Expansion of race and ethnicity stratification, updates to advance gender-inclusive quality measurement, changes to diabetes-related measures, and several measure retirements are among the changes just proposed to the HEDIS® program by the National Committee for Quality Assurance (NCQA). Health plans can now comment on the potential updates to Measurement Year (MY) 2024 and MY 2025 through Monday, March 13, 2023. Here, we summarize what health plans need to know.
With the goal of “[advancing] health equity by leveraging HEDIS to hold health plans accountable for disparities in care among their patient populations,” NCQA is looking to add at least five measures to its existing list of 13 measures that are stratified by race and ethnicity. This stratification program first introduced in MY 2022. Potential candidates for inclusion in race and ethnicity stratification include the following:
For members whose race is unknown, NCQA would add an “Unknown” source category to the two existing categories, “Direct” and “Indirect.”
To support care for transgender and nonbinary members, NCQA proposes to revise the measure description for Breast Cancer Screening (BCS) and Cervical Cancer Screening (CCS) as follows:
Measure |
Current Description |
Revised Description |
---|---|---|
Breast Cancer Screening (BCS) |
The percentage of women 50–74 years of age who had a mammogram to screen for breast cancer. |
The percentage of members 50–74 years of age who were recommended for routine breast cancer screening and had a mammogram to screen for breast cancer. |
Cervical Cancer Screening (CCS) |
The percentage of women members 21–64 years of age who were screened for cervical cancer. |
The percentage of members 21–64 years of age who were recommended for routine cervical cancer screening and were screened for cervical cancer. |
NCQA notes that currently, members who are not identified as a woman with their health plan, such as transgender men and nonbinary members assigned female at birth, are excluded from the measure even if their clinical traits warrant these screenings. For Breast Cancer Screening (BCS), members assigned male at birth who have participated in gender-affirming estrogen therapy for at least five years would also be included in the measure.
NCQA is looking for public comment on two specific diabetes measures as well as denominator changes that would impact all seven HEDIS measures related to diabetes.
NCQA’s proposed changes include:
Removing the required exclusion for polycystic ovarian syndrome, gestational diabetes, or steroid-induced diabetes in the MY or PY with no diagnosis of diabetes. Both denominator identifiers for diabetes now require a diagnosis of diabetes, so this exclusion is no longer needed.
The measure would be renamed Glycemic Status Assessment for Patients With Diabetes (GSD) with the following changes:
Hybrid reporting would be removed from the measure, which would transition to administrative only. The numerator criteria for bilateral eye enucleation would be moved to a required exclusion.
With the stated goal of reducing reporting burden and enabling plans to shift their resources to electronic clinical data systems (ECDS) measures and digital quality operations, NCQA proposes to retire six measures for MY 2024:
For MY 2025, NCQA proposes to retire the Care for Older Adults (COA) – Pain Assessment indicator, stating that “There is no evidence that asking someone annually about pain, without a clinical indication that acute or chronic pain is occurring, will initiate appropriate pain management and improve quality of care.” In seeking public comment, NCQA asks respondents to consider whether it should explore the creation of a new pain-focused measure instead.
While not up for comment during this public comment period, NCQA will transition the following measures to ECDS-only reporting for MY 2024 and is considering transitioning three additional measures for MY 2025:
Measurement Year (MY) |
Proposed measures for ECDS |
---|---|
2024 |
|
2025 |
|
NCQA will no longer count telehealth visits for Well-Child Visits in the First 30 Months of Life (W30) and Child and Adolescent Well-Care Visits (WCV), removing the temporary changes made in response to the COVID-19 pandemic.
Noting that it represents “the first large formatting change to the HEDIS measure specifications in over 20 years,” NCQA will write all measures in a new template to align with their digital direction, including:
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