between states that have different population sizes. States can take one of two approaches:
Because public reporting of performance against the target involves identifying specific entities’ cost growth, it is important to have confidence in the measurement. At the state and market levels, population sizes are significant enough that measurements are statistically stable and there is no need to apply additional methodologies. At the payer and provider levels, however, states should consider additional strategies to ensure the accuracy and reliability of assessments of cost growth.
Most states measure cost growth at the state, market, payer, and provider levels. Reporting at the state and market levels is straightforward once the state develops its measurement approach. For payer and provider entity reporting, states must first identify the payers and provider entities whose cost growth will be measured and reported against the target. Medicaid managed care states usually require all managed care contractors to report data for the target program. For the Medicare Advantage and commercial markets, states aim to include enough payers to capture approximately 85% to 90% of covered individuals in those markets. A state’s department of insurance typically collects and publishes information on payers’ market share, which states can use to identify which payers should be required to report. However, commercial market data are usually limited to fully insured plans that are state-regulated.
In defining the list of provider entities, states typically include large provider entities that can be reasonably expected to influence total health care costs, such as medical groups, health systems, federally qualified health centers, and independent practice associations. Some states identify provider entities by whether they have a total cost of care contract. Other states include provider entities deemed large enough to have a total cost of care contract, whether or not they do so.
Once a state defines the list of provider entities, it must develop clear specifications on how to attribute member-level spending to provider entities. “Attribution” is the process of assigning or linking members’ health care spending to specific provider entities. Payers routinely perform attribution in value-based contracting with provider entities, or for their own internal analyses. For cost growth performance measurement, this involves first attributing members to a clinician, and then attributing clinicians to a large provider entity that is ultimately subject to the cost growth target (Exhibit 3).
Exhibit 3. Process for Attributing Spending to Large Provider Entities
To date, all states use a primary care–based methodology for attributing members to providers. This approach is a matter of necessity, not policy choice, as no method is available to associate per capita spending with other types of entities on a large scale. With time and experience, states have modified their specifications and provided more transparency into how member spending is attributed to primary care clinicians. This can provide more insight into why provider entities’ attributed lives counts may differ from those reported in the value-based contract reports they receive from payers.6 California, Connecticut, Massachusetts, Oregon, and Washington require payers to attribute and report spending to a primary care clinician according to a tiered hierarchical attribution method that considers member selection of a primary care provider, a provider’s contract arrangement with the insurer, and member utilization of primary care services.
Most cost growth target programs attribute all spending to provider entities; they do not restrict reported spending to that captured through a contractual value-based payment arrangement. There are several challenges with this approach, including payers not having complete or updated information about which clinicians are affiliated with a provider entity. In addition, not all clinicians that are affiliated with provider entities are part of all of a payer’s value-based contract agreements (e.g., clinicians participate in a value-based contract arrangement for a payer’s Medicare line of business but not commercial.)
Ideally, a state will have a provider directory — or registry — that maps each primary care provider to a large provider entity so that attribution is consistent across payers. However, very few states maintain a statewide provider directory, so payers must rely on their internal processes to organize providers into a state’s list of large provider entities. States ask payer cost growth target data submitters to attribute spending to a list of provider organizations defined by the state. This can be difficult as payers may not necessarily know which clinicians are associated with the provider organization or the clinicians’ Tax Identification Numbers (TINs) unless the payer holds a value-based contract (VBP) with the provider organization. To address this issue, Connecticut convened an Attribution Work Group including insurers and providers, which then recommended that the state facilitate collection and exchange of TIN information, as described in detail in a Milbank Memorial Fund issue brief on attribution.
Another difficult task related to attribution is determining which entity is ultimately accountable to the cost growth target. In an increasingly consolidated market, several large provider entities may be connected to one another by a relationship with an even larger provider group or organization. The subsidiaries may be owned or jointly managed by the larger organization. The larger organization may have direct influence over the strategic functions and operations of the subsidiary entity or entities and a financial interest or stake in its performance. For example, UnitedHealth Group comprises provider groups, organized under Optum, UnitedHealthcare, the payer, and the pharmacy benefit manager, OptumRx. In some states, Optum may include major provider subsidiaries, each large enough to meet the membership thresholds states set for reporting spending growth and influence the care and costs of a sizeable population.7
Depending on the complexity of the provider organizational landscape, states should consider how to assess performance when multiple provider entities are part of a larger group to identify the entity that is ultimately accountable to the target. Establishing accountability at the “highest” level simplifies data collection and public reporting; however, the subsidiaries may be the entities with the greatest control over the day-to-day operations and the influence to slow spending. In addition, contracting arrangements may vary within a large provider entity. For example, an Independent Practice Association (IPA) may partner with one medical group for a commercial contract with one insurer, but partner with a different medical group for a Medicare Advantage contract with the same insurer. As described in the prior section, states should take steps to understand the relationships and structures of their provider groups to inform their decisions regarding provider-level accountability.
Understanding and addressing these attribution-related challenges is essential for states to successfully implement their cost growth target programs and ensure that health care spending growth is accurately monitored at the provider organization level.
Target programs require significant and ongoing investment in data collection and analysis. They also require continuous and intensive consultation with the affected plans and providers. The process typically takes approximately one year from data collection to reporting of results (Exhibit 4).
Exhibit 4: Typical Timeline for Collecting, Analyzing, and Reporting Target Performance Data
Because of typical delays in reporting claims and the time required to reconcile alternative models of payment, the earliest that states can require data submission is usually six months after the end of a performance period. For example, performance data for calendar year 2023 would not be available until at least summer of 2024. This determines the timing of related activities, including preparing for data collection, validating and analyzing data, and reporting results.
States must develop specifications to ensure data are reported consistently. Data specifications should minimally include:
States set most policies during the first year of implementation when they make key design decisions around target performance measurement. However, states should review these methodologies each year and adjust based on experience with data collection and analysis, innovative practices developed by other states, and changes in the state’s health care landscape. It is also helpful to review other states’ methodologies, and, where appropriate, aim for consistency to minimize the data reporting effort for health plans that cover members in multiple states with target programs.
States should review the data submission process and specifications with data submitters to educate them and clarify the data request. This review should take place annually to accommodate new data submitters, turnover of analysts responsible for submitting data, and implementation of new methodologies.
Why States Can’t Use APCD Data to Measure Performance Against the Target
To minimize data collection burdens, some states with fully functioning APCDs have proposed using APCD data to measure cost growth. However, health insurers continue to be the most complete source of spending data for the commercial, Medicaid managed care, and Medicare Advantage populations.
APCDs lack pharmacy rebate amounts that are used to produce a net pharmacy spending calculation. In addition, APCDs typically lack payments made to providers outside of the claims system, such as incentives, shared savings, or other similar value-based payments. Finally, APCDs do not include self-insured groups, which typically represent well over half of the commercially insured population in a state.
States must obtain health care spending data from multiple sources, according to the chosen methodology, including the following populations:
Data Validation Tips
States need to validate the data received to ensure consistent reporting according to specifications, particularly in the first years of implementation. Flawed data can result in incorrect assessments of entities’ target performance. Ensuring entities are assessed correctly before performance is reported publicly is critical. Exhibit 5 depicts a process that states can implement to promote integrity and stakeholder confidence in the cost data.
The data validation process can be lengthy, and payers may need to resubmit data multiple times, particularly when they are new to reporting target performance data. Providing comprehensive upfront assistance and tools for data submitters will reduce the need for resubmission later in the process. For example, some states’ data submission templates include validation steps that allow data submitters to review trends before submission. States should conduct two types of validation checks:
Exhibit 5. Process for Collecting, Validating, Analyzing, and Reviewing Cost Data
Once a state is confident in the quality of the data, it can move on to analysis. The primary analyses consist of calculating performance at four levels:
States can also conduct additional analyses, such as calculating aggregate spending at the state and market levels, costs and cost growth by service categories (e.g., hospital inpatient, hospital outpatient), and how much growth in spending in a service category contributed to overall cost growth. These reviews provide important clues about where to conduct more in-depth analyses of claims databases.
Addressing Provider Criticisms of the Data
States’ public reporting of cost growth target performance have been met with significant provider pushback and challenges to the integrity and legitimacy of such data, with the with the goals of discrediting the state’s work and blunting efforts to advance policies to slow spending growth. For this reason, it is important for states to undertake additional cost driver analyses that can support the findings of the cost growth target performance measurement. No one data source or set of analyses is perfect; even the most rigorous data collection and research studies have limitations. However, having multiple sources of data and analyses that point in the same direction make it more difficult for critics to challenge the conclusion.
States also need to be able to distinguish between feedback that are substantive from those that are meant to detract attention from important issues at hand, and be judicious in how they direct resources in response. As noted earlier, in Connecticut, some provider entities raised concerns about how clinicians were being attributed to them. To address this, Connecticut worked with a group of providers and insurers to improve the cost growth target attribution process, which was implemented during the collection of 2023 data. While this involved significant effort, the state undertook it to enhance stakeholder buy-in of the data.
Other criticisms, however, may not be worthwhile to address. For example, provider entities continuously press for applying clinical risk adjustment to measurement of cost growth target performance despite evidence to show that risk adjustment can make members appear sicker than they actually are, which has the effect of “discounting” spending and spending growth.
States should confidentially review the results with payers and providers whose performance is measured against the target before formally reporting results. This review provides another quality control check, gives entities the opportunity to understand and identify reasons for their performance, and helps foster goodwill between the state and those entities.
In reviewing results, provider entities may compare their target performance with their performance on total cost of care contracts, if they contract on that basis. Variation in findings can occur for several reasons. TME and total cost of care contracts may define services differently. For example, some total cost of care contracts may not hold a provider responsible for certain services, like pharmacy or long-term care expenditures, while those are included in target policies. They may also apply risk adjustment and deal with high-cost outliers differently.
States should disseminate the results for state, market, payer, and provider performance against the target via several mediums, such as a presentation to the program’s governing body, a public forum focused on affordability, an issue brief on the findings, and other strategies outlined in the stakeholder engagement activities described in this playbook. In addition to reporting cost growth, states should consider presenting employer and consumer perspectives on affordability to reinforce the importance of controlling cost trends. For example, at Rhode Island’s Health Care Cost Trends Public Forum in April 2022, a small employer described the financial squeeze experienced by employees. This employer described the limited ability to raise employee wages because of high benefit costs and employees’ limited ability to afford high-deductible health plans. These types of stories provide human interest, context, and further justification for the target policy.
Reporting Total Health Care Expenditures (THCE) or Total Medical Expense (TME) at the Market and Payer Levels
Some states have elected not to report THCE at the market and payer levels because of the year-to-year volatility of the net cost of private health insurance (NCPHI), a component of THCE. NCPHI can vary significantly from one year to the next as payers post profits or losses on certain products, premium rates change, or federal tax and refund policies change. Additionally, these data can be hard to validate. Measuring NCPHI is important, but some states prefer to focus on TME, which accounts for the vast majority of health care spending.
Health Care Cost Growth Target Data Specification Manuals
Data specification manuals provide instructions to payers for how to submit data the state needs to calculate state- and market-level cost growth and payer and provider performance against the target.
Health Care Cost Growth Target Data Submission Templates
These data submission templates are used to collect TME data from payers.
Technical Implementation Webinar Materials and Recordings
Data Sources for Calculating the Net Cost of Private Health Insurance
Health Care Cost Growth Target Performance Reports
Health Care Cost Growth Target Hearings and Public Forums
4. Kaiser Family Foundation. State Health Facts: Health Insurance Coverage of the Total Population. 2022.https://www.kff.org/other/state-indicator/total-population5. Massachusetts Health Policy Commission. 2019 Annual Health Care Cost Trends Report. February 2020.https://www.mass.gov/doc/2019-health-care-cost-trends-report/download6. In addition, to differences in attribution, value-based contracts between providers and insurers may differ in the underlying methodology for calculating year over year cost changes. For example, value-based contracts and cost growth measurement methodologies may employ different risk adjustment methodologies in their calculations.7. UnitedHealthcare Group is unlikely to meet the definition of a provider entity and so would not be accountable to the target at the provider level. The discussion is really about the composition and structure of the provider groups that fall under Optum.