Federal News

ENA Joins Letter Sent to UnitedHealthcare

Jul 2, 2021, 18:28 by System
The Emergency Nurses Association signed on to the following letter to United Healthcare Chief Executive Officer Brian Thompson following the announcement of a new policy to allow for the retroactive denial of coverage for emergency care.

The Emergency Nurses Association signed on to the following letter to United Healthcare Chief Executive Officer Brian Thompson following the announcement of a new policy to allow for the retroactive denial of coverage for emergency care.

Dear Mr. Thompson:

The undersigned organizations write to express deep concerns about UnitedHealthcare’s (UHC) new policy to allow for the retroactive denial of coverage for emergency care, which will have serious medical consequences for patients. While we understand that UHC has since announced a temporary delay of implementation for it until at least the end of the COVID-19 public health emergency, we write to urge you to rescind these policies permanently, and to express our belief that there is a better way to ensure that patients access the right care, in the right place, at the right time. We invite you to work together with us on these efforts. 

Patients do not have the full set of knowledge and tools to assess the level of care they may need. In fact, most clinicians cannot make a diagnosis with confidence without the support of a wide range of tools and tests. A 2013 JAMA study1 found that patients who receive a diagnosis of a low-acuity condition often present with initial complaints similar to patients with more serious conditions. Examining a dataset of over 34,900 unique emergency department (ED) visits found that 6.3% of visits were determined to have primary care–treatable diagnoses based on discharge diagnosis, yet the chief complaints reported for these ED visits were the same chief complaints reported for 88.7% of all ED visits. Of these visits, 11.1% were serious enough to be identified at ED triage as needing immediate emergency care, and 12.5% required hospital admission (with 3.4% of these going directly from the ED to the operating room). 

Even before the COVID-19 pandemic, the need for access to mental health care and substance use services was reaching crisis levels. In 2019, less than half of adults with mental health conditions received services2, and nearly 90% of those with a substance use disorder did not receive treatment.3 EDs around the country often serve as the only safety net for a fragmented mental health infrastructure. For those in crisis for whom the ED is a lifeline for care, an added threat of a retroactive denial of coverage under this policy can be devastating. 

In addition to shifting the responsibility for determining the difference between an emergent or non-emergent situation to the patient before any clinical evaluation, we believe the new coverage denial policy to be a violation of federal patient protection laws, specifically the “prudent layperson” (PLP) standard. This critical law allows people who reasonably think they are having an emergency to come to the ED without worrying about whether the services they receive will be covered by their insurance. Specifically, under the PLP, payors must cover any medical condition “manifesting itself by acute symptoms of sufficient severity (including severe pain) such that a prudent layperson, who possesses an average knowledge of health and medicine, could reasonably expect the absence of immediate medical attention to result in: 1) placing the health of the individual (or a pregnant woman or her unborn child) in serious jeopardy; 2) serious impairment to bodily functions, or 3) serious dysfunction of any bodily organ or part.” Payors cannot deny reimbursement to providers based on the patient’s final diagnosis.  

Although the new policy claims to take into account the PLP standard, it does so by including an attestation process after an initial claim is denied.  A policy of “deny first,” “attest later” is in itself a clear violation of the PLP standard and will undoubtedly harm patients. It will have a chilling effect on patients’ decisions to seek care, whether for themselves or for a loved one. It will take hearing only a few stories of neighbors, friends, or co-workers who were unexpectedly left with paying an entire ED bill after coverage was denied by UHC to make policyholders think twice about seeking care in an emergency. Such hesitation could be life-threatening or result in even greater costs to the healthcare system down the road.  

Only full and permanent rescission of the policy will ensure the safety of our patients and your enrollees, and we urge you to take such action immediately. 

Signed,

American College of Emergency Physicians Alabama Arise, Alliance of Specialty Medicine, American Academy of Dermatology Association, American Academy of Ophthalmology, American Association of Neurological Surgeons, American Association of Orthopaedic Surgeons, American College of Obstetricians and Gynecologists American College of Osteopathic Surgeons, American College of Radiology, American College of Surgeons, American Medical Association, American Osteopathic Association, American Society of Echocardiography, American Society of Plastic Surgeons, America's Essential Hospitals, Ann & Robert H. Lurie Children's Hospital of Chicago, Association of American Medical Colleges, California Medical Association, Center for Health & Democracy, Congress of Neurological Surgeons, Consumers for Quality Care, Emergency Department Practice Management Association (EDPMA), Emergency Nurses Association, Federation of American Hospitals, Michigan State Medical Society, National Alliance on Mental Illness, National Association for Behavioral Healthcare, Pennsylvania Medical Society (PAMED), Texas Medical Association, The Kennedy Forum, Well Being Trust
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2017 Federal News

ENA Joins Letter Sent to UnitedHealthcare

July 2, 2021 Advocacy insurance

The Emergency Nurses Association signed on to the following letter to United Healthcare Chief Executive Officer Brian Thompson following the announcement of a new policy to allow for the retroactive denial of coverage for emergency care.

Dear Mr. Thompson:

The undersigned organizations write to express deep concerns about UnitedHealthcare’s (UHC) new policy to allow for the retroactive denial of coverage for emergency care, which will have serious medical consequences for patients. While we understand that UHC has since announced a temporary delay of implementation for it until at least the end of the COVID-19 public health emergency, we write to urge you to rescind these policies permanently, and to express our belief that there is a better way to ensure that patients access the right care, in the right place, at the right time. We invite you to work together with us on these efforts. 

Patients do not have the full set of knowledge and tools to assess the level of care they may need. In fact, most clinicians cannot make a diagnosis with confidence without the support of a wide range of tools and tests. A 2013 JAMA study1 found that patients who receive a diagnosis of a low-acuity condition often present with initial complaints similar to patients with more serious conditions. Examining a dataset of over 34,900 unique emergency department (ED) visits found that 6.3% of visits were determined to have primary care–treatable diagnoses based on discharge diagnosis, yet the chief complaints reported for these ED visits were the same chief complaints reported for 88.7% of all ED visits. Of these visits, 11.1% were serious enough to be identified at ED triage as needing immediate emergency care, and 12.5% required hospital admission (with 3.4% of these going directly from the ED to the operating room). 

Even before the COVID-19 pandemic, the need for access to mental health care and substance use services was reaching crisis levels. In 2019, less than half of adults with mental health conditions received services2, and nearly 90% of those with a substance use disorder did not receive treatment.3 EDs around the country often serve as the only safety net for a fragmented mental health infrastructure. For those in crisis for whom the ED is a lifeline for care, an added threat of a retroactive denial of coverage under this policy can be devastating. 

In addition to shifting the responsibility for determining the difference between an emergent or non-emergent situation to the patient before any clinical evaluation, we believe the new coverage denial policy to be a violation of federal patient protection laws, specifically the “prudent layperson” (PLP) standard. This critical law allows people who reasonably think they are having an emergency to come to the ED without worrying about whether the services they receive will be covered by their insurance. Specifically, under the PLP, payors must cover any medical condition “manifesting itself by acute symptoms of sufficient severity (including severe pain) such that a prudent layperson, who possesses an average knowledge of health and medicine, could reasonably expect the absence of immediate medical attention to result in: 1) placing the health of the individual (or a pregnant woman or her unborn child) in serious jeopardy; 2) serious impairment to bodily functions, or 3) serious dysfunction of any bodily organ or part.” Payors cannot deny reimbursement to providers based on the patient’s final diagnosis.  

Although the new policy claims to take into account the PLP standard, it does so by including an attestation process after an initial claim is denied.  A policy of “deny first,” “attest later” is in itself a clear violation of the PLP standard and will undoubtedly harm patients. It will have a chilling effect on patients’ decisions to seek care, whether for themselves or for a loved one. It will take hearing only a few stories of neighbors, friends, or co-workers who were unexpectedly left with paying an entire ED bill after coverage was denied by UHC to make policyholders think twice about seeking care in an emergency. Such hesitation could be life-threatening or result in even greater costs to the healthcare system down the road.  

Only full and permanent rescission of the policy will ensure the safety of our patients and your enrollees, and we urge you to take such action immediately. 

Signed,

American College of Emergency Physicians Alabama Arise, Alliance of Specialty Medicine, American Academy of Dermatology Association, American Academy of Ophthalmology, American Association of Neurological Surgeons, American Association of Orthopaedic Surgeons, American College of Obstetricians and Gynecologists American College of Osteopathic Surgeons, American College of Radiology, American College of Surgeons, American Medical Association, American Osteopathic Association, American Society of Echocardiography, American Society of Plastic Surgeons, America's Essential Hospitals, Ann & Robert H. Lurie Children's Hospital of Chicago, Association of American Medical Colleges, California Medical Association, Center for Health & Democracy, Congress of Neurological Surgeons, Consumers for Quality Care, Emergency Department Practice Management Association (EDPMA), Emergency Nurses Association, Federation of American Hospitals, Michigan State Medical Society, National Alliance on Mental Illness, National Association for Behavioral Healthcare, Pennsylvania Medical Society (PAMED), Texas Medical Association, The Kennedy Forum, Well Being Trust

The Emergency Nurses Association is the premier professional nursing association dedicated to defining the future of emergency nursing through advocacy, education, research, innovation, and leadership. Founded in 1970, ENA has proven to be an indispensable resource to the global emergency nursing community. With 50,000 members worldwide, ENA advocates for patient safety, develops industry-leading practice standards and guidelines and guides emergency health care public policy. ENA members have expertise in triage, patient care, disaster preparedness, and all aspects of emergency care. Additional information is available at www.ena.org.

ENA Media Contact

Dan Campana

Director of Communications

dan.campana@ena.org