Cyberonics reneged on its "Lifetime Reimbursement Guarantee". Click on the image to learn how you can help...
Showing posts with label medicare. Show all posts
Showing posts with label medicare. Show all posts

Friday, November 21, 2014

Need to see a psychiatrist? Call your insurance company first

21 November 2014, 9.24pm AEDT

Need to see a psychiatrist? Call your insurance company first

Author
  1. Tara F Bishop

    Assistant Professor of Healthcare Policy and Research, Assistant Professor of Medicine at Cornell University

Disclosure Statement

Tara F Bishop receives funding from the National Institute on Aging, the Commonwealth Fund, the Robert Wood Johnson Foundation, and the Physician's Foundation.

The Conversation is funded by CSIRO, Melbourne, Monash, RMIT, UTS, UWA, ACU, ANU, ASB, Baker IDI, Canberra, CDU, Curtin, Deakin, Flinders, Griffith, the Harry Perkins Institute, JCU, La Trobe, Massey, Murdoch, Newcastle, UQ, QUT, SAHMRI, Swinburne, Sydney, UNDA, UNE, UniSA, USC, USQ, UTAS, UWS, VU and Wollongong.

 

Not everyone can pay out of pocket. Stock image of counseling session via Monkey Business Images/Shutterstock

Last week, a patient contacted me to find a psychiatrist because his anxiety was beginning to get out of control. He wanted to see someone who could do therapy and prescribe medications if he needed them. I gave him some names but warned him that none of them took insurance. If he wanted to find a psychiatrist that took his insurance, he’d need to call his insurance company to find one.

And this situation is not uncommon in my primary care practice. I can treat simple psychiatric conditions like depression and anxiety but, like many internists, I do not have the training to provide therapy or treat more severe psychiatric conditions. If a patients needs psychiatric care, the best I can do is to offer them some recommendations and tell them to contact their insurance company. As you can imagine, this poses a barrier for patients trying to access the psychiatric care they need.

Half of psychiatrists do not take insurance

This motivated me to study psychiatrists and insurance. Last year, a team of researchers and I published a study using data from a national survey of doctors examining this issue.

We found that almost half of psychiatrists take don’t take health insurance – whether it’s private health insurance, Medicare (insurance for the elderly), or Medicaid (insurance for the poor).

Specifically, we found that in 2009 to 2010, only 55% of psychiatrists took private health insurance, 55% took Medicare and 43% took Medicaid. This presents a significant barrier for patients who need to see psychiatrists.

It’s important to emphasize that this was a sharp contrast to every other type of doctor. For example, 94% of cardiologists took private health insurance during that same time period and 95% of general internists took Medicare. When pooled together, 88% of physicians all specialties other than psychiatry took private health insurance and 86% took Medicare. Acceptance rates for Medicaid were low overall because reimbursement rates are low. Nevertheless, psychiatrists had some of the lowest Medicaid acceptance rates of all specialties.

The results shocked us and when our study was published last year, we learned that the results also shocked the general public.

Doctors, patients and reporters corroborated our findings. I started to hear more and more stories of patients who struggled to find a psychiatrist who took their insurance.

Less money for more work

So why is this the case? First, low reimbursement may be a problem. Medicare pays US$130 to US$140 for a new visit to a psychiatrist. Although that rate is not much different from a visit to a primary care doctor, visits to psychiatrists may be longer because they involve counseling and therapy.

Second, a shortage of psychiatrists may also be factor. From 2000 to 2008, 14% fewer medical students chose to pursue careers in psychiatry and 55% of psychiatrists are over 55 and close to retirement age. As a result, many psychiatrists may have so much demand for their services that they do not need to accept insurance.

Finally, psychiatrists may not have or need the administrative capacity that other doctors need. A psychiatrist may be able to function without a lot of staff like nurses, medical assistants, and administrative assistants. Because of this some psychiatrists may not be motivated to hire that staff just to interact with insurance companies.

Possible solutions

Since the time of our study, our team has been developing ways to further study the problem but also to explore solutions.

One obvious step is to increase reimbursement for mental health-care. But such changes can be difficult. Medicare relies on a review panel of physicians to change reimbursement and it is unclear whether that panel will suggest increased reimbursement for psychiatrists.

But there are other promising options that make it easier for patients to access mental health care. For example, the New York City Department of Health and Mental Hygiene runs a program called Lifenet which patients can call to find a psychiatrist or other mental health provider in New York City who takes their insurance.

Another very effective program, called Impact, was developed by faculty at the University of Washington and helps primary care physicians treat depression. A nurse, social worker or psychologist works closely with patients in the primary care doctor’s office and has a designated psychiatrist to help with patients who are not improving.

These are good starts but much more needs to be done in order to ensure access to psychiatrists across the board. For now, I have told my patient that he will probably have to pay for his psychiatric care even though he has insurance or will have to find someone who takes his insurance without my help.

Hopefully in the future, we will have more options for him.

http://theconversation.com/need-to-see-a-psychiatrist-call-your-insurance-company-first-33874

Wednesday, November 19, 2014

Challenges For People With Disabilities Within The Health Care Safety Net

Challenges For People With Disabilities Within The Health Care Safety Net



November 18th, 2014

Editor’s note: This post is part of a series of several posts stemming from presentations given at “The Law of Medicare and Medicaid at Fifty,” a conference held at Yale Law School on November 6 and 7

Medicare and Medicaid were passed to serve as safety nets for the country’s most vulnerable populations, a point that has been reemphasized by the expansion of the populations they serve, especially with regards to Medicaid.  Yet, even after 50 years, the disabled population continues to be one whose health care needs are not being met.  This community is all too frequently left to suffer health disparities due to cultural incompetency, stigma and misunderstanding, and an inability to create policy changes that cover the population as a whole and their acute and long-term needs.

Nearly 57 million Americans had disabilities in 2010, and this number is likely to grow due to an aging population, advances in technology, and negative health trends such as obesity.  While the diversity of the group’s demographics and health issues can make it difficult to define “disabled,” how it is defined in policy can have significant implications for benefits, as well as stigma.  For example, the Social Security Administration narrowly defines disability as “the inability to engage in substantial gainful activity due to a medically determinable physical or mental impairment,” which disregards those who work in spite of their disabilities.  Meanwhile, the Americans with Disabilities Act (ADA) defines disability as “a physical or mental impairment that substantially limits one or more major life activities,” focusing on the condition rather than what a person can and cannot do.

The disparities for the disabled community are abundant: In comparison to nondisabled Americans, those with disabilities are more likely to be unemployed, impoverished, have less than a high school education, and have higher levels of risk factors such as obesity, smoking, and being physically inactive.  Moreover, disability prevalence is higher in minority groups such as blacks, American Indians, and Alaska Natives. However, the vulnerability of the disabled population does not stem simply from having a disability; more importantly, like other vulnerable populations, they are not well integrated into the health care system because of certain characteristics.  It is this inability to integrate the disabled into the health care system, and in turn society at large, that must be a focus of policymaking, including the Medicare and Medicaid programs, moving forward.

The Affordable Care Act (ACA) has taken steps that should help, such as expanding coverage, but disparities arise from health status and access to care as well.  To illustrate, one study looked at disparities between the disabled and nondisabled within Medicare to minimize the effect of coverage.  Nearly 50 percent of the disabled population reported putting off or not seeking care due to cost concerns, and they were more likely to have negative consequences as compared to nondisabled Medicare beneficiaries who delayed care due to costs.  Furthermore, disabled beneficiaries were three times as likely to have difficulties finding a doctor who accepted Medicare than nondisabled, and for the lucky that did 15 percent had difficulties finding doctors who actually understood their disability or how to treat it — not to mention obstacles arising from inadequate equipment and facilities, and insufficient communication, which is critical to patients’ rights of informed consent and bodily integrity.

The ACA contains provisions aimed at tackling some of these barriers to care, including standards for accessible medical diagnostic equipment, and developing trainings to provide culturally competent care to the disabled.  Proper training is critical as many of the health disparities that the disabled suffer are due to the fact that the health care system is not designed to care for this population effectively. The disabled suffer from others’ belief that they lack the ability to achieve high-functioning lifestyles, which is illustrated by the fact that health care staff rarely, if ever, emphasize health promotion.

This is not to insinuate that the issue of coverage, or coverage of the needs of the disabled, has been rectified.  A combination of states’ right to implement eligibility criteria, Medicaid being a target for budget cuts, and the disabled costing more than any other group has left many in the disabled community without much needed coverage.  The ACA originally expanded Medicaid to anyone at 133 percent of the federal poverty line (FPL), but the Supreme Court made this optional.  With 23 states still not moving forward on expansion, there is a need for advocacy and persuasion to try to limit the force of partisan politics.  While other safety net features are available, Medicaid can offer assistance to the disabled through long-term care as well as standard necessities.  Medicare on the other hand requires nonelderly disabled individuals receive SSDI benefits for at least 24 months — they must be unable to engage in gainful activity for at least 12 months to qualify for SSDI — and long-term institutional or community-based services are uncovered.

This perverse incentive to avoid work, or punish those that do work, is an issue the disabled community faces all too often.  Expanding employment options for the disabled is important not only monetarily, but also to enhance their ability to live independently and interact with their social environment.  Too often they are cut off from large parts of society, which undoubtedly lead to their higher rates of depression and mental illnesses.  The Community Living Assistance Services and Supports (CLASS) Act aimed to help alleviate some of the concerns over long-term care, but it was ultimately deemed unsustainable.  Nevertheless, with the disabled population growing, leaving their long-term medical needs to linger until they become more costly is not an economically efficient solution.

The safety net that Medicare and Medicaid aimed to create 50 years ago is still filled with far too many gaps when it comes to the disabled.  The ACA has taken some important steps, but more needs to be done to ensure the health care system, including Medicare and Medicaid, reduces its barriers to health.  Coupling policy changes with better information and training should also contribute to a much needed normative change, so that we no longer perceive those with disabilities as having something wrong with them or being unable to function “normally.”  It is essential that as a country we recognize that health disparities for the disabled are associated less with their disability and more with our inability to structure the societal and health care framework to allow them to function optimally.

http://healthaffairs.org/blog/2014/11/18/challenges-for-people-with-disabilities-within-the-health-care-safety-net/

Thursday, August 1, 2013

Letter requesting that Medicare deny reimbursement for Cyberonics’ Vagus Nerve Stimulation device for treatment-resistant depression (HRG Publication #1784)


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    Letter requesting that Medicare deny reimbursement for Cyberonics’ Vagus Nerve Stimulation device for treatment-resistant depression (HRG Publication #1784)

     

    To view our petition to the FDA to reverse the approval of the vagus nerve stimulation device for the management of treatment-resistant depression, filed in conjunction with this letter, click here.

    September 6, 2006

    Steve E. Phurrough, MD, MPA
    Director
    Coverage and Analysis Group
    Office of Clinical Standards and Quality
    Centers for Medicare & Medicaid Services
    7500 Security Boulevard
    Mailstop: C1-09-06
    Baltimore, MD  21244-1850

    Re: Formal Request for a National Coverage Determination for Vagus Nerve Stimulation for Treatment-resistant Depression (Track #1; Coverage Topic: Surgical Services)

    Dear Dr. Phurrough:

    We are writing to request that the Center for Medicare & Medicaid Services (CMS) issue a National Coverage Determination (NCD) that would deny Medicare reimbursement for Cyberonics’ Vagus Nerve Stimulation (VNS) device for treatment-resistant depression (TRD).  Although the device was approved for this purpose by the Food and Drug Administration (FDA) on July 15, 2005, CMS has made clear that this does not automatically guarantee reimbursement under the Medicare program.  Indeed, while under the Food, Drug, and Cosmetic Act, a device must be proved safe and effective to gain FDA approval, the Social Security Act provides for reimbursement under Medicare only if the device is “reasonable and necessary.”  In our view, neither standard has been met, and for this reason today we are also filing a petition with the FDA urging the reversal of FDA’s scientifically meritless previous decision to approve VNS.

    On July 24, 2006, Cyberonics filed a request for an NCD with CMS.  This is an act of desperation on the part of a flailing company.  Instead of the direct route to reimbursement offered by the NCD (the obvious route if one was confident of a favorable NCD), the company sought approval from ten individual CMS contractors in 19 separate applications.  Having completely failed with that strategy (see below), it is now turning to the NCD as a last resort for saving a product with disappointing sales.

    Legal Background

    FDA regulations require that a device demonstrate a “reasonable assurance that the device is safe and effective”[1] before the device can be marketed.[2] While it is clear that this standard has not been met (see “Background on VNS,” below), the FDA approved the device on July 15,2005, making it eligible for reimbursement under Medicare.  However, as CMS has made clear on multiple occasions, while it does defer to the FDA’s determinations of safety and efficacy, it operates under a different, more restrictive, standard in determining eligibility for reimbursement:

    Whereas the FDA must determine that a product is safe and effective as a condition of approval, CMS must determine that the product is reasonable and necessary as a condition of coverage under section 1862(a)(1)(A) of the [Social Security] Act. CMS adopts FDA determinations of safety and effectiveness, and CMS evaluates whether or not the product is reasonable and necessary for the Medicare population. Although an FDA-regulated product must receive FDA approval or clearance … for at least one indication to be eligible for Medicare coverage, … FDA approval/clearance alone does not generally entitle that device to coverage.[3]

    CMS uses a two-track approach to determining whether it will reimburse for a device.  In the first, a company seeks a favorable NCD from CMS itself.  CMS then initiates an evidence-based process to determine whether the criteria for reimbursement have been met.  This may include an outside technology assessment and/or referral to CMS’ Medicare Coverage Advisory Committee.  However, CMS regulations provide for the filing of NCDs by entities other than the manufacturer.  Indeed a Track #1 request for an NCD can be made by “any party”:

    A request to make an NCD can be received from an individual or entity who identifies an item or service as a potential benefit (or to prevent potential harm) to the Medicare population; this requestor can be either an aggrieved party as defined by section 522 of [the Benefits Improvement and Protection Act], or a nonaggrieved party.[4]

    In general, any payment change that results from an NCD will take effect within a year of the filing of the NCD.   On May 16, 2006, CMS issued a negative NCD for the Charite lumbar artificial disc for patients over the age of 60 on the grounds that it was not reasonable and necessary.  As far as we are aware, our application is the first by an advocacy group (and one of very few by anyone) to seek an NCD denying reimbursement under Medicare.

    The second track for securing Medicare reimbursement proceeds from Medicare’s contracting with carriers and fiscal intermediaries to process Medicare claims.  Together with Quality Improvement Organizations, these groups can make their own Local Coverage Determinations (LCDs) that govern reimbursement in the dozens of Medicare regions in the country.  LCDs cannot be in conflict with NCDs, but may supplement them.  This offers manufacturers two routes to reimbursement.  As we will see, Cyberonics has now attempted both.[5]

    Background on VNS

    The VNS device is implanted beneath the left clavicle in an outpatient procedure that typically costs $25,000 (including the device).[6] A lead runs to the vagus nerve and generates 30-second electrical pulses every five minutes.   The device was approved in 1997 for refractory epilepsy, but Cyberonics pursued the additional indication of TRD, perhaps because the company estimated that the market for the latter was 4.4 million people in the U.S. alone.  In a May 11, 2005, letter to the FDA urging the agency to not approve the device, we described the inadequacies in the data supporting the efficacy of VNS for TRD.[7] Here, we summarize those data and incorporate the entire letter by reference.

    Expecting to demonstrate the efficacy of VNS over the short-term, Cyberonics conducted an appropriately designed randomized, controlled trial (Study D02 Acute Phase) of three months’ duration in which all TRD patients were implanted with the device, but only half had the device turned on.  The other half did not have the device turned on, and so received “sham therapy”.  The study was a failure.  On the primary outcome measure (the Hamilton Rating Scale for Depression, or HRSD), VNS showed no efficacy compared to sham therapy; the same was true for nine of ten secondary analyses.[8] This remains the best-designed study of VNS to date.

    Following Study D02, the company offered sham therapy patients the chance to have their device turned on (Study D02 Long-term Phase).  Predictably, the patients improved over time.  This is a near-ubiquitous finding in studies of depression patients due to both the placebo effect and the tendency of patients enrolled into studies of relapsing conditions to improve over time (regression to the mean) because their condition is typically worse at the time of enrollment than at other times.  In this and the follow-up to Study D02, patients were unblinded and, unlike in the acute phase of Study D02, were permitted to change concomitant therapies including other antidepressants and even electroshock therapy.

    Facing rejection of their application by the FDA, the company opted to add a comparison group for Study D04, which merely compared the Study D02 Long-term Phase patients to this hastily assembled comparison group.  Like Study D02 Long-term Phase, there was no blinding, concomitant therapies were permitted to change over time and the comparison patients were recruited from overlapping, but different, sites.  Indeed, the authors of a published report on VNS acknowledge that the comparison arm “had not originally been intended to serve as the [control]; it was intended to describe health care costs.”[9] A modest benefit was reported by the researchers, but only after the only (secondary) outcome that was positive in Study D02 was hand-picked to be the primary outcome for Study D04.  Moreover, in an analysis mandated by the FDA, adjusting for overlapping sites and concomitant treatment produced no statistically significant finding on any primary or secondary outcome.

    A weaker package of studies is difficult to imagine.   Yet, inconceivably, the FDA issued an approvable letter on February 2, 2005, and approved the device on July 15, 2005, overruling an August 12, 2004, non-approvable letter the FDA had sent to the company.

    Developments since FDA approval

    Senate Finance Committee Report

    So unusual were these circumstances, that the Senate Finance Committee launched an investigation into the VNS approval process.[10] The investigation concluded that, in approving VNS, the director of FDA’s Center for Devices and Radiological Health, Dr. Daniel Schultz, had overruled the more than twenty FDA officials who had reviewed the data.   Every one of them recommended against FDA approval.   The report concluded further that, “The facts and circumstances … raise legitimate questions about the FDA’s decision to approve that device for the treatment of TRD.”  Elsewhere, the report again questions the appropriateness of FDA’s approval, concluding that “instead of relying on the comprehensive scientific evaluation of its scientists and medical officers, it appears that the FDA lowered its threshold for evidence of effectiveness.”  Among the report’s more specific findings were these:

    • On October 3, 2003, CDER officials notified CDRH that, had a sponsor submitted to CDER data similar in quality to those submitted for VNS, CDER would not even have allowed the filing of the New Drug Application.

    • Dr. Schultz, who was then director of the Office of Device Evaluation, ordered staff to issue a Major Deficiency Letter (instead of the non-approvable letter the staff favored) without even reviewing the sponsor’s data.  The letter was sent on March 4, 2004.

    • An advisory committee meeting took place on June 15, 2004, despite the objections of FDA staff, and was described by the committee’s executive secretary as “very unusual, emotional, not data driven.”  The committee recommended device approval in a 5-2 vote.

    • After the August 11, 2004, non-approvable letter, the FDA received hundreds of letters and phone calls urging the agency to approve the device.

    • FDA relations with the sponsor were described in the report as “not collegial.”  FDA staff described such interactions as “terrible” and at times “abus[ive].”

    • Certain key management staff and reviewers were excluded from a critical meeting between FDA staff and the sponsor in December 2004.

    • On January 6, 2005, one month prior to the approvable letter, the entire review team, including the new director of the Office of Device Evaluation, recommended against approval.  The director of the Office of Device Evaluation is not typically involved in device approval decisions.

    • Typically, device approval decisions are made at the division level and signed at the office level (the next level up).  In this case, the decision was made at the center level in CDRH (the next step up from the office level).

    • Several FDA staff, including Dr. Schultz himself, agreed that the CDRH director was involved “very rarely” in decisions regarding device approval.

    Given these highly irregular aspects of the approval process at the FDA, it is appropriate that CMS review the data themselves rather than depending upon the demonstrably corrupted FDA process.

    Articles in Biological Psychiatry

    After VNS was approved, and considerably after the failed Study D02 was unblinded in 2002, the VNS researchers saw fit to publish reports of the three studies mentioned above in Biological Psychiatry.[8],[9],[11] In general, the studies downplay the weaknesses in the data, use graphics to emphasize isolated positive findings and conclude, with respect to Study D04 Long-term Phase that “The primary analysis found a significant between-group difference favoring VNS + [treatment-as-usual] over TAU alone that grew over time.”[9]

    In a recently published letter in Biological Psychiatry,[12]we outline the same problems (different sites, lack of blinding, concomitant therapies, lack of randomization, regression to the mean, etc.) with the Study D04 Long-term data that we have identified in this letter.  Our letter notes that the FDA’s statistical review repeatedly stated that aspects of the comparison were “questionable.”  The FDA statistician concluded that “it is unclear whether the effectiveness claim . . . has been demonstrated.”[13] It is worth noting that Dr. Rush, the lead author on two of the articles and the second author on the third, is one of only five Deputy Editors and is also on the Editorial Committee of the journal.

    Article in Neuropsychopharmacology

    A typical part of any campaign for a drug or device these days is to get favorable articles reviewing your treatment into the medical literature.  A particularly crass version of this occurred when Cyberonics organized for an article reviewing the efficacy of VNS to be written.[14] It hired a ghost-writer and arranged for Charles Nemeroff, the chair of Emory University’s Department of Psychiatry and Behavioral Sciences, to be first author.  The article was published in Neuropsychopharmacology, a journal Dr. Nemeroff edits.  The article concluded that VNS “appears to be a valuable addition to existing treatments” for TRD and described the therapy as “promising” and “effective in a subset of patients with treatment-resistant depression.”  The authors were eight leading academics and one Cyberonics employee.  (One of the academics, Dr. Dennis Charney, is also the editor of Biological Psychiatry.)  Although all of the academics had received consultancy fees from Cyberonics, the journal disclosed none of them (including Dr. Nemeroff's), even though journal policy requires such disclosure.[15] Dr. Nemeroff was forced to resign as editor of the journal.[16]

    Article in British Journal of Psychiatry

    Just recently, another article touting the purported benefits of VNS for TRD appeared in the medical literature.[17] Funded by Cyberonics, it involved just 11 patients, was unblinded, allowed concomitant therapies, and had no control group whatsoever.   The authors do not even mention the Biological Psychiatry articles (or the FDA review documents), even though their article was submitted after those articles were published.  They did not add them in their final revision, which was submitted four months after the Biological Psychiatry articles.

    Failure to secure reimbursement

    Although an NCD was the most straightforward route to obtaining Medicare reimbursement, the company embarked on the more time-consuming but, they may have reasoned, more fruitful strategy of applying for a series of LCDs.  It appears that the current application for an NCD is the result of the total failure of that strategy.  The Medicare Coverage Database[18] lists 19 applications for LCDs, involving ten separate contractors and 14 states (see Table 1).[19] In each case, the contractor rejected the LCD, often in striking terms.   For example, Blue Cross Blue Shield of Arkansas stated:

    At present, the available evidence is not sufficient to determine the efficacy of vagus nerve therapy for treatment resistant depression, or to define precisely the patient population that might be helped by this modality.  Therefore, coverage is not extended[20] to allow depression on the basis that it is an investigational treatment.[21]

    In each of its four rejections of reimbursement of VNS for depression, the National Heritage Insurance Company uses this language:

    Much of the data reviewed by the FDA has yet to be published in peer-reviewed journals.  Of the few studies published, only one is a randomized control [sic] trial which found the data “did not yield definitive evidence of short-term efficacy for adjunctive VNS in treatment-resistant depression.” (citing Rush[8])

    After review of the FDA approval letter, published literature, and other pertinent sources, NHIC, Medicare Part B, has decided not to cover VNS for the treatment of depression at this time. (emphasis in original)[22]

    These findings are consistent with those of the BlueCross BlueShield Technology Evaluation Center.  Its exhaustive report on VNS reached the conclusion that “The available evidence is not sufficient to permit conclusions of the effect of VNS therapy on health outcomes.”[23] In August 2006, BlueCross BlueShield rejected an appeal from Cyberonics that sought to reverse the insurer’s prior decision to not reimburse for VNS for TRD.[24] In April, Aetna also denied reimbursement for VNS for TRD.[25] Although the company had previously estimated the TRD market at 4.4 million people, by the end of July 2006 only 1600 TRD patients had received VNS and 2 ½ times as many had been turned down for reimbursement by their insurers.[26]

    On July 24, 2006, Cyberonics altered its previous strategy and filed an NCD application with CMS.  Comments are due by September 6, 2006.  We are filing this letter as a public comment on that NCD application as well.

    Securities and Exchange Commission investigation

    Cyberonics is also under investigation by the Security and Exchange Commission (SEC) and has received a subpoena from the U.S. Attorney’s Office for the Southern District of New York.[27] The probe relates to the timing of stock options granted to company executives, without any involvement of corporate management.[6]  It has been alleged that the directors authorized the stock options in the evening after the FDA advisory committee recommended VNS approval for TRD.  When the markets reopened in the morning, the chief executive realized a paper profit of $2.3 million.  As a result of the options probe, the company failed to file its Form 10-K with the SEC, and the company now faces delisting by NASDAQ.[28] Public Citizen has also filed a letter with the FDA pointing out ten false or misleading aspects of an advertisement for VNS.[29]

    Conclusion

    Despite various attempts to resuscitate this failing therapy, VNS continues to struggle.  And it is doing so for the appropriate reason.  Even the full-court press of misleading advertising, training sessions in its use for physicians, presentations at the American Psychiatric Association annual meeting, case managers to help secure reimbursement for individual patients, abuse of FDA employees, misleading clinical trial write-ups, ghost-written review articles and company-generated favorable local media coverage cannot disguise what is lacking and what insurers are increasingly realizing: There are no convincing data of the device’s effectiveness, let alone, in CMS terms, that it is “reasonable and necessary.”  To reimburse for an ineffective device (and an expensive, surgically implanted one at that) does no favors for those suffering from TRD.  Ten contractors in 14 states have reached the unanimous conclusion that the Medicare program in their jurisdiction will not reimburse for this unproven device, a reasonable decision given scarce Medicare resources.  It is time for the national program to follow in these well-trodden footsteps.

    Yours sincerely,

    Peter Lurie, MD, MPH
    Deputy Director

    Nicholas Stine
    Research Associate

    Sidney M. Wolfe, MD
    Director
    Public Citizen’s Health Research Group

    Cc: Mark McClellan

    Table 1: Local Coverage Decisions (LCDs) Regarding Vagus Nerve Stimulation

    LCD Number

    Contractor

    Primary Geographic Distribution

    LCD Decision

    A40451

    First Coast

    Florida

    Denied

    A40486

    First Coast

    Connecticut

    Denied

    A37719

    AdminaStar Federal

    Indiana

    Denied

    A37722

    AdminaStar Federal

    Illinois

    Denied

    A37723

    AdminaStar Federal

    Kentucky

    Denied

    A37724

    AdminaStar Federal

    Ohio

    Denied

    A37687

    Associated Hospital Service

    Maine

    Denied

    A37690

    Associated Hospitals of Maine

    Connecticut, Massachusetts, Maine, New Hampshire, Rhode Island, Vermont

    Denied

    A37689

    Associated Hospital Service

    Massachusetts, Maine

    Denied

    L21950

    BCBS Arkansas

    Arkansas

    Denied

    L21629

    National Heritage

    Maine

    Denied

    L21659

    Anthem

    New Hampshire, Vermont

    Denied

    L21683

    National Heritage

    Massachusetts

    Denied

    L21685

    National Heritage

    New Hampshire

    Denied

    L21687

    National Heritage

    Vermont

    Denied

    L21583

    Group Health (NY)

    New York-Queens

    Denied

    L21552

    Empire Medicare Services

    New York-Downstate

    Denied

    L21554

    Empire Medicare Services

    New Jersey

    Denied

    L22678

    HealthNow

    New York-Upstate

    Denied


    [1] 21 CFR 860.7(4)(c)(1)

    [2]This is a lower standard than for drugs which must demonstrate “substantial evidence of effectiveness for the claimed indications.” (21 CFR 314.50(d)(5)(v))  It defies logic to have a lower standard for a device that makes a disease claim (“treats depression”) than a drug making a similar claim.
    [3] 68 Fed Reg 55636 (September 26, 2003).  See 67 Fed Reg 66755 (November 1, 2002) for essentially identical language.

    [4]68 Fed Reg 55638 (September 26, 2003). 

    [5] On rare occasions, an insurer may reimburse for a service that has neither an NCD nor an LCD, depending on the circumstances of the particular patient.

    [6] Kelly S. Profits elusive for Cyberonics, shares plunge. Reuters, August 1, 2006.

    [7] Stine N, Lurie P, Wolfe S. Letter to FDA urging that the Vagus Nerve Stimulator not be approved for treatment of depression (HRG Publication #1741). Available at: http://www.citizen.org/publications/release.cfm?ID=7385.

    [8]Rush AJ, Marangell LB, Sackeim HA, George MS, Brannan SK, Davis SM et al. Vagus nerve stimulation for treatment-resistant depression: a randomized, controlled acute phase trial. Biological Psychiatry 2005;58:347-354.

    [9]George MS, Rush AJ, Marangell LB, Sackeim HA, Brannan SK, Davis SM et al. A one-year comparison of vagus nerve stimulation with treatment as usual for treatment-resistant depression. Biological Psychiatry 2005;58:364-373.

    [10] Committee on Finance, United States Senate. Review of the FDA’s approval process for the vagus nerve stimulation therapy system for treatment-resistant depression. February 2006. Available at http://finance.senate.gov/press/Gpress/02_2006%20report.pdf

    [11] Rush AJ, Sackeim HA, Marangell LB, George MS, Brannan SK, Davis SM et al. Effects of 12 months of vagus nerve stimulation in treatment-resistant depression: a naturalistic study. Biological Psychiatry 2005;58:355-63.

    [12] Rush AJ, Sackeim HA, Marangell LB, George MS, Brannan SK, Davis SM et al. Effects of 12 months of vagus nerve stimulation in treatment-resistant depression: a naturalistic study. Biological Psychiatry 2005;58:355-63.

    [13] Food and Drug Administration (2004): Final Statistical Summary Review for PMA P970003/S50 (Original and Various Amendments), Vagus Nerve Stimulator (VNS) Therapy System for Depression, Cyberonics, Inc. Accessed 9/4/06 at http://www.fda.gov/ohrms/dockets/ac/04/briefing/4047b1_00_a_FDA%20Statistical%20Review%20Memo.pdf

    [14] Nemeroff CB, Mayberg HS, Krahl SE, et al. VNS therapy in treatment-resistant depression: clinical evidence and putative neurobiological mechanism. Neuropsychopharmacology 2006;31:1345-55.

    [15] Armstrong D. Medical reviews face criticism over lapses. Wall Street Journal, July 19, 2006, p. B1.

    [16] Armstrong D. Medical journal editor to quit in wake of disclosure oversight. Wall Street Journal, August 25, 2006.

    [17] Corcoran CD, Thomas P, Phillips J, O’Keane V. Vagus nerve stimulation in chronic treatment-resistant depression. British Journal of Psychiatry 2006;189:282-3.
    [18] http://www.cms.hhs.gov/med/search.asp.

    [19] Medicare contractors have coverage areas that can extend over several states. One state may have several contractors. Our count of negative LCD determinations includes those formally listed as such in the Medicare coverage database (these have the prefix “L”) as well as clearly non-duplicative “articles” addressing reimbursement these have the prefix “A”).

    [20] Many Medicare contractors do reimburse for VNS use in epilepsy, the only other condition for which the device is approved by the FDA.

    [21] Blue Cross and Blue Shield of Arkansas. LCD for Vagal Nerve Stimulation (L21950). December 1, 2005. Available at: http://www.cms.hhs.gov/mcd/search.asp.
    [22] National Heritage Insurance Company. LCD for Vagal Nerve Stimulation (L21629). July 16, 2006. Available at: http://www.cms.hhs.gov/mcd/search.asp

    [23] Mark D. Vagus nerve stimulation for treatment-resistant depression. Technology Evaluation Center, Vol. 20, No. 8, August 2005. Available at: http://www.bcbs.com/tec/vol20/20_08.html.

    [24] Clarke T. Blue Cross to again reject Cyberonics device. Reuters, August 8, 2006.

    [25] Anon. Blue Cross rejection sends Cyberonics stock tumbling. Houston Business Journal, August 8, 2006.

    [26] Cyberonics. Cyberonics revises guidance for FY07 and confirms receipt of NASDAQ staff determination letter. Cyberonics press release, August 1, 2006.

    [27] Cyberonics. Cyberonics announces delay in filing annual report on Form 10-K. Cyberonics press release, July 11, 2006.

    [28] Cyberonics. Form 8-K. Filed with U.S. Securities and Exchange Commission July 31, 2006.

    [29] Lurie P, Stine N, Wolfe SM. Letter to FDA requesting the immediate halt of Cyberonics ads for vagus nerve stimulation devices. May 18, 2006. Available at: http://www.citizen.org/publications/release.cfm?ID=7434&secID=1163&catID=126.

    http://www.citizen.org/publications/publicationredirect.cfm?ID=7456

    Saturday, September 8, 2012

    Medicare Patient Experience with Vagus Nerve Stimulation for Treatment-Resistant Depression.

    2012 Sep 6. [Epub ahead of print]

    Medicare Patient Experience with Vagus Nerve Stimulation for Treatment-Resistant Depression.

    Abstract

    Abstract Background: Major depressive disease (MDD) represents a cost burden to the US healthcare system: approximately one-third of MDD patients fail conventional treatment: multiple failures define treatment-resistant depression (TRD). Vagus nerve stimulation (VNS) therapy is an approved adjunctive treatment for TRD. Objective: To study the healthcare utilization experience of Medicare beneficiaries implanted with VNS (VNSBs) during Medicare coverage, compared with beneficiaries with TRD (TRDBs) and managed depression (Mdeps). Methods: A retrospective analysis of 100% standard analytic file (SAF) Medicare claims from 2006-2009 using specific criteria to identify a VNSB dataset, compared to TRDs and Mdeps datasets (extract of 5% sample SAF from 2001-2009) and 2009 general Medicare beneficiaries (GMBs). Comparative analysis included demographics, mortality, healthcare utilization and costs. Results: Among patients meeting study criteria for VNSBs (N=690), TRDBs (N=4,639), Mdeps (N=7,524), and GMBs (N>36 million), VNSBs were on average: younger, more likely to be female and white, with Medicare eligibility due to disability. Of the VNSBs in the 2-year post-implantation period: 5% died; 22% experienced no negative events (defined as hospitalizations for psychoses or poisoning, emergency room use, electroconvulsive therapy, or poisoning, suicidal ideation, or self-harm diagnoses); 29% experienced multiple negative events; and 41% had either a single hospitalization or only all-cause ER visits. VNSBs experiencing negative events had more complex co-occurring psychiatric diagnoses. The annual mortality rate for VNSBs post-implant was 13.9 deaths per 1,000 patient years, compared with 46.2 (CI: 41.9-51.6) and 46.8 (CI: 43.4-50.4) deaths for TRDBs and Mdeps, respectively. The medical costs per patient-year post-VNS implantation for VNSBs ($8,749) was similar to the Mdeps ($8,960; CI $8,555-$9,381) and was substantially lower than TRDBs ($13,618; CI $12,937-$14,342). Conclusions: VNSBs achieving positive health outcomes (measured by lack of negative events post-implantation) tend to have fewer psychiatric co-occurring conditions. Lowered costs post-implantation with evidence of response to VNS suggest the therapy represents an option for carefully screened TRDBs who have failed other therapies. Limitations: Administrative data are missing pharmaceuticals and clinical measures. Data for the VNS population were not available pre-implantation for comparison to post-implantation experience. Cost comparisons are adjusted for missing costs in VNS dataset.
    PMID:
    22954061
    [PubMed - as supplied by publisher]
    http://www.ncbi.nlm.nih.gov/pubmed/22954061

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