2023 -- S 0673 | |
======== | |
LC002225 | |
======== | |
STATE OF RHODE ISLAND | |
IN GENERAL ASSEMBLY | |
JANUARY SESSION, A.D. 2023 | |
____________ | |
S E N A T E R E S O L U T I O N | |
RESPECTFULLY REQUESTING THE RHODE ISLAND CONGRESSIONAL DELEGATION | |
TO URGE THE UNDER SECRETARY OF DEFENSE FOR PERSONNEL AND READINESS | |
TO PROTECT PHARMACY ACCESS FOR THOSE WHO SERVE OR HAVE SERVED IN | |
THE ARMED FORCES | |
| |
Introduced By: Senators Ujifusa, Murray, Miller, Bell, Lauria, Zurier, Mack, Acosta, | |
Date Introduced: March 07, 2023 | |
Referred To: Senate Special Legislation and Veterans Affairs | |
1 | WHEREAS, TRICARE is the Department of Defense (DoD) health care program |
2 | administered by the Defense Health Agency (DHA) by means of the Military Health System for |
3 | approximately 9.5 million Military and their families; and |
4 | WHEREAS, Part of the TRICARE health care program is the TRICARE Pharmacy |
5 | Benefits Program, authorized under 10 U.S.C. § 1074g and 32 C.F.R. 199.21; and |
6 | WHEREAS, The TRICARE Pharmacy Benefits Program enables members of the U.S. |
7 | Military and their families to receive pharmacy benefits from not only military treatment |
8 | facilities, but also a network of civilian providers and pharmacies, including independent provider |
9 | practices, located in their own communities; and |
10 | WHEREAS, DHA outsources the administration of the TRICARE Pharmacy Benefits |
11 | Program to a private corporation, currently Express Scripts, which is the second largest Pharmacy |
12 | Benefits Manager (PBM) in the nation by market share, managing approximately 25 percent of |
13 | all covered prescription drug claims; and |
14 | WHEREAS, Express Scripts, which is owned by the insurer Cigna, owns a mail order |
15 | retail pharmacy, Accredo Health Inc., which operates Accredo Specialty Pharmacy; and |
16 | WHEREAS, In 2022, DHA awarded Express Scripts a multi-year contract to serve as the |
17 | sole PBM to administer the pharmacy benefit offered to TRICARE beneficiaries after a bidding |
18 | process that involved only two submitted proposals; and |
| |
1 | WHEREAS, In order to participate as a network provider in the TRICARE Pharmacy |
2 | Benefits Program, providers must first have a contract with Express Scripts; and |
3 | WHEREAS, Express Scripts’ duty to its shareholders is to maximize profits from the |
4 | DHA contract and this can conflict with the goal of providing the highest-quality health care to |
5 | the Military; and |
6 | WHEREAS, In late July 2022, Express Scripts sent providers across the nation a new |
7 | TRICARE contract/network agreement for contract year 2023; and |
8 | WHEREAS, Express Scripts required providers to execute and return the contract within |
9 | 15 days of receipt, otherwise the providers were deemed to have declined participation for the |
10 | entirety of contract year 2023; and |
11 | WHEREAS, Express Scripts has sent letters directly to Military personnel informing |
12 | them that as of October 24, 2022, they will no longer be able to get their medications from their |
13 | regular pharmacy provider. That includes Military patients with cancer who typically receive |
14 | their oral chemotherapy and related drugs at the point-of-care from their oncologists; and |
15 | WHEREAS, In these same letters, Express Scripts directed TRICARE Military patients |
16 | with cancer to Accredo Health Group, which is a specialty pharmacy owned by Express Scripts |
17 | that provides mail order services only; and |
18 | WHEREAS, In addition to Express Scripts’ efforts to limit patient choice and steer |
19 | patients towards its wholly-owned pharmacy, the new TRICARE contract contains unreasonably |
20 | low rates that are below pharmacists’ acquisition cost and/or otherwise unsustainable for both |
21 | brand and generic prescription drugs; and |
22 | WHEREAS, Express Scripts is, in effect, forcing providers who wish to continue serving |
23 | TRICARE patients to operate at a guaranteed loss and shifting the insurance risk from Express |
24 | Scripts to the providers; and |
25 | WHEREAS, As a result of these reimbursement terms, about 15,000+ providers from |
26 | across the nation, including a substantial percentage of community oncology and urology |
27 | providers, were no longer be able to serve TRICARE Military beneficiaries effective October 24, |
28 | 2022; and |
29 | WHEREAS, There are countless horror stories documenting that patients with cancer and |
30 | other serious diseases face delays, higher costs, and denials when subjected to receiving their |
31 | medications through the mail; and |
32 | WHEREAS, Express Scripts is creating pharmacy “deserts” and is forcing Military to get |
33 | their drugs not from their local provider of choice, but from Express Scripts via the mail; and |
34 | WHEREAS, The lack of oversight over Express Scripts’ provider network is precluding |
| LC002225 - Page 2 of 3 |
1 | TRICARE Military patients with cancer from having access to a sufficient geographic |
2 | distribution of providers and violating TRICARE cancer patients’ rights to an adequate network |
3 | of providers with the capabilities to address their health care needs; now, therefore be it |
4 | RESOLVED, That this Senate of the State of Rhode Island hereby respectfully requests |
5 | Senator Reed, Senator Whitehouse, Congressman Cicilline and Congressman Magaziner to urge |
6 | the Under Secretary of Defense for Personnel and Readiness Gilbert Cisneros to protect |
7 | pharmacy access for those who serve or have served in the armed forces, and work to ensure: |
8 | 1. Better monitoring of current and future retail pharmacy participation in the TRICARE |
9 | Pharmacy program; |
10 | 2. Expansion of the TRICARE network of pharmacies and care providers so there is |
11 | improved access to in-person pharmacy services for TRICARE beneficiaries; and |
12 | 3. PBM practices and finances do not discriminate against independent pharmacies; and |
13 | be it further |
14 | RESOLVED, That the Secretary of State be and hereby is authorized and directed to |
15 | transmit duly certified copies of this resolution to the Clerk of the United States House of |
16 | Representatives, the Clerk of the United States Senate, and to members of the Rhode Island |
17 | Congressional Delegation. |
======== | |
LC002225 | |
======== | |
| LC002225 - Page 3 of 3 |