MEDICAID MANAGED CARE ORGANIZATION
MEDICAID DRUG UTILIZATION REVIEW ANNUAL REPORT
FEDERAL FISCAL YEAR 2019
42 CFR 438.3(s)(4) and (5) require that each Medicaid managed care organization (MCO) must operate a drug utilization review (DUR) program that complies with the requirements described in Section 1927 (g) of the Social Security Act (the Act) and submit an annual report on the operation of its DUR program activities. Such reports are to include: descriptions of the nature and scope of the prospective and retrospective DUR programs; a summary of the interventions used in retrospective DUR and an assessment of the education program; a description of DUR Board activities; and an assessment of the DUR program’s impact on quality of care.
This report covers the period October 1, 2018 to September 30, 2019. Answering the attached questions and returning the requested materials as attachments to the report will constitute compliance with the above-mentioned statutory and regulatory requirements.
If you have any questions regarding the DUR Annual Report, please contact CMS via email at: CMSDUR@cms.hhs.gov.
PRA Disclosure Statement This mandatory information collection (section 4401 of the Omnibus Budget Reconciliation Act of 1990 and section 1927(g) of the Social Security Act) is necessary to establish patient profiles in pharmacies, identify problems in prescribing and/or dispensing, determine each program’s ability to meet minimum standards required for Federal financial participation, and ensure quality pharmaceutical care for Medicaid patients. State Medicaid agencies that have prescription drug programs are required to perform prospective and retrospective DUR in order to identify aberrations in prescribing, dispensing and/or patient behavior. Under the Privacy Act of 1974 any personally identifying information obtained will be kept private to the extent of the law. An agency may not conduct or sponsor, and a person is not required to respond to, a collection of information unless it displays a currently valid Office of Management and Budget (OMB) control number. The control number for this information collection request is 0938-0659 (Expires: TBD). Public burden for all of the collection of information requirements under this control number is estimated at 64 hours per response, including the time for reviewing instructions, searching existing data sources, gathering and maintaining the data needed, and completing and reviewing the collection of information.
Send comments regarding this burden estimate or any other aspect of this collection of information, including suggestions for reducing this burden, to CMS, 7500 Security Boulevard, Attn: Paperwork Reduction Act Reports Clearance Officer, Mail Stop C4-26-05, Baltimore, Maryland 21244-1850.
This survey is for viewing purposes only and not for submission. Survey submission will be performed through the CMS Medicaid Drug Program (MDP) System available March 1, 2020. As the surveys are being generated through our MDP System, formatting and question access may differ slightly to the attachment provided.
MEDICAID MANAGED CARE ORGANIZATION
MEDICAID DRUG UTILIZATION REVIEW ANNUAL REPORT
FEDERAL FISCAL YEAR 2018
DEMOGRAPHIC INFORMATION
State Abbreviation: _______
MCO Name: ____________________________________________________________
(Please note: Name above must match name entered in MDP DUR system)
Program Type:
If other, please specify:
Medicaid MCO Information
Identify the MCO person responsible for DUR Annual Report Preparation.
First Name: ________________________________________________
Last Name: ________________________________________________
Email Address: ________________________________________________
Area Code/Phone Number: ________________________________________________
On average, how many Medicaid beneficiaries are enrolled monthly in your MCO for this Federal Fiscal Year?
_____ Beneficiaries
PROSPECTIVE DUR (ProDUR)
Indicate the type of your pharmacy point of service (POS) vendor and identify it by name.
State-operated
Contractor,
please identify by
name.
Other
organization, please identify by
name.
Identify ProDUR criteria source.
First Data Bank
Medi-Span
Molina
Other,
please
specify.
Are new ProDUR criteria approved by the DUR board?
Yes
No,
please explain
If yes, who reviews your new ProDUR criteria?
MCO’s DUR Board
FFS agency DUR Board
Other,
please
explain.
When the pharmacist receives a level-one ProDUR alert message that requires a pharmacist’s review, does your system allow the pharmacist to override the alert using the “NCPDP drug use evaluation codes” (reason for service, professional service and resolution)?
Yes
No
Partial,
please
explain.
Do you receive and review follow-up periodic reports providing individual pharmacy provider DUR alert override activity in summary and/or in detail?
Yes
No
How often?
Monthly
Quarterly
Annually
Other
If you receive reports, do you follow up with those providers who routinely override with interventions?
Yes
No,
please explain
If the answer to question 5b is “No,”skip to question 6.
If the answer to question 5b is “Yes,” please continue below.
By what method do you follow up?
Contact Pharmacy
Refer to Program Integrity for Review
Other,
please
explain.
Early Refill
At what percent threshold do you set your system to edit?
Non-controlled drugs:
%
Schedule II controlled drugs:
%
Schedule III through V controlled drugs:
%
For non-controlled drugs
When an early refill message occurs, does your MCO require prior authorization?
Yes
No
If the answer to question 6b is “Yes,” who obtains authorization?
Pharmacist
Prescriber
Either
If the answer to question 6b is “No,” can the pharmacist override at the point of service?
Yes
No
For controlled drugs
When an early refill message occurs, does your MCO require prior authorization?
Yes
No
d. If the answer to question 6c is “Yes,” who obtains authorization?
Pharmacist
Prescriber
Either
If the answer to question 6c is “No,” can the pharmacist override at the point of service?
Yes
No
When the pharmacist receives an early refill DUR alert message that requires the pharmacist’s review, does your state’s policy allow the pharmacist to override for situations such as:
Lost/stolen Rx
Yes
No
Vacation
Yes
No
Other,
please explain.
Does your system have an accumulation edit to prevent patients from continuously filling prescriptions early?
Yes
No
If
“Yes,” please
explain your edits.
If “No,” do you plan to implement this edit?
Yes
No
Does the MCO have any policy prohibiting the auto-refill process that occurs at the POS (i.e. must obtain beneficiary’s consent prior to enrolling in the auto-refill program)?
Yes
No
Does your MCO have any policy that provides for the synchronization of prescription refills (i.e. if the patient wants and pharmacy provider permits the patient to obtain non-controlled, chronic medication refills at the same time, the state would allow this to occur to prevent the beneficiary from making multiple trips to the pharmacy within the same month)?
Yes
No
For drugs not on your MCO’s formulary, does your MCO have a documented process (i.e. prior authorization) in place, so that the Medicaid beneficiary or the Medicaid beneficiary’s prescriber may access any covered outpatient drug when medically necessary?
Yes
No
If “Yes,” what is the preauthorization process?
If
“No,” please
explain why there is not a process for the beneficiary to access a
covered outpatient drug when it is medically necessary.
Please list the requested data in each category in Table 1 – Top Drug Claims Data Reviewed by the DUR Board below.
Table 1: Top Drug Claims Data Reviewed by the DUR Board
Column 1 Top 10 Prior Authorization (PA) Requests by Drug Name |
Column 2 Top 10 Prior Authorization (PA) Requests by Drug Class |
Column 3 Top 5 Claim Denial Reasons Other Than Eligibility (i.e. Quantity Limits, Early Refill, PA, Therapeutic Duplications, Age Edits) |
Column 4 Top 10 Drug Names by Amount Paid |
Column 5 % of Total Spent for Drugs by Amount Paid From data in Column 4, determine the % of total drug spend. |
Column 6 Top 10 Drug Names by Claim Count |
Column 7 Drugs by Claim Count % of Total Claims From data in Column 6, determine the % of total claims. |
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RETROSPECTIVE DUR (RetroDUR)
Does your MCO utilize the same DUR Board as the state Fee-For-Service (FFS) agency or does your MCO have its own DUR Board?
Same DUR Board as FFS agency
MCO has its own DUR Board
Other,
please
explain.
Identify
the
entity, by name and type, that performed your RetroDUR activities
during the time period covered by this report (company, academic
institution, other organization, or indicate if your MCO executed its
own RetroDUR activities).
Who reviews and approves the RetroDUR criteria?
State DUR Board
MCO DUR Board
Other,
please
explain.
Has your MCO included, a year end summary of the Top 10 problem types for which educational interventions were taken?
Yes
No
See attachment naming instructions.
DUR BOARD ACTIVITY
1. Has your MCO included a brief summary of DUR Board activities during the time
period covered by this report?
Yes
No
Summary of DUR Board Activities
The summary should be a brief descriptive report on DUR Board activities during the fiscal year reported.
Indicate the number of DUR Board meetings held
List additions/deletions to DUR Board approved criteria
For prospective DUR, list problem type/drug combinations added or deleted
For retrospective DUR, list therapeutic categories added or deleted
Describe Board policies that establish whether and how results of prospective DUR screening are used to adjust retrospective DUR screens.
Describe policies that establish whether and how results of retrospective DUR screening are used to adjust prospective DUR screens
Describe DUR Board involvement in the DUR education program (i.e. newsletters, continuing education, etc.)
Describe policies adopted to determine mix of patient or provider specific intervention types (i.e. letters, face-to-face visits, increased monitoring).
Upload Attachment 2 - Summary of DUR Board Activities
See attachment naming instructions.
2. Does your MCO have a Medication Therapy Management Program?
Yes
No
If the answer to question 2 is “Yes,” please continue with questions a) and b) below.
Have you performed an analysis of the program’s effectiveness?
Yes,
please provide a brief summary of your findings.
No
Is your DUR Board involved with this program?
Yes
No
If the answer to question 2 is “No,” are you planning to develop and implement a program?
Yes
No
PHYSICIAN ADMINISTERED DRUGS
The Deficit Reduction Act required collection of NDC numbers for covered outpatient physician administered drugs. These drugs are paid through the physician and hospital programs. Has your pharmacy system been designed to incorporate this data into your DUR criteria for:
ProDUR?
Yes
No
If “No,” do you have a plan to include this information in your DUR criteria in the future?
Yes
No
2. RetroDUR?
Yes
No
If “No,” do you have a plan to include this information in your DUR criteria in the future?
Yes
No
GENERIC POLICY AND UTILIZATION DATA
1. Has your MCO included a brief description of policies that may impact generic utilization percentage?
Yes
No
Upload Attachment 3 - Generic Drug Substitution Policies
See attachment naming instructions.
2. In addition to the requirement that the prescriber write in his own handwriting “Brand Medically Necessary” for a brand name drug to be dispensed in lieu of the generic equivalent, does your MCO have a more restrictive requirement?
Yes
No
If “Yes,” check all that apply:
Require that a MedWatch Form be submitted
Require the medical reason(s) for override accompany the prescription
Prior authorization is required
Prescriber must indicate “Brand Medically Necessary” on the prescription
Other,
please explain.
Complete Table 2 – Generic Drug Utilization Data using the following Computation Instructions.
Computation Instructions Key
Single Source (S) – Drugs having an FDA New Drug Application (NDA), and there are no generic alternatives available on the market.
Non-Innovator Multiple-Source (N) – Drugs that have an FDA Abbreviated New Drug Application (ANDA), and generic alternatives exist on the market.
Innovator Multiple-Source (I) – Drugs which have an NDA and no longer have patent exclusivity.
Generic Utilization Percentage
To determine the generic utilization percentage of all covered outpatient drugs paid during this reporting period, use the following formula
N ÷ (S + N + I) × 100 = Generic Utilization Percentage
Table 2: Generic Drug Utilization Data
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Single Source (S) Drugs |
Non-Innovator (N) Drugs |
Innovator Multi- Source (I) Drugs |
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CMS has developed an extract file from the Medicaid Drug Rebate Program Drug Product Data File identifying each NDC along with sourcing status of each drug: S, N, or I. This file will be made available from CMS to facilitate consistent reporting across states with this data request.
3. Indicate the generic utilization percentage for all covered outpatient drugs paid during
this reporting period, using the computation instructions in Table 2 – Generic Utilization Data.
Number of Generic Claims ______________
Total Number of Claims ______________
Generic Utilization Percentage ______________
FRAUD, WASTE, AND ABUSE DETECTION
LOCK-IN or PATIENT REVIEW AND RESTRICTION PROGRAMS
Do you have a documented process in place that identifies potential fraud or abuse of controlled drugs by beneficiaries?
Yes
No
Deny claims and require prior authorization
Refer to Lock-In Program
Refer to Program Integrity Unit
Other
(i.e. SURS, Office of Inspector General), please explain.
Do you have a Lock-In program for beneficiaries with potential misuse or abuse of controlled substances?
Yes
No
If the answer to question 2 is “No,” skip to question 3.
If the answer to question 2 is “Yes,” please continue.
What criteria does your MCO use to identify candidates for Lock-In? Check all that apply:
Number of controlled substances (CS)
Different prescribers of CS
Multiple pharmacies
Number days’ supply of CS
Exclusivity of short acting opioids
Multiple ER visits
PDMP data
Same FFS state criteria is applied
Other,
please explain.
Do you have the capability to restrict the beneficiary to:
Prescriber only
Yes
No
Pharmacy only
Yes
No
Prescriber and pharmacy only
Yes
No
What is the usual Lock-In time period?
12 months
18 months
24 months
Other,
please explain.
On average, what percentage of your Medicaid MCO population is in Lock-In status annually?
%
Do you have a documented process in place that identifies possible fraud or abuse of controlled drugs by prescribers?
Yes
No
If No, please explain why not:
Deny claims written by this prescriber
Refer to Program Integrity Unit
Refer to the appropriate Medical Board
Other,
please
explain why not:.
Do you have a documented process in place that identifies potential fraud or abuse of controlled drugs by pharmacy providers?
Yes
No
If No, please explain why not:
Deny claims
Refer to Program Integrity Unit
Refer to the Board of Pharmacy
Other,
please explain.
Do you have a documented process in place that identifies and/or prevents potential fraud or abuse of non-controlled drugs by beneficiaries?
Yes,
please explain your program for fraud, waste or abuse of
non-controlled substances.
No
If
No, please
explain why not.
PRESCRIPTION DRUG MONITORING PROGRAM (PDMP)
Do you require prescribers (in your provider agreement with your MCO) to access the PDMP patient history before prescribing controlled substances?
Yes, please explain your program for fraud, waste or abuse of non-controlled substances
No
No, the state does not have a PDMP
Does your MCO have the ability to query the state’s PDMP database?
Yes
No
If “Yes,” are there barriers that hinder your MCO from fully accessing the PDMP that prevent the program from being utilized the way it was intended to be to curb abuse?
Yes,
please explain the barriers that
exist.
No
Does your MCO have access to border states’ PDMP information?
Yes
No
C. PAIN MANAGEMENT CONTROLS
Does your MCO obtain the DEA Active Controlled Substance Registrant’s File in order to identify prescribers not authorized to prescribe controlled drugs?
Yes
No
If the answer to question 1 is “No,” skip to question 2.
If the answer to question 1 is “Yes,” please continue.
Do you apply this DEA file to your ProDUR POS edits to prevent unauthorized prescribing?
Yes
No
If
“Yes,”
please
explain how information is applied.
If “No,” do you plan to obtain the DEA Active Controlled Substance Registrant’s file and apply it to your POS edits?
Yes
No
2. Do you apply this DEA file to your RetroDUR reviews?
Yes,
please explain how it is applied.
No
3. Do you have a measure (i.e. prior authorization, quantity limits) in place to either monitor or manage the prescribing of methadone for pain management?
Yes
No,
please explain why you do not have a measure in place to either
manage
or
monitor the prescribing of methadone for pain
management.
D. OPIOIDS
Do you currently have a POS edit in place to limit the quantity dispensed of an initial opioid prescription?
Yes for all opioids
Yes for some opioids
No for all opioids
Please
explain answers above:
Is there more than one quantity limit for various opioids?
Yes
No
If there is more than one quantity limit for the various opioids please explain.
What is the maximum number of days allowed for an initial opioid prescription?
____ # of days
Yes for some opioids
Yes for all opioids
No
If you have different days allowed for the initial limit for the various opioids, please explain.
For subsequent prescriptions, do you have POS edits in place to limit the quantity dispensed of short-acting opioids?
Yes
No
If “Yes,” what is your maximum days’ supply per prescription limitation?
30 day supply
90 day supply
Other, please explain.
If
“No,” why not?
Do you currently have POS edits in place to limit the quantity dispensed of long-acting opioids?
Yes
No
If “Yes,” what is your maximum days’ supply per prescription limitation?
30 day supply
90 day supply
Other, please explain.
If
“No,” why not?
Do you have measures other than restricted quantities and days’ supply in place to either monitor or manage the prescribing of opioids?
Yes
No
If “Yes,” please check all that apply:
Pharmacist override
Deny claim and require PA
Intervention letters
Morphine equivalent daily dose (MEDD) program
Step therapy or Clinical criteria
Requirement that patient has a pain management contract or Patient-Provider agreement
Requirement that prescriber has an opioid treatment plan for patients
Require documentation of urine drug screening results
Other, please specify
Please provide details on these opioid prescribing controls are in place
b) If the answer to (number 4) above is “No,” please explain what you do in lieu of the above or why you do not have measures in place to either manage or monitor the prescribing of opioids.
Do you have an automated claim retrospective reviews to monitor quantity dispensed and days supply of opioid prescriptions dispensed?
Yes
No
If
“Yes,” please explain nature and scope of reviews.
If “No,” please explain why not.
Do you have POS edits and or automated claim retrospective reviews to monitor duplicate therapy of opioid prescriptions dispensed?
Yes
Yes automated claim retrospective reviews
No
If
“Yes,” please explain scope and nature.
If “No,” please explain why not.
Do you have POS edits and or automated claim retrospective reviews to monitor early refills of opioid prescriptions dispensed? (check all those that apply)
Yes POS edits
Yes retrospective reviews
No
If
“Yes,” please explain scope and nature of reviews and
edits in place.
If “No,” please explain why not.
Do you currently have POS edits in place or a retrospective claims review to monitor opioids and benzodiazepines being used concurrently?
Yes POS edits
Yes retrospective reviews
No
If
“Yes,” please explain reviews and edits in place
If
“No,” please explain why not.
Do you currently have POS edits in place or a retrospective claims review to monitor opioids and sedatives being used concurrently?
Yes POS edits
Yes Retrospective claim reviews
No
If
“Yes,” please explain.
If
“No,” please explain why not.
Do you currently have POS edits in place or a retrospective claims review to monitor opioids and antipsychotics being used concurrently?
Yes, POS edits are in place
Yes, Retrospective claims reviews are in place
No,
If
“Yes,” please explain.
If
“No,” please explain why not:
Do you have POS safety edits or perform RetroDUR activity and/or provider education in regard to beneficiaries with a diagnosis history of opioid use disorder (OUD) or opioid poisoning diagnosis?
Yes POS edits
Yes retroDUR activity
No
If RetroDUR and/or provider education reviews are performed “Yes,” please indicate how often.
Monthly
Quarterly
Semi-Annually
Annually
Other please specify:
Please explain nature and scope of reviews RetroDUR and/or provider education reviews performed:.
If the answer to (number 11) above is “No,” do you plan on implementing a RetroDUR activity and/or provider education in regard to beneficiaries with a diagnosis history of OUD or opioid poisoning in the future?
Yes
If
“Yes,” when do you plan on implementing?
No
If “No,” please explain why not:
Does your state Medicaid agency develop and provide prescribers with pain management or opioid prescribing guidelines?
Yes
No
Please check:
Your state Medicaid agency refers prescribers to the CDC’s Guideline for Prescribing Opioids for Chronic Pain
Other guidelines
No guidelines are offered
Please identify “other” or “referred” guidelines:
Do you have a drug utilization management strategy that supports abuse deterrent opioid use to prevent opioid misuse and abuse (i.e. presence of an abuse deterrent opioid with preferred status on your preferred drug list)?
Yes
No
If “Yes,” please explain.
E. MORPHINE EQUIVALENT DAILY DOSE (MEDD)
Have you set recommended maximum morphine equivalent daily dose measures?
Yes
No
If “Yes,” what is your maximum morphine equivalent daily dose limit in milligrams?
50 MME
70 MME
80 MME
90 MME
100MME
Other: Please specify: _______ mg per day
If
“Yes” please explain nature and scope of dose limit
(i.e. who does the edit apply to? Does the limit apply to all
opioids? Are you in the process of tapering patients to achieve this
limit)?
If “No,” please explain the measure or program you utilize.
Do you provide information to your prescribers on how to calculate the morphine equivalent daily dosage or do you provide a calculator developed elsewhere?
Yes
No
Please name the developer of the calculator:
If “Yes,” how is the information disseminated?
Website
Provider notice
Educational seminar
Other, please explain.
Do you have an edit in your POS system that alerts the pharmacy provider that the morphine equivalent daily dose prescribed has been exceeded?
Yes
No
If “Yes,” do you require prior authorization if the MEDD limit is exceeded?
Yes
No
Do you have automated retrospective claim reviews to monitor total daily dose (MME) of opioid prescriptions dispensed?
Yes,
please explain.
No,
please
explain why not:
F. BUPRENORPHINE, NALOXONE, BUPRENORPHINE/NALOXONE COMBINATIONS and METHADONE for OPIOID USE DISORDER (OUD)
1. Does your agency set total mg per day limits on the use of buprenorphine and buprenorphine/naloxone combination drugs?
Yes
No
If “Yes,” please specify the total mg/day:
12 mg
16 mg
24 mg
Other, please explain.
2. What are your limitations on the allowable length of this treatment?
6 months
12 months
No limit
Other, please explain.
3. Do you require that the maximum mg per day allowable be reduced after a set period of time?
Yes
No
If “Yes,” what is your reduced (maintenance) dosage?
8 mg
12 mg
16 mg
Other, please explain.
If “Yes,” what are your limitations on the allowable length of the reduced dosage treatment?
6 months
12 months
No limit
Other, please explain.
4. Do you have at least one buprenorphine/naloxone combination product available without prior authorization?
Yes
No
5. Do you currently have edits in place to monitor opioids being used concurrently with any buprenorphine drug or any form of MAT?
Yes
No
Other, please explain.
If “Yes,” can the POS pharmacist override the edit?
Yes
No
6. . Do you have at least one naloxone opioid overdose product available without prior authorization?
Yes
No
Do you retrospectively monitor and manage appropriate use of naloxone to persons at risk of overdose
Yes
No
8. Does your state board of pharmacy and/or state Medicaid agency allow pharmacists to dispense naloxone prescribed independently or by collaborative practice agreements, standing orders, or other predetermined protocols?
Yes
If “Yes”, please explain if a process is in place:
No
9.Does your state agency cover Methadone for a substance use disorder (i.e. Methadone Treatment Center)?
Yes
No
G. ANTIPSYCHOTICS /STIMULANTS
ANTIPSYCHOTICS
Do you currently have restrictions in place to limit the quantity of antipsychotics?
Yes
No
If restriction is other than quantity limit, please explain.
Do you have a documented program in place to either manage or monitor the appropriate use of antipsychotic drugs in children?
Yes
No
If “Yes,” do you either manage or monitor:
Only children in foster care
All children
Other, please explain.
If “Yes,” do you have edits in place to monitor (check all that apply):
Child’s Age
Dosage
Polypharmacy
Other
c) Please briefly explain the specifics of your antipsychotic monitoring program(s).
d) If you do not have an antipsychotic monitoring program in place, do you plan on implementing a program in the future?
Yes
No
If “No,” please explain why you will not be implementing a program to monitor the appropriate use of antipsychotic drugs in children.
STIMULANTS
Do you currently have restrictions in place to limit the quantity of stimulants?
Yes
No
Do you have a documented program in place to either manage or monitor the appropriate use of stimulant drugs in children?
Yes
No
a) If “Yes,” do you either manage or monitor:
Only children in foster care
All children
Other, please explain.
b) If “Yes,” do you have edits in place to monitor (check all that apply):
Child’s Age
Dosage
Polypharmacy
Please briefly explain the specifics of your documented stimulant monitoring
program(s).
If you do not have a documented stimulant monitoring program in place, do you plan on implementing a program in the future?
Yes
If
“Yes,” when?
No
If “No,” please explain why you will not be implementing a program to monitor the appropriate use of stimulant drugs in children.
VIII. INNOVATIVE PRACTICES
Have you developed any innovative practices during the past year which you have included in Attachment 6 – Innovative Practices (i.e. Substance Use Disorder, Hepatitis C, Cystic Fibrosis, MEDD, Value Based Purchasing)?
Yes
No
IX). E-PRESCRIBING
Does your MMIS or pharmacy vendor have a portal to electronically provide patient drug history data and pharmacy coverage limitations to a prescriber prior to prescribing upon inquiry?
Yes
No
If “Yes,” do you have a methodology to evaluate the effectiveness of providing drug information and medication history prior to prescribing?
Yes
No
If “Yes,” please explain the evaluation methodology in Attachment 7 – E-
Prescribing Activity Summary.
If the answer to (number 1) above is “No,” are you planning to develop this
capability?
Yes
No
Does your system use the NCPDP Origin Code that indicates the prescription source?
Yes
No
X) MANAGED CARE ORGANIZATIONS (MCOs)
How many MCOs are enrolled in your state Medicaid program?
____________MCO(s) (Insert number of MCOs in the blank including 0 if none)
If “Zero” or “None,” please skip the rest of this section.
Is your pharmacy program included in the capitation rate (carved in)?
Yes
No
Partial
If “Partial,” please specify the drug categories that are carved out.
Does the state set requirements for the MCO’s pharmacy benefit (i.e. same PDL, same ProDUR/RetroDUR)?
Yes
No
If “Yes,” please check all requirements that apply below:
Formulary Reviews
Same PDL
Same ProDUR
Same RetroDUR
If “Yes,” please briefly explain your policy.
If “No,” do you plan to set standards in the future?
Yes
No
Did all of your managed care plans submit their DUR reports?
Yes
No
If “No,” please explain why.
XI) EXECUTIVE SUMMARY – Attachment 8 – Executive Summary
MEDICAID DRUG UTILIZATION REVIEW ANNUAL REPORT
INSTRUCTIONS: Nomenclature Format for Attachments
States: Please use this standardized format for naming attachments.
ATT#-FFY-State Abbrev-Abbreviated Report name (NO SPACES!) Example for
Arizona: (each state should insert their 2 letter state code)
Attachments:
ATT1-20_ _-AZ-POCCR (Pharmacy Oral Counseling Compliance Report)
ATT2-20_ _-AZ-REOS (RetroDUR Educational Outreach Summary)
ATT3-20_ _-AZ-SDBA Summary of DUR Board Activities)
ATT4-20_ _-AZ-GDSP (Generic Drug Substitution Policies)
ATT5-20_ _-AZ-CSCAM (Cost Savings/Cost Avoidance Methodology)
ATT6-20_ _-AZ-IPN (Innovative Practices Narrative)
ATT7-20_ _-AZ-EAS (E-Prescribing Activity Summary)
ATT8-20_ _-AZ-ES (Executive Summary)
EXPLANATION FOR ATTACHMENTS AND TABLES
ATTACHMENT 1 – PHARMACY ORAL COUNSELING COMPLIANCE REPORT
This attachment reports the monitoring of pharmacy compliance with all prospective DUR requirements performed by the State Medicaid Agency, the State Board of Pharmacy, or other entity responsible for monitoring pharmacy activities. If the State Medicaid Agency itself monitors compliance with these requirements, it may provide a survey of a random sample of pharmacies with regard to compliance with the Omnibus Budget Reduction Act (OBRA) of 1990 prospective DUR requirement. This report details state efforts to monitor pharmacy compliance with the oral counseling requirement. This attachment should describe in detail the monitoring efforts that were performed and how effective these efforts were in the fiscal year reported.
ATTACHMENT 2 – RETROSPECTIVE EDUCATIONAL OUTREACH SUMMARY
This is a year-end summary report on RetroDUR screening and educational interventions. The year-end summary reports should be limited to the TOP 10 problems with the largest number of exceptions. The results of RetroDUR screening and interventions should be included.
ATTACHMENT 3 – SUMMARY OF DUR BOARD ACTIVITIES
This summary should be a brief descriptive report on DUR Board activities during the fiscal year reported. This summary should:
Indicate the number of DUR Board meetings held.
List additions/deletions to DUR Board approved criteria.
For prospective DUR, list problem type/drug combinations added or deleted.
For retrospective DUR, list therapeutic categories added or deleted.
Describe Board policies that establish whether and how results of prospective DUR screening are used to adjust retrospective DUR screens. Also, describe policies that establish whether and how results of retrospective DUR screening are used to adjust prospective DUR screens.
Describe DUR Board involvement in the DUR education program (i.e. newsletters, continuing education, etc.) Also, describe policies adopted to determine mix of patient or provider specific intervention types (i.e. letters, face-to-face visits, increased monitoring).
ATTACHMENT 4 – GENERIC DRUG SUBSTITUTION POLICIES
Please report any factors that could affect your generic utilization percentage and include any relevant documentation.
ATTACHMENT 5 – COST SAVINGS/COST AVOIDANCE METHODOLOGY
Include copy of program evaluations/cost savings estimates prepared by state or contractor noting methodology used.
ATTACHMENT 6 – INNOVATIVE PRACTICES
Please describe in detailed narrative form any innovative practices that you believe have improved the administration of your DUR program, the appropriateness of prescription drug use and/or have helped to control costs (i.e. disease management, academic detailing, automated prior authorizations, continuing education programs).
ATTACHMENT 7 – E-PRESCRIBING ACTIVITY SUMMARY
Please describe all development and implementation plans/accomplishments in the area of e-prescribing. Include any evaluation of the effectiveness of this technology (i.e. number of prescribers e-prescribing, percent e-prescriptions to total prescriptions, relative cost savings).
ATTACHMENT 8 – EXECUTIVE SUMMARY
Suggest to include a general overview and summary of program highlights from 2018 as well as objectives, tools and outcomes of initiatives accomplished in 2018 as well as goals for 2019. Suggest including a summary of oversight of program and MCOs.
TABLE 1 – TOP DRUG CLAIMS DATA REVIEWED BY THE DUR BOARD
List the requested data in each category in the chart below.
Column 1 – Top 10 Prior Authorization (PA) Requests by Drug Name
Column 2 – Top 10 PA Requests by Drug Class
Column 3 – Top 5 Claim Denial Reasons other than eligibility , or data validity edits like invalid birthday or drug not rebatable (i.e. Quantity Limits, Early Refill, PA, Therapeutic Duplications, Age Edits)
Column 4 – Top 10 Drug Names by Amount Paid
Column 5 – From Data in column 4, Determine the Percentage of Total Drug Spend
Column 6 – Top 10 Drug Names by Claim Count
Column 7 – From Data in Column 6, Determine the Percentage of Total Claims
Top 10 PA Requests By Drug Name |
Top 10 PA Requests By Drug Class |
Top 5 Claim Denial Reasons (i.e. QL, Early Refill, PA, Duplication) |
Top 10 Drug Names by Amount Paid |
% of Total Spent for Drugs by Amount Paid |
Top 10 Drug Names by Claim Count |
Drugs By Claim Count % of Total Claims |
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TABLE 2 – GENERIC UTILIZATION DATA
Please provide the following utilization data for this DUR reporting period for all covered outpatient drugs paid. Exclude Third Party Liability.
(COMPLETE TABLE 2)
Computation Instructions:
KEY:
Single-Source (S) – Drugs having an FDA New Drug Application (NDA), and there are no generic alternatives available on the market.
Non-Innovator Multiple-Source (N) – Drugs that have an FDA Abbreviated New Drug Application (ANDA), and generic alternatives exist on the market.
Innovator Multiple-Source (I) – Drugs which have an NDA and no longer have patent exclusivity.
Generic Utilization Percentage: To determine the generic utilization percentage of all covered outpatient drugs paid during this reporting period, use the following formula:
N ÷ (S + N + I) × 100 = Generic Utilization Percentage
Generic Expenditures Percentage of Total Drug Expenditures: To determine the generic expenditure percentage (rounded to the nearest $1000) for all covered outpatient drugs for this reporting period use the following formula:
$N ÷ ($S + $N + $I) × 100 = Generic Expenditure Percentage
Table 2: Generic Drug Utilization
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Single Source (S) Drugs |
Non-Innovator (N) Drugs |
Innovator Multi-Source (I) Drugs |
Total Number of Claims |
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Total Reimbursement Amount Less Co-Pay |
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CMS has developed an extract file from the Medicaid Drug Rebate Program Drug Product Data File identifying each NDC along with sourcing status of each drug: S, N, or I. This file will be made available from CMS to facilitate consistent reporting across States with this data request.
File Type | application/vnd.openxmlformats-officedocument.wordprocessingml.document |
Author | Yolonda Williams |
File Modified | 0000-00-00 |
File Created | 2021-01-15 |