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Mercer Oliver Wyman Actuarial Consulting, Inc. October 2006. Florida Health Insurance Plan High Risk Pool. Karen Bender Milwaukee. Florida Health Insurance Plan (FHIP). 2003 Legislation – start a new high risk program
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Mercer Oliver Wyman Actuarial Consulting, Inc. October 2006 Florida Health Insurance PlanHigh Risk Pool Karen Bender Milwaukee
Florida Health Insurance Plan (FHIP) • 2003 Legislation – start a new high risk program • Engaged Mercer Oliver Wyman U.S. Actuarial Consulting (MOW) to perform feasibility study • One aspect of the feasibility study was to analyze the impact the high risk pool will have on the market (if any)
Background Florida Comprehensive Health Association (FCHA) • Formerly known as State Comprehensive Health Association • High Risk Pool • Closed to new enrollment in October 1990 • 1990 Data • Premium $15 million • Claims $47 million • Assessment $34 million
Background Unique Circumstances in Florida that Facilitated Impact Analysis • HIPAA Requirements • Florida DOI issued data request • Florida requires rates be filed and approved before using • Florida has certain routine reporting requirements
Florida HIPAA Compliance 3 Prong Approach Small Group Carriers Individual Carriers Group Carriers
Florida HIPAA Compliance • Carriers in Individual (Nongroup) Market • Applicable only to HIPAA-qualified Individuals leaving Self-funded Plans • Must guarantee issue their two most popular currently marketed plans
Florida HIPAA Compliance • Small Group Carriers • Required to guarantee issue to self-employed each August • Premiums cannot exceed 150% of Standard Risk Rates • DOI determines Standard Risk Rates • Based upon average rate charged by nongroup carriers representing 80% of the nongroup market
Florida HIPAA Compliance • Group Carriers • Must issue conversion contracts • Benefits determined by Florida regulators • Premiums cannot exceed 200% of Standard Risk Rates • Same Standard Risk Rates (adj. for benefits) as used for G.I. for one-life groups by small group carriers
Florida HIPAA Compliance • Individual Carriers • Small Group Carriers • Group Carriers High Risk Pool Would Eliminate These HIPAA Compliance Requirements • What will impact be on rates (if any)?
Florida DOI Data Request • Issued to Individual (Nongroup) and Small Group Carriers • Experience for one-life and HIPAA-qualified individuals vs. small group and medically underwritten groups • Impact of removing several requirements • 19 carriers (including HMOs) participated
Results • Segregated by HIPAA Compliance • Individual Carriers • Small Group Carriers • Group Carriers • Impact Segregated between Claim Cost and Administrative Costs
Results • HIPAA Experience for Individual Carriers
Results • HIPAA Experience for Individual Carriers Nongroup Carrier Losses Attributable to HIPAA
HIPAA Experience for Individual Carriers • Losses as a % of 2003 Premium • Range 1.2% to 2.2% • Carriers will still incur losses on existing HIPAA individuals unless they would be allowed to immediately transfer them to the high risk pool • Over long run, premiums decrease 1.2% to 2.2%
Results • Responses from Carriers If we ignore the carriers that did not provide an estimate, the weighted average (based upon lives) is about a 3% reduction in nongroup premiums.
Individual Carrier Responses • Administrative Savings • Carriers indicated would be minimal, 0.0% to 0.5% of premium • Appeared conservative • MOW estimated 1.0% savings
Small Group Carriers • GI One-Life Groups Experience vs. Groups 2-50 EEs
Small Group Carriers • Incurred Losses Attributable to One-Life Groups Reason losses decreased in 2003, companies allowed to increase rates from 115% to 150% of Standard Risk Rates
Small Group Carriers • One-Life Groups • Losses on previous slide understated • Expressed as a % of 2003 Premium Levels for technical reasons • Removing GI for one-life group could reduce small group premiums by 2.0% to 3.0% in the long run
Small Group Carriers • Responses from Carriers • Mixed • 9 carriers indicated no change in premiums if G.I. of one-life groups removed • Several indicated they could not determine impact • Some carriers indicated they had insufficient membership to generate credible results • Missed opportunity
Small Group Carriers • Administrative Savings • Elimination of open enrollment • Reduced marketing costs resulting from elimination of open enrollment forms, etc. • More streamlined regulatory reporting requirements • Higher administrative costs associated with billing, accounting, customer service of one-life groups
Small Group Carriers • Administrative Savings • Carrier’s responses mixed; no numerical estimates • MOW estimated 1% premium savings in the long run
Group Carriers • Current HIPAA Compliance Requirement • Conversion Plans • State defined benefits • 200% Standard Risk Rate • Florida DOI has 2002 Group Conversions Statistics: • Actual loss ratio for 8 largest insurance companies – 211% • $58.4 million losses (Assumes 85% breakdown loss ratio) • Losses represent 0.5% of group premium
Group Carriers Potential Premium Savings *The reason that Elimination of Group Conversion (0.5% of premium) has what appears to be a greater dollar amount of impact proportionally than the elimination of one-life groups is that elimination of group conversion impacts the premium for all fully insured group sizes, whereas the elimination of one-life groups impacts the premium for only small groups.
Conclusions • Impact on Previous Slide • Does not consider impact of assessments • Critical to create broadest base possible for assessments • Self-funded • Provider • Small base for assessments could negate savings
FHIP Analysis • Most comprehensive impact analysis MOW has observed • Sources of data critical • Legislation failed • Critical issue was funding