By Michael Burger, Senior Consultant
The federal government continues to keep its foot on the gas to further the adoption and effectiveness of electronic prescribing (ePrescribing) through the rulemaking process. We have seen this modus operando from statutory requirements related to ePrescribing with Medicare Part D. We are seeing it again in two recent regulations. The first is the Notice of Proposed Rulemaking (NPRM), which explains requirements for implementing the Medicare Access and CHIP Reauthorization Act of 2015 (MACRA). The NPRM details the proposed future of the meaningful use (MU) program, including ePrescribing elements. The second regulation is last October’s final rule, which spells out the latest requirements of the electronic health record (EHR) certification program. ePrescribing is a core EHR functionality and the new regulation puts vendors in a tough spot.
ePrescribing and MACRA. Among its many features, MACRA creates a new program called the Merit-based Incentive Payment System (MIPS). MIPS is a carrot-and-stick incentive program in which physicians are measured on weighted metrics related to cost, quality, clinical practice improvement and a number of repurposed Meaningful Use measures. Results will be totaled to create a base score. The base score will be used by Medicare to increase or decrease a physician’s overall Medicare payments by certain percentages. Doctors can earn bonuses (or receive penalties) of up to 4% starting in 2019, a number that grows to 9% by 2022, depending on how well they perform. (For more information, see our article in this issue of HIT Perspectives.)
ePrescribing—along with other MU elements—is now contained in the Advancing Care Information (ACI) portion of MIPS (details start on page 208 of the NPRM). The ACI’s objectives count toward a quarter of the MIPS base score.
ACI’s criteria are essentially slightly tweaked versions of MU’s goals and objectives as spelled out in the EHR final certification rule. There are some slight differences in the measures, on which the government is seeking comment. MIPS eliminates the (MU) exclusion for low-volume users, so ePrescribing will be mandatory for all clinicians participating in MIPS. It remains to be seen how this will affect ePrescribing adoption, since an estimated 20% of physicians were not motivated by MU to adopt ePrescribing technology.
ePrescribing and EHR Certification. The implementation of MACRA will continue in parallel with the previously established program for certifying EHRs run by the Office of the National Coordinator for Health Information Technology (ONC). In addition to the existing MU ePrescribing requirements, the 2015 version of the certification standards contains some new ePrescribing transactions. While these new transactions may not move the adoption needle, they will result in increased patient safety and provide additional clinical decision-making value. (Details begin on page 132 of the regulation.)
Going forward, EHRs will need to certify a new segment NCPDP SCRIPT v10.6 standard, Structured and Codified Sig. This segment will standardize dosing instructions for most prescriptions that are submitted electronically. Use of Structured and Codified Sig will improve productivity in physicians’ offices and pharmacies. The lack of a standardized way to electronically transmit Sig information to the pharmacy results in a volume of time consuming call-backs for clarification between providers and pharmacists. In addition, use of the Standardized and Codified Sig transaction will help eliminate the patient safety hazards caused the manual entry of this information in the free text field of the ePrescription and subsequent transcription by the pharmacist. This is a functionality that physicians can get behind and that has been requested by many provider groups to reduce telephone call-back volume.
EHRs also will have to handle three ePrescribing transactions that are seldom used today. These are:
In addition to NewRx, Refill and Medication History, which were previously mandated for Meaningful Use, the government is clearly paving the way for the required use of these three new transactions by ensuring their availability in EHRS. More than likely, the government’s interest is in response to three patient safety-related issues: medication adherence compliance, biosimilar substitution and drug diversion.
Medication adherence has mushroomed to become a major concern to payers, providers and pharmacies. Some 3.8 billion prescriptions are written every year in the US, yet over half are taken incorrectly or not at all. A study of over 75,000 commercially insured patients found that 30 percent failed to fill a new prescription, and new prescriptions for chronic conditions such as high blood pressure, diabetes, and high cholesterol were not filled 20-22 percent of the time. The result: rampant medication noncompliance creates an estimated 100,000 unnecessary fatalities and costs $200 billion each year in unnecessary hospital and doctor visits, lost productivity and premature deaths.
The use any of ePrescribing (and especially a Fill Status) can help physicians identify patients who are not filling their prescriptions or are not taking their medications as directed. This will enable the physician to have the necessary conversation with the patient and address the root causes of non-adherence.
Another issue is notifying physicians about a biosimilar substitution. Interest is growing in a technology solution now that nearly two-thirds of states have enacted — or are considering enacting — legislation requiring that physicians be notified when a biosimilar substitution is made. (Our Regulatory Resource Center is tracking state and federal regulatory actions related to biosimilars.) ePrescribing (and especially Change Prescription and Fill Status) could be used to indicate to a prescriber that a substitution was made and which biosimilar was dispensed. This is important information should an adverse event occur. (Read more in HIT Perspectives.)
A third issue is that of diversion. Use of the Cancel Prescription transaction will alert the pharmacist that a therapy has been cancelled by the prescriber. This will prevent subsequent fills of cancelled prescriptions from being dispensed, and potentially be diverted. Cancel Prescription will not only enhance patient safety, but also reduce costs related to dispensing medications that have been discontinued.
Impact on EHRs. The 2015 EHR certification regulation puts EHR vendors in a tough spot by requiring that EHRs support functionality for which there is little demand today. Further, there is no MACRA/MIPS or Meaningful Use requirement that physicians use these new transactions. The If-EHRs-Build-It-Physicians-Will-Use-It approach has been unsuccessful in the past, unless coupled with rulemaking. For that reason, we see more regulations on the horizon—either in the next iteration of the EHR certification rule or additional MACRA regulations, not to mention those for Medicare Part D. In the meantime, EHR vendors are being asked to build (and certify) new features for which there is no corresponding requirement for physicians to use them.
I am a vocal advocate of introduction of features that leverage the power of information technology to make physicians’ jobs easier and aid in care quality improvement. Let’s hope that we get a legislative “nudge” to kick start the adoption of these new ePrescribing transactions.