Florida 2022 2022 Regular Session

Florida House Bill H7047 Analysis / Analysis

Filed 03/29/2022

                     
This document does not reflect the intent or official position of the bill sponsor or House of Representatives. 
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DATE: 3/28/2022 
HOUSE OF REPRESENTATIVES STAFF FINAL BILL ANALYSIS  
 
BILL #: CS/HB 7047          PCB FFS 22-01    Medicaid Managed Care 
SPONSOR(S): Health & Human Services Committee and Finance & Facilities Subcommittee, Garrison 
TIED BILLS:   IDEN./SIM. BILLS:  
 
 
 
 
FINAL HOUSE FLOOR ACTION: 115 Y’s 
 
0 N’s GOVERNOR’S ACTION: Pending 
 
 
SUMMARY ANALYSIS 
CS/HB 7047 passed the House on March 8, 2022, as CS/CS/SB 1950, as amended, and was returned to the 
Senate. On March 11, 2022, the Senate concurred in the House amendment, as amended by the Senate, and 
returned the bill to the House. The House concurred in the amendment, as amended by the Senate, and 
subsequently passed the bill, as amended, on March 11, 2022. 
 
Medicaid is the health care safety net for low-income Floridians. Medicaid is a partnership of the federal and 
state governments established to provide coverage for health services for eligible persons. The program is 
administered by the Agency for Health Care Administration (AHCA) and financed by federal and state funds.  
 
Most Medicaid recipients receive services in a managed care model: the Statewide Medicaid Managed Care 
(SMMC) program. The SMMC program has three components: managed medical assistance (MMA) which 
provides traditional primary and acute care services; long-term care managed care (LTC), which provides 
residential and home care for people eligible for nursing home care; and dental. AHCA competitively procures 
contracts with managed care plans in each of 11 regions of the state to provide comprehensive health care 
coverage. The bill makes changes to the SMMC program in anticipation of the next procurement cycle, for plan 
year 2025. The bill: 
 
 Consolidates the 11 service regions into nine and adjusts the number of plans per region, 
 Requires a single statewide procurement and authorizes regional or statewide contract awards, 
 Removes a requirement to rebid the procurement, in part, in regions where a provider service network 
does not submit a responsive bid, 
 Specifies procurement related data posting requirements, 
 Expands the Healthy Behaviors Program to include focuses on smokeless tobacco and opioid abuse, 
 Requires plans to contract with Florida cancer hospitals as statewide essential providers and provides a 
payment rate for services provided without a contract, 
 Allows children in the child welfare Guardian Assistance Program to enroll in the child welfare specialty 
plan as an alternative to a non-specialty plan, 
 Provides times for AHCA to implement specific provisions of the bill, and 
 Deletes obsolete provisions and makes conforming changes to reflect the bill’s requirements. 
 
The bill will have state or no fiscal impact on local government. 
 
Subject to the Governor’s veto powers, the effective date of the bill is July 1, 2022.     
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I. SUBSTANTIVE INFORMATION 
 
A. EFFECT OF CHANGES:  
 
Background 
 
Florida Medicaid 
 
Medicaid is the health care safety net for low-income Floridians. Medicaid is a partnership of the federal 
and state governments established to provide coverage for health services for eligible persons. The 
program is administered by the Agency for Health Care Administration (AHCA) and financed by federal 
and state funds. AHCA delegates certain functions to other state agencies, including the Department of 
Children and Families (DCF), the Department of Health, the Agency for Persons with Disabilities, and 
the Department of Elderly Affairs (DOEA).  
 
The structure of each state’s Medicaid program varies and what states must pay for is largely 
determined by the federal government, as a condition of receiving federal funds.
1
 Federal law sets the 
amount, scope, and duration of services offered in the program, among other requirements. These 
federal requirements create an entitlement that comes with constitutional due process protections. The 
entitlement means that two parts of the Medicaid cost equation – people and utilization – are largely 
predetermined for the states. The federal government sets the minimum mandatory populations to be 
included in every state Medicaid program. The federal government also sets the minimum mandatory 
benefits to be covered in every state Medicaid program. These benefits include physician services, 
hospital services, home health services, and family planning.
2
 States can add benefits, with federal 
approval. Florida has added many optional benefits, including prescription drugs, adult dental services, 
and dialysis.
3
  
 
States have some flexibility in the provision of Medicaid services. Section 1915(b) of the Social Security 
Act provides authority for the Secretary of the U.S. Department of Health and Human Services (HHS) to 
waive requirements to the extent that he or she “finds it to be cost-effective and efficient and not 
inconsistent with the purposes of this title.” Section 1115 of the Social Security Act allows states to 
implement demonstrations of innovative service delivery systems that improve care, increase efficiency, 
and reduce costs. These laws allow HHS to waive federal requirements to expand populations or 
services, or to try new ways of service delivery.  
 
Florida operates under a Section 1115 waiver to use a comprehensive managed care delivery model 
for primary and acute care services, the Statewide Medicaid Managed Care (SMMC) Managed Medical 
Assistance (MMA) program. Florida also has a waiver under Sections 1915(b) and (c) of the Social 
Security Act to operate the SMMC Long-Term Care (LTC) program.
4
 
 
Florida Medicaid does not cover all low-income Floridians. Current eligibility prioritizes low-income 
children, disabled persons, and elders, and sets income eligibility by reference to the annual federal 
poverty level. Some clinical eligibility provisions apply, as well.  
 
The Florida Medicaid program covers approximately 5 million low-income individuals, including 
approximately 2.5 million, or 58.4%, of the children in Florida.
5
 Medicaid is the second largest single 
program in the state, behind public education, representing approximately one-third of the total FY 
                                                
1
 Title 42 U.S.C. §§ 1396-1396w-5; Title 42 C.F.R. Part 430-456 (§§ 430.0-456.725) (2016). 
2
 S. 409.905, F.S. 
3
 S. 409.906, F.S. 
4
 S. 409.964, F.S. 
5
 Agency for Health Care Administration, Florida Statewide Medicaid Monthly Enrollment Report, December 2021, 
available at https://ahca.myflorida.com/medicaid/Finance/data_analytics/enrollment_report/index.shtml (last visited 
January 18, 2022). United States Census Bureau, QuickFacts, Florida, 
https://www.census.gov/quickfacts/fact/table/FL/PST045221 (last visited January 18, 2022).   
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2021-2022 state budget.
6
 As of June 2021, Florida’s program is the 4th largest in the nation by 
enrollment and, for FY 2019-2020, the program is the 5th largest in terms of expenditures.
7
 
 
Statewide Medicaid Managed Care (SMMC) 
 
Florida delivers medical assistance to most Medicaid recipients – approximately 78% - using a 
comprehensive managed care model, the SMMC program.
8
 The SMMC program was intended to 
provide comprehensive, coordinated benefits coverage to the Medicaid population, leveraging 
economic incentives to ensure provider participation and quality performance impossible under the 
former, federally prescribed, fee-for-service delivery model. 
 
The SMMC program has three components: the integrated Managed Medical Assistance (MMA) 
program that provides primary care, acute care and behavioral health care services; Long-Term Care 
(LTC) program
9
 that provides long-term care services, including nursing facility and home and 
community-based services; and the dental component.  
 
Medicaid covers mandatory benefits prescribed by s. 409.973, F.S., for the MMA program and s. 
409.98, F.S., for the LTC program, as indicated below. Managed care plans also offer an expanded 
menu of optional benefits at no cost to the state.  
 
Mandatory Benefits - Statewide Medicaid Managed Care 
Managed Medical Assistance 	Long-Term Care 
Advanced registered nurse practitioner services Nursing facility care 
Ambulatory surgical treatment center services Services provided in an ALF 
Birthing center services 	Hospice 
Chiropractic services 	Adult day care 
Dental services 	Personal care 
Early periodic screening diagnosis & treatment (age<21) Home accessibility adaption 
Emergency services 	Behavior management 
Family planning services and supplies 	Home-delivered meals 
Healthy Start services (with exceptions) 	Case management 
Hearing services 	Therapies 
Home health agency services 	Occupational therapy 
Hospice services 	Speech therapy 
Hospital inpatient services 	Respiratory therapy 
Hospital outpatient services 	Physical therapy 
Laboratory and imaging services 	Intermittent and skilled nursing 
Medical supplies, equipment, prostheses, and orthoses Medication administration 
Mental health services 	Medication management 
Nursing care 	Nutritional assessment & risk reduction 
Optical services and supplies 	Caregiver training 
Optometrist services 	Respite care 
Physical, occupational, respiratory, speech therapies Personal emergency response system 
Physician services, including PA 	Transportation 
Podiatric services 	Medical equipment and supplies 
                                                
6
 Ch. 2020-111, L.O.F. See also Fiscal Analysis in Brief: 2021 Legislative Session, available at 
http://edr.state.fl.us/content/revenues/reports/fiscal-analysis-in-brief/FiscalAnalysisinBrief2021.pdf (last visited January 6, 
2022). 
7
 The Henry J. Kaiser Family Foundation, State Health Facts, Total Medicaid Spending FY 2020 and Total Monthly 
Medicaid and CHIP Enrollment Jun. 2021, available at http://kff.org/statedata/ (last visited January 18, 2022).  
8
 Supra, FN 5.  
9
 The LTC program provides services in two settings: nursing facilities or home and community based services (HCBS) 
provided in a recipient’s home, an assisted living facility, or an adult family care home. Enrollment in the LTC program is 
based on a clinical priority system and includes a wait list. The state is approved for 62,000 recipients in the HCBS portion 
of LTC. In order to be eligible for the program, a recipient must be both clinically eligible under s. 409.979, F.S., and 
financially eligible for Medicaid under s. 409.904, F.S.   
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Mandatory Benefits - Statewide Medicaid Managed Care 
Managed Medical Assistance 	Long-Term Care 
Prescription drugs  
Renal dialysis services 
Respiratory equipment and supplies 
Rural health clinic services 
Substance abuse treatment services 
Transportation  
 
The chart below shows the current enrollment in MMA and LTC. 
 
Statewide Medicaid Managed Care Enrollment, 
as of December 2021 
Component Budget
10
 Enrollment
11
 
Long-Term Care Plan $5.25 billion 122,659 
Managed Medical Assistance $17.8 billion 3,982,511 
 
Services in SMMC are delivered by two types of managed care plans: traditional managed care 
organizations and provider service networks (PSNs). Traditional managed care organizations, such as 
HMOs, are reimbursed as prepaid plans – they are risk-bearing entities that are paid capitated rates 
(prospective, per-member, per-month payments) by AHCA. PSNs are managed care plans controlled 
by health care providers, such as physician groups or hospitals. Because health care practitioners and 
facilities did not previously operate managed care plans or use capitated payment arrangements, 
SMMC allowed an alternative risk-bearing arrangement for PSNs. 
 
Current law allowed PSNs to be reimbursed on a fee-for-service basis, but only for the first 2 years of 
the plan’s operation or until the contract year beginning September 1, 2014, whichever was later. Under 
that option, PSNs bear risk through a shared savings model. AHCA conducted cost reconciliations for 
the fee-for-service PSNs to determine any savings or amounts owed by the PSN. PSNs in SMMC have 
fully transitioned to risk-bearing entities, when participating. No fee-for-service PSNs remain. 
 
SMMC Plan Procurement 
 
The SMMC uses managed care plans to provide services to recipients – both health maintenance 
organizations (HMOs) and provider service networks (PSNs), which are managed care plans majority-
owned by health care providers.  
 
AHCA initially procured SMMC contracts in 2012 for the LTC program and 2013 for the MMA program, 
completing the rollout of the first SMMC contract term in 2014. These contracts were re-procured in 
2017 with implementation in 2018. In 2020, the Legislature extended the SMMC contract period from 
five to six years, resulting in contract expirations in 2024.  
 
AHCA will begin the next procurement process in 2022 for implementation in the 2025 plan year. The 
following table illustrates AHCA’s proposed procurement timeline. 
 
                                                
10
 Ch. 2020-36, L.O.F. 
https://www.myfloridahouse.gov/Sections/Documents/loaddoc.aspx?FileName=CRA_.pdf&DocumentType=Amendments
&BillNumber=2500&Session=2021 (last visited January 6, 2022). MMA is appropriation 210, pg. 68, and LTC is 
appropriation 221, pg. 71. 
11
 Agency for Health Care Administration, SMMC MMA Enrollment by County by Plan (as of December 2021), available at 
https://ahca.myflorida.com/medicaid/Finance/data_analytics/enrollment_report/index.shtml (last visited January 22, 2022).   
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Procurement Timeline 
Activity 	Date 
Posting Date 	Late Fall 2022 
Q&A Posting Date 	Winter 2023 
Responses Due 	Spring 2023 
Responses Opened 	Spring 2023 
Evaluations Begin 	Late Spring 2023 
Evaluations End 	Late Summer 2023 
Negotiations Begin 	Fall 2023 
Negotiations End Fall 2023/Winter 2024 
 
Regional Procurement 
 
Current law requires AHCA to competitively procure contracts with managed care plans in 11 regions of 
the state. The following map illustrates the current SMMC regions.
12
  
 
 
 
Current law requires AHCA to issue a procurement in each region. To ensure recipient choice of plans 
while also ensuring enrollment levels significant enough to attract bidders, ss. 409.974 and 409.981, 
F.S., specifies the minimum and maximum number of plans AHCA must procure in each region for 
MMA and LTC, respectively. Currently, the same ranges apply for each program. The following table 
illustrates the number of plans allowed per region and the current regional enrollment for all plans, by 
program type. 
 
                                                
12
 Agency for Health Care Administration, https://ahca.myflorida.com/medicaid/statewide_mc/pdf/SMMC_Region_Map.pdf 
(last visited January 22, 2022).   
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SMMC Enrollment, by Region 
 
Min/Max  
# Plans 
MMA LTC 
Region 1 2 135,670 3,471 
Region 2 2 142,006 3,602 
Region 3 3 to 5 349,337 8,714 
Region 4 3 to 5 417,654 9,633 
Region 5 2 to 4 233,032 10,688 
Region 6 4 to 7 568,861 14,316 
Region 7 3 to 6 537,679 10,432 
Region 8 2 to 4 272,543 7,234 
Region 9 2 to 4 353,458 11,349 
Region 10 2 to 4 338,684 10,240 
Region 11 5 to 10 605,902 32,791 
 
To bid for a SMMC contract, managed care plans must negotiate with AHCA over proposed benefits, 
rates, and provider networks. To facilitate the rate negotiations, current law requires AHCA to publish a 
databook of a comprehensive set of utilization and spending data for the most recent three contract 
years, including historic fee-for-service claims and validated encounter data.
13
 AHCA must publish this 
databook at least 90 days before issuing the procurement. Plans submitting bids will use the databook 
to calculate proposed capitation rates for their bids.  
 
MMA Plans 
 
During the initial SMMC procurement, AHCA awarded contracts to 18 MMA plans, including seven 
PSNs. By the end of the first contract period, due to various mergers, acquisitions, and HMO 
conversions, only one PSN remained (South Florida Community Care Network, DBA Community Care 
Plan). During the second procurement, AHCA awarded contracts to 16 plans, including five PSNs, 
(Community Care Plan, Florida Community Care, Lighthouse, Miami Children’s, and Vivida) but only 
three of the PSNs currently remain in the program due to mergers and acquisitions with a total of 10 
health plans. 
 
The following tables show the managed care plans currently participating in the MMA program, 
including the plans that offer a comprehensive plan, and the available specialty plans.
14
 
 
MMA Standard and Comprehensive Plans, by Region 
 
SMMC PLANS 
REGION 
1 2 3 4 5 6 7 8 9 10 11 
MMA HEALTH PLANS 
AmeriHealth Caritas                 X   X 
Community Care Plan                  X   
Simply Healthcare  X X             X     
Vivida Health               X       
                                                
13
 S. 409.966(2), F.S. 
14
 Agency for Health Care Administration, Presentation to Finance & Facilities Subcommittee, November 3, 2021, 
Medicaid Quality Updates, slide 25, 
https://www.myfloridahouse.gov/Sections/Documents/loaddoc.aspx?PublicationType=Committees&CommitteeId=3090&S
ession=2022&DocumentType=Meeting+Packets&FileName=ffs+11 -3-21.pdf (last visited January 23, 2022); Agency for 
Health Care Administration, Specialty Plan Management, Specialty Plan Management (myflorida.com) (last visited 
January 20, 2022).   
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COMPREHENSIVE PLANS (MMA and LTC Combined) 
Aetna Better Health           X X       X 
Humana Medical Plan  X X X X X X X X X X X 
Molina Healthcare               X     X 
Simply Healthcare         X X X    X X 
Sunshine Health  X X X X X X X X X X X 
United Healthcare     X X   X         X 
 
MMA Specialty Plans, by Region 
 
SMMC PLANS 
REGION 
1 2 3 4 5 6 7 8 9 10 11 
SPECIALTY PLANS 
CMS Plan 
Children with Chronic Health Conditions 
X X X X X X X X X X X 
Clear Health Alliance  
HIV/AIDS Specialty 
X X X X X X X X X X X 
Molina SMI Specialty  
Serious Mental Illness 
      X X   X         
Sunshine SMI Specialty 
Serious Mental Illness 
X X X X X X X X X X X 
Sunshine Child Welfare 
Child Welfare 
X X X X X X X X X X X 
 
LTC Plans 
 
The LTC enrollees who are not eligible for Medicare also receive their medical services through an 
MMA plan. Some plans participate in both components in the same regions, and a recipient may elect 
the same managed care plan for both components. These plans are referred to as comprehensive 
plans. The following chart shows the managed care plans that participate in the LTC program.
15
 
 
LTC Plans, by Region 
 
SMMC PLANS 
REGION 
1 2 3 4 5 6 7 8 9 10 11 
LONG TERM CARE PLAN 
Florida Community Care X X X X X X X X X X X 
COMPREHENSIVE PLANS (MMA and LTC Combined) 
Aetna Better Health           X X       X 
Humana Medical Plan  X X X X X X X X X X X 
Molina Healthcare               X     X 
Simply Healthcare         X X X    X X 
Sunshine Health  X X X X X X X X X X X 
United Healthcare     X X   X         X 
 
Provider Networks 
 
Essential Providers 
 
                                                
15
 Id., slide 45.   
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Current law considers some health care providers “essential providers” in the Medicaid program. These 
providers offer services not available from other providers within a reasonable access distance within a 
region, or are unique or rare statewide.  
 
Regional essential providers include the following, as individually designated by AHCA:  
 
 Federally qualified health centers; 
 Statutory teaching hospitals;  
 Hospitals that are trauma centers; and 
 Hospitals located at least 25 miles from any other hospital with similar services. 
 
AHCA has not designated any provider as a regional essential provider, so there are none with which 
plans are required to contract.
16
 
 
Statewide essential providers include the following: 
 
 Faculty plans of Florida medical schools. 
 Regional perinatal intensive care centers as defined in s. 383.16(2). 
 Hospitals licensed as specialty children’s hospitals as defined in s. 395.002(28).
17
 
 
Plan networks must include all essential providers, by contract.
18
  
 
If plans selected through the procurement process do not already have contracts with regional essential 
providers, they must negotiate with them for one year or until an agreement is reached. The non-
participating payment rates during the negotiation process are set at 100 percent of the Medicaid rate. 
After one year, the plan may request agency approval of an alternative arrangement; but, if that 
alternative is not approved, the new payment rate is set at 110 percent of the Medicaid rate. For 
statewide essential providers, the plans must continue to negotiate in good faith, and the non-
participating payment rate is set at 100 percent of the Medicaid rate (or, in the case of children’s 
hospitals, the highest rate established in an existing Medicaid plan contract with that facility). 
 
Healthy Behaviors Program 
 
Each plan operating in the MMA program shall establish a program to encourage and reward healthy 
behaviors. At a minimum, each plan must establish a medically approved smoking cessation program, 
a medically directed weight loss program, and a medically approved alcohol or substance abuse 
recovery program. Each plan must identify enrollees who smoke, are morbidly obese, or are diagnosed 
with alcohol or substance abuse, in order to establish written agreements to secure the enrollees’ 
commitment to participation in these programs.
19
 
 
Financial Accountability – Supplemental Payment Programs 
 
Federal Medicaid managed care programs are required to use actuarily sound capitation rates which 
represent the entirety of the Medicaid expenditures for such services. However, federal law or Florida 
waiver approvals authorize certain exceptions, allowing additional Medicaid payments to take place 
                                                
16
 Agency for Health Care Administration, 2022 Agency Legislative Bill Analysis, HB 7047, pp. 8, (February 3, 2022), p. 
11. 
17
 S. 409.975(1)(b), F.S. A fourth provider type is listed in statute, but AHCA states that no provider has met the statutory 
qualifications, which follow: Accredited and integrated systems serving medically complex children which comprise 
separately licensed, but commonly owned, health care providers delivering at least the following services: medical group 
home, in-home and outpatient nursing care and therapies, pharmacy services, durable medical equipment, and 
Prescribed Pediatric Extended Care. Supra, FN 16, p. 12. 
18
 S. 409.975(1), F.S. 
19
 S. 409,973(3), F.S.   
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outside the managed care relationship for some provider types. These arrangements are called 
supplemental payment programs. 
 
Florida currently has ten supplemental payment programs to fund payments to Medicaid providers that 
are in addition to reimbursement they receive for services rendered to Medicaid enrollees. They are 
either authorized by statute or by the General Appropriations Act and are approved by the federal 
government. The payments are generally funded through non-General Revenue sources to make up 
the state share of Medicaid funds, which is used to draw down the federal matching payment. However, 
some supplemental payments are funded through General Revenue. 
 
AHCA collects local intergovernmental transfers (IGTs) to fund the state share of the Medicaid match 
funds. IGTs come from counties, local health care taxing districts, and publicly operated providers. 
Governmental sources of IGTs sign pledge letters with AHCA specifying their contribution amount. 
AHCA then uses the IGTs to draw down the federal matching funds. AHCA then distributes the 
combined local (state share) and federal funds through a legislatively approved funding model.  
 
Use of local funds to assist with funding Medicaid began in 1992 with the Disproportionate Share 
Hospital (DSH) supplemental payment. DSH provides supplemental payments to facilities that bear a 
disproportionate share of indigent care costs. In FY 1992-93, three local governments contributed IGTs. 
The Low Income Pool (LIP) was created as part of the initial Medicaid managed care waiver in 2006. 
LIP is used to provide supplemental payments to providers who provide services to Medicaid and 
uninsured patients. In FY 2017-18, 41 local government contributed IGTs to help fund DSH, LIP, and 
other supplemental payment programs. As of FY 2020-21, 97 local governments were providing IGTs.
20
 
 
Florida’s Medicaid supplemental payment programs (along with their FY 2021-22 funding) are listed in 
the tables below. 
 
State Share Funded by IGTs 
Program 	FY 21-22 Funding 
Low Income Pool (LIP) 	$1.5 billion 
Physician Supplemental Payment (PSP) $404.7 million 
Multi-Visceral Transplant 	$7.4 million 
Florida Cancer Hospital Program (FCHP) $154.0 million 
Public Emergency Medical Transportation (PEMT) $136.1 million 
Hospital Directed Payment Program (DPP) 	$1.8 billion 
Indirect Medical Education (IME) 	$500.9 million 
 
State Share Funded by IGT and General Revenue 
Program 	FY 21-22 Funding 
Disproportionate Share Hospital (DSH) 	$338.9 million 
Medical Education (GME) 	$283.9 million 
Hospital Automatic Rate Enhancements $309.6 million  
 
Total funds distributed in supplemental payments for FY 2021-22 were $5.488 billion.
21
  
 
                                                
20
 Agency for Health Care Administration, Presentation to the Health Care Appropriations Subcommittee, Medicaid 
Supplemental Payment Overview, February 15, 2021, 
https://ahca.myflorida.com/Medicaid/recent_presentations/2021/House_Health_Care_Appropriations_Medicaid_Presentat
ion_Supplemental_Payments_20210215.pdf (last visited January 24, 2022). 
21
 Supra, FN 10.   
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Supplemental Payments and Essential Providers 
 
Some supplemental payment recipients are also statewide essential providers, with which all Medicaid 
plans must contract to meet network adequacy requirements. Supplemental payment program 
participation varies by provider type. For example, medical school faculty plans receive supplemental 
payments through PSP and LIP, while children’s hospitals receive supplemental payments through LIP, 
DSH, and GME, as follows.
22
 
 
To be eligible for supplemental payments, statutory teaching hospitals (if designated as a regional 
essential provider
23
), faculty plans of Florida medical schools, and specialty children’s hospitals must 
offer to contract with all applicable Medicaid plans. In the event of a failure to contract, AHCA must 
evaluate whether the providers negotiated in good faith and withhold supplemental payments if the 
provider has negotiated in bad faith.
24
 In the last two years, AHCA developed a process for assessing 
compliance with this law and identified three providers acting in bad faith. AHCA did not withhold 
supplemental payments from them, finding they were making progress in contract negotiations with 
plans.
25
 
 
Supplemental Payments to Florida Cancer Hospitals 
 
Federal law allows a cancer hospital to be recognized as a National Cancer Institute–Designated 
Cancer Center (NCI-Cancer Center). There are 71 NCI-Cancer Centers, nationally.
26
 Two are in 
Florida; Sylvester Cancer Center in Miami and Moffitt Cancer Center in Tampa. Currently, the Florida 
NCI-Cancer Centers are not Medicaid essential providers. However, they do receive Medicaid funds via 
supplemental payments, as follows.
27
 
 
Cancer Hospital Supplemental Payments FY 2020-21 
Provider FCHP LIP DSH IME GME Total 
Sylvester Cancer Center $104,590,018 $6,007,767 $3,191,548 $743,462 $13,798,598 $128,331,393 
Moffitt Cancer Center $ 32,457,037 $11,467,051 $2,694,650 $312,358 $4,380,728 $51,311,824 
Total 	$137,047,055  $17,474,818 $5,886,198 $1,055,820 $18,179,326 $179,643,217 
 
Of the 15 plans operating in the state, Sylvester Cancer Center contracts with three plans. Moffitt 
Cancer Center is contracted with two plans.
28
 Medicaid services make up 5 percent of Moffitt’s case 
mix, which is disproportionately low compared to the percentage of Florida’s population with Medicaid 
coverage. 
 
                                                
22
 Supra, FN 16, p. 12. 
23
 AHCA has never designated any provider as a regional essential provider. 
24
 S. 409.908(26), F.S. 
25
 Supra, FN 16, p. 12. 
26
 Of the 71 NCI-Designated Cancer Centers, 12 are Cancer Centers, 52 are Comprehensive Cancer Centers, and 7 are 
Basic Laboratory Cancer Centers. NIH NATIONAL CANCER INSTITUTE, NCI-Designated Cancer Centers, 
https://www.cancer.gov/research/infrastructure/cancer-centers (last visited Mar. 28, 2022). Cancer Centers are 
recognized for their scientific leadership, resources, and the depth and breadth of their research in basic, clinical, and/or 
prevention, cancer control, and population science. Comprehensive Cancer Centers are also recognized for their 
leadership and resources, in addition to demonstrating an added depth and breadth of research, as well as substantial 
transdisciplinary research that bridges these scientific areas. Basic Laboratory Cancer Centers are primarily focused on 
laboratory research and often conduct preclinical translation while working collaboratively with other institutions to apply 
these laboratory findings to new and better treatments. 
27
 Email from Agency for Health Care Administration staff, Re: [no subject], Feb. 4, 2022 (on file with the Finance & 
Facilities Subcommittee). 
28
 Email from Agency for Health Care Administration staff, Re: [no subject], Feb. 15, 2022 (on file with the Finance & 
Facilities Subcommittee).   
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Child Welfare Specialty Plan 
 
The Sunshine Health Child Welfare Specialty Plan serves children in Florida’s child welfare system of 
care. It is available statewide to children in the child welfare system until age 21 and children adopted 
from the child welfare system through the child’s 18
th
 birthday, if the adopted family is receiving a state 
adoption subsidy.
29
 
 
All children with an open child welfare case become eligible for the child welfare specialty plan upon 
their entry into the child welfare system. Children are automatically enrolled in the child welfare 
specialty plan unless a different MMA plan is selected. Under s. 409.977, F.S., specialty plans serving 
children in the care and custody of the DCF may serve such children as long as they remain in care, 
including those remaining in extended foster care or are in subsidized adoption and continue to be 
eligible for Medicaid pursuant to s. 409.903, F.S.  
 
Like an MMA plan, the child welfare specialty plan must cover the minimum benefits outlined in s. 
409.973, F.S. The following benefits are available under the child welfare specialty plan: 
 
 Medical foster care 
 Statewide Inpatient Psychiatric Program (SIPP) 
 Specialized therapeutic foster care and therapeutic group care 
 Targeted case management 
 Private duty nursing 
 Individual and family therapy 
 Behavioral Health Overlay Services 
 Comprehensive behavioral health assessments 
 Emergency transportation 
 Non-medical/non-emergency transportation with up to three round trips per month 
 Care grants of up to $150 per child per calendar year for services and supplies for social or 
physical activities, such as gym memberships, swim lessons, sports equipment, art supplies or 
application fees for post high school 
 Transition assistance up to $500 in one-time assistance for young adults transitioning out of 
foster care at age 18 or extended foster care at age 21 
 Life skills development education for children ages 12 and up with developmental disabilities to 
help them keep, learn, or improve skills and functioning for daily living 
 Over-the counter medication up to $25 per household per month 
 Home-delivered meals for 10 days after being discharged from a facility 
 Doula services 
 A 24-hour nurse advice line 
 A 24-hour behavioral health line  
 
Because children in the child welfare system have greater clinical and behavioral health needs, the 
capitated rate for the specialty plan is higher than for children in regular MMA plans. 
 
Child Welfare Guardianship Assistance Program 
 
Florida’s child welfare system, administered by the Department of Children and Families (DCF), 
identifies families whose children are in danger of suffering or have suffered abuse, abandonment, or 
neglect, and works with those families to address the problems that are endangering children, if 
possible. If the problems cannot be addressed, the child welfare system finds safe out-of-home 
placements for these children.  
 
                                                
29
 S. 409.977(5), F.S.    
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The DCF Guardianship Assistance Program (GAP) is a federally-funded program to support relatives 
and fictive kin
30
 who are guardians of children who were removed from their homes due to abuse or 
neglect.
31
 GAP was implemented in Florida in 2019. Section s. 39.6225, F.S., sets the eligibility 
requirements to participate in Florida’s GAP. In keeping with federal requirements, for a guardian to 
qualify to receive benefits on behalf of the child, the guardian must: 
 
 Have the child’s placement approved by the court; 
 Have the court grant legal custody of the child to the guardian;  
 Be licensed as a Level I provider of foster care under s. 409.175, F.S.; and, 
 Be a guardian for the child who was eligible for federal foster care maintenance payments under 
Title IV-E for at least six consecutive months while the child resided in the home of the guardian 
and the guardian was licensed as a provider of foster care. 
 
DCF provides GAP participants assistance payments of $4,000 annually, or another amount specified 
in a written agreement, paid on a monthly basis.
32
 Participants are also eligible for a one-time payment 
of up to $2,000 for expenses associated with obtaining legal guardianship of a child.  
 
As of November 2021, there are 1,122 children in Florida’s GAP program.
33
  
 
Under current law, children in GAP are not eligible to continue in the child welfare specialty plan. A 
child’s dependency case is closed to permanent guardianship by the court when it grants legal custody 
to the guardian who is participating in GAP. Because current law limits specialty plan eligibility to 
children in DCF custody, permanent guardianship causes the child to lose eligibility for that plan, and 
enroll in a regular MMA plan. 
 
Effect of Proposed Changes 
 
SMMC Plan Procurement 
 
The bill requires AHCA to conduct a single, statewide procurement; rather than separate and 
simultaneous regional procurements. However, it allows AHCA to award plan contracts on a regional or 
statewide basis. This preserves regional competition and bidding, while allowing AHCA to negotiate 
based on statewide effect for a plan that would win in all regions, and issue a single statewide contract 
award instead of separate regional contracts. It also avoids a systemic shift that could favor large, 
market dominant plans if procurement were entirely conducted based on a statewide focus, to the 
detriment of regional preferences or conditions. 
 
Under current law, at least 90 days before issuing an ITN to procure MMA and LTC plans under the 
SMMC program, AHCA compiles and publishes a databook that includes utilization and spending data 
for the program from the 3 most recent contract years and includes historic fee-for-service claims. The 
bill requires AHCA to produce data for at least the most recent 24 months, eliminates the obsolete 
requirement to include fee-for-service data, and requires the data to be presented consistent with 
actuarial rate-setting practices and standards. 
 
Regional Procurement 
 
The bill proposes consolidating the eleven SMMC program regions into nine regions. According to 
AHCA, this configuration is based on enrollee utilization patterns and provider referral patterns over 
                                                
30
 S. 39.01(28), F.S., defines “fictive kin” as a person who is unrelated to the child but has such a close emotional 
relationship with the child that he or she may be considered family. 
31
 Department of Children and Families, Office of Children Welfare, Guardianship Assistance Program (GAP), 
Guardianship Assistance Program Community Supports - Florida Department of Children and Families (myflfamilies.com) 
(last visited January 20, 2022). 
32
 S. 39.6225(5)(d), F.S.  
33
 Email from Department of Children and Families staff, Re: GAP, Jan. 20, 2022 (on file with the House Finance & 
Facilities Subcommittee).   
STORAGE NAME: h7047z.FFS.DOCX 	PAGE: 13 
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recent years.
34
 The chart and map below show the current regions and the proposed consolidated 
regions. 
 
SMMC Proposed Regions 
Current 	Counties within the Region 	Proposed 
Region 1  Escambia, Okaloosa, Santa Rosa, Walton 
Region A 
Region 2  
Bay, Calhoun, Franklin, Gadsden, Gulf, Holmes, Jackson, Jefferson, 
Leon, Liberty, Madison, Taylor, Wakulla, Washington 
Region 3  
Alachua, Bradford, Citrus, Columbia, Dixie, Gilchrist, Hamilton, 
Hernando, Lafayette, Levy, Marion, Putnam, Sumter, Suwannee, Union Region B 
Region 4  Baker, Clay, Duval, Flagler, Nassau, St. Johns, Volusia 
Region 5  Pasco, Pinellas 	Region C 
Region 6  Hardee, Highlands, Hillsborough, Manatee, Polk 	Region D 
Region 7  Brevard, Orange, Osceola, Seminole 	Region E 
Region 8  Charlotte, Collier, DeSoto, Glades, Hendry, Lee, Sarasota 	Region F 
Region 9  Indian River, Martin, Okeechobee, Palm Beach, St. Lucie 	Region G 
Region 10  Broward 	Region H 
Region 11  Miami-Dade, Monroe 	Region I 
 
 
                                                
34
 Supra, FN 16, pp. 16-17.   
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The bill proposes to increase the minimum or maximum number of plans with which AHCA will contract 
to provide services to MMA and LTC enrollees. Each region will have at least three plans to provide 
services in the SMMC program, to ensure recipient choice of plans and increase AHCA’s ability to 
enforce contract requirements. Enforcing contract requirements in a region with only two plans presents 
difficulties. For example, an enrollment freeze sanction would eliminate recipients’ ability to have a 
choice of at least two plans, which is a federal requirement. With at least three plans, AHCA will be able 
to impose the full range of penalties available against noncompliant plans, including imposing an 
enrollment freeze.  
 
The chart below shows the current number of plans and the proposed number of plans in each region. 
The chart also demonstrates enrollment distribution based on the proposed minimum and maximum 
number of plans per region, per program.
35
 
 
                                                
35
 Note that this simple demonstration assumes equal enrollment in each plan, which is highly unlikely, but is used to 
demonstrate recipient distribution across regions based on the plan numbers.   
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DATE: 3/28/2022 
  
 	MMA 	LTC 
Proposed 
Regions 
Current  
Min/Max # Plans 
Proposed 
Min/Max# 
Plans 
Regional 
Enrollment 
Enrollment: 
Proposed 
Minimum # 
Plans 
Enrollment: 
Proposed 
Maximum 
# Plans 
Regional 
Enrollment 
Enrollment: 
Proposed 
Minimum # 
Plans 
Enrollment: 
Proposed 
Maximum 
# Plans 
Region A 
Region 1: 2 
Region 2: 2 
3 - 4 277,676 92,559 69,419 7,073 2,358 1,768 
Region B 
Region 3: 3 - 5 
Region 4: 3 - 5 
3 - 6  766,991 153,398 127,832 18,347 6,116 3,058 
Region C Region 5:  2 - 4 3-5 229,734 77,677 46,606 10,688 3,563 2,138 
Region D Region 6: 4 - 7 4-7 558,316 142,215 81,266 14,316 3,579 2,045 
Region E Region 7:  3 - 6 3-6 537,679 179,226 89,613 10,432 3,477 1,739 
Region F Region 8: 2 - 4 3-4 272,543 90,848 68,136 7,234 2,411 1,809 
Region G Region 9: 2 - 4 3-5 353,458 117,819 70,692 11,349 3,783 2,270 
Region H Region 10: 2 - 4 
MMA  3-5 
LTC  3-4 
338,684 112,895 67,737 10,240 3,413 2,560 
Region I Region 11: 5 - 10 5-10 605,902 121,180 60,590 32,791 6,558 3,279 
 
 Provider Service Networks 
 
The bill removes the option for new PSNs to be paid under a fee-for-service/shared savings model, for 
the first two years of operation, after which they would be capitated. PSNs will be paid on a capitated 
basis from the beginning of their contract terms. 
 
It removes a requirement for AHCA to under award the maximum number of contracts by one in any 
region where no PSN submits a responsive bid. However, it retains the requirement that the award 
must include at least one PSN in each region. 
 
Essential Providers 
 
The bill adds Florida’s NCI-Cancer Centers to the statutory list of statewide essential providers, 
requiring all plans in the state to contract with them. Currently, there are two NCI-Cancer Centers: 
Moffitt Cancer Center (Tampa) and Sylvester Comprehensive Cancer Center (Miami). As with other 
statewide essential providers, the bill sets the payment rate in the event these hospitals do not enter 
into a network contract with a plan: the highest Medicaid payment rate they have contracted for with 
another Medicaid plan. Qualifying Florida cancer hospitals are not added to the list of providers whom 
AHCA must suspend supplemental payments to for lack of required plan network contracts nor are their 
supplemental payments made contingent upon providing covered Medicaid services to plan 
participants. 
 
Healthy Behaviors Program 
 
The bill expands the required scope of the Healthy Behaviors program to include: 
 
 Cessation of tobacco use, rather than merely smoking cessation. This addresses the use of 
smokeless and other non-smokable tobacco products.  
 A focus on opioid abuse recovery within the medically approved alcohol and substance 
recovery program. 
   
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Child Welfare Specialty Plan and Guardianship Assistance 
 
The bill authorizes a child welfare specialty care plan under contract with the MMA program to serve a 
child who continues to be eligible for Medicaid and whose parents or guardians receive GAP payments. 
This allows a child in the GAP program to choose either a child welfare specialty plan or an MMA plan.  
 
Implementation Timeline 
 
The bill directs AHCA to amend existing managed care contracts to implement specific provisions of the 
bill that affect current performance obligations, such as the provisions addressing the health behaviors 
program, designation of NCI-Cancer Centers as essential providers, and child welfare plan eligibility. It 
also directs AHCA to implement the procurement-related provisions for the 2025 plan year. 
 
Miscellaneous 
 
Finally, the bill deletes obsolete provisions, such as the use of fee-for-service contracts to transition 
PSNs to the risk bearing capitated contract model, removing a reference to the defunct Florida Health 
Choices Program, removing a preference for plans that with provider networks in which over 10 percent 
of the providers use electronic health records, and repealing a managed care rate statute applicable to 
pre-SMMC managed care, which is no longer operable.  
 
The bill provides an effective date of July 1, 2022. 
 
II. FISCAL ANALYSIS & ECONOMIC IMPACT STATEMENT 
  
A. FISCAL IMPACT ON STATE GOVERNMENT: 
 
1. Revenues: 
 
None. 
 
2. Expenditures: 
 
AHCA estimates that allowing the GAP children to select the child welfare specialty plan, rather 
than remaining in or selecting a non-specialty MMA plan, may result in a negative fiscal impact of 
$4.6 million, annually ($1.8 million, General Revenue).
36
 
 
B. FISCAL IMPACT ON LOCAL GOVERNMENTS: 
 
1. Revenues: 
 
None. 
 
2. Expenditures: 
 
None. 
 
C. DIRECT ECONOMIC IMPACT ON PRIVATE SECTOR: 
 
None. 
 
D. FISCAL COMMENTS: 
 
None. 
                                                
36
 Supra, FN 16, p. 21.