Reimbursement Support Challenges in Determining Guardrails

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Transcription:

Reimbursement Support Challenges in Determining Guardrails Meredith Manning October 2013

Reimbursement Support for Unapproved Uses FDA statements in 1999 recognize that information may be provided in certain circumstances These formed the basis for certain program elements Two cases point to the provision of reimbursement support as evidence of intent to promote off-label Allergan in 2010 Scios in 2011 The changing landscape raises important questions that should be thoroughly evaluated 2

FDA Statements In 1999, FDA affirmatively stated that information may be provided in response to a request for assistance in seeking reimbursement e.g. reprints supporting the proposed use 2011 guidance did not directly address information provided for reimbursement purposes Were OPDP to evaluate the practice, it may focus on how broadly these programs are advertized DOJ has drawn a clearer line -- actions to encourage inappropriate use of the drug through reimbursement support will be subject to penalties A potential middle ground is to provide information, but not services its not clear where the government may draw the line in the future will likely depend on the facts of a case 3

Allergan: Allegations Exploited on-label cervical dystonia (CD) indication to grow off-label pain and headache (HA) sales In 2003, Allergan developed the CD/HA Initiative as a rescue strategy in the event of negative results from its clinical trials to assure continued expansion into the pain and headache markets claimed CD was underdiagnosed and that doctors could diagnose CD based on headache and pain symptoms, even when the doctor doesn t see any CD Used reimbursement support programs to promote off-label uses Doubled size of reimbursement team to assist doctors in obtaining payment for off-label Botox injections Embedded reimbursement support as part of the sales team Conducted detailed audits of doctors billing records to demonstrate how they could make money by injecting Botox Held workshops to teach doctors and their office staffs how to bill for off-label uses Operated Botox Reimbursement Hotline, providing free on-demand services to doctors for off-label uses Lobbied government health care programs to expand coverage for off-label uses Created purportedly independent online neurotoxin education organization to stimulate increased use of Botox for off-label indications 4

J&J and Scios Government unsealed its civil complaint at the time of the plea agreement Government alleges that, among other things, J&J and Scios used their reimbursement support services to promote off-label uses of Natrecor for serial, scheduled outpatient infusions (a use not FDA-approved, and not covered by federal health care programs). Specifically: Outpatient reimbursement was listed under Outpatient Marketing Overview at a July 2002 Scios advisory board meeting Defendants established a reimbursement team to handle reimbursement issues and the Medicare Contractor s local coverage determinations regarding Natrecor Used a consultant, the Lash Group, to develop reimbursement guides that instructed health care professionals, in great detail, how to bill Medicare for outpatient infusions of Natrecor (the guide provided limited information on billing for inpatient infusions) Provided a hotline number (staffed by the Lash Group) for health care professionals to call with Natrecor reimbursement questions At Scios s expense, the Lash Group also assisted providers through the Medicare appeal process for denied claims for payment 5

Information vs. Services? We have no clear guidance on the specific elements of the most common programs Benefit investigation Prior Authorization Appeals One approach is to provide information but stop short of providing services Not clear that DOJ and FDA will adopt this First Amendment might support this approach 6

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