Full Text of HB0836 102nd General Assembly
HB0836enr 102ND GENERAL ASSEMBLY |
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| 1 | | AN ACT concerning regulation.
| 2 | | Be it enacted by the People of the State of Illinois,
| 3 | | represented in the General Assembly:
| 4 | | Section 1. Short title. This Act may be cited as the Health | 5 | | Insurance Coverage Premium Misalignment Study Act. | 6 | | Section 5. Purpose. This Act is intended to enable the | 7 | | State to study possible misalignment in the Illinois health | 8 | | insurance marketplace that would produce increased premium or | 9 | | cost sharing for some consumers and drive some consumers into | 10 | | lower value qualified health plans or out of the marketplace | 11 | | altogether. | 12 | | Section 10. Findings. The General Assembly finds that: | 13 | | (1) Section 1402 of the Patient Protection and Affordable | 14 | | Care Act requires health insurance issuers to provide | 15 | | cost-sharing reductions to low-income marketplace consumers | 16 | | below the 250% federal poverty level who choose a silver level | 17 | | plan; it also requires the United States Department of Health | 18 | | and Human Services to reimburse issuers for cost-sharing | 19 | | reductions. Cost-sharing reductions are important because they | 20 | | help low-income marketplace consumers afford out-of-pocket | 21 | | costs, including deductibles and copayments, and therefore | 22 | | keep them in the marketplace.
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| 1 | | (2) On October 12, 2017, the federal government, through | 2 | | executive action, announced that it would be discontinuing | 3 | | cost-sharing reduction payments to issuers in the Patient | 4 | | Protection and Affordable Care Act marketplace. Illinois, like | 5 | | the majority of other states, took action to mitigate the | 6 | | losses that Illinois issuers would endure without the federal | 7 | | cost-sharing reduction payments by adopting a practice called | 8 | | "silver loading" or "cost-sharing reduction uncertainty cost" | 9 | | beginning in the 2018 plan year. Silver loading allows issuers | 10 | | to increase their silver plan baseline premiums to make up the | 11 | | costs lost from the missing federal cost-sharing reduction | 12 | | payments. Most of these premium increases are offset by higher | 13 | | advanced premium tax credits from the federal government.
| 14 | | (3) However, due to silver loading and resulting pricing | 15 | | of silver plans in the Illinois marketplace, it appears that | 16 | | the current metal-level premiums in the Illinois marketplace | 17 | | are misaligned and do not reflect coverage generosity of the | 18 | | plans. The fact that silver plans are now overpriced for | 19 | | enrollees ineligible for generous cost-sharing reductions has | 20 | | driven some of those enrollees into non-silver (mostly bronze) | 21 | | plans with levels of cost sharing that are a worse match for | 22 | | their needs. In other words, Illinois marketplace consumers | 23 | | could be currently paying more than they should for low value | 24 | | plans and less than they should for high value plans.
| 25 | | Section 15. Premium misalignment study. |
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| 1 | | (a) The Department of Insurance shall oversee a study to | 2 | | explore rate setting approaches that may yield a misalignment | 3 | | of premiums across different tiers of coverage in Illinois' | 4 | | individual health insurance market. The study shall examine | 5 | | these approaches with a view to attempts to make coverage more | 6 | | affordable for low-income and middle-income residents. The | 7 | | study shall follow the best practices of other states targeted | 8 | | at addressing metal-level premium misalignment and include an | 9 | | Illinois-specific analysis of: | 10 | | (1) the number of consumers who are eligible for a | 11 | | premium subsidy under the Patient Protection and | 12 | | Affordable Care Act (Pub. L. 111-148) and the relative | 13 | | affordability of the plans;
| 14 | | (2) if the plan is in the silver level, as described by | 15 | | 42 U.S.C. 18022(d), the relation of the premium amount | 16 | | compared to premiums charged for qualified health plans | 17 | | offering different levels of coverage, taking into account | 18 | | any funding or lack of funding for cost-sharing reductions | 19 | | and the covered benefits for each level of coverage; and | 20 | | (3) whether the plan issuer utilized the induced | 21 | | demand factors developed by the Centers for Medicare and | 22 | | Medicaid Services for the risk adjustment program | 23 | | established under 42 U.S.C. 18063 for the level of | 24 | | coverage offered by the plan or any State-specific induced | 25 | | demand factors established by Department rules. | 26 | | (b) The study shall produce cost estimates for Illinois |
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| 1 | | residents addressing metal-level premium misalignment policy | 2 | | as studied in subsection (a) along with the impact of the | 3 | | policy on health insurance affordability and access and the | 4 | | uninsured rates for low-income and middle-income residents, | 5 | | with break-out data by geography, race, ethnicity, and income | 6 | | level. The study shall evaluate how premium realignment, if | 7 | | implemented, would affect costs and outcomes for Illinoisans. | 8 | | (c) The Department of Insurance shall develop and submit, | 9 | | no later than January 1, 2024, a report to the General Assembly | 10 | | and the Governor concerning the design, costs, benefits, and | 11 | | implementation of premium realignment to increase | 12 | | affordability and access to health care coverage that | 13 | | leverages existing State infrastructure.
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