Letters, Statements & Analysis

AMCP communicates the importance of managed care pharmacy by collaborating with members to provide comments, analysis, and testimony to Congress and federal and state agencies on the impact of proposed regulations and laws on managed care pharmacy and patients.

AMCP and Other Pharmacy Organizations’ Joint Comments to CMS on New Physician Payment Proposed MACRA Rule Reflect Changing Role of Pharmacists

The undersigned pharmacy organizations would like to thank the Centers for Medicare and Medicaid Services (“CMS”) for the opportunity to comment on the Proposed Rule for the Medicare Program; Merit-Based Incentive Payment System and Alternative Payment Model Incentive under the Physician Fee Schedule (“PFS”), and Criteria for Physician-Focused Payment Models (the “Proposed Rule”).

AMCP Submits Comments to the Michigan Senate Health Policy Committee, Supporting SB 1024, a Bill that Extends Payer and Provider Access to Michigan’s Electronic System for Monitoring Schedule 2-5 Controlled Substances

The Academy of Managed Care Pharmacy (AMCP) supports the passage of Senate Bill 1024. This bill would remove the December 31, 2016 sunset date currently in force which allows health care payment or benefit provider’s access to the state electronic system for monitoring schedules 2-5 controlled substances.
Legislation & Regulation

MedPAC June 2016 Report to Congress

On June 15, 2016, the Medicare Payment Advisory Commission (MedPAC)1 released its June 2016 Report to the Congress: Medicare and the Health Care Delivery System2. Of the 347-page report, three chapters focus on examining policy issues related to prescription drugs, with a particular focus around “rapid growth in drug prices, which can affect beneficiary access to needed medications, as well as the financial sustainability of the Medicare program.”

AMCP Submits Comments to the New York Senate Insurance Committee, Opposing S. 3419c, a Bill Mandating Requirements for a Medical Exceptions Process

The Academy of Managed Care Pharmacy (AMCP) is writing to express our opposition to certain mandated provisions in S. 3419 – C, an act establishing and mandating requirements for step therapy programs used by insurers, et al. This legislation as proposed would impose unnecessary additional requirements for an insurer’s step therapy program.

AMCP Submits Comments to the North Carolina House Insurance Committee, Opposing HB 1048, a Bill Mandating Coverage for ADF-Opioids and Requirements for a Medical Exceptions Process

The Academy of Managed Care Pharmacy (AMCP) acknowledges that abuse deterrent opioid analgesic drug products are appropriately prescribed for certain patients, but should not be required by state mandates. For this reason, AMCP opposes House Bill 1048 because it implements a state mandate requiring the use of the abuse deterrent products that may not be necessary for every patient.

AMCP Submits Comments on AHRQ Draft Technical Brief Related to MAT for Opioid Abuse Disorders Commending AHRQ for Recognizing the Important Role that Pharmacists Can Play in MAT

The Academy of Managed Care Pharmacy (AMCP) thanks the Agency for Healthcare Research and Quality (AHRQ) for its work in developing strategies to address the growing opioid epidemic in the United States and for the opportunity to provide comments in response to the draft technical brief titled “Medication-Assisted Treatment (MAT) Models of Care for Opioid Use Disorder in Primary Care Settings.”

AMCP Joins 10 Other Stakeholders in Letter to FDA Advocating for the Removal of the Biosimilarity Statement on Labeling for Biosimilar Products

As healthcare and pharmaceutical supply chain stakeholders, we are all carefully watching the development of the biosimilars market in the United States. As policymakers look at ways to control spending growth in the healthcare sector, biosimilars offer a unique opportunity to create savings and improve patient access, similar to what the generics market has done for small-molecule therapies.

AMCP Submits Comments on SAMHSA Proposed Rule Related to Medication Assisted Treatment for Opioid Abuse Disorders Urging for Provisions Related to Team-Based Care, Education on Diversion Mitigation Strategies, and the Expansion of Practitioner Eligibility

The Academy of Managed Care Pharmacy (AMCP) thanks the Department of Health and Human Services (HHS) and the Substance Abuse and Mental Health Services Administration (SAMHSA) for its work in developing strategies to address the growing opioid epidemic in the United States and for the opportunity to provide comments in response to the proposed rule “Medication Assisted Treatment for Opioid Use Disorders (RIN 0930-AA22)” published in the Federal Register on March 30, 2016.

AMCP, APhA and NCPA Submit Joint Comments on SAMHSA Proposed Rule Related to Medication Assisted Treatment (MAT) for Opioid Abuse Disorders Urging for Advancement of the Pharmacist’s Role in MAT to Improve Access and Outcomes

On behalf of the American Pharmacists Association (“APhA”), the National Community Pharmacists Association (“NCPA”) and the Academy of Managed Care Pharmacy (“AMCP”), we appreciate the opportunity to provide input on the Substance Abuse and Mental Health Services Administration’s (“SAMHSA”) proposed rule, Medication Assisted Treatment for Opioid Use Disorders (“Proposed Rule”).

AMCP Continues to Support Final Passage of S. 524 The Comprehensive Addiction and Recovery Act

The Academy of Managed Care Pharmacy (AMCP) appreciates that the Senate and House have each passed S. 524 and it is now under consideration by your Conference Committee. We wanted to take this opportunity to renew our strong support for passage of S. 524. AMCP supports a holistic, comprehensive, and multi-stakeholder approach among health care providers and patients that truly addresses the opioid epidemic.

AMCP and Other Stakeholders Express Support for the Use of Drug Management Programs in Medicare as Part of S. 524 – The Comprehensive Addiction and Recovery Act (CARA)

We, the undersigned organizations representing a research and policy organization, healthcare plan sponsors, managed care pharmacists, and pharmacy benefit managers, urge conferees to include a provision in the final legislation that would authorize the use of patient review and restriction (PRR) programs by Medicare plan sponsors.

AMCP Submits Comments to the Ohio Senate Health and Human Services Committee, Opposing Sub. HB No. 505, a Bill Concerning Biosimilars

The Academy of Managed Care Pharmacy (AMCP) appreciates the opportunity to comment on Sub. H.B. No. 505 regarding the regulation of biological products and the substitution of interchangeable biological products when dispensed by pharmacists. AMCP is opposed to this legislation as it places an undue burden on the dispensing of interchangeable biological products once approved by the FDA.
Biosimilars