Key priorities, legislation, and resources for member advocacy
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advocacy
STS Advocacy talks about the possibility of a prolonged government shutdown and its significant impact on numerous government activities.
2 min read
Derek Brandt, JD, STS Advocacy
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advocating to improve access to lung cancer screenings
STS's response to five key provisions in the current reimbursement proposed rule.
4 min read
Molly Peltzman, STS Advocacy
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advocacy
STS recently endorsed and is actively working to advance several key bills in Congress to improve access to lung cancer screenings.  
3 min read
Haley Brown, STS Advocacy

On behalf of STS’s 7,600 member surgeons and their clinician partners, Thomas MacGillivray, MD, president of The Society of Thoracic Surgeons, testified before the US House of Representatives Committee on Energy and Commerce, Subcommittee on Health, about Medicare coverage pathways for innovative drugs, medical devices, and technology that saves lives.

In his statement, Dr. MacGillivray highlighted how the STS’s National Database provides a true clinical benchmark and contains data on more than 9.4 million cardiothoracic surgeries performed by more than 4,300 surgeons. The Database is a powerful quality improvement tool that facilitates increased patient access to break-through technology. He explained the value of real-world evidence and using data to monitor new technology and expand indications for new therapies.  And he underscored that through big data, cardiothoracic surgeons across the country and around the world can work together to find solutions and transform patient care.

Dr. MacGillivray’s key talking points:

  • The STS National Database is the gold standard for clinical registries.
  • The Database allows hospitals and cardiothoracic surgeons to identify best practices and potential gaps, and evaluate their performance against national and regional competitors. The Database is updated continuously and participants can monitor their progress and make critical decisions daily.
  • Without ongoing evidence collection in the real-world setting coupled with access to longitudinal claims data, the efficacy and appropriateness of emerging innovative technologies is uncertain, impairing physicians’ ability to make the best decisions for our patients.
  • The STS believes it is essential that any reforms to coverage for emerging therapies:
    • Prioritize the collection of real-world data, particularly for new, innovative medical devices.  Data collection creates opportunities to fill post-market evidence gaps and better define patient benefits and risks.
    • Permit early discussions and coordination between the agency and relevant stakeholders to allow sufficient time for the appropriate application, design, and implementation of any CED requirements.
    • Provide flexibility for data collection mechanisms to adjust based on new developments in the evidence.
    • Registries need timely, cost-effective, and continuous access to Medicare claims data to perform longitudinal studies.    
    • Dr. MacGillivray urged Congress to advance reforms such as the H.R. 5394, the Meaningful Access to Federal Health Plan Claims Data Act of 2021, from Reps. Larry Bucshon, MD, and Kim Schrier, MD, which would require that enhanced access to Medicare claims data be provided to clinician-led registries, such as the STS National Database.

Watch Dr. MacGillivray's testimony.

Jul 19, 2023
2 min read

The Centers for Medicare and Medicaid Services (CMS) released the calendar year (CY) 2024 Medicare Physician Fee Schedule Proposed Rule today. STS has compiled a summary of key provisions affecting cardiothoracic surgery in the rule.  

Payment Cuts

CMS is proposing severe cuts to cardiothoracic surgery reimbursement. According to CMS, cardiothoracic surgeons will see a 3% cut in 2024. CMS estimates the CY 2024 conversion factor (CF) to be $32.7476. STS will continue to fight these cuts by lobbying Congress and CMS to provide an inflationary update to Medicare payments. While physicians have been subjected to across-the-board cuts for the last several years, Medicare continues to increase payments to hospitals, most recently proposing a 2.8% increase for inpatient hospital payments. Physicians deserve similar treatment.  

Changes to physician reimbursement are often driven by Medicare’s budget neutrality requirement combined with no built-in mechanism for inflationary or other increases in resources for the Medicare fee schedule. Disruptions to reimbursement occur when there are changes to the value of specific services, which negatively affects how other services are reimbursed to maintain budget neutrality. An inflationary update would be the first step toward resolving the constant downward pressures created by this dynamic. Urge your lawmakers to support H.R. 2474, a bipartisan bill that would create an automatic inflation update for physician payments for the first time. 

Global Surgical Codes

Once again, CMS has failed to apply the increased value of evaluation and management (E/M) codes services packaged in global surgical payments. STS has repeatedly recommended that CMS follow its own precedent and apply commensurate values for the office/outpatient E/Ms, inpatient E/Ms, and discharge day management visits packaged in the procedural global payments. This has been CMS’s policy every time E/M services have undergone a significant overhaul.  

Previously Delayed Complexity Code

CMS is once again proposing to implement payment of the flawed G2211 add-on code for E/M office visits, which was previously delayed by Congress through legislation. These visits are defined as a “visit complexity inherent to evaluation and management associated with medical care services that serve as the continuing focal point for all needed health care services and/or with medical care services that are part of ongoing care related to a patient's single, serious condition or a complex condition.” STS successfully advocated for the congressional delay to this code in 2020 and continues to have significant concerns with its proposed implementation, which will impact the Physician Fee Schedule by redistributing billions of dollars between specialties. STS has and will continue to vehemently advocate against this proposal in its current flawed form.  

Telehealth

CMS is retaining Category 3 codes on the Medicare telehealth list through CY 2024. STS is supportive of this proposal as data collected during COVID-19 demonstrates the positive impact telehealth has had on both patient clinical outcomes and patient experiences.  

Additionally, CMS proposes to provide coverage and payment of certain audio-only telehealth services until December 31, 2024. STS supports the provision of continued payment for audio-only visits in appropriate circumstances to help address health disparities and individuals without strong internet access, although we do not believe audio-only is adequate for more complex visits. 

Quality Payment Program

CMS will discontinue the Alternative Payment Model (APM) incentive payment as required under the Medicare Access and CHIP Reauthorization Act of 2015 (MACRA) in CY 2024. Instead, for performance year 2024, CMS is proposing APM participants receive a higher payment rate using a specific qualifying APM conversion factor. If CMS’s goal is to encourage providers to prioritize value-based care by participating in APMs instead of the traditional MIPS program, then CMS should work with Congress to reauthorize the 5% APM incentive payment. Additionally, the Centers for Medicare and Medicaid Innovation (CMMI) will need to test APMs that directly recognize the role of specialists. 

CMS also proposes to expand the inventory of MIPS Value Pathways (MVPs), which is a new voluntary participation option aimed at providing clinicians with a more focused and cohesive MIPS experience. While MVPs offer a slight reduction in reporting burden, STS continues to believe that it fails to address fundamental flaws that have hampered meaningful participation by cardiac and thoracic surgeons.  

Jul 13, 2023
4 min read

Washington, DC - Today, the Centers for Medicare and Medicaid Services (CMS) released the CY 2024 Medicare Physician Fee Schedule proposed rule. Once again, CMS is proposing severe cuts to physician reimbursement. This is on top of the 2% reduction that went into effect in 2023, which would have been worse without direct intervention from Congress at the urging of the entire medical community. The Society of Thoracic Surgeons is deeply concerned that cuts of this magnitude jeopardize patient care, as well as the financial viability of cardiothoracic surgery practices and hospitals.

Jul 13, 2023
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advocacy
A new loan repayment program will support physicians who serve in medically underserved areas.
2 min read
Derek Brandt, JD, STS Advocacy
Key advocacy issues that STS volunteers and staff will focus on in 2024
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advocacy
The US House of Representatives voted to pass the ‘‘Fiscal Responsibility Act of 2023.” The deal suspends the $31.5 trillion debt ceiling. STS Advocacy explains the implications related to PAYGO, veterans' medical care, COVID-19, and student loans.
3 min read
Molly Peltzman, STS Advocacy Team
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advocacy
The US is approaching a potential breach of the debt limit for the first time in history and it could significantly impact healthcare.
2 min read
Haley Brown, STS Advocacy
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advocacy Update
STS Advocacy staff outline how the end of the Federal Public Health Emergency will affect surgical practices and compensation, and explain how your advocacy efforts have helped to extend some flexibilities.
3 min read
Molly Peltzman, MA