JULY 2021 Issue Brief Pulling Back the Curtain: How Many California Hospitals Are Complying with Federal Price Transparency Rules? A s of January 1, 2021, a new federal government 522 facilities with California hospital licenses. The web- policy required hospitals to release "clear, acces- site of each hospital was searched between April 1, 2021, sible pricing information about the items and and April 30, 2021, seeking to identify information com- services they provide" in two ways. First, they must post pliant with the price transparency regulations. The results publicly on the internet a machine-readable file that were cross-checked with data from Turquoise Health, includes information including both the amount they which has used automated methods to compile informa- charge per service and the negotiated amounts they tion reported by hospitals in response to the regulations. actually receive from payers. Second, they must provide information about prices for at least 300 services consum- Results are presented here for 391 general acute care, ers might comparison shop for, in a consumer-friendly children's, and specialty hospitals covered by the regu- format. Hospitals can meet this second requirement by lation, excluding Kaiser hospitals. Limited results are posting a machine-readable file of prices, or by provid- presented for many other facilities with hospital licenses, ing a price estimator tool that would allow consumers behavioral health, and skilled nursing facilities, which to enter information and obtain individualized estimates often appear to have different pricing structures than the of their out-of-pocket costs. Hospitals not meeting main group of facilities. the requirement may be penalized by the Centers for Medicare & Medicaid Services (CMS). Compliance with the Regulations A goal of the regulation is to improve price transparency, For each hospital examined, measures of compliance in the hopes that it will help efforts to manage health were coded for several aspects of the first component care costs, although debate continues about how big of the regulation (the "Standard Charge" component). an impact the regulation could have, and early reports These measures follow the categories of information have shown that compliance with the new regulation that hospitals are required to report. The measures is far from complete. This study was undertaken to see included (1) whether the hospital provides any down- whether California hospitals were complying with the loadable machine-readable file with prices; (2) whether new regulations, as of April 2021. This brief summarizes the machine-readable file includes "gross charges," results from the authors' analysis, which may be found sometimes referred to as "chargemaster" rates; (3) in more detail in the full report, Compliance with Price whether the machine-readable file includes discounted Transparency by California Hospitals.1 cash prices - for example, those that might be offered to patients qualifying for discount programs; (4) whether Since the regulation applies to facilities with state hospi- the machine-readable file includes the de-identified tal licenses, data from the California Office of Statewide minimum and maximum negotiated rates across payers Health Planning and Development were used to identify with which the hospital contracts; and (5) whether the 1. Laurence Baker et al., Compliance with Price Transparency by California Hospitals, Stanford University - Stanford Health Policy, June 2021. machine-readable file includes payer-specific negotiated Figure 1. C ompliance with Standard Charge Component of rates for at least one identified payer and plan. Regulation, California, as of April 2021 (N = 391) Figure 1 shows that while a majority of the hospitals pro- NUMBER OF HOSPITALS* IN COMPLIANCE vide some form of machine-readable file, only about Any machine-readable (MR) file one-third provided a file meeting all the criteria. Whether 221 or not hospitals provide information about rates negoti- ated with specific payers has been of particular interest MR file with gross charges from a price transparency standpoint. About 45% of hos- 214 pitals, 177 of 391, provided a file reporting at least some payer-specific prices. MR file with discounted cash prices 161 Three measures of compliance were codified for the shoppable services component of the regulation, which MR file with de-identified min/max prices requires that hospitals provide either a machine-readable 180 file of prices for "shoppable" services, or an accessible tool from which consumers could obtain these prices. MR file with payer-specific prices The measures used in this study were (1) whether the 177 hospital provided a shoppable services machine-read- MR file with all five types of charges able file, (2) whether the hospital provided a shoppable services online tool, and (3) for those that provided a tool, 132 whether the tool could be used without account registra- tion or disclosure of personal identifying information (PII). Figure 2 shows that more than half of the hospitals pro- Figure 2. C ompliance with Shoppable Services Component vided an accessible tool for finding prices for a set of of Regulation, California, as of April 2021 (N = 391) shoppable services, while only about one in five provided a file of shoppable services prices. 40 hospitals posted NUMBER OF HOSPITALS* IN COMPLIANCE both a file and a tool. Overall, more than 60% appeared Any file or tool to be compliant with this component of the regulations. 251 Combining the results from the assessment of compliance File with the first and second components of the regulation, 82 an overall measure was constructed of whether hospitals appeared to be compliant with the regulation. Hospitals Any tool were classified as fully compliant if they met all criteria 209 for the first component of the regulation and also pro- vided either a shoppable services file or tool that was Accessible tool accessible without requiring a login or PII. Hospitals were 200 classified as partially compliant if they posted at least a downloadable machine-readable file that was clearly dis- File or accessible tool tinct from a chargemaster, a shoppable services file, or 242 shoppable services tool. Hospitals were classified as non- compliant if all of those three items (machine-readable FIGURES 1 and 2: file, shoppable services file, and shoppable services tool) *General acute care, children's, and specialty hospitals. weren't found. Source: Authors' analysis of information posted on hospital-licensed facility websites. California Health Care Foundation www.chcf.org 2 Thirty percent of hospitals (117 of 391) were identified as Does Compliance Vary with Hospital fully compliant, and 43% partially compliant, leaving 27% Characteristics? of the hospitals noncompliant with the regulation. The authors obtained data about the characteristics of hospitals from OSHPD's 2019 hospital annual financial Also examined were other entities with California hospi- data, and about the characteristics of the county in which tal licenses. These facilities are also apparently covered hospitals are located from the 2018 –19 release of the by the regulation but may operate substantially differ- Area Health Resources File. Then observations could be ently from the main group of general acute, children's, made about whether compliance rates varied according and specialty hospitals, and it is unclear how well the reg- to characteristics of hospitals or the geographic areas in ulation fits them. Among 77 behavioral health facilities which they were located. Due to some limitations in data with hospital licenses examined, 9% were fully compliant availability, these observations were able to be made for and 19% were partially compliant, with 71% noncompli- 329 of the 391 hospitals. ant. Among the 16 skilled nursing facilities we identified with hospital licenses, 13% were fully compliant with the Table 1 shows that the largest hospitals by bed size were regulation, 31% were partially compliant, and 57% were the least likely to be fully compliant but also the least noncompliant. likely to be non-compliant, as were teaching hospitals relative to non-teaching hospitals. Rural hospitals, and Table 1. Compliance with Price Transparency Regulation, by Hospital and Area Demographic Characteristics, California FACTOR NONCOMPLIANT PARTIALLY COMPLIANT FULLY COMPLIANT P-VALUE* Hospital-Level Data, 2019† $ Licensed hospital beds Small (1–100) 36 (38%) 29 (30%) 31 (32%) .002 Medium (101–499) 47 (23%) 93 (45%) 65 (32%) Large (500+) 6 (21%) 19 (68%) 3 (11%) $ Rural status Nonrural 61 (22%) 126 (46%) 85 (24%) <.001 Rural 28 (49%) 15 (26%) 14 (25%) $ Teaching status Nonteaching 84 (28%) 123 (41%) 93 (31%) .091 Teaching 5 (17%) 18 (62%) 6 (21%) $ Net patient revenue per patient day Bottom quartile 23 (28%) 38 (46%) 22 (27%) .86 Middle 2 quartiles 46 (28%) 69 (42%) 49 (30%) Top quartile 20 (24%) 34 (41%) 28 (34%) County-Level Data, 2017‡ $ In poverty ≤14.1% 31 (20%) 70 (44%) 57 (36%) .007 >14.1% 58 (34%) 71 (42%) 42 (25%) $ Under 65 without health insurance ≤8.4% 37 (22%) 72 (42%) 63 (37%) .010 >8.4% 52 (33%) 69 (44%) 36 (23%) * Pearson's chi-squared test (categorical variables) was used for comparisons of compliance by hospital characteristics. † Data in this section are from the 2019 CY Hospital Annual Selected File, from the OSHPD Annual Financial Data. Includes general acute care, children's, and specialty hospitals (includes facilities with matched characteristics data; N = 329). ‡ These variables are from the 2018 –19 "Area Health Resource File." Pulling Back the Curtain: How Many California Hospitals Are Complying with Federal Price Transparency Rules? www.chcf.org 3 hospitals in areas with higher shares of the population Reasons that hospitals are not fully compliant are not below the poverty limit and higher rates of uninsurance known. It is possible that some hospitals may be intend- were less likely to be fully compliant and more likely to ing to comply, but it may take time to work out the be non-compliant. requirements, which are extensive and unprecedented. It is possible that some hospitals may not be fully aware of the requirements. It is possible that some hospitals Comments may have chosen not to disclose contract-negotiated As of April 30, 2021, only 30% of the analyzed hospi- rates that were previously considered proprietary infor- tals were fully compliant with new federal regulations mation and may be willing to incur penalties that may requiring hospitals to report pricing data. This low level be assessed for not doing so. Some may have been of compliance is consistent with other reports of lim- waiting to see if CMS would enforce the regulation. The ited compliance in other groups of hospitals around the agency began issuing warning letters to hospitals in May United States. Somewhat higher rates of compliance, 2021, which may improve compliance rates over time. though still far from total, were observed with specific Hospitals identified by CMS as noncompliant will have subparts of the regulation, including providing a resource 90 days to submit corrective action plans that address for finding prices of shoppable services (compliance rate the issues before daily penalties are incurred. Overall, it 64%) or providing a machine-readable file with payer- remains uncertain how much, and how quickly, compli- specific negotiated rates (compliance rate 45%). ance might improve. Nearly half of hospitals complied with some parts of It is possible that hospital resources are associated with the regulation but not others, indicating awareness of compliance. As was mentioned earlier, hospitals in coun- the price transparency regulation but incomplete com- ties with higher poverty and unemployment rates, and pliance with it. There are a variety of components with rural hospitals, were less likely to be compliant. On the which hospitals could fail to comply. For example, many other hand, the largest hospitals were also less likely than hospitals posted a file that included at least their "gross smaller hospitals to be fully compliant. charges" but left out other required components. A com- mon omission was prices specific to individual payers. For Additional efforts to identify reasons for noncompliance example, some hospitals included de-identified payer- and to encourage increased compliance may be valuable, specific rates but did not disclose names of insurers or although debate about the potential impact remains. plans. Another prominent hospital posted a file with a list Greater transparency could theoretically help cost con- of services and names of health plans but nearly every tainment efforts by aiding consumers in their search for cell in the file listed the payer-specific negotiated rate as lower prices for services. For this to work, though, the "variable" rather than as numeric values. For the shop- information provided by hospitals would have to be pable services portion of the regulation, some hospitals accessible, comparable, and interpretable by consum- posting an online tool had created barriers to using the ers, and it is not clear that this is now the case. Based on tool (e.g., requiring a login or disclosure of PII) despite this review, even when hospitals provide information, it explicit warnings in the regulation not to do so. Other is often complex and is not always comparable from one hospitals are using third-party platforms to host their institution to another. Additionally, many patients who pricing data, such as hospitalpriceindex.com and cdm- access health care may have limited choices of hospitals pricing.com, and in several cases these platforms did not due to network restrictions, or may be seeking hospital correctly display the information from the hospital's file. care during a medical emergency. It is unclear whether this issue is due to an unforeseen problem with the third-party software or lack of informa- tion in the hospital's file. California Health Care Foundation www.chcf.org 4 Greater transparency could also affect costs if it influ- About the Authors ences contract negotiations between insurers and Laurence Baker, PhD, is professor of medicine (health hospitals. This may offer more promise for contributing policy) and senior fellow of the Stanford Institute for to cost containment, since hospitals, payers, and outside Economic Policy Research at Stanford University. Bianca observers like news organizations that could publicly Mulaney, MS, MPH, and Shreya A. Shah are Stanford report on hospital prices may be both aware of the data University medical students; and Christine Kim is a and able to process and use them. More transparency predoctoral research fellow at the Stanford Institute for about prices might put downward pressure on negoti- Economic Policy Research. ated rates, though it has been noted that this need not be the case. Acknowledgments The analysis was supported by the California Health Care Ultimately, it is hard to argue against additional price Foundation. The authors also thank Chris Severn and Jeff transparency, although with limited compliance and Littlejohn from Turquoise Health for their support. uncertainty about how the data disclosed will be used, it appears that a considerable amount of additional About the Foundation work will be required to achieve the goals of the new The California Health Care Foundation is dedicated to regulation. advancing meaningful, measurable improvements in the way the health care delivery system provides care to the people of California, particularly those with low incomes and those whose needs are not well served by the status quo. We work to ensure that people have access to the care they need, when they need it, at a price they can afford. CHCF informs policymakers and industry leaders, invests in ideas and innovations, and connects with changemak- ers to create a more responsive, patient-centered health care system. Pulling Back the Curtain: How Many California Hospitals Are Complying with Federal Price Transparency Rules? www.chcf.org 5