Submitted by rdillaire on
CMS-CCSQ Supports Payer Name for USCDI v6
Recommendation: CMS CCSQ recommends advancing the Medicare Patient Identifier element to Level 2 and inclusion of the Coverage Period, Group Name, Payer Name, Plan Name, and Medicare Patient Identifier data elements in final USCDI v6.
Rationale: Inclusion of these common health insurance data elements for nationwide interoperability is essential for such use cases as value-based care, including affordability for lower-income individuals, and enabling patients to determine costs and affordability up front. This Health Insurance Information data class is associated with the overall primary and secondary coverage for the individual. In some cases, it may be different from the benefit used for a particular encounter or claim (e.g., worker's comp benefits). While these data elements are already included in the latest Fast Healthcare Interoperability Resources (FHIR) US Core and Consolidated Clinical Document Architecture (CDA) implementation guides (IGs) referenced in the Health, Data, Technology, and Interoperability-1 Final Rules (HTI-1), the implementation community can benefit from more clarity on how to consistently populate these fields—in particular Payer Name and Group Name—as there is variation between what a typical insurance card shows versus what is best used on real-time eligibility (RTE) queries with health plans.
Submitted by nedragarrett_CDC on
CDC's Comment for draft USCDI v6
CDC is requesting that the following Level 2 data element be added for consideration to USCDI V6 to inform hospital and ambulatory medical care survey data collection efforts.
Justification: National Healthcare Surveys includes expected source of payment information as a data element in restricted use data files. Inclusion of this data element would improve accuracy of reporting expected source of payment in official federal statistics produced by National Healthcare Surveys data.