The 340B Drug Pricing Program is a great way for certain providers to get discounts on specific drugs. But the intricacies of the 340B program can be confusing for anyone: How does it affect reimbursements through Medicare? Which modifiers are used for which claims? Which covered entities get what discount rate? Here’s a small overview of some frequently asked questions related to 340B:
Section 340B of the Public Health Service Act was created in 1992, under Section 602 of the Veterans Health Care Act of 1992. Section 340B states that pharmaceutical manufacturers must agree to a pharmaceutical pricing agreement (PPA) with the Dept. of Health and Human Service (HHS) Secretary in order to have their drugs covered by Medicaid and Medicare Part B. It requires pharmaceutical manufacturers to sell outpatient drugs at discounted prices to certain healthcare organizations that care for uninsured and low-income patients. The driving principle behind 340B is that these discounts would help stretch federal resources, allowing these specific healthcare organizations to use the savings to care for more underserved patients without any additional cost to the federal government.
The providers that are eligible to participate and purchase drugs using the discount are called “covered entities,” which include the following categories of facilities: disproportionate share hospitals (DSH), children’s hospitals (PEDS), cancer hospitals (CAN), sole community hospitals (SCH), rural referral centers (RRC), critical access hospitals (CAH), and off-campus Provider-Based Departments (PBD). Eligible covered entities must first register with HRSA and must recertify their eligibility every year.
The short answer is: yes to both. Again, Section 340B requires drug manufacturers to have a PPA with the HHS Secretary for their drugs to be covered by Medicaid and Medicare Part B. But Medicare comes more prominently into the picture when specific covered entities that are paid through the CMS-administered outpatient prospective payment system (OPPS) bill Medicare for one of the drugs. In that case, CMS reimburses the covered entities participating in the 340B program. However, since 2018, CMS has decreased the reimbursement for certain drugs when billed by some, but not all, covered entities.
Specifications for a payment reimbursement reduction include:
Reimbursement to providers is not reduced for the following covered entities, or in the following instances:
Section 340B faces possible changes in the future as several covered entities and hospital associations continue to challenge the particulars of the reimbursement reduction through litigation in court. In the meantime, 340B continues to function without interruption, and payers should stay vigilant to its complexities—incorrect filing can lead to unintentional overpayments that can lead to provider abrasion and excess administrative work.
For those who are subject to a reimbursement reduction under Section 340B, filing claims correctly can be challenging. Using a JG or PN modifier is not always executed properly and is often under-reported, which can lead to millions of dollars in overpayments for Medicare Advantage (MA) plans.
For help with review of claims involving complicated policies, get tailored support and significant savings with a combination of Cotiviti’s Payment Policy Management and Coding Validation solutions. Payment Policy Management and Coding Validation together help payers tailor, test, and execute best-practice clinical and payment policies, and prevent and correct coding errors quickly and effectively.