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The Department of Health and Human Services Releases 2023 Draft Marketplace Rules & Guidance for Health Issuers

On December 28, 2021, the Department of Health and Human Services (HHS) released the Proposed 2023 Notice of Benefit and Payment Parameters (NBPP), along with accompanying technical guidance on risk adjustment and on the premium adjustment percentage and cost-sharing limitations. HHS also released the Letter to Issuers in the Federally-facilitated Exchanges (Letter) on January 7, 2022, with few changes from prior years.

Additional guidance related to qualified health plan (QHP) certification timelines, and rate review was previously released in November 2021 and can be found at the following links:

PCG’s Health Policy News team compiled a timeline of key draft certification and rate review deadlines based on HHS’s guidance:

As always, the NBPP, Letter, and other guidance address key timelines, certification standards, financial parameters, and operational and technical guidance for Exchanges, Qualified Health Plans (QHPs), and premium stabilization programs, as well as more significant policy changes. Below, we provide our annual overview of the significant proposed policy changes from previous years’ guidance, with a focus on key payment parameters and changes that impact state insurance markets and regulators.

Network Adequacy/Essential Community Providers (ECPs)

In response to a recent lawsuit, the proposed rule and Letter include substantial reforms to network adequacy, reinstituting the federal role in a way that mirrors initiatives already in place at the state level to strengthen network adequacy reviews. These reforms include:

Essential Health Benefits (EHB)

Premium Adjustment Percentage / Cost-Sharing

At the same time that the proposed NBPP was released, HHS issued guidance outlining the premium adjustment percentage and cost-sharing limitations for 2023. We summarized this information in the following table:

The Letter proposes the cost-sharing limitations for Standalone Dental Plans in 2023 of $375 for one child and $750 for 2 or more children, which is the same as 2022.

Actuarial Value Levels

The NBPP proposes to change the range of de minimis variation permitted for QHPs. Starting in 2023, it would +2 / -2 percentage points for individual and small group QHPs in all metal levels other than the expanded bronze plans (which would be permitted a variation of +5 / -2) and individual market silver plans (which would be limited to a variation of +2 / 0). Income-based cost-sharing reduction (CSR) plans would be limited to a de minimis variation range of +1 / 0.

Standardized Plans

User Fees

HHS proposes maintaining the user fees currently in place for 2022:

HHS notes that this remains at a lower level than 2021 and the fees will be used, in part, to support consumer outreach and education, eligibility determinations, and enrollment activities. It also mentions that these fees balance the need for adequate funding against the need to mitigate premium increase, particularly if the enhanced premium tax credits under the American Rescue Plan Act are not extended.

Repayment of Past-Due Premiums

Display Standards for Web Broker

Non-Discrimination

The proposed rule restores protections from discrimination based on sexual orientation and gender identity, overturning the 2020 rule that eliminated them. The proposed protections are in line with the January 2021 Executive Order on Preventing and Combating Discrimination on the Basis of Gender Identity or Sexual Orientation.

The proposed rule notes that this change is in line with June 15, 2021 ruling by the Supreme Court in Bostock v Clayton County, which found that “because of sex” in Title VII includes discrimination based on sexual orientation and gender identity.

Discriminatory Benefit Design

Plan Choice

In addition to considering limiting non-standardized plan options, HHS is considering resuming the “meaningful difference” standard in 2024.

HHS is also considering operating the FFE under an “active purchaser model” to negotiate with insurers, limit the number of insurers, prohibit non-standardized plans, and/or exclude plans based on value.

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