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Pharmacy Benefit Managers (PBMs) have long been portrayed in a negative light, often being called “a middleman who increases costs, has little regard for patients, and brings no value.” Recent articles in The New York Times and The Wall Street Journal, as well as a partial report from the Federal Trade Commission (FTC) have both fed off and reinforced these perceptions.
We are living in highly divisive and emotional times. It is often difficult for some of us to hear what others have to say when what is said contrasts or conflicts with our belief system. This dynamic is often heightened when it involves healthcare-related issues and considerations, given the view that healthcare is an essential right.
Due to the prominence of PBMs and the essential services they provide, it is imperative that a detailed analysis, description, and discussion occur around the facts and realities tied to the industry. The Risk Strategies Consulting team is developing a detailed white paper designed to bring clarity and context to a highly complex series of related topics.
The white paper will address several issues and considerations, including the following:
A foundational issue facing the PBM industry is its use of “spread pricing” revenue models. The basis of these models is the use of false and/or fictitious buying/pricing indices such as Average Wholesale Price (AWP), Average Sale Price (ASP), and Wholesale Acquisition Cost (WAC). None of these indices are fully and accurately tied to the true net acquisition cost of the goods purchased. In fact, true net acquisition costs change daily. There are a number of variables including, but not limited to, rebates, bona fide service fees, and invoice credits, as well as other monies that are paid by Pharma to lower acquisition cost and/or to better position their products.
PBMs’ stated financial propositions are standardly depicted as guaranteed percentage discounts off of AWP, ASP, and WAC, guaranteed rebate levels, and guaranteed dispensing fees. Separate discount guarantees are quoted for brand, generic and specialty drug, as well as between prescriptions dispensed on either a retail or home delivery basis. The various PBMs often utilize subtle differences in defining generic, brand, and specialty drugs, as well as rebates. The valuation process of PBMs’ financial offerings is foundationally flawed. Discounts off of fictitious indices, combined with subtle definitional differentials make it difficult, at best, to accurately assess and depict the actual financial value. The market, and the consultants leading it, need to employ financial models that convert PBM pricing to a per member per month cost basis. It is essential to note that health plans and self-funded plan sponsors utilize per member per month costs in building their accruals for either insured rates or self-funded rate equivalents. The present financial modeling leaves room for potential significant errors, thus creating a lack of accountability for both PBMs and consultants.
Risk Strategies Consulting has found that the surest way to resolve the issues tied to spread pricing is to negotiate a contract with the PBM that is based upon “true net acquisition costs.” Our white paper will include terms and definitions that realize actual true net acquisition costs. This language has been successfully negotiated with different PBMs for a number of our clients. Combined with needed audit language, it enables true alignment and accountability, as well as accurate valuation of the PBMs’ performance.
Failure to move the market to true net acquisition costs leaves us “fighting the last war.” The market needs to move its focus to the efficacy of differing clinical management strategies and how medication therapies affect a patient’s whole health. This includes the proper management of existing and emerging drug therapies. We have found success collaborating with a number of PBMs around these issues and considerations. These same PBMs realize their business models will inevitably change in the next three-to-five years as the market requires them to demonstrate differentiating clinical and financial outcomes that benefit both the patient and plan sponsor.
We are anxious to receive feedback on our white paper, including, but not limited to, the terms and definitions of true net acquisition costs.
Addressing the shortfalls of the PBMs on a stand-alone basis will not resolve the issues at hand. As consultants, our job is to objectively and fully take on complex issues, explain them with enough accuracy, detail, and context, so that actionable outcomes can be determined and undertaken. The status quo and its inherent problems go beyond the roles, responsibilities, and realities of PBMs. There are a number of entities in the supply chain who are hesitant to see the existing model evolve. Our goal is to broaden the discussion so that the market can realize its needed comprehensive changes.
Learn more about Risk Strategies Consulting or email us at riskstrategiesconsulting@risk-strategies.com.
The contents of this article are for general informational purposes only and Risk Strategies Company makes no representation or warranty of any kind, express or implied, regarding the accuracy or completeness of any information contained herein. Any recommendations contained herein are intended to provide insight based on currently available information for consideration and should be vetted against applicable legal and business needs before application to a specific client.