95-13183. Medicare Program; Changes to the Hospital Inpatient Prospective Payment Systems and Fiscal Year 1996 Rates  

  • [Federal Register Volume 60, Number 106 (Friday, June 2, 1995)]
    [Proposed Rules]
    [Pages 29202-29434]
    From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
    [FR Doc No: 95-13183]
    
    
    
    
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    Part II
    
    
    
    
    
    Department of Health and Human Services
    
    
    
    
    
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    Health Care Financing Administration
    
    
    
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    42 CFR Parts 412, 413, et al.
    
    
    
    Medicare Program; Changes to the Hospital Inpatient Prospective Payment 
    Systems and Fiscal Year 1996 Rates; Proposed Rule
    
    Federal Register / Vol. 60, No. 106 / Friday, June 2, 1995 / Proposed 
    Rules
    [[Page 29202]] 
    DEPARTMENT OF HEALTH AND HUMAN SERVICES
    
    Health Care Financing Administration
    
    42 CFR Parts 412, 413, 424, 485, and 489
    
    [BPD-825-P]
    RIN 0938-AG95
    
    
    Medicare Program; Changes to the Hospital Inpatient Prospective 
    Payment Systems and Fiscal Year 1996 Rates
    
    AGENCY: Health Care Financing Administration (HCFA), HHS.
    
    ACTION: Proposed rule.
    
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    SUMMARY: We are proposing to revise the Medicare hospital inpatient 
    prospective payment systems for operating costs and capital-related 
    costs to implement necessary changes arising from our continuing 
    experience with the system. In addition, in the addendum to this 
    proposed rule, we are describing proposed changes in the amounts and 
    factors necessary to determine prospective payment rates for Medicare 
    hospital inpatient services for operating costs and capital-related 
    costs. These changes would be applicable to discharges occurring on or 
    after October 1, 1995. We are also setting proposed rate-of-increase 
    limits as well as proposing policy changes for hospitals and hospital 
    units excluded from the prospective payment systems.
    
    DATES: Comments will be considered received at the appropriate address, 
    as provided below, no later than 5 p.m. on August 1, 1995.
    
    ADDRESSES: Mail written comments (an original and 3 copies) to the 
    following address: Health Care Financing Administration, Department of 
    Health and Human Services, Attention: BPD-825-P, P.O. Box 7517, 
    Baltimore, MD 21207-0517.
        If you prefer, you may deliver your written comments (an original 
    and 3 copies) to one of the following addresses:
    
    Room 309-G, Hubert H. Humphrey Building, 200 Independence Avenue, SW., 
    Washington, DC 20201, or
    Room 132, East High Rise Building, 6325 Security Boulevard, Baltimore, 
    MD 21207.
    
        Because of staffing and resource limitations, we cannot accept 
    comments by facsimile (FAX) transmission. In commenting, please refer 
    to file code BPD-825-P. Comments received timely will be available for 
    public inspection as they are received, generally beginning 
    approximately 3 weeks after publication of a document, in Room 309-G of 
    the Department's offices at 200 Independence Avenue, SW., Washington, 
    DC, on Monday through Friday of each week from 8:30 a.m. to 5 p.m. 
    (phone: (202) 690-7890).
        For comments that relate to information collection requirements, 
    mail a copy of comments to: Office of Information and Regulatory 
    Affairs, Office of Management and Budget, Room 10235, New Executive 
    Office Building, Washington, DC 20503, Attn: Allison Herron Eydt, HCFA 
    Desk Officer.
        Copies: To order copies of the Federal Register containing this 
    document, send your request to: New Orders, Superintendent of 
    Documents, P.O. Box 371954, Pittsburgh, PA 15250-7954. Specify the date 
    of the issue requested and enclose a check or money order payable to 
    the Superintendent of Documents, or enclose your Visa or Master Card 
    number and expiration date. Credit card orders can also be placed by 
    calling the order desk at (202) 512-1800 or by faxing to (202) 512-
    2250. The cost for each copy is $8.00. As an alternative, you can view 
    and photocopy the Federal Register document at most libraries 
    designated as Federal Depository Libraries and at many other public and 
    academic libraries throughout the country that receive the Federal 
    Register.
        To obtain data used in deriving the standardized amounts and DRG 
    relative weights, see section VIII.B of the Supplementary Information 
    section of this preamble, Requests for Data From the Public.
    
    FOR FURTHER INFORMATION CONTACT:
    
    Nancy Edwards (410) 966-4532, Operating Prospective Payment, DRG, Wage 
    Index Issues.
    Tzvi Hefter (410) 966-4529, Capital Prospective Payment, Excluded 
    Hospitals, EACH, RPCH.
    
    SUPPLEMENTARY INFORMATION:
    
    I. Background
    
    A. Summary
    
        Under section 1886(d) of the Social Security Act (the Act), a 
    system of payment for the operating costs of acute care hospital 
    inpatient stays under Medicare Part A (Hospital Insurance) based on 
    prospectively-set rates was established effective with hospital cost 
    reporting periods beginning on or after October 1, 1983. Under this 
    system, Medicare payment for hospital inpatient operating costs is made 
    at a predetermined, specific rate for each hospital discharge. All 
    discharges are classified according to a list of diagnosis-related 
    groups (DRGs). The regulations governing the hospital inpatient 
    prospective payment system are located in 42 CFR part 412. On September 
    1, 1994, we published a final rule with comment period (59 FR 45330) to 
    implement changes to the prospective payment system for hospital 
    operating costs beginning with Federal fiscal year (FY) 1995. We 
    invited comments only on certain revisions to the criteria for 
    geographic reclassification by the Medicare Geographic Classification 
    Review Board (MGCRB). We did not receive any timely comments in 
    response to the September 1, 1994 final rule with comment period. 
    Therefore, we are confirming the provisions of that rule as final and 
    are not publishing another final rule.
        For cost reporting periods beginning before October 1, 1991, 
    hospital inpatient operating costs were the only costs covered under 
    the prospective payment system. Payment for capital-related costs had 
    been made on a reasonable cost basis because, under sections 1886(a)(4) 
    and (d)(1)(A) of the Act, those costs had been specifically excluded 
    from the definition of inpatient operating costs. However, section 
    4006(b) of the Omnibus Budget Reconciliation Act of 1987 (Public Law 
    100-203) revised section 1886(g)(1) of the Act to require that, for 
    hospitals paid under the prospective payment system for operating 
    costs, capital-related costs would also be paid under a prospective 
    payment system effective with cost reporting periods beginning on or 
    after October 1, 1991. As required by section 1886(g) of the Act, we 
    replaced the reasonable cost-based payment methodology with a 
    prospective payment methodology for hospital inpatient capital-related 
    costs. Under the new methodology, effective for cost reporting periods 
    beginning on or after October 1, 1991, a predetermined payment amount 
    per discharge is made for Medicare inpatient capital-related costs. 
    (See subpart M of 42 CFR part 412, and the August 30, 1991, final rule 
    (56 FR 43358) for a complete discussion of the prospective payment 
    system for hospital inpatient capital-related costs.)
    
    B. Major Contents of This Proposed Rule
    
        In this proposed rule, we are setting forth proposed changes to the 
    Medicare hospital inpatient prospective payment systems for both 
    operating costs and capital-related costs. This proposed rule would be 
    effective for discharges occurring on or after October 1, 1995. 
    Following is a summary of the major changes that we are proposing to 
    make: [[Page 29203]] 
    1. Changes to the DRG Classifications and Relative Weights
        As required by section 1886(d)(4)(C) of the Act, we must adjust the 
    DRG classifications and relative weights at least annually. Our 
    proposed changes for FY 1996 are set forth in section II of this 
    preamble.
    2. Changes to the Hospital Wage Index
        In section III of this preamble, we discuss revisions to the wage 
    index and the annual update of the wage data. Specific issues addressed 
    in this section include:
         FY 1996 wage index update.
         Allocation of general service salaries and hours to 
    excluded areas.
         Revisions to the wage index based on hospital 
    redesignations.
         Criteria for seeking MGCRB reclassification.
         Alternative labor market areas.
    3. Other Changes to the Prospective Payment System for Inpatient 
    Operating Costs
        In section IV of this preamble, we discuss several provisions of 
    the regulations in 42 CFR parts 412, 424, and 485 and set forth certain 
    proposed changes concerning the following:
         Payment for transfer cases.
         Rural referral centers.
         Determination of number of beds in determining the 
    indirect medical education adjustment.
         Disproportionate share adjustment.
         Essential access community hospitals (EACHs) and rural 
    primary care hospitals (RPCHs).
         Rebasing the hospital market baskets.
    4. Changes and Clarifications to the Prospective Payment System for 
    Capital-Related Costs
        In section V of this preamble, we discuss several provisions of the 
    regulations in 42 CFR part 412 and set forth certain proposed changes 
    concerning the following:
         New update framework.
         Specific adjustment for taxes to the capital prospective 
    payment system Federal rate.
    5. Changes for Hospitals and Hospital Units Excluded From the 
    Prospective Payment Systems
        In section VI of this preamble, we discuss changes to the 
    regulations at 42 CFR parts 412 and 413 for hospitals and hospital 
    units excluded from the prospective payment system. The proposed 
    changes concern the following:
         Requirements for certain long-term care hospitals excluded 
    from the prospective payment systems.
         Payment window for preadmission services.
         Criteria for exclusion.
         Request for payment adjustment.
    6. Determining Prospective Payment Rates and Rate-of-Increase Limits
        In the addendum to this proposed rule, we set forth proposed 
    changes to the amounts and factors for determining the FY 1996 
    prospective payment rates for operating costs and capital-related 
    costs. We are also proposing new update factors for determining the 
    rate-of-increase limits for cost reporting periods beginning in FY 1996 
    for hospitals and hospital units excluded from the prospective payment 
    system.
    7. Impact Analysis
        In Appendix A, we set forth an analysis of the impact that the 
    proposed changes described in this rule would have on affected 
    entities.
    8. Capital Acquisition Model
        Appendix B contains the technical appendix on the proposed FY 1996 
    capital acquisition model.
    9. Report to Congress on the Update Factor for Prospective Payment 
    Hospitals and Hospitals Excluded From the Prospective Payment System
        Section 1886(e)(3)(B) of the Act requires that the Secretary report 
    to Congress no later than March 1, 1995 on our initial estimate of an 
    update factor for FY 1996 for both hospitals included in and hospitals 
    excluded from the prospective payment systems. This report is included 
    as Appendix C to this proposed rule.
    10. Proposed Recommendation of Update Factor for Hospital Inpatient 
    Operating Costs
        As required by sections 1886 (e)(4) and (e)(5) of the Act, Appendix 
    D provides our recommendation of the appropriate percentage change for 
    FY 1996 for the following:
         Large urban area and other area average standardized 
    amounts (and hospital-specific rates applicable to sole community 
    hospitals) for hospital inpatient services paid for under the 
    prospective payment system for operating costs.
         Target rate-of-increase limits to the allowable operating 
    costs of hospital inpatient services furnished by hospitals and 
    hospital units excluded from the prospective payment system.
    11. Discussion of Prospective Payment Assessment Commission 
    Recommendations
        The Prospective Payment Assessment Commission (ProPAC) is directed 
    by section 1886(e)(2)(A) of the Act to make recommendations on the 
    appropriate percentage change factor to be used in updating the average 
    standardized amounts. In addition, section 1886(e)(2)(B) of the Act 
    directs ProPAC to make recommendations regarding changes in each of the 
    Medicare payment policies under which payments to an institution are 
    prospectively determined. In particular, the recommendations relating 
    to the hospital inpatient prospective payment systems are to include 
    recommendations concerning the number of DRGs used to classify 
    patients, adjustments to the DRGs to reflect severity of illness, and 
    changes in the methods under which hospitals are paid for capital-
    related costs. Under section 1886(e)(3)(A) of the Act, the 
    recommendations required of ProPAC under sections 1886(e)(2) (A) and 
    (B) of the Act are to be reported to Congress not later than March 1 of 
    each year.
        We are printing ProPAC's March 1, 1995 report, which includes its 
    recommendations, as Appendix E of this document. The recommendations, 
    and the actions we are proposing to take with regard to them (when an 
    action is recommended), are discussed in detail in the appropriate 
    sections of this preamble, the addendum, or the appendices to this 
    proposed rule. See section VII of this preamble for specific 
    information concerning where individual recommendations are addressed. 
    For a brief summary of the ProPAC recommendations, we refer the reader 
    to the beginning of the ProPAC report as set forth in Appendix E of 
    this proposed rule. ProPAC also produced technical appendices in its 
    March 1, 1995 report that provide background material and detailed 
    analyses used in preparation of the ProPAC recommendations. For further 
    information relating specifically to the ProPAC report or to obtain a 
    copy of the technical appendices, contact ProPAC at (202) 401-8986.
    
    II. Proposed Changes to DRG Classifications and Relative Weights
    
    A. Background
    
        Under the prospective payment system, we pay for inpatient hospital 
    services on the basis of a rate per discharge that varies by the DRG to 
    which a beneficiary's stay is assigned. The formula used to calculate 
    payment for a specific case takes an individual hospital's payment rate 
    per case and multiplies it by the weight of the DRG to which the case 
    is assigned. Each DRG weight represents the average resources required 
    to care for cases in that [[Page 29204]] particular DRG relative to the 
    average resources used to treat cases in other DRGs.
        Congress recognized that it would be necessary to recalculate the 
    DRG relative weights periodically to account for changes in resource 
    consumption. Accordingly, section 1886(d)(4)(C) of the Act requires 
    that the Secretary adjust the DRG classifications and relative weights 
    annually. These adjustments are made to reflect changes in treatment 
    patterns, technology, and any other factors that may change the 
    relative use of hospital resources. The proposed changes to the DRG 
    classification system and the proposed recalibration of the DRG weights 
    for discharges occurring on or after October 1, 1995 are discussed 
    below.
    B. DRG Reclassification
    
    1. General
        Cases are classified into DRGs for payment under the prospective 
    payment system based on the principal diagnosis, up to eight additional 
    diagnoses, and up to six procedures performed during the stay, as well 
    as age, sex, and discharge status of the patient. The diagnosis and 
    procedure information is reported by the hospital using codes from the 
    International Classification of Diseases, Ninth Edition, Clinical 
    Modification (ICD-9-CM). The Medicare fiscal intermediary enters the 
    information into its claims system and subjects it to a series of 
    automated screens called the Medicare Code Editor (MCE). These screens 
    are designed to identify cases that require further review before 
    classification into a DRG can be accomplished.
        After screening through the MCE and any further development of the 
    claims, cases are classified by the GROUPER software program into the 
    appropriate DRG. The GROUPER program was developed as a means of 
    classifying each case into a DRG on the basis of the diagnosis and 
    procedure codes and demographic information (that is, sex, age, and 
    discharge status). It is used both to classify past cases in order to 
    measure relative hospital resource consumption to establish the DRG 
    weights and to classify current cases for purposes of determining 
    payment. The records for all Medicare hospital inpatient discharges are 
    maintained in the Medicare Provider Analysis and Review (MedPAR) file. 
    The data in this file are used to evaluate possible DRG classification 
    changes and to recalibrate the DRG weights.
        Currently, cases are assigned to one of 492 DRGs in 25 major 
    diagnostic categories (MDCs). Most MDCs are based on a particular organ 
    system of the body (for example, MDC 6, Diseases and Disorders of the 
    Digestive System); however, some MDCs are not constructed on this basis 
    since they involve multiple organ systems (for example, MDC 22, Burns).
        In general, principal diagnosis determines MDC assignment. However, 
    there are five DRGs to which cases are assigned on the basis of 
    procedure codes rather than first assigning them to an MDC based on the 
    principal diagnosis. These are the DRGs for liver, bone marrow, and 
    lung transplant (DRGs 480, 481, and 495, respectively) and the two DRGs 
    for tracheostomies (DRGs 482 and 483). Cases are assigned to these DRGs 
    before classification to an MDC.
        Within most MDCs, cases are then divided into surgical DRGs (based 
    on a surgical hierarchy that orders individual procedures or groups of 
    procedures by resource intensity) and medical DRGs. Medical DRGs 
    generally are differentiated on the basis of diagnosis and age. Some 
    surgical and medical DRGs are further differentiated based on the 
    presence or absence of complications or comorbidities (hereafter CC).
        Generally, GROUPER does not consider other procedures; that is, 
    nonsurgical procedures or minor surgical procedures generally not 
    performed in an operating room are not listed as operating room (OR) 
    procedures in the GROUPER decision tables. However, there are a few 
    non-OR procedures that do affect DRG assignment for certain principal 
    diagnoses, such as extracorporeal shock wave lithotripsy for patients 
    with a principal diagnosis of urinary stones.
        The changes we are proposing to make to the DRG classification 
    system for FY 1996 and other decisions concerning DRGs are set forth 
    below.
    2. MDC 5 (Diseases and Disorders of the Circulatory System)
        a. Automatic Implantable Cardioverter Defibrillator (AICD) 
    Procedures (DRG 116). For several years, we have received 
    correspondence regarding the appropriate DRG assignment of certain 
    procedures involving automatic implantable cardioverter defibrillators 
    (AICDs). When a patient whose principal diagnosis is classified to MDC 
    5 (Diseases and Disorders of the Circulatory System) receives a total 
    AICD system implant or replacement (procedure code 37.94), the case is 
    assigned to DRG 104 or 105 (Cardiac Valve Procedures With or Without 
    Cardiac Catheterization). However, for discharges occurring before 
    October 1, 1992, if a procedure was performed that involved the 
    implantation or replacement of only part of the AICD system (that is, 
    replacement or implant of either the leads or pulse generator only), 
    the case was assigned to DRG 120 (Other Circulatory System OR 
    Procedures). Effective with discharges occurring on or after October 1, 
    1992, these procedures were reclassified to DRG 116 (Other Permanent 
    Cardiac Pacemaker Implant or AICD Lead or Generator Procedure).
        As we stated in the September 1, 1994, final rule (59 FR 45347), we 
    have continued to monitor the appropriate placement of the AICD cases 
    that are currently assigned to DRG 116. The AICD cases are represented 
    by the following procedure codes: 37.95 (Implantation of automatic 
    cardioverter/defibrillator lead(s) only), 37.96 (Implantation of 
    automatic cardioverter/defibrillator pulse generator only), 37.97 
    (Replacement of automatic cardioverter/defibrillator lead(s) only), 
    37.98 (Replacement of automatic cardioverter/defibrillator pulse 
    generator only). Some hospitals and the manufacturer of the first of 
    these devices to be approved by the Food and Drug Administration (FDA) 
    believe that a more appropriate DRG assignment would be DRG 115 
    (Permanent Cardiac Pacemaker Implantation with AMI, Heart Failure or 
    Shock), because, in their opinion, the higher relative weight assigned 
    to this DRG would provide more equitable payment.
        As explained in detail in the September 1, 1992 final rule (57 FR 
    39749), the current clinical composition and relative weights of the 
    surgical DRGs in MDC 5 do not offer a perfect match with the AICD 
    cases. After reviewing the current DRGs in terms of clinical coherence 
    and similar resource use, we determined that DRG 116 was the best 
    possible fit.
        Since reassignment of these procedures to DRG 116, we have annually 
    analyzed the cases based on the most recent data. Based on data in the 
    FY 1994 Medicare Provider Analysis and Review (MedPAR) file, the 
    average standardized charge for the 2,459 AICD cases assigned to DRG 
    116 is $27,965. The average standardized charge for all cases in DRG 
    116 is $19,584 and, for DRG 115, $28,965. The $8,381 difference between 
    the average charge for AICD cases in DRG 116 and all cases in DRG 116 
    is within the variation in charges for that DRG. We note that compared 
    to last year's analysis using FY 1993 MedPAR data, the average charge 
    for the AICD cases has decreased slightly as has the difference in 
    charges [[Page 29205]] between all cases in DRG 116 and the AICD cases.
        The average length of stay for the AICD cases in DRG 116 is 4.0 
    days compared to 5.89 days for all cases in DRG 116. However, the 
    length of stay for cases in DRG 115 is 11.77. In general, the patients 
    classified to DRG 115 are seriously ill and the long length of stay 
    supports this contention. We continue to believe that the AICD patients 
    are clinically much more similar to the patients classified to DRG 116 
    than to those in DRG 115 and that it is the cost of the AICD device 
    that is responsible for the high average charge for these cases and not 
    the intensity of hospital services required to treat the patient.
        In the September 1, 1994 final rule, we stated our belief that as 
    new AICD devices were approved by the FDA and entered the market, 
    increased competition would result in a decrease in the price of the 
    devices and a corresponding drop in the average charge for a hospital 
    stay for AICD procedures. Second and third generations of several 
    manufacturers' devices are now on the market. In addition, we believe 
    that the slight decrease in average charges seen in the FY 1994 data 
    compared to the FY 1993 data is a direct result of hospitals' ability 
    to obtain AICD devices from multiple sources. (The increase in charges 
    for AICD cases between FY 1992 data and FY 1993 was approximately 
    $6,000.) Based on this evidence, we will continue to assign the AICD 
    implant cases to DRG 116 for FY 1996. We will reassess this assignment 
    as a part of our FY 1997 DRG analysis.
        b. Sympathectomy Procedures. When performed in connection with a 
    principal diagnosis assigned to MDC 5, procedure code 05.24 (presacral 
    sympathectomy) is assigned to DRGs 478 and 479 (Other Vascular 
    Procedures).1 However, the four other sympathectomy procedures 
    related to MDC 5 diagnoses are classified to DRG 120 (Other Circulatory 
    System OR Procedures). In order to improve clinical consistency, we 
    propose to assign procedure code 05.24 to DRG 120 rather than to DRGs 
    478 and 479.
    
        \1\A single title combined with two DRG numbers is used to 
    signify pairs. Generally, the first DRG is for cases with CC and the 
    second DRG is for cases without CC. If a third number is included, 
    it represents cases of patients who are age 0-17. Occasionally, a 
    pair of DRGs is split on age >17 and age 0-17.
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        We realize that this proposal moves a procedure from a specific 
    surgical DRG class to the ``other OR procedures'' surgical class in MDC 
    5. There are very few presacral sympathectomies performed for the 
    Medicare population, therefore, we believe that this move will not 
    unduly affect any cases in the Medicare population. We note that we are 
    not moving this procedure from the DRGs to which it is assigned in MDC 
    1 (Diseases and Disorders of the Nervous System) or MDC 13 (Diseases 
    and Disorders of the Female Reproductive System).
    3. MDC 15 (Newborns and Other Neonates With Conditions Originating in 
    the Perinatal Period)
        In the September 1, 1994 final rule (59 FR 45341), we stated our 
    intention to improve the classification and relative weights of the 
    DRGs that apply to newborns, children, and maternity patients. Because 
    the Medicare population does not include many of these individuals, the 
    original DRG classification system was developed from analysis of 
    claims data representative of the total inpatient population. Non-
    Medicare discharge records from Maryland and Michigan hospitals were 
    used to calculate the original Medicare weights for the DRGs to which 
    newborns, children, and maternity patients are classified. Since that 
    time, because of the lack of Medicare data, these low-volume DRGs have 
    not been analyzed and refined, and the relative weights assigned to 
    them may no longer be entirely reflective of the resources needed to 
    treat patients.
        Accordingly, we have acquired hospital claims data representative 
    of the total patient population for analysis and evaluation. These 
    data, collected and formatted by the Urban Institute under contract 
    with HCFA (Contract 500-92-0024), represent claims for non-Medicare 
    payers from 19 States. The data base contains approximately 17 million 
    discharge records. Using this data, we are evaluating possible 
    modifications to MDC 15 that would better address the requirements for 
    an all-patient population.
        As we have not yet completed this evaluation, we are not proposing 
    an MDC 15 DRG reclassification structure for FY 1996. However, we are 
    proposing to adjust the DRG relative weights for the Medicare low-
    volume DRGs. We identified 36 low-volume DRGs (defined as those DRGs 
    with fewer than 10 cases) in the FY 1994 MedPAR data, which is being 
    used to calculate the FY 1996 DRG relative weights. These DRGs are 
    generally those assigned to patients age 0-17, many of the neonate and 
    newborn MDC 15 DRGs, and one DRG in MDC 14 (Pregnancy, Childbirth and 
    Puerperium). The DRG relative weights for these low-volume DRGs were 
    calculated based on the non-Medicare data we acquired from the 19 
    States.
        During the year, we have received suggestions from the public 
    concerning improvements for the neonate DRG classifications. Among 
    these suggestions have been recommendations concerning specific 
    diagnoses that are currently considered significant problems in 
    determining the assignment of a neonate case to DRG 390 (Neonate with 
    other Significant Problems) rather than DRG 391 (Normal Newborn). 
    Another issue is the assignment to MDC 15 of discharges with a 
    principal diagnosis of certain congenital defects regardless of the age 
    of the patient. Because the MDC 15 modifications that we are 
    considering should resolve these concerns, we are not proposing to 
    revise the assignment of these diagnoses and conditions at this time. 
    Rather, we will incorporate the necessary and appropriate assignment of 
    these cases with our overall modification of the neonate DRGs.
    4. MDC 24 (Multiple Significant Trauma)
        Several years ago, we created a new MDC 24 to classify cases of 
    multiple significant trauma. In order to be assigned to this MDC, a 
    patient must have a principal diagnosis of trauma and at least two 
    significant trauma diagnosis codes from two different body sites 
    reported as either principal or secondary diagnoses. We recognize eight 
    different body site categories: head, chest, abdomen, kidney, urinary, 
    pelvis and spine, upper limb, and lower limb.
        It has been brought to our attention that diagnosis code 851.06 
    (Cerebral cortex contusion with loss of consciousness of unspecified 
    duration) was mistakenly excluded from the list of diagnoses that count 
    as principal or secondary diagnoses in the significant head trauma 
    section of MDC 24. Because this code is clinically similar to those 
    already on the list of principal or secondary diagnoses that cause 
    assignment to DRG 487 (Other Multiple Significant Trauma), we propose 
    to add this diagnosis to the significant head trauma list effective 
    with discharges occurring on or after October 1, 1995.
    5. Surgical Hierarchies
        Some inpatient stays entail multiple surgical procedures, each one 
    of which, occurring by itself, could result in assignment of the case 
    to a different DRG within the MDC to which the principal diagnosis is 
    assigned. It is, therefore, necessary to have a decision rule by which 
    these cases are assigned to a single DRG. The surgical hierarchy, an 
    ordering of surgical classes from [[Page 29206]] most to least resource 
    intensive, performs that function. Its application ensures that cases 
    involving multiple surgical procedures are assigned to the DRG 
    associated with the most resource-intensive surgical class.
        Because the relative resource intensity of surgical classes can 
    shift as a function of DRG reclassification and recalibration, we 
    reviewed the surgical hierarchy of each MDC, as we have for previous 
    reclassifications, to determine if the ordering of classes coincided 
    with the intensity of resource utilization, as measured by the same 
    billing data used to compute the DRG relative weights.
        A surgical class can be composed of one or more DRGs. For example, 
    in MDC 5, the surgical class ``heart transplant'' consists of a single 
    DRG (DRG 103) and the class ``coronary bypass'' consists of two DRGs 
    (DRGs 106 and 107). Consequently, in many cases, the surgical hierarchy 
    has an impact on more than one DRG. The methodology for determining the 
    most resource-intensive surgical class, therefore, involves weighting 
    each DRG for frequency to determine the average resources for each 
    surgical class. For example, assume surgical class A includes DRGs 1 
    and 2 and surgical class B includes DRGs 3, 4, and 5, and that the 
    average charge of DRG 1 is higher than that of DRG 3, but the average 
    charges of DRGs 4 and 5 are higher than the average charge of DRG 2. To 
    determine whether surgical class A should be higher or lower than 
    surgical class B in the surgical hierarchy, we would weight the average 
    charge of each DRG by frequency (that is, by the number of cases in the 
    DRG) to determine average resource consumption for the surgical class. 
    The surgical classes would then be ordered from the class with the 
    highest average resource utilization to that with the lowest, with the 
    exception of ``other OR procedures'' as discussed below.
        This methodology may occasionally result in a case involving 
    multiple procedures being assigned to the lower-weighted DRG (in the 
    highest, most resource-intensive surgical class) of the available 
    alternatives. However, given that the logic underlying the surgical 
    hierarchy provides that the GROUPER searches for the procedure in the 
    most resource-intensive surgical class, which may sometimes occur in 
    cases involving multiple procedures, this result is unavoidable.
        We note that, notwithstanding the foregoing discussion, there are a 
    few instances when a surgical class with a lower average relative 
    weight is ordered above a surgical class with a higher average relative 
    weight. For example, the ``other OR procedures'' surgical class is 
    uniformly ordered last in the surgical hierarchy of each MDC in which 
    it occurs, regardless of the fact that the relative weight for the DRG 
    or DRGs in that surgical class may be higher than that for other 
    surgical classes in the MDC. The ``other OR procedures'' class is a 
    group of procedures that are least likely to be related to the 
    diagnoses in the MDC but are occasionally performed on patients with 
    these diagnoses. Therefore, these procedures should only be considered 
    if no other procedure more closely related to the diagnoses in the MDC 
    has been performed.
        A second example occurs when the difference between the average 
    weights for two surgical classes is very small. We have found that 
    small differences generally do not warrant reordering of the hierarchy 
    since, by virtue of the hierarchy change, the relative weights are 
    likely to shift such that the higher-ordered surgical class has a lower 
    average weight than the class ordered below it.
        Based on the preliminary recalibration of the DRGs, we are 
    proposing to modify the surgical hierarchy as set forth below. As we 
    stated in the September 1, 1989 final rule (54 FR 36457), we are unable 
    to test the effects of the proposed revisions to the surgical hierarchy 
    and to reflect these changes in the proposed relative weights due to 
    the unavailability of revised GROUPER software at the time this 
    proposed rule is prepared. Rather, we simulate most major 
    classification changes to approximate the placement of cases under the 
    proposed reclassification and then determine the average charge for 
    each DRG. These average charges then serve as our best estimate of 
    relative resource use for each surgical class. We test the proposed 
    surgical hierarchy changes after the revised GROUPER is received and 
    reflect the final changes in the DRG relative weights in the final 
    rule. Further, as discussed below in section II.C of this preamble, we 
    anticipate that the final recalibrated weights will be somewhat 
    different from those proposed, since they will be based on more 
    complete data. Consequently, further revision of the hierarchy, using 
    the above principles, may be necessary in the final rule.
        At this time, we would revise the surgical hierarchy for MDC 2 
    (Diseases and Disorders of the Eye) and MDC 8 (Diseases and Disorders 
    of the Musculoskeletal System and Connective Tissue) as follows:
         In MDC 2, we would reorder Extraocular Procedures Except 
    Orbit (DRGs 40 and 41) above Retinal Procedures (DRG 36).
         In MDC 8, we would reorder Major Thumb or Joint Procedures 
    or Other Hand or Wrist Procedures with CC (DRG 228) above Major 
    Shoulder/Elbow Procedures or Other Upper Extremity Procedures with CC 
    (DRG 223).
    6. Refinement of Complications and Comorbidities List
        There is a standard list of diagnoses that are considered 
    complications or comorbidities (CCs). We developed this list using 
    physician panels to include those diagnoses that, when present as a 
    secondary condition, would be considered a substantial complication or 
    comorbidity. In preparing the original CC list, a substantial CC was 
    defined as a condition that, because of its presence with a specific 
    principal diagnosis, would increase the length of stay by at least 1 
    day for at least 75 percent of the patients.
        In previous years, we have made changes to the standard list of 
    CCs, either by adding new CCs or deleting CCs already on the list. For 
    FY 1996, we are proposing the following changes to the current CC list:
         We would add diagnosis code 008.49 (Bacterial enteritis) 
    to the CC list. This diagnosis would be considered a CC for any 
    principal diagnosis not shown in Table 6f, Addition to the CC 
    Exclusions List (see discussion of CC Exclusions list in section V of 
    the addendum below).
         We would delete diagnosis code 276.8 (Hypopotassemia) from 
    the CC list. This diagnosis would no longer be considered a CC for any 
    principal diagnosis.
        In the September 1, 1987 final notice concerning changes to the DRG 
    classification system (52 FR 33143), we modified the GROUPER logic so 
    that certain diagnoses included on the standard list of CCs would not 
    be considered a valid CC in combination with a particular principal 
    diagnosis. Thus, we created the CC Exclusions List. We made these 
    changes to preclude coding of CCs for closely related conditions, to 
    preclude duplicative coding or inconsistent coding from being treated 
    as CCs, and to ensure that cases are appropriately classified between 
    the complicated and uncomplicated DRGs in a pair.
        In the May 19, 1987 proposed notice concerning changes to the DRG 
    classification system (52 FR 18877), we explained that the excluded 
    secondary diagnoses were established using the following five 
    principles:
         Chronic and acute manifestations of the same condition 
    should not be [[Page 29207]] considered CCs for one another (as 
    subsequently corrected in the September 1, 1987 final notice (52 FR 
    33154)).
         Specific and nonspecific (that is, not otherwise specified 
    (NOS)) diagnosis codes for a condition should not be considered CCs for 
    one another.
         Conditions that may not co-exist, such as partial/total, 
    unilateral/bilateral, obstructed/unobstructed, and benign/malignant, 
    should not be considered CCs for one another.
         The same condition in anatomically proximal sites should 
    not be considered CCs for one another.
         Closely related conditions should not be considered CCs 
    for one another.
        The creation of the CC Exclusions List was a major project 
    involving hundreds of codes. The FY 1988 revisions were intended to be 
    only a first step toward refinement of the CC list in that the criteria 
    used for eliminating certain diagnoses from consideration as CCs were 
    intended to identify only the most obvious diagnoses that should not be 
    considered complications or comorbidities of another diagnosis. For 
    that reason, and in light of comments and questions on the CC list, we 
    have continued to review the remaining CCs to identify additional 
    exclusions and to remove diagnoses from the master list that have been 
    shown not to meet the definition of a CC stated above, as appropriate. 
    (See the September 30, 1988 final rule for the revision made for the 
    discharges occurring in FY 1989 (53 FR 38485); the September 1, 1989 
    final rule for the FY 1990 revision (54 FR 36552); the September 4, 
    1990 final rule for the FY 1991 revision (55 FR 36126); the August 30, 
    1991 final rule for the FY 1992 revision (56 FR 43209); the September 
    1, 1992 final rule for the FY 1993 revision (57 FR 39753); the 
    September 1, 1993 final rule for the FY 1994 revisions (58 FR 46278); 
    and the September 1, 1994 rule for the FY 1995 revisions (59 FR 
    45334).)
        We are proposing a limited revision of the CC Exclusions List to 
    take into account the changes that will be made in the ICD-9-CM 
    diagnosis coding system effective October 1, 1995 as well as the 
    proposed CC changes described above. (See section II.B.8, below, for a 
    discussion of these changes.) These proposed changes are being made in 
    accordance with the principles established when we created the CC 
    Exclusions List in 1987.
        The changes discussed above have been added to Table 6g, Additions 
    to the CC Exclusions List, in section V of the addendum to this 
    proposed rule.
        Tables 6g and 6h in section V of the addendum to this proposed rule 
    contain the proposed revisions to the CC Exclusions List that would be 
    effective for discharges occurring on or after October 1, 1995. Each 
    table shows the principal diagnoses with proposed changes to the 
    excluded CCs. Each of these principal diagnoses is shown with an 
    asterisk and the additions or deletions to the CC Exclusions List are 
    provided in an indented column immediately following the affected 
    principal diagnosis.
        CCs that are added to the list are in Table 6g--Additions to the CC 
    Exclusions List. Beginning with discharges on or after October 1, 1995, 
    the indented diagnoses will not be recognized by the GROUPER as valid 
    CCs for the asterisked principal diagnosis.
        CCs that are deleted from the list are in Table 6h--Deletions from 
    the CC Exclusions List. Beginning with discharges on or after October 
    1, 1995, the indented diagnoses will be recognized by the GROUPER as 
    valid CCs for the asterisked principal diagnosis.
        Copies of the original CC Exclusions List applicable to FY 1988 can 
    be obtained from the National Technical Information Service (NTIS) of 
    the Department of Commerce. It is available in hard copy for $84.00 
    plus $6.00 shipping and handling and on microfiche for $20.50, plus 
    $4.00 for shipping and handling. A request for the FY 1988 CC 
    Exclusions List (which should include the identification accession 
    number, (PB) 88-133970) should be made to the following address: 
    National Technical Information Service; United States Department of 
    Commerce; 5285 Port Royal Road, Springfield, Virginia 22161; or by 
    calling (703) 487-4650.
        Users should be aware of the fact that all revisions to the CC 
    Exclusions List (FYs 1989, 1990, 1991, 1992, 1993, 1994, and 1995) and 
    those in Tables 6g and 6h of this document must be incorporated into 
    the list purchased from NTIS in order to obtain the CC Exclusions List 
    applicable for discharges occurring on or after October 1, 1995.
        Alternatively, the complete documentation of the GROUPER logic, 
    including the current CC Exclusions List, is available from 3M/Health 
    Information Systems (HIS), which, under contract with HCFA, is 
    responsible for updating and maintaining the GROUPER program. The 
    current DRG Definitions Manual, Version 12.0, is available for $195.00, 
    which includes $15.00 for shipping and handling. Version 13.0 of this 
    manual, which will include the changes proposed in this document as 
    finalized in response to public comment, will be available in September 
    1995 for $195.00. These manuals may be obtained by writing 3M/HIS at: 
    100 Barnes Road; Wallingford, Connecticut 06492; or by calling (203) 
    949-0303. Please specify the revision or revisions requested.
    7. Review of Procedure Codes in DRGs 468, 476, and 477
        Each year, we review cases assigned to DRG 468 (Extensive OR 
    Procedure Unrelated to Principal Diagnosis), DRG 476 (Prostatic OR 
    procedure Unrelated to Principal Diagnosis), and DRG 477 (Nonextensive 
    OR Procedure Unrelated to Principal Diagnosis) in order to determine 
    whether it would be appropriate to change the procedures assigned among 
    these DRGs.
        DRGs 468, 476, and 477 are reserved for those cases in which none 
    of the OR procedures performed is related to the principal diagnosis. 
    These DRGs are intended to capture atypical cases, that is, those cases 
    not occurring with sufficient frequency to represent a distinct, 
    recognizable clinical group. DRG 476 is assigned to those discharges in 
    which one or more of the following prostatic procedures are performed 
    and are unrelated to the principal diagnosis:
    
    60.0  Incision of prostate
    60.12  Open biopsy of prostate
    60.15  Biopsy of periprostatic tissue
    60.18  Other diagnostic procedures on prostate and periprostatic 
    tissue
    60.2  Transurethral prostatectomy
    60.61  Local excision of lesion of prostate
    60.69  Prostatectomy NEC
    60.81  Incision of periprostatic tissue
    60.82  Excision of periprostatic tissue
    60.93  Repair of prostate
    60.94  Control of (postoperative) hemorrhage of prostate
    60.95  Transurethral balloon dilation of the prostatic urethra
    60.99  Other operations on prostate
    
        All remaining OR procedures are assigned to DRGs 468 and 477, with 
    DRG 477 assigned to those discharges in which the only procedures 
    performed are nonextensive procedures that are unrelated to the 
    principal diagnosis. The original list of the ICD-9-CM procedure codes 
    for the procedures we consider nonextensive procedures if performed 
    with an unrelated principal diagnosis was published in Table 6C in 
    section IV of the addendum to the September 30, 1988 final rule (53 FR 
    38591). As part of the final rules published on September 4, 1990, 
    August 30, 1991, September 1, 1992, September 1, 1993, and September 1, 
    1994, we moved several other procedures from DRG 468 to 477. (See 55 FR 
    36135, 56 [[Page 29208]] FR 43212, 57 FR 23625, 58 FR 46279, and 59 FR 
    45336 respectively.)
        a. Adding Procedure Codes to MDCs. We annually conduct a review of 
    procedures producing DRG 468 or 477 assignments on the basis of volume 
    of cases in these DRGs with each procedure. Our medical consultants 
    then identify those procedures occurring in conjunction with certain 
    principal diagnoses with sufficient frequency to justify adding them to 
    one of the surgical DRGs for the MDC in which the diagnosis falls. This 
    year's review did not identify any necessary changes; therefore, we are 
    not proposing to move any procedures from DRG 468 or DRG 477 to one of 
    the surgical DRGs.
        b. Reassignment of Procedures Among DRGs 468, 476, and 477. We also 
    reviewed the list of procedures that produce assignments to each of DRG 
    468, 476, and 477 to ascertain if any of those procedures should be 
    moved to one of the other DRGs based on average charges and length of 
    stay.
        Generally, we move only those procedures for which we have an 
    adequate number of discharges to analyze the data. Based on our review 
    this year, we are proposing to move a limited number of procedures.
        In reviewing the list of OR procedures that produce DRG 468 
    assignments, we analyzed the average charge and length of stay data for 
    cases assigned to that DRG to identify those procedures that are more 
    similar to the discharges that currently group to either DRG 476 or 
    477. We identified several procedures that are significantly less 
    resource intensive than the other procedures assigned to DRG 468. These 
    procedures occur in the same ``family'' (that is, they relate to 
    procedures on the same body part or system) and at least one of this 
    family of codes is already present within DRG 477. Therefore, we are 
    proposing to move the following procedures to the list of procedures 
    that result in assignment to DRG 477:
    
    18.21  Excision of preauricular sinus
    18.31  Radical excision of lesion of external ear
    18.39  Other excision of external ear
    18.5  Surgical correction of prominent ear
    18.6  Reconstruction of external auditory canal
    18.71  Construction of auricle of ear
    18.72  Reattachment of amputated ear
    18.9  Other operations of external ear
    
        We conducted a similar analysis of the procedures that assign cases 
    to DRG 477 to determine if any of those procedures might more 
    appropriately be classified to DRG 468. Again, we analyzed charge and 
    length of stay data to identify procedures that were more similar to 
    discharges assigned to DRG 468 than to those classified in DRG 477. We 
    did not identify any procedures in DRG 477 that should be assigned to 
    DRG 468.
        All of the proposed reassignments of procedures in DRGs 468 and 477 
    would be effective with discharges beginning on or after October 1, 
    1995.
    8. Changes to the ICD-9-CM Coding System
        As discussed above in section II.B.1 of this preamble, the ICD-9-CM 
    is a coding system that is used for the reporting of diagnoses and 
    procedures performed on a patient. In September 1985, the ICD-9-CM 
    Coordination and Maintenance Committee was formed. This is a Federal 
    interdepartmental committee charged with the mission of maintaining and 
    updating the ICD-9-CM. That mission includes approving coding changes, 
    and developing errata, addenda, and other modifications to the ICD-9-CM 
    to reflect newly developed procedures and technologies and newly 
    identified diseases. The Committee is also responsible for promoting 
    the use of Federal and non-Federal educational programs and other 
    communication techniques with a view toward standardizing coding 
    applications and upgrading the quality of the classification system.
        The Committee is co-chaired by the National Center for Health 
    Statistics (NCHS) and HCFA. The NCHS has lead responsibility for the 
    ICD-9-CM diagnosis codes included in Volume 1--Diseases: Tabular List 
    and Volume 2--Diseases: Alphabetic Index, while HCFA has lead 
    responsibility for the ICD-9-CM procedure codes included in Volume 3--
    Procedures: Tabular List and Alphabetic Index. 
        The Committee encourages participation in the above process by 
    health-related organizations. In this regard, the Committee holds 
    public meetings for discussion of educational issues and proposed 
    coding changes. These meetings provide an opportunity for 
    representatives of recognized organizations in the coding fields, such 
    as the American Health Information Management Association (AHIMA) 
    (formerly American Medical Record Association (AMRA)), the American 
    Hospital Association (AHA), and various physician specialty groups as 
    well as physicians, medical record administrators, health information 
    management professionals, and other members of the public to contribute 
    ideas on coding matters. After considering the opinions expressed at 
    the public meetings and in writing, the Committee formulates 
    recommendations, which then must be approved by the agencies.
        The Committee presented proposals for coding changes at public 
    meetings held on May 5 and December 1 and 2, 1994, and finalized the 
    coding changes after consideration of comments received at the meetings 
    and in writing within 30 days following the December 1994 meeting. The 
    initial meeting for consideration of coding issues for implementation 
    in FY 1997 was held on May 4, 1995. Copies of the minutes of these 
    meetings may be obtained by writing to one of the co-chairpersons 
    representing NCHS and HCFA. We encourage commenters to address 
    suggestions on coding issues involving diagnosis codes to: Sue Meads, 
    Co-Chairperson; ICD-9-CM Coordination and Maintenance Committee; NCHS; 
    Rm. 9-58; 6525 Belcrest Road; Hyattsville, Maryland 20782.
        Questions and comments concerning the procedure codes should be 
    addressed to: Patricia E. Brooks, Co-Chairperson; ICD-9-CM Coordination 
    and Maintenance Committee; HCFA, Office of Hospital Policy; Division of 
    Prospective Payment System; Rm. 1-H-1 East Low Rise Building; 6325 
    Security Boulevard; Baltimore, Maryland 21207.
        The ICD-9-CM code changes that have been approved will become 
    effective October 1, 1995. The new ICD-9-CM codes are listed, along 
    with their proposed DRG classifications, in Tables 6a and 6b (New 
    Diagnosis Codes and New Procedure Codes, respectively) in section V of 
    the addendum to this proposed rule. As we stated above, the code 
    numbers and their titles were presented for public comment in the ICD-
    9-CM Coordination and Maintenance Committee meetings. Both oral and 
    written comments were considered before the codes were approved. 
    Therefore, we are soliciting comments only on the proposed DRG 
    classification.
        Further, the Committee has approved the expansion of certain ICD-9-
    CM codes to require an additional digit for valid code assignment. 
    Diagnosis codes that have been replaced by expanded codes, other codes, 
    or have been deleted are in Table 6c (Invalid Diagnosis Codes). The 
    procedure codes that have been replaced by expanded codes or have been 
    deleted are in Table 6d (Invalid Procedure Codes). These invalid 
    diagnosis and procedure codes will not be recognized by the GROUPER 
    beginning with discharges occurring on or after October 1, 1995. The 
    corresponding new or expanded codes are included in Tables 6a and 6b. 
    Revisions to diagnosis and procedure code titles are in Tables 6e 
    (Revised [[Page 29209]] Diagnosis Code Titles) and 6f (Revised 
    Procedure Code Titles), which also include the proposed DRG assignments 
    for these revised codes.
        There are three new procedure codes that were previously included 
    in codes classified as operating room procedures even though the 
    specific procedures specified by the new codes may not be routinely 
    performed in an operating room. The three codes are as follows:
    
    48.36  [Endoscopic] polypectomy of rectum
    59.72  Injection of implant into urethra and/or bladder neck
    92.3  Stereotactic radiosurgery
    
        These three new codes are being classified as Non-OR procedures 
    that affect DRG assignment and are indicated as such in Table 6b--
    New Procedure Codes. We will continue to assign these three codes to 
    the surgical DRGs to which they are currently assigned. As we have 
    stated in previous rules, most recently in the September 1, 1994, 
    final rule (59 FR 45340), our practice is to assign a new code to 
    the same DRG as its predecessor. One compelling reason for this 
    practice is our inability to move the cases associated with the new 
    code to a new DRG assignment as a part of DRG reclassification and 
    recalibration. However, in 2 years, when data on the new procedure 
    codes are available, we will reevaluate the DRG classification of 
    the codes. At that time, we may move one or more of the procedure 
    codes to a different surgical DRG or we may classify them as non-OR 
    procedures that do not affect DRG assignment.
    9. DRG Refinements
        For several years, we have been analyzing major refinements to the 
    DRG classification system to compensate hospitals more equitably for 
    treating severely ill Medicare patients. These refinements, generally 
    referred to as severity of illness adjustments, would create DRGs 
    specifically for hospital discharges involving very ill patients who 
    consume far more resources than do other patients classified to the 
    same DRGs in the current system. This approach has been taken by 
    various other groups in refining the Medicare DRG system to include 
    severity measurements, most notably the research done for Yale, the 
    changes incorporated by the State of New York into its all patient (AP) 
    DRG system, and the all-patient refined (APR) DRGs, which are a joint 
    effort of 3M/HIS and the National Association of Children's Hospitals 
    and Related Institutions.
        In the May 27, 1994 proposed rule, we announced the availability of 
    a paper we had prepared that describes our preliminary severity DRG 
    classification system as well as the analysis upon which our proposal 
    was formulated.
        Comments were due to HCFA by September 30, 1994. We received 99 
    individual letters commenting on the DRG refinements. Many of the 
    commenters supported the change in theory, but there were numerous 
    specific comments on the methodology.
        Our plan was to incorporate comments and suggestions we received 
    and to consider proposing the complete revised DRG system as part of 
    the FY 1996 prospective payment system proposed rule. However, as the 
    final rule published on September 1, 1992 (57 FR 39761) indicated, we 
    would not propose to make significant changes to the DRG classification 
    system unless we are able either to improve our ability to predict 
    coding changes by validating in advance the impact that potential DRG 
    changes may have on coding behavior, or to make methodological changes 
    to prevent building the inflationary effects of the coding changes into 
    future program payments.
        Besides the mandate of section 1886(d)(4)(C)(iii) of the Act, which 
    provides that aggregate payments may not be affected by DRG 
    reclassification and recalibration changes, we do not believe it is 
    prudent policy to make changes for which we cannot predict the effect 
    on the case-mix index and, thus, payments. Our goal is to refine our 
    methodology so that we can fulfill, in the most appropriate manner, 
    both the statutory requirement to make appropriate DRG classification 
    changes and to recalibrate DRG relative weights (as mandated by section 
    1886(d)(4)(C) of the Act) as well as to make DRG changes in a budget 
    neutral manner.
        One approach to this problem would be to maintain the average case 
    weight at 1.0 after recalibration, thereby eliminating the process of 
    normalization. In other words, after recalibration, we would not scale 
    the new relative weights upward to carry forward the cumulative effects 
    of past case-mix increases. We would, instead, make an adjustment or 
    include in the annual update factor a specific allowance for any real 
    case-mix change that occurred during the previous year. This is a 
    relatively simple and straightforward system for preventing the effects 
    of year-to-year increases in the case-mix index from accumulating in 
    the DRG weights and to account for expected changes in coding practice. 
    In addition, we are exploring a means of estimating anticipated case-
    mix change due to changes in coding practice that are a result of DRG 
    classification revisions. (See section VII.E of this preamble for a 
    more detailed description of this process in response to a ProPAC 
    recommendation.) However, since we have not yet resolved these issues, 
    we are unable to propose our refined DRG severity system for FY 1996. 
    We will continue to analyze the comments we received and validate our 
    previous research with later MedPAR data. We remain committed to 
    proposing our revised system as soon as possible.
    
    C. Recalibration of DRG Weights
    
        We are proposing to use the same basic methodology for the FY 1996 
    recalibration as we did for FY 1995. (See the September 1, 1994 final 
    rule (59 FR 45347).) That is, we would recalibrate the weights based on 
    charge data for Medicare discharges. However, we would use the most 
    current charge information available, the FY 1994 MedPAR file, rather 
    than the FY 1993 MedPAR file. The MedPAR file is based on fully-coded 
    diagnostic and surgical procedure data for all Medicare inpatient 
    hospital bills.
        The proposed recalibrated DRG relative weights are constructed from 
    FY 1994 MedPAR data, based on bills received by HCFA through December 
    1994, from all hospitals subject to the prospective payment system and 
    short-term acute care hospitals in waiver States. The FY 1994 MedPAR 
    file includes data for approximately 10.9 million Medicare discharges.
        Although we are using the same basic methodology for recalibration, 
    we are making two revisions which are described below. The methodology 
    used to calculate the proposed DRG relative weights from the FY 1994 
    MEDPAR file is as follows:
         To the extent possible, all the claims were regrouped 
    using the proposed DRG classification revisions discussed above in 
    section II.B of this preamble. As noted in section II.B.4, due to the 
    unavailability of revised GROUPER software, we simulate most major 
    classification changes to approximate the placement of cases under the 
    proposed reclassification. However, there are some changes that cannot 
    be modeled.
         Charges were standardized to remove the effects of 
    differences in area wage levels, indirect medical education costs, 
    disproportionate share payments, and, for hospitals in Alaska and 
    Hawaii, the applicable cost-of-living adjustment.
         The average standardized charge per DRG was calculated by 
    summing the standardized charges for all cases in the DRG and dividing 
    that amount by the number of cases classified in the DRG.
         We then eliminated statistical outliers. In computing the 
    FY 1995 weights, we eliminated all cases outside of 3.0 standard 
    deviations from the mean of the log distribution of charges per case 
    for each DRG. For the proposed FY 1996 relative weights, we would 
    [[Page 29210]] eliminate a case only if it met the current criterion 
    and was also outside of 3.0 standard deviations from the mean log of 
    distribution of charges per day. We believe that this refinement to the 
    methodology will reduce the risk of eliminating cases with unusually 
    low or high total charges that are nevertheless accurately reported. 
    For example, a case with extremely high charges and a corresponding 
    extremely long length of stay would be less likely to be eliminated 
    under the revised methodology.
         The average charge for each DRG was then recomputed 
    (excluding the statistical outliers) and divided by the national 
    average standardized charge per case to determine the relative weight. 
    The second revision we are making is in the treatment of transfer 
    cases. In the current recalibration methodology, we count transfer 
    cases as full cases. This distorts the average standardized charges, 
    particularly in DRGs with a high percentage of transfer cases, because 
    the charges associated with a transfer case often do not reflect the 
    resources necessary for a complete course of treatment. Therefore, in 
    calculating the proposed FY 1996 relative weights, a transfer case is 
    counted as a fraction of a case based on the ratio of its length of 
    stay to the geometric mean length of stay of the cases assigned to the 
    DRG. That is, a 5-day length of stay transfer case assigned to a DRG 
    with a geometric mean length of stay of 10 days is counted as 0.5 of a 
    total case.
         We established the relative weight for heart and liver 
    transplants (DRGs 103 and 480) in a manner consistent with the 
    methodology for all other DRGs except that the transplant cases that 
    were used to establish the weights were limited to those Medicare-
    approved heart and liver transplant centers that have cases in the FY 
    1994 MedPAR file. (Medicare coverage for heart and liver transplants is 
    limited to those facilities that have received approval from HCFA as 
    transplant centers.) Similarly, we limited the lung transplant cases we 
    used to establish the weight for DRG 495 (Lung Transplant) to those 
    hospitals that are established lung transplant centers. (As discussed 
    in detail in the final notice with comment period of Medicare coverage 
    of lung transplants published in the Federal Register on February 2, 
    1995 (60 FR 6543), payment for lung transplants will not be limited to 
    Medicare-approved facilities until July 31, 1995.)
         Acquisition costs for kidney, heart, liver, and lung 
    transplants continue to be paid on a reasonable cost basis. Unlike 
    other excluded costs, the acquisition costs are concentrated in 
    specific DRGs (DRG 302 (Kidney Transplant); DRG 103 (Heart Transplant); 
    DRG 480 (Liver Transplant); and DRG 495 (Lung Transplant)). Because 
    these costs are paid separately from the prospective payment rate, it 
    is necessary to make an adjustment to prevent the relative weights for 
    these DRGs from including the effect of the acquisition costs. 
    Therefore, we subtracted the acquisition charges from the total charges 
    on each transplant bill that showed acquisition charges before 
    computing the average charge for the DRG and before eliminating 
    statistical outliers.
        When we recalibrated the DRG weights for previous years, we set a 
    threshold of 10 cases as the minimum number of cases required to 
    compute a reasonable weight. We propose to use that same case threshold 
    in recalibrating the DRG weights for FY 1995. Using the FY 1994 MedPAR 
    data set, there are 37 DRGs that contain fewer than 10 cases. As we 
    discuss in detail in section II.B.3 of this preamble, we computed the 
    weight for the 37 low-volume DRGs by using the non-Medicare cases from 
    19 States.
        The weights developed according to the methodology described above, 
    using the proposed DRG classification changes, result in an average 
    case weight that is different from the average case weight before 
    recalibration. Therefore, the new weights are normalized by an 
    adjustment factor, so that the average case weight after recalibration 
    is equal to the average case weight before recalibration. This 
    adjustment is intended to ensure that recalibration by itself neither 
    increases nor decreases total payments under the prospective payment 
    system.
        Section 1886(d)(4)(C)(iii) of the Act requires that beginning with 
    FY 1991, reclassification and recalibration changes be made in a manner 
    that assures that the aggregate payments are neither greater than nor 
    less than the aggregate payments that would have been made without the 
    changes. Although normalization is intended to achieve this effect, 
    equating the average case weight after recalibration to the average 
    case weight before recalibration does not necessarily achieve budget 
    neutrality with respect to aggregate payments to hospitals because 
    payment to hospitals is affected by factors other than average case 
    weight. Therefore, as we have done in past years and as discussed in 
    section II.A.4.b of the Addendum to this proposed rule, we are 
    proposing to make a budget neutrality adjustment to assure that the 
    requirement of section 1886(d)(4)(C)(iii) of the Act is met.
    
    III. Proposed Changes to the Hospital Wage Index
    
    A. Background
    
        Section 1886(d)(3)(E) of the Act requires that, as part of the 
    methodology for determining prospective payments to hospitals, the 
    Secretary must adjust the standardized amounts ``for area differences 
    in hospital wage levels by a factor (established by the Secretary) 
    reflecting the relative hospital wage level in the geographic area of 
    the hospital compared to the national average hospital wage level.'' In 
    accordance with the broad discretion conferred by this provision, we 
    currently define hospital labor market areas based on the definitions 
    of Metropolitan Statistical Areas (MSAs) issued by the Office of 
    Management and Budget (OMB). In addition, as discussed below, we adjust 
    the wage index to take into account the geographic reclassification of 
    hospitals in accordance with sections 1886(d)(8)(B) and 1886(d)(10) of 
    the Act.
        Section 1886(d)(3)(E) of the Act also requires that the wage index 
    be updated annually beginning October 1, 1993. This section further 
    provides that the Secretary base the update on a survey of wages and 
    wage-related costs of short-term, acute care hospitals. The survey 
    should measure, to the extent feasible, the earnings and paid hours of 
    employment by occupational category and must exclude data with respect 
    to the wages and wage-related costs incurred in furnishing skilled 
    nursing services.
        For determining prospective payments to hospitals in FY 1995, the 
    wage index is based on the data collected from the Medicare cost 
    reports submitted by short-term, acute care hospitals for cost 
    reporting periods beginning in FY 1991 (that is, cost reporting periods 
    beginning on or after October 1, 1990 and before October 1, 1991). The 
    FY 1995 wage index includes wages and salaries paid by a hospital, home 
    office salaries, fringe benefits, and certain contract labor costs. The 
    FY 1995 computation for the wage index excludes salaries and wages 
    associated with nonhospital-type services, such as skilled nursing 
    facility services, home health agency services, or other subprovider 
    components that are not subject to the prospective payment system.
        As discussed in detail below, we are proposing to use updated wage 
    data to construct the wage index as required by section 1886(d)(3)(E) 
    of the Act. The FY [[Page 29211]] 1996 wage index would be based on 
    data for hospital cost reporting periods beginning on or after October 
    1, 1991 and before October 1, 1992 (FY 1992).
    
    B. FY 1996 Wage Index Update
    
        We propose to base the FY 1996 wage index, effective for hospital 
    discharges occurring on or after October 1, 1995 and before October 1, 
    1996, on the data collected from the Medicare cost report (Worksheet S-
    3, Part II) submitted by hospitals for cost reporting periods beginning 
    in FY 1992.
        We propose to use all of the categories of data collected from 
    Worksheet S-3, Part II. Therefore, the proposed FY 1996 wage index 
    reflects the following:
         Total short-term, acute care hospital salaries and hours.
         Home office costs and hours.
         Fringe benefits associated with hospital and home office 
    salaries.
         Direct patient care related contract labor cost and hours.
         The exclusion of salaries and hours for nonhospital type 
    services such as skilled nursing facility services, home health 
    services, or other subprovider components that are not subject to the 
    prospective payment system.
    1. Verification of Wage Data From the Medicare Cost Report
        The data for the proposed FY 1996 wage index were obtained from 
    Worksheet S-3, Part II, of the HCFA-2552 form submitted by short-term, 
    acute care hospitals for cost reporting periods beginning during FY 
    1992. The wage data are reported electronically to HCFA through the 
    Hospital Cost Report Information System (HCRIS). As in past years, we 
    initiated an intensive review of the wage data submitted by hospitals 
    and made numerous edits to ensure quality and accuracy. Medicare 
    intermediaries were instructed to transmit any revisions in wage data 
    made as a result of this review through HCRIS by early January 1995.
        We then subjected the revised cost report data to several edit 
    checks. Of the 5,304 hospitals in the data base, 3,274 hospitals had 
    data elements that failed an edit. Five of these involved mathematical 
    errors and have been resolved. The other edit failures involved data 
    that appeared unusual and had to be verified by the intermediary. Only 
    57 hospitals have data elements that were unresolved as of March 21, 
    1995. Most of the unresolved data elements fall outside established 
    edit parameters and require verification by the intermediary. We 
    deleted seven hospitals from the database because they had extremely 
    high fringe benefit to salary ratios, and the intermediary was unable 
    to provide documentation to substantiate the fringe benefit amount. We 
    will continue to try to resolve these problems so that these seven 
    hospitals can be included in the data used to establish the final wage 
    index.
        The wage file used to construct the proposed wage index includes 
    data obtained in late January 1995 from the HCRIS data base and 
    subsequent changes we received from intermediaries through March 21, 
    1995. We have instructed the intermediaries to complete their 
    verification of questionable data elements and to transmit any changes 
    to the wage data, through HCRIS, no later than June 15, 1995. We expect 
    that all outstanding data elements will be resolved by that date and 
    that the revised data will be reflected in the final rule.
        Following a procedure initiated last year with the proposed FY 1995 
    wage index, to allow hospitals more time to evaluate the wage data used 
    to construct the proposed hospital wage index, we made available to the 
    public a diskette containing the raw hospital wage data that were used 
    to construct the proposed FY 1996 wage index. In a memorandum dated 
    February 28, 1995, we instructed all fiscal intermediaries to inform 
    the prospective payment hospitals they serve that the FY 1992 data 
    diskette would be available approximately mid-March 1995. The fiscal 
    intermediaries were also instructed to advise hospitals of the 
    availability of the data either through their representative hospital 
    organizations or directly from HCFA using order forms provided to them. 
    Additional details on the cost and ordering of this data file are 
    discussed below in section VIII.B of this preamble, Requests for Data 
    from the Public.
        In addition, we note that Table 3C in the Addendum to this proposed 
    rule contains each hospital's inflated average hourly wage used to 
    construct the proposed wage index values. By dividing the hourly wage 
    by the applicable inflation factors (set forth below in section 
    III.B.3. of this preamble), a hospital can determine its uninflated 
    average hourly wage as reflected in the proposed wage index. A 
    corresponding table will also be included in the final rule. If, based 
    on its review of the data on the diskette or in Table 3C, a hospital 
    believes that there is a problem with its wage data, the hospital 
    should immediately contact its intermediary as discussed below.
    2. Requests for Wage Data Corrections
        As noted above, we will use cost report data from FY 1992 (that is, 
    cost reporting periods beginning on or after October 1, 1991 and before 
    October 1, 1992) for the FY 1996 update to the wage index. We believe 
    hospitals have had ample time to ensure the accuracy of their FY 1992 
    wage data. Moreover, the ultimate responsibility for accurately 
    completing the cost report rests with the hospital, which must attest 
    to the accuracy of the data at the time the cost report is filed. 
    However, if after review of the diskette or Table 3C, a hospital 
    believes that its FY 1992 wage data have been incorrectly reported, the 
    hospital must submit corrections along with complete supporting 
    documentation to its intermediary in time to allow for review, 
    verification, and transmission of the data before the development of 
    the final wage index.
        In the February 28 memorandum to the intermediaries, we indicated 
    that, to allow sufficient time to process any changes, a hospital must 
    submit requests for corrections to its fiscal intermediary by May 15, 
    1995. Requests were to include all documentation necessary to support 
    the requested change. To be reflected in the final wage index, any wage 
    data corrections must be reviewed by the intermediary and transmitted 
    to HCFA through HCRIS on or before June 15, 1995. These deadlines, 
    which correspond to the deadlines we used last year for the FY 1995 
    wage index, are necessary to allow sufficient time to review and 
    process the data so that the final wage index calculation can be 
    completed for development of the final prospective payment rates to be 
    published by September 1, 1995. We cannot guarantee that corrections 
    transmitted to HCFA after June 15, 1995, will be reflected in the final 
    wage index.
        After reviewing requested changes submitted by hospitals, 
    intermediaries will transmit any revised cost reports to HCRIS and 
    forward a copy of the revised Worksheet S-3, Part II to the hospitals. 
    If requested changes are not accepted, fiscal intermediaries will 
    notify hospitals in writing of reasons why the changes were not 
    accepted. This procedure will ensure that hospitals have an opportunity 
    to verify the data that will be used to construct their wage index 
    values. We believe that fiscal intermediaries are generally in the best 
    position to make evaluations regarding the appropriateness of a 
    particular cost and whether it should be included in the wage index 
    data. However, if a hospital disagrees with the intermediary's 
    resolution of a requested change, the hospital may contact HCFA in an 
    effort to resolve the dispute. We note that the June 15 deadline also 
    applies to these requested changes. [[Page 29212]] 
        We have created the process described above to resolve all 
    substantive wage data correction disputes before we finalize the raw 
    wage data for the FY 1996 payment rates. Accordingly, hospitals that do 
    not meet the procedural deadlines set forth above will not be afforded 
    a later opportunity to submit wage corrections or to dispute the 
    intermediary's decision with respect to requested changes. We intend to 
    make a diskette available in mid-August that will contain the finalized 
    raw wage data that will be used to construct the wage index values in 
    the final rule. As with the diskette made available in March 1995, HCFA 
    will make the August diskette available to hospital associations and 
    the public. This August diskette, however, is being made available only 
    for the limited purpose of identifying any potential errors made by 
    HCFA or the intermediary in the entry of the final wage data that 
    result from the process described above, not for the initiation of new 
    wage data correction requests. Hospitals are encouraged to review their 
    hospital wage data promptly after the release of the second diskette.
        If, after reviewing the August diskette, a hospital believes that 
    its wage data are incorrect due to a fiscal intermediary or HCFA error 
    in the entry or tabulation of the final wage data, it should send a 
    letter to both its fiscal intermediary and HCFA. The letters to the 
    intermediary and HCFA should outline why the hospital believes an error 
    exists. These requests must be received by HCFA no later than September 
    21, 1995 to allow inclusion in the wage index values effective October 
    1, 1995. Requests should be sent to: Office of Hospital Policy; 
    Attention: Nancy Edwards, Director; Division of Prospective Payment 
    System; Central 5-02-17; 7500 Security Boulevard; Baltimore, Maryland 
    21244-1850. The intermediary will review requests upon receipt, and, if 
    it is determined that an intermediary or HCFA error exists, the fiscal 
    intermediary will notify HCFA immediately.
        As indicated above, after mid-August, we will make changes to the 
    hospital wage data only in those very limited situations involving an 
    error by the intermediary or HCFA that the hospital could not have 
    known about before its review of the August diskette. Specifically, 
    neither the intermediary nor HCFA will accept the following types of 
    requests in conjunction with this mid-August process: requests for wage 
    data corrections that were submitted too late to be included in the 
    data transmitted to the HCRIS system on or before June 15, 1995; 
    requests for correction of errors made by the hospital that were not, 
    but could have been, identified during the hospital's review of the 
    March 1995 data; or requests to revisit factual determinations or 
    policy interpretations made by the intermediary or HCFA during the wage 
    data correction process. Verified corrections to the wage index made as 
    a result of an intermediary or HCFA error received timely (that is, by 
    September 21, 1995) will be effective October 1, 1995.
        We believe the wage data correction process described above 
    provides hospitals with sufficient opportunity to bring errors made 
    during the preparation of Worksheet S-3 to the intermediary's 
    attention. Moreover, because hospitals will have access to the raw wage 
    data in mid-August, they will have the opportunity to detect any data 
    entry or tabulation errors made by the intermediary or HCFA before the 
    implementation of the prospective payment rates on October 1. We 
    believe that if hospitals avail themselves of this opportunity, the 
    wage index implemented on October 1 should be free of such errors. 
    Nevertheless, in the unlikely event that such errors should occur, we 
    retain the right to make midyear changes to the wage index under very 
    limited circumstances.
        Specifically, in accordance with Sec. 412.63(s)(2), we may make 
    midyear corrections to the wage index only in those limited 
    circumstances where a hospital can show: (1) That the intermediary or 
    HCFA made an error in tabulating its data, and (2) that the hospital 
    could not have known about the error, or did not have an opportunity to 
    correct the error, before the beginning of FY 1996 (that is, by the 
    September 21, 1995 deadline). As indicated earlier, since a hospital 
    will have the opportunity to verify its data, and the intermediary will 
    notify the hospital of any changes, we do not foresee any specific 
    circumstances under which midyear corrections would be made. However, 
    should a midyear correction be necessary, the wage index change for the 
    affected area will be made prospectively from the date the correction 
    is made.
        It has been our longstanding policy to make midyear revisions to 
    wage index data prospectively only (see, for example, 49 FR 258 (Jan. 
    3, 1984); 54 FR 36,478 (Sept. 1, 1989)), and we continue to believe 
    that, to the extent that midyear wage data revisions are appropriate, 
    those revisions should be made prospectively only. Some hospitals whose 
    requests for wage data revisions have been denied by HCFA have sought 
    relief in the Federal courts. While no court has yet reversed a HCFA 
    decision denying a hospital's wage data revision request, these cases 
    have the potential to present the question of what effect we would give 
    to such a final judicial decision.
        Because we have not previously addressed this question in any 
    rulemaking, we now propose to clarify our position regarding the 
    temporal effect of a final judicial decision reversing a HCFA denial of 
    a hospital's request for a wage data revision. We propose to add a new 
    Sec. 412.63(s)(5) to give such a decision limited retroactive effect. 
    If a final judicial decision reverses a HCFA denial of a hospital's 
    wage data revision request, we propose to treat the hospital as if 
    HCFA's decision on the hospital's wage data revision request had been 
    favorable rather than unfavorable. HCFA would pay the hospital by 
    applying a revised wage index that reflects the revised wage data at 
    issue. The revised wage data would not be considered for purposes of 
    revisiting past adjudications of requests for geographic 
    reclassification under section 1886(d)(10) of the Act. Under the 
    statutory scheme established by Congress, decisions on applications for 
    MGCRB reclassification must be finalized prior to the Federal fiscal 
    year for which the reclassifications would take effect.
        In some Federal fiscal years, wage data revision requests were 
    initially reviewed by the intermediaries and forwarded to HCFA's Office 
    of Hospital Policy (or the former Office of Payment Policy) for a 
    determination of whether a revision should be made. In other years, the 
    intermediaries themselves have made determinations on wage data 
    revision requests. The latter is our current policy. Therefore, in the 
    foregoing discussion, the phrases ``HCFA denial of a hospital's wage 
    data revision request'' and ``HCFA decision on the hospital's wage data 
    revision request'' mean the decision by either HCFA's Office of 
    Hospital Policy or the intermediary denying a hospital's request for a 
    wage data revision.
        We considered proposing to apply a strict policy of prospectivity 
    to final judicial decisions reversing HCFA denials of wage data 
    revision requests--that is, adopting a policy to apply such judicial 
    decisions prospectively from the date they are made. While we continue 
    to believe that prospective-only changes are most appropriate under a 
    prospective rate-setting system such as the hospital inpatient 
    prospective payment system, we also recognize that hospitals have 
    sought, and will continue to seek, judicial [[Page 29213]] review of 
    unfavorable HCFA decisions on hospitals' requests for wage data 
    revisions. Applying a policy of strict prospectivity to final judicial 
    decisions reversing HCFA denials of wage data revision requests might 
    be viewed, in some cases, as frustrating the purpose of judicial 
    review, since such a decision might not be made until after the close 
    of the fiscal year or years at issue. Therefore, on balance, we believe 
    the better policy is the one we are currently proposing, under which we 
    would give effect to a final judicial decision reversing a HCFA denial 
    of a hospital's wage data revision request by applying a revised wage 
    index that reflects the revised wage data as if HCFA's decision had 
    been favorable rather than unfavorable.
    3. Computation of the Wage Index
        As noted above, we are proposing to base the FY 1996 wage index on 
    wage data reported on the FY 1992 cost report. The proposed wage index 
    is based on data from 5,238 hospitals paid under the prospective 
    payment system and short-term, acute care hospitals in waiver States. 
    The method used to compute the proposed wage index is as follows:
        Step 1--We gathered data from each of the non-Federal short-term, 
    acute care hospitals for which data were reported on the Worksheet S-3, 
    Part II of the Medicare cost report for the hospital's cost reporting 
    periods beginning on or after October 1, 1991, and before October 1, 
    1992. Each hospital was assigned to its appropriate urban or rural area 
    prior to any reclassifications under section 1886(d)(8) or 1886(d)(10) 
    of the Act. In addition, we included data from a few hospitals that had 
    cost reporting periods beginning in September 1991 and had reported a 
    cost reporting period exceeding 52 weeks. The data were included 
    because no other data from these hospitals would be available for the 
    cost reporting period described above, and particular labor market 
    areas might be affected due to the omission of these hospitals. 
    However, we generally describe these wage data as FY 1992 data.
        Step 2--For each hospital, we subtracted the excluded salaries 
    (that is, direct salaries attributable to skilled nursing facility 
    services, home health services, and other subprovider components not 
    subject to the prospective payment system) from gross hospital salaries 
    to determine net hospital salaries. To the net hospital salaries, we 
    added hospital contract labor costs, hospital fringe benefits, and any 
    home office salaries and fringe benefits reported by the hospital to 
    determine total salaries plus fringe benefits.
        Step 3--For each hospital, we inflated or deflated, as appropriate, 
    the total salaries plus fringe benefits resulting from Step 2 to a 
    common period to determine total adjusted salaries. To make the wage 
    inflation adjustment, we used the percentage change in average hourly 
    earnings for each 30-day increment from October 14, 1991 through 
    September 15, 1993, for hospital industry workers from Standard 
    Industry Classification 806, Bureau of Labor Statistics Employment and 
    Earnings Bulletin. The annual inflation rates used were 5.6 percent for 
    FY 1991, 4.8 percent for FY 1992, and 3.6 percent for FY 1993. The 
    inflation factors used to inflate the hospital's data were based on the 
    midpoint of the cost reporting period as indicated below.
    
                        Midpoint of Cost Reporting Period                   
    ------------------------------------------------------------------------
                                                                Adjustment  
                      After                       Before          factor    
    ------------------------------------------------------------------------
    10/14/91................................        11/15/91        1.059411
    11/14/91................................        12/15/91        1.055280
    12/14/91................................        01/15/92        1.051165
    01/14/92................................        02/15/92        1.047066
    02/14/92................................        03/15/92        1.042983
    03/14/92................................        04/15/92        1.038916
    04/14/92................................        05/15/92        1.034865
    05/14/92................................        06/15/92        1.030830
    06/14/92................................        07/15/92        1.026810
    07/14/92................................        08/15/92        1.022806
    08/14/92................................        09/15/92        1.018818
    09/14/92................................        10/15/92        1.014845
    10/14/92................................        11/15/92        1.011859
    11/14/92................................        12/15/92        1.008881
    12/14/92................................        01/15/93        1.005912
    01/14/93................................        02/15/93        1.002952
    02/14/93................................        03/15/93        1.000000
    03/14/93................................        04/15/93        0.997057
    04/14/93................................        05/15/93        0.994123
    05/14/93................................        06/15/93        0.991197
    06/14/93................................        07/15/93        0.988280
    07/14/93................................        08/15/93        0.985372
    08/14/93................................        09/15/93        0.982472
    ------------------------------------------------------------------------
    
    For example, the midpoint of a cost reporting period beginning January 
    1, 1992 and ending December 31, 1992 is June 30, 1992. An inflation 
    adjustment factor of 1.026810 would be applied to the wages of a 
    hospital with such a cost reporting period. In addition, for the data 
    for any cost reporting period that began in FY 1992 and covers a period 
    of less than 360 days or greater than 370 days, we annualized the data 
    to reflect a 1-year cost report. Annualization is accomplished by 
    dividing the data by the number of days in the cost report and then 
    multiplying the results by 365.
        Step 4--For each hospital, we subtracted the reported excluded 
    hours from the gross hospital hours to determine net hospital hours. We 
    increased the net hours by the addition of any reported contract labor 
    hours and home office hours to determine total hours.
        Step 5--As part of our editing process, we deleted data for 59 
    hospitals for which we lacked sufficient documentation to verify data 
    that failed [[Page 29214]] edits because the hospitals are no longer 
    participating in the Medicare program or are in bankruptcy status. We 
    retained the data for other hospitals that are no longer participating 
    in the Medicare program because these hospitals contributed to the 
    relative wage levels in their labor market areas during their FY 1992 
    cost reporting period.
        Step 6--Within each urban or rural labor market area, we added the 
    total adjusted salaries plus fringe benefits obtained in Step 3 for all 
    hospitals in that area to determine the total adjusted salaries plus 
    fringe benefits for the labor market area.
        Step 7--We divided the total adjusted salaries plus fringe benefits 
    obtained in Step 6 by the sum of the total hours (from Step 4) for all 
    hospitals in each labor market area to determine an average hourly wage 
    for the area.
        Step 8--We added the total adjusted salaries plus fringe benefits 
    obtained in Step 3 for all hospitals in the nation and then divided the 
    sum by the national sum of total hours from Step 4 to arrive at a 
    national average hourly wage. Using the data as described above, the 
    national average hourly wage is $18.8939.
        Step 9--For each urban or rural labor market area, we calculated 
    the hospital wage index value by dividing the area average hourly wage 
    obtained in Step 7 by the national average hourly wage computed in Step 
    8.
    C. Allocation of General Service Salaries and Hours to Areas Excluded 
    From the Wage Index
    
        In constructing the wage index, we exclude the direct wages and 
    hours associated with certain subprovider components of the hospital, 
    such as skilled nursing facilities and home health agencies. The cost 
    reporting form used to collect the FY 1992 wage data also includes 
    within the definition of excluded areas any rehabilitation and 
    psychiatric distinct part units of the hospital that are excluded from 
    the prospective payment system. Thus, the wage index is constructed by 
    including only the direct wages and hours associated with those areas 
    of the hospital subject to the prospective payment systems. However, 
    the general service hours associated with excluded areas are not 
    excluded from the wage index calculation.
        In the May 26, 1993 proposed rule, we discussed our analysis of our 
    first attempt to allocate overhead salaries and hours to areas of the 
    hospital that are excluded from the prospective payment system (58 FR 
    30237). This analysis was prompted by several suggestions from hospital 
    representatives that, in addition to excluding the direct salaries and 
    hours for subprovider components of the hospital, HCFA should also 
    exclude the general service, or overhead, wages and hours that are 
    associated with these areas. For example, we currently include all of 
    the wage costs associated with housekeeping in the wage index data, 
    even if a facility has excluded subprovider components that receive 
    housekeeping services. Because the hours associated with workers in the 
    general service areas of the hospital were not collected in the FY 1990 
    cost reports (the most recent wage data available in 1993), we 
    initiated a special data collection to obtain these data in order to 
    calculate an overhead allocation to excluded areas for the FY 1994 wage 
    index. As we discussed in detail in the May 26, 1993 proposed rule, we 
    identified several problems with the data collected that led us to the 
    conclusion that it would be inappropriate to use the data in allocating 
    the overhead wages and hours. Specifically, there were a large number 
    of hospitals removed due to the edits, a large number of hospitals that 
    experienced significant swings in their average hourly wages when the 
    overhead salaries and hours were allocated, and a large proportion of 
    hospitals whose average hourly wage decreased as a result of the 
    allocation (58 FR 30237-30238). Thus, we did not allocate general 
    service salaries and hours to the excluded areas of hospitals in 
    calculating the FY 1994 wage index.
        In the September 1, 1993 final rule, we indicated that we would 
    revisit this issue when the data for cost reporting periods beginning 
    in FY 1992 became available (58 FR 46298). We stated that the overhead 
    allocation performed with data from the 1992 cost reports would be more 
    accurate because the overhead salaries and hours would be determined at 
    the same time. We believed that the retroactive determination of 
    overhead hours for the FY 1990 cost reports may have caused some of the 
    problems with the data. We stated that the FY 1992 cost report might 
    allow a more accurate allocation since both overhead salaries and 
    overhead hours would be directly reported on the Worksheet S-3.
        In calculating the FY 1996 wage index, we are using data for cost 
    reporting periods beginning in FY 1992. We received general service 
    hour data for 4,356 of the 4,441 hospitals that reported excluded 
    salaries. We analyzed these data to determine whether we could 
    reasonably allocate the overhead wages and hours to the excluded areas 
    of the hospital. First, we determined the total general service wages 
    (including fringe benefits) from Worksheet A of the cost report. We 
    then developed a ratio of total indirect costs (net of capital costs) 
    allocated to the excluded areas of the hospital to total noncapital 
    general service costs (using Worksheet B, Parts I, II, and III from the 
    cost report). We call this the ``indirect cost ratio.'' We computed the 
    general service salaries and hours allocated to the excluded areas by 
    multiplying the indirect cost ratio by the total general service 
    salaries and by the total general service hours reported by the 
    hospital on the cost report. For example, if 10 percent of a hospital's 
    total indirect costs were allocated to excluded areas, we allocated 10 
    percent of its overhead salaries and 10 percent of its overhead hours 
    to the excluded areas.
        We analyzed the results of the general service allocation to remove 
    any clearly incorrect or distorted allocations. We began by performing 
    preliminary data edits. We eliminated 20 hospitals with allocated 
    salaries or hours greater than the total salaries or hours reported on 
    the cost report (after adjustment for the excluded areas of the 
    hospital). We then analyzed the data for the remaining 4,336 hospitals 
    in order to remove any obviously incorrect allocations. Two hospitals 
    had general service average hourly wages below $5.00. Considering the 
    Federal minimum wage of $4.25, we believe this indicates an obvious 
    error in reporting the hours or salaries. We also eliminated the 
    allocation for eight hospitals with a general service average hourly 
    wage of $100 per hour or greater.
        The next edit we performed was based on a comparison of the 
    indirect cost ratio and the ratio of excluded hours (as reported on the 
    cost report) to total hours (including excluded hours). We reasoned 
    that the allocation was probably erroneous if the indirect cost ratio 
    was extraordinarily high, unless there was also a large proportion of 
    the hospital's total hours reported in excluded areas of the hospital. 
    As a result, we eliminated allocations for 58 hospitals that had 
    indirect cost ratios more than 3 standard deviations above the mean 
    (that is, above 0.589986) but hour ratios less than 3 standard 
    deviations above the mean (0.445800).
        After completing the above edits, we eliminated the allocation for 
    48 hospitals whose general service average hourly wage was more than 3 
    standard deviations above the mean for the remaining hospitals, or 
    above $36.75. Finally, we eliminated the allocation for 21 hospitals 
    for which the percentage difference between their pre-allocation 
    average hourly wage and their general service average hourly wage was 
    more than 3 standard deviations from the mean (if the difference was 
    greater than [[Page 29215]] 66.62 percent or less than -88.24 percent, 
    we eliminated the allocation). These edits eliminated the most extreme 
    and inexplicable general service allocations.
        After we completed the above edits, 4,199 hospitals still had 
    overhead allocations. Of these, 71 percent (2,978) had average hourly 
    wages that were lower after the overhead allocation was made to the 
    excluded areas. The average difference between the pre- and post-
    allocation average hourly wage was -0.14 percent. Eighty-six hospitals 
    had a percentage change of more than 10 percent in their average hourly 
    wage, of which 45 were decreases. An additional 158 hospitals had a 
    percentage change of between 5 and 10 percent, of which 104 were 
    decreases. Thirty-seven of 49 rural labor market areas would experience 
    decreases in their wage index value if we performed the allocation, 
    while 195 of 317 urban areas would experience decreases. The average 
    wage index value for all hospitals would decrease 0.08 percentage 
    points if we performed the overhead allocation.
        Thus, we again conclude that it would not be appropriate to perform 
    the allocation of overhead salaries and hours to excluded areas of the 
    hospital in computing the wage index. The data still have the same 
    variations that were prevalent when we declined to use this methodology 
    in the proposed rule for FY 1994: Many hospitals were removed due to 
    the edits, many have large swings in their average hourly wages, and 
    many more hospitals' average hourly wages would decrease as a result of 
    the allocation than would increase, particularly for rural hospitals.
        As we noted in the September 1, 1993 final rule (58 FR 46297), if 
    these allocations are accurate, it would mean that for the majority of 
    hospitals with excluded areas, the average hourly wage for the overhead 
    areas (such as laundry and housekeeping) is higher than that for 
    patient care areas (such as nursing). We do not believe that this could 
    be the case for such a large number of hospitals, and we have therefore 
    concluded that the reported data regarding overhead hours are 
    inaccurate. As a result, we have decided not to employ the allocation 
    of general service salaries and hours to excluded areas of the hospital 
    in constructing the FY 1996 wage index.
        We note that hospital representatives that support the allocation 
    of overhead salaries to excluded areas do so because they believe that, 
    for those hospitals with excluded areas, the current average hourly 
    wage is artificially weighted downward (see the September 1, 1994 final 
    rule (59 FR 45359)). They believe that the current methodology, which 
    removes the higher nursing costs in excluded areas from the hospital's 
    direct salaries, but leaves in the lower general services salaries, 
    distorts wages downward. The reported data, however, are not consistent 
    with this concern.
        While we continue to believe that an allocation of overhead 
    salaries and hours to the excluded subprovider components may be 
    appropriate, it would not benefit the hospital industry or the Medicare 
    program to implement an allocation that is not reliable. Clearly, the 
    overhead hours reported by many hospitals did not accurately reflect 
    the salaries reported. In addition, we realize that the allocation 
    method described above may not necessarily be the most accurate method 
    to make this allocation. We invite public comment concerning 
    alternative methods that might produce a more accurate and uniform 
    allocation method and at the same time impose little or no additional 
    reporting burden on the hospital industry. Commenters should note that, 
    under any acceptable allocation method, we would require that the 
    method be used by all hospitals with excluded areas and that the 
    intermediary be able to verify the accuracy of the reported data.
        The cost report effective for FY 1995 (that is for cost reporting 
    periods that begin on or after October 1, 1994 and before October 1, 
    1995) will collect overhead data, both paid hours and the related 
    salaries, by general service area. These data will be used to construct 
    the wage index for FY 1999. We propose to reevaluate an allocation of 
    overhead salaries and hours to excluded areas of the hospital once the 
    data from this new cost report are available or possibly earlier if we 
    receive comments or suggestions from the public or otherwise determine 
    alternative methods to better allocate overhead salaries.
    
    D. Revisions to the Wage Index Based on Hospital Redesignation
    
        Under section 1886(d)(8)(B) of the Act, hospitals in certain rural 
    counties adjacent to one or more Metropolitan Statistical Areas (MSAs) 
    are considered to be located in one of the adjacent MSAs if certain 
    standards are met. Under section 1886(d)(10) of the Act, the Medicare 
    Geographic Classification Review Board (MGCRB) considers applications 
    by hospitals for geographic reclassification for purposes of payment 
    under the prospective payment system.
        The methodology for determining the wage index values for 
    redesignated hospitals is applied jointly to the hospitals located in 
    those rural counties that were deemed urban under section 1886(d)(8)(B) 
    of the Act and those hospitals that were reclassified as a result of 
    the MGCRB decisions under section 1886(d)(10) of the Act. Section 
    1886(d)(8)(C) of the Act provides that the application of the wage 
    index to redesignated hospitals is dependent on the hypothetical impact 
    that the wage data from these hospitals would have on the wage index 
    value for the area to which they have been redesignated. Therefore, 
    pursuant to section 1886(d)(8)(C) of the Act, the wage index values 
    were determined by considering the following:
         If including the wage data for the redesignated hospitals 
    reduces the MSA wage index value by 1 percentage point or less, the MSA 
    wage index value determined exclusive of the wage data for the 
    redesignated hospitals applies to the redesignated hospitals.
         If including the wage data for the redesignated hospitals 
    reduces the wage index value for the area to which the hospitals are 
    redesignated by more than 1 percentage point, the hospitals that are 
    redesignated are subject to the wage index value of the area that 
    results from including the wage data of the redesignated hospitals (the 
    ``combined'' wage index value). However, the wage index value for the 
    redesignated hospitals cannot be reduced below the wage index value for 
    the rural areas of the State in which the hospitals are located.
         Rural areas whose wage index values would be reduced by 
    excluding the data for hospitals that have been redesignated to another 
    area continue to have their wage index calculated as if no 
    redesignation had occurred. Those rural areas whose wage index value 
    increases as a result of excluding the wage data for the hospitals that 
    have been redesignated to another area have their wage index calculated 
    exclusive of the redesignated hospitals.
         The wage index value for an urban area is calculated 
    exclusive of the wage data for hospitals that have been reclassified to 
    another area. However, geographic reclassification may not reduce the 
    wage index for an urban area below the Statewide rural average, 
    provided the wage index prior to reclassification was greater than the 
    Statewide rural wage index value.
         A change in classification of hospitals from one area to 
    another may not result in the reduction in the wage index for any urban 
    area whose wage index is below the rural wage index for the State. This 
    provision also applies to any urban area that encompasses an entire 
    State.
        We note that, except for those rural areas where redesignation 
    would reduce [[Page 29216]] the rural wage index value, and for urban 
    areas whose wage index values are already below the rural wage index 
    and would be reduced by redesignations, the wage index value for each 
    area is computed exclusive of the data for hospitals that have been 
    redesignated from the area for purposes of their wage index. As a 
    result, several MSAs listed in Table 4a have no hospitals remaining in 
    the MSA. This is because all the hospitals originally in these MSAs 
    have been reclassified to another area by the MGCRB. For those areas, 
    we have listed the Statewide rural wage index value.
        The proposed revised wage index values for FY 1996 are shown in 
    Tables 4a, 4b, and 4c of the addendum to this proposed rule. Hospitals 
    that are redesignated should use the wage index values shown in Table 
    4c. For some areas, more than one wage index value will be shown in 
    Table 4c. This occurs when hospitals from more than one State are 
    included in the group of redesignated hospitals, and one State has a 
    higher Statewide rural wage index value than the wage index value 
    otherwise applicable to the redesignated hospitals. Tables 4d and 4e 
    list the average hourly wage for each labor market area based on the FY 
    1992 wage data. In addition, as discussed above, we have expanded Table 
    3C (Hospital Case-Mix Indexes for Discharges) to include the average 
    hourly wage for each hospital based on the FY 1992 data. The MGCRB will 
    use the average hourly wage published in the final rule to evaluate a 
    hospital's application for reclassification, unless that average hourly 
    wage is later revised in accordance with the wage data correction 
    policy described in Sec. 412.63(s)(2). In such cases, the MGCRB will 
    use the most recent revised data used for purposes of the hospital wage 
    index. Hospitals that choose to apply before publication of the final 
    rule can use the proposed wage data in applying to the MGCRB for wage 
    index reclassifications that would be effective for FY 1997. We note 
    that in adjudicating these wage reclassification requests during FY 
    1996, the MGCRB will use the average hourly wages for each hospital and 
    labor market area that are reflected in the final FY 1996 wage index.
        The proposed FY 1996 wage index values incorporate all hospital 
    redesignations for FY 1996. At the time this proposed wage index was 
    constructed, the MGCRB had completed its review. For FY 1996, 436 
    hospitals are redesignated for purposes of the wage index (including 
    hospitals redesignated under both sections 1886(d)(8)(B) and 
    1886(d)(10) of the Act). The number of reclassifications may change 
    because some MGCRB decisions are still under review by the 
    Administrator.
        Any changes to the wage index that result from withdrawals of 
    requests for reclassification, wage index corrections, appeals, and the 
    Administrator's review process will be incorporated into the wage index 
    values published in the final rule. The changes may affect not only the 
    wage index value for specific geographic areas, but also whether 
    redesignated hospitals receive the wage index value for the area to 
    which they are redesignated or a combined wage index that includes the 
    data for both the hospitals already in the area and the redesignated 
    hospitals. Further, the wage index value for the area from which the 
    hospitals are redesignated may be affected.
        Under Sec. 412.273, hospitals that have been reclassified by the 
    MGCRB are permitted to withdraw their applications within 45 days of 
    the publication of this Federal Register document. The request for 
    withdrawal of an application for reclassification that would be 
    effective in FY 1996 must be received by the MGCRB by July 17, 1995. A 
    hospital that requests to withdraw its application may not later 
    request that the MGCRB decision be reinstated.
    
    E. Proposed Changes to the Medicare Geographic Classification Review 
    Board (MGCRB) Guidelines
    
        Under section 1886(d)(10) of the Act, the MGCRB considers 
    applications by hospitals for geographic reclassification for purposes 
    of payment under the prospective payment system. Guidelines concerning 
    the criteria and conditions for hospital reclassification are located 
    at Secs. 412.230 through 412.236. The purpose of these criteria is to 
    provide direction, to both the MGCRB and those hospitals seeking 
    geographic reclassification, with respect to the situations that merit 
    an exception to the rules governing the geographic classification of 
    hospitals under the prospective payment system. As discussed in detail 
    below, we are proposing the following three changes to the MGCRB 
    guidelines:
         Individual hospitals may not be reclassified from rural to 
    other urban areas for purposes of the standardized amount.
         An individual hospital may be reclassified for purposes of 
    the wage index only to an area that has a higher pre-reclassification 
    average hourly wage.
         For group reclassifications either the standardized amount 
    or the pre-reclassification average hourly wage of the area to which 
    the hospitals seek reclassification must be higher than the 
    standardized amount or pre-reclassification average hourly wage, 
    respectively, of the area in which the hospitals are currently located.
        In addition to the changes to the MGCRB guidelines, we propose a 
    minor revision to Sec. 412.266 concerning hospital requests for data 
    from HCFA that are needed to complete applications to the MGCRB.
    1. Limitations on Hospital Reclassification (Secs. 412.230, 412.232, 
    and 412.234)
        a. Elimination of Reclassification from Rural to Other Urban Areas 
    for Purposes of the Standardized Amount. Section 1886(d)(10)(C)(i)(I) 
    of the Act requires the MGCRB to consider applications of hospitals 
    requesting reclassification for purposes of the standardized amount. 
    Section 1886(d)(10)(D)(i)(II) of the Act requires that the MGCRB 
    utilize guidelines published by the Secretary for determining whether 
    the county in which a particular hospital is located should be treated 
    as being a part of a particular MSA. Accordingly, the MGCRB allows 
    reclassifications for purposes of the standardized amount for 
    individual hospitals that meet the guidelines under Sec. 412.230, and 
    for groups of rural and urban hospitals that represent an entire county 
    and that meet the guidelines under Secs. 412.232 and 412.243 
    respectively.
        As required by section 1886(d)(3)(A)(iii) of the Act, effective for 
    discharges occurring on or after October 1, 1994, the average 
    standardized amount for hospitals located in a rural area was made 
    equal to the average standardized amount for hospitals located in other 
    urban areas. The standardized amount effective for those areas is now 
    known as the other standardized amount. Large urban areas continue to 
    receive a separate, higher standardized amount. The effect of this 
    provision is that in FY 1995 or later, hospitals reclassified from 
    rural to other urban areas for purposes of the standardized amount 
    receive no increase in their standardized payment amount, since the two 
    rates are now the same.
        However, we continue to receive applications from individual 
    hospitals seeking to be reclassified from rural to other urban areas 
    for the standardized amount because of certain payment advantages that 
    accompany the urban designation. When an individual 
    [[Page 29217]] hospital reclassifies from a rural to an urban area for 
    purposes of the standardized amount, we consider it urban for all 
    purposes except the wage index. For some rural hospitals, the urban 
    designation enables them to qualify as a disproportionate share 
    hospital (DSH) and to receive special payment adjustments. For other 
    rural hospitals that already qualify for DSH payments, the urban 
    designation qualifies them for a higher adjustment than they would 
    receive as a rural hospital.
        We do not believe that the MGCRB provisions of the law were 
    intended to allow hospitals to be reclassified merely for the purpose 
    of receiving higher DSH payments. Rather, we believe that the intent of 
    the MGCRB legislation was to provide a hospital with the opportunity to 
    receive a more appropriate base payment rate, that is, the standardized 
    amount. Applying to an area with an identical standardized amount does 
    not produce this benefit. Section 1886(d)(10)(C)(i) of the Act states, 
    in part:
    
        ``The [MGCRB] shall consider the application of any subsection 
    (d) hospital requesting that the Secretary change the hospital's 
    geographic classification for purposes of determining for a fiscal 
    year--
        (I) the hospital's average standardized amount under paragraph 
    (2)(D) * * *''
    
        Since the standardized amounts applicable to hospitals in rural 
    areas and other urban areas are now equal, there is no reason to 
    request geographic reclassification from a rural area to an other urban 
    area ``for purposes of * * * the hospital's standardized amount.'' 
    Therefore, we propose to provide under new Sec. 412.230(a)(5)(ii) that 
    a rural hospital may not be reclassified to an other urban area for 
    purposes of the standardized amount. This change would be effective for 
    hospital applications due October 2, 1995, requesting reclassification 
    for FY 1997. (Since October 1 is a Sunday, the MGCRB will accept 
    applications through October 2, 1995.)
        We note that this change would not prevent individual rural 
    hospitals from applying for reclassification to large urban areas, 
    since the standardized amount for large urban areas is greater than 
    that of rural or other urban areas. Also, group applications from all 
    hospitals in a rural county to be reclassified to urban areas would not 
    be affected, since these hospitals are required to meet a different 
    ``metropolitan character'' criterion under Sec. 412.232(b).
        b. Reclassification for Purposes of the Wage Index. Section 
    1886(d)(10)(C)(i)(II) of the Act requires the MGCRB to consider the 
    application of any prospective payment hospital for purposes of 
    changing its applicable wage index. Sections 412.230, 412.232, and 
    412.234 set forth the types of individual and group reclassifications 
    that are currently allowed. An individual rural hospital may reclassify 
    to another rural area or to an urban area. An individual urban hospital 
    may reclassify to another urban area for purposes of the wage index, 
    the standardized amount or both. A rural group may reclassify to an 
    urban area and an urban group may reclassify to another urban area, but 
    only for purposes of both the wage index and the standardized amount.
        We have recently received hospital requests for reclassification to 
    a labor market area with a lower wage index. Although such requests 
    initially would appear illogical, they can result, in some cases, in a 
    hospital gaining reclassification to an area from which all other 
    hospitals have reclassified, that is, to an empty labor market area. 
    Thus, a hospital reclassified to such an area could receive a wage 
    index value based only on its own hourly wages.
        In the June 4, 1991 final rule with comment period, we stated our 
    belief that geographic reclassification should be limited to hospitals 
    that are disadvantaged by their current classification because they 
    compete with hospitals that are located in the geographic area to which 
    they seek reclassification (56 FR 25469). We do not believe it is 
    appropriate for hospitals to seek reclassification to an area with a 
    lower wage index in an effort to use the MGCRB system inequitably.
        Therefore, we are proposing that a hospital that seeks to 
    reclassify for the purpose of the wage index may apply for 
    reclassification only to an area that has a higher pre-reclassified 
    average hourly wage than the pre-reclassified average hourly wage in 
    the hospital's original geographic area. We would revise Secs. 412.230, 
    412.232, and 412.234 to reflect this proposal.
        We recognize that this change could present a problem for hospital 
    group requests for reclassification from a rural or other urban area to 
    a large urban area for purposes of the standardized amount. A group of 
    hospitals seeking to reclassify to a large urban area must apply for 
    both the wage index and the standardized amount. It is possible that 
    the pre-reclassified average hourly wage for the area to which the 
    group seeks reclassification may be lower than the average hourly wage 
    for the group's original area. The same problem could occur if a group 
    seeks to reclassify to an area that has a higher wage index, although 
    the standardized amount is the same (that is, a group of rural 
    hospitals seek to reclassify to an other urban area). Therefore, for 
    group reclassifications, we propose that either the pre-reclassified 
    average hourly wage or the standardized amount of the area to which the 
    hospitals seek reclassification must be higher than the corresponding 
    figure of the area in which the hospitals are located for the group to 
    qualify for reclassification. These revisions would be effective for 
    applications for reclassification due by October 1, 1995, for 
    reclassifications effective October 1, 1996.
        Accordingly, we propose the following changes to the MGCRB 
    guidelines:
         We would specify under new Sec. 412.230(a)(5)(i) that, for 
    purposes of the wage index, a hospital may not be reclassified to an 
    area whose pre-reclassification average hourly wage is lower than the 
    hospital's current pre-reclassification average hourly wage. As noted 
    above, we would provide under Sec. 412.230(a)(5)(ii) that a rural 
    hospital may not be reclassified to an other urban area for purposes of 
    the standardized amount. In addition, we would move the current 
    limitation that a hospital may only be reclassified to one area from 
    Sec. 412.230(a)(1) to new Sec. 412.230(a)(5)(iii).
         We would add a new paragraph (a)(4) to Secs. 412.232 and 
    412.234 to provide that for rural or urban group requests for 
    reclassification, the standardized amount of the area to which the 
    group seeks reclassification must be higher than the group's current 
    standardized amount, or the average hourly wage of the area to which 
    the group seeks reclassification must be higher than the group's 
    current average hourly wage.
    2. Hospital Requests for Wage Data from HCFA
        Currently, regulations at Sec. 412.266 provide that a hospital may 
    request from HCFA certain wage data that are necessary for a complete 
    reclassification application to the MGCRB. The regulations also set 
    forth dates by which HCFA must respond to such requests. Before 1994, 
    hospitals needed to obtain data on average hourly wages directly from 
    HCFA, since the data were not available from any other source. 
    Beginning with the May 27, 1994, proposed rule, we have included the 
    average hourly wage data for each hospital in the proposed and final 
    rules as part of Table 3c. Therefore, hospitals no longer need to 
    contact HCFA to obtain the data necessary to apply for 
    reclassification. Thus, we are proposing [[Page 29218]] to revise 
    Sec. 412.266 to indicate that hospitals are to obtain the necessary 
    data from the Federal Register document.
    3. Elimination of the MGCRB
        As discussed above, under section 1886(d)(10) of the Act, the MGCRB 
    is charged with reviewing and making decisions on hospital requests for 
    geographic reclassification. Since implementation of this process 5 
    years ago, many changes have been made to the criteria that hospitals 
    must meet in order to qualify for reclassification. The majority of 
    these criteria are now objective standards that are easily assessed. 
    However, the MGCRB application process remains essentially unchanged.
        We believe that it may be appropriate to revise the current MGCRB 
    process. That is, we believe that it may now be possible to establish a 
    simplified hospital application process and transfer the Board's 
    decision making authority to HCFA. In general, we believe that this 
    could result in a more efficient system and reduce the paperwork burden 
    to hospitals. However, we would need a change in the current law to 
    accomplish this transfer.
        One area in which it may be possible to make changes if we are 
    granted legislative authority is in the use of more current data. By 
    statute, the MGCRB must issue all of its decisions by March 30 each 
    year, before the final wage data for the upcoming Federal fiscal year 
    are computed. Given the current application and review process, the 
    best data we can use are the previous year's final wage data. If the 
    reclassification system were revised and simplified, then it might be 
    possible to use more current data in making the reclassification 
    decisions. However, this would require a statutory change. We welcome 
    comments on this issue and on how we could simplify the application 
    process.
    F. Alternative Labor Market Areas
    
    1. Background
        Almost from the beginning of the prospective payment system, we 
    have received comments from hospitals and ProPAC questioning the use of 
    MSA-based labor market areas to construct the wage index. In light of 
    these concerns, we have examined a variety of options for revising wage 
    index labor market areas.
        In the May 27, 1994, proposed rule (59 FR 27724), we presented our 
    latest research concerning possible future refinements to the wage 
    index labor market areas. Specifically, we discussed in detail ProPAC's 
    proposal for hospital-specific labor market areas based on each 
    hospital's nearest neighbors, and our research and analysis on 
    alternative labor market areas. We solicited comments on these possible 
    revisions to the labor market areas. In this proposed rule, we will 
    summarize our position with regard to further research into changing 
    labor market areas and summarize the major comments we received in 
    response to last year's proposals.
    2. Summary of Research on Labor Market Areas
        In the May 27, 1994 proposed rule, we described our research on 
    alternative labor market areas including a number of hospital-specific 
    labor market alternatives and the criteria we used to analyze each of 
    the alternatives. We also discussed our belief that even though none of 
    the alternative labor market areas that we studied provided a distinct 
    improvement over the current reclassification wage index, a combination 
    of the current MSA-based system and the ``nearest neighbors'' based 
    system proposed by ProPAC, in which a hospital's wage index is based on 
    its wages and those of the other hospitals closest to it, might have 
    considerable potential for improving the wage index.
        We presented an option using the current MSA-based system but 
    generally giving a hospital's own wages a higher weight than under the 
    current system. Under this approach, the wage index of each hospital 
    would be based on a weighted average of that hospital's own average 
    hourly wages and the average hourly wages of other hospitals in its 
    labor market area (either an MSA or Statewide rural area).
        We considered two alternative wage indexes. The first, known as 
    ``M25'' or ``minimum 25,'' placed a minimum 25 percent (.25) weight on 
    each hospital's own average hourly wage and a 75 percent weight (.75) 
    on the average hourly wage of the other hospitals in each hospital's 
    MSA or Statewide rural area. If a hospital's data already represented 
    more than 25 percent of the hours in its labor market area, that higher 
    percent was used instead in calculating the hospital's weighted average 
    hourly wage. The resulting weighted average hourly wage was divided by 
    the national average hourly wage to obtain each hospital's wage index 
    value. The second wage index, known as ``M50'' or ``Minimum 50,'' 
    differs from the first alternative only in that a minimum 50 percent 
    weight is given to the hospital's own average hourly wage, instead of a 
    minimum 25 percent. We refer to these as the M25/50 labor market 
    classification options.
        However, we recognized that in some cases a hospital's immediate 
    labor market area as defined under a ``nearest neighbor'' approach 
    could be more representative of its true labor market area than an MSA-
    based labor market area. To address such situations, we described a 
    mechanism that would essentially provide a hospital with an alternative 
    wage index derived entirely or in part from its nearest neighbors labor 
    market. We presented two methods for reclassification, a ``simple'' 
    method and a ``refined'' method. Both methods utilized the two wage 
    indexes described above and like the current MGCRB reclassification 
    system, also required a hospital's own wages to exceed certain 
    thresholds to meet eligibility. Under the simple reclassification 
    methodology, if a hospital's wages met certain thresholds, the average 
    hourly wage of that hospital's 10 nearest neighbors would be 
    substituted for the MSA or statewide rural average hourly wage in 
    calculating the numerator of that hospital's wage index. Under the 
    refined reclassification methodology, if certain tests were met, in 
    addition to using the neighboring hospitals' average hourly wages in 
    computing a hospital's wage index, the hospital's hours percentage in 
    its nearest neighbors' labor market area would also be substituted for 
    the weight that would otherwise be used. For example, if a hospital's 
    wages made up 80 percent of all hospital wages in its nearest 
    neighbors' labor market area, then the hospital would receive that 
    weight (.80) in computing its wage index.
        We also described for comment a State labor market option (SLMO) 
    under which hospitals would be allowed to design labor market areas 
    within their own State boundaries. We specified that aggregate payments 
    to hospitals participating in the SLMO must be budget neutral; that is, 
    the payments could be no higher than they otherwise would have been in 
    the absence of the SLMO. We discussed options for applying the budget 
    neutrality adjustment and a number of issues that would have to be 
    resolved before a SLMO could be instituted. Among these issues were how 
    to determine when a SLMO should be approved for a particular area. We 
    asked for comment on whether unanimous support from all of the 
    hospitals participating should be required, or whether it would be 
    sufficient to obtain support from only a specific percentage of the 
    covered hospitals. [[Page 29219]] 
    3. Summary of Comments on Labor Market Areas
        We received 74 comments on our labor market alternatives. These 
    comments were from individual hospitals, national, State and local 
    hospital associations, hospital consultant groups and ProPAC. Of the 
    individual comments received, 27 were from New York hospitals and the 
    rest were relatively evenly distributed around the country.
        Many of the commenters limited their comments to specific aspects 
    of the issues mentioned in the proposed rule. The majority focused on 
    the M25/50 labor market classifications option. Of those, 42 were 
    opposed, 16 gave conditional support, and 11 were in favor. The 
    alternative reclassification mechanism received 43 comments of which 36 
    opposed the option, 4 gave conditional support, and 3 were in favor. We 
    received the fewest number of comments on the SLMO proposal, with nine 
    commenters expressing opposition, nine expressing conditional support, 
    and two in favor.
    
    M25/50 Labor Market Option
    
         Many of those who commented on the M25/50 proposal expressed 
    concern that a blended wage index would undermine the principles on 
    which the prospective payment system is based. One commenter said that 
    the present system is designed to allow a cost effective hospital to 
    move toward profitability and questioned why HCFA would want to change 
    directions. Other commenters noted that a blended wage index would 
    reward the highest cost hospitals with high wage indexes.
        Several commenters believe that we should complete a detailed 
    financial analysis for each option. Although we did not include sample 
    wage index values in the proposed rule, two associations did financial 
    analyses upon which many hospitals based their comments. A number of 
    commenters were concerned about the redistribution of funds under the 
    blended wage index. One association commented that under such a 
    proposal, twice as many hospitals in its State would receive a lower 
    wage index as would benefit. Two national associations recommended that 
    if M25/50 were adopted it should be implemented gradually because of 
    the redistributive nature of the proposal. One association recommended 
    that we provide ``buffer zones'' to protect hospitals from payment 
    swings that exceeded a fixed percentage. Rural referral centers were 
    generally opposed to the blended wage index because they believe it 
    would create a new system with significant redistribution of funds, 
    produce new inequities, and not correct the major problem of rural 
    referral centers being grouped with unlike hospitals in rural areas. 
    Both ProPAC and another commenter stated that labor market changes 
    should be implemented in conjunction with an occupational mix 
    adjustment. ProPAC said that it was difficult to evaluate competing 
    labor market options without such data and that therefore it had not 
    done so. ProPAC also stated that a blended wage index would be likely 
    to increase occupational mix bias as more weight is attached to a 
    hospital's own wage rate.
        Several State and national hospital association representatives 
    recommended that we convene a meeting of hospital association 
    representatives to discuss our labor market proposals in greater 
    detail. They called for a meeting similar to the one we held in 
    November 1993 to discuss options for redefining labor market areas, as 
    discussed in last year's May 27, 1994 proposed rule (59 FR 27726).
        On the positive side, several hospital associations expressed their 
    belief that a blended wage index holds potential to create a more 
    equitable and supportable payment mechanism and could significantly 
    reduce the number of hospitals requiring reclassification. One national 
    association stated that a blended wage index balances the model that 
    hospitals can purchase labor at the same price within a market with the 
    recognition that imperfections in measuring labor markets will persist.
    
    Reclassification Option
    
        As noted above, the majority of commenters (36 of 43) were opposed 
    to the alternative reclassification option. A number of commenters are 
    concerned that the proposed 'simple' and 'refined' reclassification 
    methodologies were too complicated. A State hospital association 
    favored ``a simplified [reclassification] approach that could easily be 
    administered by the intermediary.'' Some commenters stated that they 
    disagreed with the formula-driven nature of the reclassification 
    process and believed that it was contrary to Congressional intent. Some 
    commenters were concerned about the effect of this proposal on group 
    reclassifications. While some commenters decried the loss of group 
    reclassification, another commenter believes that hospitals should be 
    allowed to continue to use commuting data to justify their county's 
    eligibility for reclassification. One State hospital association 
    expressed its belief that reclassification was originally intended to 
    benefit small, rural hospitals, but that our proposal went far beyond 
    that original intent by allowing many more urban and large urban 
    hospitals to qualify for reclassification.
        Rural referral centers are concerned that they will lose money due 
    to more stringent reclassification criteria in proposed methodologies.
        Two commenters were concerned that the reclassification proposal 
    did not address inequities in the Boston NECMA (New England County 
    Metropolitan Area). They believe that the core problem is the Boston 
    NECMA itself, which should be replaced by a central/outlying county 
    framework.
        Two hospital associations were concerned about the proposed 
    reclassification methodologies' reliance on ``nearest neighbors''. A 
    regional hospital association questioned why the nearest neighbor 
    approach would be utilized for geographic reclassification purposes 
    after it was rejected as a model for all market areas.
        ProPAC stated that the reclassification options are likely to 
    increase occupational mix bias. A hospital with a low wage rate, which 
    results partially from a low occupational mix, would be unlikely to 
    qualify for reclassification. However, a hospital with a high wage 
    index (such as a large teaching hospital) would be more likely to 
    qualify for reclassification and thus be able to ``lock in'' the 
    occupational mix bias. One positive comment received was that the data 
    for all hospitals in the region would be retained in calculating wage 
    index values and that it would be an improvement over the current 
    system.
    State Labor Market Option
    
        Regarding this option, the main area of concern was the level of 
    support required to allow hospitals in a State to select the SLMO. Some 
    commenters expressed concern that if a SLMO could be established only 
    by an overwhelming or unanimous majority of a State's hospitals, the 
    possibility of such unanimity would be unrealistic given the 
    requirement of budget neutrality. As one hospital stated, ``We do not 
    understand the circumstances in which a hospital that would lose 
    reimbursement under this method would consent to participate.'' On the 
    other hand, some commenters expressed concern that if we were to allow 
    the creation of a SLMO with less than full agreement by all 
    participating hospitals, it could create a system where the few would 
    suffer greatly at the whim of the many.
    4. Conclusion
        As the comment summary illustrates, there was no consensus among 
    the [[Page 29220]] commenters on the choice for new labor market areas. 
    Many individual hospitals that commented expressed dissatisfaction with 
    all of the proposals. However, several State hospital association 
    representatives commented that while the M25/50 labor market 
    classification option and the simple and refined reclassification 
    options were not ready for implementation, they did merit further 
    study. Based on the commenters' suggestions that we convene a group of 
    hospital association representatives to discuss these issues, in 
    February we sent letters to association representatives that 
    participated in our November 1993 meeting on labor market issues in 
    which we solicited ideas for additional types of labor market research 
    that HCFA should conduct. None of the individuals we contacted 
    suggested any new avenues for research. While we believe a blended wage 
    index such as the M25 or M50 option may have merit, we are not planning 
    to propose it at this time given the comments we received. Although we 
    believe that the response to the various proposals we have made in the 
    last couple of years demonstrates that there is no clear ``best'' labor 
    market area option to pursue, we are willing to continue research on 
    possible labor market refinements. However, we believe we have 
    exhausted most available avenues for new research.
    IV. Other Decisions and Proposed Changes to the Prospective Payment 
    System for Inpatient Operating Costs
    
    A. Payment for Transfer Cases (Sec. 412.4)
    
        The prospective payment system distinguishes between 
    ``discharges,'' situations in which a patient leaves an acute-care 
    hospital after receiving complete treatment, and ``transfers,'' 
    situations in which the patient is transferred to another acute-care 
    hospital for related care. If a full DRG payment were made to each 
    hospital involved in a transfer situation irrespective of the length of 
    time the patient spent in the ``sending'' hospital before transfer, 
    this would create a strong incentive to increase transfers, thereby 
    unnecessarily endangering patients' health. Therefore, the regulations 
    at Sec. 412.4(d) provide that, in a transfer situation, full payment is 
    made to the final discharging hospital and each transferring hospital 
    is paid a per diem rate for each day of the stay, not to exceed the 
    full DRG payment that would have been made if the patient had been 
    discharged without being transferred.
        Currently, the per diem rate paid to a transferring hospital is 
    determined by dividing the full DRG payment that would have been paid 
    in a nontransfer situation by the geometric mean length-of-stay for the 
    DRG into which the case falls. Transferring hospitals are also eligible 
    for outlier payments for cases that meet the cost outlier criteria 
    established for all cases (nontransfer and transfer cases alike) 
    classified to the DRG. They are not, however, eligible for day outlier 
    payments. Two exceptions to the transfer payment policy are transfer 
    cases classified into DRG 385 (Neonates, Died or Transferred to Another 
    Acute Care Facility) or DRG 456 (Burns, Transferred to Another Acute 
    Care Facility), which are not paid on a per diem basis but instead 
    receive the full DRG payment.
        In the May 27, 1994 proposed rule, we proposed to revise our 
    payment methodology for transfer cases. Under the proposal, for the 
    first day of a transfer, the per diem amount would be doubled, while a 
    flat per diem amount would be paid for each succeeding day, up to the 
    full DRG payment (59 FR 27734). We also proposed at that time to change 
    our definition of a transfer case to include cases transferred from an 
    acute-care setting paid under the prospective payment system to a 
    hospital or unit excluded from the prospective payment system. When we 
    published the September 1, 1994 final rule with comment period, we 
    withdrew these proposals for FY 1995 (59 FR 45362) based on negative 
    comments and further analysis. In that final rule, however, we stated 
    our intention to continue to evaluate the appropriateness of our 
    transfer policy.
        For FY 1996, we are again proposing to adopt a graduated per diem 
    payment methodology for transfer cases. Again, under this proposed 
    methodology, we would pay double the per diem amount for the first day 
    and the per diem amount for subsequent days. We are not proposing to 
    revise our definition of transfers at this time. However, we note that 
    we are concerned about an accelerating trend toward earlier discharges 
    to post-acute settings. We are, therefore, soliciting public comments 
    regarding this trend and the implications this has for the design of 
    our payment systems. In its March 1, 1995 report, ProPAC supported our 
    proposed payment methodology (Recommendation 11) and expressed its 
    concern ``about the continuity of care across treatment settings.'' The 
    Commission also indicated its willingness to work with the Secretary to 
    explore this issue. The following discussion describes our proposed 
    change to the transfer payment methodology and some of the issues 
    identified by our further analysis of transfer cases.
    1. Payment for Transfer Cases
        As part of a study of Medicare transfer cases funded by HCFA 
    (``Transfers of Medicare Hospital Patients under the Prospective 
    Payment System'', PM-191-HCFA, January 1994), RAND found that among 
    cases transferred before reaching the geometric mean length-of-stay, 1-
    day stays cost 2.096 times the per diem payment amount for cases in 
    nonsurgical DRGs and 2.576 times the per diem for surgical DRGs (based 
    on FY 1991 data). Among nonsurgical transfer cases, the costs of 2-day 
    stays were about 1.215 times the per diem payment amount, and cases 
    transferred after 2 days cost about 10 percent more than the applicable 
    per diem amount. Among surgical cases, the costs of stays of 2 or more 
    days were actually about 7 percent below the applicable per diem 
    amount.
        In order to pay hospitals more appropriately for the treatment they 
    furnish to patients before transfer, we are proposing to revise 
    Sec. 412.4(d)(1) to pay transfers twice the per diem amount for the 
    first day of any transfer stay plus the per diem amount for each of the 
    remaining days before transfer, up to the full DRG amount. (Our 
    concerns about basing the gradation of the per diem scale on the actual 
    coefficients as estimated by RAND were described in last year's 
    proposed and final rules, as referenced above.) We are proposing that 
    this change be applied uniformly for both medical and surgical transfer 
    cases; although surgical transfer cases appear to be more costly on 
    average for the first day, they are relatively less costly for the 
    second day and beyond.
        If the patient is transferred again before final discharge, then, 
    under the change we are proposing, all sending hospitals involved would 
    be paid using the graduated per diem methodology rather than the flat 
    per diem rate they currently receive. For example, a case transferred 
    from a community hospital to a tertiary care hospital for a procedure 
    that is not performed at the community hospital, may subsequently be 
    transferred back to the community hospital, which ultimately discharges 
    the patient home. In such a case, the community hospital and the 
    tertiary care hospital would be paid using the transfer payment 
    methodology for the first two phases of the hospitalization, and the 
    community hospital would also receive a DRG amount for the final phase 
    when it discharges the patient. This is our current policy, as well. 
    Each phase of the hospitalization is assigned a DRG based on the 
    diagnosis and procedures applicable to that particular 
    [[Page 29221]] phase; therefore, a different DRG could be assigned to 
    each phase.
        Transfer cases would continue to be eligible for additional 
    payments as cost outliers. In the September 1, 1993 final rule, we set 
    forth revised qualifying criteria for transfer cases to be eligible for 
    cost outlier payments (58 FR 46305). Before that change, transfer cases 
    were required to meet the same criteria to qualify for cost outliers as 
    were discharges. The revised policy adjusts the outlier threshold for 
    transfer cases to reflect the fact that transfer cases were receiving a 
    reduced payment amount under the per diem methodology. Last year, when 
    we revised the cost outlier qualifying criteria so that it was based on 
    a fixed loss threshold, the qualifying criteria for transfers continued 
    to reflect the fact that their payment amounts are reduced relative to 
    discharges. Specifically, the cost outlier threshold for transfer cases 
    is equal to the fixed loss amount (for FY 1995, the prospective payment 
    rate for the DRG plus $20,500), divided by the geometric mean for the 
    DRG, multiplied by the length of stay before transfer. Although we did 
    not state this explicitly in the September 1, 1994 final rule, it is 
    the policy we have employed, and intend to continue to employ, since 
    the fixed loss threshold was implemented October 1, 1994.
        Using the proposed graduated per diem methodology, RAND estimated 
    the payment-to-cost ratio of transfer cases that were transferred 
    before reaching the geometric mean length of stay would be 0.9321. 
    While this is somewhat less than the payment-to-cost ratio for 
    nontransfer cases (0.9645), it represented a significant improvement 
    over the current ratio for transfer cases (0.7224). Using more recent 
    data (FY 1993 MedPAR) and payment policies (FY 1995), we estimated the 
    improvement in the payment-to-cost ratio for transfer cases to be from 
    0.7548 under the current flat per diem policy to 0.9701 under the 
    proposed graduated per diem policy.
        Section 109 of the Social Security Act Amendments of 1994 (Public 
    Law 103-432) authorized the Secretary to make adjustments to the 
    prospective payment system standardized amounts so that adjustments to 
    the payment policy for transfer cases do not affect aggregate payments. 
    In light of this authority, we believe the benefits of the graduated 
    per diem methodology now outweigh the concerns that we expressed in the 
    September 1, 1994 final rule. Our methodology for applying this 
    adjustment is described in section II of the Addendum to this proposed 
    rule.
        Finally, we are also proposing to revise the DRG recalibration 
    methodology so that transfer cases are treated as a proportion of a 
    full case based on the length of stay (as discussed above in section 
    II.C of this preamble). Specifically, we are proposing to weight 
    transfer cases as less than a full discharge based on the proportion of 
    the number of days the patient was hospitalized before transfer. This 
    would have the effect of increasing the relative weights of the DRGs 
    with a high number of short stay transfer cases.
    2. Definition of a Transfer Case
        Under current policy, cases that are transferred from an acute-care 
    hospital paid under the prospective payment system to another type of 
    provider or unit are considered to be discharges (as opposed to 
    transfers) from the acute-care hospital. As a discharge, payment for 
    the case is the full DRG amount.
        As noted above, we are concerned that the current trend of 
    declining average lengths of stay as hospitals transfer Medicare 
    patients into alternative health care settings (other than acute care) 
    in less time may result in a misalignment of payments and costs under 
    our existing payment systems. In particular, we are concerned that 
    hospitals paid under the prospective payment system may be shifting 
    costs (for which they are compensated through the DRG payments) to 
    alternative settings, which are in turn paid on a cost basis.
        In the September 1, 1994 final rule, we explained our rationale for 
    proposing to consider patients transferred to excluded hospitals or 
    units as transfers rather than discharges. Briefly, our proposal was 
    ``based upon the premise that an increasing number of patients are 
    being transferred to excluded hospitals or units and that these 
    patients are still in the acute care phase of treatment when they are 
    transferred.'' (See 59 FR 45364). We also explained our reason for 
    continuing to consider patients going to a skilled nursing facility 
    (SNF) as discharges. In that regard, we stated that ``(w)e did not 
    propose to consider discharges to SNFs as transfers because we do not 
    consider SNFs to be hospital settings; thus, there is generally little 
    overlap with acute care hospitals in the services provided.'' Based 
    upon further analysis of patient discharge trends and research on the 
    type and outcomes of care provided in SNFs, as well as anecdotal 
    evidence drawn from the health care industry, we no longer believe 
    there is a clear distinction between the type of care provided in SNFs 
    and the type of care provided in hospitals or units excluded from the 
    prospective payment system, such as rehabilitation facilities and long-
    term care hospitals.
        Therefore, we considered proposing to expand our definition of 
    transfers to include not only cases going from one hospital paid under 
    the prospective payment system to another but also cases transferred to 
    excluded hospitals and units as well as SNFs. However, as discussed 
    below, our analysis has identified problems that need to be addressed. 
    Nevertheless, once we are convinced these problems can be effectively 
    handled, we intend to proceed with implementing policy changes designed 
    to remedy this issue.
        First, our analysis (as well as anecdotal evidence) indicates that 
    the settings where acute care is now being delivered are rapidly 
    expanding and evolving. To the extent that payment is affected by where 
    a patient goes after an acute hospitalization, it is critical to 
    understand the clinical capabilities of different types of settings, so 
    that the incentives treated by the payment system do not unduly 
    influence the choice of where to send a patient for post-acute care. 
    That is, all like provider settings should be treated equally in terms 
    of payment incentives. Currently, the settings that are considered as 
    alternatives to acute care are expanding rapidly, and we want to be 
    sure that we do not create unforeseen financial incentives toward one 
    alternative over another by any redefinition of transfers.
        In addition, as discussed in last year's final rule, hip 
    replacement cases (which, as a group, constitute one of the largest 
    sources of Medicare cases going from acute to post-acute settings) 
    would be systematically underpaid under either the current or the 
    proposed per diem methodology. This is because the cost of the surgery 
    including the prosthetic device, which is incurred in the first day or 
    two of the stay, constitutes a large percentage of the total cost of 
    the stay. A graduated per diem would have to be skewed greatly toward 
    the first day to approximate the daily cost distribution.
        We are soliciting public comment with regard to these issues. 
    Specifically, we are interested in suggestions on how best to adapt our 
    payment methodologies for hospitals and units (both acute care paid 
    under the prospective payment system and those excluded from this 
    system), SNFs, and home health agencies in response to the evolving 
    integrated delivery systems. We are particularly interested in comments 
    and suggestions on how to design a comprehensive payment system that 
    better matches payments with the costs providers actually incur 
    [[Page 29222]] in furnishing care (that is, reducing hospital payments 
    when a significant phase of a patient's acute episode is treated in 
    other than an acute hospital inpatient setting). A major issue in 
    developing such an integrated payment system is to neutralize the 
    incentives that arise in terms of where patients are treated. For 
    example, hospitals should continue to be adequately compensated for 
    acute inpatient hospitalization where appropriate, so that there will 
    not be an adverse incentive to move patients prematurely to alternative 
    settings.
        We will continue to analyze and explore various solutions to this 
    issue, including any that are provided by commenters.
    
    B. Rural Referral Centers (Sec. 412.96)
    
        Under the authority of section 1886(d)(5)(C)(i) of the Act, 
    Sec. 412.96 sets forth the criteria a hospital must meet in order to 
    receive special treatment under the prospective payment system as a 
    rural referral center. For discharges occurring before October 1, 1994, 
    rural referral centers received the benefit of payment based on the 
    other urban payment rate rather than the rural payment rate. As of that 
    date, the other urban and rural payment rates are the same. However, 
    rural referral centers continue to receive special treatment under both 
    the disproportionate share hospital payment adjustment and the criteria 
    for geographic reclassification.
        One of the criteria under which a rural hospital may qualify as a 
    referral center is to have 275 or more beds available for use. A rural 
    hospital that does not meet the bed size criterion can qualify as a 
    rural referral center if the hospital meets two mandatory criteria 
    (number of discharges and case-mix index) and at least one of three 
    optional criteria (medical staff, source of inpatients, or volume of 
    referrals). With respect to the two mandatory criteria, a hospital may 
    be classified as a rural referral center if its--
         Case-mix index is at least equal to the lower of the 
    median case-mix index for urban hospitals in its census region, 
    excluding hospitals with approved teaching programs, or the median 
    case-mix index for all urban hospitals nationally; and
         Number of discharges is at least 5,000 discharges per year 
    or, if fewer, the median number of discharges for urban hospitals in 
    the census region in which the hospital is located. (The number of 
    discharges criterion for an osteopathic hospital is at least 3,000 
    discharges per year.)
    1. Case-Mix Index
        Section 412.96(c)(1) provides that HCFA will establish updated 
    national and regional case-mix index values in each year's annual 
    notice of prospective payment rates for purposes of determining rural 
    referral center status. In determining the proposed national and 
    regional case-mix index values, we would follow the same methodology we 
    used in the November 24, 1986 final rule, as set forth in regulations 
    at Sec. 412.96(c)(1)(ii). Therefore, the proposed national case-mix 
    index value includes all urban hospitals nationwide, and the proposed 
    regional values are the median values of urban hospitals within each 
    census region, excluding those with approved teaching programs (that 
    is, those hospitals receiving indirect medical education payments as 
    provided in Sec. 412.105).
        These values are based on discharges occurring during FY 1994 
    (October 1, 1993 through September 30, 1994) and include bills posted 
    to HCFA's records through December 1994. Therefore, in addition to 
    meeting other criteria, we are proposing that to qualify for initial 
    rural referral center status or to meet the triennial review standards 
    for cost reporting periods beginning on or after October 1, 1995, a 
    hospital's case-mix index value for FY 1994 would have to be at least--
         1.3165; or
         Equal to the median case-mix index value for urban 
    hospitals (excluding hospitals with approved teaching programs as 
    identified in Sec. 412.105) calculated by HCFA for the census region in 
    which the hospital is located.
        The median case-mix values by region are set forth in the table 
    below:
    
    ------------------------------------------------------------------------
                                                                    Case-mix
                                Region                               index  
                                                                     value  
    ------------------------------------------------------------------------
    1. New England (CT, ME, MA, NH, RI, VT)......................     1.2186
    2. Middle Atlantic (PA, NJ, NY)..............................     1.2090
    3. South Atlantic (DE, DC, FL, GA, MD, NC, SC, VA, WV).......     1.3112
    4. East North Central (IL, IN, MI, OH, WI)...................     1.2280
    5. East South Central (AL, KY, MS, TN).......................     1.2782
    6. West North Central (IA, KS, MN, MO, NE, ND, SD)...........     1.1912
    7. West South Central (AR, LA, OK, TX).......................     1.2995
    8. Mountain (AZ, CO, ID, MT, NV, NM, UT, WY).................     1.3606
    9. Pacific (AK, CA, HI, OR, WA)..............................     1.3300
    ------------------------------------------------------------------------
    
        The above numbers will be revised in the final rule to the extent 
    required to reflect the updated MedPAR file, which will contain data 
    from additional bills received for discharges through September 30, 
    1994.
        For the benefit of hospitals seeking to qualify as referral centers 
    or those wishing to know how their case-mix index value compares to the 
    criteria, we are publishing each hospital's FY 1994 case-mix index 
    value in Table 3C in section V of the addendum to this proposed rule. 
    In keeping with our policy on discharges, these case-mix index values 
    are computed based on all Medicare patient discharges subject to DRG-
    based payment.
    2. Discharges
        Section 412.96(c)(2)(i) provides that HCFA will set forth the 
    national and regional numbers of discharges in each year's annual 
    notice of prospective payment rates for purposes of determining 
    referral center status. As specified in section 1886(d)(5)(C)(ii) of 
    the Act, the national standard is set at 5,000 discharges. However, we 
    are proposing to update the regional standards. The proposed regional 
    standards are based on discharges for urban hospitals' cost reporting 
    periods that began during FY 1993 (that is, October 1, 1992 through 
    September 30, 1993). That is the latest year for which we have complete 
    discharge data available.
        Therefore, in addition to meeting other criteria, we are proposing 
    that to qualify for initial rural referral center status or to meet the 
    triennial review standards for cost reporting periods beginning on or 
    after October 1, 1995, the number of discharges a hospital must have 
    for its cost reporting period that began during FY 1994 would have to 
    be at least--
         5,000; or
         Equal to the median number of discharges for urban 
    hospitals in the census region in which the hospital is located, as 
    indicated in the table below.
    
    ------------------------------------------------------------------------
                                                                   Number of
                               Region                             discharges
    ------------------------------------------------------------------------
    1. New England (CT, ME, MA, NH, RI, VT).....................        6808
    2. Middle Atlantic (PA, NJ, NY).............................        8611
    3. South Atlantic (DE, DC, FL, GA, MD, NC, SC, VA, WV)......        7320
    4. East North Central (IL, IN, MI, OH, WI)..................        6959
    5. East South Central (AL, KY, MS, TN)......................        5520
    6. West North Central (IA, KS, MN, MO, NE, ND, SD)..........        5001
    7. West South Central (AR, LA, OK, TX)......................        4473
    8. Mountain (AZ, CO, ID, MT, NV, NM, UT, WY)................        8421
    9. Pacific (AK, CA, HI, OR, WA).............................        5594
    ------------------------------------------------------------------------
    
         [[Page 29223]] We reiterate that, to qualify for rural referral 
    center status for cost reporting periods beginning on or after October 
    1, 1995, an osteopathic hospital's number of discharges for its cost 
    reporting period that began during FY 1994 would have to be at least 
    3,000.
    3. Retention of Referral Center Status
        Section 412.96(f) states that each hospital receiving the referral 
    center adjustment is reviewed every 3 years to determine if the 
    hospital continues to meet the criteria for referral center status. To 
    retain status as a referral center, a hospital must meet the criteria 
    for classification as a referral center specified in Sec. 412.96(b)(1) 
    or (b)(2) or (c) for 2 of the last 3 years, or for the current year. A 
    hospital may meet any one of the three sets of criteria for individual 
    years during the 3-year period or the current year. For example, a 
    hospital may meet the two mandatory requirements in Sec. 412.96(c)(1) 
    (case-mix index) and (c)(2) (number of discharges) and the optional 
    criterion in paragraph (c)(3) (medical staff) during the first year. 
    During the second or third year, the hospital may meet the criteria 
    under Sec. 412.96(b)(1) (rural location and appropriate bed size).
        A hospital must meet all of the criteria within any one of these 
    three sections of the regulations in order to meet the retention 
    requirement for a given year. That is, it will have to meet all of the 
    criteria of Sec. 412.96(b)(1) or Sec. 412.96(b)(2) or Sec. 412.96(c). 
    For example, if a hospital meets the case-mix index standards in 
    Sec. 412.96(c)(1) in years 1 and 3 and the number of discharge 
    standards in Sec. 412.96(c)(2) in years 2 and 3, it will not meet the 
    retention criteria. All of the standards would have to be met in the 
    same year.
        In accordance with Sec. 412.96(f)(2), the review process is limited 
    to the hospital's compliance during the last 3 years. Thus, if a 
    hospital meets the criteria in effect for at least 2 of the last 3 
    years or if it meets the criteria in effect for the current year (that 
    is, the criteria for FY 1996 outlined above in this section of the 
    preamble), it will retain its status for another 3 years. We have 
    constructed the following chart and example to aid hospitals that 
    qualify as referral centers under the criteria in Sec. 412.96(c) in 
    projecting whether they will retain their status as a referral center.
        Under Sec. 412.96(f), to qualify for a 3-year extension effective 
    with cost reporting periods beginning in FY 1996, a hospital must meet 
    the criteria in Sec. 412.96(c) for FY 1996 or it must meet the criteria 
    for 2 of the last 3 years as follows:
    
    ------------------------------------------------------------------------
                                                  Use the                   
                                                discharges                  
                                        Use       for the     Use numerical 
                                    hospital's  hospital's    standards as  
     For the cost reporting period   case-mix      cost     published in the
          beginning during FY        index for   reporting  Federal Register
                                        FY        period           on       
                                                 beginning                  
                                                 during FY                  
    ------------------------------------------------------------------------
    1995..........................      1993         1993   Sept. 1, 1994.  
    1994..........................      1992         1992   Sept. 1, 1993.  
    1993..........................      1991         1991   Sept. 1, 1992.  
    ------------------------------------------------------------------------
    
        Example: A hospital with a cost reporting period beginning July 
    1 qualified as a referral center effective July 1, 1993. The 
    hospital has fewer than 275 beds. Its 3-year status as a referral 
    center is protected through June 30, 1996 (the end of its cost 
    reporting period beginning July 1, 1995). To determine if the 
    hospital should retain its status as a referral center for an 
    additional 3-year period, we will review its compliance with the 
    applicable criteria for its cost reporting periods beginning July 1, 
    1993, July 1, 1994, and July 1, 1995. The hospital must meet the 
    criteria in effect either for its cost reporting period beginning 
    July 1, 1996, or for two out of the three past periods. For example, 
    to be found to have met the criteria at Sec. 412.96(c) for its cost 
    reporting period beginning July 1, 1994, the hospital's case-mix 
    index value during FY 1992 must have equaled or exceeded the lower 
    of the national or the appropriate regional standard as published in 
    the September 1, 1993 final rule with comment period. The hospital's 
    total number of discharges during its cost reporting year beginning 
    July 1, 1992, must have equaled or exceeded 5,000 or the regional 
    standard as published in the September 1, 1993 final rule with 
    comment period.
    
        For those hospitals that seek to retain referral center status by 
    meeting the criteria of Sec. 412.96(b)(1) (i) and (ii) (that is, rural 
    location and at least 275 beds), we will look at the number of beds 
    shown for indirect medical education purposes (as defined at 
    Sec. 412.105(b)) on the hospital's cost report for the appropriate 
    year. We will consider only full cost reporting periods when 
    determining a hospital's status under Sec. 412.96(b)(1)(ii). This 
    definition varies from the number of beds criterion used to determine a 
    hospital's initial status as a referral center because we believe it is 
    important for a hospital to demonstrate that it has maintained at least 
    275 beds throughout its entire cost reporting period, not just for a 
    particular portion of the year.
    C. Determination of Number of Beds Used in Calculating the Indirect 
    Medical Education Adjustment (Sec. 412.105)
    
        In the September 1, 1994 final rule (59 FR 45373), in an effort to 
    clarify our policy, we amended the regulations at Sec. 412.105(b), 
    which describe how to determine the number of beds in a hospital for 
    purposes of the indirect medical education adjustment. At that time, we 
    added language to the regulations that specifically excludes as a bed 
    ``nursery'' beds assigned to newborns ``that are not in intensive care 
    areas.'' This change was supposed to have left little doubt that, with 
    regard to infants, only beds in a nursery used for newborns (see 
    section 2815 of the Provider Reimbursement Manual-Part 2) are excluded 
    from the count. As we stated in the preamble to the May 27, 1994 
    proposed rule (59 FR 27741), we made this revision ``to exclude 
    specifically only beds assigned to newborns in the nursery'' (emphasis 
    added). Furthermore, when we published the final rule, we added the 
    reference to nursery beds directly into the text of Sec. 412.105(b) 
    ``(t)o prevent any future confusion about the term ``newborn'' (59 FR 
    45374).
        Although we received no public comments as to whether beds occupied 
    by sick infants in areas other than a neonatal intensive care area or a 
    nursery could be counted, we continue to receive questions on this 
    issue. Therefore, we are once again revising Sec. 412.105(b) to clarify 
    our bed counting policy. This year, rather than specifically 
    identifying intensive care beds occupied by infants as eligible to be 
    counted, we are deleting that phrase and inserting the phrase ``beds in 
    the healthy newborn nursery.'' Thus, our policy is and has been that 
    only beds in a healthy, or regular, baby nursery are excluded from the 
    count. All other beds available for occupation by a newborn are to be 
    counted.
    
    D. Disproportionate Share Adjustment (Sec. 412.106)
    
        Section 1886(d)(5)(F) of the Act provides for additional payments 
    for hospitals that serve a disproportionate share of low income 
    patients. A hospital's disproportionate share adjustment is determined 
    by calculating two patient percentages (Medicare Part A/SSI covered 
    days to total Medicare covered days and Medicaid but not Medicare Part 
    A covered days to total inpatient hospital days), adding them together, 
    and comparing that total percentage to the hospital's qualifying 
    criteria. These calculations are done by HCFA and the fiscal 
    intermediary on a Federal fiscal year basis. However, 
    Sec. 412.106(b)(3) states that if a hospital prefers that HCFA use its 
    cost reporting period instead of the Federal fiscal year, it must 
    furnish to its intermediary, in machine-readable format as prescribed 
    by HCFA, data on its Medicare Part A [[Page 29224]] patients for its 
    cost reporting period. These data take the place of the Federal fiscal 
    year MedPAR file data in obtaining the Medicare Part A/SSI percentage. 
    However, we match the hospital's data to the HCFA MedPAR data to ensure 
    that the hospital is reporting actual Medicare Part A patient days. In 
    addition, we have required that a hospital accept the recalculated 
    percentage, even if it is lower than the Federal fiscal year 
    percentage.
        In the last few years, this process has proven to be unsatisfactory 
    for several reasons. First, it is an administrative burden for the 
    hospital to prepare a tape that includes all its Medicare Part A 
    inpatient days. In addition, the hospital's tape data have seldom 
    exactly matched the MedPAR data. In that case, we can use only the data 
    that match. Finally, and probably often due to this second problem, the 
    resulting disproportionate patient percentages are invariably lower 
    than the original HCFA determined percentage. Therefore, we are 
    proposing to alleviate these problems by continuing to provide 
    hospitals an alternative to base their percentage on their cost 
    reporting year, but relieving them of the tape requirement.
        We propose that, if a hospital wishes a recalculation based on its 
    cost reporting period, the hospital would notify HCFA in writing of its 
    request that the Medicare Part A/SSI percentage be calculated based on 
    its own cost reporting year. The hospital would be required to provide 
    HCFA with its name, provider number, and cost report period end date. 
    HCFA, in turn, would use all MedPAR records for that hospital from the 
    requested time period, as opposed to only those records that matched 
    between the MedPAR file and the hospital's tape data. This should 
    provide hospitals with a better opportunity to possibly increase their 
    Medicare Part A/SSI percentages.
        In addition, we propose that we would process these requests on a 
    quarterly basis. Processing these individual requests for recalculation 
    on a flow basis has become an administrative burden on the available 
    HCFA computer processing resources. Therefore, we believe it is 
    necessary to batch these requests and run the MedPAR data on a set 
    schedule. This will be much more efficient and predictable.
        Therefore, we are proposing to revise Sec. 412.106(b)(3) to provide 
    that HCFA will accept a hospital's written request, transmitted through 
    its fiscal intermediary, for a recalculation of its Medicare Part A/SSI 
    percentage based on its cost reporting period. The written request 
    would include the hospital's name, provider number, and cost report 
    period end date. We would perform a recalculation only once per 
    hospital per cost report period, and the resulting percentage becomes 
    the hospital's official Medicare Part A/SSI percentage for that period.
    
    E. Essential Access Community Hospitals (EACHs) and Rural Primary Care 
    Hospitals (RPCHs) (Secs. 412.109, 413.70, 424.15, 485.603, 485.606, 
    485.614, 485.620, and 485.639)
    
        On May 26, 1993, we published a final rule to implement the EACH 
    program (58 FR 30630). The rule set forth the requirements for 
    designating certain hospitals as EACHs or RPCHs, the conditions that an 
    RPCH must meet to participate in Medicare, and the rules for Medicare 
    payment for services furnished by EACHs and RPCHs. The final rule 
    implemented section 1820 of the Act, as added by sections 6003(g) and 
    6116(b)(2) of Public Law 101-239 and revised by section 4008(d) of 
    Public Law 101-508. The amendments were intended to promote 
    regionalization of rural health services in grant States, improve 
    access to hospital and other health services for rural residents, and 
    enhance the provision of emergency and other transportation services 
    related to health care.
        Section 102 of the Social Security Act Amendments of 1994, Public 
    Law 103-432 (SSAA '94), made significant changes in the provisions of 
    the Medicare law governing the EACH/RPCH program. To implement these 
    changes, we propose to revise the regulations as follows:
    1. Designation of Urban Hospitals as EACHs (Sec. 412.109)
        Section 1820(e) of the Act previously provided that only rural 
    facilities could be designated as EACHs, and all EACHs were to be paid 
    as sole community hospitals (SCHs). Section 102(b)(1) of SSAA '94 
    revised section 1820(e) of the Act to allow hospitals located in urban 
    areas to be designated as EACHs if they have entered into network 
    agreements with RPCHs and meet other applicable requirements. As EACHs, 
    these urban facilities may qualify for EACH grants. However, they are 
    not eligible for the special payment methodology afforded rural EACHs. 
    For payment purposes, rural EACHs are treated as sole community 
    hospitals (SCH). Section 1886(d)(5)(D) of the Act was amended to 
    clarify that only hospitals designated as EACHs and located in rural 
    areas are treated as SCHs for payment purposes. Urban EACHs will 
    therefore continue to be paid at the applicable urban rates.
        To implement this provision, we propose to revise Sec. 412.109 to 
    remove the current rural location requirement for EACH designation, and 
    to provide that payment as an SCH is limited to EACHs in rural areas. 
    As explained below, we also propose to revise that section to allow a 
    State that has received an EACH grant to designate an otherwise 
    qualified hospital in an adjoining State as an EACH.
        In conjunction with this change, we are making a technical 
    correction to a reference in Sec. 485.603.
    2. Designation of EACHs and RPCHs in States Adjoining Grant States 
    (Secs. 412.109 and 485.606)
        Section 1820(c) of the Act previously provided that hospitals could 
    be designated as EACHs only if they were located in States receiving 
    EACH grants. Section 1820(i)(2) of the Act did authorize designation of 
    RPCHs outside the grant States; however, the number of facilities 
    designated under this authority was limited to 15 nationally, and only 
    the Secretary, not individual grant States, could make the designation. 
    Section 1820(i)(2) of the Act further requires the Secretary, in making 
    the special designations, to give preference to facilities that have 
    entered into network agreements with other facilities in grant States, 
    thus indicating a strong preference for designation of RPCHs in States 
    adjoining grant States. Section 102(b)(2) of SSAA '94 amended section 
    1820 of the Act to authorize the individual grant States to make 
    designations of both EACHs and RPCHs in adjoining States, if the 
    facilities so designated are otherwise qualified and have entered into 
    network agreements with EACHs or RPCHs in the grant State. The 
    legislation does not limit the number of such designations. To 
    implement this change, we propose to revise Secs. 412.109 and 485.606 
    to permit these new designations of EACHs and RPCHs by adjacent States 
    that have received grants. We propose that hospitals designated in this 
    way will be required to meet other applicable requirements, and we plan 
    to make such designations subject to review and approval by the HCFA 
    regional offices on the same basis as designations of facilities in the 
    grant State. That is, the designation will not result in recognition of 
    a facility as an EACH or RPCH for Medicare or Medicaid purposes until 
    HCFA has determined that the requirements are met.
    
    [[Page 29225]]
    
    3. Designation of EACHs and RPCHs by States That Have Received Grants 
    (Secs. 412.109 and 485.606)
        Section 1820(a)(1) of the Act establishes a program under which the 
    Secretary makes grants available to not more than seven States to carry 
    out certain activities, including designating hospitals or facilities 
    in the State as either an EACH or an RPCH. Because there is no 
    assurance that funding of this grant program will continue, some or all 
    of the seven States may not receive grants under section 1820(a)(1) of 
    the Act in the future. Since States may not continue to ``receive'' 
    grants, we propose to revise the regulations pertaining to EACHs and 
    RPCHs by replacing references to ``States receiving grants'' with 
    references to ``States that have received grants'' or ``a State that 
    has received a grant,'' as appropriate. Specifically, we propose to 
    revise the designation of EACHs and RPCHs under current Sec. 412.109(b) 
    and (c), and Sec. 485.606, respectively, to include these revised 
    references. Should the grant program expire, these proposed revisions 
    would prevent any uncertainty that may arise as to the status of 
    designations made by States that have received grants.
    4. Change in Payment for Outpatient RPCH Services (Sec. 413.70)
        Previously, section 1834(g) of the Act provided that payments to 
    RPCHs for outpatient services under the cost-based facility fee plus 
    professional charges method were to be determined under section 
    1833(a)(2)(B) of the Act. That section states that payment is to be 
    made at the lesser of the reasonable cost of the services or the 
    customary charges for the services. (This is commonly referred to as 
    ``LCC,'' that is, the lesser of costs or charges.) Current regulations 
    at Sec. 413.70(b)(2)(i) require that payment to RPCHs under the cost-
    based facility fee plus professional services be made in accordance 
    with the LCC principle. This principle is set forth under Sec. 413.13.
        Section 102(e)(2) of SSAA '94 amended section 1834(g)(1) of the Act 
    to provide that payment for outpatient RPCH services under the cost-
    based facility fee plus professional charges method are to be 
    determined without regard to the amount of the customary charge. To 
    implement this change, we propose to amend Sec. 413.70(b)(2)(i) to 
    provide that for payment for RPCH outpatient services made under the 
    cost-based RPCH payment plus professional services method, the 
    principle of the lesser of costs or charges does not apply.
    5. Content of Required Physician Certification (Sec. 424.15)
        Section 1814(a)(8) of the Act previously provided that Medicare 
    Part A could pay for inpatient RPCH services only if a physician 
    certified that the services were required to be furnished immediately 
    on a temporary, inpatient basis. Section 102(a)(3) of SSAA '94 deleted 
    this requirement and provided instead that Medicare Part A will pay for 
    the inpatient RPCH services only if a physician certifies that the 
    individual may reasonably be expected to be discharged or transferred 
    to a hospital within 72 hours after admission to the RPCH. We are 
    proposing to revise Sec. 424.15 to reflect the new requirement.
    6. Length-of-Stay Requirement for RPCHs (Secs. 485.614 and 485.620)
        Section 1820(f)(1)(F) of the Act previously allowed all RPCHs to 
    keep inpatients no longer than 72 hours before discharging them or 
    transferring them to a full-service hospital, unless discharge or 
    transfer was precluded by inclement weather or other emergency 
    conditions. Section 102(a)(1) of SSAA '94 removed the per-stay 
    limitation and substituted for it a provision under which the Secretary 
    may terminate the designation of a facility as an RPCH if the Secretary 
    finds that the average length of stay in the preceding year exceeded 72 
    hours. The provision further states that periods of stay in excess of 
    72 hours that occurred because discharge or transfer were precluded by 
    inclement weather or other emergency conditions are not to be taken 
    into account in computing a facility's average length of stay for this 
    purpose.
        To implement this change, we propose to revise Secs. 485.614 and 
    485.620 to delete the current per-stay limitation, and to replace it 
    with a requirement for a facility-wide average length of stay that does 
    not exceed 72 hours, excluding parts of stays in excess of 72 hours 
    that occurred because of inclement weather or other emergencies. In the 
    case of a currently participating RPCH, termination of the RPCH 
    designation can be made effective only by ending Medicare 
    participation. Therefore, we propose to revise Sec. 489.53 to authorize 
    termination of the provider agreement of an RPCH if the Secretary finds 
    that it does not maintain the required average length of stay.
    7. Restriction on Scope of Surgical Services to RPCH Inpatients 
    (Sec. 485.614 and new Sec. 485.639)
        Before the Social Security Act Amendments of 1994 were enacted, 
    there were no explicit restrictions on the type or extent of surgical 
    activity that could be performed in a RPCH. These facilities and their 
    practitioners were, however, required to conform to applicable State 
    licensure and scope of practice laws. Section 102(a)(1) of SSAA '94 
    added an explicit restriction on surgical activity by RPCHs. 
    Specifically, a State may not designate a facility as an RPCH if the 
    facility provides inpatient hospital services consisting of surgery or 
    any other service requiring the use of general anesthesia (other than 
    surgical procedures specified by the Secretary under section 
    1833(i)(1)(A) of the Act), unless the attending physician certifies 
    that the risk associated with transferring the patient to a hospital 
    for such services outweighs the benefits of transferring the patient to 
    a hospital for such services. The procedures specified by the Secretary 
    under section 1833(i)(1)(A) of the Act are those that are performed on 
    an inpatient basis in a hospital but which also can be performed safely 
    on an ambulatory basis in an ambulatory surgical center (ASC) or in a 
    hospital outpatient department. Implementing regulations for section 
    1833(i)(1)(A) of the Act are set forth at Sec. 416.65. HCFA also 
    publishes a list of covered surgical procedures in Addendum A to Part 3 
    of the Medicare Carriers Manual.
        To implement this change, we propose to revise Sec. 485.614 to 
    reflect the new statutory provision. We note that the law still does 
    not limit the scope of surgical procedures that can be performed for 
    RPCH outpatients, and that both hospitals and ASCs, the other two 
    facilities in which ASC procedures can be performed, are subject to 
    specific health and safety rules on administration of anesthesia and 
    performance of the surgery. To ensure adequate health and safety 
    protection for RPCH patients and to apply Medicare standards uniformly 
    to ASC-type procedures, we are further proposing to add, at 
    Sec. 485.639, a new RPCH condition of participation for surgical 
    services. We note that the new condition would apply the same rules in 
    the RPCH as now apply in an ASC, and that it would apply to both 
    inpatient and outpatient surgery. Given the similarities between RPCHs 
    and ASCs and the fact that identical procedures can be performed in 
    each, we believe uniform health and safety rules are needed.
    
    F. Rebasing the Hospital Market Basket
    
        Effective for cost reporting periods beginning on or after July 1, 
    1979, we developed and adopted a hospital input price index (that is, 
    the hospital ``market basket'') for operating costs. Although 
    [[Page 29226]] ``market basket'' technically describes the mix of goods 
    and services used to produce hospital care, this term is also commonly 
    used to denote the input price index, which includes both the market 
    basket and the price proxy series that are used to measure price 
    changes over time. Accordingly, the term ``market basket'' as used in 
    this document refers to the hospital input price index.
        The percentage change in the market basket reflects the average 
    change in the price of goods and services purchased by hospitals to 
    furnish inpatient care. We first used the market basket to adjust 
    hospital cost limits by an amount that reflected the average increase 
    in the prices of goods and services used to furnish inpatient care. 
    This approach linked the increase in the cost limits to the efficient 
    utilization of resources.
        With the inception of the prospective payment system on October 1, 
    1983, we continued to use the hospital market basket to update each 
    hospital's 1981 inpatient operating cost per discharge used in 
    establishing the FY 1984 standardized payment amounts. In addition, the 
    projected change in the hospital market basket has been the integral 
    component of the update factor by which the prospective payment rates 
    and the rate-of-increase limits applicable to hospitals and hospital 
    units excluded from the prospective payment system are updated every 
    year.
        The hospital market basket is a fixed-weight price index 
    constructed in two steps. First, a base period is selected and the 
    proportion of total expenditures accounted for by designated spending 
    categories is calculated. These proportions are called cost or 
    expenditure weights. Second, a rate of price increase for each spending 
    category is multiplied by the cost weight for the category. The sum of 
    these products for all cost categories yields the percentage change in 
    the market basket, an estimate of price changes for a fixed quantity of 
    purchased goods and services.
        The market basket is described as a fixed-weight index because it 
    answers the question of how much more or less it would cost, at a later 
    time, to purchase the same mix of goods and services that was purchased 
    in the base period. The effects on total expenditures resulting from 
    changes in the quantity or mix of goods and services purchased 
    subsequent to the base period are not considered. For example, shifts 
    from an inpatient to an outpatient setting for the furnishing of a 
    certain type of care might affect the volume of inpatient goods and 
    services purchased by the hospital but would not be factored into the 
    percentage change in the hospital market basket.
        We believe that it is desirable to rebase the market basket 
    periodically, so the cost weights reflect changes in the mix of goods 
    and services (hospital inputs) that hospitals purchase in furnishing 
    inpatient care. We last rebased the hospital market basket cost weights 
    effective for FY 1991. That market basket reflected base-year data from 
    1987 in the construction of the cost weights. At that time, we also 
    established a separate market basket for hospitals and hospital units 
    excluded from the prospective payment system. Excluded hospitals and 
    units tend to have different case mixes, practice patterns, and 
    composition of inputs than hospitals subject to the prospective payment 
    system.
        When prospective payment for capital-related costs was introduced 
    effective October 1, 1991, a separate capital-related market basket was 
    established. In its April 1, 1985 report to the Secretary, ProPAC 
    suggested that the market basket should be rebased at least every 5 
    years, or more frequently if significant changes in the weights occur. 
    When reviewing whether to rebase the market basket, we consider the 
    following factors:
         Evidence of cost structure changes indicating that the 
    existing weights are no longer appropriate.
         Evidence that the continued use of existing price proxies 
    should be reconsidered.
         The availability of new data sources to use in the 
    rebasing.
        Our practice has been to update or rebase the market basket about 
    every 5 years. Occasionally, we have adjusted this timing to coincide 
    with the Department of Commerce, Bureau of Economic Analysis' schedule 
    for updating the interindustry model of the United States (U.S.) 
    economy, which is released every 5 to 7 years. The interindustry model 
    includes detailed cost analyses of the entire U.S. economy including 
    the hospital industry. In developing the current market basket, 
    effective beginning October 1, 1990, we used 1987 hospital data from 
    the American Hospital Association's (AHA's) 1988 Annual Survey for six 
    major expense categories (wages and salaries, employee benefits, 
    professional fees, depreciation, interest, and a residual ``all other'' 
    category). We used AHA's Hospital Administrative Services (HAS) data 
    from 1987 to derive the weights for professional liability insurance, 
    food, and pharmaceutical products. Weights for most of the remaining 
    subcategories were derived from Department of Commerce, Bureau of 
    Economic Analysis data trended forward to 1987. For a detailed 
    description of the rebased market basket effective October 1, 1990, see 
    the September 1, 1990 final rule (55 FR 36043).
        Although it has been 5 years since the most recent rebasing of the 
    market basket, we are announcing our intention to schedule market 
    basket rebasing for FY 1997. We believe that a 1-year delay in the 
    usual schedule is advantageous for the following reasons. First, it 
    provides an opportunity to review and incorporate two important new 
    data sources that are not available at this time. The first of these, 
    the FY 1992 and 1993 Medicare cost report data, contain more detailed 
    data on labor-related and capital-related costs. We are planning on 
    replacing the AHA Annual Survey data with Medicare cost report data for 
    the main operating and capital cost weights. In the next several 
    months, we are planning to compare and analyze the impact of this 
    change to ensure the validity and consistency of the rebased market 
    baskets for operating and capital costs. We believe that using the 
    Medicare data would be an improvement since these data are reported 
    directly to HCFA by Medicare participating hospitals, are readily 
    available to us in a timely manner, and would free us from relying on 
    data that is collected by outside organizations.
        The second new data source we anticipate obtaining and analyzing is 
    the 1992 Bureau of the Census' Assets and Expenditures Survey, which 
    will be available later this year. The Census survey will provide much 
    more detailed operating and capital cost data, and we anticipate that 
    we will be able to use this survey to allocate the main cost category 
    weights into more detailed subcategory weights for both operating and 
    capital costs.
        In addition to using the market basket to update the payment rates, 
    we also use the percentages of the labor-related items (that is, wages 
    and salaries, employee benefits, professional fees, business services, 
    computer and data processing, blood services, postage, and all other 
    labor-intensive services) to determine the labor-related portion of the 
    standardized amounts. The labor-related portion of the standardized 
    amounts is that portion that is subject to adjustment by the hospital 
    wage index. In order to estimate if postponement of the market basket 
    rebasing would adversely affect hospital payments due to a potential 
    change in the labor-related portion of the payment amounts, we 
    conducted an analysis using the 1987 index rebasing methodology (with 
    1992 equivalents of the data sources used in [[Page 29227]] 1987). This 
    analysis indicates only a minor difference in the cost shares for 
    compensation costs, which are the major portion of labor-related costs. 
    Therefore, we believe that delaying the market basket rebasing until FY 
    1997 will not disadvantage hospitals and will allow us to use more 
    detailed and current data.
    V. Changes and Clarifications to the Prospective Payment System for 
    Capital-Related Costs
    
    A. Update Framework for Prospective Payment System for Inpatient 
    Hospital Capital-Related Costs and Possible Revisions to the Federal 
    Rate (Sec. 412.308(c)(1)(ii))
    
    1. Introduction
        For FY 1992 through FY 1995, Sec. 412.308(c)(1) provides that the 
    update for the capital prospective payment rates (Federal rate and 
    hospital-specific rate) will be based on a 2-year moving average of 
    actual increases in Medicare inpatient capital costs per discharge. The 
    regulations provide that, beginning in FY 1996, HCFA will determine the 
    update in the capital prospective payment rates based on an analytical 
    framework that will take into account (1) changes in the price of 
    capital (which we will incorporate into a capital input price index), 
    and (2) appropriate changes in capital requirements resulting from 
    development of new technologies and other factors (such as existing 
    hospital capacity and utilization). The objective of the capital update 
    framework is to determine a rate of increase in aggregate capital 
    prospective payments that, along with a rate of increase in DRG 
    operating payments, ensures a flow of capital and operating services 
    for efficient and effective care for Medicare patients.
        We have presented a series of preliminary models, using available 
    data and concepts, of an update framework for the prospective payment 
    system for hospital inpatient capital-related costs in our FY 1992, FY 
    1993, FY 1994, and FY 1995 rulemaking documents. We received no public 
    comments on our most recent version of the framework, which appeared in 
    the September 1, 1994 final rule (59 FR 45517-45524). However, the 
    Prospective Payment Assessment Commission (ProPAC) has presented its 
    own update framework, along with a recommendation for the FY 1996 
    update to the capital rates, in its March 1, 1995 report to Congress. 
    Below we present our formal proposal for an update framework, based on 
    our previously published versions and our continued analysis of the 
    data and concepts incorporated into the framework. We also respond to 
    the recommendations of ProPAC.
        The proposed update framework includes a capital input price index 
    (CIPI) that parallels the operating input price index. The CIPI 
    measures the pure price changes associated with changes in capital-
    related costs (prices  x ``quantities''). The composition of capital-
    related costs is maintained at base-year FY 1987 proportions in the 
    CIPI. As such, the composition of capital reflects the underlying 
    capital acquisition process. We employ FY 1987 as the base year for 
    this preliminary CIPI for consistency with the operating input price 
    index. We will periodically update both the operating and the capital 
    input price indexes to reflect the changing composition of inputs for 
    capital and operating costs.
        The proposed capital update framework, like the operating update 
    framework, incorporates several policy adjustments in addition to the 
    CIPI. We propose to adjust the CIPI rate of increase for case-mix 
    index-related changes, for intensity, and for error in previous CIPI 
    forecasts. We also discuss a possible adjustment for the efficient and 
    cost-effective use of capital (such as movable equipment, buildings and 
    fixed equipment) in the hospital industry.
        In this proposed framework, we have attempted to maximize 
    consistency with the current operating framework, in order to 
    facilitate the eventual development of a single prospective payment 
    system update framework. We have also attempted to promote the goals 
    that motivated the adoption of the capital prospective payment system, 
    especially the goals of promoting more effective and efficient 
    utilization of capital resources in the hospital industry and 
    establishing incentives for hospitals to make cost-effective decisions 
    regarding acquisition of new capital resources.
        We will consider comments and recommendations on any aspect of the 
    proposed framework. We are interested in suggestions regarding the 
    CIPI, the proposed policy adjustment factors, and alternative 
    methodologies for deriving the factors. We are especially interested in 
    comments on a possible efficiency adjustment. We welcome information 
    concerning empirical studies and sources of data that could be useful 
    in the framework. To assure consideration before publication of the 
    final rule, comments should be sent by August 1, 1995, to the address 
    listed at the beginning of this proposed rule.
    2. ProPAC Recommendation for Updating the Capital Prospective Payment 
    System Federal Rate
        In its March 1, 1995 report to Congress, ProPAC recommends the use 
    of an update framework that includes a capital market basket component 
    (Recommendation 2). The ProPAC market basket measures 1-year changes in 
    the purchase prices of a fixed basket of capital goods purchased by 
    hospitals. The ProPAC framework also includes several policy adjustment 
    factors. A forecast error correction factor adjusts payment rates so 
    that the effects of past errors are not perpetuated. A financing policy 
    adjustment accounts for the effects of substantial deviations from 
    long-term trends in interest rates on hospital capital costs. The 
    ProPAC capital update framework also includes adjustments for 
    scientific and technological advances, productivity, and case-mix 
    change similar to those employed in the ProPAC operating update 
    framework. ProPAC also recommends the adoption of a single update 
    framework for adjusting PPS operating and capital rates when the 
    transition to full Federal rate capital payments is complete 
    (Recommendation 3).
        Our long-term goal is to develop a single prospective payment 
    system update framework. Once we have completed work on an analytical 
    framework for the capital prospective payment update in this year's 
    final rule, we will begin to study development of a unified framework. 
    In the meantime, we will continue to maintain as much consistency as 
    possible with the current operating framework in order to facilitate 
    the eventual development of a unified framework.
        The ProPAC and HCFA update frameworks share certain goals. The goal 
    of each framework is to provide a rate of increase in capital 
    prospective payments that, along with the rate of increase in operating 
    prospective payments, will ensure a flow of capital and operating 
    resources that will allow for efficient and effective care for Medicare 
    patients. Both frameworks are designed to provide increases for the 
    purchase of quality-enhancing new technologies. Both frameworks provide 
    for case-mix adjustments to remove the effects of upcoding and to 
    adjust for changes in within-DRG severity. Both frameworks also seek to 
    encourage efficient capital spending behavior. Although the frameworks 
    adopt different methodologies for promoting some of these goals, they 
    are compatible to the degree that they share these 
    goals. [[Page 29228]] 
        The major difference between the ProPAC and HCFA frameworks 
    concerns the purpose and structure of the capital input price index, or 
    market basket. ProPAC's framework is based on the premise that capital 
    prospective payments are only for future capital purchases and should 
    not reflect the vintage nature of capital. Thus, ProPAC's proposed 
    capital market basket reflects the projected increase in the purchase 
    price of capital goods from one year to the next. HCFA's framework is 
    based on the premise that capital prospective payments are for 
    hospitals' future capital-related expenses, which include the expenses 
    related to future capital-related purchases. That is, HCFA's framework 
    addresses the input price component of expenses associated with 
    hospitals' given stock of capital in a particular fiscal year; ProPAC's 
    framework ignores hospitals' present stock of capital and focuses on 
    changes in input prices associated with capital purchases that 
    hospitals will make in a particular fiscal year.
        The HCFA CIPI projects the price changes associated with the 
    accounting or vintage costs of capital assets. The HCFA CIPI is based 
    on a definition of capital-related expenses and associated capital-
    related prices derived from accounting practice (including required 
    HCFA PPS accounting practice) and consistent with economic theory. HCFA 
    believes that the concept of capital-related prices incorporated into 
    the HCFA CIPI is more appropriate than the concept incorporated into 
    the ProPAC market basket because the consumption of capital is not just 
    what is purchased in one year. The consumption of capital has a time-
    dimension: Capital is not used up immediately but rather over time. 
    This feature of capital is reflected in the accounting definition of 
    capital cost, and it should be reflected as well in the concept of 
    capital prices in the CIPI. The transition from reasonable cost 
    reimbursement to payment under a prospective system does not cancel the 
    applicability of general accounting practice or the HCFA accounting 
    practice derived from it. Thus the concepts of capital-related expenses 
    and capital-related prices continue to be appropriate. Furthermore, the 
    base capital rates were computed on the basis of accounting costs. HCFA 
    believes that it is more consistent to update those rates on the basis 
    of the changes in prices associated with those costs rather than on the 
    basis of changes in current year purchase prices alone.
        The HCFA CIPI captures the vintage feature of capital price by 
    using a vintage average approach, that is, weighted averages of 
    purchase prices and interest rates up to and including the current 
    year. The use of vintage averages as the measure of price changes 
    tracks the flow of consumption of capital. The vintage approach better 
    reflects what hospital cash-flow needs are as new assets are brought 
    on, since hospitals still bear the costs of older assets as the new 
    assets are brought on.
        HCFA believes that the CIPI appropriately reflects the prices 
    associated with past and current period purchases of capital. Under the 
    HCFA approach, the price change associated with the capital costs for 
    any year is a weighted average of the prices associated with 
    depreciation, interest and other capital costs for that year. The 
    prices associated with the depreciation costs during the year are an 
    average of the pro-rated purchase prices for the assets in use during 
    that year (25 years buildings and fixed equipment, 10 years movable 
    equipment, including current year purchases). The prices associated 
    with the interest costs during the year are an average of the interest 
    rates on debt instruments in effect during that year (22 years, 
    including debt instruments that are new in the current year). Capital-
    related costs for insurance have an annual time dimension, and 
    therefore the prices associated with those expenses are current year 
    prices only.
        In addition to the disagreement with ProPAC over whether the CIPI 
    should reflect the vintage nature of capital, HCFA and ProPAC also 
    disagree over the treatment of interest. ProPAC proposes to account for 
    interest rate changes through a separate financing policy adjustment 
    which would account for significant changes in long term interest 
    rates. This adjustment would increase the update in case of significant 
    long-term interest rate increases, and decrease the update in cases of 
    significant interest rate decreases. (ProPAC has not identified the 
    threshold that constitutes ``significant'' interest rate changes.)
        HCFA believes that there must be an interest rate component in a 
    capital input price index. Sound accounting practice includes interest, 
    along with depreciation, as a component of capital cost. The interest 
    and depreciation components of capital cost track the flow of 
    consumption of capital inputs. Price is a component factor of cost 
    (that is, cost is the product of price and quantity), and capital cost 
    has both depreciation and interest components. There must therefore be 
    an interest component of capital price just as there is an interest 
    component of capital cost.
        Furthermore, ProPAC's treatment of interest assumes that only 
    current year interest rate changes need to be measured to capture the 
    relevant price effects of interest rate changes. HCFA believes that the 
    price aspects of interest costs, like the price aspects of depreciation 
    costs, have a time dimension that must be captured in the CIPI. Whether 
    the current year interest rate reflects a net lower price of financing 
    to the hospital depends not on comparison of the current year's 
    interest rate to the previous year's interest rate, but on the effect 
    of the current year interest rate on all the hospital's debt 
    instruments. For example, assume that the previous year's interest rate 
    was 8 percent, and the current year's interest rate is 5 percent. 
    However, as the hospital enters new financing arrangements at the 
    current rate of 5 percent, it retires debt instruments from 20 years 
    earlier that bore an interest rate of 3 percent. The price effect of 
    the current year's interest rate is thus higher, not lower, as new debt 
    instruments at 5 percent replace old debt instruments at 3 percent. 
    HCFA believes it to be a great advantage of its CIPI that it directly 
    tracks price effects such as these.
        Finally, the pure price aspects of interest costs (that is, the 
    interest rate and the purchase price that is represented in the amount 
    of loan principal) are typically beyond the control of the hospital 
    industry. To be sure, the actual decision to purchase capital assets or 
    acquire debt is a ``quantity'' decision and typically is discretionary 
    for a particular span of time. However, in measuring the actual 
    expected price per unit of real capital, independently of any 
    evaluation of the propriety of any actual purchase decisions, it is 
    essential to recognize that the industry has some control over the 
    amount of capital it purchases but little or no control over the price 
    it pays for capital. Thus, the pure price aspect of interest cost 
    changes must be incorporated into the CIPI. Otherwise, the CIPI will 
    not accurately reflect the prices faced by hospitals who must borrow to 
    finance necessary capital acquisitions. Limitations on the quantity of 
    capital are appropriately implemented through policy adjustment 
    factors. The ProPAC approach artificially eliminates pure price changes 
    related to interest costs from the CIPI and incorporates them into a 
    discretionary adjustment factor. The HCFA CIPI retains all price 
    components of increases in interest costs as one measure of inflation 
    in capital-related expenses. It thereby keeps price and quantity 
    aspects distinct, allowing [[Page 29229]] separate analysis of each 
    factor of increases in capital expenses.
        We provide further comments on particular ProPAC recommendations in 
    section V.A.3 of this preamble.
    3. Measurement of Capital Input Price Increases
        a. Introduction. HCFA discussed a capital input price index as one 
    component in developing future update factors for the Federal rate in 
    the September 1, 1992 Federal Register (57 FR 40016). We have presented 
    revised versions of the capital input price index in the May 26, 1993 
    (58 FR 30448), September 1, 1993 (58 FR 46490), May 27, 1994 (59 FR 
    27876), and September 1, 1994 (59 FR 45517) issues of the Federal 
    Register.
        In this proposed rule, we are formally presenting a capital input 
    price index for public comments prior to adoption of a final rule. The 
    proposed CIPI parallels the operating input price index. Both the CIPI 
    and the operating input price index are designed to measure input price 
    changes for hospitals' current year expenses, that is, to separate pure 
    price changes from quantity and expenditure changes. The operating 
    sector input price index measures input price changes for operating-
    related expenses. The capital input price index measures input price 
    changes for capital-related expenses, which include depreciation, 
    interest, and other expenses (such as insurance related to capital 
    goods.)
        b. Proposed HCFA Capital Input Price Index Methodology. The 
    proposed CIPI is based on the following assumptions:
         The Federal rate is based on the concept of capital-
    related expenses of capital assets used for patient care in the fiscal 
    year and, therefore, any change in the Federal rate should take into 
    account expected changes in the input price aspects of capital-related 
    expenses;
         Capital-related expenses are defined as the sum of 
    depreciation expense, capital-related interest costs, and other 
    capital-related costs, including insurance and leases; and
         The input prices related to capital-related expenses are 
    typically beyond the control of the hospital industry (that is, the 
    hospital is a price-taker, not a price-setter).
        These assumptions lead directly to a definition of a CIPI that 
    takes into account the price aspects of changes in depreciation 
    expense, interest costs, and other capital-related costs. Thus, the 
    proposed CIPI includes three categories of capital-related expenses: 
    Depreciation, interest, and other capital-related costs (such as 
    insurance). Further, the assumptions lead directly to input prices for 
    depreciation and interest costs that, unlike operating costs, have a 
    time dimension that must be captured in the CIPI.
        Current depreciation costs represent the summed depreciation 
    charges for all purchases of capital assets that are still depreciable 
    in the current period. The input prices associated with these 
    depreciation expenses are the purchase prices attached to all past and 
    current capital purchases for capital still depreciable in the current 
    period. A weighted average of these purchase prices thus represents the 
    input price associated with depreciation expenses in the current 
    period. Thus, the depreciation input price for the current period 
    measures price aspects of current depreciation expenses for capital 
    just as the operating input price index for the current period measures 
    price aspects of current operating expenses for labor and non-capital 
    goods and services. The depreciation input price differs from the 
    operating input price in that the depreciation input price is a 
    vintage-weighted composite of all past capital purchase prices while 
    the operating index input price measures purchase prices for current 
    periods only.
        Current interest expenses represent the total interest costs for 
    all still-active past debt instruments associated with past and current 
    purchases of all capital assets. The input prices associated with these 
    interest expenses are the interest rates associated with all past debt 
    instruments that are still active in the current period. A weighted 
    average of these interest rates thus represents the input price 
    associated with interest expenses in the current period. Thus, the 
    interest input price for the current period measures price aspects of 
    current interest expenses just as the operating input price index for 
    the current period measures price aspects of current operating expenses 
    for labor and non-capital goods and services. The interest input price 
    appropriately differs from the operating input price in that the 
    interest input price is a vintage-weighted composite of all interest 
    rates for debt instruments that are still active in the current period, 
    while the operating index input price measures purchase prices for 
    current periods only.
        Current year other capital-related expenses (for example, for 
    insurance) have an annual time dimension and, therefore, prices 
    associated with these expenses are, like operating input prices, 
    current year prices only.
        A commenter on a previous version of the CIPI recommended that 
    proportional annual vintage weights (implicit in moving averages) for 
    capital price proxies be replaced by non-proportional annual vintage 
    weights that reflect the relative vintage purchases of capital. The 
    commenter pointed out that annual purchases of real capital tend to 
    increase over time. As annual purchases of real capital increase, the 
    later years in the moving average of depreciation and interest costs 
    should be weighted more heavily than the earlier years. We agree with 
    this comment. Accordingly, a special data base was prepared to provide 
    appropriate historical vintage weights for depreciation and interest 
    input prices.
        We have done preliminary research into the effects of changing the 
    base year from FY 1987 to FY 1992 using capital-related data from the 
    FY 1992 Medicare cost reports among other sources. The initial results 
    have shown small differences between the FY 1987 and FY 1992 base year 
    weights, resulting in a minimal effect on the CIPI. We will continue to 
    analyze these data in preparation for a future change to a FY 1992 base 
    year when more 1992 data become available.
        The FY 1987 composite data base starts with financial variables 
    from the American Hospital Association (AHA) Panel Survey. The 
    variables are enhanced with data from the Medicare cost reports and 
    from the Department of Commerce Capital Expenditure Survey. The 
    composite data base provides annual estimates of nominal purchases for 
    building and fixed equipment and for movable equipment. Leasing amounts 
    were distributed among building and fixed equipment and movable 
    equipment nominal purchases by first computing the percentage of total 
    owner-operated nominal purchases attributable to each type of 
    equipment, and then applying these percentages to total leasing 
    amounts. Nominal purchases were then converted to annual real (that is, 
    constant dollar) purchases by dividing nominal expenditures by an 
    appropriate purchase price proxy.
        Expected life for building and fixed equipment and for movable 
    equipment were derived from Medicare cost reports by dividing the book 
    value of assets by current year depreciation amounts. The relative 
    distribution of real capital purchases within the respective life for 
    building and fixed equipment (25 years) and for movable equipment (10 
    years) were derived from the special data base. These relative 
    distributions are shown in Table 1. Relative distributions for a number 
    of different time periods were averaged to obtain the distributions in 
    Table 1. These distributions were all very similar regardless of the 
    periods [[Page 29230]] chosen and, therefore, we selected an average of 
    the distributions in order to simplify the calculations.
    
                              Table 1.--Relative Weights for Capital-Related Price Proxies                          
    ----------------------------------------------------------------------------------------------------------------
        Building and fixed equipment                Movable equipment                         Interest              
    ----------------------------------------------------------------------------------------------------------------
          Expected life         25 years        Expected life         10 years        Expected life         22 years
    ----------------------------------------------------------------------------------------------------------------
    1........................      0.015  1........................      0.064  1........................      0.007
    2........................      0.019  2........................      0.072  2........................      0.009
    3........................      0.022  3........................      0.077  3........................      0.010
    4........................      0.024  4........................      0.085  4........................      0.011
    5........................      0.023  5........................      0.095  5........................      0.013
    6........................      0.022  6........................      0.101  6........................      0.015
    7........................      0.020  7........................      0.109  7........................      0.017
    8........................      0.021  8........................      0.122  8........................      0.020
    9........................      0.025  9........................      0.132  9........................      0.023
    10.......................      0.030  10.......................      0.142  10.......................      0.027
    11.......................      0.033      Total................      1.000  11.......................      0.032
    12.......................      0.034                                        12.......................      0.038
    13.......................      0.034                                        13.......................      0.043
    14.......................      0.035                                        14.......................      0.050
    15.......................      0.038                                        15.......................      0.057
    16.......................      0.043                                        16.......................      0.064
    17.......................      0.049                                        17.......................      0.074
    18.......................      0.053                                        18.......................      0.083
    19.......................      0.056                                        19.......................      0.090
    20.......................      0.057                                        20.......................      0.098
    21.......................      0.060                                        21.......................      0.105
    22.......................      0.066                                        22.......................      0.114
    23.......................      0.071                                            Total................      1.000
    24.......................      0.075                                                                            
    25.......................      0.077                                                                            
        Total................      1.000                                                                            
    ----------------------------------------------------------------------------------------------------------------
    Source: Health Care Financing Administration, Office of the Actuary (Medicare Cost Reports, AHA Panel Survey,   
      Securities Data Inc.)                                                                                         
    
        Table 2 shows the historical, annual percentage changes in the 
    capital-related price proxies employed in the CIPI prior to vintage-
    weighting. These proxies are: The institutional construction index 
    maintained by Boeckh for the unit prices of fixed assets; the machinery 
    and equipment component of the Producer Price Index (PPI-11) for 
    movable equipment; the average yield on domestic municipal bonds from 
    the Bond Buyer index of 20 bonds (Muni); the average yield on Moody's 
    corporate bonds (AAA); a composite of Muni and AAA indexes (Combined 
    Muni/AAA); and the residential rent component of the Consumer Price 
    Index (CPI Rent) for other capital costs.
        We previously used the Engineering News-Record (ENR) building cost 
    index as a price proxy for the unit price of fixed assets. However, we 
    believe that the Boeckh institutional construction index is more 
    applicable to the industry. The variation between the two indexes is 
    minimal.
        We applied the relative vintage depreciation weights from Table 1 
    to the appropriate non-vintage weighted historical, annual index levels 
    (base year FY 1987) of depreciation price proxies to generate the 
    current year, vintage-weighted component index levels for the CIPI 
    depreciation sector. The annual percentage change between the non-
    vintage weighted historical, annual depreciation index levels are 
    listed in Table 2. The annual percentage change between the annual, 
    vintage-weighted depreciation component index levels (base year FY 
    1987) are listed in Table 3. For example, the FY 1996 movable equipment 
    index component percentage change of 1.8 percent in Table 3 was 
    computed as the percentage change between the FY 1995 and FY 1996 
    vintage-weighted movable equipment component index levels. The 1996 
    movable equipment component index (base year FY 1987) represents the 
    weighted-average of the index levels in the movable equipment price 
    proxy (PPI-11 in Table 2) for the previous 10 years (that is, FY 1987 
    through 1996), weighted by the relative vintage weights listed for 
    movable equipment in Table 1. These calculations are slightly different 
    than prior versions of the CIPI in the Federal Register, and reflect a 
    more refined weighting methodology.
    
    Table 2.--Annual Percent Changes for Non-Vintage Weighted Capital Input Price Proxies, Fiscal Years 1949 to 2000
    ----------------------------------------------------------------------------------------------------------------
                                                                                                 Combined           
                      Fiscal year                     BOECKH     PPI-11      Muni       AAA      muni/AAA   CPI rent
    ----------------------------------------------------------------------------------------------------------------
    1949..........................................        3.3        7.4       -4.4       -3.1       -4.2        4.4
    1950..........................................        1.4        0.5       -9.4       -4.2       -8.4        3.9
    1951..........................................        8.6       13.6       -5.8        7.1       -3.4        3.7
    1952..........................................        3.7        1.6       12.9        5.7       11.4        4.2
    1953..........................................        3.5        0.8       25.9        7.3       22.2        4.7
    1954..........................................        1.5        2.7       -8.2       -6.3       -7.9       4.8 
    [[Page 29231]]
                                                                                                                    
    1955..........................................        1.8        1.9       -0.4        1.1       -0.1        1.4
    1956..........................................        4.8        7.5        7.8        7.6        7.8        1.7
    1957..........................................        3.6        8.0       24.0       18.0       23.0        1.9
    1958..........................................        1.8        3.2       -3.7       -1.1       -3.3        1.9
    1959..........................................        3.1        1.6       11.5       13.3       11.8        1.3
    1960..........................................        2.7        1.5        1.7        4.9        2.3        1.6
    1961..........................................        1.1       -0.3       -3.1       -3.2       -3.2        1.3
    1962..........................................        2.2        0.0       -6.4        0.8       -5.1        1.3
    1963..........................................        2.3        0.0       -3.4       -2.8       -3.3        1.0
    1964..........................................        2.8        0.9        3.2        3.3        3.2        1.0
    1965..........................................        3.1        0.6       -0.5        1.6       -0.1        1.0
    1966..........................................        3.8        2.7       16.5       11.0       15.4        1.2
    1967..........................................        5.3        3.8        2.4        8.3        3.5        1.7
    1968..........................................        7.3        2.8       14.7       14.5       14.6        2.4
    1969..........................................        8.4        3.3       21.5        9.8       19.2        2.8
    1970..........................................        7.0        4.2       22.2       18.0       21.4        4.1
    1971..........................................        8.7        4.2      -13.9       -4.9      -12.3        4.7
    1972..........................................        8.0        2.2       -5.8       -3.8       -5.4        3.6
    1973..........................................        6.0        2.6       -1.8        0.8       -1.3        4.0
    1974..........................................        8.0        9.9       12.6       12.5       12.6        4.9
    1975..........................................       11.1       19.5       19.2        7.9       16.9        5.2
    1976..........................................        7.6        6.7       -1.2       -3.2       -1.5        5.3
    1977..........................................        8.5        6.0      -15.8       -6.4      -14.1        5.8
    1978..........................................        6.6        7.6        1.1        5.6        2.0        6.7
    1979..........................................        7.5        8.7        7.3        8.9        7.6        7.1
    1980..........................................        8.6       11.5       26.9       22.9       26.1        8.6
    1981..........................................        9.8       10.6       32.9       20.7       30.5        8.8
    1982..........................................        9.6        7.1       16.2        5.5       14.2        8.0
    1983..........................................        7.0        3.2      -22.5      -17.7      -21.7        6.3
    1984..........................................        5.2        2.3        4.8        6.9        5.1        5.0
    1985..........................................        2.0        2.2       -5.3       -7.1       -5.6        5.9
    1986..........................................        1.6        1.5      -18.1      -19.6      -18.4        6.2
    1987..........................................        2.1        1.5       -5.5       -5.3       -5.5        4.5
    1988..........................................        2.3        2.2        7.1        9.9        7.6        3.8
    1989..........................................        3.6        3.5       -6.7       -4.8       -6.3        3.8
    1990..........................................        2.5        3.1       -1.2       -2.0       -1.3        4.2
    1991..........................................        2.7        2.2       -2.7       -2.6       -2.7        3.9
    1992..........................................        3.1        0.5       -7.4       -8.2       -7.5        2.6
    1993..........................................        2.4        0.4      -10.6       -8.9      -10.3        2.4
    1994..........................................        2.8        0.8        0.0        0.2        0.0        2.3
    1995..........................................        3.2        1.5       17.9       12.7       17.0        3.2
    1996..........................................        3.0        3.2       -5.4       -3.0       -5.0        4.1
    1997..........................................        3.1        2.6       -2.2       -1.8       -2.1        2.2
    1998..........................................        3.4        2.5        2.5        1.6        2.3        3.1
    1999..........................................        3.1        2.6        0.9        0.9        0.9        2.9
    2000..........................................        3.1        2.6       -0.8        0.5       -0.5       2.9 
    ----------------------------------------------------------------------------------------------------------------
    Proxy Name:                                                                                                     
    BOECKH--Institutional construction.                                                                             
    PPI-11-Machinery and equipment.                                                                                 
    Muni--Average yield on domestic municipal bonds--bond buyer (20 bonds).                                         
    AAA--Average yield on moody's AAA corporate bonds.                                                              
    CPI RENT (all urban)--residential rent.                                                                         
    Source: DRI/McGraw-Hill HCC, 1st Qtr 1995; @USSIM/Trend25YR95; @CISSIM/CONTROL951.                              
    Released By: HCFA, OACT, Office of National Health Statistics.                                                  
    
    
           Table 3.--HCFA Capital Input Price Index Percent Changes, Total and Components, Fiscal Years     1979 to 
                                                          2000                                                      
    ----------------------------------------------------------------------------------------------------------------
                                                                         Depreciation                               
                                                              ---------------------------------                     
                      Fiscal year                     Total                Building              Interest    Other  
                                                                 Total    and fixed   Movable                       
                                                                          equipment  equipment                      
    ----------------------------------------------------------------------------------------------------------------
    Weights.......................................     1.0000     0.6510     0.3054     0.3456     0.3274     0.0216
        (FY1987)                                                                                                    
                                                                                                                    
    ----------------------------------------------------------------------------------------------------------------
     [[Page 29232]]
                                                                                                                    
                                                      Price Changes                                                 
                                                                                                                    
    ----------------------------------------------------------------------------------------------------------------
    1979..........................................        5.6        7.4        6.9        7.7        2.6        7.1
    1980..........................................        7.1        7.9        7.2        8.6        5.6        8.6
    1981..........................................        8.8        8.4        7.6        9.1        9.5        8.8
    1982..........................................        9.3        8.5        7.9        9.0       10.7        8.0
    1983..........................................        6.7        8.0        7.8        8.1        4.7        6.3
    1984..........................................        6.3        7.2        7.5        7.0        4.8        5.0
    1985..........................................        5.1        6.2        6.7        5.7        3.3        5.9
    1986..........................................        3.7        5.5        6.1        5.0        0.3        6.2
    1987..........................................        3.1        4.9        5.6        4.3       -0.5        4.5
    1988..........................................        3.0        4.5        5.3        3.9        0.1        3.8
    1989..........................................        2.7        4.3        5.1        3.6       -0.7        3.8
    1990..........................................        2.4        4.0        4.8        3.2       -1.0        4.2
    1991..........................................        2.1        3.6        4.5        2.7       -1.3        3.9
    1992..........................................        1.7        3.2        4.3        2.1       -2.1        2.6
    1993..........................................        1.3        2.9        4.1        1.8       -2.9        2.4
    1994..........................................        1.3        2.8        4.0        1.6       -2.7        2.3
    1995..........................................        1.8        2.7        3.9        1.6       -1.0        3.2
    1996..........................................        1.8        2.8        3.8        1.8       -1.5        4.1
    1997..........................................        1.8        2.9        3.7        2.0       -1.6        2.2
    1998..........................................        1.9        2.9        3.6        2.0       -1.1        3.1
    1999..........................................        2.0        2.8        3.5        2.0       -0.8        2.9
    2000..........................................        2.0        2.8        3.5        2.1       -0.7       2.9 
    ----------------------------------------------------------------------------------------------------------------
    Source: DRI/McGraw-Hill HCC, 1st Qtr 1995; @USSIM/Trend25YR95; @CISSIM/CONTROL951.                              
    Released By: HCFA, OACT, Office of National Health Statistics.                                                  
    
      As we have discussed in connection with previous versions of the 
    CIPI, stability is an important criterion for evaluating such an index. 
    Stability is an inherent characteristic of capital because of its 
    vintage nature; since capital assets are consumed over time, they are 
    replaced at a relatively slow rate. An input price index for capital 
    should reflect the relative stability of capital assets themselves. 
    Furthermore, excessive volatility in a price index deprives the index 
    of predictability, thus inhibiting the ability of institutions to plan 
    for changes in capital payments resulting from changes in the CIPI. We 
    graphically demonstrated (using the projections available at that time) 
    the stability of the annual HCFA vintage-weighted CIPI compared to 
    annual changes in non-vintage weighted capital purchase prices in 
    Figures 1 and 2 in our discussion of May 27, 1994 (59 FR 27882).
        ProPAC recommends a capital input price index based on annual 
    changes in current capital purchase prices excluding consideration of 
    weighted historical capital purchase prices (that is, not vintage 
    weighted). We previously argued that the ProPAC index was not 
    consistent with the operating input price index that is currently used 
    to assist updating DRG payment rates. We would add that the greater 
    volatility in annual purchase prices would introduce an unacceptable 
    degree of volatility in prospective capital payments and does not 
    reflect the inherent stability that comes from the vintage nature of 
    capital.
        Another commenter on a previous version of the CIPI recommended 
    that data from Securities Data Corporation be incorporated into the 
    CIPI interest computations. This source provides information on 
    hospital issuances of municipal and commercial bonds. From this data 
    base, we incorporated information showing that the average expected 
    life of hospital bond debt instruments (that is, the time interval 
    between the issue date and the maturation date) was about 13 years for 
    municipal serial bonds and about 25 years for municipal term bonds. The 
    weighted average life for the 2 types of bonds was 22 years.
        The relative nominal capital purchases within various 22-year 
    periods provided appropriate vintage weights for annual changes in 
    interest rates. Not all capital purchases are funded by debt. Medicare 
    cost reports suggest that about 80 percent of new capital acquisitions 
    are financed by debt and about 20 percent by equity financing. However, 
    if the proportion of total purchases financed by debt does not change 
    substantially from year to year, then it is irrelevant whether we use 
    the full amount or a constant proportion of the full amount of nominal 
    capital acquisitions as weights for relative amounts of the debt 
    instruments still active in the current period.
        A third commenter on a previous version of the CIPI recommended 
    that we investigate the effects on interest rate changes of changing 
    structures of hospital bond ratings. If bond ratings are deteriorating, 
    hospitals incur higher interest rate charges; if bond ratings improve, 
    hospitals incur lower interest rates. Our CIPI currently recognizes 
    only changes in pure interest rates and does not recognize changes in 
    effective interest rates due to changes in bond ratings.
        We examined a hospital-municipal-bond data base from Securities 
    Data Corporation, to examine that issue. The data showed that serial 
    bonds continue to dominate short-term financing and that term bonds 
    dominate long-term financing. We classified all bond amounts by ratings 
    found in the data base for years 1980 to 1993. The 
    [[Page 29233]] distribution of those issues described with a Moody's 
    Quality Rating, shown in Table 4 (portions are applied to dollar amount 
    of debt issued), indicates a trend toward higher quality issues since 
    1984. Although the annual, aggregate issue amounts in Moody's quality 
    range Aaa through A have remained approximately constant since 1980, 
    issue amounts in the highest quality band have become substantially 
    higher since inception of the prospective payment system. Both issue 
    amounts in the Aaa-Aa3 ranges and those in the Aaa-A range are greater 
    in 1993 than at any time since 1980. We conclude there is no evidence 
    to justify a component for deteriorating bond ratings in the CIPI.
    
      Table 4.--Percent Distribution of Hospital Municipal Bond Amounts by  
                             Moody's Quality Rating*                        
    ------------------------------------------------------------------------
                              Pre-PPS                  Post-PPS             
                         ---------------------------------------------------
                             1980-1983       1984-1988                      
                             (percent)       (percent)    1989-1993(percent)
    ------------------------------------------------------------------------
    Aaa-Aa3.............             7.1            36.8              49.0  
    Aa-A................            50.6            24.1              21.7  
    Baa1-Ba.............             9.6             3.6               8.0  
    Not Rated...........            31.0            32.7             17.9   
    ------------------------------------------------------------------------
    *Distributions do not sum to 100 percent due to a residual category of  
      missing data.                                                         
    Notes:                                                                  
    \1\Aggregate issues from Aaa-A have remained fairly constant since 1980.
    \2\Issue amounts in the highest quality band have become substantially  
      higher since inception of PPS.                                        
    \3\Both issue amounts in the Aaa-Aa3 ranges and those in the Aa-A ranges
      are greater in 1993 than at any time since 1980.                      
    
        Relative vintage interest weights derived from our procedure are 
    shown in Table 1. When combined with index levels (base year FY 1987) 
    of annual, non-vintage weighted interest rate proxies, the relative 
    interest weights provide current year, vintage-weighted component index 
    levels for interest rates in the CIPI. The annual percentage change 
    between the non-vintage weighted historical, annual interest index 
    levels are listed in Table 2. The annual percentage change between the 
    annual, vintage-weighted interest component index levels (base year FY 
    1987) are listed in Table 3. Thus, for example, the interest rate 
    component change of -1.5 percent in Table 3 for FY 1996 represents the 
    annual percentage change between the 1995 and 1996 vintage-weighted 
    interest component index levels. The 1996 interest component index 
    level (base year FY 1987) is computed as the vintage-weighted average 
    of the previous 22 years in the interest rate proxy index level 
    (Combined Muni/AAA) in Table 2, weighted by the interest weights listed 
    in Table 1. We use an index level for a combined municipal and AAA 
    commercial bond interest rate (percent changes shown in Table 2 as 
    Combined Muni/AAA), giving the municipal rate an 85 percent weight and 
    the AAA rate a 15 percent weight, reflecting the relative hospital 
    debts of the government/non-profit hospital sector and the for-profit 
    sector.
        Although Medicare cost reports show that only 60 percent of current 
    hospital debt is in the form of notes or bonds (about 40 percent is in 
    the form of mortgages), we assumed that the relative annual weights for 
    all debt and the relative annual changes in interest rates for all debt 
    were the same as bond-related weights and price changes. We are still 
    searching for an appropriate source of information on hospital 
    commercial mortgage data. We do not expect that the discovery of such 
    data will materially alter our current conclusions about trends in 
    effective interest rates over time.
        c. Projection of the CIPI for Fiscal Year 1996. DRI projects a 1.8 
    percent increase in the CIPI for FY 1996 (Table 3). This is the outcome 
    of a 2.8 percent increase in projected weighted depreciation prices in 
    FY 1996, partially offset by a 1.5 percent decline in vintage-weighted 
    interest rates in FY 1996.
        d. ProPAC Input Price Index. i. Introduction. Three major 
    differences distinguish ProPAC's CIPI from HCFA's CIPI:
         The ProPAC CIPI measures changes in capital asset purchase 
    prices in the year the asset is purchased (that is, not vintage 
    weighted). HCFA's CIPI is designed to measure changes in a vintage-
    weighted composite of capital asset purchase prices.
         The ProPAC CIPI uses the Marshall and Swift hospital 
    equipment index as the movable equipment purchase price proxy while 
    HCFA uses the Producer Price Index for machinery and equipment.
         The ProPAC CIPI has no interest component. ProPAC treats 
    interest rate changes as an optional separate update policy adjustment 
    factor.
        Through 1996, for example, ProPAC expects that long term interest 
    rates will remain relatively stable and, therefore, believes that it is 
    not appropriate to adjust capital input prices for forecasted changes 
    in interest rates in the target year.
        HCFA incorporates a vintage-weighted composite of interest rates in 
    its CIPI for the target year.
        ii. Depreciation. ProPAC states that its CIPI is analogous to the 
    prospective payment operating price index. We disagree. The components 
    of the operating index represent price changes in ongoing hospital 
    expenses for labor and non-capital goods and services. The analogous 
    capital expenses in this context are current depreciation costs, 
    interest costs, and other capital-related expenses (such as insurance). 
    Current depreciation and interest costs, according to HCFA, IRS, and 
    accounting principles, are a cumulative composite of segments of 
    expenses incurred in current and prior periods. Current interest costs 
    are a cumulative composite of segments of past and current year debt 
    costs. Since both depreciation and interest costs have a vintage 
    component, the price aspect of these costs must have a vintage 
    component as well. The HCFA CIPI attempts to capture these vintage 
    components.
        Differences between HCFA and ProPAC with respect to choices for 
    annual non-vintage weighted rates of change in alternative price 
    proxies for movable equipment are small for much of the historical 
    period. (We illustrated this fact in Figure 8 (Inset) in the May 27, 
    1994 proposed rule (59 FR 27890), using earlier projections.) As noted 
    in our September 1, 1992 final rule, one basic criterion for accepting 
    price proxies is public availability of documentation on data sources 
    and methodology (57 FR 40018-40019). [[Page 29234]] Despite repeated 
    efforts, neither we nor Data Resources Inc. have been able to obtain 
    documentation on the movable price proxy recommended by ProPAC 
    (Marshall and Swift hospital equipment index) that explains how it is 
    derived and what sampling frame and sampling error attach to the 
    estimates. In the absence of such information we cannot adopt the 
    ProPAC alternative.
        HCFA's assumption is that prices for movable equipment purchased by 
    hospitals change at about the same rate as general prices for all 
    machinery and equipment. This assumption is justified in part by the 
    fact that not all movable equipment purchased by hospitals is medical 
    equipment; it stands to reason that the prices for non-medical movable 
    equipment purchased by hospitals, such as automobiles, desks, chairs, 
    etc., would change at about the same rate as prices for all machinery 
    and equipment. To examine this assumption further, we measured the rate 
    of change in the HCFA movable price proxy relative to prices for 
    medical equipment only by preparing a composite index of medical prices 
    from the Bureau of Labor Statistics Producer Price Index (PPI) for two 
    commodity categories--medical instruments/equipment and X-ray/electro-
    medical equipment. The two PPI commodity indexes were then merged using 
    their respective PPI weights. Price changes for this index are not 
    available for years prior to 1984. Annual price changes for medical 
    equipment follow the annual HCFA price proxy more closely than the 
    ProPAC price proxy for most of the historical period. We will continue 
    to monitor trends in these indexes to ensure that appropriate price 
    proxies are incorporated in the CIPI.
        iii. Interest. ProPAC has proposed to project annual interest rates 
    to future periods and then to decide whether to allow an add-on to the 
    Federal capital rate depending on the magnitude of the projection. 
    ProPAC has presented no objective criteria for determining when an 
    interest adjustment is appropriate. We previously noted that a single-
    year projection for interest rates is conceptually inappropriate since 
    interest costs must be vintage-weighted. In addition to this conceptual 
    problem, the ProPAC approach is impractical because future annual 
    interest rates are volatile, vulnerable to unpredictable market forces, 
    and subject to exogenous influences (such as Federal Reserve Board 
    decisions) that are difficult to anticipate. Thus, any projection of 
    future annual interest rates is likely to be inaccurate, resulting in 
    underpayment or overpayment of the Federal capital rate relative to the 
    capital-related expenses that the rate is supposed to compensate. The 
    resulting uncertainty in payments under future Federal capital rates 
    further complicates future capital expenditure decisions by hospitals. 
    On the other hand, the projected HCFA CIPI interest component for the 
    target year is the weighted average change over 22 years of interest 
    rate history, of which 20 years experience in the non-vintage weighted 
    price proxy is appropriately historical. The projected annual, non-
    vintage weighted experience in the price proxy for the most recent 2 
    years may be as inaccurate as any ProPAC projection, but any error will 
    have minimal effects on Federal rates due to the appropriately weighted 
    effect of the historical data in the HCFA CIPI. This stability in the 
    interest rate component of the HCFA CIPI provides hospital planners 
    with a degree of certainty about future Federal rate payments, other 
    things remaining equal.
        iv. The Composite HCFA CIPI. Annual percentage changes in the 
    historical and projected HCFA and ProPAC CIPI's differ markedly as 
    shown in Table 5. The 3.1 percent increase for the ProPAC capital 
    market basket in Table 5 for FY 1996 is lower than the 4.1 percent 
    increase presented in ProPAC's March 1995 Report and Recommendation to 
    the Congress. In the ProPAC March report, ProPAC used the 4th quarter 
    1994 DRI forecasts, while the figure in this proposed rule represents 
    1st quarter 1995 DRI forecasts. Between 4th quarter 1994 and 1st 
    quarter 1995, DRI revised its forecast by 1.0 percent to reflect slower 
    price growth in 1996 than originally expected. A lower forecast for the 
    movable equipment price proxy (Marshall and Swift) was responsible for 
    two-thirds of the 1.0 percent decline between forecasts. The remaining 
    one-third of the decline was the result of lower forecasts in the fixed 
    equipment price proxy (Boeckh) and the other capital-related expenses 
    price proxy (CPI-residential rent), with each being equally 
    responsible. We emphasize that the later forecast was not available 
    when ProPAC released its March report.
        The ProPAC CIPI is much more volatile than the HCFA CIPI in the 
    historical period through 1994 because it does not reflect vintage-
    weighted capital input price factors for depreciation. Further, the 
    ProPAC CIPI omits conceptually relevant interest rates. The cumulative 
    effect of declining interest rates for all debt instruments in recent 
    years has driven the rate of change in the HCFA vintage-weighted 
    interest rate component downward, a trend projected by DRI into future 
    rate years. The declining interest rate component appropriately brings 
    the HCFA CIPI below the ProPAC CIPI in the projection period. Other 
    things being equal, the ProPAC index would result in overpayment 
    through the Federal rate because anticipated actual capital-related 
    expenses will be less than ProPAC projects due to the effects of lower 
    interest rates on capital-related expenses.
    
     Table 5.--Annual Percent Changes in HCFA Capital Input Price Index and 
                 the ProPAC Capital Market Basket, 1979 to 2000             
    ------------------------------------------------------------------------
                                                           HCFA             
                                                         capital     ProPAC 
                        Fiscal year                       input     capital 
                                                          price      market 
                                                          index      basket 
    ------------------------------------------------------------------------
    1979..............................................        5.6        8.3
    1980..............................................        7.1        9.2
    1981..............................................        8.8       10.0
    1982..............................................        9.3        7.7
    1983..............................................        6.7        4.6
    1984..............................................        6.3        3.9
    1985..............................................        5.1        2.2
    1986..............................................        3.7        1.7
    1987..............................................        3.1        2.1
    1988..............................................        3.0        3.5
    1989..............................................        2.7        4.6
    1990..............................................        2.4        2.3
    1991..............................................        2.1        3.0
    1992..............................................        1.7        2.2
    1993..............................................        1.3        2.1
    1994..............................................        1.3        2.8
    1995..............................................        1.8        3.5
    1996..............................................        1.8        3.1
    1997..............................................        1.8        3.3
    1998..............................................        1.9        3.3
    1999..............................................        2.0        3.2
    2000..............................................        2.0       3.3 
    ------------------------------------------------------------------------
    Source: DRI/McGraw-Hill HCC, 1st Qtr 1995; @USSIM/Trend25YR95; @CISSIM/ 
      CONTROL951.                                                           
    Released by: HCFA, OACT, Office of National Health Statistics.          
    
        ProPAC believes that Medicare program payments should reflect both 
    savings from low interest rate levels on new debt instruments and the 
    additional costs of high interest rate levels. As explained above, the 
    Commission has proposed accomplishing this through an interest policy 
    adjustment. However, ProPac has neither presented a threshold level for 
    making an interest adjustment nor established a process for determining 
    the amount of the adjustment. The HCFA CIPI, on the other hand, 
    automatically registers the price effects of interest rate changes on 
    new debt instruments that carry over into future periods, although 
    those effects are appropriately registered only very gradually. 
    [[Page 29235]] 
        When interest rate levels decline, hospitals may refinance their 
    existing debt. Refinancing has a price effect as new debt instruments 
    with lower prices (interest rate levels) replace older debt instruments 
    with higher prices (interest rate levels). ProPAC believes its interest 
    policy adjustment can and should capture this behavior. In this way, 
    Medicare can share in the savings from refinancing. The HCFA CIPI does 
    not now automatically register the price effects of refinancing. 
    Whether to do so or not is a policy judgment concerning whether HCFA 
    should share in refinancing savings or allow hospitals to realize the 
    full effects of refinancing. A refinancing adjustment would not only 
    reflect actual hospital behavior, but would also add to the existing 
    incentives of a rate-based system for hospitals to replace high 
    interest debt instruments with lower interest debt instruments. 
    However, the absence of a refinancing adjustment could allow individual 
    hospitals to refinance and keep the savings, just as individual 
    hospitals who become relatively more efficient in furnishing care for 
    specific DRGs are rewarded for the more efficient behavior.
        We invite comment on whether to incorporate a refinancing 
    adjustment within the HCFA framework. A refinancing adjustment would 
    present specific problems because HCFA has not been able to obtain data 
    to accurately determine refinancing amounts. Whether HCFA can 
    ultimately propose a refinancing adjustment depends upon whether the 
    necessary data can be obtained.
        Since refinancing is a price matter, the adjustment would 
    appropriately be on the price side of the framework, rather than on the 
    policy adjustment side, which deals with quantities. However, the 
    adjustment would not be included directly within the CIPI because the 
    price effect of refinancing involves a shift in the vintage weights 
    applied to index levels. That is, interest expense associated with 
    prices (interest rate levels) in the year the debt is originated would 
    be shifted to reflect interest expense associated with prices in the 
    year the debt is refinanced. This essentially would reduce the relative 
    vintage weights for interest in the CIPI (Table 1) in some years and 
    increase the relative vintage weights for interest in other years. Yet 
    by definition, the fixed-weight CIPI holds all weights constant. 
    However, a discretionary adjustment could be made on the relative 
    vintage weights. This is analogous to the separate adjustments for real 
    case-mix changes in the update framework.
        At this time we are continuing to analyze the merits and technical 
    difficulties of including a refinancing adjustment in the HCFA update 
    framework. We encourage comments and suggestions on a refinancing 
    adjustment, as well as any studies or data sources that would be useful 
    in assessing and implementing this potential adjustment.
    4. Case-Mix Adjustment and Adjustment for Forecast Error
        The case-mix index (CMI) is the measure of the average DRG weight 
    for cases paid under the prospective payment system. Because the DRG 
    weight determines the prospective payment for each case, any percentage 
    increase in the CMI corresponds to an equal percentage increase in 
    hospital payments.
        The CMI can change for any of several reasons: Because the average 
    resource use of Medicare patients changes (``real'' case-mix change); 
    because changes in hospital coding of patient records result in higher 
    weight DRG assignments (``coding effects''); and because the annual DRG 
    reclassification and recalibration changes may not be budget neutral 
    (``reclassification effect''). We define real case-mix change as actual 
    changes in the mix (and resource requirements) of Medicare patients as 
    opposed to changes in coding behavior that result in assignment of 
    cases to higher-weighted DRGs but do not reflect higher resource 
    requirements. In the update framework for the prospective payment 
    system for operating costs, we adjust the update upwards to allow for 
    real case-mix change, but remove the effects of coding changes on the 
    CMI. We also remove the effect on total payments of prior changes to 
    the DRG classifications and relative weights, in order to retain budget 
    neutrality for all CMI-related changes other than patient severity. 
    (For example, we adjusted for the effects of the FY 1992 DRG 
    reclassification and recalibration as part of our FY 1994 update 
    recommendation.) The operating adjustment consists of a reduction for 
    total observed case-mix change, an increase for the portion of case-mix 
    change that we determine is due to real case-mix change rather than 
    coding modifications, and an adjustment for the effect of prior DRG 
    reclassification and recalibration changes. We propose to adopt this 
    CMI adjustment as well in the capital update framework.
        For FY 1996, we are projecting a 0.8 percent increase in the case-
    mix index. We estimate that real case mix increase will equal projected 
    case-mix increase in FY 1996. We do not anticipate any changes in 
    coding behavior in our projected case-mix change. The proposed net 
    adjustment for case-mix change in FY 1996 is therefore 0.0 percentage 
    points.
        The -1.0 percent figure used in the ProPAC framework represents 
    ProPAC's projection for observed case-mix change. ProPAC projects a 0.8 
    percent increase in real case-mix change across DRG's and a 0.2 percent 
    increase in within-DRG complexity. ProPAC's net adjustment for case mix 
    is therefore zero.
        We estimate that DRG reclassification and recalibration resulted in 
    a 0.3 percent increase in the case mix when compared with the case-mix 
    index that would have resulted if we had not made the reclassification 
    and recalibration changes to the DRGs. ProPAC does not make an 
    adjustment for DRG reclassification and recalibration in its update 
    recommendation.
        The current operating update framework contains an adjustment for 
    forecast error. The input price index forecast is based on historical 
    trends and relationships ascertainable at the time the update factor is 
    established for the following year. In any given year there can be 
    unanticipated price fluctuations that can result in differences between 
    the actual increase in prices faced by hospitals and the forecast used 
    in calculating the update factors. We continue to believe that the 
    capital update framework should include a forecast error adjustment 
    factor. In setting a prospective payment rate under the proposed 
    framework, we would make an adjustment for forecast error only if our 
    estimate of the capital input price index rate of increase for any year 
    is off by 0.25 percentage points or more. There is a 2-year lag between 
    the forecast and the measurement of the forecast error. Thus, for 
    example, we would adjust for a forecast error made in FY 1996 through 
    an adjustment to the FY 1998 update.
        5. Policy Adjustment Factors
        The capital input price index measures the pure price changes 
    associated with changes in capital-related costs (prices  x  
    ``quantities''). The composition of capital-related costs is maintained 
    at base-year 1987 proportions in the capital input price index. We 
    would address appropriate changes in the amount and composition of 
    capital stock through the policy adjustment factors.
        The current update framework for the prospective payment system for 
    operating costs includes factors designed to adjust the input price 
    index rate of increase for policy considerations. Under the revised 
    [[Page 29236]] operating framework, we adjust for service productivity 
    (the efficiency with which providers produce individual services such 
    as laboratory tests and diagnostic procedures) and intensity (the 
    amount of services used to produce a discharge). The service 
    productivity factor for the operating update framework reflects a 
    forward-looking adjustment for the changes that hospitals can be 
    expected to make in service-level productivity during the year. A 
    hospital retains any productivity increases above the average.
        The intensity factor for the operating update framework reflects 
    how hospital services are utilized to produce the final product, that 
    is, the discharge. This component accounts for changes in the use of 
    quality-enhancing services, changes in within-DRG severity, and 
    expected modification of practice patterns to remove cost-ineffective 
    services. We are proposing that the intensity adjustment factor in the 
    operating framework be adopted in the capital update framework. Under 
    the operating update framework, we calculate case-mix constant 
    intensity as the change in total charges per admission, adjusted for 
    price level changes (the CPI hospital component) and changes in real 
    case mix. The use of total charges in the calculation of the proposed 
    intensity factor makes it a total intensity factor, that is, charges 
    for capital services are already built into the calculation of the 
    factor. We can therefore incorporate the proposed intensity adjustment 
    from the operating update framework into the capital update framework. 
    In the absence of reliable estimates of the proportions of the overall 
    annual intensity increases that are due, respectively, to ineffective 
    practice patterns and to the combination of quality-enhancing new 
    technologies and within-DRG complexity, we would assume, as in the 
    revised operating update framework, that one-half of the annual 
    increase is due to each of these factors. The capital update framework 
    would thus provide an add-on to the input price index rate of increase 
    of one-half of the estimated annual increase in intensity to allow for 
    within-DRG severity increases and the adoption of quality-enhancing 
    technology.
        For FY 1996, we have developed a Medicare-specific intensity 
    measure based on a five-year average using FYs 1990-1994. In 
    determining case-mix constant intensity, we found that observed case-
    mix increase was 2.2 percent in FY 1990, 2.8 percent in FY 1991, 1.8 
    percent in FY 1992, 0.9 percent in FY 1993, and 0.8 percent in FY 1994. 
    For FY 1990 through FY 1992, we estimate that 1.0 to 1.4 percent of the 
    case-mix increase was real. (This estimate is supported by past studies 
    of case-mix change by the RAND Corporation. The most recent study was 
    ``Has DRG Creep Crept Up? Decomposing the Case-Mix Index Change Between 
    1987 and 1988'' by G.M. Carter, J.P. Newhouse, and D.A. Relles, R-4098-
    HCFA/ProPAC (1991). The study suggested that real case-mix change was 
    not dependent on total change, but was rather a fairly steady 1.0 to 
    1.5 percent per year. We use 1.4 percent as the upper bound because the 
    RAND study did not take into account that hospitals may have induced 
    doctors to document medical records more completely in order to improve 
    payment.) We assumed that all of the observed case-mix increase of 0.9 
    percent for FY 1993 and 0.8 percent for FY 1994 was real. (This 
    assumption is consistent with the FY 1996 CMI projections described 
    above.) If we assume that real case-mix increase was 1.0 percent per 
    year during FY 1990 through FY 1992 (but 0.9 percent in FY 1993 and 0.8 
    percent in FY 1994), case-mix constant intensity declined by an average 
    1.2 percent during FY 1990 through FY 1994, for a cumulative decrease 
    of 6.1 percent. If we assume that real case-mix increase was 1.4 
    percent per year during FY 1990 through FY 1992 (but 0.9 percent in FY 
    1993 and 0.8 percent in FY 1994), case-mix constant intensity declined 
    by an average 1.5 percent during FY 1990 through FY 1994, for a 
    cumulative decrease of 7.2 percent. Since we estimate that intensity 
    has declined during the FY 1990-1994 period, we are recommending a 0.0 
    percent intensity adjustment for FY 1996.
        In our previous discussions of a possible efficiency adjustment, we 
    suggested that such an adjustment should take into account two 
    considerations. One is that capital inputs, unlike operating inputs, 
    are generally fixed in the short run. The productivity target in the 
    revised operating framework operates on a short-term, year-to-year 
    basis. Targets for capital efficiency and cost effectiveness, however, 
    must operate on a longer term basis. The other consideration is that, 
    prior to the adoption of the capital prospective payment system, 
    Medicare payment policy for capital-related costs, as well as the 
    policies of other payers, did not provide sufficient incentives for 
    efficient and cost-effective capital spending. As a result, capital 
    costs per case, and therefore base year prospective capital rates, may 
    be higher than would have been consistent with capital acquisition 
    policy in more efficiency-oriented markets. A guiding principle in 
    devising an efficiency adjustment is therefore that Medicare capital 
    prospective payment rates should not provide for maintenance of capital 
    in excess of the level that would be produced in an efficiency-oriented 
    competitive market.
        To examine this issue, we analyzed the change in actual Medicare 
    capital cost per case for FY 1986 through FY 1992 in relation to the 
    change in the capital input price index (which accounts for change in 
    the input prices for capital-related costs), and the other adjustment 
    factors that we were then proposing to include in the framework. (The 
    other adjustment factors are the increase in real case mix and the 
    increase in intensity due to quality-enhancing technological change and 
    within-DRG complexity.) We found rates of increase in actual spending 
    per case that exceeded the rate of increase attributable to inflation 
    in capital input prices, quality-enhancing intensity increases, and 
    real case-mix growth.
        Economic theory suggests that an industry with a guaranteed return 
    on capital (such as the hospital industry prior to prospective payment 
    for capital-related costs) would have a tendency to be overly 
    capitalized relative to more competitive industries. This is because 
    the incentive for firms in such an industry is to compete on the basis 
    of more capital-intensive production processes than firms in other 
    industries. As a result, capital costs per case, and therefore base 
    year prospective capital rates, may be higher than would have been 
    consistent with capital acquisition policy in more efficiency-oriented 
    competitive markets.
        Our analysis was designed to examine whether hospitals had in fact 
    responded to the incentives of the cost-based payment system for 
    capital by expanding beyond what was necessary for efficient and cost-
    effective delivery of services. The analysis confirmed that volume and 
    intensity of capital acquisition far outpaced the increase in capital 
    input prices during the years between the implementation of the 
    prospective payment system for operating costs and the introduction of 
    the capital prospective payment system. Even accounting for real CMI 
    increases and increases in intensity attributable to cost-increasing 
    but quality-enhancing new technologies, there remains a large excess of 
    capital-related spending.
        The following table shows the results of our most recent analysis, 
    based on the most current data available and the most recent 
    projections. Differences between this table and the tables in previous 
    [[Page 29237]] discussions in the Federal Register reflect updated 
    figures for average capital cost per case increases, based on the most 
    recent data and projections, and our revised CIPI. This analysis 
    encompasses all but 1 year of the period from the implementation of the 
    prospective payment system for operating costs to the implementation of 
    the prospective payment system for capital costs. (For FY 1984, 
    sufficient data is not available to compute capital cost per case 
    increases and intensity increases.) The results of the analysis in 
    Table 6 are substantially similar to the results of previous analyses. 
    In Table 6, real case-mix increase is assumed to be 1.0 percent 
    annually.
    
         Table 6.--Cumulative Percentage Change in Capital-Related Cost Per Case Due to Inflation, Real CMI, and    
                                                  Intensity, 1985-1992                                              
    ----------------------------------------------------------------------------------------------------------------
                                                                                              % Change              
                   Year                  CIPI\1\    Real CMI\2\    Allowable    Resulting      cost/     Residual\6\
                                                                 intensity\3\  increase\4\    case\5\               
    ----------------------------------------------------------------------------------------------------------------
    1985.............................          5.1          1.0           3.7         10.1         12.5          2.2
    1986.............................          3.7          1.0           2.1          6.9         19.9         12.2
    1987.............................          3.1          1.0           2.5          6.7         14.9          7.6
    1988.............................          3.0          1.0           1.5          5.5          7.1          1.5
    1989.............................          2.7          1.0           0.5          4.3          7.9          3.5
    1990.............................          2.4          1.0           0.2          3.6          6.7          2.9
    1991.............................          2.1          1.0           0.1          3.2          5.7          2.4
    1992.............................          1.7          1.0           0.1          2.8          4.1          1.2
    Cumulative (compounded)..........  ...........  ...........  ............         52.0        110.1         38.3
    ----------------------------------------------------------------------------------------------------------------
    \1\Figures from Table 1, section V.A.3 of this preamble.                                                        
    \2\Assuming that real CMI increase is 1.0 percent annually.                                                     
    \3\One half of observed intensity increase, as determined by the joint operating/capital intensity measure.     
    \4\The increase attributable to inflation, real CMI, and allowable intensity, calculated as the product of the  
      rates of increase of those factors (that is, 1.031 x 1.01 x 1.025=1.067 for 1987).                            
    \5\Figures supplied by HCFA's Office of the Actuary.                                                            
    \6\The actual increase in average cost per case divided by the increase attributable to inflation, real CMI, and
      allowable intensity (that is, 1.149/1.067=1.076, a 7.6 percent residual for 1987).                            
    
        We believe that an adjustment for capital efficiency and cost-
    effectiveness should take into account the efficiency and effectiveness 
    of the capital resources present in the base year for the capital 
    prospective payment system. We do not believe that Medicare capital 
    payment rates should provide for maintenance of capital in excess of 
    the level that would be produced in an efficiency-oriented competitive 
    market. A capital efficiency adjustment should be designed to give 
    hospitals an incentive to reduce inefficiency and ineffectiveness in 
    capital resources. The analysis in Table 6 suggests that, in order to 
    restore the Federal rate to the level at which it would have been if 
    capital costs had not been excessive in the years before the 
    implementation of capital prospective payment, a cumulative reduction 
    in the rate of 27.7 percent (1.52/2.101=0.7235, or -27.7 percent) would 
    be necessary.
        We are considering a range of options for such an efficiency 
    adjustment. In particular, we are considering whether to provide, in 
    the design of such an adjustment, for eventually reducing the rate by 
    the entire 27.7 percent suggested by the above analysis. Alternatively, 
    the eventual reduction to the rate could reflect some part, but not 
    all, of the excess of actual capital cost increases over the identified 
    factors. We are also considering the appropriate rate at which an 
    adjustment based on the above analysis should be applied to the update 
    factors. On the assumption that the updates to the rate should be 
    reduced by the full 27.7 percent, such an adjustment could be 
    accomplished over a shorter or longer period of time. For example, HCFA 
    could adjust the updates to the rate over a period of 20 years at the 
    rate of 1.4 percent per year. Similarly, the adjustment could be made 
    over 5 years at the rate of 5.5 percent per year.
        We are proposing that HCFA have the discretion to apply an 
    efficiency adjustment to the capital input price rate of change in 
    determining the annual update factor. We invite comment on the 
    advisability of such an adjustment, on the proportion of the residual 
    that should be employed in adjustments to the update, and on the rate 
    at which such an adjustment should be applied. We also welcome 
    information on possible sources of data that would be useful in 
    developing or refining such an adjustment, and on the possible effects 
    of such an adjustment on various segments of the hospital industry.
    6. Proposed FY 1996 Update Factor
        Table 7 summarizes HCFA's proposed FY 1996 update factor in 
    comparison with the recommendation presented by ProPAC in its March 1, 
    1995 report.
        ProPAC recommends a 4.1 percent update for FY 1996, in comparison 
    to HCFA's proposed update of 1.5 percent. As Table 5 shows, the 
    different update methodologies adopted by ProPAC and HCFA, 
    respectively, can be expected to result in higher ProPAC update 
    recommendations during some years, and higher HCFA update 
    recommendations during other years. (As we note in the discussion of 
    Table 5, the values for the ProPAC index in that table reflect recent 
    projections that were not available to ProPAC at the time of its March 
    1, 1995 report.)
    
             Table 7.--Comparison of FY 1996 Update Recommendations         
    ------------------------------------------------------------------------
                                                        HHS         ProPAC  
    ------------------------------------------------------------------------
    Capital Input Price Index.....................          1.8          4.1
    Difference Between HCFA & ProPAC CIPI's.......  ...........          2.3
                                                   -------------------------
        Subtotal..................................          1.8          4.1
                                                   =========================
    [[Page 29238]]
                                                                            
    Policy Adjustment Factors:                                              
        Productivity..............................  ...........        (\1\)
        Efficiency................................        (\2\)  ...........
        Intensity.................................          0.0  ...........
            Science and Technology................  ...........        (\1\)
            Intensity.............................  ...........        (\3\)
            Real Within DRG Change................  ...........        (\4\)
                                                   -------------------------
                Subtotal..........................          0.0          0.0
                                                   =========================
    Case Mix Adjustment Factors:                                            
        Projected Case Mix Change.................         -0.8         -1.0
        Real Across DRG Change....................          0.8          0.8
        Real Within DRG Change....................        (\5\)          0.2
                                                   -------------------------
            Subtotal..............................          0.0          0.0
                                                   =========================
    Effect of 1993 Reclassification and                                     
     Recalibration................................         -0.3  ...........
    Forecast Error Correction.....................          0.0          0.0
                                                   -------------------------
        Total Recommended Update..................          1.5         4.1 
    ------------------------------------------------------------------------
    \1\Adjustments for scientific and technological advance and productivity
      offset each other. No specific values were recommended.               
    \2\Efficiency adjustment may be adopted after public comment.           
    \3\Included in ProPAC's Productivity Measure.                           
    \4\Included in ProPAC's Case Mix=Adjustment.                            
    \5\Included in HHS' Intensity Factor.                                   
    
    7. Possible Adjustments to the Federal Rate and the Hospital-Specific 
    Rates
        In the Addendum to this proposed rule, we discuss the effects of 
    the expiration of the statutory budget neutrality provision on rates 
    and aggregate payments under the capital-prospective payment system. 
    Under that provision, we set the capital-prospective payment system 
    rates during FY 1992 through FY 1995 so that payments would equal 90 
    percent of estimated Medicare payments that would have been made on a 
    reasonable cost basis for the fiscal year. As a result of the 
    provision's expiration, both the capital-prospective payment system 
    rates and payments under the transition system will increase 
    significantly. The proposed FY 1996 Federal rate is 21.3 percent higher 
    than the FY 1995 Federal rate. We estimate that payments will increase 
    by 20.45 percent in FY 1996 compared to FY 1995, and that FY 1996 
    payments will exceed projected FY 1996 Medicare hospital inpatient 
    capital costs by 4.52 percent.
        We have considered possible revisions to the capital-prospective 
    payment rates that would moderate these substantial increases in 
    payments. These revisions could be made in conjunction with, or in 
    place of, an update framework adjustment to account for possible 
    inefficiency in capital spending prior to the capital-prospective 
    payment system base period. While these possible revisions to the rate 
    are not, strictly speaking, elements of the update framework, we are 
    presenting them within this context in order to allow commenters the 
    opportunity to consider all the possible rate revisions that may affect 
    the future levels of rates and payments. We solicit comment on whether 
    to make any of these possible revisions to the rate. Generally, we 
    believe that reductions in Medicare spending should be addressed in the 
    context of health care reform.
        Under Sec. 412.308, HCFA determined the standard Federal rate, 
    which is used to determine the Federal rate for each fiscal year, on 
    the basis of an estimate of the FY 1992 national average Medicare 
    capital cost per discharge. The FY 1992 national average Medicare 
    capital cost per discharge was estimated by updating the FY 1989 
    national average Medicare capital cost per discharge by the estimated 
    increase in Medicare inpatient capital cost per discharge. As we 
    discussed in the preamble to the final capital-prospective payment 
    system rule on August 30, 1991 (56 FR 43366-43384), HCFA used the July 
    1991 update of HCRIS data to estimate an FY 1989 national average 
    Medicare cost per case of $527.22. HCFA then updated that amount to FY 
    1992 by using an actuarial projection of a 31.3 percent increase in 
    Medicare capital cost per discharge from FY 1989 to FY 1992. The 
    standard Federal rate was thus based on an estimated FY 1992 national 
    average Medicare capital cost per discharge of $692.24 (prior to the 
    application of a transfer adjustment and a payment parameter 
    adjustment).
        Section 13501(a)(3) of Public Law 103-66 amended section 
    1886(g)(1)(A) of the Social Security Act to require that, for 
    discharges occurring after September 30, 1993, the unadjusted standard 
    Federal rate be reduced by 7.4 percent. As we discussed in the 
    September 1, 1993 final rule for FY 1994 (58 FR 46316ff.), the purpose 
    of that reduction was to reflect revised inflation forecasts, as of May 
    1993, for the increases in Medicare capital cost per discharge during 
    FY 1989 through FY 1992. By that time, the estimate of increases in 
    Medicare inpatient capital costs per discharge from FY 1989 through FY 
    1992 had declined from 31.3 percent to 21.57 percent. The 7.4 percent 
    reduction to the Federal rate was calculated to account for these 
    revised forecasts (1.2157/1.313=.926, a 7.4 percent decrease). That 
    provision of Public Law 103-66 also required that, for cost reporting 
    periods beginning on or after October 1, 1993, the Secretary 
    redetermine which hospital payment methodology should be applied under 
    the capital prospective payment system transition rules to take into 
    account the 7.4 percent reduction to the Federal rate.
        As a result of the reduction required by Public 103-66, the 
    standard Federal rate is now based on an estimated FY 1992 Medicare 
    inpatient capital cost per case of $641.01 ($692.24 x .926). At the 
    time of the Public Law 103-66 [[Page 29239]] reduction to the Federal 
    rate, actual cost report data on the FY 1992 Medicare capital cost per 
    discharge were not yet available. The reduction was based on cost 
    report data for FY 1990 and FY 1991, and a revised projection of the 
    rate of increase in Medicare capital costs per discharge during FY 
    1992. We now have extensive cost report data for FY 1992. The December 
    1994 update of HCRIS data shows an audit-adjusted FY 1992 Medicare 
    inpatient capital cost per discharge of $593.15, or 7.47 percent lower 
    than the estimate on which the Federal rate is currently based. We do 
    not believe that the Federal rate should necessarily remain at a level 
    that reflects a known over-estimation of base year costs. We are 
    therefore inviting comment on the appropriateness of an estimated 7.47 
    percent reduction to the unadjusted standard Federal rate to account 
    for that over-estimation.
        Under Sec. 412.328, HCFA determined the FY 1992 hospital-specific 
    rate by using a process similar to the process for determining the FY 
    1992 Federal rate. The intermediary determined each hospital's 
    allowable Medicare inpatient capital cost per discharge for the 
    hospital's latest cost reporting period ending on or before December 
    31, 1990. The intermediary then updated each hospital's FY 1990 
    allowable Medicare capital cost per discharge to FY 1992 based on the 
    estimated increase in Medicare inpatient capital cost per case. As in 
    the case with the Federal rate updates, current data demonstrate that 
    the estimates used to update the hospital specific rates from FY 1990 
    to FY 1992 were overstated. On the basis of the current data, we are 
    also considering whether to correct for the original rate of increase 
    estimates by decreasing the hospital-specific rates 8.27 percent. Such 
    a reduction would not apply to hospital-specific rates that have been 
    redetermined for a later cost reporting period. This is because the 
    rate of increase estimates were not employed for redeterminations after 
    FY 1992.
        We estimate that savings from simultaneous reductions of 7.47 
    percent to the Federal rate and 8.27 percent to the hospital-specific 
    rates would be approximately $2.7 billion for FY 1996 through FY 2000. 
    Capital-prospective payments would be about 98 percent of Medicare 
    inpatient capital costs in FY 1996 and about 95 percent of Medicare 
    costs in FY 2000. By comparison, we estimate that payments under 
    current law and regulations will be 104 percent of Medicare costs in FY 
    1996 and 102 percent of Medicare costs in FY 2000.
        Finally, the analysis of capital cost increases prior to the 
    implementation of the prospective payment system for capital-related 
    costs could be the basis for an immediate adjustment to the Federal 
    rate to compensate for the effects of the expiration of budget 
    neutrality. As discussed in section V.A.6 above, a reduction to the 
    Federal rate of 27.7 percent would be necessary to restore the rate to 
    the level at which it would have been if capital costs had not exceeded 
    the level that can be accounted for on the basis of known factors. Such 
    an adjustment could be accomplished gradually over a number of years 
    within the context of the update framework. We discuss how the residual 
    could be employed within the context of the update framework in section 
    V.A.6 above. Alternatively, some large part of the residual could be 
    removed from the rate in a single adjustment. For example, retaining 
    the FY 1995 budget neutrality adjustment of 0.8432 in the standard 
    Federal rate would have the effect of recapturing a large part of the 
    residual of capital cost increase over the identifiable factors. The 
    remainder of the residual, if appropriate, could be removed from the 
    rate on a gradual basis through an adjustment to the update factor, as 
    discussed in section V.A.6 above. We are therefore requesting comments 
    on the appropriateness of such measures, particularly on the 
    appropriateness of retaining the FY 1995 budget neutrality adjustment 
    in the rate as an efficiency measure.
        We estimate that savings from this approach would be approximately 
    $5.5 billion for FY 1996 through FY 2000. Capital-prospective payments 
    would be about 92 percent of Medicare inpatient capital costs in FY 
    1996 and about 88 percent of costs in FY 2000.
    
    B. Adjustment to the Capital Prospective Payment System Federal Rate 
    for Capital-Related Taxes (Secs. 412.308, 412.312, and 412.323)
    
        In our September 1, 1994 final rule, we discussed an adjustment to 
    the capital prospective payment system for capital-related tax costs. 
    As we noted in that discussion, such an adjustment would be designed to 
    remove a possible inequity in the capital prospective payment system. 
    While capital-related taxes constitute a unique cost imposed on an 
    identifiable group of hospitals, those costs are currently reflected in 
    the Federal capital rate paid to all hospitals. Several commenters have 
    pointed out that all hospitals are thus being reimbursed for costs that 
    only some hospitals pay. We noted in our previous discussion that 
    introducing an adjustment was then premature because we still lacked 
    adequate data on capital-related tax payments and payments in lieu of 
    taxes. Accordingly, we announced a special initiative to collect and 
    verify the data on hospital capital-related tax costs. We also 
    solicited comments on the merits of a possible tax adjustment and on 
    the development of an adjustment methodology. Below we discuss a 
    proposal for such a tax adjustment. (The proposed capital rates in 
    Addendum D, and impact analysis in Appendix A.VII are based on the 
    proposal for a tax adjustment.) We then discuss several difficult 
    issues that such an adjustment may pose. We also respond to public 
    comments on the merits of introducing a tax adjustment to the capital 
    prospective payment system. Finally, we describe the preliminary 
    results of our data collection effort and discuss several questions and 
    issues that arose in the course of the data collection effort.
        Some commenters have maintained that the absence of an adjustment 
    for capital-related tax costs poses a serious issue of equity. The 
    argue that capital-related tax costs constitute a fully distinguishable 
    category that can be readily identified and that applies to an 
    identifiable group of hospitals. In fact, this cost may be even more 
    clearly delineated than other costs for which we provide adjustment to 
    prospective system rates, since whether a hospital bears such costs is 
    determined by law entirely outside the Social Security Act. In the 
    absence of an adjustment for those hospitals that actually bore the tax 
    costs represented in the Federal rate, all hospitals are being 
    reimbursed through the Federal rate portion of their payments for costs 
    imposed only on an identifiable subset of hospitals.
        Since the publication of the September 1, 1994 final rule we have 
    directed considerable analysis toward the development of an equitable 
    adjustment for capital-related tax costs. That analysis has revealed 
    issues that we have not yet been able to resolve fully. These issues 
    involve equity to hospitals that may become subject to capital-related 
    taxes in the future. They also involve our responsibility to protect 
    the Medicare trust fund from possible manipulation as well as from any 
    new open-ended commitments to increase Medicare payments. Although we 
    have not yet fully resolved all of these issues, we remain open to 
    discussion on a special adjustment to the capital Federal rate for tax 
    costs, and to facilitate such a discussion we present a proposal for a 
    special tax adjustment. We believe that presentation and analysis of a 
    proposal provide the best opportunity for a full and public discussion 
    of all the issues surrounding a possible adjustment for capital-related 
    tax costs. [[Page 29240]] From our discussions with representatives of 
    hospital associations and individual hospitals, we expect that this 
    proposal will generate numerous substantive comments both for and 
    against a possible adjustment for capital-related taxes. We will 
    analyze all timely public comments carefully before deciding whether or 
    not to proceed with an adjustment for taxes in the final rule. We hope 
    that the process of public comment will produce a solution that in the 
    most appropriate manner simultaneously protects the trust fund and 
    satisfies the equity concerns of all hospitals.
        In order to facilitate this discussion, we are proposing to provide 
    for a special adjustment for the capital-related tax costs of hospitals 
    that paid such taxes for cost reporting periods beginning in FY 1992. 
    The tax costs of those hospitals were included in the computation of 
    the capital Federal rate. Hospitals that have begun operation since FY 
    1992 would also be eligible for an adjustment. We are further proposing 
    an adjustment of the Federal rate to offset the amount of capital-
    related tax costs originally included in the computation of the rate. 
    In this way, adoption of the tax adjustment will be budget neutral: 
    Capital payments will neither increase nor decrease merely because of 
    the tax adjustment.
        For those hospitals that are eligible for an adjustment, we propose 
    to apply a hospital-specific Medicare tax cost per discharge amount to 
    the Federal rate portion of each payment for each discharge from the 
    hospital, beginning October 1, 1995. The hospital-specific Medicare tax 
    cost per discharge would be determined on the basis of the updated FY 
    1992 base year cost, as described below.
        The serious issues that arise in connection with the implementation 
    of a tax adjustment concern hospitals whose tax-paying status has 
    changed since FY 1992. We received several inquiries about the 
    treatment of such hospitals. Some hospitals that paid capital-related 
    taxes in FY 1992 may no longer be subject to such taxes (for example, 
    because they converted to non-proprietary status in a taxing 
    jurisdiction that does not tax non-proprietaries). Other hospitals may 
    have been in operation during FY 1992, but have only become subject to 
    tax payments since that time, either by a change in status (that is, 
    from non-proprietary to proprietary) or by the action of state or local 
    authorities to impose capital-related taxes on entities that had not 
    previously been subject to such taxes.
        It is the situation of hospitals that have become subject to taxes 
    through the action of state or local authorities that poses the most 
    serious issues of equity and protection of the trust fund. On the one 
    hand, it may seem unfair to prohibit hospitals on whom a tax cost is 
    imposed after FY 1992 from receiving an adjustment available to 
    hospitals on whom a tax cost was imposed in FY 1992. On the other hand, 
    a capital Federal rate tax adjustment should not be vulnerable to 
    possible efforts by state or local authorities to gain revenues from 
    increased Medicare payments to hospitals. Nor should a tax adjustment 
    provide an open-ended commitment to increase the overall level of 
    Medicare capital payments as state and local governments extend 
    taxation to previously tax-exempt facilities. The capital Federal rate 
    tax adjustment that we are proposing reflects only the FY 1992 capital-
    related tax costs included in the original computation of the Federal 
    rate. It cannot reflect costs imposed on hospitals by the extension of 
    state and local capital-related taxes after FY 1992. Therefore, in the 
    absence of some additional budget neutrality provision, extending the 
    tax adjustment to hospitals that become subject to capital-related 
    taxes after FY 1992 could significantly increase the overall level of 
    Medicare capital payment.
        We are proposing that hospitals will not qualify for the adjustment 
    if they become subject to tax payments because of state or local action 
    to change tax laws (for example, by extending taxation to non-
    proprietary hospitals) since FY 1992. We are doing so both to prevent 
    the possibility that state and local authorities could gain revenues 
    through increased Medicare payments, and to prevent the adoption of a 
    tax adjustment from producing large increases in Medicare capital 
    payments if additional jurisdictions impose taxes on non-proprietary 
    hospitals. Arguably, it is appropriate to exclude such hospitals from a 
    tax adjustment since they had no capital-related tax costs included in 
    the original rate computation, and one feature of a prospective system 
    is that hospitals are at risk for cost changes. In addition, the 
    updates to the Federal rate may be adequate to compensate such 
    hospitals for tax costs imposed on them since FY 1992. Finally, at 
    least during the transition period, hospitals on whom taxes are newly 
    imposed may find some relief through the exceptions provision. We 
    recognize, however, that this policy might be viewed as penalizing 
    newly taxed hospitals for changes in circumstances over which they have 
    no control. We invite comment on the appropriateness of this proposal, 
    which raises issues of equity between hospitals subject to capital-
    related taxes in FY 1992 and those newly subject to such taxes after FY 
    1992. We also invite suggestions and comments on other approaches to 
    dealing with the situation of hospitals that become subject to taxes 
    after FY 1992. We believe that any proposal to deal with the situation 
    of such hospitals should protect the Medicare trust fund against an 
    open-ended commitment to increase Medicare payments in order to 
    reimburse hospitals for Medicare's share of newly imposed capital-
    related tax obligations.
        In particular, we invite comment on the possibility of providing an 
    adjustment to such hospitals on a budget-neutral basis. Under such an 
    approach, an annual tax adjustment budget neutrality factor would be 
    applied to the Federal rate to account for the estimated cost of the 
    tax adjustment over and above the costs attributable to capital-related 
    taxes in the FY 1992 base year. In this way, payments including tax 
    adjustments to hospitals that have become subject to taxes since FY 
    1992 would not exceed the amount of payments in the absence of an 
    adjustment to such hospitals. Such an approach would prevent the tax 
    adjustment from becoming an open-ended drain on the Medicare trust 
    fund. However, such an approach necessarily involves reducing the rate 
    beyond the level accounted for by the capital-related tax costs 
    originally included in the rate computation. In other words, such a 
    budget neutrality adjustment would reduce the amount of other capital-
    related costs incorporated in the original rate computation. Under such 
    an approach, the reductions in payments to hospitals that do not pay 
    taxes would exceed the amount of capital-related taxes included in the 
    original rate computation; arguably, then, this approach would 
    inappropriately disadvantage hospitals that do not pay capital-related 
    taxes.
        With regard to the situation of other hospitals whose tax status 
    has changed since FY 1992, we do not believe that hospitals which are 
    no longer subject to capital-related taxes should receive an adjustment 
    to their capital Federal rate payments. Therefore, we are providing in 
    this proposed rule that a hospital (or a related organization) must be 
    directly subject to capital-related taxes in order to qualify for the 
    capital Federal rate tax adjustment. Hospitals may be required to 
    verify their tax status by appropriate documentation in the course of 
    normal auditing activity. [[Page 29241]] 
        In addition, we are proposing that no adjustment would be made for 
    hospitals whose status changed from non-proprietary to proprietary 
    after FY 1992. The decision to change status to a proprietary hospital 
    is a voluntary decision of the hospital's management, and we therefore 
    believe that an adjustment to allow special payment for additional 
    taxes that result from such a decision is not warranted.
        However, we are proposing that hospitals which were not in 
    operation in FY 1992, should be able to qualify for the adjustment. We 
    are therefore providing that the intermediaries should accept data on 
    capital-related tax payments from hospitals that have begun operation 
    since FY 1992. Such hospitals should contact their intermediaries as 
    soon as possible, but in any case no later than July 31, 1995, to 
    submit the appropriate data and documentation. Such hospitals are 
    responsible for identifying themselves and submitting the required 
    information on their own initiative before that date. Specifically, 
    each hospital should submit the exact amount of capital-related tax 
    payments via resubmission of Medicare cost report Worksheet A-7, Part 
    III, Column 6, Line 5 for the first year of operation. Each hospital 
    should also submit documentation of their capital-related tax payments 
    during that year for verification by the intermediaries. We will follow 
    the same procedure discussed below to establish each hospital's FY 1996 
    Federal rate tax add-on amount.
        Comment: We received several comments opposing a possible tax 
    adjustment to capital-PPS Federal rate payments. Specifically, the 
    commenters alleged that there are inpatient service costs associated 
    with maintaining nonprofit status that are sufficient either to balance 
    the costs of capital-related taxes borne by some hospitals, or to 
    justify a special adjustment to non-proprietary hospitals for those 
    costs. The commenters cited patient service costs including provision 
    of 24-hour emergency room services to all regardless of ability to pay, 
    public information and educational services, and general provision of 
    charity care. The commenters therefore recommended either that we make 
    no adjustment for capital-related tax costs, or that we also initiate a 
    process to compensate nonprofit hospitals for the costs of maintaining 
    that status through an appropriate adjustment.
        Response: Capital-related tax costs constitute a fully 
    distinguishable category that can be readily identified and that 
    applies to an identifiable group of hospitals. We do not believe that 
    the existence of costs to maintain tax-exempt status justifies a 
    separate adjustment under the capital prospective payment system. The 
    costs cited by the commenters are largely inpatient operating costs, or 
    even non-inpatient costs (e.g., for outpatient services). To the degree 
    that the cited costs are not inpatient capital costs, they do not 
    provide an appropriate basis for adjustment to the capital-PPS Federal 
    payment rate. Furthermore, we believe that such costs may be adequately 
    compensated by existing arrangements with Medicare and other payers 
    (e.g., various state and local subsidies for charity care and bad debt, 
    as well as the existing Medicare and Medicaid disproportionate share 
    adjustments). Historically, many non-proprietary hospitals have 
    received tax appropriations from state and local governments to 
    compensate them for otherwise uncompensated care. If these hospitals no 
    longer had tax-exempt status, they would no longer receive some of 
    these subsidies. For the purposes of discussion we propose to institute 
    a special adjustment to the capital-PPS Federal rate for tax costs. 
    However, we will continue to analyze this issue of equity in 
    preparation for the final rule. We welcome further comments on this 
    issue. We would also appreciate submission of any data or analysis that 
    may be useful.
        As we discussed in our prior Federal Register notice (59 FR 45377), 
    adoption of any adjustment to the capital-PPS Federal rate payment for 
    capital-related tax costs requires a corresponding adjustment of the 
    Federal rate to offset the amount of capital-related tax costs 
    originally included in the computation of the rate. In this way, 
    adoption of the tax adjustment will be budget neutral: Capital payments 
    will neither increase nor decrease merely because of the adoption of 
    the tax adjustment. Adoption of a tax adjustment also requires 
    hospital-specific information on capital-related tax costs in order to 
    determine the appropriate adjustment amount for each hospital.
        Accordingly, we instructed the Medicare fiscal intermediaries in 
    October 1994 to contact each prospective payment system hospital in 
    writing in order to obtain the necessary data on capital-related tax 
    costs for the first cost-reporting period beginning on or after October 
    1, 1991 (the first year under the capital prospective payment system). 
    Specifically, the intermediaries asked each prospective payment system 
    hospital to submit the exact amount of capital-related tax costs via 
    resubmission of Medicare cost report Worksheet A-7, Part III, Column 6, 
    Line 5 for the first capital prospective payment system year. Hospitals 
    were also required to submit documentation of their capital-related tax 
    costs for verification by the intermediaries. The intermediaries were 
    further instructed to verify the amount of the capital-related tax 
    costs for each hospital, and to submit that amount, as verified and 
    accepted, to HCFA via the Hospital Cost Report Information System 
    (HCRIS).
        We have used the information submitted in response to the tax data 
    collection effort to create a special HCRIS data set. The tax 
    adjustment file contains hospital identifying information (from 
    Worksheets S-2 and S-3), capital-related tax costs (from Worksheet A-
    7), total capital-related costs (from Worksheets B, Parts II and III, 
    Columns 27, Lines 103, respectively), and total Medicare inpatient 
    capital-related cost data (from Worksheet D, Part I, Columns 6 and 8, 
    Line 101, for routine costs; and from Part II, Columns 6 and 8, Line 
    101, for ancillary costs). We have also incorporated into this data set 
    information from the regular HCRIS files on hospitals that did not 
    submit the requested information and documentation on any capital-
    related tax costs. This latter information is necessary in order to 
    determine the proportion of verified capital-related tax costs to all 
    capital-related costs in the initial capital-PPS year. From this file 
    we have determined the Medicare inpatient capital-related tax cost per 
    discharge for each hospital that submitted verified data. We have also 
    developed a proposed adjustment to the Federal capital rate, to account 
    for the capital-related tax costs included in the original Federal rate 
    computation.
        Approximately 45 percent of PPS hospitals responded to the data 
    collection effort. We have verified data on 64 percent of proprietary 
    hospitals and 39 percent of non-proprietary hospitals. We have verified 
    that 60 percent of proprietary hospitals and 8 percent of non-
    proprietary hospitals had capital-related tax costs in the initial 
    capital-PPS year. We still lack verified data from 36 percent of 
    proprietary hospitals. In addition, there may be non-proprietary 
    hospitals who have not yet provided documentation for their FY 1992 tax 
    costs. Approximately 7 percent of PPS hospitals reported capital-
    related tax costs on previous cost report submissions, but have not yet 
    submitted documentation to the intermediaries for verification.
        We therefore instructed the intermediaries to notify hospitals that 
    did not respond to the initial request for tax information and 
    documentation, that [[Page 29242]] further submissions will be accepted 
    until June 1, 1995. The intermediaries were instructed to send the 
    appropriate notification no later than May 1, 1995. In order to be 
    eligible for a capital-related tax cost adjustment, a hospital must 
    submit the exact amount of capital-related tax payments via 
    resubmission of Medicare cost report Worksheet A-7, Part III, Column 6, 
    Line 5 for the first capital-PPS year. A hospital must also submit 
    documentation of those capital-related tax payments for verification by 
    the intermediary. A hospital which has not submitted the required data 
    and documentation to its intermediary by June 1, 1995 will not qualify 
    for a tax adjustment.
        We also instructed the intermediaries to notify each hospital that 
    did respond to the initial request for tax information and 
    documentation, of the amount of total tax cost as reviewed, verified, 
    and approved by the intermediary. The intermediaries notified the 
    hospitals that they may provide further information and documentation 
    on costs that the intermediary may have disallowed. The intermediaries 
    were instructed to send the appropriate notification no later than May 
    1, 1995. The notification from the intermediaries informed hospitals 
    that they must submit any further information and documentation by June 
    1, 1995. The intermediaries will submit any revised tax data, including 
    new data, to HCFA via HCRIS no later than July 1, 1995. Hospitals that 
    did submit tax data and documentation in response to the previous 
    request, and that have no objections to the amount approved by the 
    intermediary, need take no further steps. Hospitals will receive an 
    appealable final notification of their tax adjustment amount once the 
    final rule implementing the adjustment is published.
        We used the following methodology to calculate each hospital's 
    Medicare capital-related tax cost per discharge for the first capital 
    prospective payment system year. We first developed the ratio of the 
    hospital's Medicare inpatient capital-related costs to total capital 
    costs. We then applied that ratio to the amount of total hospital tax 
    costs. The result is the hospital's Medicare inpatient capital-related 
    tax cost. We used this method to compensate for the absence in HCRIS of 
    the statistics, on Worksheet B-1 of the cost report, that are used for 
    cost allocation purposes. In the absence of those statistics, applying 
    the ratio of Medicare inpatient capital-related costs to total capital-
    related costs provides the most accurate way to derive Medicare's share 
    of capital-related taxes from total hospital capital-related taxes. We 
    then divided Medicare's share of inpatient capital-related tax costs by 
    Medicare inpatient discharges to determine the Medicare tax cost per 
    discharge.
        We propose to use the following methodology to adjust the Federal 
    rate to account for the tax costs included in the original computation 
    of the rate. We propose to subtract the total FY 1992 Medicare capital-
    related taxes allocated to Medicare for all hospitals from the total FY 
    1992 Medicare capital-related costs for all hospitals. The result is FY 
    1992 Medicare capital-related costs without taxes. We then determine 
    the ratio of FY 1992 Medicare capital-related costs without taxes to 
    total FY 1992 Medicare capital-related costs (including capital-related 
    tax costs). Finally, we apply this ratio to the base Federal rate to 
    remove the capital-related tax costs currently incorporated into that 
    rate. As a result of these calculations, we are providing in this 
    proposed rule for an estimated 1.14 percent decrease to the base 
    Federal rate to account for the tax costs originally included in the 
    rate. We discuss the effect of this preliminary adjustment to the 
    Federal rate in Part III of the Addendum to this proposed rule.
        In estimating the proposed adjustment to the final rule, we took 
    into account not only the FY 1992 capital-related tax costs as verified 
    by the intermediaries, but also tax costs previously reported by 
    hospitals that have not yet been verified by the intermediaries. We 
    counted the latter costs, only for the purposes of estimating the 
    Federal rate adjustment in this proposed rule, in order to provide the 
    hospital industry with an estimate that reflects the maximum adjustment 
    to the rate, given the current data. Since we are also providing, in 
    this proposed rule, an additional opportunity for hospitals to report 
    capital-related tax data, some hospitals that have not yet verified 
    previously reported tax costs may yet provide us with appropriate 
    documentation. We believe that the estimated Federal rate adjustment in 
    this proposed rule should reflect those costs that may yet be verified. 
    If this proposal is retained in the final rule, we would recalculate 
    the adjustment to the Federal rate, using only data on FY 1992 tax 
    costs that has been documented and verified by the intermediaries, and 
    submitted to HCFA via HCRIS by July 1, 1995. (Hospitals that have not 
    yet submitted documentation to verify their FY 1992 capital-related tax 
    costs must do so no later than June 1, 1995 in order to qualify for a 
    tax adjustment.) The final adjustment to the capital Federal rate could 
    thus be higher or lower than the adjustment in this proposed rule, 
    depending upon the results of further reporting and verification 
    activity.
        In our previous discussion of a possible tax adjustment, we 
    outlined two possible methodologies for determining the amount of the 
    actual payment adjustment to hospitals. One possible method was to 
    determine a property tax factor (PTF) on the basis of the ratio of the 
    FY 1992 Medicare tax cost per discharge to the hospital's FY 1992 
    adjusted Federal capital rate. This percentage would then be applied to 
    the Federal rate for each discharge from an eligible hospital for 
    discharges on or after October 1, 1995. However, we expressed 
    reservations about this approach. Under this approach, payments would 
    increase or decrease purely as a function of Federal rate changes. As a 
    result, the change in payments received by a hospital under this 
    methodology would correlate with the changes to the Federal rate. 
    However, changes in the Federal rate are driven by factors that may not 
    correlate with changes in capital-related tax costs.
        The second option was to apply a hospital-specific Medicare tax 
    cost per discharge amount from the FY 1992 base year to the Federal 
    rate portion of each payment for each discharge from an eligible 
    hospital, beginning October 1, 1995. Under this approach, each 
    hospital's FY 1992 Medicare tax cost per discharge would be calculated 
    as described above. The FY 1992 tax cost per discharge would then be 
    updated by an appropriate factor for subsequent periods. This direct 
    dollar add-on approach has the advantage of separating the tax 
    adjustment from changes to the Federal rate. A difficulty with this 
    approach is the selection of an appropriate update mechanism. Any 
    update mechanism would have to account for any differences between the 
    factors that drive capital-related cost increase in general and those 
    that drive capital-related tax cost increases in particular (e.g., 
    changes in the assessed value of property and changes in tax rates). 
    Any update mechanism would also need to be insulated from the effects 
    of actions by taxing authorities, so that the amount of Medicare 
    payment cannot be manipulated to increase tax revenues to state and 
    local authorities. In addition, it will be several years before we have 
    sufficient data on tax costs from Worksheet A-7 of the cost report to 
    analyze trends in tax cost increases.
        We received no comments on the discussion of possible adjustment 
    methodologies. We have therefore determined to proceed with a proposed 
    [[Page 29243]] adjustment methodology that reflects the considerations 
    we presented in our previous discussion (59 FR 45376ff.) Our proposal 
    is to update each hospital's FY 1992 Medicare tax cost per discharge to 
    FY 1996 by the total capital-PPS Federal rate updates for that period. 
    The cumulative update is 14.75 percent (the product of the update 
    factors for FY 1993, FY 1994, FY 1995, and the proposed factor for FY 
    1996: 6.07 percent, 3.04 percent, 3.44 percent, and 1.50 percent). Once 
    we have updated each hospital's Medicare tax cost per discharge, we 
    would study the issues involved in developing an appropriate update 
    mechanism. If we adopt a tax adjustment in the final rule, we propose 
    to determine an update mechanism by FY 1998. We would then adjust each 
    hospital's Medicare Federal rate tax add-on amount to reflect the 
    appropriate updates under the mechanism.
        We propose to use the hospital-specific Medicare tax cost per 
    discharge, as updated to FY 1996, as the capital-related tax add-on to 
    the Federal rate portion of payment for each discharge, beginning on 
    October 1, 1995. The Federal rate tax add-on amount would be added to 
    the Federal rate payment amount prior to the application of the 
    appropriate Federal rate payment percentages under the capital 
    prospective payment system transition methodologies (e.g., 50 percent 
    for fully prospective hospitals in FY 1996). This is because both old 
    capital reasonable cost payments under the hold harmless methodology, 
    and hospital-specific rate payments under the fully prospective 
    methodology, reflect a hospital's actual cost experience, including the 
    hospital's costs for capital-related taxes. Adding the tax adjustment 
    amount outside the Federal rate payment percentage would thus 
    constitute double payment for those costs.
        Since we are presenting a proposal for a capital-related tax 
    adjustment, the impact analysis in Appendix A.VII of this proposed rule 
    includes two new categories of hospitals. Table V of the Appendix shows 
    that, with all the changes in this proposed rule, average payments per 
    case to all hospitals are estimated to increase 20.45 percent. If a tax 
    adjustment is instituted, average payments per case to hospitals that 
    we expect to receive the adjustment are estimated to increase 20.9 
    percent (an average increase of $139 per case from FY 1995 to FY 1996). 
    In contrast, payments to other hospitals are expected to increase 20.2 
    percent (an average increase of $117). We also estimate that, in the 
    absence of a tax adjustment, payments to hospitals that would have 
    received the adjustment would increase 19.1 percent (an average 
    increase of $127), and payments to other hospitals would increase 21.1 
    percent (an average increase of $122).
        In the course of the data collection initiative, we received one 
    other inquiry that must be addressed in this proposed rule. Several 
    intermediaries and other parties inquired about the treatment of taxes 
    included in the terms of leases between unrelated parties on real 
    property and equipment. Many leases of equipment and real estate 
    require the lessee to pay the lessor's property tax costs on the leased 
    property. In the course of the data collection effort, we instructed 
    the intermediaries not to include such costs as provider tax costs for 
    the purposes of the capital-related tax cost data collection effort. We 
    have several reasons for adopting this position. The first reason is 
    that, in such cases, the obligation to pay the lessor's tax costs 
    arises from a contractual commitment rather than from the action of a 
    taxing authority. In other words, it is the owner of the property, not 
    the lessee, that bears the tax obligation. In case the lessee fails to 
    pay the amount for taxes specified under the lease, the lessee would be 
    subject not to action on the part of the taxing authority for failure 
    to pay taxes due, but only to action on the part of the lessor for 
    failure to meet a contractual obligation. For this reason, where a 
    provider is obligated by the terms of a lease with an unrelated party 
    to pay the lessor's tax costs, we believe that those costs are lease 
    costs rather than tax costs for the provider.
        Even if we agreed that such costs should be considered tax costs, 
    however, we still do not believe that they ought to be included within 
    the scope of an adjustment for capital-related taxes. The purpose of 
    making a tax payment adjustment within a rate-based system is to 
    account for the unique costs of an identifiable group of hospitals. 
    There is an identifiable group of hospitals that make tax payments on 
    the value of the real assets that they own. Virtually all providers 
    lease some real property or equipment. Thus, virtually all providers 
    pay tax costs on leased property (whether or not the lease specifically 
    identifies the portion of the lease payments that reflect the owner's 
    tax costs). Since such costs are not unique to an identifiable group of 
    hospitals, they are not an appropriate basis for a tax payment 
    adjustment. These costs continue to be encompassed within the Federal 
    rate.
        An additional consideration involves differences in lease terms. In 
    some leases, tax costs on the leased property are separately identified 
    in the terms of the lease agreements. It can even be the case that, 
    under the terms of the lease, the annual tax bill is merely forwarded 
    to the lessee for direct payment to the taxing authority. In other 
    leases, the tax costs are not specifically identified, although they 
    are certainly reflected, like other costs of the lessor, in the 
    designated lease payments. In these latter cases, it may be 
    administratively difficult to verify what portion of the lease payments 
    reflect the lessor's tax costs as opposed to the lessor's other costs. 
    We believe that it would be unfair to treat hospitals differently on 
    the basis of differences in lease terms.
        Tax costs included in leases between related parties, however, 
    should be treated in accordance with the established rules for related 
    party costs under section 413.17 of the regulations. In these cases, it 
    is not the existence of the lease, but rather the relationship of 
    common ownership or control, that provides the basis for considering 
    such costs as allowable capital-related tax costs for the hospital. 
    Such costs would be treated as allowable capital-related tax costs even 
    in the absence of a formal lease between the related parties. We are 
    therefore providing, in this proposed rule, that only tax costs borne 
    by a hospital (or a related organization) as the owner of property 
    qualify for consideration under this special payment adjustment.
    VI. Proposed Changes for Hospitals and Units Excluded From the 
    Prospective Payment Systems
    
    A. New Requirements for Certain Long-Term Care Hospitals Excluded From 
    the Prospective Payment Systems (Secs. 412.23(e))
    
    1. Effect of Change of Ownership on Exclusion of Long-Term Care 
    Hospitals
        Some questions have arisen as to whether a hospital's compliance 
    with the length-of-stay requirement for long-term care (LTC) hospitals 
    is affected by its sale to a new owner. A hospital that has operated as 
    a general acute care facility and is paid under the prospective payment 
    system may experience an increased length of stay that, if continued 
    for all of the 6-month period immediately preceding the start of a cost 
    reporting period, would qualify the facility for an LTC hospital 
    exclusion. If there is a change of ownership, the issue arises whether 
    the part of the hospital's operating experience that preceded the 
    change of ownership should be counted toward the 6-month period of 
    operating experience needed to justify exclusion [[Page 29244]] of the 
    hospital, under its new owner, from the prospective payment system.
        After reviewing this issue, we have concluded that the operating 
    experience of the hospital is the relevant consideration. If a change 
    of ownership occurs at the start of a cost reporting period, or at any 
    time during the 6 months immediately preceding the start of that 
    period, the hospital is not required to begin a new qualifying period. 
    To clarify current regulations, we would specify under 
    Sec. 412.23(e)(2) that if a hospital undergoes a change of ownership at 
    the start of a cost reporting period, or at any time within the 
    preceding 6 months, it may be excluded from the prospective payment 
    system as an LTC hospital if it is otherwise qualified and maintained 
    an average length of stay in excess of 25 days, under both current and 
    previous ownership, for that 6-month period. To qualify for the 
    exclusion, the hospital must have been continuously in operation for 
    all of the qualifying period and participated continuously in Medicare 
    as a hospital. That is, as in the case of any hospital experiencing a 
    change of ownership, periods during which the hospital was closed or 
    did not participate in Medicare could not be counted toward the 
    required experience.
    2. Revised Criterion on Purchase of Services by LTC ``Hospitals Within 
    Hospitals''
        Recently, some entities began to organize themselves under what 
    they refer to as the ``hospital within a hospital'' model. Under this 
    model, an entity may operate in space leased from a hospital and have 
    most or all services furnished under arrangements by employees of the 
    lessor hospital. The newly organized entity may be operated by a 
    corporation formed and controlled by the lessor hospital, or by a third 
    entity that controls both. In either case, the new entity seeks State 
    licensure and Medicare participation as a hospital, demonstrates that 
    it has an average length of stay of over 25 days, and seeks to obtain 
    an exclusion from the prospective payment systems. However, the effect 
    of excluding such a facility from the prospective payment systems would 
    be to extend the LTC hospital exclusion, inappropriately, to what is 
    for all practical purposes a LTC hospital unit.
        To avoid granting LTC hospital exclusions inappropriately to 
    hospital units while still allowing adequate flexibility for legitimate 
    networking and sharing of services, we set forth additional exclusion 
    criteria for these ``hospitals within hospitals'' in our September 1, 
    1994 final rule (59 FR 45389-45393). These regulations provide that, in 
    addition to meeting the other LTC hospital exclusion requirements set 
    forth in Sec. 412.23, to be excluded from the prospective payment 
    systems, a hospital located in the same building or in one or more 
    entire buildings located on the same campus as another hospital must 
    have a separate governing body, a separate chief medical officer, a 
    separate medical staff, and a separate chief executive officer. These 
    criteria are stated in regulations at Secs. 412.23(e)(3)(i)(A) through 
    412.23(e)(3)(i)(D). In addition, the hospital must either perform most 
    basic hospital functions without any assistance from the hospital with 
    which it shares space (or from a third entity which controls both) 
    (Sec. 412.23(e)(3)(i)(E)) or receive at least 75 percent of its 
    inpatient referrals from a source other than the other hospital during 
    the period used to demonstrate compliance with the length-of-stay 
    criterion (Sec. 412.23(e)(3)(ii)). We note that the criterion under 
    Sec. 412.23(e)(3)(i)(E) does permit a hospital seeking exclusion to 
    obtain certain services from a hospital occupying space in the same 
    building, including food and dietetic services and housekeeping, 
    maintenance, and other services necessary to maintain a clean and safe 
    physical environment.
        Since publication of the September 1, 1994 final rule, hospital 
    representatives have stated that there are some situations in which 
    basic hospital services other than those related to dietetic, 
    housekeeping and maintenance functions could be furnished in a more 
    cost-effective manner, or more conveniently for patients, if they were 
    provided by the hospital in which the LTC hospital is located. For 
    example, a hospital must be able to perform some lab tests, known as 
    ``stat'' lab tests, on a 24-hour basis and to obtain results quickly. 
    However, these tests are performed only infrequently, and it would not 
    be cost-effective to maintain a separate in-house laboratory simply for 
    them. Another frequently cited example of such services is specialized 
    imaging procedures, such as CT scans and MRI procedures, which require 
    very complex and costly equipment and may be available from only a few 
    sources. If such procedures are available at the hospital in which the 
    LTC hospital is located, it is safer and more convenient for patients 
    for the services to be provided there than to transport the patient to 
    another facility for them.
        We recognize the need to allow LTC hospitals within hospitals 
    greater discretion to purchase services like these from their ``host'' 
    facilities, when it is done in a cost-effective and convenient way. 
    However, it is also important that the LTC hospital exclusion criteria 
    be clear and definite enough to limit LTC exclusions to bona fide 
    separate hospitals. To balance these competing objectives, we propose 
    to revise the exclusion criteria to describe the scope of services that 
    can be obtained from the host hospital in financial terms, rather than 
    by type of service.
        Under our proposal, an otherwise qualified hospital could obtain a 
    LTC hospital exclusion if the operating cost of services that it 
    furnishes directly or obtains from a source other than the hospital 
    with which it shares a building or campus (or from a third entity which 
    controls both hospitals) constitutes at least 85 percent of its total 
    inpatient operating costs. This test would be applied with respect to 
    the cost reporting period or other time period used to establish the 
    hospital's compliance with the length of stay criterion. (If a period 
    other than a full cost reporting period is used, the LTC hospital is 
    responsible for providing HCFA with verifiable information on its costs 
    for that part of the period.)
        We are proposing a criterion of 85 percent of total inpatient 
    operating costs as an appropriate test of separateness based on the 
    level of dietetic, housekeeping, and maintenance expenses incurred by a 
    small sample of LTC hospitals for which we have readily available data. 
    Our review showed that these expenses generally ranged from 5 to 17 
    percent of total inpatient operating costs for the periods under 
    review. By setting the maximum acceptable level at 15 percent, we 
    believe that we would allow hospitals an adequate margin for purchase 
    of a limited range of services, without encouraging a level of 
    dependence that calls into question the LTC hospital's status as a 
    separate institution.
        To implement this policy, we would specify under proposed 
    Sec. 412.23(e)(3)(i)(E) that the costs of any services a hospital 
    obtains under contract or other agreements with a hospital occupying 
    space in the same building or campus, or with a third entity that 
    controls both hospitals, may not exceed 15 percent of the hospital's 
    total inpatient operating costs, as defined under Sec. 412.2(c). Thus, 
    a LTC hospital would be permitted to obtain dietetic, housekeeping, 
    maintenance or other services from another hospital with which it 
    shares a building or campus (or from a controlling third entity), 
    provided that the aggregate cost of these services is no more than 15 
    [[Page 29245]] percent of its total inpatient operating costs.
    
    B. Clarifying Changes for Excluded Hospitals and Units (Secs. 412.23, 
    412.29, 412.30 and 412.130)
    
        For clarity, we propose to revise Sec. 412.23(e)(3) to state more 
    clearly that a hospital sharing space with another can qualify for 
    exclusion only if it meets all of the requirements of paragraphs 
    (e)(3)(i)(A) through (e)(3)(i)(D) of that section and, in addition, 
    those in either paragraph (e)(3)(i)(E), which deals with separate 
    performance of services, or Sec. 412.23(e)(3)(ii), which deals with the 
    source of the hospital's patients.
        In addition, we propose to restate the rules in Secs. 412.29 and 
    412.30 to differentiate more clearly between criteria that apply when a 
    hospital seeks exclusion of a rehabilitation unit that is created 
    through an addition to its existing bed capacity, and the criteria that 
    apply when a hospital seeks exclusion of a unit that has been created 
    by converting existing bed capacity from other uses. We also plan to 
    clarify the rules that apply when a hospital expands an existing 
    rehabilitation unit by increasing its bed capacity or by converting 
    existing capacity. These revisions are being proposed in response to 
    complaints from some hospital representatives that the current 
    regulations do not state our criteria clearly. We want to emphasize 
    that these proposals merely restate, and do not change, existing rules. 
    In conjunction with this proposed change, we would make a technical 
    change to a reference in Sec. 412.130.
    
    C. Changes to the Regulations Addressing Limitations on Reimbursable 
    Costs (Secs. 413.30(e) and (f), and 413.35(b))
    
        We propose to remove obsolete material from the regulations. 
    Specifically, we propose to remove Sec. 413.30(e)(1), (e)(3), and 
    (e)(4), since sole community hospitals, risk-basis HMOs, and rural 
    hospitals with less than 50 beds are included under 42 CFR part 412, 
    which governs the prospective payment system for operating costs. In 
    addition, we propose to remove Sec. 413.30(f)(5), (f)(6), (f)(7) (a 
    reserved paragraph), and (f)(9), concerning exceptions for hospital 
    routine care, essential community hospital services, and hospital case-
    mix changes for cost reporting periods beginning before October 1, 
    1983. In conjunction with these proposed changes, we would incorporate 
    the exemption requirements for new providers into paragraph (e) of 
    Sec. 413.30, redesignate subparagraphs under paragraph (f) of 
    Sec. 413.30, and make technical changes to references in 
    Secs. 413.30(f) and 413.35(b)(2).
    
    D. Payment Window for Hospitals and Hospital Units Excluded from the 
    Prospective Payment Systems (Sec. 413.40(c))
    
        On January 12, 1994, we published an interim final rule with 
    comment period to specify that inpatient hospital operating costs 
    include costs of certain preadmission services furnished by the 
    hospital (or by an entity that is wholly owned or operated by the 
    hospital) to the patient up to 3 days before the date of the patient's 
    admission to the hospital (59 FR 1654). The interim final rule 
    implemented section 4003 of the Omnibus Budget Reconciliation Act of 
    1990 (Public Law 101-508), which amended section 1886(a)(4) of the Act. 
    Because the definition of inpatient operating costs in section 
    1886(a)(4) of the Act applies to both prospective payment system 
    hospitals and hospitals excluded from the system, the January 12, 1994 
    interim final rule revised the regulations governing excluded hospitals 
    as well as those governing prospective payment hospitals. Specifically, 
    we revised Sec. 413.40(c)(2) of the regulations to reflect the 3-day 
    payment window as required by the statute. We received 11 comments in 
    response to the January 12, 1994 interim final rule.
        On October 31, 1994, Congress enacted the Social Security Act 
    Amendments of 1994. Section 110 of that legislation amended section 
    1886(a)(4) of the Act to state that, for hospitals excluded from the 
    prospective payment system, the preadmission services to be included 
    are those furnished during the 1 day (not 3 days) before a patient's 
    admission.
        To implement this provision, we propose to revise Sec. 413.40(c)(2) 
    to provide for a 1-day payment window for the hospitals and hospital 
    units excluded from the prospective payment system. We note that the 
    term ``day'' refers to the calendar day immediately preceding the date 
    of admission, not the 24-hour time period that immediately precedes the 
    hour of admission.
        This change may have an impact on the application of the hospital's 
    target rate per discharge. With the implementation of the 3-day window 
    of section 4003 of Public Law 101-508, the hospital may have received 
    an adjustment to account for costs that had been reported in the TEFRA 
    base year as Part B, that as a result of the Public Law 101-508 change 
    were reported as Part A costs. In light of the 1994 amendment, such 
    adjustments will be reviewed and if necessary revised to assure that 
    the costs designated as Part A during the base year continue to be 
    comparable to the costs reported as Part A during the subsequent cost 
    year.
        In the final rule, we will address comments on the proposed change 
    as well as the comments on the January 12, 1994 interim final rule.
    
    E. Ceiling on the Rate of Increase in Hospital Inpatient Costs 
    (Sec. 413.40(e) and (g))
    
        We propose to revise Sec. 413.40(e)(1) to clarify that a request 
    for a payment adjustment must be received by a hospital's fiscal 
    intermediary no later than 180 days from the date on the notice of 
    amount of program reimbursement (NPR). As currently worded, this 
    section states that a request must be ``made'' rather than 
    ``received.'' We have consistently interpreted the word ``made'' to 
    mean ``received by the fiscal intermediary'' since the original 
    regulation was promulgated (47 FR 43282, September 30, 1982). However, 
    use of the word ``made'' in Sec. 413.40(e)(1) has resulted in varying 
    interpretations of the timely filing requirement by hospitals and their 
    fiscal intermediaries. In the interest of a uniform and consistent 
    application of our policy, we are proposing to clarify the regulation 
    by substituting ``received by the hospital's fiscal intermediary'' for 
    ``made'' in Sec. 413.40(e)(1).
        In Sec. 413.40(g)(1), we are proposing to clarify the determination 
    of the amount of payment made to a hospital that receives a TEFRA 
    adjustment. Since October 1, 1991, a hospital with operating costs in 
    excess of its ceiling has been paid the ceiling plus an additional 
    amount, as provided at Sec. 413.40(d)(3). For these cost reporting 
    periods, a hospital receives some payment for costs in excess of the 
    ceiling. We are proposing to add a sentence to clarify that the amount 
    of payment made after a TEFRA adjustment may not exceed the difference 
    between a hospital's operating costs and the payment previously 
    allowed.
    VII. ProPAC Recommendations
    
        We have reviewed the March 1, 1995 report submitted by ProPAC to 
    Congress and have given its recommendations careful consideration in 
    conjunction with the proposals set forth in this document. 
    Recommendations 1, 4, and 5, concerning the update factors for 
    inpatient operating costs, the update factor for hospitals paid on the 
    basis of hospital-specific rates, and the update factor for hospitals 
    excluded from the prospective payment system and distinct-part units, 
    respectively, are [[Page 29246]] discussed in Appendix D of this 
    proposed rule. Recommendations 2 and 3, concerning the update factors 
    for inpatient capital costs and the single operating and capital update 
    factor, respectively, are discussed in Section V of this proposed rule. 
    Recommendation 11, concerning improving Medicare transfer payment 
    policy, is discussed in section IV.A of the preamble. The remaining 
    recommendations are discussed below.
    
    A. Update to the Composite Rate for Dialysis Services (Recommendation 
    6)
    
        Recommendation: For FY 1996, the composite rate for dialysis 
    services should be updated to account for the following:
         The projected increase in the market basket index for 
    dialysis services, currently estimated at 3.7 percent;
         A net adjustment of zero percentage points for scientific 
    and technological advances and productivity; and
         A negative discretionary adjustment of 3.7 percentage 
    points to reflect the relationship between payments and estimated 
    fiscal year 1995 costs.
        This would result in an update of zero percent.
        Response: We agree with ProPAC's recommendation not to propose a 
    payment rate increase for dialysis services. ProPAC's cost analysis 
    indicates that, in aggregate, Medicare payments to independent dialysis 
    facilities were about 12 percent higher than their Medicare allowable 
    costs, and thus there is no basis to increase the composite rate. 
    Furthermore, ProPAC concludes that without documented explanations for 
    reported higher costs in hospital-based facilities, it cannot justify a 
    differential update for these facilities.
        ProPAC's analysis of the 1993 unaudited cost data shows that 
    Medicare allowable costs for independent facilities are less than their 
    payment rate. Since 1983, the number of independent facilities has 
    continued to increase in response to growing patient demand, even 
    though payment rates have remained constant. As noted by ProPAC, the 
    margin between independent facilities' composite payment rates and 
    their Medicare allowable costs continues to decrease. Because of this 
    trend, we will closely monitor the costs of dialysis treatments as 
    reported by facilities on their cost reports. Further, if Medicare's 
    conditions of coverage are revised to include an adequacy of dialysis 
    standard, we will examine the need to adjust composite payment rates. 
    The current composite payment rates are mandated by statute.
        To improve the quality of the cost report data and to address 
    concerns about the cost report, we have revised the independent 
    facilities' cost report, Form HCFA 265-94. The new cost report 
    eliminates the allocation of the facility's overhead to the drug 
    recombinant human erythropoietin (EPO). In addition, we are revising 
    the independent cost reports edits. These edits would screen cost 
    report data to ensure that data elements outside edit ranges are 
    investigated by intermediaries.
        B. Level of the Indirect Medical Education (IME) Adjustment to 
    Prospective Payment System Operating Payments (Recommendation 7)
        Recommendation: For FY 1996, the IME adjustment to prospective 
    payment system operating payments should be reduced by 13 percent, from 
    a 7.7 percent to a 6.7 percent increase for every 10 percent increment 
    in teaching intensity. Ultimately, the IME adjustment should be reduced 
    by about 40 percent, to a 4.5 percent increase for every 10 percent 
    increment in teaching intensity.
        Response: ProPAC's IME estimate of 4.5 percent represents a 
    significant acceleration in the downward trend of its estimates in the 
    last several years (5.7 percent in 1992, 5.4 percent in 1993, and 5.2 
    percent in 1994). Coupled with FY 1993 cost report data showing major 
    teaching hospitals' Medicare operating margins (difference between 
    payments and costs as a percentage of payments) rising to over 11 
    percent, this declining IME estimate adds to the argument that the 
    current adjustment is too high. Legislation would be required to reduce 
    the IME adjustment. However, savings proposals of this sort would only 
    be appropriate in the context of health care reform.
    
    C. Improving Outlier Payment Policy (Recommendation 8)
    
        Recommendation: The Medicare statute should be amended so that the 
    estimated cost of a case for determining outlier payment and the 
    outlier payment amount are not adjusted to reflect a hospital's 
    teaching and disproportionate share status. This change would make the 
    outlier payment policy more effective in protecting hospitals from the 
    risk of large losses on some cases.
        Response: We agree that it may be appropriate not to adjust the 
    estimated cost of a case to reflect a hospital's teaching and 
    disproportionate share status. However, as we have stated in the past 
    (see, for example, 59 FR 27754, September 1, 1994), we believe this 
    change would be appropriate only in conjunction with statutory changes 
    providing that IME and DSH payments would no longer reflect outlier 
    payments. Currently, sections 1886(d)(5) (B) and (F) of the Act, 
    respectively, specify that IME and DSH payments are calculated by 
    applying a factor to the sum of DRG payments and outlier payments. 
    Therefore, the more outlier payments a hospital receives, the more IME 
    and DSH payments the hospital receives (if it qualifies for such 
    payments).
        We note that the current scheme leads to higher overall payments 
    than might be intended, and this problem could be addressed by the 
    changes discussed above. We set outlier payment policies for a Federal 
    fiscal year so that estimated outlier payments equal 5.1 percent of 
    estimated total payments based on DRGs. Under section 1886(d)(3)(B) of 
    the Act, we reduce the standardized amounts by a corresponding factor. 
    However, outlier payments affect the level of IME and DSH payments, 
    and, generally, aggregate IME and DSH payments after accounting for 
    outliers are greater (an estimated $80 million greater in FY 1996) than 
    aggregate IME and DSH payments would be if there were no outliers (and 
    no reduction to the standardized amounts to account for outliers). 
    Currently, the statute does not provide for an adjustment to the 
    standardized amounts to account for the increased IME and DSH payments.
    
    D. Making DRG Payment Rates More Accurate (Recommendation 9)
    
        Recommendation: The Secretary should implement, as soon as 
    practicable, the DRG severity refinements developed by HCFA. At the 
    same time, she should improve the accuracy of basic DRG payment rates 
    and outlier payments by changing the methods used to calculate the DRG 
    relative weights. The weights should be based on the national average 
    of hospital-specific relative values for all cases in each DRG, rather 
    than the national average standardized charge per case.
        Response: In the May 27, 1994 proposed rule (59 FR 27716), we 
    announced the availability of a paper we prepared that describes our 
    preliminary severity DRG classification system and the analysis upon 
    which our proposal was formulated. Based on the 100 comments we 
    received on that paper, we are further analyzing and adjusting the 
    severity DRG classifications. We are also examining the stability of 
    the severity classifications over time. We agree with the Commission's 
    judgment that adopting the severity DRGs would tend [[Page 29247]] to 
    reduce current discrepancies between payments and costs for individual 
    cases and thereby improve payment equity among hospitals. We therefore 
    remain committed to implementing the severity DRG classification system 
    as soon as possible. (See discussion in Section II.B of this preamble.)
        We also agree with the Commission that basing DRG weights on 
    standardized charges results in weights that are somewhat distorted as 
    measures of the relative costliness of treating a typical case in each 
    DRG. The Commission notes several sources of distortion, including the 
    following: Systematic differences among hospitals in cost-to-charge 
    ratios; variation in mark-ups for services across hospitals; variation 
    among DRGs in the average mark-up implicit in case level charges; 
    standardization factors that inaccurately represent cost differences 
    among hospitals; and the absence of adjustments to account for factors 
    such as variations in practice patterns and efficiency. We recognize 
    that the hospital-specific relative value method of setting weights may 
    reduce or eliminate distortions from these sources, and we are studying 
    its effect on DRG weights and hospital payments.
        The Commission also addresses two issues regarding current outlier 
    financing policies: (1) How to account for outlier payments in setting 
    a DRG weight that accurately reflects the relative costliness of 
    treatment for typical cases; and (2) how to finance outlier payments so 
    that the burden of treating such cases is spread fairly among all 
    hospitals. We are studying these issues and look forward to working 
    with ProPAC to find solutions.
        Because the effects on DRG weights of implementing DRG severity 
    refinements and changing the methods used to calculate DRG relative 
    weights are interactive, we believe that appropriate changes should be 
    adopted concurrently. However, as stated in the final rule published on 
    September 1, 1992 (57 FR 39761) and in subsequent rules, as well as in 
    this rule, we would not make significant changes to the DRG 
    classification system unless we are able either to improve our ability 
    to predict coding changes by validating in advance the impact that 
    potential DRG changes may have on coding behavior, or to make 
    methodological changes to prevent building the inflationary effects of 
    the coding changes into future program payments.
    E. Improving Annual Update Policies (Recommendation 10)
    
        Recommendation: The Secretary should be given authority to adjust 
    the standardized amounts if anticipated coding improvements would 
    increase aggregate payments by more than 0.25 percent during the coming 
    year. This adjustment should be separate from the annual update. It 
    should be based on findings from empirical analysis of the new HCFA 
    data base of reabstracted medical records. Once sufficient data are 
    available, the Secretary should also make a correction if there is more 
    than a 0.1 percentage point error in a previous adjustment.
        Response: We agree with ProPAC that anticipated coding changes 
    should be taken into account and that the most appropriate method for 
    recognizing valid increases in case mix as a result of improved coding 
    practices is within the framework of the standardized payment amount. 
    We acknowledge, with ProPAC, that shifts in the mix of cases among DRGs 
    may result from changes in practice patterns, new technology, or 
    variations in the incidence of illness, as well as changes in the 
    coding of diagnoses and procedures.
        As ProPAC states, under section 1886(d)(4)(C) of the Act, we are 
    required to make DRG reclassification and recalibration changes in a 
    budget neutral manner. To meet this requirement, we normalize the DRG 
    relative weights so that, for the discharges in the data base, the 
    average DRG weights before and after reclassification and recalibration 
    are equal. The recalibration of the DRG weights is accompanied by a 
    budget neutrality adjustment to the standardized payment amount to 
    ensure that estimated aggregate payments remain unchanged.
        We share ProPAC's concern that introduction of any major 
    modification to the DRG classification system will result in major 
    shifts in the distribution of cases among the DRGs. Because the 
    severity refinements to the DRGs would create many new DRGs with 
    relatively high weights, there will be increased incentive to hospitals 
    to report those secondary diagnoses that result in assignment to the 
    higher weighted DRG. We agree with ProPAC that this is not 
    inappropriate and is indeed anticipated. We further agree that we need 
    to ensure that hospitals are fairly compensated for increases in costs 
    that reflect real increases in the level of severity of illness of 
    their patient population.
        In order to protect the Medicare program from payment increases 
    that are a consequence of improved coding practices that do not reflect 
    a real increase in case mix, we have developed a methodology that would 
    recalibrate the DRG relative weight to 1.0 each year, thus eliminating 
    the normalization process and the concomitant inflationary adjustment 
    to the DRG weights. This would prohibit upcoding and other coding 
    improvements from having an impact on the DRG relative weight. To 
    account for real case-mix increases, we have recommended an annual 
    upward adjustment to the standardized amounts equal to the lesser of 
    the total observed case-mix increase or 1.0 percent. Anticipated case-
    mix change due to upcoding would be accounted for through a prospective 
    adjustment to the standardized amounts. This adjustment would be for 
    one year at a time and would not be cumulative.
        ProPAC recommends that an ongoing data base of reabstracted medical 
    records be used to estimate the real and coding components of case-mix 
    change and provide the basis for forecasting future coding changes. 
    HCFA has recently implemented a record reabstracting process being 
    conducted by two clinical data abstraction centers (CDACs) under 
    contract with the Health Standards and Quality Bureau (HSQB). The CDACs 
    will review a national random sample of 30,000 records per year from 
    the National Case History file, gathered on a monthly basis. Registered 
    Record Administrators (RRAs) and Associate Record Technicians (ARTs) 
    will reabstract the medical record and perform complete record medical 
    coding, which will be stored with the original coding.
        We will evaluate the results of this reabstracting process before 
    making a decision to base adjustments for anticipated coding changes 
    only on this data base. Our estimate of an annual real case-mix 
    increase of 1.0 percent is supported by past studies of case-mix change 
    by the Rand Corporation. The most recent study by RAND, ``Has DRG Creep 
    Crept Up? Decomposing the Case Mix Index Change Between 1987 and 
    1988'', by G.M. Carter, J.P. Newhouse and D.A. Relles, R-4098-kHCFA/
    ProPAC (1991) uses medical records from those Federal fiscal years, 
    using consistent standards, to determine real case-mix change.
        As we pursue options and alternatives to payment adjustments to 
    account for real case-mix increases, we will take into consideration 
    ProPAC's recommendations to limit adjustments to those occasions in 
    which coding changes would increase aggregate payments by more than 
    0.25 percent or when forecasts differ from observed, actual experience 
    by more than 0.1 percent. We note, also, that we are considering a 
    number of related modifications to the calculation of the 
    [[Page 29248]] DRG relative weights that will have an impact on the 
    prospective payment rates. (See response to ProPAC Recommendation 9, 
    above.)
    
    F. Controlling the Volume of Hospital Outpatient and Other Ambulatory 
    Services (Recommendation 12)
    
        Recommendation: The Secretary should conduct research on 
    appropriate and effective volume control methods for services provided 
    in hospital outpatient departments and other ambulatory settings. Even 
    with a prospective payment system that relies on ambulatory patient 
    groups or some other service classification scheme, Medicare spending 
    for ambulatory services will continue to grow at a rapid pace because 
    of increased volume. The Secretary should also address how the changing 
    health care delivery system will affect utilization and site of care.
        Response: ProPAC asserts that expenditures for ambulatory services 
    provided in hospital outpatient departments will continue to grow 
    rapidly even under an outpatient prospective payment system unless 
    measures are taken to control volume of services. In our Report to 
    Congress--Medicare Hospital Outpatient Prospective Payment (March 17, 
    1995) (p. 21), HCFA explicitly recognizes the need for such measures 
    under an outpatient prospective payment system. If outpatient 
    prospective payment is implemented, HCFA intends to investigate various 
    methods to control the volume of ambulatory services in the hospital 
    setting, as well as in other sites. These include bundling, ancillary 
    packaging, multiple-procedure discounting, and expenditure targets 
    (volume performance standards).
        We fully concur with ProPAC's assessment of the difficulties 
    involved in controlling the volume of ambulatory services. We recognize 
    that because Medicare's payment methods differ by site of service, if 
    payment and volume controls are imposed in one setting, utilization 
    probably would shift to another. We would hope to ensure that payment 
    encourages shifting of services to appropriate sites. We are aware of 
    these difficulties and fully intend to address them if and when we 
    implement an outpatient prospective payment system.
    G. Changes to Medicare's Hospital Outpatient Payment Method 
    (Recommendation 13)
    
        Recommendation: Beneficiary coinsurance for hospital-provided 
    outpatient services should be reduced from 20 percent of charges to 20 
    percent of payments. Further, until prospective payment for hospital 
    outpatient services is implemented, the payment formula should be 
    changed to fully reflect beneficiary coinsurance payments. The savings 
    from correcting the payment formula should be used to offset program 
    expenditure increases caused by reducing beneficiary liability.
        Response: ProPAC notes that due to the way Medicare payments are 
    calculated, beneficiaries pay more than 20 percent of total payments to 
    hospitals for outpatient services. In addition, part of the payment 
    formula for hospital outpatient services is based on the incorrect 
    assumption that 20 percent of the prospective rate equals 20 percent of 
    charges. This flaw in the payment formula prevents HCFA from fully 
    benefiting from beneficiary coinsurance payments, resulting in a 
    ``formula-driven overpayment'' to hospitals. ProPAC recommends the 
    immediate reduction of beneficiaries' share of payments to 20 percent 
    of the total payments, and the simultaneous correction of the payment 
    formula. ProPAC also raises the possibility of phasing in a correction 
    in the payment formula over the next several years.
        HCFA has investigated this problem at considerable length, and has 
    reported the results of this investigation in our Report to Congress--
    Medicare Hospital Outpatient Prospective Payment (March 17, 1995) (p. 
    24). Outpatient prospective payment would provide an excellent 
    opportunity to reduce the beneficiary percentage of payments; in fact, 
    contrary to ProPAC's assertion that the coinsurance problem should be 
    addressed independently of the implementation of an outpatient 
    prospective payment system, HCFA believes that the issues are 
    inextricably linked. The Medicare payment amounts for most outpatient 
    services furnished by hospitals are not known at the time the services 
    are provided, because most hospital outpatient services are paid, at 
    least in part, on a retrospective cost basis. Accordingly, the statute 
    requires that coinsurance be based on 20 percent of charges for the 
    majority of hospital outpatient services. However, the implementation 
    of a prospective payment system would allow for the coinsurance issue 
    to be addressed since payment would be known at the time of service. We 
    do recognize, however, that the ``formula-driven overpayment'' problem 
    can be corrected independently of the prospective payment system and 
    beneficiary coinsurance.
        In our report to Congress, we have presented several options for 
    phasing down the beneficiary coinsurance to 20 percent, in conjunction 
    with the outpatient prospective payment system. However, since 
    implementation of any given option would require legislation, HCFA 
    currently does not have the authority to modify the outpatient payment 
    methodology as suggested.
    VIII. Other Required Information
    
    A. Paperwork Reduction Act
    
        This proposed rule contains information collection requirements 
    that are subject to review by the Office of Management and Budget under 
    the authority of the Paperwork Reduction Act of 1980 (44 U.S.C. 3501 et 
    seq.). Following is a discussion of each of these requirements:
         Under Sec. 412.106(b)(3), for purposes of the DSH 
    adjustment, a hospital's Medicare Part A/SSI percentage may be 
    calculated based on its cost reporting period rather than the Federal 
    fiscal year. (See section IV.E of the preamble.) Under current policy, 
    a hospital must submit, in machine-readable format, data on its 
    Medicare Part A patients for its cost reporting period. We are 
    proposing to revise this requirement to provide that hospitals need 
    only make a written request for the recalculation and need not submit 
    the data. We estimate that the current burden associated with 
    submitting the data is approximately 24 hours per request. Under the 
    proposed revision, we estimate a burden of 1 hour per request. Based on 
    an estimate of 12 requests per year, the total proposed burden would be 
    12 hours, in comparison to the current total burden of approximately 
    288 hours.
         Section 412.323 of this proposed rule contains new 
    requirements concerning how a hospital may qualify for an adjustment to 
    the Federal rate payment to account for its capital-related tax costs. 
    (See section V.B of the preamble.) Currently, each Medicare-
    participating hospital is required to identify the amount of its 
    capital-related tax costs on the hospital cost report (HCFA Form 2552-
    92). The reporting and recordkeeping burden associated with the 
    hospital cost report is approved through August 31, 1996 under OMB No. 
    0938-0050.
        Under proposed Sec. 412.323, we are requiring that a hospital 
    submit supporting documentation to its intermediary to verify the 
    amount of capital-related tax costs reported on the hospital's cost 
    report for FY 1992, or its first year of operation, if later. A 
    hospital cannot qualify for an adjustment to the Federal rate payment 
    unless it submits the required supporting documentation.
        Based on our current cost reporting data, we estimate that the 
    large majority [[Page 29249]] of hospitals will be essentially 
    unaffected by the proposed documentation requirement because they have 
    no relevant capital-related tax costs to report. For this group of 
    almost 4,000 hospitals, simple verification of the lack of any such 
    costs should take no more than 15 minutes per response, resulting in a 
    one-time burden of no more than 1,000 hours. For the remaining group of 
    approximately 1,300 hospitals with capital-related tax costs, we are 
    unable to develop a quantifiable estimate of the burden associated with 
    submitting the necessary documentation. The associated burden for an 
    individual hospital will depend on the complexity of its property 
    holdings and tax situation. We estimate that the burden could range 
    from as little as 15 minutes per response to 8 hours, producing a 
    possible burden ranging from 325 to 10,400 hours. However, we note 
    that, as part of their cost reporting responsibilities, all hospitals 
    are required to be able to furnish documentation of information 
    reported on the hospital cost report. Thus, we believe that for most of 
    these 1,300 hospitals, the associated burden should be much closer to 
    the lower end of the estimated range.
        We welcome comments on the information collection requirements 
    associated with the provisions discussed above. These information 
    collection and recordkeeping requirements are not effective until they 
    have been approved by OMB. A notice will be published in the Federal 
    Register when approval is obtained. Organizations and individuals 
    desiring to submit comments on these information collection and 
    recordkeeping requirements should direct them to the Office of 
    Management and Budget, Human Resources and Housing Branch, Room 10235, 
    New Executive Office Building, Washington, D.C., 20503, Attention: 
    Allison Eydt, HCFA Desk Officer.
    B. Requests for Data From the Public
    
        In order to respond promptly to public requests for data related to 
    the prospective payment system, we have set up a process under which 
    commenters can gain access to the raw data on an expedited basis. 
    Generally, the data are available in computer tape format or 
    cartridges; however, some files are available on diskette. Data files 
    are listed below with the cost of each. Anyone wishing to purchase data 
    tapes, cartridges, or diskettes should submit a written request along 
    with a company check or money order (payable to HCFA-PUF) to cover the 
    cost, to the following address: Health Care Financing Administration, 
    Public Use Files, Accounting Division, P.O. Box 7520, Baltimore, 
    Maryland 21207-0520, (410) 597-5151.
    1. Expanded Modified MEDPAR-Hospital (National)
        The Medicare Provider Analysis and Review (MEDPAR) file contains 
    records for 100 percent of Medicare beneficiaries using hospital 
    inpatient services in the United States. (The file is a Federal fiscal 
    year file which means discharges occurring October 1 through September 
    30.) The records are stripped of most data elements that will permit 
    identification of beneficiaries. The hospital is identified by the 6-
    position Medicare billing number. The file is available to persons 
    qualifying under the terms of the Notice of Proposed New Routine Uses 
    for an Existing System of Records published in the Federal Register on 
    December 24, 1984 (49 FR 49941), and amended by the July 2, 1985 notice 
    (50 FR 27361). The national file consists of approximately 11 million 
    records. Under the requirements of these notices, a data release must 
    be signed by the purchaser before release of these data. For all files 
    requiring a signed data release agreement, please write or call to 
    obtain a blank agreement form before placing order. Two versions of 
    this file are created each year. They support the following:
         Notice of Proposed Rulemaking (NPRM) published in the 
    Federal Register, usually available by the end of May. This file is 
    derived from the MedPAR file with a cutoff of 3 months after the end of 
    the fiscal year (December file).
         Final Rule published in the Federal Register, usually 
    available by the first week of September. This file is derived from the 
    MedPAR file with a cutoff of 9 months after the end of the fiscal year 
    (June file).
    
    Media: Tape/Cartridge
    File Cost: $3,415.00 per fiscal year
    Periods Available: FY 1988 through FY 1994
    2. Expanded Modified MedPAR-Hospital (State)
        The State MedPAR file contains records for 100 percent of Medicare 
    beneficiaries using hospital inpatient services in a particular State. 
    The records are stripped of most data elements that will permit 
    identification of beneficiaries. The hospital is identified by the 6-
    position Medicare billing number. The file is available to persons 
    qualifying under the terms of the Notice of Proposed New Routine Uses 
    for an Existing System of Records published in the December 24, 1984 
    Federal Register notice, and amended by the July 2, 1985 notice. This 
    file is a subset of the Expanded Modified MedPAR-Hospital (National) as 
    described above. Under the requirements of these notices, a data 
    release must be signed by the purchaser before release of these data. 
    Two versions of this file are created each year. They support the 
    following:
         NPRM published in the Federal Register, usually available 
    by the end of May. This file is derived from the MedPAR file with a 
    cutoff of 3 months after the end of the fiscal year (December file).
         Final Rule published in the Federal Register, usually 
    available by the first week of September. This file is derived from the 
    MedPAR file with a cutoff of 9 months after the end of the fiscal year 
    (June file).
    
    Media: Tape/Cartridge
    File Cost: $1,050.00 per State per year
    Periods Available: FY 1988 through FY 1994
    3. HCFA Hospital Wage Index Data File
        This file is composed of four separate diskettes. Included are: (1) 
    The hospital hours and salaries for FY 1992 used to create the proposed 
    FY 1996 prospective payment system wage indexes; (2) a history of all 
    wage indexes used since October 1, 1983; (3) a list of State and county 
    codes used by SSA and FIPS (Federal Information Processing Standards), 
    county name, and Metropolitan Statistical Area (MSA); and (4) a file of 
    hospitals that were reclassified for the purpose of the FY 1996 wage 
    index. Two versions of these files are created each year. They support 
    the following:
         NPRM published in the Federal Register, usually by the end 
    of May.
         Final Rule published in the Federal Register, usually by 
    the first week of September.
    
    Media: Diskette
    File Cost: $500.00
    Periods Available: FY 1996 PPS Update
    
        We note that the files also are available individually as indicated 
    below:
        (1) HCFA Hospital Wage Index Survey Only usually available by the 
    end of March for the NPRM and the middle of August for the final rule.)
        (2) Urban and Rural Wage Indices Only.
        (3) PPS SSA/FIPS MSA State and County Crosswalk Only (usually 
    available by the end of March).
        (4) Reclassified Hospitals by Provider Only.
    
    Media: Diskette
    File cost: $145.00 per file
    
    [[Page 29250]] 4. PPS-IV to PPS-XI Minimum Data Sets
        The Minimum Data Set contains cost, statistical, financial, and 
    other information from the Medicare hospital cost report. The data set 
    includes only the most current cost report (as submitted, final settled 
    or reopened) submitted for a Medicare participating hospital by the 
    Medicare Fiscal Intermediary to HCFA. This data set is updated at the 
    end of each calendar quarter and is available on the last day of the 
    following month.
    
                              Media: Tape/Cartridge                         
    ------------------------------------------------------------------------
                                                      Periods               
                                                     beginning    and before
                                                    on or after             
    ------------------------------------------------------------------------
    PPS IV........................................     10/01/86     10/01/87
    PPS V.........................................     10/01/87     10/01/88
    PPS VI........................................     10/01/88     10/01/89
    PPS VII.......................................     10/01/89     10/01/90
    PPS VIII......................................     10/01/90     10/01/91
    PPS IX........................................     10/01/91     10/01/92
    PPS X.........................................     10/01/92     10/01/93
    PPS XI........................................     10/01/93             
    ------------------------------------------------------------------------
    
    (Note: The PPS XI Minimum Data Set covering 1994 will not be 
    available until 07/31/95.)
    
    File Cost: $715.00 per year
    5. PPS-IX to PPS-XI Capital Data Set
        The Capital Data Set contains selected data for capital-related 
    costs, interest expense and related information and complete balance 
    sheet data from the Medicare hospital cost report. The data set 
    includes only the most current cost report (as submitted, final settled 
    or reopened) submitted for a Medicare certified hospital by the 
    Medicare fiscal intermediary to HCFA. This data set is updated at the 
    end of each calendar quarter and is available on the last day of the 
    following month.
    
                              Media: Tape/Cartridge                         
    ------------------------------------------------------------------------
                                                      Periods               
                                                     beginning    and before
                                                    on or after             
    ------------------------------------------------------------------------
    PPS IX........................................     10/01/91     10/01/92
    PPS X.........................................     10/01/92     10/01/93
    PPS XI........................................     10/01/93             
    ------------------------------------------------------------------------
    
    (Note: The PPS XI Capital Data Set covering 1994 will not be 
    available until 07/31/95.)
    
    File Cost: $715.00 per year
    6. Provider-Specific File
        This file is a component of the PRICER program used in the fiscal 
    intermediary's system to compute DRG payments for individual bills. The 
    file contains records for all prospective payment system eligible 
    hospitals, including hospitals in waiver States, and data elements used 
    in the prospective payment system recalibration processes and related 
    activities. Beginning with December 1988, the individual records were 
    enlarged to include pass-through per diems and other elements.
    
    Media: Tape/Cartridge
    File Cost: $500.00 per file
    Periods Available: FY 1987 through FY 1995 (December updates)
    
    Media: Diskette
    File Cost: $265.00
    Periods Available: FY 1995 PPS Update
    7. HCFA Medicare Case-Mix Index File
        This file contains the Medicare case-mix index by provider number 
    as published in each year's update of the Medicare hospital inpatient 
    prospective payment system. The case-mix index is a measure of the 
    costliness of cases treated by a hospital relative to the cost of the 
    national average of all Medicare hospital cases, using DRG weights as a 
    measure of relative costliness of cases. Two versions of this file are 
    created each year. They support the following:
         NPRM published in the Federal Register, usually by the end 
    of May.
         Final rule published in the Federal Register, usually by 
    the first week of September.
    
    Media: Diskette
    Price: $145.00 per year
    Periods Available: FY 1985 through FY 1994
    8. Table 5 DRG File
        This file contains a listing of DRGs, DRG narrative description, 
    relative weight, geometric mean, length of stay, and day outlier trim 
    points as published in the Federal Register. The hardcopy image has 
    been copied to diskette. There are two versions of this file as 
    published in the Federal Register:
        a. NPRM, usually published by the end of May.
        b. Final rule, usually published by the first week of September.
    
    Media: Diskette
    File Cost: $145.00
    Periods Available: FY 1996 PPS Update
    9. PPS Payment Impact File
        This file contains data used to estimate payments under Medicare's 
    hospital inpatient prospective payment systems for operating and 
    capital-related costs. The data are taken from various sources, 
    including the Provider-Specific File, the PPS-VII and PPS-VIII Minimum 
    Data Sets, and prior impact files. The data set is abstracted from an 
    internal file used for the impact analysis of the changes to the 
    prospective payment systems published in the Federal Register. This 
    file is available for release 1 month after the final rule is published 
    in the Federal Register, usually during the first week of September.
    
    Media: Diskette
    File Cost: $145.00
    Periods Available: FY 1995 PPS Update
    10. AOR/BOR Tables
        This file contains data used to develop the DRG relative weights. 
    It contains mean, maximum, minimum, standard deviation and coefficient 
    of variation statistics by DRG for length of stay and standardized 
    charges. The BOR tables are ``Before Outliers Removed'' and the AOR is 
    ``After Outliers Removed.'' (Outliers refers to statistical outliers, 
    not payment outliers.) Two versions of this file are created each year. 
    They support the following:
         NPRM published in the Federal Register, usually by the end 
    of May.
         Final rule published in the Federal Register, usually by 
    the first week of September.
    
    Media: Diskette
    File Cost: $145.00
    Periods Available: FY 1996 PPS Update
    11. HCFA FY 1992 Capital-Related Tax File
        This file contains data used to develop a special property tax 
    adjustment to the capital prospective payment system for capital-
    related costs. The dataset includes a preliminary hospital-specific 
    add-on amount for all PPS hospitals. The dataset also contains the 
    information used to propose an adjustment to the Federal rate so that 
    the tax add-on is budget neutral. The proposed property tax adjustment 
    provides special treatment to qualified hospitals who pay capital-
    related property taxes. The add-on was determined using base year tax 
    costs per discharge attributable to Medicare. The data are taken from 
    the FY 1992 Medicare hospital cost report and a special request for 
    validation by the fiscal intermediaries.
    
    Media: Diskette
    File cost: $145.00
    Period available: FY 1992 PPS Update
    
        For further information concerning these data tapes, contact Mary 
    R. White at (410) 597-3671.
        In addition, certain other data, such as area wage data and data 
    used to construct the Puerto Rico standardized amounts, are available 
    in hard copy format. Commenters interested in examining hard copy data 
    should contact John Davis at (410) 966-5654.
        We realize that commenters may be interested in obtaining data 
    other than [[Page 29251]] those we have discussed above. These 
    commenters should direct their requests to John Davis at the number 
    provided above.
        Finally, in lieu of obtaining data through the mail, certain data 
    may also be available for inspection at the central office of the 
    Health Care Financing Administration in Baltimore, Maryland. Commenters 
    interested in obtaining more information about this alternative for 
    reviewing data should also contact John Davis.
    
    C. Public Comments
    
        Because of the large number of items of correspondence we normally 
    receive on a proposed rule, we are not able to acknowledge or respond 
    to them individually. However, in preparing the final rule, we will 
    consider all comments concerning the provisions of this proposed rule 
    that we receive by the date and time specified in the ``Dates'' section 
    of this preamble and respond to those comments in the preamble to that 
    rule. We emphasize that, given the statutory requirement under section 
    1886(e)(5) of the Act that our final rule for FY 1996 be published by 
    September 1, 1995, we will consider only those comments that deal 
    specifically with the matters discussed in this proposed rule.
    List of Subjects
    
    42 CFR Part 412
    
        Administrative practice and procedure, Health facilities, Medicare, 
    Puerto Rico, Reporting and recordkeeping requirements.
    
    42 CFR Part 413
    
        Health facilities, Kidney diseases, Medicare, Puerto Rico, 
    Reporting and recordkeeping requirements.
    
    42 CFR Part 424
    
        Emergency medical services, Health facilities, Health professions, 
    Medicare.
    
    42 CFR Part 485
    
        Grant programs-health, Health facilities, Medicaid, Medicare, 
    Reporting and recordkeeping requirements.
    
    42 CFR Part 489
    
        Health facilities, Medicare, Reporting and recordkeeping 
    requirements.
    
        42 CFR chapter IV would be amended as set forth below:
        A. Part 412 would be amended as follows:
    
    PART 412--PROSPECTIVE PAYMENT SYSTEMS FOR INPATIENT HOSPITAL 
    SERVICES
    
        1. The authority citation for part 412 continues to read as 
    follows:
    
        Authority: Secs. 1102, 1815(e), 1820, 1871, and 1886 of the 
    Social Security Act (42 U.S.C. 1302, 1395g(e), 1395i-4, 1395hh, and 
    1395ww).
    
    Subpart A--General Provisions
    
        2. Section 412.4 is amended as follows:
        a. In the first sentence of paragraph (d)(1), the phrase ``is paid 
    a per diem rate'' is revised to read ``is paid a graduated per diem 
    rate''.
        b. In paragraph (d)(1), a new sentence is added at the end of the 
    paragraph.
        The addition is to read as follows:
    
    
    Sec. 412.4  Discharges and transfers.
    
    * * * * *
        (d) Payment to a hospital transferring an inpatient to another 
    hospital. (1) * * * Payment is graduated by paying twice the per diem 
    amount for the first day of the stay, and the per diem amount for each 
    subsequent day, up to the limit as described in this paragraph.
    * * * * *
    Subpart B--Hospital Services Subject to and Excluded From the 
    Prospective Payment Systems for Inpatient Operating Costs and 
    Inpatient Capital-Related Costs
    
        3. Section 412.23 is amended as follows:
        a. Paragraphs (e)(2), (e)(3) introductory text, (e)(3)(i)(E), and 
    (e)(3)(ii) are revised.
        b. In paragraph (e)(4), the phrase ``in paragraphs (e)(3) of this 
    section'' is revised to read ``in paragraph (e)(3) of this section''.
        The revisions are to read as follows:
    
    
    Sec. 412.23  Excluded hospitals: Classifications.
    
    * * * * *
        (e) Long-term care hospitals. * * *
        (2) The hospital must have an average length of inpatient stay 
    greater than 25 days--
        (i) As computed by dividing the number of total inpatient days 
    (less leave or pass days) by the number of total discharges for the 
    hospital's most recent complete cost reporting period;
        (ii) If a change in the hospital's average length of stay is 
    indicated, as computed by the same method for the immediately preceding 
    6-month period; or
        (iii) If a hospital has undergone a change of ownership (as 
    described in Sec. 489.18 of this chapter) at the start of a cost 
    reporting period or at any time within the preceding 6 months, the 
    hospital may be excluded from the prospective payment system as a long-
    term care hospital for a cost reporting period if, for the 6 months 
    immediately preceding the start of the period (including time before 
    the change of ownership), the hospital has the required average length 
    of stay, continuously operated as a hospital, and continuously 
    participated as a hospital in Medicare.
        (3) Except as provided in paragraph (e)(4) of this section, for 
    cost reporting periods beginning on or after October 1, 1994, a 
    hospital that occupies space in a building also used by another 
    hospital, or in one or more entire buildings located on the same campus 
    as buildings used by another hospital, must meet the criteria in 
    paragraph (e)(3)(i)(A) through (e)(3)(i)(D) of this section, and either 
    the criterion in paragraph (e)(3)(i)(E) of this section or the 
    criterion in paragraph (e)(3)(ii) of this section.
        (i) * * *
        (E) Performance of basic hospital functions. For the period of at 
    least 6 months used to determine compliance with the length-of-stay 
    criterion in paragraph (e)(2) of this section, the cost of the services 
    that the hospital obtained under contracts or other agreements with the 
    hospital occupying space in the same building or on the same campus, or 
    with a third entity that controls both hospitals, is no more than 15 
    percent of the hospital's total inpatient operating costs, as defined 
    in Sec. 412.2(c).
        (ii) For the period of at least 6 months used to determine 
    compliance with the length-of-stay criterion in paragraph (e)(2) of 
    this section, the hospital has an inpatient population of whom at least 
    75 percent were referred to the hospital from a source other than 
    another hospital occupying space in the same building or on the same 
    campus.
    * * * * *
        4. In Sec. 412.29, the introductory text is republished, and 
    paragraph (a) is revised to read as follows:
    
    
    Sec. 412.29  Excluded rehabilitation units: Additional requirements.
    
        In order to be excluded from the prospective payment systems, a 
    rehabilitation unit must meet the following requirements:
        (a) Have met either the requirements for--
        (1) New units under Sec. 412.30(a); or
        (2) Converted units under Sec. 412.30(b).
    * * * * *
        5. Section 412.30 is amended as follows: [[Page 29252]] 
        a. Paragraph (a) is revised.
        b. Paragraphs (b) and (c) are redesignated as paragraphs (c) and 
    (d).
        c. A new paragraph (b) is added.
        d. Redesignated paragraph (c) is revised.
        e. In redesignated paragraph (d), the phrase ``under paragraph (b) 
    of this section,'' is revised to read ``under paragraph (c) of this 
    section,''.
        The revisions and addition are to read as follows:
    
    
    Sec. 412.30  Exclusion of new rehabilitation units and expansion of 
    units already excluded.
    
        (a) New units. (1) A hospital unit is considered a new unit if the 
    hospital--
        (i) Has not previously sought exclusion for any rehabilitation 
    unit; and
        (ii) Has obtained approval, under State licensure and Medicare 
    certification, for an increase in its hospital bed capacity that is 
    greater than 50 percent of the number of beds in the unit.
        (2) A hospital that seeks exclusion of a new rehabilitation unit 
    may provide a written certification that the inpatient population the 
    hospital intends the unit to serve meets the requirements of 
    Sec. 412.23(b)(2) instead of showing that the unit has treated such a 
    population during the hospital's most recent cost reporting period.
        (3) The written certification described in paragraph (a)(2) of this 
    section is effective for the first full cost reporting period during 
    which the unit is used to provide hospital inpatient care. If the 
    hospital has not previously participated in the Medicare program as a 
    hospital, the written certification also is effective for any cost 
    reporting period of not less than 1 month and not more than 11 months 
    occurring between the date the hospital began participating in Medicare 
    and the start of the hospital's regular 12-month cost reporting period.
        (4) A hospital that has undergone a change of ownership or leasing 
    as defined in Sec. 489.18 of this chapter is not considered to have 
    participated previously in the Medicare program.
        (b) Converted units. A hospital unit is considered a converted unit 
    if it does not qualify as a new unit under paragraph (a) of this 
    section. A converted unit must have treated, for the hospital's most 
    recent 12-month cost reporting period, an inpatient population of which 
    at least 75 percent required intensive rehabilitation services for the 
    treatment of one or more conditions listed under Sec. 412.23(b)(2).
        (c) Expansion of excluded rehabilitation units.
        (1) New bed capacity. The beds that a hospital seeks to add to its 
    excluded rehabilitation unit are considered new beds only if--
        (i) The hospital's State-licensed and Medicare-certified bed 
    capacity increases at the start of the cost reporting period for which 
    the hospital seeks to increase the size of its excluded rehabilitation 
    unit, or at any time after the start of the preceding cost reporting 
    period; and
        (ii) The number of beds the hospital seeks to add to its excluded 
    rehabilitation unit is greater than 50 percent of the number of beds by 
    which the hospital's State licensed and Medicare certified bed capacity 
    increased under paragraph (c)(1)(i) of this section.
        (2) Conversion of existing bed capacity.
        (i) Bed capacity is considered to be existing bed capacity if it 
    does not meet the definition of new bed capacity under paragraph (c)(1) 
    of this section.
        (ii) A hospital may increase the size of its excluded 
    rehabilitation unit through conversion of existing bed capacity only if 
    it shows that, for all of the hospital's most recent cost reporting 
    period of at least 12 months, the beds have been used to treat an 
    inpatient population meeting the requirements of Sec. 412.23(b)(2).
    * * * * *
    
    Subpart D--Basic Methodology for Determining Prospective Payment 
    Federal Rates for Inpatient Operating Costs
    
        6. In Sec. 412.63, a new paragraph (s)(5) is added to read as 
    follows:
    Sec. 412.63  Federal rates for inpatient operating costs for fiscal 
    years after Federal fiscal year 1984.
    
    * * * * *
        (s) * * *
        (5) If a judicial decision reverses a HCFA denial of a hospital's 
    wage data revision request, HCFA pays the hospital by applying a 
    revised wage index that reflects the revised wage data as if HCFA's 
    decision had been favorable rather than unfavorable.
    
    Subpart G--Special Treatment of Certain Facilities Under the 
    Prospective Payment System for Inpatient Operating Costs
    
    
    Sec. 412.92  [Amended]
    
        7. In paragraph (b)(5) of Sec. 412.92, remove the phrase ``under 
    Sec. 413.30(e)(1) of this chapter'', wherever it appears.
        8. In Sec. 412.105, paragraph (b) is revised to read as follows:
    
    
    Sec. 412.105  Special treatment: Hospitals that incur indirect costs 
    for graduate medical education programs.
    
    * * * * *
        (b) Determination of number of beds. For purposes of this section, 
    the number of beds in a hospital is determined by counting the number 
    of available bed days during the cost reporting period, not including 
    beds in the healthy newborn nursery, custodial care beds, or beds in 
    excluded distinct part hospital units, and dividing that number by the 
    number of days in the cost reporting period.
    * * * * *
        9. In Sec. 412.106, paragraph (b)(3) is revised to read as follows:
    
    
    Sec. 412.106  Special treatment: Hospitals that serve a 
    disproportionate share of low-income patients.
    
    * * * * *
        (b) * * *
        (3) First computation: Cost reporting period. If a hospital prefers 
    that HCFA use its cost reporting period instead of the Federal fiscal 
    year, it must furnish to HCFA, through its intermediary, a written 
    request including the hospital's name, provider number, and cost 
    reporting period end date. This exception will be performed once per 
    hospital per cost reporting period, and the resulting percentage 
    becomes the hospital's official Medicare Part A/SSI percentage for that 
    period.
    * * * * *
        10. Section 412.109 is amended as follows:
        a. Paragraph (a) is revised.
        b. Paragraphs (b) through (e) are redesignated as paragraphs (c) 
    through (f).
        c. A new paragraph (b) is added.
        d. Redesignated paragraphs (c)(1), (c)(2)(ii), (d) introductory 
    text, and (d)(1) are revised.
        e. The paragraph heading of redesignated paragraph (e) and 
    redesignated paragraph (e)(1) are revised.
        The revisions and addition are to read as follows:
    
    
    Sec. 412.109  Special treatment: Essential access community hospitals 
    (EACHs).
    
        (a) General rule. For payment purposes, HCFA treats as a sole 
    community hospital any hospital that is located in a rural area as 
    described in paragraph (b) of this section and that HCFA designates as 
    an EACH under the criteria in paragraph (c) of this section. The 
    payment methodology for sole community hospitals is set forth at 
    Sec. 412.92(d).
        (b) Location in a rural area. For purposes of this section, a 
    hospital is located in a rural area if it-- [[Page 29253]] 
        (1) Is located outside any area that is a Metropolitan Statistical 
    Area as defined by the Office of Management and Budget or that has been 
    recognized as urban under Sec. 412.62;
        (2) Is not deemed to be located in an urban area under Sec. 412.63;
        (3) Is not classified as an urban hospital for purposes of the 
    standardized payment amount by HCFA or the Medicare Geographic 
    Classification Review Board; or
        (4) Is not located in a rural county that has been redesignated to 
    an adjacent urban area under Sec. 412.232.
        (c) Criteria for HCFA designation. (1) HCFA designates a hospital 
    as an EACH if the hospital is located in a State that has received a 
    grant under section 1820(a)(1) of the Act or in an adjacent State and 
    is designated as an EACH by the State that has received the grant.
    * * * * *
        (2) * * *
        (ii) Is not eligible for State designation solely because the 
    hospital is located in a rural area, has fewer than 75 beds and is 
    located 35 miles or less from any other hospital; and
    * * * * *
        (d) Criteria for State designation. A State that has received a 
    grant under section 1820(a)(1) of the Act may designate as an EACH any 
    hospital in the State or in an adjoining State that meets the criteria 
    of this paragraph (d).
        (1) Geographic location. The hospital meets one of the following 
    requirements:
        (i) If it is located in a rural area as described in paragraph (b) 
    of this section, the hospital is located more than 35 miles from any 
    hospital that either has been designated as an EACH, or has been 
    classified as a rural referral center under Sec. 412.96.
        (ii) The hospital meets other criteria relating to geographic 
    location, imposed by the State with HCFA's approval.
    * * * * *
        (e) Adjustment to the hospital-specific rate for rural EACH's 
    experiencing increased costs--(1) General rule. HCFA increases the 
    applicable hospital-specific rate of an EACH that it treats as a sole 
    community hospital if, during a cost reporting period, the hospital 
    experiences an increase in its Medicare inpatient operating costs per 
    discharge that is directly attributable to activities related to its 
    membership in a rural health network.
    * * * * *
    
    Subpart H--Payments to Hospitals Under the Prospective Payment 
    Systems
    
    
    Sec. 412.130  [Amended]
    
        11. In paragraph (a)(3) of Sec. 412.130, remove the reference 
    ``Sec. 412.30(b)'' wherever it appears and add, in its place, the 
    reference ``Sec. 412.30(c)''.
    
    Subpart L--The Medicare Geographic Classification Review Board
    
        12. In Sec. 412.230, paragraph (a)(1) is revised and a new 
    paragraph (a)(5) is added to read as follows:
    
    
    Sec. 412.230  Criteria for an individual hospital seeking redesignation 
    to another rural area or an urban area.
    
        (a) General--(1) Purpose. Except as provided in paragraph (a)(5) of 
    this section, an individual hospital may be redesignated from a rural 
    area to an urban area, from a rural area to another rural area, or from 
    an urban area to another urban area for the purposes of using the other 
    area's standardized amount for inpatient operating costs, wage index 
    value, or both.
    * * * * *
        (5) Limitations on redesignation. The following limitations apply 
    to redesignation:
        (i) An individual hospital may not be redesignated to another area 
    for purposes of the wage index if the pre-reclassified average hourly 
    wage for that area is lower than the pre-reclassified average hourly 
    wage for the area in which the hospital is located.
        (ii) A hospital may not be redesignated for purposes of the 
    standardized amount if the area to which the hospital seeks 
    redesignation does not have a higher standardized amount than the 
    standardized amount the hospital currently receives.
        (iii) A hospital may not be redesignated to more than one area.
    * * * * *
        13. In Sec. 412.232, a new paragraph (a)(4) is added to read as 
    follows:
    Sec. 412.232  Criteria for all hospitals in a rural county seeking 
    urban redesignation.
    
        (a) * * *
        (4) The hospitals may be redesignated only if one of the following 
    conditions is met:
        (i) The pre-reclassified average hourly wage for the area to which 
    they seek redesignation is higher than the pre-reclassified average 
    hourly wage for the area in which they are currently located.
        (ii) The standardized amount for the area to which they seek 
    redesignation is higher than the standardized amount for the area in 
    which they are located.
    * * * * *
        14. In Sec. 412.234, a new paragraph (a)(4) is added to read as 
    follows:
    
    
    Sec. 412.234  Criteria for all hospitals in an urban county seeking 
    redesignation to another urban area.
    
        (a) * * *
        (4) The hospitals may be redesignated only if one of the following 
    conditions is met.
        (i) The pre-reclassified average hourly wage for the area to which 
    they seek redesignation is higher than the pre-reclassified average 
    hourly wage for the area in which they are currently located.
        (ii) The standardized amount for the area to which they seek 
    redesignation is higher than the standardized amount for the area in 
    which they are currently located.
    * * * * *
        15. Section 412.266 is revised to read as follows:
    
    
    Sec. 412.266  Availability of wage data.
    
        A hospital may obtain the average hourly wage data necessary to 
    prepare its application to the MGCRB from Federal Register documents 
    published in accordance with the provisions of Sec. 412.8(b).
    
    Subpart M--Prospective Payment System for Inpatient Hospital 
    Capital Costs
    
        16. In Sec. 412.308, new paragraphs (b)(3) and (b)(4) are added and 
    paragraph (c)(1)(ii) is revised to read as follows:
    
    
    Sec. 412.308  Determining and updating the Federal rate.
    
    * * * * *
        (b) * * *
        (3) Effective FY 1996, the standard Federal rate used to determine 
    the Federal rate each year under paragraph (c) of this section is 
    reduced by 0.28 percent to account for the effect of the revised policy 
    for payment of transfers under Sec. 412.4(d).
        (4) Effective FY 1996, the standard Federal rate used to determine 
    the Federal rate each year under paragraph (c) of this section is 
    reduced by 1.14 percent to account for capital-related tax costs 
    included in the original rate computation.
        (c) * * *
        (1) * * *
        (ii) Effective FY 1996. Effective FY 1996, the standard Federal 
    rate is updated based on an analytical framework. The framework 
    includes a capital input price index, which measures the annual change 
    in the prices associated with capital-related costs during the year. 
    HCFA adjusts the capital input price index rate of change 
    [[Page 29254]] to take into account forecast errors, changes in the 
    case mix index, the effect of changes to DRG classification and 
    relative weights, and allowable changes in the intensity of hospital 
    services. HCFA may also adjust the annual rate of change to take into 
    account the efficiency and cost-effectiveness of capital resources and 
    other factors as appropriate.
    * * * * *
        17. In Sec. 412.312, a new paragraph (b)(5) is added to read as 
    follows:
    
    
    Sec. 412.312  Payment based on the Federal rate.
    
    * * * * *
        (b) * * *
        (5) An additional payment is made, as provided in Sec. 412.323, to 
    account for the capital-related tax costs of qualifying hospitals.
    * * * * *
        18. A new Sec. 412.323 is added under the undesignated heading of 
    subpart M that continues to read: Basic Methodology for Determining the 
    Federal Rate for Capital-Related Costs.
        The new section reads as follows:
    
    
    Sec. 412.323  Special treatment: Capital-related tax costs.
    
        (a) Definition. As used in this section, the term capital-related 
    tax costs means the costs for taxes on land or depreciable assets owned 
    by a hospital (or a related organization consistent with the terms of 
    Sec. 413.17 of this chapter) and used for patient care. Taxes assessed 
    on some basis other than valuation of land or depreciable assets used 
    for patient care, or on assets not owned by the hospital, are not 
    considered capital-related tax costs.
        (b) Effective date. Effective for discharges beginning on or after 
    October 1, 1995, HCFA provides an adjustment to the Federal rate 
    payment for each eligible hospital to account for capital-related tax 
    costs.
        (c) Eligibility--(1) General requirement for initial eligibility. 
    If a hospital paid capital-related taxes during the first cost 
    reporting period beginning on or after October 1, 1991, and meets the 
    requirements for verifying those costs under paragraph (d) of this 
    section, the hospital is eligible for an adjustment subject to 
    paragraph (c)(3) of this section.
        (2) Special rule for initial eligibility of a hospital that began 
    operation after FY 1992. If a hospital began operation after Federal FY 
    1992, and is subject to capital-related taxes, the hospital is eligible 
    for an adjustment provided that it meets the special requirement for 
    verifying those costs under paragraph (d) of this section.
        (3) Continued basis for eligibility. A hospital that meets the 
    requirements for initial eligibility remains eligible for a tax 
    adjustment as long as it continues to pay capital-related taxes. The 
    intermediary may require the hospital to submit proof of continued 
    eligibility for the adjustment.
        (d) Verification of eligibility. (1) A hospital that meets the 
    general requirement for initial eligibility must provide the 
    intermediary with complete documentation of its capital-related tax 
    costs during the hospital's first cost reporting period beginning on or 
    after October 1, 1991.
        (2) A hospital that meets the special requirements for initial 
    eligibility under paragraph (c)(2) of this section must provide the 
    intermediary with complete documentation of its tax costs during the 
    first year in which it pays such costs.
        (e) Methodology. (1) The intermediary determines the amount of a 
    hospital's total allowable capital-related tax costs during the first 
    cost reporting period beginning on or after October 1, 1991, on the 
    basis of the documentation submitted by the hospital to meet the 
    eligibility requirements under paragraph (c) of this section. The 
    intermediary reports that amount to HCFA.
        (2) HCFA determines each hospital's FY 1992 Medicare inpatient 
    capital-related tax cost per discharge by applying, to the amount 
    determined under paragraph (e)(1) of this section, the ratio of the 
    hospital's Medicare inpatient capital-related costs to total inpatient 
    capital-related costs, and then dividing the result by the number of 
    Medicare inpatient discharges during that cost reporting period.
        (3) HCFA updates the amount in paragraph (e)(2) of this section by 
    a factor that represents the total amount of the updates to the Federal 
    rate for FY 1993 through FY 1996 under Sec. 412.308(c)(1).
        (4) For discharges occurring on or after October 1, 1995, the 
    intermediary adds the amount determined under paragraph (e)(3) of this 
    section to the Federal rate portion of each eligible hospital's 
    payment, before the application of the appropriate Federal rate payment 
    percentage under Sec. 412.340 or Sec. 412.344.
        (5) For discharges occurring on or after October 1, 1998, HCFA 
    updates the prior year tax per discharge amount by an analytical 
    framework that accounts for changes in the factors that determine 
    capital-related costs.
        (6) For a hospital that qualifies for an adjustment under the 
    special rule in paragraph (c)(2) of this section, determination of the 
    payment amount follows the following steps:
        (i) The intermediary determines the amount of a hospital's total 
    allowable capital-related tax costs during the first cost reporting for 
    which the hospital is subject to capital-related taxes, on the basis of 
    the documentation submitted by the hospital to meet the eligibility 
    requirements under paragraph (c) of this section. The intermediary 
    reports that amount to HCFA.
        (ii) HCFA determines each hospital's first year Medicare inpatient 
    capital-related tax costs per discharge by applying, to the amount 
    determined under paragraph (e)(6)(i) of this section, the ratio of the 
    hospital's Medicare inpatient capital-related costs to total capital 
    costs, and by dividing the result by the number of Medicare inpatient 
    discharges during that cost reporting period.
        (iii) For discharges occurring on or after October 1, 1995, HCFA 
    updates the amount under paragraph (e)(6)(ii) of this section by a 
    factor that represents the total amount, if any, of the updates to the 
    Federal rate from the first year in which the hospital paid capital-
    related taxes to FY 1996, under Sec. 412.308(c)(1).
        (iv) The intermediary adds the amount determined under paragraph 
    (e)(6)(iii) of this section to the Federal rate portion of each 
    eligible hospital's payment, before the application of the appropriate 
    Federal rate payment percentage under Sec. 412.340 or Sec. 412.344.
        (v) For discharges occurring on or after October 1, 1998, HCFA 
    updates the prior year tax per discharge amount by an analytical 
    framework that accounts for changes in the factors that determine 
    capital-related costs.
        19. In Sec. 412.328, a new paragraph (e)(4) is added to read as 
    follows:
    
    
    Sec. 412.328  Determining and updating the hospital-specific rate.
    
    * * * * *
        (e) * * *
        (4) Effective FY 1996, the intermediary reduces the updated amount 
    determined in paragraph (d) of this section by 0.28 percent to account 
    for the effect of the revised policy for payment of transfers under 
    Sec. 412.4(d).
    * * * * *
        B. Part 413 would be amended as follows:
    
    PART 413--PRINCIPLES OF REASONABLE COST REIMBURSEMENT; PAYMENT FOR 
    END-STAGE RENAL DISEASE SERVICES
    
        1. The authority citation for part 413 is revised to read as 
    follows:
    
        [[Page 29255]] Authority: Secs. 1102, 1122, 1814(b), 1815, 1833 
    (a), (i), and (n), 1861(v), 1871, 1881, 1883, and 1886 of the Social 
    Security Act (42 U.S.C. 1302, 1320a-1, 1395f(b), 1395g, 1395l (a), 
    (i), and (n), 1395x(v), 1395hh, 1395rr, 1395tt, and 1395ww).
    
    Subpart C--Limits on Cost Reimbursement
    
        2. Section 413.30 is amended as follows:
        a. Paragraph (e) is revised.
        b. In paragraph (f) introductory text, the first sentence is 
    revised.
        c. Paragraphs (f)(5), (f)(6), (f)(7), and (f)(9) are removed and 
    paragraph (f)(8) is redesignated as paragraph (f)(5).
        The revisions are to read as follows:
    
    
    Sec. 413.30  Limitations on reimbursable costs.
    
    * * * * *
        (e) Exemptions. Exemptions from the limits imposed under this 
    section may be granted to a new provider. A new provider is a provider 
    of inpatient services that has operated as the type of provider (or the 
    equivalent) for which it is certified for Medicare, under present and 
    previous ownership, for less than three full years. An exemption 
    granted under this paragraph expires at the end of the provider's first 
    cost reporting period beginning at least two years after the provider 
    accepts its first patient.
        (f) Exceptions. Limits established under this section may be 
    adjusted upward for a provider under the circumstances specified in 
    paragraphs (f)(1) through (f)(5) of this section. * * *
    * * * * *
    
    
    Sec. 413.35  [Amended]
    
        3. In paragraph (b)(2) of Sec. 413.35, remove the reference 
    ``Sec. 413.30(e)(2)'' wherever it appears in the paragraph and add, in 
    its place, the reference ``Sec. 413.30(e)''.
        4. Section 413.40 is amended as follows:
        a. In Sec. 413.40(c)(2), remove the phrase ``during the 3 days'' 
    wherever it appears in the paragraph and add, in its place, the phrase 
    ``on the calendar day''.
        b. Paragraph (e)(1) is revised.
        c. A new sentence is added at the end of paragraph (g)(1).
        The revision and addition are to read as follows:
    
    
    Sec. 413.40  Ceiling on the rate of increase in hospital inpatient 
    costs.
    
    * * * * *
        (e) Hospital requests regarding adjustments to the payment allowed 
    under the rate-of-increase ceiling--(1) Timing of application. A 
    hospital may request an adjustment to the rate-of-increase ceiling 
    imposed under this section. The hospital's request must be received by 
    the hospital's fiscal intermediary no later than 180 days after the 
    date on the intermediary's initial notice of amount of program 
    reimbursement (NPR) for the cost reporting period for which the 
    hospital requests an adjustment.
    * * * * *
        (g) * * *
        (1) * * * The amount of payment made to a hospital after a TEFRA 
    adjustment may not exceed the difference between the hospital's 
    operating costs and the payment previously allowed.
    * * * * *
    
    Subpart E--Payment to Providers
    
        5. In Sec. 413.70, the first sentence of paragraph (b)(2)(i) is 
    revised to read as follows:
    
    
    Sec. 413.70  Payment for services of an RPCH.
    
    * * * * *
        (b) * * *
        (2) * * * (i) RPCH services. Payment under this method for 
    outpatient RPCH services is equal to the amounts described in section 
    1833(a)(2)(B) of the Act (which describes amounts paid for hospital 
    outpatient services) and subject to the applicable principles of cost 
    reimbursement in this part and in part 405, subpart D of this chapter, 
    except for the principle of the lesser of costs or charges in 
    Sec. 413.13. * * *
    * * * * *
        C. Part 424 would be amended as follows:
    
    PART 424--CONDITIONS FOR MEDICARE PAYMENT
    
        1. The authority citation for part 424 continues to read as 
    follows:
    
        Authority: Secs. 216(j), 1102, 1814, 1815(c), 1835, 1842 (b) and 
    (p), 1861, 1866(d), 1870 (e) and (f), 1871, and 1872 of the Social 
    Security Act (42 U.S.C. 416(j), 1302, 1395f, 1395g(c), 1395n, 1395u 
    (b) and (p), 1395x, 1395cc(d), 1395gg (e) and (f), 1395hh, and 
    1395ii).
    
    Subpart B--Physician Certification Requirements
    
        2. In Sec. 424.15, paragraph (a) is revised to read as follows:
    
    
    Sec. 424.15  Requirements for inpatient RPCH services.
    
        (a) Content of certification. Medicare part A pays for inpatient 
    RPCH services only if a physician certifies that the individual may 
    reasonably be expected to be discharged or transferred to a hospital 
    within 72 hours after admission to the RPCH.
    * * * * *
        D. Part 485 would be amended as follows:
    
    PART 485--CONDITIONS OF PARTICIPATION: SPECIALIZED PROVIDERS
    
        1. The authority citation for part 485 continues to read as 
    follows:
    
        Authority: Secs. 1102 and 1871 of the Social Security Act (42 
    U.S.C. 1302 and 1395hh).
    
    Subpart F--Conditions of Participation: Rural Primary Care 
    Hospitals (RPCHs)
    
    
    Sec. 485.603  [Amended]
    
        2. In paragraph (a)(2)(i) of Sec. 485.603, remove the reference 
    ``Sec. 412.109(c)'' wherever it appears in the paragraph and add, in 
    its place, the reference ``Sec. 412.109(d)''.
        3. In Sec. 485.606, paragraphs (a)(1), (b)(1), (b)(3), the 
    paragraph heading of paragraph (c), (c)(1) introductory text, 
    (c)(1)(i), (c)(2) introductory text, and (c)(2)(ii) are revised to read 
    as follows:
    
    
    Sec. 485.606  Designation of RPCHs.
        (a) Criteria for State designation--(1) A State that has received a 
    grant under section 1820(a)(1) of the Act may designate as an RPCH any 
    hospital that--
        (i) Is located in the State that has received the grant, or is 
    located in an adjoining State and is a member of a rural health network 
    that also includes one or more facilities located in the State that has 
    received the grant;
        (ii) Meets the RPCH conditions of participation in this subpart F; 
    and
        (iii) Applies to the State that has received the grant for 
    designation as an RPCH.
    * * * * *
        (b) Criteria for HCFA designation--(1) HCFA designates a hospital 
    as an RPCH if the hospital is designated as an RPCH by the State in 
    which it is located or by an adjoining State that has received a grant.
    * * * * *
        (3) HCFA may also designate not more than 15 hospitals as RPCHs if 
    the hospitals are not located in States that have received grants under 
    section 1820(a)(1) of the Act and meet the requirements of paragraph 
    (c)(1) of this section.
        (c) Special rule: Hospitals not designated by a State as RPCHs--(1) 
    HCFA may designate not more than 15 hospitals as RPCHs under this 
    paragraph (c)(1). These hospitals must be located in a State that has 
    not received a grant under section 1820(a)(1) of the Act, must not have 
    [[Page 29256]] been designated as RPCHs by a State that has received a 
    grant under paragraph (a)(1) of this section, and must meet the 
    requirements with regard to location, participation in the Medicare 
    program, and emergency services as defined in Secs. 485.610, 485.612, 
    and 485.618, respectively. In designating a hospital as an RPCH under 
    this paragraph (c)(1), HCFA--
        (i) Gives preference to a hospital that has entered into an 
    agreement with a rural health network as defined in Sec. 485.603 that 
    is located in a State that has received a grant under section 
    1820(a)(1) of the Act; and
    * * * * *
        (2) HCFA may designate a hospital as an RPCH if the hospital is 
    located in a State that has received a grant under section 1820(a)(1) 
    of the Act and is not eligible for State designation under paragraph 
    (a) of this section solely because the hospital--
    * * * * *
        (ii) Has more than six inpatient beds or does not maintain an 
    average length of stay for inpatients not greater than 72 hours for 
    each 12-month cost reporting period, excluding periods of stays that 
    exceeded 72 hours because transfer was precluded because of inclement 
    weather or other emergency conditions, as described in Sec. 485.620; or
    * * * * *
        4. Section 485.614 is revised to read as follows:
    
    
    Sec. 485.614  Condition of participation: Termination of inpatient care 
    services.
    
        (a) General rule. The hospital has ceased providing inpatient 
    hospital care or has agreed to cease providing inpatient hospital care 
    upon approval of its application for designation as an RPCH except to 
    the extent permitted under paragraph (b) of this section.
        (b) Limitations on inpatient care--(1) If the RPCH does not have a 
    swing-bed agreement under Sec. 485.645, it provides not more than six 
    inpatient beds for providing inpatient RPCH care to patients, but only 
    if--
        (i) The patient requires stabilization before discharge or transfer 
    to a hospital;
        (ii) The patient's attending physician certifies that the patient 
    may reasonably be expected to be discharged or transferred to a 
    hospital within 72 hours of admission to the facility; and
        (iii) The RPCH complies with the limitation on inpatient surgery 
    set forth in paragraph (b)(3) of this section.
        (2) If the RPCH has a swing-bed agreement under Sec. 485.645, it 
    provides inpatient RPCH care as described under paragraph (b)(1) of 
    this section and, under the swing-bed agreement, provides posthospital 
    SNF care.
        (3) The RPCH does not provide any inpatient hospital services 
    consisting of surgery or any other service requiring the use of general 
    anesthesia (other than surgical procedures specified by HCFA under 
    Sec. 416.65 of this chapter), unless the attending physician certifies 
    that the risk associated with transferring the patient to a hospital 
    for such services outweighs the benefits of transferring the patient to 
    a hospital for such services.
        (c) Exception for RPCHs designated by HCFA. If an RPCH is 
    designated by HCFA under the specific criteria in Sec. 485.606(c), the 
    RPCH is not subject to the requirements in this section.
        5. In Sec. 485.620, paragraph (b) is revised to read as follows:
    
    
    Sec. 485.620  Condition of participation: Number of beds and length of 
    stay.
    
    * * * * *
        (b) Standard: Length of stay. The RPCH maintains an average length 
    of stay for inpatients that is not greater than 72 hours for each 12-
    month cost reporting period. In determining the average length of stay, 
    periods of stay of inpatients in excess of 72 hours are not taken into 
    account to the extent such periods exceed 72 hours because transfer to 
    a hospital is precluded because of inclement weather or other emergency 
    conditions.
        6. A new Sec. 485.639 is added to read as follows:
    
    
    Sec. 485.639  Condition of participation: Surgical services.
    
        Surgical procedures must be performed in a safe manner by qualified 
    practitioners who have been granted clinical privileges by the 
    governing body of the RPCH in accordance with the designation 
    requirements under paragraph (a) of this section.
        (a) Designation of qualified practitioners. The RPCH designates the 
    practitioners who are allowed to perform surgery for RPCH patients, in 
    accordance with its approved policies and procedures, and with State 
    scope of practice laws. Surgery is performed only by--
        (1) A doctor of medicine or osteopathy, including an osteopathic 
    practitioner recognized under section 1101(a)(7) of the Act;
        (2) A doctor of dental surgery or dental medicine; or
        (3) A doctor of podiatric medicine.
        (b) Anesthetic risk and evaluation. A qualified practitioner, as 
    described in paragraph (a) of this section, must examine the patient 
    immediately before surgery to evaluate the risk of anesthesia and of 
    the procedure to be performed. Before discharge from the RPCH, each 
    patient must be evaluated for proper anesthesia recovery by a qualified 
    practitioner as described in paragraph (a) of this section.
        (c) Administration of anesthesia. The RPCH designates the person 
    who is allowed to administer anesthesia to RPCH patients in accordance 
    with its approved policies and procedures and with State scope of 
    practice laws.
        (1) Anesthetics must be administered only by--
        (i) A qualified anesthesiologist;
        (ii) A doctor of medicine or osteopathy other than an 
    anesthesiologist, including an osteopathic practitioner recognized 
    under section 1101(a)(7) of the Act;
        (iii) A doctor of dental surgery or dental medicine;
        (iv) A doctor of podiatric medicine;
        (v) A certified registered nurse anesthetist, as defined in 
    Sec. 410.69(b) of this chapter;
        (vi) An anesthesiologist's assistant, as defined in Sec. 410.69(b) 
    of this chapter; or
        (vii) A supervised trainee in an approved educational program, as 
    described in Secs. 413.85 or 413.86 of this chapter.
        (2) In those cases in which a certified registered nurse 
    anesthetist administers the anesthesia, the anesthetist must be under 
    the supervision of the operating practitioner. An anesthesiologist's 
    assistant who administers anesthesia must be under the supervision of 
    an anesthesiologist.
        (d) Discharge. All patients are discharged in the company of a 
    responsible adult, except those exempted by the practitioner who 
    performed the surgical procedure.
        E. Part 489 would be amended as follows:
    
    PART 489--PROVIDER AGREEMENTS AND SUPPLIER APPROVAL
    
        1. The authority citation for part 489 continues to read as 
    follows:
    
        Authority: Secs. 1102, 1819, 1861, 1864(m), 1866, and 1871 of 
    the Social Security Act (42 U.S.C. 1302, 1395i-3, 1395x, 1395aa(m), 
    1395cc, and 1395hh).
    
    Subpart E--Termination of Agreement and Reinstatement After 
    Termination
    
        2. In Sec. 489.53, a new paragraph (a)(14) is added to read as 
    follows:
    
    
    Sec. 489.53  Termination by HCFA.
    
        (a) * * *
        (14) In the case of a rural primary care hospital as defined in 
    part 485, subpart F of this chapter, the rural primary care hospital 
    maintains an average length of [[Page 29257]] stay for inpatients in 
    its most recent 12-month cost reporting period that is in excess of 72 
    hours. In determining the length of stay of a rural primary care 
    hospital for purposes of this paragraph, HCFA does not take into 
    account periods of stay in excess of 72 hours that occurred because 
    transfer to a hospital was precluded because of inclement weather or 
    other emergency conditions.
    * * * * *
    (Catalog of Federal Domestic Assistance Program No. 93.773, 
    Medicare--Hospital Insurance; and Program No. 93.774, Medicare--
    Supplementary Medical Insurance Program)
    
        Dated: May 12, 1995.
    Bruce C. Vladeck,
    Administrator, Health Care Financing Administration.
        Dated: May 23, 1995.
    Donna E. Shalala,
    Secretary.
    
    [Editorial Note: The following addendum and appendixes will not 
    appear in the Code of Federal Regulations.]
    
    Addendum--Proposed Schedule of Standardized Amounts Effective With 
    Discharges On or After October 1, 1995 and Update Factors and Rate-of-
    Increase Percentages Effective With Cost Reporting Periods Beginning On 
    or After October 1, 1995
    
    I. Summary and Background
    
        In this addendum, we are setting forth the proposed amounts and 
    factors for determining prospective payment rates for Medicare 
    inpatient operating costs and Medicare inpatient capital-related costs. 
    We are also setting forth new proposed rate-of-increase percentages for 
    updating the target amounts for hospitals and hospital units excluded 
    from the prospective payment system.
        For discharges occurring on or after October 1, 1995, except for 
    sole community hospitals and hospitals located in Puerto Rico, each 
    hospital's payment per discharge under the prospective payment system 
    will be based on 100 percent of the Federal national rate.
        Sole community hospitals are paid based on whichever of the 
    following rates yields the greatest aggregate payment: the Federal 
    national rate, the updated hospital-specific rate based on FY 1982 cost 
    per discharge, or the updated hospital-specific rate based on FY 1987 
    cost per discharge. For hospitals in Puerto Rico, the payment per 
    discharge is based on the sum of 75 percent of a Puerto Rico rate and 
    25 percent of a national rate (section 1886(d)(9)(A) of the Act).
        As discussed below in section II, we are proposing to make changes 
    in the determination of the prospective payment rates for Medicare 
    inpatient operating costs. The changes, to be applied prospectively, 
    would affect the calculation of the Federal rates. In section III, we 
    discuss our proposed changes for determining the prospective payment 
    rates for Medicare inpatient capital-related costs. Section IV sets 
    forth our proposed changes for determining the rate-of-increase limits 
    for hospitals excluded from the prospective payment system. The tables 
    to which we refer in the preamble to the proposed rule are presented at 
    the end of this addendum in section V.
    
    II. Proposed Changes to Prospective Payment Rates For Inpatient 
    Operating Costs for FY 1996
    
        The basic methodology for determining prospective payment rates for 
    inpatient operating costs is set forth at Sec. 412.63 for hospitals 
    located outside of Puerto Rico. The basic methodology for determining 
    the prospective payment rates for inpatient operating costs for 
    hospitals located in Puerto Rico is set forth at Secs. 412.210 and 
    412.212. Below, we discuss the manner in which we are changing some of 
    the factors used for determining the prospective payment rates. The 
    Federal and Puerto Rico rate changes, once issued as final, will be 
    effective with discharges occurring on or after October 1, 1995. As 
    required by section 1886(d)(4)(C) of the Act, we must also adjust the 
    DRG classifications and weighting factors for discharges in FY 1996.
        In summary, the proposed standardized amounts set forth in Tables 
    1a, 1b, and 1c of section V of this addendum reflect--
         Updates of 1.5 percent for all areas (that is, the market 
    basket percentage increase of 3.5 percent minus 2.0 percentage points);
         An adjustment to ensure budget neutrality as provided for 
    in sections 1886(d)(4)(C)(iii) and (d)(3)(E) of the Act by applying new 
    budget neutrality adjustment factors to the large urban and other 
    standardized amounts;
         An adjustment to ensure budget neutrality as provided for 
    in section 1886(d)(8)(D) of the Act by removing the FY 1995 budget 
    neutrality factor and applying a revised factor;
         An adjustment to apply the revised outlier offset by 
    removing the FY 1995 outlier offsets and applying a new offset; and
         An adjustment to apply a budget neutrality factor for the 
    proposed change concerning transfer cases.
    A. Calculation of Adjusted Standardized Amounts
    
    1. Standardization of Base-Year Costs or Target Amounts
        Section 1886(d)(2)(A) of the Act required the establishment of 
    base-year cost data containing allowable operating costs per discharge 
    of inpatient hospital services for each hospital. The preamble to the 
    September 1, 1983 interim final rule (48 FR 39763) contains a detailed 
    explanation of how base-year cost data were established in the initial 
    development of standardized amounts for the prospective payment system 
    and how they are used in computing the Federal rates.
        Section 1886(d)(9)(B)(i) of the Act required that Medicare target 
    amounts be determined for each hospital located in Puerto Rico for its 
    cost reporting period beginning in FY 1987. The September 1, 1987 final 
    rule contains a detailed explanation of how the target amounts were 
    determined and how they are used in computing the Puerto Rico rates (52 
    FR 33043, 33066).
        The standardized amounts are based on per discharge averages of 
    adjusted hospital costs from a base period or, for Puerto Rico, 
    adjusted target amounts from a base period, updated and otherwise 
    adjusted in accordance with the provisions of section 1886(d) of the 
    Act. Sections 1886(d)(2)(C) and (d)(9)(B)(ii) of the Act required that 
    the updated base-year per discharge costs and, for Puerto Rico, the 
    updated target amounts, respectively, be standardized in order to 
    remove from the cost data the effects of certain sources of variation 
    in cost among hospitals. These include case mix, differences in area 
    wage levels, cost of living adjustments for Alaska and Hawaii, indirect 
    medical education costs, and payments to hospitals serving a 
    disproportionate share of low-income patients.
        Since the standardized amounts have already been adjusted for 
    differences in case mix, wages, cost-of-living, indirect medical 
    education costs, and payments to hospitals serving a disproportionate 
    share of low-income patients, no additional adjustments for these 
    factors for FY 1996 were made. That is, the standardization adjustments 
    reflected in the FY 1996 standardized amounts are the same as those 
    reflected in the FY 1995 standardized amounts.
        Sections 1886(d)(2)(H) and (d)(3)(E) of the Act require that, in 
    making payments under the prospective payment system, the Secretary 
    adjust the proportion (as estimated by the Secretary from time to time) 
    of costs that are wages and wage-related costs. Beginning October 1, 
    1990, when the [[Page 29258]] market basket was rebased, we have 
    considered 71.40 percent of costs to be labor-related for purposes of 
    the prospective payment system.
    2. Computing Large Urban and Other Averages Within Geographic Areas
        Section 1886(d)(3) of the Act requires the Secretary to compute two 
    average standardized amounts for discharges occurring in a fiscal year: 
    one for hospitals located in large urban areas and one for hospitals 
    located in other areas. In addition, under sections 1886(d)(9)(B)(iii) 
    and (C)(i) of the Act, the average standardized amount per discharge 
    must be determined for hospitals located in urban and other areas in 
    Puerto Rico. Hospitals in Puerto Rico are paid a blend of 75 percent of 
    the applicable Puerto Rico standardized amount and 25 percent of a 
    national standardized payment amount.
        Section 1886(d)(2)(D) of the Act defines ``urban areas'' as those 
    areas within a Metropolitan Statistical Area (MSA). A ``large urban 
    area'' is defined as an urban area with a population of more than 
    1,000,000. In addition, section 4009(i) of Public Law 100-203 provides 
    that a New England County Metropolitan Area (NECMA) with a population 
    of more than 970,000 is classified as a large urban area. As required 
    by section 1886(d)(2)(D) of the Act, population size is determined by 
    the Secretary based on the latest population data published by the 
    Bureau of the Census. Urban areas that do not meet the definition of a 
    ``large urban area'' are referred to as ``other urban areas.'' Areas 
    that are not included in MSAs are considered ``rural areas'' under 
    section 1886(d)(2)(D). Payment for discharges from hospitals located in 
    large urban areas will be based on the large urban standardized amount. 
    Payment for discharges from hospitals located in other urban and rural 
    areas will be based on the other standardized amount.
        Based on 1994 population estimates published by the Bureau of the 
    Census, 56 areas meet the criteria to be defined as large urban areas 
    for FY 1996. These areas are identified by an asterisk in Table 4a.
        Table 1a contains the two national standardized amounts that we are 
    proposing be applicable to most hospitals. Table 1b sets forth the 18 
    regional standardized amounts that would continue to be applicable for 
    hospitals located in census areas subject to the regional floor. Under 
    section 1886(d)(9)(A)(ii) of the Act, the national standardized payment 
    amount applicable to hospitals in Puerto Rico consists of the 
    discharge-weighted average of the national large urban standardized 
    amount and the national other standardized amount (as set forth in 
    Table 1a). The national average standardized amount for Puerto Rico is 
    set forth in Table 1c. This table also includes the two standardized 
    amounts that would be applicable to most hospitals in Puerto Rico.
    3. Updating the Average Standardized Amounts
        In accordance with section 1886(d)(3)(A)(iv) of the Act, we are 
    proposing to update the large urban and the other areas average 
    standardized amounts for FY 1996 using the applicable percentage 
    increases specified in section 1886(b)(3)(B)(i) of the Act. Section 
    1886(b)(3)(B)(i)(XI) of the Act specifies that, for hospitals in all 
    areas, the update factor for the standardized amounts for FY 1996 is 
    the market basket percentage increase minus 2.0 percentage points.
        The percentage change in the market basket reflects the average 
    change in the price of goods and services purchased by hospitals to 
    furnish inpatient care. The most recent forecast of the hospital market 
    basket increase for FY 1996 is 3.5 percent. For FY 1996, this yields an 
    update to the average standardized amounts of 1.5 percent (3.5 percent 
    minus 2.0 percent).
        As in the past, we are adjusting the FY 1995 standardized amounts 
    to remove the effects of the FY 1995 geographic reclassifications and 
    outlier payments before applying the FY 1996 updates. That is, we are 
    increasing the standardized amounts to restore the reductions that were 
    made for the effects of geographic reclassification and outliers. After 
    including offsets to the standardized amounts for outliers and 
    geographic reclassification, we estimate that there will be an actual 
    increase of 1.2 percent to the large urban and other area standardized 
    amounts.
        Beginning in FY 1995, we revised the national average standardized 
    amounts based on national average labor/nonlabor shares. In FY 1996, we 
    will continue to adjust the labor and nonlabor proportions of the 
    standardized amount to reflect the national average. As a result, the 
    national average labor share (as reflected in the hospital market 
    basket) will equal 71.4 percent of the standardized payment amounts. 
    (We are revising the Puerto Rico standardized amounts by applying the 
    average labor share in Puerto Rico of 82.8 percent.)
        Although the update factor for FY 1996 is set by law, we are 
    required by section 1886(e)(3)(B) of the Act to report to Congress on 
    our initial recommendation of update factors for FY 1996 for both 
    prospective payment hospitals and hospitals excluded from the 
    prospective payment system. For general information purposes, we have 
    included the report to Congress as Appendix C to this proposed rule. 
    Our proposed recommendation on the update factors (which is required by 
    sections 1886(e)(4)(A) and (e)(5)(A) of the Act), as well as our 
    responses to ProPAC's recommendation concerning the update factor, are 
    set forth as Appendix D to this proposed rule.
    4. Other Adjustments to the Average Standardized Amounts
        a. Recalibration of DRG Weights and Updated Wage Index--Budget 
    Neutrality Adjustment.
        Section 1886(d)(4)(C)(iii) of the Act specifies that beginning in 
    FY 1991, the annual DRG reclassification and recalibration of the 
    relative weights must be made in a manner that ensures that aggregate 
    payments to hospitals are not affected. As discussed in section II of 
    the preamble, we normalized the recalibrated DRG weights by an 
    adjustment factor, so that the average case weight after recalibration 
    is equal to the average case weight prior to recalibration.
        Section 1886(d)(3)(E) of the Act specifies that the hospital wage 
    index must be updated on an annual basis beginning October 1, 1993. 
    This provision also requires that any updates or adjustments to the 
    wage index must be made in a manner that ensures that aggregate 
    payments to hospitals are not affected by the change in the wage index.
        To comply with the requirement of section 1886(d)(4)(C)(iii) of the 
    Act that DRG reclassification and recalibration of the relative weights 
    be budget neutral and the requirement in section 1886(d)(3)(E) of the 
    Act that the updated wage index be budget neutral, we compared 
    aggregate payments using the FY 1995 relative weights and the wage 
    index effective October 1, 1994 to aggregate payments using the 
    proposed FY 1996 relative weights and wage index. The same methodology 
    was used for the FY 1995 budget neutrality adjustment. (See the 
    discussion in the September 1, 1992 final rule (57 FR 39832).) Based on 
    this comparison, we computed a budget neutrality adjustment factor 
    equal to 0.999174. This budget neutrality adjustment factor is applied 
    to the standardized amounts without removing the effects of the FY 1995 
    budget neutrality adjustment. We do not remove the prior budget 
    neutrality adjustment because estimated aggregate payments after the 
    changes in [[Page 29259]] the DRG relative weights and wage index 
    should equal estimated aggregate payments prior to the changes. If we 
    removed the prior year adjustment, we would not satisfy this condition.
        In addition, we are proposing to continue to apply the same FY 1996 
    adjustment factor to the hospital-specific rates that are effective for 
    cost reporting periods beginning on or after October 1, 1995, in order 
    to ensure that we meet the statutory requirement that aggregate 
    payments neither increase nor decrease as a result of the 
    implementation of the FY 1996 DRG weights and updated wage index. (See 
    the discussion in the September 4, 1990 final rule (55 FR 36073).)
        Section 1886(d)(5)(I) of the Act, as amended by section 109 of the 
    Social Security Act Amendments of 1994 (Public Law 103-432), authorizes 
    the Secretary to make adjustments to the prospective payment system 
    standardized amounts so that adjustments to the payment policy for 
    transfer cases do not affect aggregate payments. As discussed in 
    section IV of the preamble, we are proposing to revise our payment 
    methodology for transfer cases, so that we would pay double the per 
    diem amount for the first day of a transfer case, and the per diem 
    amount after that, up to the full DRG amount. For the data that we 
    analyzed, this would result in additional payments for transfer cases 
    of $159 million. To implement this proposed change in a budget neutral 
    manner, we adjusted the standardized amounts by applying a budget 
    neutrality adjustment of 0.997583. This adjustment will only be applied 
    on a one-time basis to the FY 1996 standardized amounts. After FY 1996, 
    there will be no need for a further budget neutrality adjustment unless 
    or until we make further changes to the transfer payment methodology.
        b. Reclassified Hospitals--Budget Neutrality Adjustment.
        Section 1886(d)(8) (B) of the Act provides that certain rural 
    hospitals are deemed urban effective with discharges occurring on or 
    after October 1, 1988. In addition, section 1886(d)(10) of the Act 
    provides for the reclassification of hospitals based on determinations 
    by the Medicare Geographic Classification Review Board (MGCRB). Under 
    section 1886(d)(10) of the Act, a hospital may be reclassified for 
    purposes of the standardized amount or the wage index, or both.
        Under section 1886(d)(8)(D) of the Act, the Secretary is required 
    to adjust the standardized amounts so as to ensure that total aggregate 
    payments under the prospective payment system after implementation of 
    the provisions of sections 1886(d)(8) (B) and (C) and 1886(d)(10) of 
    the Act are equal to the aggregate prospective payments that would have 
    been made absent these provisions. We are applying an adjustment of 
    0.994125 to ensure that the effects of reclassification are budget 
    neutral.
        The adjustment factor is applied to the standardized amounts after 
    removing the effects of the FY 1995 budget neutrality adjustment 
    factor. We note that the proposed FY 1996 adjustment reflects wage 
    index and standardized amount reclassifications approved by the MGCRB 
    or the Administrator as of March 14, 1995. The effects of any 
    additional reclassification changes resulting from appeals and reviews 
    of the MGCRB decisions for FY 1996 or from a hospital's request for the 
    withdrawal of a reclassification request will be reflected in the final 
    budget neutrality adjustment required under section 1886(d)(8)(D) of 
    the Act and published in the final rule for FY 1996.
    c. Outliers.
        Section 1886(d)(5)(A) of the Act provides that, in addition to the 
    basic prospective payment rates, for discharges occurring before 
    October 1, 1997, payments must be made for discharges involving day 
    outliers and may be made for cost outliers. Section 1886(d)(3)(B) of 
    the Act requires the Secretary to adjust both the large urban and other 
    areas national standardized amounts by the same factor to account for 
    the estimated proportion of total DRG payments made to outlier cases. 
    Section 1886(d)(9)(B)(iv) of the Act requires that the urban and other 
    standardized amounts applicable to hospitals in Puerto Rico be reduced 
    by the proportion of estimated total DRG payments attributable to 
    estimated outlier payments. Furthermore, under section 
    1886(d)(5)(A)(iv) of the Act, estimated outlier payments in any year 
    may not be less than 5 percent nor more than 6 percent of total 
    payments projected or estimated to be made based on DRG prospective 
    payment rates.
        Beginning with FY 1995, section 1886(d)(5)(A) of the Act requires 
    the Secretary to reduce the proportion of total outlier payments paid 
    under the day outlier methodology. Under the requirements of section 
    1886(d)(5)(A)(v) of the Act, the proportion of outlier payments made 
    under the day outlier methodology, relative to the proportion of 
    outlier payments made under the day outlier methodology in FY 1994 
    (which we estimated at 31.3 percent in our September 1, 1993 final rule 
    (58 FR 46348)), will be 75 percent in FY 1995, 50 percent in FY 1996, 
    and 25 percent in FY 1997. For discharges occurring after September 30, 
    1997, the Secretary will no longer pay for day outliers under the 
    provisions of section 1886(d)(5)(A)(i) of the Act.
        i. FY 1996 Outlier Thresholds.
        For FY 1995, the day outlier threshold is the geometric mean length 
    of stay for each DRG plus the lesser of 22 days or 3.0 standard 
    deviations. The marginal cost factor for day outliers (or the percent 
    of Medicare's average per diem payment paid for each outlier day) is 
    equal to 47 percent in FY 1995. The fixed loss cost outlier threshold 
    is equal to the prospective payment for the DRG plus $20,500 ($18,800 
    for hospitals that have not yet entered the prospective payment system 
    for capital-related costs). The marginal cost factor for cost outliers 
    (or the percent of costs paid after costs for the case exceed the 
    threshold) is 80 percent. We applied an outlier adjustment to the FY 
    1995 standardized amounts of 0.948940 for the large urban and other 
    areas rates and 0.9414 for the capital Federal rate.
        For FY 1996, we propose to set the day outlier threshold at the 
    geometric mean length of stay for each DRG plus the lesser of 23 days 
    or 3.0 standard deviations. Section 1886(d)(5)(A)(iii) of the Act, as 
    amended by section 13501(c)(3) of Public Law 103-66, provides that 
    additional payments for day outlier cases are allowed to be reduced 
    below the marginal cost of care to meet the requirements of section 
    1886(d)(5)(A)(v) of the Act. We are proposing to reduce the marginal 
    cost factor for each outlier day from 47 percent to 45 percent in FY 
    1996. We estimate that our proposed policies will reduce the proportion 
    of outlier payments paid as day outliers to approximately 16 percent in 
    accordance with section 1886(d)(5)(A) of the Act.
        We are also proposing a fixed loss cost outlier threshold in FY 
    1996 equal to the prospective payment rate for the DRG plus $16,700 
    ($15,200 for hospitals that have not yet entered the prospective 
    payment system for capital-related costs). In addition, we are 
    proposing to maintain the marginal cost factor for cost outliers at 80 
    percent.
        As provided in section 1886(d)(5)(A)(iv) of the Act, we calculated 
    outlier thresholds so that estimated outlier payments equal 5.1 percent 
    of estimated total payments based on DRGs. The model to determine the 
    outlier thresholds for FY 1996 uses the FY 1994 MedPAR file and the 
    most recent available information on hospital-specific payment 
    parameters (such as the cost-to-charge ratios). This information is 
    based on the December 1994 update of the provider-specific file used in 
    the PRICER program. Using [[Page 29260]] these data, we simulate the 
    payments that would be made for these cases under certain assumptions 
    and policies. The simulation provides estimates of outlier payments and 
    total payments for the set of cases analyzed.
        In simulating payments, we convert billed charges to costs for 
    purposes of estimating cost outlier payments. As we explained in the 
    September 1, 1993 final rule (58 FR 46347), prior to FY 1994, we used a 
    charge inflation factor to adjust charges to costs; beginning with FY 
    1994, we are using a cost inflation factor to estimate costs. In other 
    words, instead of inflating the FY 1994 charge data by a charge 
    inflation factor for 2 years in order to estimate FY 1996 charge data 
    and then applying the cost-to-charge ratio, we adjust the charges by 
    the cost-to-charge ratio and then inflate the estimated costs for 2 
    years of cost inflation. In this manner, we automatically adjust for 
    any changes in the cost-to-charge ratios that may occur, since the 
    relevant variable is the costs estimated for a given case.
        In setting the proposed FY 1996 outlier thresholds, we used a cost 
    inflation factor of 1.02009. This reflects the average increase in cost 
    per case between the data from cost reporting periods beginning in FY 
    1991 (referred to as PPS-VIII data) and the data from cost reporting 
    periods beginning in FY 1993 (PPS-X data) for a matched set of 
    hospitals. We made an audit adjustment for any cost report that had not 
    been settled, based on the average ratio of submitted to final cost 
    report data. This adjustment was made separately for Medicare inpatient 
    capital costs and Medicare inpatient operating costs. We used the 
    actual settlement ratio for PPS-VIII data, since most cost reports for 
    that period have been settled. We also used the settlement ratio from 
    PPS-VIII for the PPS-IX cost reports, since the PPS-IX settlement ratio 
    currently available is based on many fewer hospitals (approximately 36 
    percent, as opposed to 93 percent for PPS-VIII).
        When we modeled the combined operating and capital outlier 
    payments, we found that using a common set of thresholds resulted in a 
    lower percentage of outlier payments for capital-related costs than for 
    operating costs. We estimate the proposed thresholds for FY 1996 will 
    result in outlier payments equal to 5.1 percent of operating DRG 
    payments and 4.7 percent of capital payments based on the Federal rate.
        As stated in the September 1, 1993 final rule (58 FR 46348), we 
    have established outlier thresholds that would be applicable to both 
    inpatient operating costs and inpatient capital-related costs. As 
    explained earlier, we will apply a reduction of approximately 5.1 
    percent to the FY 1996 standardized amounts to account for the 
    proportion of payments paid to outliers. The proposed outlier 
    adjustment factors applied to the standardized amounts and the capital 
    Federal rate for FY 1996 are as follows:
    
    ------------------------------------------------------------------------
       Operating standardized amounts            Capital federal Rate       
    ------------------------------------------------------------------------
    0.949054...........................                    0.9526           
    ------------------------------------------------------------------------
    
        We would apply the proposed outlier adjustment factors after 
    removing the effects of the FY 1995 outlier adjustment factors on the 
    standardized amounts and the capital Federal rate.
        ii. Other Changes Concerning Outliers.
        Table 5 of section V of this addendum contains the DRG relative 
    weights, geometric and arithmetic mean lengths of stay, as well as the 
    day outlier threshold for each DRG. When we recalibrate DRG weights, we 
    set a threshold of 10 cases as the minimum number of cases required to 
    compute a reasonable weight and geometric mean length of stay. DRGs 
    that do not have at least 10 cases are considered to be low volume 
    DRGs. For the low volume DRGs, we use the original geometric mean 
    lengths of stay, because no arithmetic mean length of stay was 
    calculated based on the original data.
        Table 8a in section V of this addendum contains the updated 
    Statewide average operating cost-to-charge ratios for urban hospitals 
    and for rural hospitals to be used in calculating cost outlier payments 
    for those hospitals for which the intermediary is unable to compute a 
    reasonable hospital-specific cost-to-charge ratio. These Statewide 
    average ratios would replace the ratios published in the September 1, 
    1994 final rule (59 FR 45480), effective October 1, 1995. Table 8b 
    contains comparable Statewide average capital cost-to-charge ratios. 
    These average ratios would be used to calculate cost outlier payments 
    for those hospitals for which the intermediary computes operating cost-
    to-charge ratios lower than 0.25960 or greater than 1.30826 and capital 
    cost-to-charge ratios lower than 0.012912 or greater than 0.21945. This 
    range represents 3.0 standard deviations (plus or minus) from the mean 
    of the log distribution of cost-to-charge ratios for all hospitals. The 
    cost-to-charge ratios in Tables 8a and 8b would be applied to all 
    hospital-specific cost-to-charge ratios based on cost report 
    settlements occurring during FY 1996.
        iii. FY 1994 and FY 1995 Outlier Payments. In the September 1, 1994 
    final rule (59 FR 45408), we estimated that actual FY 1994 outlier 
    payments would be approximately 3.9 percent of total DRG payments. This 
    figure was computed by simulating payments using actual FY 1993 bill 
    data available at the time. That is, the figure did not reflect actual 
    FY 1994 bills but instead reflected the application of FY 1994 rates 
    and policies to available FY 1993 bills. Our current estimate, using FY 
    1994 rates, policies, and available bills, is that actual FY 1994 
    outlier payments were approximately 3.5 percent of total DRG payments.
        In FY 1994, we began using a cost inflation factor rather than a 
    charge inflation factor to update billed charges for purposes of 
    estimating outlier payments. This refinement was made in order to 
    improve our estimation methodology. We believe that actual FY 1994 
    outlier payments as a percentage of total DRG payments may be lower 
    than expected because actual hospital costs may be lower than reflected 
    in the methodology used to set the FY 1994 outlier thresholds. Our most 
    recent data on hospital costs show a significant trend in declining 
    rates of increase. Thus, the cost inflation factor of 8.3 percent used 
    to set FY 1994 outlier policy (based on the best available data) 
    appears to have been overstated. For FY 1995, we used a cost inflation 
    factor of 2.5 percent. For FY 1996, based on more recent data, we are 
    proposing a cost inflation factor of 2.009 percent to set outlier 
    policy. Also, although we estimate that FY 1994 outlier payments will 
    approximate 3.5 percent of total DRG payments, we note that the 
    estimate of the market basket rate of increase used to set the FY 1994 
    rates was 4.3 percentage points, while the latest FY 1994 market basket 
    rate of increase forecast is 2.5 percent. Thus, the net effect is that 
    hospitals are receiving higher FY 1994 payments than would have been 
    established based on a more recent forecast of the market basket rate 
    of increase.
        We currently estimate that FY 1995 outlier payments will 
    approximate 4.2 percent of total DRG payments. This estimate is based 
    on simulations using the December 1994 update of the provider-specific 
    file and the December 1994 update of the FY 1994 MedPAR file. We used 
    these data to estimate an outlier percentage by applying FY 1995 rates 
    and policies to available FY 1994 bills.
        We believe that there are two main reasons why our current estimate 
    of actual FY 1995 outlier payments is below 5.1 percent. First, in 
    setting the [[Page 29261]] outlier thresholds for FY 1995, we used 2.5 
    percent as our cost inflation factor to inflate FY 1993 bills to FY 
    1995 levels. Our current estimate of cost inflation is 2.009 percent, 
    demonstrating that the rate of increase in costs continues to slow.
        Second, in setting the outlier thresholds for FY 1995, we used 
    cost-to-charge ratios that had a mean value of 0.618. Our current 
    estimate of cost-to-charge ratios for FY 1995 is down to 0.605. Thus, 
    not only are costs not rising as fast as we estimated, but they also 
    make up a lower percentage of charges than we estimated in setting FY 
    1995 thresholds. We are continuing to explore better ways to forecast 
    the changes in cost inflation.
    B. Adjustments for Area Wage Levels and Cost of Living
    
        The adjusted standardized amounts are divided into labor and 
    nonlabor portions. Tables 1a, 1b, and 1c, as set forth in this 
    addendum, contain the actual labor-related and nonlabor-related shares 
    that will be used to calculate the prospective payment rates for 
    hospitals located in the 50 States, the District of Columbia, and 
    Puerto Rico. This section addresses two types of adjustments to the 
    standardized amounts that are made in determining the prospective 
    payment rates as described in this addendum.
    1. Adjustment for Area Wage Levels
        Sections 1886(d)(3)(E) and 1886(d)(9)(C)(iv) of the Act require 
    that an adjustment be made to the labor-related portion of the 
    prospective payment rates to account for area differences in hospital 
    wage levels. This adjustment is made by multiplying the labor-related 
    portion of the adjusted standardized amounts by the appropriate wage 
    index for the area in which the hospital is located. In section III of 
    the preamble, we discuss certain revisions we are making to the wage 
    index. This index is set forth in Tables 4a through 4e of this 
    addendum.
    2. Adjustment for Cost of Living in Alaska and Hawaii
        Section 1886(d)(5)(H) of the Act authorizes an adjustment to take 
    into account the unique circumstances of hospitals in Alaska and 
    Hawaii. Higher labor-related costs for these two States are taken into 
    account in the adjustment for area wages described above. For FY 1996, 
    we propose to adjust the payments for hospitals in Alaska and Hawaii by 
    multiplying the nonlabor portion of the standardized amounts by the 
    appropriate adjustment factor contained in the table below. If the 
    Office of Personnel Management releases revised cost-of-living 
    adjustment factors before August 1, 1995, we will publish them in the 
    final rule and use them in determining FY 1996 payments.
    
     Table of Cost-of-Living Adjustment Factors, Alaska and Hawaii Hospitals
                                                                            
                                                                            
    Alaska--All areas.............................................     1.25 
    Hawaii:                                                                 
      Oahu........................................................     1.225
      Kauai.......................................................     1.20 
      Maui........................................................     1.20 
      Molokai.....................................................     1.20 
      Lanai.......................................................     1.20 
      Hawaii......................................................     1.15 
    
        (The above factors are based on data obtained from the U.S. Office 
    of Personnel Management.)
    
    C. DRG Relative Weights
    
        As discussed in section II of the preamble, we have developed a 
    classification system for all hospital discharges, assigning them into 
    DRGs, and have developed relative weights for each DRG that reflect the 
    resource utilization of cases in each DRG relative to Medicare cases in 
    other DRGs. Table 5 of section V of this addendum contains the relative 
    weights that we propose to use for discharges occurring in FY 1996. 
    These factors have been recalibrated as explained in section II of the 
    preamble.
    
    D. Calculation of Prospective Payment Rates for FY 1996
    
    General Formula for Calculation of Prospective Payment Rates for FY 
    1996
        Prospective payment rate for all hospitals located outside Puerto 
    Rico except sole community hospitals = Federal rate.
        Prospective payment rate for sole community hospitals = Whichever 
    of the following rates yields the greatest aggregate payment: 100 
    percent of the Federal rate, 100 percent of the updated FY 1982 
    hospital-specific rate, or 100 percent of the updated FY 1987 hospital-
    specific rate.
        Prospective payment rate for Puerto Rico = 75 percent of the Puerto 
    Rico rate + 25 percent of a discharge-weighted average of the national 
    large urban standardized amount and the national other standardized 
    amount.
        1. Federal Rate
        For discharges occurring on or after October 1, 1995 and before 
    October 1, 1996, except for sole community hospitals, hospitals subject 
    to the regional floor, and hospitals in Puerto Rico, the hospital's 
    payment is based exclusively on the Federal national rate. Section 
    1866(d)(1)(A)(iii) of the Act provides that the Federal rate is 
    comprised of 100 percent of the Federal national rate except for those 
    hospitals in census regions that have a regional rate that is higher 
    than the national rate. The Federal rate for hospitals located in 
    census regions that have a regional rate that is higher than the 
    national rate equals 85 percent of the Federal national rate plus 15 
    percent of the Federal regional rate. Based on the proposed rates, for 
    discharges occurring on or after October 1, 1995, hospitals in regions 
    are affected by the regional floor.
        The payment amount is determined as follows:
    
    Step 1--Select the appropriate national or regional adjusted 
    standardized amount considering the type of hospital and designation of 
    the hospital as large urban or other (see Tables 1a and 1b, section V 
    of this addendum).
    Step 2--Multiply the labor-related portion of the standardized amount 
    by the applicable wage index for the geographic area in which the 
    hospital is located (see Tables 4a, 4b, and 4c, section V of this 
    addendum).
    Step 3--For hospitals in Alaska and Hawaii, multiply the nonlabor-
    related portion of the standardized amount by the appropriate cost-of-
    living adjustment factor.
    Step 4--Add the amount from Step 2 and the nonlabor-related portion of 
    the standardized amount (adjusted if appropriate under Step 3).
    Step 5--Multiply the final amount from Step 4 by the relative weight 
    corresponding to the appropriate DRG (see Table 5, section V of this 
    addendum).
    
        2. Hospital-Specific Rate (Applicable Only to Sole Community 
    Hospitals)
        Sections 1886(d)(5)(D)(i) and (b)(3)(C) of the Act provide that 
    sole community hospitals are paid based on whichever of the following 
    rates yields the greatest aggregate payment: the Federal rate, the 
    updated hospital-specific rate based on FY 1982 cost per discharge, or 
    the updated hospital-specific rate based on FY 1987 cost per discharge.
        Hospital-specific rates have been determined for each of these 
    hospitals based on both the FY 1982 cost per discharge and the FY 1987 
    cost per discharge. For a more detailed discussion of the calculation 
    of the FY 1982 hospital-specific rate and the FY 1987 hospital-specific 
    rate, we refer the reader to the September 1, 1983 interim 
    [[Page 29262]] final rule (48 FR 39772); the April 20, 1990 final rule 
    with comment (55 FR 15150); and the September 4, 1990 final rule (55 FR 
    35994).
        a. Updating the FY 1982 and FY 1987 Hospital-Specific Rates for FY 
    1996. We are proposing to increase the hospital-specific rates by 1.5 
    percent (the hospital market basket percentage increase minus 2.0 
    percentage points) for sole community hospitals located in all areas in 
    FY 1996. Section 1886(b)(3)(C)(ii) of the Act provides that the update 
    factor applicable to the hospital-specific rates for sole community 
    hospitals equals the update factor provided under section 
    1886(b)(3)(B)(ii) of the Act, which, for FY 1996, is the market basket 
    rate of increase minus 2.0 percentage points.
        b. Calculation of Hospital-Specific Rate. For sole community 
    hospitals, the applicable FY 1996 hospital-specific rate would be 
    calculated by multiplying a hospital's hospital-specific rate for the 
    preceding fiscal year by the applicable update factor (1.5 percent), 
    which is the same as the update for all prospective payment hospitals. 
    In addition, the hospital-specific rate would be adjusted by the budget 
    neutrality adjustment factor (that is, .999174) as discussed in section 
    II.A.4.a of this addendum. This resulting rate would be used in 
    determining under which rate a sole community hospital is paid for its 
    discharges beginning on or after October 1, 1995, based on the formula 
    set forth above.
        3. General Formula for Calculation of Prospective Payment Rates for 
    Hospitals Located in Puerto Rico Beginning On or After October 1, 1995 
    and Before October 1, 1996
        a. Puerto Rico Rate. The Puerto Rico prospective payment rate is 
    determined as follows:
    
    Step 1--Select the appropriate adjusted average standardized amount 
    considering the large urban or other designation of the hospital (see 
    Table 1c, section V of the addendum).
    Step 2--Multiply the labor-related portion of the standardized amount 
    by the appropriate wage index (see Tables 4a and 4b, section V of the 
    addendum).
    Step 3--Add the amount from
    Step 2 and the nonlabor-related portion of the standardized amount.
    Step 4--Multiply the result in
    Step 3 by 75 percent.
    Step 5--Multiply the amount from
    Step 4 by the appropriate DRG relative weight (see Table 5, section V 
    of the addendum).
    
        b. National Rate. The national prospective payment rate is 
    determined as follows:
    Step 1--Multiply the labor-related portion of the national average 
    standardized amount (see Table 1c, section V of the addendum) by the 
    appropriate wage index.
    Step 2--Add the amount from
    Step 1 and the nonlabor-related portion of the national average 
    standardized amount.
    Step 3--Multiply the result in
    Step 2 by 25 percent.
    Step 4--Multiply the amount from
    Step 3 by the appropriate DRG relative weight (see Table 5, section V 
    of the addendum).
    
        The sum of the Puerto Rico rate and the national rate computed 
    above equals the prospective payment for a given discharge for a 
    hospital located in Puerto Rico.
    III. Proposed Changes to Payment Rates for Inpatient Capital-Related 
    Costs for FY 1996
    
        The prospective payment system for hospital inpatient capital-
    related costs was implemented for cost reporting periods beginning on 
    or after October 1, 1991. Effective with that cost reporting period and 
    during a 10-year transition period extending through FY 2001, hospital 
    inpatient capital-related costs are paid on the basis of an increasing 
    proportion of the capital prospective payment system Federal rate and a 
    decreasing proportion of the historical costs for capital.
        The basic methodology for determining Federal capital prospective 
    rates is set forth at Secs. 412.308 through 412.352. Below we discuss 
    the factors that we used to determine the proposed Federal rate and the 
    hospital-specific rates for FY 1996. The rates will be effective for 
    discharges occurring on or after October 1, 1995.
        For FY 1992, we computed the standard Federal payment rate for 
    capital-related costs under the prospective payment system by updating 
    the FY 1989 Medicare inpatient capital cost per case by an actuarial 
    estimate of the increase in Medicare inpatient capital costs per case. 
    Each year after FY 1992 we update the standard Federal rate, as 
    provided in Sec. 412.308(c)(1), to account for capital input price 
    increases and other factors. Also, Sec. 412.308(c)(2) provides that the 
    Federal rate is adjusted annually by a factor equal to the estimated 
    additional payments under the Federal rate for outlier cases, 
    determined as a proportion of total capital payments under the Federal 
    rate. Section 412.308(c)(3) further requires that the Federal rate be 
    reduced by an adjustment factor equal to the estimated additional 
    payments made for exceptions under Sec. 412.348, and 
    Sec. 412.308(c)(4)(ii) requires that the Federal rate be adjusted so 
    that the annual DRG reclassification and the recalibration of DRG 
    weights and changes in the geographic adjustment factor are budget 
    neutral. For FY 1992 through FY 1995, Sec. 412.352 required that the 
    Federal rate also be adjusted by a budget neutrality factor so that 
    estimated aggregate payments for inpatient hospital capital costs will 
    equal 90 percent of the estimated payments that would have been made 
    for capital-related costs on a reasonable cost basis during the fiscal 
    year. As discussed below, that provision has now expired.
        The hospital-specific rate for each hospital was calculated by 
    dividing the hospital's Medicare inpatient capital-related costs for a 
    specified base year by its Medicare discharges (adjusted for 
    transfers), and dividing the result by the hospital's case mix index 
    (also adjusted for transfers). The resulting case-mix adjusted average 
    cost per discharge was then updated to FY 1992 based on the national 
    average increase in Medicare's inpatient capital cost per discharge and 
    adjusted by the exceptions payment adjustment factor and the budget 
    neutrality adjustment factor to yield the FY 1992 hospital-specific 
    rate. The hospital-specific rate is updated each year after FY 1992 for 
    inflation and for changes in the exceptions payment adjustment factor. 
    For FY 1992 through FY 1995, the hospital-specific rate was also 
    adjusted by a budget neutrality adjustment factor.
        To determine the appropriate budget neutrality adjustment factors 
    and the exceptions payment adjustment factor, we developed a dynamic 
    model of Medicare inpatient capital-related costs, that is, a model 
    that projects changes in Medicare inpatient capital-related costs over 
    time. With the expiration of the budget neutrality provision, the model 
    is still used to estimate the exceptions payment adjustment and other 
    factors. The model and its application are described more fully in 
    Appendix B.
        In accordance with section 1886(d)(9)(A) of the Act, under the 
    prospective payment system for inpatient operating costs, hospitals 
    located in Puerto Rico are paid under a special payment formula. These 
    hospitals are paid a blended rate that is comprised of 75 percent of 
    the applicable standardized amount specific to Puerto Rico hospitals 
    and 25 percent of the applicable national average standardized amount. 
    Section 412.374 [[Page 29263]] provides for the use of this blended 
    payment system for payments to Puerto Rico hospitals under the 
    prospective payment system for inpatient capital-related costs. 
    Accordingly, for capital-related costs we compute a separate payment 
    rate specific to Puerto Rico hospitals using the same methodology used 
    to compute the national Federal rate for capital. Hospitals in Puerto 
    Rico are paid based on 75 percent of the Puerto Rico rate and 25 
    percent of the Federal rate.
    A. Determination of Federal Inpatient Capital-Related Prospective 
    Payment Rate Update
    
        For FY 1995, the Federal rate was $376.83. With the changes we are 
    proposing to the factors used to establish the Federal rate, the FY 
    1996 Federal rate would be $457.11.
        In the discussion that follows, we explain the factors that were 
    used to determine the FY 1996 Federal rate. In particular, we explain 
    why the FY 1996 Federal rate has increased 21.3 percent compared to the 
    FY 1995 Federal rate. We also explain that aggregate payments for 
    capital in FY 1996 are estimated to increase by 20.45 percent.
        The major factor contributing to the increase in the FY 1996 rate 
    in comparison to FY 1995 is the expiration of the budget neutrality 
    requirement. Section 412.352 required that estimated payments each year 
    from FY 1992 through FY 1995 for capital costs equal 90 percent of the 
    amount that would have been payable that year on a reasonable cost 
    basis. Accordingly, each year from FY 1992 through FY 1995, we applied 
    an adjustment to the Federal rate and the hospital-specific rate so 
    that estimated capital prospective payments would equal 90 percent of 
    estimated Medicare hospital inpatient capital-related costs.
        Based on the most recent data, we now estimate that capital 
    payments equalled 95.11 percent of reasonable costs in FY 1992, 91.07 
    percent of reasonable costs in FY 1993, 91.00 percent of reasonable 
    costs in FY 1994, and 91.06 percent of reasonable costs in FY 1995. 
    Thus, the data indicate that the budget neutrality adjustments for FY 
    1992, FY 1993, and FY 1994 were not sufficient to meet the 90 percent 
    target and, consequently, the Federal rates for FY 1992, FY 1993, FY 
    1994, and FY 1995 were higher than they should have been. We do not 
    retroactively adjust the budget neutrality factor and the Federal rate 
    for previous years to account for revised estimates. For FY 1996, we 
    estimate that payments will exceed costs by 4.52 percent as a result of 
    the expiration of the budget neutrality provision.
        As we explain in section III.A.8 below, the predominant factor in 
    the 21.3 percent increase in the Federal rate, as well as the 20.45 
    percent increase in payments, is the expiration of the budget 
    neutrality provision. For FY 1995, the budget neutrality adjustment was 
    0.8432, a 15.68 percent reduction to the rates. The expiration of that 
    provision alone accounts for an 18.6 percent increase (1.00/.8432 = 
    1.186, or 18.6 percent) in the rate. The FY 1996 update factor and 
    changes in the outlier and exceptions factors also contribute to the 
    increase in the rate. The factors contributing to the increase in the 
    rate were partially offset by special adjustments to the rate to 
    account for the effects of the new transfer policy and the new 
    treatment of capital-related tax costs, and by the effect of the DRG/
    GAF reduction factor.
        Total payments to hospitals under the prospective payment system 
    are relatively insensitive even to changes of such magnitude in the 
    capital Federal rate. Since capital payments constitute about 10 
    percent of hospital payments, a 1 percent change in the capital Federal 
    rate yields only about 0.1 percent change in actual payments to 
    hospitals. Therefore, the large increase in the FY 1996 Federal rate 
    can be expected to increase total payments to hospitals under the 
    prospective payment system by only about 2.04 percent.
    1. Standard Federal Rate Adjustment for the New Treatment of Capital-
    Related Tax Costs
        Section V.B of the preamble to this proposed rule discusses our 
    proposal to revise the treatment of capital-related tax costs within 
    the prospective payment system for capital-related costs. As we discuss 
    in that section, adoption of any adjustment to the capital Federal rate 
    payment for capital-related tax costs requires a corresponding 
    adjustment of the standard Federal rate to offset the amount of 
    capital-related tax costs originally included in the computation of the 
    rate. In this way, adoption of the tax adjustment will be budget 
    neutral: capital payments will neither increase nor decrease because of 
    the adoption of the tax adjustment.
        We propose to use the following methodology to adjust the standard 
    Federal rate to account for the tax costs included in the original 
    computation of the rate. We propose to subtract the total FY 1992 
    Medicare capital-related taxes for all hospitals from the total FY 1992 
    Medicare capital-related costs for all hospitals. The result is FY 1992 
    Medicare capital-related costs without taxes. We then determine the 
    ratio of FY 1992 Medicare capital-related costs without taxes to total 
    FY 1992 Medicare capital-related costs, including capital-related tax 
    costs. We then apply this ratio to the base Federal rate to remove the 
    capital-related tax costs currently incorporated into that rate. As a 
    result of these calculations, we are providing in this proposed rule 
    for an estimated 1.14 percent decrease to the base Federal rate to 
    account for the tax costs originally included in the rate. As discussed 
    in section V.B of the preamble to this proposed rule, we will recompute 
    this adjustment on the basis of the verified hospital FY 1992 capital-
    related tax cost data available for the final rule.
    2. Special Federal Rate Adjustment for the Effects of the New Transfer 
    Payment Policy
        Section 412.312(d) provides that payment under the capital 
    prospective payment system for transfer cases is made under the same 
    rules governing transfer payments under the operating prospective 
    payment system. Transfer cases under the prospective payment system for 
    capital-related costs have been paid on a per diem basis, using the 
    full prospective payment amount for the DRG (both Federal rate and 
    hospital-specific rate, if appropriate) divided by the geometric mean 
    length of stay for the DRG, but not to exceed the full prospective 
    payment. Section IV.A of the preamble describes our proposal to adopt a 
    graduated per diem payment methodology for transfer cases. Under this 
    proposal, we would pay double the per diem amount for the first day and 
    the per diem amount for subsequent days, up to the full prospective 
    payment amount. Section 109 of the Social Security Amendments of 1994 
    (Public Law 103-432) authorizes the Secretary to make adjustments to 
    the operating prospective payment system rates so that adjustments to 
    the payment policy for transfer cases do not affect aggregate payments. 
    Section II of the addendum describes the methodology for making the 
    adjustment to the operating rates.
        In order to maintain consistency with the prospective payment 
    system for operating costs, we believe that a parallel adjustment to 
    the Federal capital rate and the hospital-specific capital rates is 
    warranted. In this way, revision of the payment policy for transfer 
    cases will not affect aggregate payments under the prospective payment 
    system for capital-related costs. We describe the methodology for 
    making this adjustment in Appendix B to this proposed rule. Following 
    that [[Page 29264]] methodology, we have determined that a special 
    adjustment of .9972 (-0.28 percent) to the standard Federal rate and 
    the hospital-specific rates is required.
    3. Standard Federal Rate Update
        Section 412.308(c)(1)(ii) provides that, effective FY 1996, the 
    standard Federal rate is updated on the basis of an analytical 
    framework that takes into account changes in a capital input price 
    index and other factors. We discuss the proposed analytical framework 
    and the derivation of the proposed FY 1996 update factor under that 
    framework in section V.A of the preamble to this proposed rule. The 
    proposed update factor is 1.5 percent.
    4. Outlier Payment Adjustment Factor
        Section 412.312(c) establishes a unified outlier methodology for 
    inpatient operating and inpatient capital-related costs. A single set 
    of thresholds is used to identify outlier cases for both inpatient 
    operating and inpatient capital-related payments. Outlier payments are 
    made only on the portion of the Federal rate that is used to calculate 
    the hospital's inpatient capital-related payments (for example, 50 
    percent for cost reporting periods beginning in FY 1996 for hospitals 
    paid under the fully prospective methodology). Section 412.308(c)(2) 
    provides that the standard Federal rate for inpatient capital-related 
    costs be reduced by an adjustment factor equal to the estimated 
    additional payments under the Federal rate for outlier cases, 
    determined as a proportion of inpatient capital-related payments under 
    the Federal rate. The outlier thresholds are set so that estimated 
    outlier payments are 5.1 percent of estimated total DRG payments. The 
    inpatient capital-related outlier reduction factor is then set 
    according to the estimated inpatient capital-related outlier payments 
    that would be made if all hospitals were paid according to 100 percent 
    of the Federal rate. For purposes of calculating the outlier thresholds 
    and the outlier reduction factor, we model all hospitals as if paid 100 
    percent of the Federal rate because, as explained above, outlier 
    payments are made only on the portion of the Federal rate that is 
    included in the hospital's inpatient capital-related payments.
        In the September 1, 1994 final rule, we estimated that outlier 
    payments for capital in FY 1995 would equal 5.86 percent of inpatient 
    capital-related payments based on the Federal rate. Accordingly, we 
    applied an outlier adjustment factor of 0.9414 to the Federal rate. 
    Based on the thresholds as set forth in section II.A.4.d of the 
    addendum, we estimate that outlier payments will equal 4.74 percent of 
    inpatient capital-related payments based on the Federal rate in FY 
    1996. We are, therefore, proposing an outlier adjustment factor of 
    0.9526 to the Federal rate. Thus, proposed capital outlier payments for 
    FY 1996 represent a lower percentage of total capital standard payments 
    than in FY 1995.
        The outlier reduction factors are not built permanently into the 
    rates; that is, they are not applied cumulatively in determining the 
    Federal rate. Therefore, the proposed net change in the outlier 
    adjustment to the Federal rate for FY 1996 is 1.0119 (.9526/.9414). 
    Thus, the proposed outlier adjustment increases the FY 1996 Federal 
    rate by 1.19 percent (1.0119-1) compared with the FY 1995 outlier 
    adjustment.
    5. Budget Neutrality Adjustment Factor for Changes in DRG 
    Classifications and Weights and the Geographic Adjustment Factor
        Section 412.308(c)(4)(ii) requires that the Federal rate be 
    adjusted so that estimated aggregate payments for the fiscal year based 
    on the Federal rate after any changes resulting from the annual DRG 
    reclassification and recalibration and changes in the geographic 
    adjustment factor equal estimated aggregate payments that would have 
    been made on the basis of the Federal rate without such changes. We use 
    the actuarial model described in Appendix B to estimate the aggregate 
    payments that would have been made on the basis of the Federal rate 
    without changes in the DRG classifications and weights and in the 
    geographic adjustment factor. We also use the model to estimate 
    aggregate payments that would be made on the basis of the Federal rate 
    as a result of those changes. We then use these figures to compute the 
    adjustment required to maintain budget neutrality for changes in DRG 
    weights and in the geographic adjustment factor.
        For FY 1995, we calculated a GAF/DRG budget neutrality factor of 
    0.9998. For FY 1996, we are proposing a GAF/DRG budget neutrality 
    factor of 0.9993. The GAF/DRG budget neutrality factors are built 
    permanently into the rates; that is, they are applied cumulatively in 
    determining the Federal rate. This follows from the requirement that 
    estimated aggregate payments each year be no more than they would have 
    been in the absence of the annual DRG reclassification and 
    recalibration and changes in the geographic adjustment factor. The 
    proposed incremental change in the adjustment from FY 1995 to FY 1996 
    is 0.9993. The proposed cumulative change in the rate due to this 
    adjustment is 1.0024 (the product of the incremental factors for FY 
    1993, FY 1994, FY 1995, and the proposed incremental factor for FY 
    1996: .9980 x 1.0053 x .9998 x .9993=1.0024).
        This factor accounts for DRG reclassifications and recalibration 
    and for changes in the geographic adjustment factor. It also 
    incorporates the effects on the geographic adjustment factor of FY 1996 
    geographic reclassification decisions made by the MGCRB compared to FY 
    1995 decisions. However, it does not account for changes in payments 
    due to changes in the disproportionate share and indirect medical 
    education adjustment factors or in the large urban add-on.
    6. Exceptions Payment Adjustment Factor
        Section 412.308(c)(3) requires that the standard Federal rate for 
    inpatient capital-related costs be reduced by an adjustment factor 
    equal to the estimated additional payments for exceptions under 
    Sec. 412.348 determined as a proportion of total payments under the 
    hospital-specific rate and Federal rate. We use the model originally 
    developed for determining the budget neutrality adjustment factor to 
    estimate payments under the exceptions payment process and to determine 
    the exceptions payment adjustment factor. We describe that model in 
    Appendix B to this proposed rule.
        For FY 1995, we estimated that exceptions payments would equal 2.66 
    percent of aggregate payments based on the Federal rate and the 
    hospital-specific rate. Therefore, we applied an exceptions reduction 
    factor of 0.9734 (1-.0266) in determining the Federal rate. For this 
    proposed rule, we estimate that exceptions payments for FY 1996 will 
    equal 1.60 percent of aggregate payments based on the Federal rate and 
    the hospital-specific rate. We are, therefore, proposing an exceptions 
    payment reduction factor of 0.9840 to the Federal rate for FY 1996.
        The proposed exceptions reduction factor for FY 1996 is thus 1.09 
    percent higher than the factor for FY 1995. The reduced level of 
    estimated exceptions payments for FY 1996 compared to FY 1995 is a 
    result of the significant increases in the capital rates and in 
    aggregate capital payments.
        The exceptions reduction factors are not built permanently into the 
    rates; that is, the factors are not applied cumulatively in determining 
    the Federal rate. Therefore, the proposed net adjustment to the FY 1996 
    Federal rate is .9840/.9734, or 1.0109. [[Page 29265]] 
    7. Expiration of Budget Neutrality Provision
        For FY 1992 through FY 1995, Sec. 412.352 required that the Federal 
    rate also be adjusted by a budget neutrality factor so that estimated 
    aggregate payments for inpatient hospital capital costs would equal 90 
    percent of the estimated payments that would have been made for 
    capital-related costs on a reasonable cost basis during the fiscal 
    year. That provision has now expired. The expiration of the budget 
    neutrality provision is the predominant factor in the 21.3 percent 
    increase in the Federal rate, as well as the 20.4 percent increase in 
    payments.
        For FY 1995, the budget neutrality adjustment was 0.8432, a 15.68 
    percent reduction to the rates. The budget neutrality factors were not 
    built permanently into the rates; that is, the factors were not applied 
    cumulatively in determining the Federal rate. With the expiration of 
    the budget neutrality provision, the proposed net adjustment to the 
    rate is thus 1.186 (1.00/.8432=1.186), or 18.6 percent. The expiration 
    of the provision, therefore, accounts for an 18.6 percent increase in 
    the rate.
    8. Standard Capital Federal Rate for FY 1996
        For FY 1995, the capital Federal rate was $376.83. With the changes 
    we are proposing to the factors used to establish the Federal rate, the 
    FY 1996 Federal rate would be $457.11. The proposed Federal rate for FY 
    1996 was calculated as follows:
         The proposed special adjustment to the standard Federal 
    rate to account for the change in transfer payment policy is 0.9972.
         The proposed special adjustment to remove the capital-
    related tax costs included in the original computation of the rate is 
    0.9886.
         The proposed FY 1996 update factor is 1.0150.
         The proposed FY 1996 outlier adjustment factor is 0.9526.
         The proposed FY 1996 budget neutrality adjustment factor 
    that is applied to the standard Federal payment rate for changes in the 
    DRG relative weights and in the geographic adjustment factor is 0.9993.
         The proposed FY 1996 exceptions payments adjustment factor 
    is 0.9840.
         The expiration of the budget neutrality provision requires 
    that the FY 1995 budget neutrality adjustment be removed from the rate 
    without further incremental adjustment.
        Since the Federal rate has already been adjusted for differences in 
    case mix, wages, cost of living, indirect medical education costs, and 
    payments to hospitals serving a disproportionate share of low-income 
    patients, we propose to make no additional adjustments in the standard 
    Federal rate for these factors other than the budget neutrality factor 
    for changes in the DRG relative weights and the geographic adjustment 
    factor.
        We are providing a chart that shows how each of the factors and 
    adjustments for FY 1996 affected the computation of the proposed FY 
    1996 Federal rate in comparison to the FY 1995 Federal rate. The 
    proposed special adjustments to account for the effects of changes in 
    transfer payment policy and in the treatment of capital-related tax 
    costs have the effect of reducing the rate by 0.28 percent and 1.14 
    percent, respectively. The proposed FY 1996 update factor has the 
    effect of increasing the Federal rate 1.50 percent compared to the rate 
    in FY 1994, while the proposed geographic and DRG budget neutrality 
    factor has the effect of decreasing the Federal rate by 0.07 percent. 
    The proposed FY 1996 outlier adjustment factor has the effect of 
    increasing the Federal rate by 1.19 percent compared to FY 1995. The 
    proposed FY 1996 exceptions reduction factor has the effect of 
    increasing the Federal rate by 1.09 percent compared to the exceptions 
    reduction for FY 1995. Finally, the expiration of the budget neutrality 
    provision has the effect of increasing the proposed FY 1996 rate by 
    18.60 percent compared to the effect of the budget neutrality reduction 
    in FY 1995. The combined effect of all the proposed changes is to 
    increase the proposed Federal rate by 21.3 percent compared to the 
    Federal rate for FY 1995.
    
    Comparison of Factors and Adjustments: FY 1995 Federal Rate and Proposed
                              FY 1996 Federal Rate                          
    ------------------------------------------------------------------------
                                                                     Percent
                                                           Change    change 
    ------------------------------------------------------------------------
    Transfer adjustment                                                     
      FY 1995:................................       N/A                    
      Proposed FY 1996:.......................    0.9972    0.9972     -0.28
    Tax adjustment                                                          
      FY 1995:................................       N/A                    
      Proposed FY 1996:.......................    0.9886    0.9886     -1.14
    Update factor\1\                                                        
      FY 1995:................................    1.0344                    
      Proposed FY 1996:.......................    1.0150    1.0150      1.50
    GAF/DRG adjustment factor\1\                                            
      FY 1995:................................    0.9998                    
      Proposed FY 1996:.......................    0.9993    0.9993     -0.07
    Outlier adjustment factor\2\                                            
      FY 1995:................................    0.9414                    
      Proposed FY 1996:.......................    0.9526    1.0119      1.19
    Exceptions adjustment factor                                            
      FY 1995\2\..............................    0.9734                    
      Proposed FY 1996:.......................    0.9840    1.0109      1.09
    Budget neutrality adjustment factor\2\                                  
      FY 1995:................................    0.8432                    
      Proposed FY 199.........................    1.0000    1.1860     18.60
    Federal rate                                                            
      FY 1995:................................   $376.83                    
      Proposed FY 1996:.......................   $457.11    1.2130    21.30 
    ------------------------------------------------------------------------
    \1\The update factor and the GAF/DRG budget neutrality factors are built
      permanently into the rates. Thus, for example, the incremental change 
      from FY 1995 to FY 1996 resulting from the application of the 0.9993  
      GAF/DRG budget neutrality factor for FY 1996 is 0.9993.               
    [[Page 29266]]
                                                                            
    \2\The outlier reduction factor and the exceptions reduction factor are 
      not built permanently into the rates; that is, these factors are not  
      applied cumulatively in determining the rates. Thus, for example, the 
      net change resulting from the application of the FY 1996 exceptions   
      reduction factor is 0.9840/0.9734, or 1.0119.                         
    
    9. Special Rate for Puerto Rico Hospitals
        For FY 1995, the special rate for Puerto Rico hospitals was 
    $289.87. With the changes we are proposing to the factors used to 
    determine the rate, the proposed FY 1996 special rate for Puerto Rico 
    would be $351.61.
    
    B. Determination of Hospital-Specific Rate Update
    
        Section 412.328(e) of the regulations provides that the hospital-
    specific rate for FY 1996 be determined by adjusting the FY 1995 
    hospital-specific rate by the following factors:
    1. Special Adjustment for the Effects of the New Transfer Policy
        Section 412.312(d) of the regulations provides that payment under 
    the capital prospective payment system for transfer cases is made under 
    the same rules governing transfer payments under the operating 
    prospective payment system. Transfer cases under the prospective 
    payment system for capital-related costs have been paid on a per diem 
    basis, using the full prospective payment amount for the DRG (both 
    Federal rate and hospital-specific rate, if appropriate) divided by the 
    geometric mean length of stay for the DRG, but not to exceed the full 
    prospective payment. Section IV.A of the preamble to this proposed rule 
    describes our proposal to adopt a graduated per diem payment 
    methodology for transfer cases. Under this proposal, we would pay 
    double the per diem amount for the first day and the per diem amount 
    for subsequent days, up to the full prospective payment amount. Section 
    109 of the Social Security Amendments of 1994 (Public Law 103-432) 
    authorizes the Secretary to make adjustments to the operating 
    prospective payment system rates so that adjustments to the payment 
    policy for transfer cases do not affect aggregate payments. Section II 
    of this Addendum describes the methodology for making the adjustment to 
    the operating rates.
        In order to maintain consistency with the prospective payment 
    system for operating costs, we believe that a parallel adjustment to 
    the Federal capital rate and the hospital-specific capital rates is 
    warranted. In this way, revision of the payment policy for transfer 
    cases will not affect aggregate payments under the prospective payment 
    system for capital-related costs. We describe the methodology for 
    making this adjustment in Appendix B of this proposed rule. Following 
    that methodology, we have determined that a special adjustment of 
    0.9972 (-0.28 percent) to the standard Federal rate and the hospital-
    specific rates is required. We propose to revise Sec. 412.328(e) 
    accordingly.
    2. Hospital-Specific Rate Update Factor
        The hospital-specific rate is updated in accordance with the update 
    factor for the standard Federal rate determined under 
    Sec. 412.308(c)(1). For FY 1996, we are proposing that the hospital-
    specific rate be updated by a factor of 1.015.
    3. Exceptions Payment Adjustment Factor
        For FY 1992 through FY 2001, the updated hospital-specific rate is 
    multiplied by an adjustment factor to account for estimated exceptions 
    payments for capital-related costs under Sec. 412.348, determined as a 
    proportion of the total amount of payments under the hospital-specific 
    rate and the Federal rate. For FY 1996, we estimate that exceptions 
    payments will be 1.60 percent of aggregate payments based on the 
    Federal rate and the hospital-specific rate. We therefore propose that 
    the updated hospital-specific rate be reduced by a factor of 0.9840. 
    The exceptions reduction factors are not built permanently into the 
    rates; that is, the factors are not applied cumulatively in determining 
    the hospital-specific rate. Therefore, the proposed net adjustment to 
    the FY 1996 hospital-specific rate is .9840/.9734, or 1.0109.
    4. Expiration of the Budget Neutrality Provision
        For FY 1992 through FY 1995, the updated hospital-specific rate was 
    adjusted by a budget neutrality adjustment factor determined under 
    Sec. 412.352, so that estimated aggregate payments under the capital 
    prospective payment system would equal 90 percent of estimated payments 
    that would have been made on a reasonable cost basis. (The budget 
    neutrality adjustment for changes in the DRG classifications and 
    relative weights and in the geographic adjustment factor is not applied 
    to the hospital-specific rate.) For FY 1995, the budget neutrality 
    adjustment was 0.8432. The budget neutrality provision has now expired. 
    Therefore, for FY 1996 there is no budget neutrality adjustment. The 
    budget neutrality factor was not built permanently into the rates; that 
    is, the factor was not applied cumulatively in determining the 
    hospital-specific rate. Therefore, the proposed net adjustment to the 
    FY 1996 hospital-specific rate as a result of the expiration of the 
    budget neutrality provision is 1.0000/.8432, or 1.1860.
    5. Net Change to Hospital-Specific Rate
        We are providing a chart to show the net change to the hospital-
    specific rate. The chart shows the factors for FY 1995 and FY 1996 and 
    the net adjustment for each factor. It also shows that the proposed 
    cumulative net adjustment from FY 1995 to FY 1996 is 1.2134, which 
    represents a proposed increase of 21.34 percent to the hospital-
    specific rate. The proposed FY 1996 hospital-specific rate for each 
    hospital is determined by multiplying the FY 1995 hospital-specific 
    rate by the cumulative net adjustment of 1.2134.
    
       Proposed FY 1996 Update and Adjustments to Hospital-Specific Rates   
    ------------------------------------------------------------------------
                                                            Net      Percent
                                                        adjustment   change 
    ------------------------------------------------------------------------
    Transfer adjustment                                                     
      FY 1995:..............................       N/A                      
      Proposed FY 1996:.....................    0.9972     0.9972      -0.28
    Update factor                                                           
      FY 1995:..............................    1.0304                      
      Proposed FY 1996:.....................    1.0150     1.0150       1.50
    Exceptions payment adjustment factor                                    
      FY 1995:..............................    0.9734                      
      Proposed FY 1996:.....................    0.9840     1.0109       1.09
    Budget neutrality factor                                                
    [[Page 29267]]
                                                                            
      FY 1995:..............................    0.8432                      
      Proposed FY 1996:.....................    1.0000     1.1860      18.60
    Cumulative adjustments                                                  
      FY 1995:..............................    0.8457                      
      Proposed FY 1996:.....................    1.0262     1.2134     21.34 
    ------------------------------------------------------------------------
    Note: The update factor for the hospital-specific rate is applied       
      cumulatively in determining the rates. Thus, the incremental increase 
      in the update factor from FY 1995 to FY 1996 is 1.0150. In contrast,  
      the exceptions payment adjustment factor and the budget neutrality    
      factor are not applied cumulatively. Thus, for example, the           
      incremental increase in the exceptions reduction factor from FY 1995  
      to FY 1996 is .9840/.9734, or 1.0109.                                 
    
    C. Calculation of Inpatient Capital-Related Prospective Payments for FY 
    1996
    
        During the capital prospective payment system transition period, a 
    hospital is paid for the inpatient capital-related costs under one of 
    two alternative payment methodologies: the fully prospective payment 
    methodology or the hold-harmless methodology. The payment methodology 
    applicable to a particular hospital is determined when a hospital comes 
    under the prospective payment system for capital-related costs by 
    comparing its hospital-specific rate to the Federal rate applicable to 
    the hospital's first cost reporting period under the prospective 
    payment system. The applicable Federal rate was determined by 
    adjusting:
         For outliers by dividing the standard Federal rate by the 
    outlier reduction factor for that fiscal year; and,
         For the payment adjustment factors applicable to the 
    hospital (that is, the hospital's geographic adjustment factor, the 
    disproportionate share adjustment factor, and the indirect medical 
    education adjustment factor, when appropriate).
        If the hospital-specific rate is above the applicable Federal rate, 
    the hospital is paid under the hold-harmless methodology. If the 
    hospital-specific rate is below the applicable Federal rate, the 
    hospital is paid under the fully prospective methodology.
        For purposes of calculating payments for each discharge under both 
    the hold-harmless payment methodology and the fully prospective payment 
    methodology, the standard Federal rate is adjusted as follows: 
    (Standard Federal Rate)  x  (DRG weight)  x  (Geographic Adjustment 
    Factor)  x  (Large Urban Add-on, if applicable)  x  (COLA adjustment 
    for hospitals located in Alaska and Hawaii)  x  (1 + Disproportionate 
    Share Adjustment Factor + Indirect Medical Education Adjustment Factor, 
    if applicable). The result is termed the adjusted Federal rate.
        Payments under the hold-harmless methodology are determined under 
    one of two formulas. A hold-harmless hospital is paid the higher of:
         100 percent of the adjusted Federal rate for each 
    discharge; or
         An old capital payment equal to 85 percent (100 percent 
    for sole community hospitals) of the hospital's allowable Medicare 
    inpatient old capital costs per discharge for the cost reporting period 
    plus a new capital payment based on a percentage of the adjusted 
    Federal rate for each discharge. The percentage of the adjusted Federal 
    rate equals the ratio of the hospital's allowable Medicare new capital 
    costs to its total Medicare inpatient capital-related costs in the cost 
    reporting period.
        Once a hospital receives payment based on 100 percent of the 
    adjusted Federal rate in a cost reporting period beginning on or after 
    October 1, 1994 (or the first cost reporting period after obligated 
    capital that is recognized as old capital under Sec. 412.302(c) is put 
    in use for patient care, if later), the hospital continues to receive 
    capital prospective payment system payments on that basis for the 
    remainder of the transition period.
        Payment for each discharge under the fully prospective methodology 
    is the sum of:
         The hospital-specific rate multiplied by the DRG relative 
    weight for the discharge and by the applicable hospital-specific 
    transition blend percentage for the cost reporting period; and
         The adjusted Federal rate multiplied by the Federal 
    transition blend percentage.
        The blend percentages for cost reporting periods beginning in FY 
    1996 are 50 percent of the adjusted Federal rate and 50 percent of the 
    hospital-specific rate.
        In addition, we are proposing that, for discharges on or after 
    October 1, 1995, a hospital that was subject to capital-related tax 
    payments in FY 1992 would receive a dollar add-on to the Federal rate 
    payment as an adjustment for capital-related tax costs. The hospital-
    specific amount of the adjustment would be determined in accordance 
    with the methodology described in section V.B of the preamble to this 
    proposed rule. During the transition, the hospital-specific dollar add-
    on amount is multiplied by the Federal rate percentage applicable to 
    the hospital under its transition payment methodology (e.g., 50 percent 
    in FY 1996 for fully prospective hospitals).
        Hospitals may also receive outlier payments for those cases that 
    qualify under the thresholds established for each fiscal year. Section 
    412.312(c) provides for a single set of thresholds to identify outlier 
    cases for both inpatient operating and inpatient capital-related 
    payments. Outlier payments are made only on that portion of the Federal 
    rate that is used to calculate the hospital's inpatient capital-related 
    payments. For fully prospective hospitals, that portion is 50 percent 
    of the Federal rate for discharges occurring in cost reporting periods 
    beginning during FY 1996. Thus, a fully prospective hospital will 
    receive 50 percent of the capital-related outlier payment calculated 
    for the case for discharges occurring in cost reporting periods 
    beginning in FY 1996. For hold-harmless hospitals paid 85 percent of 
    their reasonable costs for old inpatient capital, the portion of the 
    Federal rate that is included in the hospital's outlier payments is 
    based on the hospital's ratio of Medicare inpatient costs for new 
    capital to total Medicare inpatient capital costs. For hold-harmless 
    hospitals that are paid 100 percent of the Federal rate, 100 percent of 
    the Federal rate is included in the hospital's outlier payments.
        The outlier thresholds for FY 1996 are published in section 
    II.A.4.c of this Addendum. For FY 1996, a case qualifies as a cost 
    outlier if the cost for the case (after standardization for the 
    indirect teaching adjustment and disproportionate share adjustment) is 
    greater than the prospective payment rate for the DRG plus $16,700. A 
    case qualifies as a day outlier for FY 1996 if the length of stay is 
    greater than the geometric mean length of stay for the 
    [[Page 29268]] DRG plus the lesser of three standard deviations of the 
    length of stay or 23 days.
        During the capital prospective payment system transition period, 
    any hospital may also receive an additional payment under an exceptions 
    process if its total inpatient capital-related payments are less than a 
    minimum percentage of its allowable Medicare inpatient capital-related 
    costs. The minimum payment level is established by class of hospital 
    under Sec. 412.348. The minimum payment levels for portions of cost 
    reporting periods occurring in FY 1996 are:
         Sole community hospitals (located in either an urban or 
    rural area), 90 percent;
         Urban hospitals with at least 100 beds and a 
    disproportionate share patient percentage of at least 20.2 percent and 
    urban hospitals with at least 100 beds that qualify for 
    disproportionate share payments under Sec. 412.106(c)(2), 80 percent; 
    and,
         All other hospitals, 70 percent.
        Under Sec. 412.348(d), the amount of the exceptions payment is 
    determined by comparing the cumulative payments made to the hospital 
    under the capital prospective payment system to the cumulative minimum 
    payment levels applicable to the hospital for each cost reporting 
    period subject to that system. Any amount by which the hospital's 
    cumulative payments exceed its cumulative minimum payment is deducted 
    from the additional payment that would otherwise be payable for a cost 
    reporting period.
        New hospitals are exempted from the capital prospective payment 
    system for their first 2 years of operation and are paid 85 percent of 
    their reasonable costs during that period. A new hospital's old capital 
    costs are its allowable costs for capital assets that were put in use 
    for patient care on or before the later of December 31, 1990 or the 
    last day of the hospital's base year cost reporting period, and are 
    subject to the rules pertaining to old capital and obligated capital as 
    of the applicable date. Effective with the third year of operation, we 
    will pay the hospital under either the fully prospective methodology, 
    using the appropriate transition blend in that Federal fiscal year, or 
    the hold-harmless methodology. If the hold-harmless methodology is 
    applicable, the hold-harmless payment for assets in use during the base 
    period would extend for 8 years, even if the hold-harmless payments 
    extend beyond the normal transition period.
    
    IV. Proposed Changes for Excluded Hospitals and Hospital Units
    
    A. Proposed Rate-of-Increase Percentages for Excluded Hospitals and 
    Hospital Units
    
        The inpatient operating costs of hospitals and hospital units 
    excluded from the prospective payment system are subject to rate-of-
    increase limits established under the authority of section 1886(b) of 
    the Act, which is implemented in Sec. 413.40 of the regulations. Under 
    these limits, an annual target amount (expressed in terms of the 
    inpatient operating cost per discharge) is set for each hospital, based 
    on the hospital's own historical cost experience trended forward by the 
    applicable rate-of-increase percentages (update factors). The target 
    amount is multiplied by the number of Medicare discharges in a 
    hospital's cost reporting period, yielding the ceiling on aggregate 
    Medicare inpatient operating costs for the cost reporting period.
        Effective with cost reporting periods beginning on or after October 
    1, 1991, a hospital that has Medicare inpatient operating costs in 
    excess of its ceiling is paid its ceiling plus 50 percent of its costs 
    in excess of the ceiling. Total payment may not exceed 110 percent of 
    the ceiling. A hospital that has inpatient operating costs less than 
    its ceiling is paid its costs plus the lower of--
         Fifty percent of the difference between the allowable 
    inpatient operating costs and the ceiling; or
         Five percent of the ceiling.
        Each hospital's target amount is adjusted annually, at the 
    beginning of its cost reporting period, by an applicable rate-of-
    increase percentage. Section 1886(b)(3)(B) of the Act provides that for 
    cost reporting periods beginning on or after October 1, 1993 and before 
    October 1, 1994, the applicable rate-of-increase percentage is the 
    market basket percentage increase minus the lesser of one percentage 
    point or the percentage point difference between 10 percent and the 
    hospital's ``update adjustment percentage'' except for hospitals with 
    an ``update adjustment percentage'' of at least 10 percent. The rate-
    of-increase percentage for hospitals in the latter case is the market 
    basket percentage increase. The ``update adjustment percentage'' is the 
    percentage by which a hospital's allowable inpatient operating costs 
    exceeds the hospital's ceiling for the cost reporting period beginning 
    in Federal fiscal year 1990. For cost reporting periods beginning on or 
    after October 1, 1994 and before October 1, 1997, the update adjustment 
    percentage is the update adjustment percentage from the previous year 
    plus the previous year's applicable reduction. The applicable reduction 
    and applicable rate of increase percentage are then determined in the 
    same manner as for FY 1994. The most recent forecasted market basket 
    increase for FY 1996 for hospitals and hospital units excluded from the 
    prospective payment system is 3.6 percent.
    V. Tables
    
        This section contains the tables referred to throughout the 
    preamble to this proposed rule and in this addendum. For purposes of 
    this proposed rule, and to avoid confusion, we have retained the 
    designations of Tables 1 through 5 that were first used in the 
    September 1, 1983 initial prospective payment final rule (48 FR 39844). 
    Tables 1a, 1b, 1c, 1d, 3C, 4a, 4b, 4c, 4d, 4e, 5, 6a, 6b, 6c, 6d, 6e, 
    6f, 6g, 6h, 7A, 7B, 8a, and 8b are presented below. The tables 
    presented below are as follows:
    
    Table 1a--National Adjusted Operating Standardized Amounts, Labor/
    Nonlabor
    Table 1b--Regional Adjusted Operating Standardized Amounts, Labor/
    Nonlabor
    Table 1c--Adjusted Operating Standardized Amounts for Puerto Rico, 
    Labor/Nonlabor
    Table 1d--Capital Standard Federal Payment Rate
    Table 3C--Hospital Case Mix Indexes for Discharges Occurring in Federal 
    Fiscal Year 1994 and Hospital Average Hourly Wage for Federal Fiscal 
    Year 1996 Wage Index
    Table 4a--Wage Index and Capital Geographic Adjustment Factor (GAF) for 
    Urban Areas
    Table 4b--Wage Index and Capital Geographic Adjustment Factor (GAF) for 
    Rural Areas
    Table 4c--Wage Index and Capital Geographic Adjustment Factor (GAF) for 
    Hospitals That Are Reclassified
    Table 4d--Average Hourly Wage for Urban Areas
    Table 4e--Average Hourly Wage for Rural Areas
    Table 5--List of Diagnosis Related Groups (DRGs), Relative Weighting 
    Factors, Geometric Mean Length of Stay, and Length of Stay Outlier 
    Cutoff Points Used in the Prospective Payment System
    Table 6a--New Diagnosis Codes
    Table 6b--New Procedure Codes
    Table 6c--Invalid Diagnosis Codes
    Table 6d--Invalid Procedure Codes
    Table 6e--Revised Diagnosis Code Titles
    Table 6f--Revised Procedure Code Titles [[Page 29269]] 
    Table 6g--Additions to the CC Exclusions List
    Table 6h--Deletions to the CC Exclusions List
    Table 7A--Medicare Prospective Payment System Selected Percentile 
    Lengths of Stay FY 94 MEDPAR Update 12/94 GROUPER V12.0
    Table 7B--Medicare Prospective Payment System Selected Percentile 
    Lengths of Stay FY 94 MEDPAR Update 12/94 GROUPER V13.0
    Table 8a--Statewide Average Operating Cost-to-Charge Ratios for Urban 
    and Rural Hospitals (Case Weighted) April 1995
    Table 8b--Statewide Average Capital Cost-to-Charge Ratios for Urban and 
    Rural Hospitals (Case Weighted) April 1995
    
                       Table 1a.--National Adjusted Operating Standardized Amounts, Labor/Nonlabor                  
    ----------------------------------------------------------------------------------------------------------------
                        Large urban areas                                           Other areas                     
    ----------------------------------------------------------------------------------------------------------------
           Labor-related               Nonlabor-related              Labor-related             Nonlabor-related     
    ----------------------------------------------------------------------------------------------------------------
    $2,741.66..................                  $1,098.20                   $2,698.26                   $1,080.82  
    ----------------------------------------------------------------------------------------------------------------
    
    
                       Table 1b.--Regional Adjusted Operating Standardized Amounts, Labor/Nonlabor                  
    ----------------------------------------------------------------------------------------------------------------
                                                                      Large urban areas            Other areas      
                                                                 ---------------------------------------------------
                                                                     Labor-     Nonlabor-      Labor-     Nonlabor- 
                                                                    related      related      related      related  
    ----------------------------------------------------------------------------------------------------------------
    1. New England (CT, ME, MA, NH, RI, VT).....................     2,874.42     1,151.39     2,828.91     1,133.15
    2. Middle Atlantic (PA, NJ, NY).............................     2,623.32     1,050.80     2,581.79     1,034.16
    3. South Atlantic (DE, DC, FL, GA, MD, NC, SC, VA, WV)......     2,685.89     1,075.86     2,643.37     1,058.83
    4. East North Central (IL, IN, MI, OH, WI)..................     2,926.74     1,172.34     2,880.40     1,153.77
    5. East South Central (AL, KY, MS, TN)......................     2,538.10     1,016.66     2,497.42     1,000.57
    6. West North Central (IA, KS, MN, MO, NE, ND, SD)..........     2,743.46     1,098.92     2,700.03     1,081.52
    7. West South Central (AR, LA, OK, TX)......................     2,670.25     1,069.60     2,627.98     1,052.66
    8. Mountain (AZ, CO, ID, MT, NV, NM, UT, WY)................     2,653.09     1,062.72     2,611.08     1,045.90
    9. Pacific (AK, CA, HI, OR, WA).............................     2,712.47     1,086.51     2,669.53     1,069.31
    ----------------------------------------------------------------------------------------------------------------
    
    
                   Table 1c.--Adjusted Operating Standardized Amounts for Puerto Rico, Labor/Nonlabor               
    ----------------------------------------------------------------------------------------------------------------
                                                                      Large urban areas            Other areas      
                                                                 ---------------------------------------------------
                                                                     Labor-     Nonlabor-      Labor-     Nonlabor- 
                                                                    related      related      related      related  
    ----------------------------------------------------------------------------------------------------------------
    National....................................................    $2,714.90    $1,087.48    $2,714.90    $1,087.48
    Puerto Rico.................................................     2,445.01       509.56     2,406.30       501.49
    ----------------------------------------------------------------------------------------------------------------
    
    
                Table 1d.--Capital Standard Federal Payment Rate            
    ------------------------------------------------------------------------
                                                                      Rate  
    ------------------------------------------------------------------------
    National.....................................................    $457.11
    Puerto Rico..................................................     351.61
    ------------------------------------------------------------------------
    
    
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    Table 4a.--Wage Index and Capital Geographic Adjustment Factor (GAF) for
                                   Urban Areas                              
    ------------------------------------------------------------------------
         Urban area (Constituent counties or county         Wage            
                        equivalents)                        index      GAF  
    ------------------------------------------------------------------------
    0040  Abilene, TX...................................    0.8347    0.8836
      Taylor, TX                                                            
    0060  Aguadilla, PR.................................    0.4753    0.6009
      Aguada, PR                                                            
      Aguadilla, PR                                                         
      Moca, PR                                                              
    0080  Akron, OH.....................................    0.9596    0.9722
      Portage, OH                                                           
      Summit, OH                                                            
    0120  Albany, GA....................................    0.8624    0.9036
      Dougherty, GA                                                         
      Lee, GA                                                               
    0160  Albany-Schenectady-Troy, NY...................    0.8796    0.9159
      Albany, NY                                                            
      Montgomery, NY                                                        
      Rensselaer, NY                                                        
      Saratoga, NY                                                          
      Schenectady, NY                                                       
      Schoharie, NY                                                         
    0200  Albuquerque, NM...............................    0.9561    0.9697
      Bernalillo, NM                                                        
      Sandoval, NM                                                          
      Valencia, NM                                                          
    0220  Alexandria, LA................................    0.8025    0.8601
      Rapides, LA                                                           
    0240  Allentown-Bethlehem-Easton, PA................    1.0218    1.0149
      Carbon, PA                                                            
      Lehigh, PA                                                            
      Northampton, PA                                                       
    0280  Altoona, PA...................................    0.9024    0.9321
      Blair, PA                                                             
    0320  Amarillo, TX..................................    0.8711  0.9098  
      Potter, TX                                                            
      Randall, TX                                                           
    0380  Anchorage, AK.................................    1.3398    1.2218
      Anchorage, AK                                                         
    0440  Ann Arbor, MI.................................    1.2138    1.1419
      Lenawee, MI                                                           
      Livingston, MI                                                        
      Washtenaw, MI                                                         
    0450  Anniston, AL..................................    0.8139    0.8685
      Calhoun, AL                                                           
    0460  Appleton-Oshkosh-Neenah, WI...................    0.8861    0.9205
      Calumet, WI                                                           
      Outagamie, WI                                                         
      Winnebago, WI                                                         
    0470  Arecibo, PR...................................    0.4273    0.5586
      Arecibo, PR                                                           
      Camuy, PR                                                             
      Hatillo, PR                                                           
    0480  Asheville, NC.................................    0.9235    0.9470
      Buncombe, NC                                                          
      Madison, NC                                                           
    0500  Athens, GA....................................    0.9082    0.9362
      Clarke, GA                                                            
      Madison, GA                                                           
      Oconee, GA                                                            
    0520  *Atlanta, GA..................................    1.0130    1.0089
      Barrow, GA                                                            
      Bartow, GA                                                            
      Carroll, GA                                                           
      Cherokee, GA                                                          
      Clayton, GA                                                           
      Cobb, GA                                                              
      Coweta, GA                                                            
      De Kalb, GA                                                           
      Douglas, GA                                                           
      Fayette, GA                                                           
      Forsyth, GA                                                           
      Fulton, GA                                                            
      Gwinnett, GA                                                          
      Henry, GA                                                             
      Newton, GA                                                            
      Paulding, GA                                                          
      Pickens, GA                                                           
      Rockdale, GA                                                          
      Spalding, GA                                                          
      Walton, GA                                                            
    0560  Atlantic City-Cape May, NJ....................    1.0852    1.0576
      Atlantic City, NJ                                                     
      Cape May, NJ                                                          
    0600  Augusta-Aiken, GA-SC..........................    0.8975    0.9286
      Columbia, GA                                                          
      McDuffie, GA                                                          
      Richmond, GA                                                          
      Aiken, SC                                                             
      Edgefield, SC                                                         
    0640  Austin-San Marcos, TX.........................    0.9049    0.9339
      Bastrop, TX                                                           
      Caldwell, TX                                                          
      Hays, TX                                                              
      Travis, TX                                                            
      Williamson, TX                                                        
    0680  Bakersfield, CA...............................    1.0521    1.0354
      Kern, CA                                                              
    0720  *Baltimore, MD................................    0.9885    0.9921
      Anne Arundel, MD                                                      
      Baltimore, MD                                                         
      Baltimore City, MD                                                    
      Carroll, MD                                                           
      Harford, MD                                                           
      Howard, MD                                                            
      Queen Annes, MD                                                       
    0733  Bangor, ME....................................    0.9377    0.9569
      Penobscot, ME                                                         
    0743  Barnstable-Yarmouth, MA.......................    1.3482    1.2270
      Barnstable, MA                                                        
    0760  Baton Rouge, LA...............................    0.8695    0.9087
      Ascension, LA                                                         
      East Baton Rouge, LA                                                  
      Livingston, LA                                                        
      West Baton Rouge, LA                                                  
    0840  Beaumont-Port Arthur, TX......................    0.8384    0.8863
      Hardin, TX                                                            
      Jefferson, TX                                                         
      Orange, TX                                                            
    0860  Bellingham, WA................................    1.2705    1.1782
      Whatcom, WA                                                           
    0870  Benton Harbor, MI.............................    0.8320    0.8817
      Berrien, MI                                                           
    0875  *Bergen-Passaic, NJ...........................    1.1475    1.0988
      Bergen, NJ                                                            
      Passaic, NJ                                                           
    0880  Billings, MT..................................    0.8721    0.9105
      Yellowstone, MT                                                       
    0920  Biloxi-Gulfport-Pascagoula, MS................    0.8464    0.8921
      Hancock, MS                                                           
      Harrison, MS                                                          
      Jackson, MS                                                           
    0960  Binghamton, NY................................    0.9012    0.9312
      Broome, NY                                                            
      Tioga, NY                                                             
    1000  Birmingham, AL................................    0.8999    0.9303
      Blount, AL                                                            
      Jefferson, AL                                                         
      St. Clair, AL                                                         
      Shelby, AL                                                            
    1010  Bismarck, ND..................................    0.8314    0.8812
      Burleigh, ND                                                          
      Morton, ND                                                            
    1020  Bloomington, IN...............................    0.8445    0.8907
      Monroe, IN                                                            
    1040  Bloomington-Normal, IL........................    0.8756    0.9130
      McLean, IL                                                            
    1080  Boise City, ID................................    0.9091    0.9368
      Ada, ID                                                               
      Canyon, ID                                                            
    1123  *Boston-Brockton-Nashua, MA-NH................    1.1691    1.1129
      Bristol, MA                                                           
      Essex, MA                                                             
      Middlesex, MA                                                         
      Norfolk, MA                                                           
      Plymouth, MA                                                          
      Suffolk, MA                                                           
      Worcester, MA                                                         
      Hillsborough, NH                                                      
      Merrimack, NH                                                         
      Rockingham, NH                                                        
      Strafford, NH                                                         
    1125  Boulder-Longmont, CO..........................    0.8223    0.8746
      Boulder, CO                                                           
    1145  Brazoria, TX..................................    0.8313    0.8812
      Brazoria, TX                                                          
    1150  Bremerton, WA.................................    1.0314    1.0214
      Kitsap, WA                                                            
    1240  Brownsville-Harlingen-San Benito, TX..........    0.8666    0.9066
      Cameron, TX                                                           
    1260  Bryan-College Station, TX.....................    0.9004    0.9307
      Brazos, TX                                                            
    1280  *Buffalo-Niagara Falls, NY....................    0.9215    0.9456
      Erie, NY                                                              
      Niagara, NY                                                           
    1303  Burlington, VT................................    0.9270    0.9494
      Chittenden, VT                                                        
      Franklin, VT                                                          
      Grand Isle, VT                                                        
    1310  Caguas, PR....................................    0.4716    0.5977
      Caguas, PR                                                            
      Cayey, PR                                                             
      Cidra, PR                                                             
      Gurabo, PR                                                            
      San Lorenzo, PR                                                       
    [[Page 29303]]
                                                                            
    1320  Canton-Massillon, OH..........................    0.8826    0.9180
      Carroll, OH                                                           
      Stark, OH                                                             
    1350  Casper, WY....................................    0.8466    0.8922
      Natrona, WY                                                           
    1360  Cedar Rapids, IA..............................    0.8375    0.8856
      Linn, IA                                                              
    1400  Champaign-Urbana, IL..........................    0.8883    0.9221
      Champaign, IL                                                         
    1440  Charleston-North Charleston, SC...............    0.8947    0.9266
      Berkeley, SC                                                          
      Charleston, SC                                                        
      Dorchester, SC                                                        
    1480  Charleston, WV................................    0.9454    0.9623
      Kanawha, WV                                                           
      Putnam, WV                                                            
    1520  *Charlotte-Gastonia-Rock Hill, NC-SC..........    0.9664    0.9769
      Cabarrus, NC                                                          
      Gaston, NC                                                            
      Lincoln, NC                                                           
      Mecklenburg, NC                                                       
      Rowan, NC                                                             
      Union, NC                                                             
      York, SC                                                              
    1540  Charlottesville, VA...........................    0.9196    0.9442
      Albemarle, VA                                                         
      Charlottesville City, VA                                              
      Fluvanna, VA                                                          
      Greene, VA                                                            
    1560  Chattanooga, TN-GA............................    0.9140    0.9403
      Catoosa, GA                                                           
      Dade, GA                                                              
      Walker, GA                                                            
      Hamilton, TN                                                          
      Marion, TN                                                            
    1580  Cheyenne, WY..................................    0.7950    0.8546
      Laramie, WY                                                           
    1600  *Chicago, IL..................................    1.0653    1.0443
      Cook, IL                                                              
      De Kalb, IL                                                           
      Du Page, IL                                                           
      Grundy, IL                                                            
      Kane, IL                                                              
      Kendall, IL                                                           
      Lake, IL                                                              
      McHenry, IL                                                           
      Will, IL                                                              
    1620  Chico-Paradise, CA............................    1.0538    1.0365
      Butte, CA                                                             
    1640  *Cincinnati, OH-KY-IN.........................    0.9474    0.9637
      Dearborn, IN                                                          
      Ohio, IN                                                              
      Boone, KY                                                             
      Campbell, KY                                                          
      Gallatin, KY                                                          
      Grant, KY                                                             
      Kenton, KY                                                            
      Pendleton, KY                                                         
      Brown, OH                                                             
      Clermont, OH                                                          
      Hamilton, OH                                                          
      Warren, OH                                                            
    1660  Clarksville-Hopkinsville, TN-KY...............    0.7556    0.8254
      Christian, KY                                                         
      Montgomery, TN                                                        
    1680  *Cleveland-Lorain-Elyria, OH..................    0.9847    0.9895
      Ashtabula, OH                                                         
      Cuyahoga, OH                                                          
      Geauga, OH                                                            
      Lake, OH                                                              
      Lorain, OH                                                            
      Medina, OH                                                            
    1720  Colorado Springs, CO..........................    0.9311    0.9523
      El Paso, CO                                                           
    1740  Columbia, MO..................................    0.9479    0.9640
      Boone, MO                                                             
    1760  Columbia, SC..................................    0.9050    0.9339
      Lexington, SC                                                         
      Richland, SC                                                          
    1800  Columbus, GA-AL...............................    0.7758    0.8404
      Russell, AL                                                           
      Chattanoochee, GA                                                     
      Harris, GA                                                            
      Muscogee, GA                                                          
    1840  *Columbus, OH.................................    0.9747    0.9826
      Delaware, OH                                                          
      Fairfield, OH                                                         
      Franklin, OH                                                          
      Licking, OH                                                           
      Madison, OH                                                           
      Pickaway, OH                                                          
    1880  Corpus Christi, TX............................    0.8957    0.9273
      Nueces, TX                                                            
      San Patricio, TX                                                      
    1900  Cumberland, MD-WV.............................    0.8388    0.8866
      Allegany, MD                                                          
      Mineral, WV                                                           
    1920  *Dallas, TX...................................    0.9810    0.9869
      Collin, TX                                                            
      Dallas, TX                                                            
      Denton, TX                                                            
      Ellis, TX                                                             
      Henderson, TX                                                         
      Hunt, TX                                                              
      Kaufman, TX                                                           
      Rockwall, TX                                                          
    1950  Danville, VA..................................    0.8470    0.8925
      Danville City, VA                                                     
      Pittsylvania, VA                                                      
    1960  Davenport-Rock Island-Moline, IA-IL...........    0.8372    0.8854
      Scott, IA                                                             
      Henry, IL                                                             
      Rock Island, IL                                                       
    2000  Dayton-Springfield, OH........................    0.9160    0.9417
      Clark, OH                                                             
      Greene, OH                                                            
      Miami, OH                                                             
      Montgomery, OH                                                        
    2020  Daytona Beach, FL.............................    0.9013    0.9313
      Flagler, FL                                                           
      Volusia, FL                                                           
    2030  Decatur, AL...................................    0.8189    0.8721
      Lawrence, AL                                                          
      Morgan, AL                                                            
    2040  Decatur, IL...................................    0.7805    0.8439
      Macon, IL                                                             
    2080  *Denver, CO...................................    1.0414    1.0282
      Adams, CO                                                             
      Arapahoe, CO                                                          
      Denver, CO                                                            
      Douglas, CO                                                           
      Jefferson, CO                                                         
    2120  Des Moines, IA................................    0.8794    0.9158
      Dallas, IA                                                            
      Polk, IA                                                              
      Warren, IA                                                            
    2160  *Detroit, MI..................................    1.0850    1.0575
      Lapeer, MI                                                            
      Macomb, MI                                                            
      Monroe, MI                                                            
      Oakland, MI                                                           
      St. Clair, MI                                                         
      Wayne, MI                                                             
    2180  Dothan, AL....................................    0.7700    0.8361
      Dale, AL                                                              
      Houston, AL                                                           
    2190  Dover, DE.....................................    0.8977    0.9288
      Kent, DE                                                              
    2200  Dubuque, IA...................................    0.8051    0.8620
      Dubuque, IA                                                           
    2240  Duluth-Superior, MN-WI........................    0.9678    0.9778
      St. Louis, MN                                                         
      Douglas, WI                                                           
    2281  Dutchess County, NY...........................    1.0654    1.0443
      Dutchess, NY                                                          
    2290  Eau Claire, WI................................    0.8676    0.9073
      Chippewa, WI                                                          
      Eau Claire, WI                                                        
    2320  El Paso, TX...................................    0.8844    0.9193
      El Paso, TX                                                           
    2330  Elkhart-Goshen, IN............................    0.8822    0.9177
      Elkhart, IN                                                           
    2335  Elmira, NY....................................    0.8476    0.8929
      Chemung, NY                                                           
    2340  Enid, OK......................................    0.8186    0.8719
      Garfield, OK                                                          
    2360  Erie, PA......................................    0.9213    0.9454
      Erie, PA                                                              
    2400  Eugene-Springfield, OR........................    1.1206    1.0811
      Lane, OR                                                              
    2440  Evansville-Henderson, IN-KY...................    0.8916    0.9244
      Posey, IN                                                             
      Vanderburgh, IN                                                       
      Warrick, IN                                                           
      Henderson, KY                                                         
    2520  Fargo-Moorhead, ND-MN.........................    0.8929    0.9254
      Clay, MN                                                              
    [[Page 29304]]
                                                                            
      Cass, ND                                                              
    2560  Fayetteville, NC..............................    0.8860    0.9205
      Cumberland, NC                                                        
    2580  Fayetteville-Springdale-Rogers, AR............    0.7100    0.7909
      Benton, AR                                                            
      Washington, AR                                                        
    2640  Flint, MI.....................................    1.0667    1.0452
      Genesee, MI                                                           
    2650  Florence, AL..................................    0.7985    0.8572
      Colbert, AL                                                           
      Lauderdale, AL                                                        
    2655  Florence, SC..................................    0.8553    0.8985
      Florence, SC                                                          
    2670  Fort Collins-Loveland, CO.....................    1.0612    1.0415
      Larimer, CO                                                           
    2680  *Ft Lauderdale, FL............................    1.0959    1.0647
      Broward, FL                                                           
    2700  Fort Myers-Cape Coral, FL.....................    0.9684    0.9783
      Lee, FL                                                               
    2710  Fort Pierce-Port St Lucie, FL.................    1.0320    1.0218
      Martin, FL                                                            
      St Lucie, FL                                                          
    2720  Fort Smith, AR-OK.............................    0.7624    0.8305
      Crawford, AR                                                          
      Sebastian, AR                                                         
      Sequoyah, OK                                                          
    2750  Fort Walton Beach, FL.........................    0.8757    0.9131
      Okaloosa, FL                                                          
    2760  Fort Wayne, IN................................    0.8708    0.9096
      Adams, IN                                                             
      Allen, IN                                                             
      De Kalb, IN                                                           
      Huntington, IN                                                        
      Wells, IN                                                             
      Whitley, IN                                                           
    2800  *Fort Worth-Arlington, TX.....................    0.9947    0.9964
      Hood, TX                                                              
      Johnson, TX                                                           
      Parker, TX                                                            
      Tarrant, TX                                                           
    2840  Fresno, CA....................................    1.0550    1.0373
      Fresno, CA                                                            
      Madera, CA                                                            
    2880  Gadsden, AL...................................    0.8584    0.9007
      Etowah, AL                                                            
    2900  Gainesville, FL...............................    0.9024    0.9321
      Alachua, FL                                                           
    2920  Galveston-Texas City, TX......................    1.0269    1.0183
      Galveston, TX                                                         
                                                          ........          
    2960  Gary, IN......................................    0.9470    0.9634
      Lake, IN                                                              
      Porter, IN                                                            
    2975  Glens Falls, NY...............................    0.9294    0.9511
      Warren, NY                                                            
      Washington, NY                                                        
    2980  Goldsboro, NC.................................    0.8180    0.8715
      Wayne, NC                                                             
    2985  Grand Forks, ND-MN............................    0.9000    0.9304
      Polk, MN                                                              
      Grand Forks, ND                                                       
    3000  Grand Rapids-Muskegon-Holland, MI.............    1.0067    1.0046
      Allegan, MI                                                           
      Kent, MI                                                              
      Muskegon, MI                                                          
      Ottawa, MI                                                            
    3040  Great Falls, MT...............................    0.9139    0.9402
      Cascade, MT                                                           
    3060  Greeley, CO...................................    0.9164    0.9420
      Weld, CO                                                              
    3080  Green Bay, WI.................................    0.9288    0.9507
      Brown, WI                                                             
    3120  *Greensboro-Winston-Salem-High Point, NC......    0.9123    0.9391
      Alamance, NC                                                          
      Davidson, NC                                                          
      Davie, NC                                                             
      Forsyth, NC                                                           
      Guilford, NC                                                          
      Randolph, NC                                                          
      Stokes, NC                                                            
      Yadkin, NC                                                            
    3150  Greenville, NC................................    0.9119    0.9388
      Pitt, NC                                                              
    3160  Greenville-Spartanburg-Anderson, SC...........    0.8981    0.9290
      Anderson, SC                                                          
      Cherokee, SC                                                          
      Greenville, SC                                                        
      Pickens, SC                                                           
      Spartanburg, SC                                                       
    3180  Hagerstown, MD................................    0.9091    0.9368
      Washington, MD                                                        
    3200  Hamilton-Middletown, OH.......................    0.8264    0.8776
      Butler, OH                                                            
    3240  Harrisburg-Lebanon-Carlisle, PA...............    0.9991    0.9994
      Cumberland, PA                                                        
      Dauphin, PA                                                           
      Lebanon, PA                                                           
      Perry, PA                                                             
    3283  *Hartford, CT.................................    1.2412    1.1595
      Hartford, CT                                                          
      Litchfield, CT                                                        
      Middlesex, CT                                                         
      Tolland, CT                                                           
    3285  Hattiesburg, MS...............................    0.7253    0.8026
      Forrest, MS                                                           
      Lamar, MS                                                             
    3290  Hickory-Morganton, NC.........................    0.8002    0.8584
      Alexander, NC                                                         
      Burke, NC                                                             
      Caldwell, NC                                                          
      Catawba, NC                                                           
    3320  Honolulu, HI..................................    1.1233    1.0829
      Honolulu, HI                                                          
    3350  Houma, LA.....................................    0.7613    0.8296
      Lafourche, LA                                                         
      Terrebonne, LA                                                        
    3360  *Houston, TX..................................    0.9836    0.9887
      Chambers, TX                                                          
      Fort Bend, TX                                                         
      Harris, TX                                                            
      Liberty, TX                                                           
      Montgomery, TX                                                        
      Waller, TX                                                            
    3400  Huntington-Ashland, WV-KY-OH..................    0.9014    0.9314
      Boyd, KY                                                              
      Carter, KY                                                            
      Greenup, KY                                                           
      Lawrence, OH                                                          
      Cabell, WV                                                            
      Wayne, WV                                                             
    3440  Huntsville, AL................................    0.8146    0.8690
      Limestone, AL                                                         
      Madison, AL                                                           
    3480  *Indianapolis, IN.............................    0.9774    0.9845
      Boone, IN                                                             
      Hamilton, IN                                                          
      Hancock, IN                                                           
      Hendricks, IN                                                         
      Johnson, IN                                                           
      Madison, IN                                                           
      Marion, IN                                                            
      Morgan, IN                                                            
      Shelby, IN                                                            
    3500  Iowa City, IA.................................    0.9387    0.9576
      Johnson, IA                                                           
    3520  Jackson, MI...................................    0.9139    0.9402
      Jackson, MI                                                           
    3560  Jackson, MS...................................    0.7652    0.8325
      Hinds, MS                                                             
      Madison, MS                                                           
      Rankin, MS                                                            
    3580  Jackson, TN...................................    0.8527    0.8966
      Madison, TN                                                           
    3600  Jacksonville, FL..............................    0.8927    0.9252
      Clay, FL                                                              
      Duval, FL                                                             
      Nassau, FL                                                            
      St Johns, FL                                                          
    3605  Jacksonville, NC..............................    0.6939    0.7786
      Onslow, NC                                                            
    3610  Jamestown, NY.................................    0.7550    0.8249
      Chautaqua, NY                                                         
    3620  Janesville-Beloit, WI.........................    0.8802    0.9163
      Rock, WI                                                              
    3640  Jersey City, NJ...............................    1.1041    1.0702
      Hudson, NJ                                                            
    3660  Johnson City-Kingsport-Bristol, TN-VA.........    0.8785    0.9151
      Carter, TN                                                            
      Hawkins, TN                                                           
      Sullivan, TN                                                          
      Unicoi, TN                                                            
      Washington, TN                                                        
      Bristol City, VA                                                      
      Scott, VA                                                             
      Washington, VA                                                        
    3680  Johnstown, PA.................................    0.8534    0.8971
      Cambria, PA                                                           
    [[Page 29305]]
                                                                            
      Somerset, PA                                                          
    3710  Joplin, MO....................................    0.7938    0.8537
      Jasper, MO                                                            
      Newton, MO                                                            
    3720  Kalamazoo-Battlecreek, MI.....................    1.0776    1.0525
      Calhoun, MI                                                           
      Kalamazoo, MI                                                         
      Van Buren, MI                                                         
    3740  Kankakee, IL                                      0.7524    0.8230
      Kankakee, IL                                                          
    3760  *Kansas City, KS-MO...........................    0.9373    0.9566
      Johnson, KS                                                           
      Leavenworth, KS                                                       
      Miami, KS                                                             
      Wyandotte, KS                                                         
      Cass, MO                                                              
      Clay, MO                                                              
      Clinton, MO                                                           
      Jackson, MO                                                           
      Lafayette, MO                                                         
      Platte, MO                                                            
      Ray, MO                                                               
    3800  Kenosha, WI...................................    0.8888    0.9224
      Kenosha, WI                                                           
    3810  Killeen-Temple, TX............................    1.0546    1.0371
      Bell, TX                                                              
      Coryell, TX                                                           
    3840  Knoxville, TN.................................    0.8534    0.8971
      Anderson, TN                                                          
      Blount, TN                                                            
      Knox, TN                                                              
      Loudon, TN                                                            
      Sevier, TN                                                            
      Union, TN                                                             
    3850  Kokomo, IN....................................    0.8851    0.9198
      Howard, IN                                                            
      Tipton, IN                                                            
    3870  La Crosse, WI-MN..............................    0.8603    0.9021
      Houston, MN                                                           
      La Crosse, WI                                                         
    3880  Lafayette, LA.................................    0.8515    0.8958
      Acadia, LA                                                            
      Lafayette, LA                                                         
      St Landry, LA                                                         
      St Martin, LA                                                         
    3920  Lafayette, IN.................................    0.8343    0.8833
      Clinton, IN                                                           
      Tippecanoe, IN                                                        
    3960  Lake Charles, LA..............................    0.8109    0.8663
      Calcasieu, LA                                                         
    3980  Lakeland-Winter Haven, FL.....................    0.8684    0.9079
      Polk, FL                                                              
    4000  Lancaster, PA.................................    0.9587    0.9715
      Lancaster, PA                                                         
    4040  Lansing-East Lansing, MI......................    1.0124    1.0085
      Clinton, MI                                                           
      Eaton, MI                                                             
      Ingham, MI                                                            
    4080  Laredo, TX....................................    0.6604    0.7527
      Webb, TX                                                              
    4100  Las Cruces, NM................................    0.8878    0.9217
      Dona Ana, NM                                                          
    4120  *Las Vegas, NV-AZ.............................    1.0964    1.0651
      Mohave, AZ                                                            
      Clark, NV                                                             
      Nye, NV                                                               
    4150  Lawrence, KS..................................    0.8565    0.8994
      Douglas, KS                                                           
    4200  Lawton, OK....................................    0.8611    0.9027
      Comanche, OK                                                          
    4243  Lewiston-Auburn, ME...........................    0.9451    0.9621
      Androscoggin, ME                                                      
    4280  Lexington, KY.................................    0.8352    0.8840
      Bourbon, KY                                                           
      Clark, KY                                                             
      Fayette, KY                                                           
      Jessamine, KY                                                         
      Madison, KY                                                           
      Scott, KY                                                             
      Woodford, KY                                                          
    4320  Lima, OH......................................    0.8575    0.9001
      Allen, OH                                                             
      Auglaize, OH                                                          
    4360  Lincoln, NE...................................    0.9097    0.9372
      Lancaster, NE                                                         
    4400  Little Rock-North Little Rock, AR.............    0.8543    0.8978
      Faulkner, AR                                                          
      Lonoke, AR                                                            
      Pulaski, AR                                                           
      Saline, AR                                                            
    4420  Longview-Marshall, TX.........................    0.8669    0.9068
      Gregg, TX                                                             
      Harrison, TX                                                          
      Upshur, TX                                                            
    4480  *Los Angeles-Long Beach, CA...................    1.2521    1.1664
      Los Angeles, CA                                                       
    4520  Louisville, KY-IN.............................    0.9345    0.9547
      Clark, IN                                                             
      Floyd, IN                                                             
      Harrison, IN                                                          
      Scott, IN                                                             
      Bullitt, KY                                                           
      Jefferson, KY                                                         
      Oldham, KY                                                            
    4600  Lubbock, TX...................................    0.8459    0.8917
      Lubbock, TX                                                           
    4640  Lynchburg, VA.................................    0.8065    0.8631
      Amherst, VA                                                           
      Bedford City, VA                                                      
      Bedford, VA                                                           
      Campbell, VA                                                          
      Lynchburg City, VA                                                    
    4680  Macon, GA.....................................    0.9008    0.9310
      Bibb, GA                                                              
      Houston, GA                                                           
      Jones, GA                                                             
      Peach, GA                                                             
      Twiggs, GA                                                            
    4720  Madison, WI...................................    1.0074    1.0051
      Dane, WI                                                              
    4800  Mansfield, OH.................................    0.8389    0.8867
      Crawford, OH                                                          
      Richland, OH                                                          
    4840  Mayaguez, PR..................................    0.4654    0.5923
      Anasco, PR                                                            
      Cabo Rojo, PR                                                         
      Hormigueros, PR                                                       
      Mayaguez, PR                                                          
      Sabana Grande, PR                                                     
      San German, PR                                                        
    4880  McAllen-Edinburg-Mission, TX..................    0.8685    0.9080
      Hidalgo, TX                                                           
    4890 Medford-Ashland, OR............................    1.0181    1.0124
      Jackson, OR                                                           
    4900  Melbourne-Titusville-Palm Bay, FL.............    0.9408    0.9591
      Brevard, Fl                                                           
    4920  *Memphis, TN-AR-MS............................    0.8411    0.8883
      Crittenden, AR                                                        
      De Soto, MS                                                           
      Fayette, TN                                                           
      Shelby, TN                                                            
      Tipton, TN                                                            
    4940  Merced, CA....................................    1.0898    1.0607
      Merced, CA                                                            
    5000  *Miami, FL....................................    0.9530    0.9676
      Dade, FL                                                              
    5015  *Middlesex-Somerset-Hunterdon, NJ.............    1.0549    1.0373
      Hunterdon, NJ                                                         
      Middlesex, NJ                                                         
      Somerset, NJ                                                          
    5080  *Milwaukee-Waukesha, WI.......................    0.9516    0.9666
      Milwaukee, WI                                                         
      Ozaukee, WI                                                           
      Washington, WI                                                        
      Waukesha, WI                                                          
    5120  *Minneapolis-St. Paul, MN-WI..................    1.0726  1.0492  
      Anoka, MN                                                             
      Carver, MN                                                            
      Chisago, MN                                                           
      Dakota, MN                                                            
      Hennepin, MN                                                          
      Isanti, MN                                                            
      Ramsey, MN                                                            
      Scott, MN                                                             
      Sherburne, MN                                                         
      Washington, MN                                                        
      Wright, MN                                                            
      Pierce, WI                                                            
      St. Croix, WI                                                         
    5160  Mobile, AL....................................    0.7720    0.8376
      Baldwin, AL                                                           
      Mobile, AL                                                            
    5170  Modesto, CA...................................    1.0575    1.0390
      Stanislaus, CA                                                        
    5190  *Monmouth-Ocean, NJ...........................    1.0515    1.0350
      Monmouth, NJ                                                          
      Ocean, NJ                                                             
    5200  Monroe, LA....................................    0.7963    0.8556
      Ouachita, LA                                                          
    5240  Montgomery, AL................................    0.7914    0.8520
      Autauga, AL                                                           
    [[Page 29306]]
                                                                            
      Elmore, AL                                                            
      Montgomery, AL                                                        
    5280  Muncie, IN....................................    0.8843    0.9192
      Delaware, IN                                                          
    5330  Myrtle Beach, SC..............................    0.7976    0.8565
      Horry, SC                                                             
    5345  Naples, FL....................................    0.9890    0.9925
      Collier, FL                                                           
    5360  *Nashville, TN................................    0.9273    0.9496
      Cheatham, TN                                                          
      Davidson, TN                                                          
      Dickson, TN                                                           
      Robertson, TN                                                         
      Rutherford TN                                                         
      Sumner, TN                                                            
      Williamson, TN                                                        
      Wilson, TN                                                            
    5380  *Nassau-Suffolk, NY...........................    1.2680    1.1766
      Nassau, NY                                                            
      Suffolk, NY                                                           
    5483  *New Haven-Bridgeport-Stamford-Danbury-                           
     Waterbury, CT......................................    1.2585    1.1705
      Fairfield, CT                                                         
      New Haven, CT                                                         
    5523  New London-Norwich, CT........................    1.2111    1.1401
      New London, CT                                                        
    5560  *New Orleans, LA..............................    0.9419    0.9598
      Jefferson, LA                                                         
      Orleans, LA                                                           
      Plaquemines, LA                                                       
      St. Bernard, LA                                                       
      St. Charles, LA                                                       
      St. James, LA                                                         
      St. John The Baptist, LA                                              
      St. Tammany, LA                                                       
    5600  *New York, NY.................................    1.3845    1.2496
      Bronx, NY                                                             
      Kings, NY                                                             
      New York, NY                                                          
      Putnam, NY                                                            
      Queens, NY                                                            
      Richmond, NY                                                          
      Rockland, NY                                                          
      Westchester, NY                                                       
    5640  *Newark, NJ...................................    1.1185    1.0797
      Essex, NJ                                                             
      Morris, NJ                                                            
      Sussex, NJ                                                            
      Union, NJ                                                             
      Warren, NJ                                                            
    5660  Newburgh, NY-PA...............................    1.0529    1.0359
      Orange, NY                                                            
      Pike, PA                                                              
    5720  *Norfolk-Virginia Beach-Newport News, VA-NC...    0.8448  0.8909  
      Currituck, NC                                                         
      Chesapeake City, VA                                                   
      Gloucester, VA                                                        
      Hampton City, VA                                                      
      Isle of Wight, VA                                                     
      James City, VA                                                        
      Mathews, VA                                                           
      Newport News City, VA                                                 
      Norfolk City, VA                                                      
      Poquoson City, VA                                                     
      Portsmouth City, VA                                                   
      Suffolk City, VA                                                      
      Virginia Beach City VA                                                
      Williamsburg City, VA                                                 
      York, VA                                                              
    5775  *Oakland, CA..................................    1.5219    1.3332
      Alameda, CA                                                           
      Contra Costa, CA                                                      
    5790  Ocala, FL.....................................    0.8960    0.9276
      Marion, FL                                                            
    5800  Odessa-Midland, TX............................    0.8769    0.9140
      Ector, TX                                                             
      Midland, TX                                                           
    5880  *Oklahoma City, OK............................    0.8343    0.8833
      Canadian, OK                                                          
      Cleveland, OK                                                         
      Logan, OK                                                             
      McClain, OK                                                           
      Oklahoma, OK                                                          
      Pottawatomie, OK                                                      
    5910  Olympia, WA...................................    1.1130    1.0761
      Thurston, WA                                                          
    5920  Omaha, NE-IA..................................    0.9812    0.9871
      Pottawattamie, IA                                                     
      Cass, NE                                                              
      Douglas, NE                                                           
      Sarpy, NE                                                             
      Washington, NE                                                        
    5945  *Orange County, CA............................    1.4733    1.3039
      Orange, CA                                                            
    5960  *Orlando, FL..................................    0.9356    0.9554
      Lake, FL                                                              
      Orange, FL                                                            
      Osceola, FL                                                           
      Seminole, FL                                                          
    5990  Owensboro, KY.................................    0.7512    0.8221
      Davies, KY                                                            
    6015  Panama City, FL...............................    0.8147    0.8691
      Bay, FL                                                               
    6020  Parkersburg-Marietta, WV-OH...................    0.7766    0.8410
      Washington, OH                                                        
      Wood, WV                                                              
    6080  Pensacola, FL.................................    0.8228    0.8750
      Escambia, FL                                                          
      Santa Rosa, FL                                                        
    6120  Peoria-Pekin, IL..............................    0.8635    0.9044
      Peoria, IL                                                            
      Tazewell, IL                                                          
      Woodford, IL                                                          
    6160  *Philadelphia, PA-NJ..........................    1.1103    1.0743
      Burlington, NJ                                                        
      Camden, NJ                                                            
      Gloucester, NJ                                                        
      Salem, NJ                                                             
      Bucks, PA                                                             
      Chester, PA                                                           
      Delaware, PA                                                          
      Montgomery, PA                                                        
      Philadelphia, PA                                                      
    6200  *Phoenix-Mesa, AZ.............................    0.9799    0.9862
      Maricopa, AZ                                                          
      Pinal, AZ                                                             
    6240  Pine Bluff, AR................................    0.7842    0.8466
      Jefferson, AR                                                         
    6280  *Pittsburgh, PA...............................    0.9761    0.9836
      Allegheny, PA                                                         
      Beaver, PA                                                            
      Butler, PA                                                            
      Fayette, PA                                                           
      Washington, PA                                                        
      Westmoreland, PA                                                      
    6323  Pittsfield, MA................................    1.0859    1.0581
      Berkshire, MA                                                         
    6360  Ponce, PR.....................................    0.4756    0.6011
      Guayanilla, PR                                                        
      Juana Diaz, PR                                                        
      Penuelas, PR                                                          
      Ponce, PR                                                             
      Villalba, PR                                                          
      Yauco, PR                                                             
    6403  Portland, ME..................................    0.9763    0.9837
      Cumberland, ME                                                        
      Sagadahoc, ME                                                         
      York, ME                                                              
    6440  *Portland-Vancouver, OR-WA....................    1.1272    1.0855
      Clackamas, OR                                                         
      Columbia, OR                                                          
      Multnomah, OR                                                         
      Washington, OR                                                        
      Yamhill, OR                                                           
      Clark, WA                                                             
    6483  *Providence-Warwick, RI.......................    1.1048    1.0706
      Bristol, RI                                                           
      Kent, RI                                                              
      Newport, RI                                                           
      Providence, RI                                                        
      Washington, RI                                                        
    6520  Provo-Orem, UT................................    0.9886    0.9922
      Utah, UT                                                              
    6560  Pueblo, CO....................................    0.8524    0.8964
      Pueblo, CO                                                            
    6580  Punta Gorda, FL...............................    0.8764    0.9136
      Charlotte, FL                                                         
    6600  Racine, WI....................................    0.8424    0.8892
      Racine, WI                                                            
    6640  Raleigh-Durham-Chapel Hill, NC................    0.9558    0.9695
      Chatham, NC                                                           
      Durham, NC                                                            
      Franklin, NC                                                          
      Johnston, NC                                                          
      Orange, NC                                                            
      Wake, NC                                                              
    6660  Rapid City, SD................................    0.8283    0.8790
      Pennington, SD                                                        
    6680  Reading, PA...................................    0.9588    0.9716
      Berks, PA                                                             
    [[Page 29307]]
                                                                            
    6690  Redding, CA...................................    1.1725    1.1151
      Shasta, CA                                                            
    6720  Reno, NV......................................    1.1108    1.0746
      Washoe, NV                                                            
    6740  Richland-Kennewick-Pasco, WA..................    1.0028    1.0019
      Benton, WA                                                            
      Franklin, WA                                                          
    6760  Richmond-Petersburg, VA.......................    0.8852    0.9199
      Charles City County, VA                                               
      Chesterfield, VA                                                      
      Colonial Heights City, VA                                             
      Dinwiddie, VA                                                         
      Goochland, VA                                                         
      Hanover, VA                                                           
      Henrico, VA                                                           
      Hopewell City, VA                                                     
      New Kent, VA                                                          
      Petersburg City, VA                                                   
      Powhatan, VA                                                          
      Prince George, VA                                                     
      Richmond City, VA                                                     
    6780  *Riverside-San Bernardino, CA.................    1.1588    1.1062
      Riverside, CA                                                         
      San Bernardino, CA                                                    
    6800  Roanoke, VA...................................    0.8586    0.9009
      Botetourt, VA                                                         
      Roanoke, VA                                                           
      Roanoke City, VA                                                      
      Salem City, VA                                                        
    6820  Rochester, MN.................................    1.0565    1.0384
      Olmsted, MN                                                           
    6840  *Rochester, NY................................    0.9602    0.9726
      Genesee, NY                                                           
      Livingston, NY                                                        
      Monroe, NY                                                            
      Ontario, NY                                                           
      Orleans, NY                                                           
      Wayne, NY                                                             
    6880  Rockford, IL..................................    0.8889    0.9225
      Boone, IL                                                             
      Ogle, IL                                                              
      Winnebago, IL                                                         
    6895  Rocky Mount, NC...............................    0.8852    0.9199
      Edgecombe, NC                                                         
      Nash, NC                                                              
    6920  *Sacramento, CA...............................    1.2581    1.1703
      El Dorado, CA                                                         
      Placer, CA                                                            
      Sacramento, CA                                                        
    6960  Saginaw-Bay City-Midland, MI..................    0.9507    0.9660
      Bay, MI                                                               
      Midland, MI                                                           
      Saginaw, MI                                                           
    6980  St Cloud, MN..................................    0.9567    0.9701
      Benton, MN                                                            
      Stearns, MN                                                           
    7000  St Joseph, MO.................................    0.8473    0.8927
      Andrews, MO                                                           
      Buchanan, MO                                                          
    7040  *St Louis, MO-IL..............................    0.8889    0.9225
      Clinton, IL                                                           
      Jersey, IL                                                            
      Madison, IL                                                           
      Monroe, IL                                                            
      St Clair, IL                                                          
      Franklin, MO                                                          
      Jefferson, MO                                                         
      Lincoln, MO                                                           
      St Charles, MO                                                        
      St Louis, MO                                                          
      St Louis City, MO                                                     
      Warren, MO                                                            
    7080  Salem, OR.....................................    0.9593    0.9719
      Marion, OR                                                            
      Polk, OR                                                              
    7120  Salinas, CA...................................    1.4290    1.2769
      Monterey, CA                                                          
    7160  *Salt Lake City-Ogden, UT.....................    0.9643    0.9754
      Davis, UT                                                             
      Salt Lake, UT                                                         
      Weber, UT                                                             
    7200  San Angelo, TX................................    0.7792    0.8429
      Tom Green, TX                                                         
    7240  *San Antonio, TX..............................    0.8404    0.8877
      Bexar, TX                                                             
      Comal, TX                                                             
      Guadalupe, TX                                                         
      Wilson, TX                                                            
    7320  *San Diego, CA................................    1.1917    1.1276
      San Diego, CA                                                         
    7360  *San Francisco, CA............................    1.4332    1.2795
      Marin, CA                                                             
      San Francisco, CA                                                     
      San Mateo, CA                                                         
    7400  *San Jose, CA.................................    1.4352    1.2807
      Santa Clara, CA                                                       
    7440  *San Juan-Bayamon, PR.........................    0.4481    0.5771
      Aguas Buenas, PR                                                      
      Barceloneta, PR                                                       
      Bayamon, PR                                                           
      Canovanas, PR                                                         
      Carolina, PR                                                          
      Catano, PR                                                            
      Ceiba, PR                                                             
      Comerio, PR                                                           
      Corozal, PR                                                           
      Dorado, PR                                                            
      Fajardo, PR                                                           
      Florida, PR                                                           
      Guaynabo, PR                                                          
      Humacao, PR                                                           
      Juncos, PR                                                            
      Los Piedras, PR                                                       
      Loiza, PR                                                             
      Luguillo, PR                                                          
      Manati, PR                                                            
      Naranjito, PR                                                         
      Rio Grande, PR                                                        
      San Juan, PR                                                          
      Toa Alta, PR                                                          
      Toa Baja, PR                                                          
      Trujillo Alto, PR                                                     
      Vega Alta, PR                                                         
      Vega Baja, PR                                                         
      Yabucoa, PR                                                           
    7460  San Luis Obispo-Atascadero-Paso Robles, CA....    1.1427    1.0957
      San Luis Obispo, CA                                                   
    7480  Santa Barbara-Santa Maria-Lompoc, CA..........    1.1114    1.0750
      Santa Barbara, CA                                                     
    7485  Santa Cruz-Watsonville, CA....................    1.0175    1.0120
      Santa Cruz, CA                                                        
    7490  Santa Fe, NM..................................    1.1129    1.0760
      Los Alamos, NM                                                        
      Santa Fe, NM                                                          
    7500  Santa Rosa, CA................................    1.2758    1.1815
      Sonoma, CA                                                            
    7510  Sarasota-Bradenton, FL........................    0.9871    0.9911
      Manatee, FL                                                           
      Sarasota, FL                                                          
    7520  Savannah, GA..................................    0.8888    0.9224
      Bryan, GA                                                             
      Chatham, GA                                                           
      Effingham, GA                                                         
    7560  Scranton-Wilkes-Barre-Hazleton, PA............    0.8740    0.9119
      Columbia, PA                                                          
      Lackawanna, PA                                                        
      Luzerne, PA                                                           
      Wyoming, PA                                                           
    7600  *Seattle-Bellevue-Everett, WA.................    1.1229    1.0826
      Island, WA                                                            
      King, WA                                                              
      Snohomish, WA                                                         
    7610  Sharon, PA....................................    0.9110    0.9382
      Mercer, PA                                                            
    7620  Sheboygan, WI.................................    0.7996    0.8580
      Sheboygan, WI                                                         
    7640  Sherman-Denison, TX...........................    0.8795    0.9158
      Grayson, TX                                                           
    7680  Shreveport-Bossier City, LA...................    0.9023    0.9320
      Bossier, LA                                                           
      Caddo, LA                                                             
      Webster, LA                                                           
    7720  Sioux City, IA-NE.............................    0.8398    0.8873
      Woodbury, IA                                                          
      Dakota, NE                                                            
    7760  Sioux Falls, SD...............................    0.8778    0.9146
      Lincoln, SD                                                           
      Minnehaha, SD                                                         
    7800  South Bend, IN................................    0.9429    0.9605
      St Joseph, IN                                                         
    7840  Spokane, WA...................................    1.0401    1.0273
      Spokane, WA                                                           
    7880  Springfield, IL...............................    0.8957    0.9273
      Menard, IL                                                            
      Sangamon, IL                                                          
    7920  Springfield, MO...............................    0.7911    0.8517
      Christian, MO                                                         
      Greene, MO                                                            
    [[Page 29308]]
                                                                            
      Webster, MO                                                           
    8003  Springfield, MA...............................    1.0488    1.0332
      Hampden, MA                                                           
      Hampshire, MA                                                         
    8050  State College, PA.............................    1.0181    1.0124
      Centre, PA                                                            
    8080  Steubenville-Weirton, OH-WV...................    0.8471    0.8926
      Jefferson, OH                                                         
      Brooke, WV                                                            
      Hancock, WV                                                           
    8120  Stockton-Lodi, CA.............................    1.1687    1.1127
      San Joaquin, CA                                                       
    8140  Sumter, SC....................................    0.8360    0.8846
      Sumter, SC                                                            
    8160  Syracuse, NY..................................    0.9548    0.9688
      Cayuga, NY                                                            
      Madison, NY                                                           
      Onondaga, NY                                                          
      Oswego, NY                                                            
    8200  Tacoma, WA....................................    1.0822    1.0556
      Pierce, WA                                                            
    8240  Tallahassee, FL...............................    0.8337  0.8829  
      Gadsden, FL                                                           
      Leon, FL                                                              
    8280 *Tampa-St Petersburg-Clearwater, FL............    0.9319    0.9528
      Hernando, FL                                                          
      Hillsborough, FL                                                      
      Pasco, FL                                                             
      Pinellas, FL                                                          
    8320  Terre Haute, IN...............................    0.8688    0.9082
      Clay, IN                                                              
      Vermillion, IN                                                        
      Vigo, IN                                                              
    8360  Texarkana, AR-Texarkana, TX...................    0.8272    0.8782
      Miller, AR                                                            
      Bowie, TX                                                             
    8400  Toledo, OH....................................    1.0349    1.0238
      Fulton, OH                                                            
      Lucas, OH                                                             
      Wood, OH                                                              
    8440  Topeka, KS....................................    0.9607    0.9729
      Shawnee, KS                                                           
    8480  Trenton, NJ...................................    1.0176    1.0120
      Mercer, NJ                                                            
    8520  Tucson, AZ....................................    0.9292    0.9510
      Pima, AZ                                                              
    8560  Tulsa, OK.....................................    0.8274    0.8783
      Creek, OK                                                             
      Osage, OK                                                             
      Rogers, OK                                                            
      Tulsa, OK                                                             
      Wagoner, OK                                                           
    8600  Tuscaloosa, AL................................    0.7937    0.8537
      Tuscaloosa, AL                                                        
    8640  Tyler, TX.....................................    0.9448    0.9619
      Smith, TX                                                             
    8680  Utica-Rome, NY................................    0.8530    0.8968
      Herkimer, NY                                                          
      Oneida, NY                                                            
    8720  Vallejo-Fairfield-Napa, CA....................    1.3341    1.2182
      Napa, CA                                                              
      Solano, CA                                                            
    8735  Ventura, CA...................................    1.2760    1.1816
      Ventura, CA                                                           
    8750  Victoria, TX..................................    0.8451    0.8911
      Victoria, TX                                                          
    8760  Vineland-Millville-Bridgeton, NJ..............    0.9985    0.9990
      Cumberland, NJ                                                        
    8780  Visalia-Tulare-Porterville, CA................    1.0525    1.0357
      Tulare, CA                                                            
    8800  Waco, TX......................................    0.7913    0.8519
      McLennan, TX                                                          
    8840  *Washington, DC-MD-VA-WV......................    1.1088    1.0733
      District of Columbia, DC                                              
      Calvert, MD                                                           
      Charles, MD                                                           
      Frederick, MD                                                         
      Montgomery, MD                                                        
      Prince Georges, MD                                                    
      Alexandria City, VA                                                   
      Arlington, VA                                                         
      Clarke, VA                                                            
      Culpepper, VA                                                         
      Fairfax, VA                                                           
      Fairfax City, VA                                                      
      Falls Church City, VA                                                 
      Fauquier, VA                                                          
      Fredericksburg City, VA                                               
      King George, VA                                                       
      Loudoun, VA                                                           
      Manassas City, VA                                                     
      Manassas Park City, VA                                                
      Prince William, VA                                                    
      Spotsylvania, VA                                                      
      Stafford, VA                                                          
      Warren, VA                                                            
      Berkeley, WV                                                          
      Jefferson, WV                                                         
    8920  Waterloo-Cedar Falls, IA......................    0.8655    0.9058
      Black Hawk, IA                                                        
    8940  Wausau, WI....................................    1.0053    1.0036
      Marathon, WI                                                          
    8960  West Palm Beach-Boca Raton, FL................    1.0175    1.0120
      Palm Beach, FL                                                        
    9000  Wheeling, OH-WV...............................    0.7554    0.8252
      Belmont, OH                                                           
      Marshall, WV                                                          
      Ohio, WV                                                              
    9040  Wichita, KS...................................    0.9580    0.9710
      Butler, KS                                                            
      Harvey, KS                                                            
      Sedgwick, KS                                                          
    9080  Wichita Falls, TX.............................    0.7772    0.8415
      Archer, TX                                                            
      Wichita, TX                                                           
    9140  Williamsport, PA..............................    0.8524    0.8964
      Lycoming, PA                                                          
    9160  Wilmington-Newark, DE-MD......................    0.9598    0.9723
      New Castle, DE                                                        
      Cecil, MD                                                             
    9200  Wilmington, NC................................    0.9317    0.9527
      New Hanover, NC                                                       
      Brunswick, NC                                                         
    9260  Yakima, WA....................................    0.9894    0.9927
      Yakima, WA                                                            
    9270  Yolo, CA......................................    1.1640    1.1096
      Yolo, CA                                                              
    9280  York, PA......................................    0.9182    0.9432
      York, PA                                                              
    9320  Youngstown-Warren, OH.........................    0.9600    0.9724
      Columbiana, OH                                                        
      Mahoning, OH                                                          
      Trumbull, OH                                                          
    9340  Yuba City, CA.................................    1.0631    1.0428
      Sutter, CA                                                            
      Yuba, CA                                                              
    9360  Yuma, AZ......................................    0.9787    0.9854
      Yuma, AZ                                                              
    ------------------------------------------------------------------------
    
    
    Table 4b.--Wage Index and Capital Geographic Adjustment Factor (GAF) for
                                   Rural Areas                              
    ------------------------------------------------------------------------
                                                            Wage            
                        Nonurban area                       index      GAF  
    ------------------------------------------------------------------------
    Alabama.............................................    0.7172    0.7964
    Alaska..............................................    1.2064    1.1371
    Arizona.............................................    0.8156    0.8697
    Arkansas............................................    0.6915    0.7768
    California..........................................    1.0175    1.0120
    Colorado............................................    0.8223    0.8746
    Connecticut.........................................    1.3142    1.2058
    Delaware............................................    0.8986    0.9294
    Florida.............................................    0.8684    0.9079
    Georgia.............................................    0.7670    0.8339
    Hawaii..............................................    0.9866    0.9908
    Idaho...............................................    0.8424    0.8892
    Illinois............................................    0.7524    0.8230
    Indiana.............................................    0.8047    0.8617
    Iowa................................................    0.7353    0.8101
    Kansas..............................................    0.7249    0.8023
    Kentucky............................................    0.7678    0.8345
    Louisiana...........................................    0.7284    0.8049
    Maine...............................................    0.8441    0.8904
    Maryland............................................    0.8479    0.8932
    Massachusetts.......................................    1.0597    1.0405
    Michigan............................................    0.8776    0.9145
    Minnesota...........................................    0.8143    0.8688
    Mississippi.........................................    0.6710    0.7609
    Missouri............................................    0.7217    0.7998
    Montana.............................................    0.8088    0.8647
    Nebraska............................................    0.7226    0.8005
    Nevada..............................................    0.8805    0.9165
    New Hampshire.......................................    1.0032    1.0022
    New Jersey\1\.......................................  ........  ........
    New Mexico..........................................    0.8347    0.8836
    New York............................................    0.8624    0.9036
    North Carolina......................................    0.8002    0.8584
    North Dakota........................................    0.7305    0.8065
    [[Page 29309]]
                                                                            
    Ohio................................................    0.8264    0.8776
    Oklahoma............................................    0.7005    0.7837
    Oregon..............................................    0.9509    0.9661
    Pennsylvania........................................    0.8534    0.8971
    Puerto Rico.........................................    0.3888    0.5237
    Rhode Island\1\.....................................  ........  ........
    South Carolina......................................    0.7746    0.8395
    South Dakota........................................    0.6952    0.7796
    Tennessee...........................................    0.7433    0.8162
    Texas...............................................    0.7269    0.8038
    Utah................................................    0.8698    0.9089
    Vermont.............................................    0.9132    0.9397
    Virginia............................................    0.7813    0.8445
    Washington..........................................    0.9791    0.9856
    West Virginia.......................................    0.8073    0.8636
    Wisconsin...........................................    0.8424    0.8892
    Wyoming.............................................    0.7933    0.8534
    ------------------------------------------------------------------------
    \1\All counties within the State are classified urban.                  
    
    
    Table 4c.--Wage Index and Capital Geographic Adjustment Factor (GAF) for
                         Hospitals That Are Reclassified                    
    ------------------------------------------------------------------------
                                                            Wage            
                    Area reclassified to                    index      GAF  
    ------------------------------------------------------------------------
    Abilene, TX.........................................    0.8347    0.8836
    Albuquerque, NM.....................................    0.9561    0.9697
    Alexandria, LA......................................    0.8025    0.8601
    Allentown-Bethlehem-Easton, PA......................    1.0218    1.0149
    Amarillo, TX........................................    0.8711    0.9098
    Anchorage, AK.......................................    1.3398    1.2218
    Ann Arbor, MI.......................................    1.2014    1.1339
    Asheville, NC.......................................    0.9235    0.9470
    Atlanta, GA.........................................    1.0130    1.0089
    Augusta-Aiken, GA-SC................................    0.8975    0.9286
    Baton Rouge, LA.....................................    0.8695    0.9087
    Benton Harbor, MI...................................    0.8320    0.8817
    Benton Harbor, MI (Rural Michigan Hosp.)............    0.8776    0.9145
    Bergen-Passaic, NJ..................................    1.1361    1.0913
    Biloxi-Gulfport-Pascagoula, MS......................    0.8464    0.8921
    Birmingham, AL......................................    0.8999    0.9303
    Bismarck, ND........................................    0.8188    0.8721
    Boise City, ID......................................    0.9091    0.9368
    Boston-Brockton-Nashua, MA-NH.......................    1.1691    1.1129
    Brazoria, TX........................................    0.7556    0.8254
    Casper, WY..........................................    0.8466    0.8922
    Champaign-Urbana, IL................................    0.8680    0.9076
    Charleston-North Charleston, SC.....................    0.8947    0.9266
    Charleston, WV......................................    0.9276    0.9498
    Charlotte-Gastonia-Rock Hill, NC-SC.................    0.9664    0.9769
    Charlottesville, VA.................................    0.9041    0.9333
    Chattanooga, TN-GA..................................    0.8966    0.9280
    Chicago, IL.........................................    1.0534    1.0363
    Cincinnati, OH-KY-IN................................    0.9474    0.9637
    Cleveland-Lorain-Elyria, OH.........................    0.9847    0.9895
    Columbia, MO........................................    0.9167    0.9422
    Columbus, GA-AL.....................................    0.7758    0.8404
    Columbus, OH........................................    0.9747    0.9826
    Dallas, TX..........................................    0.9810    0.9869
    Davenport-Rock Island-Moline, IA-IL.................    0.8372    0.8854
    Dayton-Springfield, OH..............................    0.9160    0.9417
    Denver, CO..........................................    1.0414    1.0282
    Des Moines, IA......................................    0.8688    0.9082
    Detroit, MI.........................................    1.0850    1.0575
    Duluth-Superior, MN-WI..............................    0.9678    0.9778
    Dutchess County, NY.................................    1.0468    1.0318
    Eau Claire, WI......................................    0.8676    0.9073
    Elkhart-Goshen, IN..................................    0.8822    0.9177
    Eugene-Springfield, OR..............................    1.1206    1.0811
    Fargo-Moorhead, ND-MN...............................    0.8781    0.9148
    Fayetteville, NC....................................    0.8518    0.8960
    Flint, MI...........................................    1.0667    1.0452
    Florence, AL........................................    0.7985    0.8572
    Florence, SC........................................    0.8553    0.8985
    Fort Lauderdale, FL.................................    1.0959    1.0647
    Fort Pierce-Port St Lucie, FL.......................    1.0021    1.0014
    Fort Smith, AR-OK...................................    0.7624    0.8305
    Fort Walton Beach, FL...............................    0.8656    0.9059
    Fort Worth-Arlington, TX............................    0.9947    0.9964
    Gadsden, AL.........................................    0.8584    0.9007
    Grand Forks, ND-MN..................................    0.9000    0.9304
    Great Falls, MT.....................................    0.9139    0.9402
    Greeley, CO.........................................    0.9010    0.9311
    Green Bay, WI.......................................    0.9288    0.9507
    Greenville-Spartanburg-Anderson, SC.................    0.8848    0.9196
    Harrisburg-Lebanon-Carlisle, PA.....................    0.9991    0.9994
    Hartford, CT........................................    1.2218    1.1470
    Honolulu, HI........................................    1.1233    1.0829
    Houston, TX.........................................    0.9836    0.9887
    Huntington-Ashland, WV-KY-OH........................    0.9014    0.9314
    Huntsville, AL......................................    0.7975    0.8565
    Indianapolis, IN....................................    0.9659    0.9765
    Jackson, MS.........................................    0.7652    0.8325
    Jacksonville, FL....................................    0.8927    0.9252
    Johnson City-Kingsport-Bristol,.....................                    
     TN-VA..............................................    0.8785    0.9151
    Joplin, MO..........................................    0.7938    0.8537
    Kalamazoo-Battlecreek, MI...........................    1.0557    1.0378
    Kansas City, KS-MO..................................    0.9373    0.9566
    Knoxville, TN.......................................    0.8534    0.8971
    Lafayette, LA.......................................    0.8515    0.8958
    Lansing-East Lansing, MI............................    1.0124    1.0085
    Las Vegas, NV-AZ....................................    1.0964    1.0651
    Lexington, KY.......................................    0.8352    0.8840
    Lima, OH............................................    0.8575    0.9001
    Lincoln, NE.........................................    0.8892    0.9227
    Little Rock-North Little Rock, AR...................    0.8543    0.8978
    Longview-Marshall, TX...............................    0.8495    0.8943
    Los Angeles-Long Beach, CA..........................    1.2521    1.1664
    Louisville, KY-IN...................................    0.9345    0.9547
    Lubbock, TX.........................................    0.8459    0.8917
    Madison, WI.........................................    1.0074    1.0051
    Mansfield, OH.......................................    0.8389    0.8867
    Medford-Ashland, OR.................................    1.0181    1.0124
    Memphis, TN-AR-MS...................................    0.8307    0.8807
    Middlesex-Somerset-Hunterdon, NJ....................    1.0405    1.0276
    Milwaukee-Waukesha, WI..............................    0.9516    0.9666
    Minneapolis-St Paul, MN-WI..........................    1.0726    1.0492
    Modesto, CA.........................................    1.0575    1.0390
    Monroe, LA..........................................    0.7963    0.8556
    Montgomery, AL......................................    0.7914    0.8520
    Nashville, TN.......................................    0.9273    0.9496
    New London-Norwich, CT..............................    1.2111    1.1401
    New Orleans, LA.....................................    0.9419    0.9598
    New York, NY........................................    1.3845    1.2496
    Newark, NJ..........................................    1.1185    1.0797
    Newburgh, NY-PA.....................................    1.0529    1.0359
    Oakland, CA.........................................    1.5219    1.3332
    Odessa-Midland, TX..................................    0.8769    0.9140
    Oklahoma City, OK...................................    0.8343    0.8833
    Omaha, NE-IA........................................    0.9812    0.9871
    Orange County, CA...................................    1.4733    1.3039
    Peoria-Pekin, IL....................................    0.8635    0.9044
    Philadelphia, PA-NJ.................................    1.1103    1.0743
    Pittsburgh, PA......................................    0.9661    0.9767
    Portland, ME........................................    0.9763    0.9837
    Portland-Vancouver, OR-WA...........................    1.1272    1.0855
    Provo-Orem, UT......................................    0.9714    0.9803
    Raleigh-Durham-Chapel Hill, NC......................    0.9558    0.9695
    Rapid City, SD......................................    0.8283    0.8790
    Richland-Kennewick-Pasco, WA........................    0.9854    0.9900
    Roanoke, VA.........................................    0.8586    0.9009
    Rochester, MN.......................................    1.0565    1.0384
    Rockford, IL........................................    0.8889    0.9225
    Rocky Mount, NC.....................................    0.8852    0.9199
    Sacramento, CA......................................    1.2581    1.1703
    Saginaw-Bay City-Midland, MI,.......................    0.9507    0.9660
    St Cloud, MN........................................    0.9567    0.9701
    St Louis, MO-IL.....................................    0.8889    0.9225
    Salem, OR...........................................    0.9593    0.9719
    Salinas, CA.........................................    1.4168    1.2695
    Salt Lake City-Ogden, UT............................    0.9643    0.9754
    San Diego, CA.......................................    1.1917    1.1276
    San Francisco, CA...................................    1.4332    1.2795
    San Jose, CA........................................    1.4352    1.2807
    Santa Rosa, CA......................................    1.2635    1.1737
    Sarasota-Bradenton, FL..............................    0.9871    0.9911
    Savannah, GA........................................    0.8888    0.9224
    Seattle-Bellevue-Everett, WA........................    1.1229    1.0826
    Sharon, PA..........................................    0.9110    0.9382
    Sherman-Denison, TX.................................    0.8604    0.9022
    Sioux Falls, SD.....................................    0.8778    0.9146
    South Bend, IN......................................    0.9429    0.9605
    Springfield, IL.....................................    0.8852    0.9199
    Springfield, MO.....................................    0.7911    0.8517
    Stockton, CA........................................    1.1687    1.1127
    Syracuse, NY........................................    0.9548    0.9688
    Tampa-St Petersburg-Clearwater, FL..................    0.9319    0.9528
    [[Page 29310]]
                                                                            
    Texarkana, TX-Texarkana, AR.........................    0.8272    0.8782
    Topeka, KS..........................................    0.9302    0.9517
    Trenton, NJ.........................................    1.2622    1.1729
    Tucson, AZ..........................................    0.9292    0.9510
    Tulsa, OK...........................................    0.8274    0.8783
    Tyler, TX...........................................    0.9182    0.9432
    Ventura, CA.........................................    1.2760    1.1816
    Victoria, TX........................................    0.8451    0.8911
    Waco, TX............................................    0.7741    0.8392
    Washington, DC-MD-VA-WV.............................    1.1088    1.0733
    Waterloo-Cedar Falls, IA............................    0.8655    0.9058
    Wausau, WI..........................................    0.9697    0.9792
    Wichita, KS.........................................    0.9328    0.9535
    Rural Arkansas......................................    0.6915    0.7768
    Rural Florida.......................................    0.8684    0.9079
    Rural Kentucky......................................    0.7678    0.8345
    Rural Louisiana.....................................    0.7284    0.8049
    Rural Michigan......................................    0.8776    0.9145
    Rural Minnesota.....................................    0.8143    0.8688
    Rural Missouri......................................    0.7217    0.7998
    Rural New Hampshire.................................    1.0032    1.0022
    Rural North Carolina................................    0.8002    0.8584
    Rural Virginia......................................    0.7813    0.8445
    Rural West Virginia.................................    0.8073    0.8636
    Rural Wyoming.......................................    0.7933    0.8534
    ------------------------------------------------------------------------
    
    
                 Table 4d.--Average Hourly Wage for Urban Areas             
    ------------------------------------------------------------------------
                                                                    Average 
                              Urban area                             hourly 
                                                                      wage  
    ------------------------------------------------------------------------
    Abilene, TX..................................................    15.7713
    Aguadilla, PR................................................     8.9796
    Akron, OH....................................................    18.0935
    Albany, GA...................................................    16.2942
    Albany-Schenectady-Troy, NY..................................    16.6194
    Albuquerque, NM..............................................    18.0635
    Alexandria, LA...............................................    14.9860
    Allentown-Bethlehem-Easton, PA-NJ............................    19.3050
    Altoona, PA..................................................    17.0490
    Amarillo, TX.................................................    16.4576
    Anchorage, AK................................................    25.3141
    Ann Arbor, MI................................................    22.9331
    Anniston, AL.................................................    15.3769
    Appleton-Oshkosh-Neenah, WI..................................    16.7413
    Arecibo, PR..................................................     8.0736
    Asheville, NC................................................    17.4487
    Athens, GA...................................................    17.1598
    Atlanta, GA..................................................    19.1400
    Atlantic City-Cape May, NJ...................................    20.5031
    Augusta-Aiken, GA-SC.........................................    16.9581
    Austin-San Marcos, TX........................................    17.0978
    Bakersfield, CA..............................................    19.8791
    Baltimore, MD................................................    18.6758
    Bangor, ME...................................................    17.7164
    Barnstable-Yarmouth, MA......................................    25.4728
    Baton Rouge, LA..............................................    16.4273
    Beaumont-Port Arthur, TX.....................................    15.8400
    Bellingham, WA...............................................    24.0042
    Benton Harbor, MI............................................    15.6323
    Bergen-Passaic, NJ...........................................    22.0724
    Billings, MT.................................................    16.4779
    Biloxi-Gulfport-Pascagoula, MS...............................    15.9912
    Binghamton, NY...............................................    17.0278
    Birmingham, AL...............................................    17.0034
    Bismarck, ND.................................................    15.7090
    Bloomington, IN..............................................    15.9556
    Bloomington-Normal, IL.......................................    16.5439
    Boise City, ID...............................................    16.9658
    Boston-Brockton-Nashua, MA-NH................................    22.0851
    Boulder-Longmont, CO.........................................    18.5131
    Brazoria, TX.................................................    16.2335
    Bremerton, WA................................................    19.4876
    Brownsville-Harlingen-San Benito, TX.........................    16.3732
    Bryan-College Station, TX....................................    17.0117
    Buffalo-Niagara Falls, NY....................................    17.4103
    Burlington, VT...............................................    17.5139
    Caguas, PR...................................................     8.9106
    Canton-Massillon, OH.........................................    16.6748
    Casper, WY...................................................    15.9558
    Cedar Rapids, IA.............................................    15.8233
    Champaign-Urbana, IL.........................................    16.7843
    Charleston-North Charleston, SC..............................    16.9003
    Charleston, WV...............................................    17.8630
    Charlotte-Gastonia-Rock Hill, NC-SC..........................    18.2595
    Charlottesville, VA..........................................    17.3750
    Chattanooga, TN-GA...........................................    17.2687
    Cheyenne, WY.................................................    15.0213
    Chicago, IL..................................................    20.1273
    Chico-Paradise, CA...........................................    19.9101
    Cincinnati, OH-KY-IN.........................................    17.8346
    Clarksville-Hopkinsville, TN-KY..............................    14.2763
    Cleveland-Lorain-Elyria, OH..................................    18.6053
    Colorado Springs, CO.........................................    17.5930
    Columbia, MO.................................................    17.9090
    Columbia, SC.................................................    17.0995
    Columbus, GA-AL..............................................    14.6584
    Columbus, OH.................................................    18.4158
    Corpus Christi, TX...........................................    16.9241
    Cumberland, MD-WV............................................    15.8483
    Dallas, TX...................................................    18.5344
    Danville, VA.................................................    16.0030
    Davenport-Moline-Rock Island, IA-IL..........................    15.8183
    Dayton-Springfield, OH.......................................    17.8047
    Daytona Beach, FL............................................    17.0281
    Decatur, AL..................................................    15.4729
    Decatur, IL..................................................    14.7466
    Denver, CO...................................................    19.6754
    Des Moines, IA...............................................    16.6145
    Detroit, MI..................................................    20.4702
    Dothan, AL...................................................    14.5485
    Dover, DE....................................................    16.9613
    Dubuque, IA..................................................    15.2109
    Duluth-Superior, MN-WI.......................................    18.2853
    Dutchess County, NY..........................................    20.1296
    Eau Claire, WI...............................................    16.3926
    El Paso, TX..................................................    16.7092
    Elkhart-Goshen, IN...........................................    16.5895
    Elmira, NY...................................................    16.0141
    Enid, OK.....................................................    15.4658
    Erie, PA.....................................................    17.4068
    Eugene-Springfield, OR.......................................    21.0833
    Evansville, Henderson, IN-KY.................................    16.8454
    Fargo-Moorhead, ND-MN........................................    16.8702
    Fayetteville, NC.............................................    16.7399
    Fayetteville-Springdale-Rogers, AR...........................    13.4138
    Flint, MI....................................................    20.1573
    Florence, AL.................................................    14.5759
    Florence, SC.................................................    16.1316
    Fort Collins-Loveland, CO....................................    20.0496
    Fort Lauderdale, FL..........................................    19.8995
    Fort Myers-Cape Coral, FL....................................    18.2971
    Fort Pierce-Fort St. Lucie, FL...............................    19.4990
    Fort Smith, AR-OK............................................    14.3665
    Fort Walton Beach, FL........................................    16.5450
    Fort Wayne, IN...............................................    16.4522
    Fort Worth-Arlington, TX.....................................    18.7773
    Fresno, CA...................................................    19.9329
    Gadsden, AL..................................................    16.2189
    Gainesville, FL..............................................    17.0500
    Galveston-Texas City, TX.....................................    19.4029
    Gary, IN.....................................................    18.0636
    Glens Falls, NY..............................................    17.5596
    Goldsboro, NC................................................    15.4556
    Grand Forks, ND-MN...........................................    16.9349
    Grand Rapids-Muskegon-Holland, MI............................    19.0210
    Great Falls, MT..............................................    17.1426
    Greeley, CO..................................................    17.3139
    Green Bay, WI................................................    16.8657
    Greensboro-Winston-Salem-High Point, NC......................    17.2367
    Greenville, NC...............................................    17.2294
    Greenville-Spartanburg-Anderson, SC..........................    16.9679
    Hagerstown, MD...............................................    17.1762
    Hamilton-Middletown, OH......................................    16.6240
    Harrisburg-Lebanon-Carlisle, PA..............................    18.8766
    Hartford, CT.................................................    23.4517
    Hattiesburg, MS..............................................    13.7034
    Hickory-Morganton, NC........................................    16.4126
    Honolulu, HI.................................................    21.2237
    Houma, LA....................................................    14.3835
    Houston, TX..................................................    18.5845
    Huntington-Ashland, WV-KY-OH.................................    17.0304
    Huntsville, AL...............................................    15.3910
    Indianapolis, IN.............................................    18.4664
    Iowa City, IA................................................    17.7359
    Jackson, MI..................................................    17.2666
    Jackson, MS..................................................    14.2689
    Jackson, TN..................................................    16.1114
    Jacksonville, FL.............................................    16.8656
    Jacksonville, NC.............................................    13.1113
    Jamestown, NY................................................    14.2640
    Janesville-Beloit, WI........................................    16.6310
    Jersey City, NJ..............................................    20.8846
    Johnson City-Kingsport-Bristol, TN-VA........................    16.5552
    Johnstown, PA................................................    16.4137
    Joplin, MO...................................................    14.9986
    Kalamazoo-Battle Creek, MI...................................    20.3592
    Kankakee, IL.................................................    17.2516
    Kansas City, KS-MO...........................................    17.7093
    Kenosha, WI..................................................    16.7936
    Killeen-Temple, TX...........................................    19.9249
    Knoxville, TN................................................    16.1236
    Kokomo, IN...................................................    16.7227
    LaCrosse, WI-MN..............................................    16.2552
    Lafayette, LA................................................    15.9838
    Lafayette, IN................................................    15.7641
    Lake Charles, LA.............................................    15.3218
    Lakeland-Winter Haven, FL....................................    16.8079
    Lancaster, PA................................................    18.1140
    Lansing-East Lansing, MI.....................................    19.1281
    Laredo, TX...................................................    12.4773
    [[Page 29311]]
                                                                            
    Las Cruces, NM...............................................    16.7732
    Las Vegas, NV-AZ.............................................    20.7139
    Lawrence, KS.................................................    16.1829
    Lawton, OK...................................................    16.2688
    Lewiston-Auburn, ME..........................................    17.8565
    Lexington, KY................................................    15.7793
    Lima, OH.....................................................    16.2023
    Lincoln, NE..................................................    17.1871
    Little Rock-North Little Rock, AR............................    16.1414
    Longview-Marshall, TX........................................    16.5201
    Los Angeles-Long Beach, CA...................................    23.7140
    Louisville, KY-IN............................................    17.6561
    Lubbock, TX..................................................    15.9821
    Lynchburg, VA................................................    15.2374
    Macon, GA....................................................    17.0204
    Madison, WI..................................................    19.0333
    Mansfield, OH................................................    15.8496
    Mayaguez, PR.................................................     8.7937
    McAllen-Edinburg-Mission, TX.................................    16.4091
    Medford-Ashland, OR..........................................    18.8231
    Melbourne-Titusville-Palm Bay, FL............................    17.7745
    Memphis, TN-AR-MS............................................    15.8921
    Merced, CA...................................................    20.5898
    Miami, FL....................................................    19.1521
    Middlesex-Somerset-Hunterdon, NJ.............................    20.2661
    Milwaukee-Waukesha, WI.......................................    17.9785
    Minneapolis-St. Paul, MN-WI..................................    20.2652
    Mobile, AL...................................................    14.7679
    Modesto, CA..................................................    20.9677
    Monmouth-Ocean, NJ...........................................    19.8663
    Monroe, LA...................................................    14.9551
    Montgomery, AL...............................................    14.9086
    Muncie, IN...................................................    16.7085
    Myrtle Beach, SC.............................................    15.0700
    Naples, FL...................................................    18.6860
    Nashville, TN................................................    17.5194
    Nassau-Suffolk, NY...........................................    25.3790
    New Haven-Bridgeport-Stamford-Danbury-Waterbury, CT..........    23.7784
    New London-Norwich, CT.......................................    22.5252
    New Orleans, LA..............................................    17.7954
    New York, NY.................................................    26.0720
    Newark, NJ...................................................    22.4086
    Newburgh, NY-PA..............................................    19.8924
    Norfolk-Virginia Beach-Newport News, VA-NC...................    15.9621
    Oakland, CA..................................................    28.7549
    Ocala, FL....................................................    16.9285
    Odessa-Midland, TX...........................................    16.5687
    Oklahoma City, OK............................................    15.7626
    Olympia, WA..................................................    21.0283
    Omaha, NE-IA.................................................    18.5393
    Orange County, CA............................................    23.3465
    Orlando, FL..................................................    17.6766
    Owensboro, KY................................................    14.1939
    Panama City, FL..............................................    15.3923
    Parkersburg-Marietta, WV-OH..................................    14.6723
    Pensacola, FL................................................    15.5451
    Peoria-Pekin, IL.............................................    16.3153
    Philadelphia, PA-NJ..........................................    21.0153
    Phoenix-Mesa, AZ.............................................    18.5146
    Pine Bluff, AR...............................................    14.8160
    Pittsburgh, PA...............................................    18.4432
    Pittsfield, MA...............................................    20.5161
    Ponce, PR....................................................     8.9854
    Portland, ME.................................................    18.4464
    Portland-Vancouver, OR-WA....................................    21.2978
    Providence-Warwick, RI.......................................    20.8739
    Provo-Orem, UT...............................................    18.6788
    Pueblo, CO...................................................    16.1052
    Punta Gorda, FL..............................................    17.9343
    Racine, WI...................................................    16.4769
    Raleigh-Durham-Chapel Hill, NC...............................    18.0596
    Rapid City, SD...............................................    15.6494
    Reading, PA..................................................    18.1153
    Redding, CA..................................................    22.1527
    Reno, NV.....................................................    20.9876
    Richland-Kennewick-Pasco, WA.................................    18.9472
    Richmond-Petersburg, VA......................................    16.7248
    Riverside-San Bernardino, CA.................................    22.1620
    Roanoke, VA..................................................    16.0589
    Rochester, MN................................................    19.9607
    Rochester, NY................................................    18.1428
    Rockford, IL.................................................    16.7939
    Rocky Mount, NC..............................................    16.5823
    Sacramento, CA...............................................    23.7695
    Saginaw-Bay City-Midland, MI.................................    17.9615
    St Cloud, MN.................................................    18.0754
    St Joseph, MO................................................    16.0095
    St Louis, MO-IL..............................................    16.7946
    Salem, OR....................................................    18.1534
    Salinas, CA..................................................    26.9989
    Salt Lake City-Ogden, UT.....................................    18.2195
    San Angelo, TX...............................................    14.7224
    San Antonio, TX..............................................    15.8781
    San Diego, CA................................................    22.4937
    San Francisco, CA............................................    27.3080
    San Jose, CA.................................................    27.0561
    San Juan-Bayamon, PR.........................................     8.4669
    San Luis Obispo-Atascadero-Paso Robles, CA...................    21.5899
    Santa Barbara-Santa Maria-Lompoc, CA.........................    20.9996
    Santa Cruz-Watsonville, CA...................................    26.3954
    Santa Fe, NM.................................................    21.0277
    Santa Rosa, CA...............................................    24.1046
    Sarasota-Bradenton, FL.......................................    18.4291
    Savannah, GA.................................................    16.7920
    Scranton-Wilkes Barre-Hazleton, PA...........................    16.5137
    Seattle-Bellevue-Everett, WA.................................    21.2065
    Sharon, PA...................................................    16.8537
    Sheboygan, WI................................................    15.1072
    Sherman-Denison, TX..........................................    16.6168
    Shreveport-Bossier City, LA..................................    17.0487
    Sioux City, IA-NE............................................    15.8679
    Sioux Falls, SD..............................................    16.5847
    South Bend, IN...............................................    17.8143
    Spokane, WA..................................................    19.6518
    Springfield, IL..............................................    16.9223
    Springfield, MO..............................................    14.9476
    Springfield, MA..............................................    19.8153
    State College, PA............................................    19.2360
    Steubenville-Weirton, OH-WV..................................    16.0044
    Stockton-Lodi, CA............................................    21.8188
    Sumter, SC...................................................    15.7945
    Syracuse, NY.................................................    18.0407
    Tacoma, WA...................................................    20.4462
    Tallahassee, FL..............................................    15.7519
    Tampa-St. Petersburg-Clearwater, FL..........................    17.5134
    Terre Haute, IN..............................................    16.4157
    Texarkana, TX-Texarkana, AR..................................    15.5179
    Toledo, OH...................................................    19.7305
    Topeka, KS...................................................    18.1518
    Trenton, NJ..................................................    19.2270
    Tucson, AZ...................................................    17.5524
    Tulsa, OK....................................................    15.6323
    Tuscaloosa, AL...............................................    14.9955
    Tyler, TX....................................................    17.8508
    Utica-Rome, NY...............................................    16.1173
    Vallejo-Fairfield-Napa, CA...................................    25.2072
    Ventura, CA..................................................    23.3668
    Victoria, TX.................................................    15.9679
    Vineland-Millville-Bridgeton, NJ.............................    18.8648
    Visalia-Tulare-Porterville, CA...............................    19.8859
    Waco, TX.....................................................    14.9500
    Washington, DC-MD-VA-WV......................................    20.9501
    Waterloo-Cedar Falls, IA.....................................    16.2799
    Wausau, WI...................................................    18.9938
    West Palm Beach-Boca Raton, FL...............................    19.2693
    Wheeling, WV-OH..............................................    14.2732
    Wichita, KS..................................................    18.1011
    Wichita Falls, TX............................................    14.6842
    Williamsport, PA.............................................    16.1054
    Wilmington-Newark, DE-MD.....................................    21.8395
    Wilmington, NC...............................................    17.6028
    Yakima, WA...................................................    18.6937
    Yolo, CA.....................................................    21.9919
    York, PA.....................................................    17.3484
    Youngstown-Warren, OH........................................    18.1388
    Yuba City, CA................................................    20.0865
    Yuma, AZ.....................................................    18.4923
    ------------------------------------------------------------------------
    
    
                 Table 4e.--Average Hourly Wage for Rural Areas             
    ------------------------------------------------------------------------
                                                                    Average 
                            Nonurban area                            hourly 
                                                                      wage  
    ------------------------------------------------------------------------
    Alabama......................................................    13.5508
    Alaska.......................................................    22.7927
    Arizona......................................................    15.4106
    Arkansas.....................................................    13.0577
    California...................................................    19.2244
    Colorado.....................................................    15.5365
    Connecticut..................................................    24.8299
    Delaware.....................................................    16.9772
    Florida......................................................    16.4079
    Georgia......................................................    14.4909
    Hawaii.......................................................    18.6401
    Idaho........................................................    15.9158
    Illinois.....................................................    14.2153
    Indiana......................................................    15.2039
    Iowa.........................................................    13.8935
    Kansas.......................................................    13.6955
    Kentucky.....................................................    14.4872
    Louisiana....................................................    13.7616
    Maine........................................................    15.9481
    Maryland.....................................................    16.0195
    Massachusetts................................................    20.0223
    Michigan.....................................................    16.5806
    Minnesota....................................................    15.3816
    Mississippi..................................................    12.6782
    Missouri.....................................................    13.6327
    Montana......................................................    15.2814
    Nebraska.....................................................    13.6525
    Nevada.......................................................    16.6365
    New Hampshire................................................    18.9536
    New Jersey\1\................................................  .........
    New Mexico...................................................    15.7706
    New York.....................................................    16.2939
    [[Page 29312]]
                                                                            
    North Carolina...............................................    15.1121
    North Dakota.................................................    13.8011
    Ohio.........................................................    15.6140
    Oklahoma.....................................................    13.2346
    Oregon.......................................................    17.9670
    Pennsylvania.................................................    16.1247
    Puerto Rico..................................................     7.3467
    Rhode Island\1\..............................................  .........
    South Carolina...............................................    14.6343
    South Dakota.................................................    13.1352
    Tennessee....................................................    14.0446
    Texas........................................................    13.7338
    Utah.........................................................    16.4331
    Vermont......................................................    17.2545
    Virginia.....................................................    14.7381
    Washington...................................................    18.4996
    West Virginia................................................    15.1887
    Wisconsin....................................................    15.9157
    Wyoming......................................................    14.9877
    ------------------------------------------------------------------------
    \1\All counties within the State are classified urban.                  
    
    
    BILLING CODE 4120-01-P
    
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                                             Table 6a.--New Diagnosis Codes                                         
    ----------------------------------------------------------------------------------------------------------------
     Diagnosis                                                                                                      
        code                      Description                        CC           MDC                 DRG           
    ----------------------------------------------------------------------------------------------------------------
    005.81.....  Food poisoning due to Vibrio vulnificus......  N                      6  182, 183, 184             
    005.89.....  Other bacterial food poisoning...............  N                      6  182, 183, 184             
    041.86.....  Helicobacter pylori (H. pylori) infection....  N                     18  423                       
    079.81.....  Hantavirus infection.........................  N                     18  421, 422                  
    278.00.....  Obesity, unspecified.........................  N                     10  296, 297, 298             
    278.01.....  Morbid obesity...............................  N                     10  296, 297, 298             
    415.11.....  Iatrogenic pulmonary embolism and infarction.  Y                      4  78                        
                                                                ............          15  387, 389                  
    415.19.....  Other pulmonary embolism and infarction......  Y                      4  78                        
                                                                ............          15  387, 389                  
    435.3......  Vertebrobasilar artery syndrome..............  N                      1  15                        
    458.2......  Iatrogenic hypotension.......................  N                      5  141, 142                  
    569.60.....  Colostomy and enterostomy complication, not    Y                      6  188, 189, 190             
                  otherwise specified.                                                                              
    569.61.....  Infection of colostomy or enterostomy........  Y                      6  188, 189, 190             
    569.69.....  Other colostomy and enterostomy complication.  Y                      6  188, 189, 190             
    690.10.....  Seborrheic dermatitis, unspecified...........  N                      9  283, 284                  
    690.11.....  Seborrhea capitis............................  N                      9  283, 284                  
    690.12.....  Seborrheic infantile dermatitis..............  N                      9  283, 284                  
    690.18.....  Other seborrheic dermatitis..................  N                      9  283, 284                  
    690.8......  Other erythematosquamous dermatosis..........  N                      9  283, 284                  
    728.86.....  Necrotizing fasciitis........................  Y                      8  248                       
    787.91.....  Diarrhea.....................................  N                      6  182, 183, 184             
    787.99.....  Other symptoms involving digestive system....  N                      6  182, 183, 184             
    989.81.....  Toxic effect of asbestos.....................  N                     21  449, 450, 451             
    989.82.....  Toxic effect of latex........................  N                     21  449, 450, 451             
    989.83.....  Toxic effect of silicone.....................  N                     21  449, 450, 451             
    989.84.....  Toxic effect of tobacco......................  N                     21  449, 450, 451             
    989.89.....  Toxic effect of other substance, chiefly       N                     21  449, 450, 451             
                  nonmedicinal as to source, not elsewhere                                                          
                  classified.                                                                                       
    997.00.....  Nervous system complication, unspecified.....  Y                      1  34, 35                    
                                                                ............          15  387, 389                  
    997.01.....  Central nervous system complication..........  Y                      1  34, 35                    
                                                                ............          15  387, 389                  
    997.02.....  Iatrogenic cerebrovascular infarction or       Y                      1  34, 35                    
                  hemorrhage.                                                                                       
                                                                ............          15  387, 389                  
    997.09.....  Other nervous system complications...........  Y                      1  34, 35                    
                                                                ............          15  387, 389                  
    997.91.....  Complications affecting other specified body   N                     21  452, 453                  
                  systems, hypertension.                                                                            
    997.99.....  Complications affecting other specified body   Y                     21  452, 453                  
                  systems, not elsewhere classified.                                                                
    V12.50.....  Personal history of unspecified circulatory    N                     23  467                       
                  disease.                                                                                          
    V12.51.....  Personal history of venous thrombosis and      N                     23  467                       
                  embolism.                                                                                         
    V12.52.....  Personal history of thrombophlebitis.........  N                     23  467                       
    V12.59.....  Personal history of other diseases of          N                     23  467                       
                  circulatory system, not elsewhere classified.                                                     
    V15.84.....  Personal history of exposure to asbestos.....  N                     23  467                       
    V15.85.....  Personal history of exposure to potentially    N                     23  467                       
                  hazardous body fluids.                                                                            
    V15.86.....  Personal history of exposure to lead.........  N                     23  467                       
    V43.81.....  Larynx replacement status....................  N                     23  467                       
    V43.82.....  Breast replacement status....................  N                     23  467                       
    V43.89.....  Other organ or tissue replacement status, not  N                     23  467                       
                  elsewhere classified.                                                                             
    V45.83.....  Breast implant removal status................  N                     23  467                       
    V56.1......  Fitting and adjustment of dialysis             N                     11  317                       
                  (extracorporeal) (peritoneal) catheter.                                                           
    V58.61.....  Long-term (current) use of anticoagulants....  N                     23  465, 466                  
    V58.69.....  Long-term (current) use of other medications.  N                     23  465, 466                  
    V58.82.....  Fitting and adjustment of nonvascular          N                     23  465, 466                  
                  catheter, not elsewhere classified.                                                               
    V59.01.....  Blood donor, whole blood.....................  N                     23  467                       
    V59.02.....  Blood donor, stem cells......................  N                     23  467                       
    V59.09.....  Other blood donor............................  N                     23  467                       
    V59.6......  Liver donor..................................  N                      7  205, 206                  
    ----------------------------------------------------------------------------------------------------------------
    
    
                                             Table 6b.--New Procedure Codes                                         
    ----------------------------------------------------------------------------------------------------------------
    Procedure code                  Description                      OR           MDC                 DRG           
    ----------------------------------------------------------------------------------------------------------------
    05.25.........  Periarterial sympathectomy................  Y                      1  7, 8                      
                                                                ............           5  120                       
    32.22.........  Lung volume reduction surgery.............  Y                      4  75                        
    33.50.........  Lung transplantation, not otherwise         Y                    Pre  495                       
                     specified.                                                                                     
    33.51.........  Unilateral lung transplantation...........  Y                    Pre  495                       
    [[Page 29329]]
                                                                                                                    
    33.52.........  Bilateral lung transplantation............  Y                    Pre  495                       
    36.06.........  Insertion of coronary artery stent(s).....  N                         ..........................
    37.65.........  Implant of an external, pulsatile heart     Y                      5  110, 111                  
                     assist system.                                                                                 
    37.66.........  Implant of an implantable, pulsatile heart  Y                      5  110, 111                  
                     assist system.                                                                                 
    39.50.........  Angioplasty or atherectomy of non-coronary  Y                      1  5                         
                     vessel.                                                                                        
                                                                ............           5  478, 479                  
                                                                ............           9  269, 270                  
                                                                ............          10  292, 293                  
                                                                ............          11  315                       
                                                                ............          21  442, 443                  
                                                                ............          24  486                       
    48.36.........  [Endoscopic] polypectomy of rectum........  N\1\                  17  412                       
    59.72.........  Injection of implant into urethra and/or    N\1\                  11  308, 309                  
                     bladder neck.                                                                                  
                                                                ............          13  356                       
    60.21.........  Transurethral (ultrasound) guided laser     Y                     11  306, 307                  
                     induced prostatectomy (TULIP).                                                                 
                                                                ............          12  336, 337, 476             
    60.29.........  Other transurethral prostatectomy.........  Y                     11  306, 307                  
                                                                ............          12  336, 337, 476             
    92.3..........  Stereotactic radiosurgery.................  (\1\)                  1  1, 2, 3                   
                                                                ............          10  286                       
                                                                ............          17  400, 406, 407             
    99.00.........  Perioperative autologous transfusion of     N                         ..........................
                     whole blood or blood components.                                                               
    ----------------------------------------------------------------------------------------------------------------
    \1\Non-OR procedure that affects DRG assignment.                                                                
    
    
                                           Table 6c.--Invalid Diagnosis Codes                                       
    ----------------------------------------------------------------------------------------------------------------
     Diagnosis                                                                                                      
       code                       Description                        CC           MDC                 DRG           
    ----------------------------------------------------------------------------------------------------------------
    005.8.....  Other bacterial food poisoning................  N                      6  182, 183, 184             
    278.0.....  Obesity.......................................  N                     10  296, 297, 298             
    415.1.....  Pulmonary embolism and infarction.............  Y                      4  78                        
                                                                                      15  387, 389                  
    569.6.....  Colostomy and enterostomy malfunction.........  Y                      6  188, 189, 190             
    690.......  Erythematosquamous dermatosis.................  N                      9  283, 284                  
    787.9.....  Other symptoms involving digestive system.....  N                      6  182, 183, 184             
    989.8.....  Toxic effect of other substances, chiefly       N                     21  449, 450, 451             
                 nonmedicinal as to source.                                                                         
    997.0.....  Central nervous system complications..........  Y                      1  34, 35                    
                                                                                      15  387, 389                  
    997.9.....  Complications affecting other specified body    Y                     21  452, 453                  
                 systems, not elsewhere classified.                                                                 
    V12.5.....  Personal history of diseases of circulatory     N                     23  467                       
                 system.                                                                                            
    V43.8.....  Organ or tissue replaced by other means, not    N                     23  467                       
                 elsewhere classified.                                                                              
    V59.0.....  Blood donor...................................  N                     23  467                       
    33.5......  Lung transplant...............................  Y                    Pre  495                       
    39.7......  Periarterial sympathectomy....................  Y                      5  478, 479                  
    60.2......  Transurethral prostatectomy...................  Y                     11  306, 307                  
                                                                ............          12  336, 337                  
                                                                ............  ..........  476                       
    ----------------------------------------------------------------------------------------------------------------
    
    
                                        Table 6e.--Revised Diagnosis Code Titles                                    
    ----------------------------------------------------------------------------------------------------------------
     Diagnosis                                                                                                      
        code                      Description                        CC           MDC                 DRG           
    ----------------------------------------------------------------------------------------------------------------
    441.00.....  Dissection of aorta, unspecified site........  Y                      5  121, 130, 131             
    441.01.....  Dissection of aorta, thoracic................  Y                      5  121, 130, 131             
    441.02.....  Dissection of aorta, abdominal...............  Y                      5  121, 130, 131             
    441.03.....  Dissection of aorta, thoracoabdominal........  Y                      5  121, 130, 131             
    560.81.....  Intestinal or peritoneal adhesions with        Y                      6  180, 181                  
                  obstruction (postoperative) (postinfection).                                                      
    568.0......  Peritoneal adhesions (postoperative)           N                      6  188, 189, 190             
                  (postinfection).                                                                                  
    614.6......  Pelvic peritoneal adhesions, female            N                     13  358, 359, 369             
                  (postoperative) (postinfection).                                                                  
    650........  Normal delivery..............................  N                     14  370, 371, 372,            
                                                                ............              373, 374, 375             
    780.6......  Fever........................................  N                     18  419, 420, 422             
    997.4......  Digestive system complication................  Y                      6  188, 189, 190             
    V52.4......  Fitting and adjustment of breast prosthesis    N                     23  467                       
                  and implant.                                                                                      
    V53.5......  Fitting and adjustment of other intestinal     N                      6  188, 189, 190             
                  appliance.                                                                                        
    [[Page 29330]]
                                                                                                                    
    V58.81.....  Fitting and adjustment of vascular catheter..  N                     23  465, 466                  
    V67.51.....  Follow-up examination following completed      N                     23  467                       
                  treatment with high-risk medications, not                                                         
                  elsewhere classified.                                                                             
    ----------------------------------------------------------------------------------------------------------------
    
    
                                        Table 6f.--Revised Procedure Code Titles                                    
    ----------------------------------------------------------------------------------------------------------------
    Procedure code                  Description                      OR           MDC                 DRG           
    ----------------------------------------------------------------------------------------------------------------
    99.02.........  Transfusion of previously collected         N                                                   
                     autologous blood.                                                                              
    ----------------------------------------------------------------------------------------------------------------
    
    
    BILLING CODE 4120-01-P
    
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    BILLING CODE 4120-01-C
    
                                                                                                                    
    [[Page 29354]]
     Table 8a.--Statewide Average Operating Cost-to-Charge Ratios for Urban 
                 and Rural Hospitals (Case Weighted) April 1995             
    ------------------------------------------------------------------------
                             State                           Urban    Rural 
    ------------------------------------------------------------------------
    ALABAMA...............................................    0.435    0.483
    ALASKA................................................    0.535    0.721
    ARIZONA...............................................    0.459    0.643
    ARKANSAS..............................................    0.552    0.515
    CALIFORNIA............................................    0.436    0.536
    COLORADO..............................................    0.518    0.582
    CONNECTICUT...........................................    0.556    0.576
    DELAWARE..............................................    0.533    0.516
    DISTRICT OF COLUMBIA..................................    0.532  .......
    FLORIDA...............................................    0.435    0.431
    GEORGIA...............................................    0.541    0.540
    HAWAII................................................    0.510    0.504
    IDAHO.................................................    0.580    0.673
    ILLINOIS..............................................    0.523    0.605
    INDIANA...............................................    0.580    0.633
    IOWA..................................................    0.554    0.716
    KANSAS................................................    0.506    0.684
    KENTUCKY..............................................    0.522    0.562
    LOUISIANA.............................................    0.497    0.559
    MAINE.................................................    0.613    0.560
    MARYLAND..............................................    0.764    0.806
    MASSACHUSETTS.........................................    0.612    0.622
    MICHIGAN..............................................    0.549    0.657
    MINNESOTA.............................................    0.583    0.647
    MISSISSIPPI...........................................    0.544    0.532
    MISSOURI..............................................    0.473    0.531
    MONTANA...............................................    0.544    0.661
    NEBRASKA..............................................    0.529    0.694
    NEVADA................................................    0.343    0.628
    NEW HAMPSHIRE.........................................    0.592    0.625
    NEW JERSEY............................................    0.543  .......
    NEW MEXICO............................................    0.485    0.549
    NEW YORK..............................................    0.633    0.721
    NORTH CAROLINA........................................    0.567    0.521
    NORTH DAKOTA..........................................    0.652    0.695
    OHIO..................................................    0.594    0.633
    OKLAHOMA..............................................    0.506    0.571
    OREGON................................................    0.604    0.637
    PENNSYLVANIA..........................................    0.454    0.579
    PUERTO RICO...........................................    0.554    0.851
    RHODE ISLAND..........................................    0.615  .......
    SOUTH CAROLINA........................................    0.510    0.524
    SOUTH DAKOTA..........................................    0.558    0.656
    TENNESSEE.............................................    0.530    0.570
    TEXAS.................................................    0.490    0.593
    UTAH..................................................    0.591    0.648
    VERMONT...............................................    0.627    0.611
    VIRGINIA..............................................    0.513    0.547
    WASHINGTON............................................    0.656    0.675
    WEST VIRGINIA.........................................    0.577    0.529
    WISCONSIN.............................................    0.640    0.706
    WYOMING...............................................    0.611    0.765
    ------------------------------------------------------------------------
    
    
    Table 8b.--Statewide Average Capital Cost-to-Charge Ratios for Urban and
                   Rural Hospitals (Case Weighted) April 1995               
    ------------------------------------------------------------------------
                                 State                                Ratio 
    ------------------------------------------------------------------------
    ALABAMA........................................................    0.053
    ALASKA.........................................................    0.075
    ARIZONA........................................................    0.062
    ARKANSAS.......................................................    0.050
    CALIFORNIA.....................................................    0.041
    COLORADO.......................................................    0.051
    CONNECTICUT....................................................    0.036
    DELAWARE.......................................................    0.055
    DISTRICT OF COLUMBIA...........................................    0.043
    FLORIDA........................................................    0.052
    GEORGIA........................................................    0.050
    HAWAII.........................................................    0.063
    IDAHO..........................................................    0.075
    ILLINOIS.......................................................    0.049
    INDIANA........................................................    0.059
    IOWA...........................................................    0.058
    KANSAS.........................................................    0.062
    KENTUCKY.......................................................    0.059
    LOUISIANA......................................................    0.074
    MAINE..........................................................    0.042
    MASSACHUSETTS..................................................    0.061
    MICHIGAN.......................................................    0.059
    MINNESOTA......................................................    0.054
    MISSISSIPPI....................................................    0.055
    MISSOURI.......................................................    0.053
    MONTANA........................................................    0.067
    NEBRASKA.......................................................    0.061
    NEVADA.........................................................    0.036
    NEW HAMPSHIRE..................................................    0.065
    NEW JERSEY.....................................................    0.051
    NEW MEXICO.....................................................    0.056
    NEW YORK.......................................................    0.061
    NORTH CAROLINA.................................................    0.048
    NORTH DAKOTA...................................................    0.075
    OHIO...........................................................    0.061
    OKLAHOMA.......................................................    0.059
    OREGON.........................................................    0.068
    PENNSYLVANIA...................................................    0.047
    PUERTO RICO....................................................    0.078
    RHODE ISLAND...................................................    0.027
    SOUTH CAROLINA.................................................    0.064
    SOUTH DAKOTA...................................................    0.065
    TENNESSEE......................................................    0.057
    TEXAS..........................................................    0.058
    UTAH...........................................................    0.050
    VERMONT........................................................    0.050
    VIRGINIA.......................................................    0.057
    WASHINGTON.....................................................    0.068
    WEST VIRGINIA..................................................    0.058
    WISCONSIN......................................................    0.048
    WYOMING........................................................    0.072
    ------------------------------------------------------------------------
    
    Appendix A--Regulatory Impact Analysis
    
    I. Introduction
    
        We generally prepare a regulatory flexibility analysis that is 
    consistent with the Regulatory Flexibility Act (RFA) (5 U.S.C. 601 
    through 612), unless the Secretary certifies that a proposed rule would 
    not have a significant economic impact on a substantial number of small 
    entities. For purposes of the RFA, we consider all hospitals to be 
    small entities.
        Also, section 1102(b) of the Act requires the Secretary to prepare 
    a regulatory impact analysis for any proposed rule that may have a 
    significant impact on the operations of a substantial number of small 
    rural hospitals. Such an analysis must conform to the provisions of 
    section 603 of the RFA. With the exception of hospitals located in 
    certain New England counties, for purposes of section 1102(b) of the 
    Act, we define a small rural hospital as a hospital with fewer than 100 
    beds that is located outside of a Metropolitan Statistical Area (MSAs) 
    or New England County Metropolitan Area (NECMA). Section 601(g) of the 
    Social Security Amendments of 1983 (Public Law 98-21) designated 
    hospitals in certain New England counties as belonging to the adjacent 
    NECMA. Thus, for purposes of the prospective payment system, we 
    classified these hospitals as urban hospitals.
        It is clear that the changes being proposed in this document would 
    affect both a substantial number of small rural hospitals as well as 
    other classes of hospitals, and the effects on some may be significant. 
    Therefore, the discussion below, in combination with the rest of this 
    proposed rule, constitutes a combined regulatory impact analysis and 
    regulatory flexibility analysis.
    
    II. Objectives
    
        The primary objective of the prospective payment system is to 
    create incentives for hospitals to operate efficiently and minimize 
    unnecessary costs, and at the same time ensure that payments are 
    sufficient to adequately compensate hospitals for their legitimate 
    costs. In addition, we share national goals of deficit reduction and 
    restraints on government spending in general.
        We believe the proposed changes would further each of these goals 
    while maintaining the financial viability of the hospital industry and 
    ensuring access to high quality care for beneficiaries. We expect that 
    these proposed changes would ensure that the outcomes of this payment 
    system are, in general, reasonable and equitable while avoiding or 
    minimizing unintended adverse consequences.
    
    III. Limitations of Our Analysis
    
        As has been the case in previously published regulatory impact 
    analyses, the following quantitative analysis presents the projected 
    effects of our proposed policy changes, as well as statutory changes 
    effective for FY 1996, on various hospital groups. We estimate the 
    effects of each policy change by estimating payments while holding all 
    other payment variables constant. We use the best data available, but 
    we do not attempt to predict behavioral responses to our policy 
    changes, and we do not make adjustments for future 
    [[Page 29355]] changes in such variables as admissions, lengths of 
    stay, or case mix. As we have done in previous proposed rules, we are 
    soliciting comments and information about the anticipated effects of 
    these changes on the prospective payment system, and our methodology 
    for estimating them.
    
    IV. Hospitals Included In and Excluded From the Prospective Payment 
    System
    
        The prospective payment systems for hospital inpatient operating 
    and capital-related costs encompass nearly all general, short-term, 
    acute care hospitals that participate in the Medicare program. There 
    were 46 Indian Health Service hospitals in our database, which we 
    excluded from the analysis due to the special characteristics of the 
    payment method for these hospitals. Only the 49 short-term, acute care 
    hospitals in Maryland remain excluded from the prospective payment 
    system under the waiver at section 1814(b)(3) of the Act. (As of 
    January 1, 1995, the hospitals participating in the New York Finger 
    Lakes demonstration project began to be paid under the prospective 
    payment system.) Thus, as of April 1995, just over 5,150 hospitals were 
    receiving prospectively based payments for furnishing inpatient 
    services. This represents about 82 percent of all Medicare-
    participating hospitals. The majority of this impact analysis focuses 
    on this set of hospitals.
        The remaining 18 percent are specialty hospitals that are excluded 
    from the prospective payment system and continue to be paid on the 
    basis of their reasonable costs, subject to a rate-of-increase ceiling 
    on their inpatient operating costs per discharge. These hospitals 
    include psychiatric, rehabilitation, long-term care, children's, and 
    cancer hospitals. The impacts of our proposed policy changes on these 
    hospitals is discussed below.
    
    V. Impact on Excluded Hospitals and Units
    
        As of April 1995, just over 1,100 specialty hospitals are excluded 
    from the prospective payment system and are instead paid on a 
    reasonable cost basis subject to the rate-of-increase ceiling under 
    Sec. 413.40. In addition, approximately 2,230 psychiatric and 
    rehabilitation units in hospitals that are subject to the prospective 
    payment system are excluded from the prospective payment system and 
    paid in accordance with Sec. 413.40.
        In accordance with section 1886(b)(3)(B)(ii)(V) of the Act, the 
    update factor applicable to the rate-of-increase limit for excluded 
    hospitals and units for FY 1996 would be the hospital market basket 
    minus 1.0 percentage point, adjusted to account for the relationship 
    between the hospital's allowable operating cost per case and its target 
    amounts. We are currently projecting an increase in the excluded 
    hospital market basket of 3.6 percent.
        The impact on excluded hospitals and units of the proposed update 
    in the rate-of-increase limit depends on the cumulative cost increases 
    experienced by each excluded hospital and excluded unit since its 
    applicable base period. For excluded hospitals and units that have 
    maintained their cost increases at a level below the percentage 
    increases in the rate-of-increase limits since their base period, the 
    major effect will be on the level of incentive payments these hospitals 
    and units receive. Conversely, for excluded hospitals and units with 
    per-case cost increases above the cumulative update in their rate-of-
    increase limit, the major effect will be the amount of excess costs 
    that the hospitals would have to absorb.
        In this context, we note that, under Sec. 413.40(d)(3), an excluded 
    hospital or unit whose costs exceed the rate-of-increase limit is 
    allowed to receive the lower of its rate-of-increase ceiling plus 50 
    percent of reasonable costs in excess of the ceiling, or 110 percent of 
    its ceiling. In addition, under the various provisions set forth in 
    Sec. 413.40, excluded hospitals and units can obtain payment 
    adjustments for significant, yet justifiable, increases in operating 
    costs that exceed the limit. At the same time, however, by generally 
    limiting payment increases, we continue to provide an incentive for 
    excluded hospitals and units to restrain the growth in their spending 
    for patient services.
    
    VI. Quantitative Impact Analysis of the Proposed Policy Changes Under 
    the Prospective Payment System for Operating Costs
    
    A. Basis and Methodology of Estimates
    
        In this proposed rule, we are announcing policy changes and payment 
    rate updates for the prospective payment systems for operating and 
    capital-related costs. We have prepared separate analyses of the 
    proposed changes to each system, beginning with changes to the 
    operating prospective payment system.
        The data used in developing the quantitative analyses presented 
    below are taken from the FY 1994 MedPAR file and the most current 
    provider-specific file that is used for payment purposes. Although the 
    analyses of the changes to the operating prospective payment system do 
    not incorporate any actual cost data, the most recently available 
    hospital cost report data were used to create some of the variables by 
    which hospitals are categorized. Our analysis has several 
    qualifications. First, we do not make adjustments for behavioral 
    changes that hospitals may adopt in response to these proposed policy 
    changes. Second, due to the interdependent nature of the prospective 
    payment system, it is very difficult to precisely quantify the impact 
    associated with each proposed change. Third, we draw upon various 
    sources for the data used to categorize hospitals in the tables. In 
    some cases, particularly the number of beds, there is a fair degree of 
    variation in the data from different sources. We have attempted to 
    construct these variables with the best available source overall. For 
    individual hospitals, however, some miscategorizations are possible.
        Using cases in the FY 1994 MedPAR file, we simulated payments under 
    the operating prospective payment system given various combinations of 
    payment parameters. Any short-term, acute care hospitals not paid under 
    the general prospective payment systems (Indian Health Service 
    Hospitals and hospitals in Maryland) are excluded from the simulations. 
    Payments under the capital prospective payment system, or payments for 
    costs other than inpatient operating costs, are not analyzed here. 
    Estimated payment impacts of proposed FY 1996 changes to the capital 
    prospective payment system are discussed below in section VII of 
    Appendix A.
        The proposed changes discussed separately below are the following:
         The effects of the annual reclassification of diagnoses 
    and procedures and the recalibration of the diagnosis-related group 
    (DRG) relative weights required by section 1886(d)(4)(C) of the Act.
         The effects of changes in hospitals' wage index values 
    reflecting the wage index update.
         The effects of changing the transfer payment policy to a 
    graduated per diem payment methodology.
         The effects of geographic reclassifications by the 
    Medicare Geographic Classification Review Board (MGCRB) that are 
    effective in FY 1996.
         The effects of phasing out payments for extraordinarily 
    lengthy cases (day outlier cases) by 50 percent (with a corresponding 
    increase in payments for extraordinarily costly cases (cost outliers)), 
    in accordance with section 1886(d)(5)(A)(v) of the Act.
         The total change in payments based on FY 1996 policies 
    relative to payments based on FY 1995 policies. [[Page 29356]] 
        To illustrate the impacts of the FY 1996 proposed changes, our FY 
    1996 baseline simulation model uses: the FY 1995 GROUPER (version 
    12.0); the FY 1995 wage indexes; the current uniform per diem transfer 
    payment policy; no effects of FY 1996 reclassifications; and current 
    outlier policy (25 percent phase-out of day outlier payments). Outliers 
    are estimated to be 5.1 percent of total DRG payments.
        Each policy change is then added incrementally to this baseline 
    model, finally arriving at an FY 1996 model incorporating all of the 
    proposed changes. This allows us to isolate the effects of each 
    proposed change.
        Our final comparison illustrates the percent change in payments per 
    case from FY 1995 to FY 1996. Three factors not displayed in the 
    previous five columns have significant impacts here. First is the 
    update to the standardized amounts. In accordance with section 
    1886(d)(3)(A)(iv) of the Act, we are proposing to update the large 
    urban and the other areas average standardized amounts for FY 1996 
    using the most recent forecasted hospital market basket increase for FY 
    1996 of 3.5 percent, minus 2.0 percentage points. Thus, the update to 
    the large urban and other areas standardized amounts is 1.5 percent. 
    Similarly, section 1886(b)(3)(C)(ii) of the Act provides that the 
    update factor applicable to the hospital-specific rates for sole 
    community hospitals (SCHs) and essential access community hospitals 
    (EACHs) (which are treated as SCHs for payment purposes) is also the 
    market basket increase minus 2.0 percent, or 1.5 percent.
        A second significant factor impacting upon changes in payments per 
    case from FY 1995 to FY 1996 is a change in MGCRB reclassification 
    status from one year to the next. That is, hospitals reclassified in FY 
    1995 that are no longer reclassified in FY 1996 may have a negative 
    payment impact going from FY 1995 to FY 1996, and vice versa. In some 
    cases these impacts can be quite substantial, so that a relatively few 
    number of hospitals in a particular category that lost their 
    reclassification status can hold the average percentage change for the 
    category below the mean.
        Third, when comparing our estimated FY 1995 payments to FY 1996 
    payments, another significant consideration is that we currently 
    estimate that outlier payments during FY 1995 will be 4.2 percent of 
    total DRG payments. When the FY 1995 final rule was published September 
    1, 1994 (59 FR 45330), we estimated FY 1995 outlier payments would be 
    5.1 percent of total DRG payments, and the standardized amounts were 
    correspondingly reduced. The effects of the lower than expected outlier 
    payments during FY 1995 are reflected in the analyses below comparing 
    our current estimates of FY 1995 total payments to estimated FY 1996 
    payments.
        Table I demonstrates the results of our analysis. The table 
    categorizes hospitals by various geographic and special payment 
    consideration groups to illustrate the varying impacts on different 
    types of hospitals. The top row of the table shows the overall impact 
    on the 5,154 hospitals included in the analysis. This is 100 fewer 
    hospitals than were included in the impact analysis in the FY 1995 
    final rule (59 FR 45330). Data for 106 hospitals that were included in 
    last year's analysis were not available for analysis this year; 
    however, data were available this year for 1 hospital for which data 
    were not available last year. In addition, 5 hospitals previously 
    excluded from our analysis because they were participating in the 
    Finger Lakes demonstration project are included in our analysis this 
    year because the demonstration authority has expired and these 
    hospitals are now being paid under the prospective payment system.
        The next four rows of Table I contain hospitals categorized 
    according to their geographic location (all urbans as well as large 
    urban and other urban or rural). There are 2,895 hospitals located in 
    urban areas (MSAs or NECMAs) included in our analysis. Among these, 
    there are 1,622 hospitals located in large urban areas (populations 
    over 1 million), and 1,273 hospitals in other urban areas (populations 
    of 1 million or fewer). In addition, there are 2,259 hospitals in rural 
    areas. The next two groupings are by bed size categories, shown 
    separately for urban and rural hospitals. The final groupings by 
    geographic location are by census divisions, also shown separately for 
    urban and rural hospitals.
        The second part of Table I shows changes in payments based on 
    hospitals' FY 1996 payment classifications, including any 
    reclassifications under section 1886(d)(10) of the Act. For example, 
    the rows labeled urban, large urban, other urban, and rural, show the 
    numbers of hospitals being paid based on these categorizations, after 
    consideration of geographic reclassifications, are 3,106, 1,815, 1,291, 
    and 2,048, respectively.
        The next three groupings examine the impacts of the proposed 
    changes on hospitals grouped by whether or not they have residency 
    programs (teaching hospitals that receive an indirect medical education 
    (IME) adjustment), receive disproportionate share (DSH) payments, or 
    some combination of these two adjustments. There are 4,104 nonteaching 
    hospitals in our analysis, 826 with fewer than 100 residents, and 224 
    with 100 or more residents.
        In the DSH categories, hospitals are grouped according to their DSH 
    payment status. In the past, we have included as urban hospitals those 
    that are located in a rural area but were reclassified as urban by the 
    MGCRB for purposes of the standardized amount, since they have been 
    considered urban in determining the amount of their DSH adjustment. 
    This year, however, we have isolated these hospitals in separate rows 
    to identify the payment impacts of reclassification solely for DSH. In 
    these rows, labeled ``Large Urban and DSH'' and ``DSH Only'', under the 
    heading ``Reclassified Rural DSH,'' we group reclassified rural 
    hospitals that receive DSH after reclassification based on whether they 
    also receive the higher large urban amount, or are only benefitting 
    from reclassification by receiving higher DSH payments. Hospitals in 
    the rural DSH categories, therefore, including those in the rural 
    referral center (RRC) and SCH categories, represent hospitals that were 
    not reclassified for purposes of the standardized amount (they may, 
    however, have been reclassified for purposes of assigning the wage 
    index). The next category groups hospitals paid on the basis of the 
    urban standardized amount in terms of whether they receive the IME 
    adjustment, the DSH adjustment, both, or neither.
        The next six rows examine the impacts of the proposed changes on 
    rural hospitals by special payment groups (SCHs, RRCs, and EACHs). 
    Rural hospitals reclassified for FY 1996 for purposes of the 
    standardized amount are not included here.
        The RRCs (111), SCH/EACHs (612), and SCH/EACH and RRCS (46) shown 
    here were not reclassified for purposes of the standardized amount. 
    There are 2 EACHs included in our analysis and 3 EACH/RRCs.
        There are 9 RRCs and 13 SCHs that will be reclassified for the 
    standardized amount in FY 1996 and are therefore not included in these 
    rows. In addition, two hospitals that are both SCH/RRCs will be 
    reclassified for the standardized amount (one of these hospitals will 
    also be reclassified for the wage index).
        The next two groupings are based on type of ownership and the 
    hospital's Medicare utilization expressed as a percent of total patient 
    days. These data are taken from the FY 1993 Medicare cost report files, 
    the latest available. [[Page 29357]] Data needed to calculate Medicare 
    utilization percentages were unavailable for 68 hospitals. For the most 
    part, these are either new hospitals or hospitals filing manual cost 
    reports that are not yet entered into the data base.
        The next series of groupings concern the geographic reclassication 
    status of hospitals. The first three groupings display hospitals that 
    were reclassified by the MGCRB for either FY 1995 or FY 1996, or for 
    both years, by urban/rural status. The next rows illustrate the overall 
    number of reclassifications, as well as the numbers of reclassified 
    hospitals grouped by urban and rural location. The final row in Table I 
    contains hospitals located in rural counties but deemed to be urban 
    under section 1886(d)(8)(B) of the Act.
    
                  Table I.--Impact Analysis of Changes for FY 1996 Operating Prospective Payment System             
                                         [Percent Changes in Payments per Case]                                     
                                                                                                                    
                                                                                                  Day               
                        No. of          DRG         New wage     New            MGCRB           outlier    All FY 96
                      hosps.\1\  recalibration\2\   data\3\    transfer  reclassification\5\    policy    changes\7\
                                                              policy\4\                       changes\6\            
                            (0)            (1)           (2)        (3)             (4)              (5)         (6)
                                                                                                                    
    ----------------------------------------------------------------------------------------------------------------
     (By Geographic                                                                                                 
        Location)                                                                                                   
                                                                                                                    
    All Hospitals...      5,154            0.0           0.0        0.0             0.0              0.0         2.4
    Urban Hospitals.      2,895            0.0          -0.1        0.0            -0.4              0.0         2.3
        Large Urban.      1,622            0.1          -0.4        0.0            -0.5             -0.1         2.1
        Other Urban.      1,273            0.0           0.4        0.0            -0.1              0.1         2.8
    Rural Hospitals.      2,259            0.1           0.3        0.3             2.3              0.0         2.9
                                                                                                                    
    Bed Size (Urban)                                                                                                
                                                                                                                    
      0-99 Beds.....        716            0.0           0.0        0.3            -0.4              0.2         2.6
    100-199 Beds....        918            0.0           0.2        0.1            -0.4              0.1         2.7
    200-299 Beds....        601            0.0           0.1        0.0            -0.3              0.0         2.5
    300-499 Beds....        480            0.0          -0.2       -0.1            -0.4              0.0         2.2
    500 or more Beds        180            0.1          -0.3       -0.2            -0.3             -0.2         2.0
                                                                                                                    
    Bed Size (Rural)                                                                                                
                                                                                                                    
      0-49 Beds.....      1,171            0.1           0.2        0.6             0.0              0.0         2.9
     50-99 Beds.....        644            0.1           0.2        0.4             0.9              0.1         3.1
    100-149 Beds....        230            0.1           0.4        0.3             3.5              0.0         2.9
    150-199 Beds....        108            0.1           0.2        0.1             2.6              0.0         2.6
    200 or more Beds         86            0.0           0.4        0.0             4.8              0.0         2.7
                                                                                                                    
     Urban by Census                                                                                                
        Division                                                                                                    
                                                                                                                    
    New England.....        163            0.1          -0.2        0.0            -0.1             -0.2         2.0
    Middle Atlantic.        440            0.4          -0.7       -0.1            -0.4             -0.7         1.7
    South Atlantic..        431            0.0           0.0        0.0            -0.5              0.1         2.4
    East North                                                                                                      
     Central........        481           -0.1           0.0        0.0            -0.1              0.2         2.5
    East South                                                                                                      
     Central........        164           -0.1           0.0       -0.1            -0.4              0.1         2.5
    West North                                                                                                      
     Central........        196           -0.1          -0.6       -0.1            -0.5              0.2         1.8
    West South                                                                                                      
     Central........        371           -0.2           0.5       -0.1            -0.5              0.3         3.2
    Mountain........        119            0.0          -0.5       -0.1            -0.4              0.3         2.0
    Pacific.........        483           -0.1           0.6        0.0            -0.5              0.2         2.7
    Puerto Rico.....         47           -0.2           2.2       -0.2            -0.5              0.0         4.5
                                                                                                                    
     Rural by Census                                                                                                
        Division                                                                                                    
                                                                                                                    
    New England.....         53            0.1           0.7        0.1             1.3              0.1         3.6
    Middle Atlantic.         84            0.4          -0.5        0.1             1.1             -0.2         2.4
    South Atlantic..        297            0.1           0.6        0.3             3.1              0.0         2.8
    East North                                                                                                      
     Central........        305            0.1           0.5        0.4             1.9              0.1         3.4
    East South                                                                                                      
     Central........        275            0.0           0.9        0.4             3.2              0.0         3.2
    West North                                                                                                      
     Central........        527            0.1          -0.1        0.3             2.1              0.1         2.6
    West South                                                                                                      
     Central........        352            0.1          -0.4        0.3             3.3              0.1         2.9
    Mountain........        218            0.1          -0.1        0.2            -0.1              0.1         1.9
                                                                                                                    
    Pacific.........        143            0.1           0.8        0.2             1.7              0.1         3.3
    Puerto Rico.....          5            0.6          -6.9       -0.1            -0.5              0.2        -4.2
       (By Payment                                                                                                  
       Categories)                                                                                                  
                                                                                                                    
    Urban Hospitals.      3,106            0.0          -0.1        0.0            -0.3              0.0         2.3
        Large Urban.      1,815            0.1          -0.3        0.0            -0.3             -0.1         2.2
        Other Urban.      1,291            0.0           0.3        0.0            -0.2              0.1         2.7
    Rural Hospitals.      2,048            0.1           0.2        0.3             1.9              0.0         2.9
                                                                                                                    
     Teaching Status                                                                                                
                                                                                                                    
    Non-Teaching....      4,104            0.0           0.1        0.1             0.3              0.1         2.7
    Less than 100                                                                                                   
     Res............        826            0.0           0.0       -0.1            -0.4              0.0         2.3
    100+ Residents..        224            0.1          -0.4       -0.1            -0.3             -0.4         1.8
                                                                                                                    
    Disproportionate                                                                                                
     Share Hospitals                                                                                                
          (DSH)                                                                                                     
                                                                                                                    
    Non-DSH.........      3,223            0.1           0.0        0.1             0.1              0.1         2.6
    Urban DSH 100                                                                                                   
     Beds or more...      1,302            0.0          -0.1       -0.1            -0.5             -0.1         2.2
    [[Page 29358]]
                                                                                                                    
    Fewer than 100                                                                                                  
     Beds...........        112           -0.2           0.1        0.3            -0.6              0.3         3.1
    Reclassified                                                                                                    
     Rural DSH Large                                                                                                
     Urban and DSH..         54            0.0           0.4        0.0             3.1              0.0         3.4
    DSH Only........         53            0.1           0.5        0.3             8.4             -0.1         2.7
    Rural DSH Sole                                                                                                  
     Community (SCH)        137            0.1           0.1        0.2             0.1              0.0         1.8
    Referral Centers                                                                                                
     (RRC)..........         40            0.1           0.4        0.1             3.7             -0.1         3.0
    Other Rural DSH                                                                                                 
     Hosp. 100 Beds                                                                                                 
     or More........         83            0.1           0.5        0.4             5.5              0.0         3.2
    Fewer than 100                                                                                                  
     Beds...........        150            0.0           0.7        0.7            -0.1              0.1         3.3
                                                                                                                    
     Urban Teaching                                                                                                 
         and DSH                                                                                                    
                                                                                                                    
    Both Teaching                                                                                                   
     and DSH........        653            0.0          -0.2       -0.1            -0.4             -0.3         2.0
    Teaching and No                                                                                                 
     DSH............        350            0.0          -0.2       -0.1            -0.3              0.0         2.3
    No Teaching and                                                                                                 
     DSH............        868            0.0           0.2        0.0             0.0              0.1         2.6
    No Teaching and                                                                                                 
     No DSH.........      1,235            0.1           0.0        0.1            -0.2              0.2         2.7
                                                                                                                    
     Rural Hospital                                                                                                 
          Types                                                                                                     
                                                                                                                    
    Nonspecial                                                                                                      
     Status                                                                                                         
     Hospitals......      1,279            0.1           0.4        0.6             1.9              0.1         3.4
    RRC.............        111            0.0           0.4        0.1             5.0              0.1         3.4
    SCH/Each........        612            0.2          -0.1        0.1             0.1              0.0         1.9
    SCH/Each and RRC         46            0.2           0.0        0.0             0.1             -0.1         1.9
                                                                                                                    
         Type of                                                                                                    
        Ownership                                                                                                   
                                                                                                                    
    Voluntary.......      3,095            0.1          -0.1        0.0            -0.1             -0.1         2.3
    Proprietary.....        725           -0.1           0.0        0.0             0.3              0.2         2.6
    Government......      1,334            0.0           0.2        0.1             0.2              0.0         2.7
                                                                                                                    
        Medicare                                                                                                    
    Utilization as a                                                                                                
       Percent of                                                                                                   
     Inpatient Days                                                                                                 
                                                                                                                    
    0-25............        268           -0.1          -0.1        0.0            -0.1             -0.1         2.2
    25-50...........      1,357            0.0          -0.1       -0.1            -0.2             -0.1         2.2
    50-65...........      2,227            0.0           0.1        0.0             0.1              0.0         2.5
    Over 65.........      1,234            0.1          -0.2        0.1             0.2              0.0         2.6
    Unknown.........         68            0.5          -0.7        0.0            -0.4             -1.3         1.0
                                                                                                                    
        Hospitals                                                                                                   
     Reclassified by                                                                                                
      the Medicare                                                                                                  
       Geographic                                                                                                   
      Review Board                                                                                                  
                                                                                                                    
    Reclassification                                                                                                
    Status During FY                                                                                                
      95 and FY 96                                                                                                  
                                                                                                                    
    Reclassified                                                                                                    
     During Both FY                                                                                                 
     95 and FY 96...        465            0.1           0.2        0.1             4.4              0.0         2.7
        Urban.......        175            0.1           0.1        0.0             2.3              0.0         2.5
        Rural.......        290            0.0           0.3        0.2             8.1              0.0         2.9
    Reclassified                                                                                                    
     During FY 96                                                                                                   
     Only...........        153            0.2           0.1        0.1             3.1              0.0         7.1
        Urban.......         34            0.3          -0.1        0.1             2.3             -0.2         7.4
        Rural.......        119            0.1           0.3        0.2             3.7              0.1         6.8
    Reclassified                                                                                                    
     During FY 95                                                                                                   
     Only...........        220           -0.1           0.2        0.1            -1.0              0.1        -1.2
        Urban.......         58           -0.2           0.3       -0.1            -2.2              0.1        -1.6
        Rural.......        162            0.1           0.2        0.3             1.2              0.1        -0.4
                                                                                                                    
          FY 96                                                                                                     
    Reclassification                                                                                                
            s                                                                                                       
                                                                                                                    
    All Reclassified                                                                                                
     Hosp...........        618            0.1           0.2        0.1             4.1              0.0         3.5
        Stand.                                                                                                      
         Amount Only        213            0.1           0.6        0.1             1.2              0.0         2.8
        Wage Index                                                                                                  
         Only.......        260            0.1           0.1        0.1             7.3              0.0         4.3
        Both........        145            0.1           0.0        0.0             3.2              0.0         3.2
        Nonreclassif                                                                                                
         ied........      4,509            0.0          -0.1        0.0            -0.6              0.0         2.3
    All Urban                                                                                                       
     Reclass........        209            0.1           0.1        0.0             2.3             -0.1         3.3
        Stand.                                                                                                      
         Amount Only         69            0.0           0.7        0.0             0.6              0.0         3.1
        Wage Index                                                                                                  
         Only.......         37            0.2          -0.2       -0.1             5.4             -0.2         3.9
        Both........        103            0.1          -0.1        0.0             1.7              0.0         3.0
        Nonreclassif                                                                                                
         ied........      2,686            0.0          -0.1        0.0            -0.6              0.0         2.2
    All Rural                                                                                                       
     Reclass........        409            0.0           0.3        0.2             6.9              0.1         3.9
        Stand.                                                                                                      
         Amount Only        144            0.1           0.4        0.3             2.2              0.1         2.5
        Wage Index                                                                                                  
         Only.......        223            0.0           0.2        8.2             8.5              0.1         4.6
        Both........         42            0.0           0.5        0.1            10.6              0.1         4.0
        Nonreclassif                                                                                                
         ied........      1,823            0.1           0.3        0.3            -0.2              0.0         2.3
    Other                                                                                                           
     Reclassified                                                                                                   
     Hospitals                                                                                                      
     (Section                                                                                                       
     1886(d)(8)(B)).         27            0.1          -0.2        0.4            -0.4              0.1         2.8
    \1\Because data necessary to classify some hospitals by category were missing, the total number of hospitals in 
      each category may not equal the national total. Discharge data are from FY 1994, and hospital cost report data
      are from cost reporting periods beginning in FY 1992 and FY 1993.                                             
    \2\This column displays the payment impacts of the recalibration of the DRG weights and the classification      
      changes, based on FY 1994 MedPAR data, in accordance with section 1886(d)(4)(C) of the Act.                   
    [[Page 29359]]
                                                                                                                    
    \3\This column shows that payment impacts of updating the data used to calculate the wage index.                
    \4\This column displays the payment impacts of revising the per diem methodology for transfer cases from the    
      current flat per diem methodology to a graduated per diem methodology.                                        
    \5\Shown here are the combined effects of geographic reclassification by the Medicare Geographic Classification 
      Review Board (MGCRB). The effects shown here demonstrate the FY 1996 payment impacts of going from no         
      reclassifications to the reclassifications scheduled to be in effect for FY 1996. Reclassification for prior  
      years has no bearing on the payment impacts shown here.                                                       
    \6\This column illustrates the payment impacts of our changes affecting payments for day outliers, in accordance
      with section 1886(d)(5)(A) of the Act.                                                                        
    \7\This column shows changes in payments from FY 1995 to FY 1996. It incorporates all of the changes displayed  
      in columns 1 through 5. It also displays the impacts of the updates to the FY 1996 standardized amounts,      
      change in hospitals' reclassification status in FY 1996 compared to FY 1995, and the difference in projected  
      outlier payments from FY 1995 to FY 1996. The sum of the first five columns plus these effects may be slightly
      different from the percentage changes shown here, due to rounding errors and interactive effects.             
    
    B. The Impact of the Proposed Changes to the DRG Weights (Column 1)
    
        In column 1 of Table I, we present the combined effects of the DRG 
    reclassification and recalibration, as discussed in section II of the 
    preamble to this proposed rule. Section 1886(d)(4)(C)(i) of the Act 
    requires us each year to make appropriate classification changes and to 
    recalibrate the DRG weights in order to reflect changes in treatment 
    patterns, technology, and any other factors that may change the 
    relative use of hospital resources. The impact of reclassification and 
    recalibration on aggregate payments is required by section 
    1886(d)(4)(C)(iii) of the Act to be budget neutral.
        The first row of Table I shows that the overall effect of these 
    proposed changes is budget neutral. That is, the percentage change when 
    adding the proposed FY 1996 GROUPER (version 13.0) to the FY 1996 
    baseline is 0.0. As described previously, all of the other payment 
    parameters are held constant for the comparison in column 1, only the 
    version of the GROUPER is different.
        Consistent with the minor changes we are proposing for the FY 1996 
    GROUPER, the redistributional impacts across hospital groups are very 
    small (an increase of 0.1 for large urban and rural hospitals). Among 
    other hospital categories, the net effects are slightly positive 
    changes for small (up to 200 beds) rural hospitals and slightly 
    positive changes for larger urban hospitals. The largest single effect 
    on any of the hospital categories examined is a 0.6 percent increase in 
    payments for rural hospitals in Puerto Rico. This is a function of the 
    fact that only five hospitals are included in this category, and one 
    hospital has a 1.2 percent increase in its case-mix index value.
        We also note that both urban and rural hospitals in the Middle 
    Atlantic census division show a positive increase of 0.4 percent. We 
    attribute this to the changes we proposed to our methodology for 
    identifying statistical outliers that are trimmed from the data used to 
    recalibrate the DRG weights (described in section II of the preamble to 
    this proposed rule). In previous recalibrations, we trimmed all cases 
    outside 3.0 standard deviations from the geometric mean of standardized 
    charges per case for each DRG. In the proposed DRG recalibration set 
    forth in this proposed rule, we eliminated only cases that met both the 
    current criterion and an additional criterion that the cases fall 
    outside 3.0 standard deviations from the geometric mean of standardized 
    charges per day for each DRG. Because hospitals in the Middle Atlantic 
    census division have longer lengths of stay (as demonstrated by the 
    impacts of phasing out the day outliers--see the discussion below 
    concerning column 5), they would be likely to have cases that exceed 
    the per case threshold but not the per day threshold. Thus, costly 
    cases previously trimmed would be left in the recalibration, thereby 
    influencing the weights of the DRGs to which they are assigned.
        Rural hospitals overall exhibit a positive effect in column 1. 
    Because rural hospitals send out relatively more transfers, this effect 
    is probably a reflection of the modification in the way we count 
    transfer cases in the recalibration methodology (see section II of the 
    preamble to this proposed rule). A study by the Rand Corporation for 
    HCFA, ``An Evaluation of Medicare Payments for Transfer Cases'' 
    (Contract Number 500-92-0023), identified 12 DRGs that account for more 
    than half of all transfer cases. These DRGs experience a 7 percent 
    increase in their average relative weights under the proposed 
    recalibration, which contributes to the increases experienced by rural 
    hospitals and select urban hospitals. The average change in the 
    proposed weights of all DRGs from FY 1995 to FY 1996 is less than 1 
    percent.
    
    C. The Impact of Updating the Wage Data (Column 2)
    
        Section 1886(d)(3)(E) of the Act requires that, beginning October 
    1, 1993, we annually update the wage data used to calculate the wage 
    index. In accordance with this requirement, the wage index for FY 1996 
    is based on data submitted for hospital cost reporting periods 
    beginning on or after October 1, 1991 and before October 1, 1992. As 
    with the previous column, the impact of the new data on hospital 
    payments is isolated by holding the other payment parameters constant 
    in the two simulations. That is, column 2 shows the percentage changes 
    in payments when going from our FY 1996 baseline--using the FY 1995 
    wage index before geographic reclassifications based on 1991 wage data 
    and incorporating the FY 1996 GROUPER--to a model substituting the FY 
    1996 pre-reclassification wage index based on 1992 wage data.
        Section 1886(d)(3)(E) of the Act also requires that any updates or 
    adjustments to the wage index be made in a manner that ensures that 
    aggregate payments to hospitals are not affected by changes in the wage 
    index. To comply with the requirements that the DRG and wage index 
    changes be implemented in a budget neutral manner, we compute a budget 
    neutrality adjustment factor to apply to the standardized amounts. For 
    the FY 1996 proposed standardized amounts, this adjustment factor is 
    0.999174. This factor is applied to the standardized amounts to ensure 
    that the overall effect of the wage index changes are budget neutral.
        The results indicate that the new wage data do not have a 
    significant overall impact on urban and rural hospitals. As discussed 
    below, 94 percent of all prospective payment system hospitals would 
    experience a change in their wage index of less than 5 percent. This 
    column demonstrates that hospitals with significant changes in their 
    wage indexes are not concentrated within any particular hospital group. 
    For FY 1996, some of the largest changes are evident among both urban 
    and rural hospitals grouped by census division. More census divisions 
    experience payment increases, of greater magnitude, for rural hospitals 
    than for urban hospitals. In most cases, payments changed by less than 
    one percent. Although a degree of variation across census categories is 
    evident in this column, our review of the wage data (as described 
    below) indicates that most of the significant changes were attributable 
    to improved reporting.
        In the States and the District of Columbia, the greatest changes 
    are [[Page 29360]] increases of 0.9 and 0.8 percent for rural hospitals 
    in the East South Central and the Pacific census divisions, 
    respectively, and a 0.7 percent decrease for urban hospitals in the 
    Middle Atlantic region. This effect contributes to the 0.4 percent 
    decline among major teaching hospitals--New York City's wage index 
    falls by over 1 percent. The Middle Atlantic region also experiences a 
    payment decrease of 0.5 percent for its rural hospitals. The Pacific 
    region experiences an increase in payments to both urban and rural 
    hospitals, with increases of 0.6 and 0.8 percent, respectively. In 
    Puerto Rico, payments decline by 6.9 percent in five rural hospitals 
    and increase 2.2 percent in urban hospitals. Of the six urban areas in 
    Puerto Rico, five experience large increases in wage index values while 
    only one experiences a slight decline.
        The FY 1996 proposed wage index represents the third annual update 
    to the wage data, and will continue to include salaries, fringe 
    benefits, home office salaries, and certain contract labor salaries. In 
    the past, updates to the wage data have resulted in significant payment 
    shifts among hospitals. Since the wage index is now updated annually, 
    we expect these payment fluctuations will be minimized.
        Based on the proposed wage index calculation (after 
    reclassifications under sections 1886(d)(8)(B) and 1886(d)(10) of the 
    Act) compared to the FY 1995 wage index, there are more labor markets 
    that experience an increase of 5 percent or more in their wage index 
    values, and fewer labor markets that experience a significant decrease 
    of 5 percent or more. We reviewed the data for any area that 
    experienced a wage index change of 10 percent or more to determine the 
    reason for the fluctuation. When necessary, we contacted the 
    intermediaries to determine the validity of the data or to obtain an 
    explanation for the change. The following chart compares the shifts in 
    wage index values (after reclassifications) for labor markets for FY 
    1996 with those experienced as a result of last year's wage index 
    update.
    
    ------------------------------------------------------------------------
                                                           Number of labor  
                                                            market areas    
        Percentage change in area wage index values    ---------------------
                                                         FY 1996    FY 1995 
    ------------------------------------------------------------------------
    Increase more than 10 percent.....................          8          5
    Increase between 5 and 10 percent.................         21         17
    Decrease between 5 and 10 percent.................          8         13
    Decrease more than 10 percent.....................          3         10
    ------------------------------------------------------------------------
    
        Under the proposed FY 1996 wage index, 92.0 percent of rural 
    prospective payment hospitals and 94.8 percent of urban hospitals would 
    experience a change in their wage index value of less than 5.0 percent. 
    Approximately 3.5 percent (2.1 percent of rural hospitals and 4.5 
    percent of urban hospitals) would experience a change of between 5 and 
    10 percent, and 2.7 percent (5.4 percent of rural hospitals and 0.6 
    percent of urban hospitals) would experience a change of more than 10 
    percent. The following chart shows the projected impact for urban and 
    rural hospitals.
    
    ------------------------------------------------------------------------
                                                        Percent of hospitals
                                                          (by urban/rural)  
        Percentage change in area wage index values    ---------------------
                                                          Rural      Urban  
    ------------------------------------------------------------------------
    Decrease more than 10 percent.....................        1.7        0.1
    Decrease between 5 and 10 percent.................        1.0        1.8
    Change between -5 and +5 percent..................       92.0       94.8
    Increase between 5 and 10 percent.................        1.1        2.7
    Increase more than 10 percent.....................        3.7        0.5
    ------------------------------------------------------------------------
    
    D. Transfer Changes (Column 3)
    
        Column 3 of Table I shows the impacts of the change we are 
    proposing in transfer payment policy. This change would revise our 
    methodology for payment for transfer cases under the prospective 
    payment system to more appropriately compensate transferring hospitals 
    for the higher costs they incur, on average, on the first day of a 
    hospital stay prior to transfer. Our current transfer policy pays a 
    flat per diem amount for each day prior to transfer up to the full DRG 
    amount. The per diem is calculated by dividing the full DRG amount by 
    the geometric mean length of stay for that DRG. Our proposal is to 
    replace this flat per diem methodology with a graduated methodology 
    that would pay twice the per diem amount for the first day, and the per 
    diem amount for each day beyond the first up to the full DRG amount.
        The payment impacts shown in column 3 illustrate the effects of 
    this change, relative to the baseline simulation based on current 
    policy (a flat per diem transfer payment methodology). In order to 
    simulate the effects of the proposed changes, it was first necessary to 
    identify current transfer cases. Current transfers are identifiable by 
    the discharge destination code on the patient bill (see the RAND study 
    for a thorough discussion of identifying transfer cases on the MedPAR 
    file).
        Next, to determine whether payment would be made under the per diem 
    methodology, we compared the actual length of stay prior to transfer to 
    the geometric mean length of stay for the DRG to which the case is 
    assigned. A full discharge or a transfer case that received the full 
    discharge payment would be counted as 1.0, while, under our current 
    transfer policy, a transfer case that stayed 2 days in a DRG with a 
    geometric mean length of stay of 5 days would count as 0.4 of a 
    discharge, and would be paid 40 percent of the full DRG amount. In this 
    manner, transfer cases are counted only to the extent that the 
    transferring hospital received payment for them. To simulate our 
    proposed change to the per diem payment methodology, we added 1 day to 
    the actual length of stay for transfer cases, thereby replicating 
    paying double the per diem for the first stay and the flat per diem, up 
    to the full DRG amount, for subsequent days.
        Finally, we calculated transfer-adjusted case-mix indexes for each 
    hospital. The adjusted case-mix indexes are calculated by summing the 
    transfer-adjusted DRG weights and dividing by the transfer-adjusted 
    number of cases. The transfer-adjusted DRG weights are calculated by 
    multiplying the DRG weight by the lesser of 1 or the fraction of the 
    length of stay for the case divided by the geometric mean length of 
    stay for the DRG. By adjusting the DRG weights, nontransfer cases and 
    transfer cases that have a length of stay at least as long as the 
    geometric mean length of stay will be represented by the full DRG 
    weight, while transfer cases with lengths of stay below the geometric 
    mean length of stay for the DRG will be represented by a lower number, 
    reflective of their payment.
        The FY 1996 baseline model reflected in columns 1 and 2 
    incorporates transfer-adjusted discharges and case-mix indexes based on 
    current policies. That is, cases transferred prior to reaching the 
    geometric mean length of stay received payments based on the flat per 
    diem. In column 3, our model substitutes transfer-adjusted discharges 
    and case-mix indexes that reflect our proposed policy change.
        The first row in column 3 shows that the net effect of our proposed 
    change is budget neutral compared to total payments under current 
    transfer policy. As specified in section 109 of the Social Security Act 
    Amendments of 1994 (Pub. L. 103-432), the Secretary is authorized to 
    make adjustments to the standardized amounts so that adjustments to the 
    payment policy for transfer cases do not affect aggregate payments. As 
    described in section II.A.4 of the Addendum to [[Page 29361]] this 
    proposed rule, we applied a budget neutrality factor of 0.997583 to the 
    standardized amounts to account for the higher payments going to 
    transfer cases based on our proposal.
        The distributional effects of these changes are to increase 
    payments to rural hospitals by 0.3 percent and decrease urban 
    hospitals' payments by less than 0.1 percent (the overall change is 0.0 
    percent). Rural hospitals clearly benefit from changing the per diem 
    payment methodology. RAND found that rural hospitals as a whole 
    transfer 4.5 percent of their patients, compared to 1.7 percent in 
    large urban hospitals and 1.6 percent in other urban hospitals. 
    Therefore, one would expect rural hospitals to benefit from the change 
    to the per diem payment methodology.
        The impact on small hospitals is also positive, consistent with 
    RAND's finding that hospitals with fewer than 50 beds transfer 6.1 
    percent of their cases, and hospitals with 50 to 99 beds transfer 4.9 
    percent of cases. Rural hospitals with fewer than 50 beds receive a 0.6 
    percent increase in per case payments, and rural hospitals with 50 to 
    99 beds receive a 0.4 percent increase. Urban hospitals with fewer than 
    100 beds experience a 0.3 percent rise in payments. Among rural 
    hospital groups, nonspecial status rural hospitals benefit by 0.6 
    percent.
    
    E. Impacts of MGCRB Reclassifications (Column 4)
    
        By March 30 of each year, the MGCRB makes reclassification 
    determinations that will be effective for the next fiscal year, which 
    begins on October 1. The MGCRB may reclassify a hospital to an urban 
    area or a rural area with which it has a close proximity for the 
    purpose of using the other area's standardized amount, wage index 
    value, or both. (RRCs and SCHs are exempt from the proximity 
    requirement.)
        To this point, all of the simulation models have assumed hospitals 
    are paid on the basis of their geographic location (with the exception 
    of ongoing policies that provide that certain hospitals receive 
    payments on bases other than where they are geographically located, 
    such as RRCs and hospitals in rural counties that are deemed urban 
    under section 1886(d)(8)(B) of the Act). The changes in column 4 
    reflect the per case payment impact of moving from this baseline to a 
    simulation incorporating the MGCRB decisions for FY 1996. As noted 
    above, these decisions affect hospitals' standardized amount and wage 
    index area assignments. In addition, hospitals reclassified for the 
    standardized amount also qualify to be treated as urban for purposes of 
    the DSH adjustment.
        The proposed FY 1996 standardized payment amounts and wage index 
    values incorporate all of the MGCRB's reclassification decisions that 
    will be effective for FY 1996. The wage index values also reflect any 
    decisions made by the HCFA Administrator through the appeals and review 
    process for MGCRB decisions as of March 14, 1995. Additional changes 
    that result from the Administrator's review of MGCRB decisions will be 
    reflected in the final rule implementing changes to the prospective 
    payment system for FY 1996.
        The overall effect of geographic reclassification is required to be 
    budget neutral by section 1886(d)(8)(D) of the Act. Therefore, we 
    applied an adjustment of 0.994125 to ensure that the effects of 
    reclassification are budget neutral. (See section II.A.4 of the 
    Addendum to this proposed rule).
        As a group, rural hospitals benefit from geographic 
    reclassification. Their payments rise 2.3 percent, while payments to 
    urban hospitals decline 0.4 percent. Large urban hospitals lose 0.5 
    percent because, as a group, they have the smallest percentage of 
    hospitals that are reclassified, fewer than 5 percent. There are enough 
    hospitals in other urban areas that are reclassified to limit the 
    decline in payments stemming from the budget neutrality offset to 0.1 
    percent. Among urban hospital groups generally, payments fall between 
    0.3 and 0.5 percent.
        Rural hospitals that reclassify for the standardized amount and 
    receive DSH payments experience a significant increase in payments as a 
    result of receiving higher DSH payments as urban hospitals. Rural 
    hospitals that reclassify to large urban areas and also receive DSH 
    receive a 3.1 percent increase in payments. One percent of this change 
    is due to the higher large urban rate, and the remaining 2.1 percent is 
    due to DSH payments and to any wage index increase that hospitals 
    reclassified for both the wage index and the standardized amount 
    receive.
        Rural hospitals reclassifying to other urban areas for the 
    standardized amount receive an 8.4 percent increase in payments. Since 
    there are no longer separate rural and other urban rates, this large 
    increase is attributable to the higher DSH payments these 53 hospitals 
    receive as a result of being classified as urban (as well as any 
    increase in the wage index for those hospitals reclassified for both 
    the wage index and the standardized amount). Under our proposed 
    revision to the rules for MGCRB reclassification, these hospitals would 
    no longer be eligible to reclassify solely to receive higher DSH 
    payments effective with reclassifications for FY 1997.
        Among rural hospitals designated as RRCs, 54 hospitals are 
    reclassified for the wage index only and experience a 5 percent 
    increase in payments overall. This positive impact on RRCs is also 
    reflected in the category of rural hospitals with 200 or more beds, 
    which have a 4.8 percent increase in payments.
        Rural hospitals reclassified for FY 1995 and FY 1996 experience an 
    8.1 percent increase in payments, the greatest of any group in the 
    category. This may be due to the fact that these hospitals have the 
    most to gain from reclassification and have been reclassified for a 
    period of years. Rural hospitals reclassified for FY 1996 alone 
    experience a 3.7 percent increase in payments. Urban hospitals 
    reclassified for FY 1995 but not FY 1996 experience a 2.2 percent 
    decline in payments overall. This appears to be due to the combined 
    impacts of the budget neutrality adjustment and a number of hospitals 
    in this category that experience a 6 percent drop in their wage index 
    after reclassification. Urban hospitals reclassified for FY 1996 but 
    not for FY 1995 experience a 2.3 percent increase in payments.
        The FY 1996 reclassification section of Table I shows the changes 
    in payments per case for all FY 1996 reclassified and nonreclassified 
    hospitals in urban and rural locations for each of the three 
    reclassification categories (standardized amount only, wage index only, 
    or both). The table illustrates that the large impact for reclassified 
    rural hospitals is due to reclassifications for both the standardized 
    amount and the wage index. These hospitals receive a 10.6 percent 
    increase. In addition, rural hospitals reclassified for the wage index 
    receive an 8.5 percent payment increase. The overall impact on 
    reclassified hospitals is to increase their payments per case by an 
    average of 4.1 percent for FY 1996.
        The reclassification of hospitals primarily affects payment to 
    nonreclassified hospitals through changes in the wage index and the 
    geographic reclassification budget neutrality adjustment required by 
    section 1886(d)(8)(D) of the Act. Among hospitals that are not 
    reclassified, the overall impact of hospital reclassifications is an 
    average decrease in payments per case of about 0.6 percent, which 
    corresponds closely with the geographic reclassification budget 
    neutrality factor. Rural nonreclassified hospitals decrease slightly 
    less, [[Page 29362]] experiencing a 0.2 percent decrease. This occurs 
    because the wage index values in some rural areas increase after 
    reclassified hospitals are excluded from the calculation of those index 
    values.
        The number of reclassifications for the standardized amount, or for 
    both the standardized amount and the wage index, has declined from 496 
    in FY 1995 to 358 in FY 1996. This is not surprising because of the 
    elimination of the separate rural amount. Some of these rural hospitals 
    are reclassifying for the large urban amount, thereby receiving a 
    payment rate even higher than they would receive from the other 
    national standardized amount. Rural hospitals also may be reclassifying 
    for the standardized amount even though they are only eligible to 
    reclassify to an other urban area either to meet the lower eligibility 
    requirements for DSH payments, or to receive higher DSH payments. The 
    payment impact upon hospitals reclassifying for the standardized amount 
    only, however, is significantly lower than it is for hospitals 
    reclassifying either for the wage index alone or for both the wage 
    index and the standardized amount.
        The foregoing analysis was based on MGCRB and HCFA Administrator 
    decisions made by March 14 of this year. As previously noted, there may 
    be changes to some MGCRB decisions through the appeals and review 
    process. The outcome of these cases will be reflected in the analysis 
    presented in the final rule.
    F. Outlier Changes (Column 5)
    
        Medicare provides extra payment in addition to the regular DRG 
    payment amount for extremely costly or extraordinarily lengthy cases 
    (cost outliers and day outliers, respectively). Section 
    1886(d)(5)(A)(v) of the Act requires the Secretary to phase out payment 
    for day outliers from FY 1994 day outlier levels in 25 percent 
    increments beginning in FY 1995. Day outliers in FY 1996 should account 
    for approximately 16 percent of total outlier payments (50 percent of 
    1994 levels). This reduction in day outlier payments will be offset by 
    an increase in payments for cost outliers. As discussed in the 
    Addendum, for FY 1996, we are proposing a day outlier threshold equal 
    to the geometric mean length of stay for each DRG plus the lesser of 23 
    days or 3.0 standard deviations. The proposed marginal cost factor for 
    day outliers is 45 percent.
        The statute also authorizes the Secretary to set a fixed loss 
    threshold for cost outliers. For FY 1996, we are proposing that a case 
    would receive cost outlier payments if its costs exceed the DRG amount 
    plus $16,700. We are also proposing to maintain the marginal cost 
    factor for cost outliers at 80 percent.
        The payment impacts of these changes are minimal. The largest 
    impacts appear to be related to geographic location in terms of census 
    divisions. Urban hospitals in the Middle Atlantic census division have 
    payment reductions of 0.7 percent per case. Rural Middle Atlantic 
    hospitals have a 0.2 percent decline. In New England, urban hospitals 
    experience decreases of 0.2 percent. Since the changes to outlier 
    policy result in a shift in payments from cases paid as day outliers to 
    cases paid as cost outliers, this indicates that these areas have 
    higher percentages of day outliers. This is consistent with our 
    previous analysis indicating above average impacts related to day 
    outlier policy changes in the northeastern portion of the country (see 
    the June 4, 1992 proposed rule, 57 FR 23824).
        The largest negative impact occurs among hospitals for which we 
    could not determine Medicare utilization rates. This group experiences 
    a 1.3 percent fall in payments per case. The bulk of the decline is 
    attributable to a group of New York hospitals included in this category 
    that experience significant drops in outlier payments.
    
    G. All Changes (Column 6)
    
        Column 6 compares our estimate of payments per case for FY 1996 to 
    our estimate of payments per case in FY 1995. It includes the 1.5 
    percent update to the standardized amounts and the hospital-specific 
    rates for SCHs and EACHs, and the 0.9 percent lower than estimated 
    outlier payments during FY 1995, as described in the introduction and 
    the Addendum.
        A single geographic reclassification budget neutrality factor of 
    0.994125 was applied to the proposed FY 1996 standardized amounts, 
    compared to the FY 1995 factor of 0.994055. The budget neutrality 
    adjustment factor for the updated wage index and the DRG recalibration 
    is 0.999174, compared to the FY 1995 factor of 0.998050. Although the 
    net effect of these changes is small, they are reflected in the payment 
    differences shown in this column.
        There may also be interactive effects among the various factors 
    comprising the payment system that we are not able to isolate. For 
    these reasons, the values in column 6 may not equal the sum of the 
    previous columns plus the other impacts that we are able to identify.
        We also note that column 6 includes the impacts of FY 1995 
    geographic reclassifications compared to the payment impacts of FY 1996 
    reclassifications. Therefore, the percent changes due to FY 1996 
    reclassifications shown in column 4 need to be offset by the effects of 
    reclassification on hospitals' FY 1995 payments. For example, the 
    impact of MGCRB reclassifications on rural hospitals' FY 1995 payments 
    was approximately a 2.0 percent increase, compared to a 2.3 percent 
    increase for FY 1996. Therefore, the net increase in FY 1996 payments 
    due to reclassification is 0.3 percent.
        The overall payment increase from FY 1996 to FY 1995 for all 
    hospitals is a 2.4 percent increase. This reflects the 0.0 percent net 
    change in total payments due to the proposed changes for FY 1996 shown 
    in columns 1 through 5, the 1.5 percent update for FY 1996, and the 0.9 
    percent higher outlier payments in FY 1996 compared to FY 1995, as 
    discussed above.
        Hospitals in rural areas experience the largest payment increase, a 
    2.9 percent rise in payments per case over FY 1995. The increase in 
    estimated outlier payments over FY 1995 for rural hospitals is 0.5 
    percent, below the 0.9 percent difference for all hospitals. As noted 
    above, the net increase for rural hospitals in FY 1996 due to 
    geographic reclassification is 0.3 percent. They also benefit from DRG 
    recalibration, the new wage index, and the change in the transfer 
    payment policy.
        Urban hospitals' overall payments increase 2.3 percent. Hospitals 
    in large and other urban areas experience 2.1 percent and 2.8 percent 
    increases, respectively. Both large and other urban hospitals 
    experience 0.9 percent increases in payments for FY 1996 due to the 
    larger outlier payout, plus the 1.5 percent update. In addition, large 
    urban hospitals' 0.5 percent decline due to reclassification is 
    identical to the FY 1995 impact of reclassification, thus the net 
    impact is 0.0. The FY 1995 reclassification impact on other urban 
    hospitals was a 0.2 percent decline, compared to the 0.1 percent 
    decline in column 4 of Table I, for a net increase of 0.1 percent from 
    FY 1995 to FY 1996.
        Among urban bed size groups, column 6 shows changes in payments are 
    higher for the smallest urban hospitals compared to larger urban 
    hospitals. The relatively smaller increases for the larger urban 
    hospitals appears to be due to the negative impacts of the new wage 
    data, as shown in column 2, and to the new transfer policy (column 4). 
    Among rural bed size groups the impacts are less varied, ranging from 
    2.7 percent to 3.1 percent.
        Greater variation is evident in the impacts displayed for the 
    urban/rural census divisions, ranging from a 4.5 percent increase to a 
    4.2 percent [[Page 29363]] decrease, respectively, for hospitals in 
    urban and rural Puerto Rico. These impacts are primarily attributable 
    to the effects of the new wage data, as discussed above. Other census 
    divisions below the average payment increase are urban Middle Atlantic, 
    urban West North Central, and rural Mountain (all increase less than 
    2.0 percent). The reason for the relatively small increase for urban 
    hospitals in the Middle Atlantic is that they have sizeable negative 
    impacts due to the new wage data and the phase-out of day outliers. 
    Urban hospitals in the West North Central division also experience a 
    negative impact from the new wage data. Rural hospitals in the Mountain 
    division appear to have a lower percentage increase than other 
    hospitals primarily because they have a smaller percentage increase in 
    outlier payments than other hospitals (0.4 percent).
        Conversely, rural New England hospitals experience a 3.6 percent 
    increase. They have a 0.5 percent net increase over FY 1995 due to 
    reclassification, and a 0.7 percent increase due to the new wage data. 
    West South Central hospitals have the second largest payment increase 
    (behind Puerto Rico hospitals) among urban divisions (3.2 percent).
        Except for rural Puerto Rico, the only other hospital groups with 
    negative payment impacts from FY 1995 to FY 1996 are hospitals that 
    were reclassified during FY 1995 and are not reclassified for FY 1996. 
    Overall, these hospitals lose 1.2 percent, with 58 urban hospitals in 
    this category losing 1.6 percent and 162 rural hospitals losing 0.4 
    percent. On the other hand, hospitals reclassified for FY 1996 that 
    were not reclassified for FY 1995 would experience the greatest payment 
    increase: 7.4 percent for 34 urban hospitals in this category and 6.8 
    percent for 119 rural hospitals.
        Reclassification appears to be a significant factor influencing the 
    payment increases for a number of rural hospital groups with above 
    average overall payment increases in column 6. For example, among 
    hospital groups identified in the discussion of the impacts of MGCRB 
    reclassifications for FY 1996 (column 4), almost all have overall 
    increases of 3.0 or greater. This outcome highlights the redistributive 
    effects of reclassification decisions upon hospital payments. This 
    impact is illustrated even more clearly when one examines the rows 
    categorizing hospitals by their reclassification status for FY 1996. 
    All nonreclassified hospitals have an average payment increase of 2.3 
    percent. The average payment increase for all reclassified hospitals is 
    3.5 percent.
        Major teaching hospitals with 100 or more residents have a payment 
    increase of only 1.8 percent. This is attributable to the combined 
    negative impacts of the new wage data, reclassification, and the 
    continued phase-out of day outliers. As discussed above, teaching 
    hospitals located in New York City account for much of this impact. 
    (They also account for much of the below average increase for hospitals 
    for which we do not have Medicare utilization data (1.0 percent 
    increase), along with several Puerto Rican hospitals.)
        Finally, among SCH/EACHs, and SCH/EACH and RRCs, the payment 
    increase is 1.9 percent. The primary reason for this below average 
    increase is that there is minimal impact upon these hospitals from the 
    higher FY 1996 outlier payments. Because these hospital groups receive 
    their hospital-specific rate if it exceeds the applicable Federal 
    amount (including outliers), there is less of an impact due to changes 
    in outlier payment levels, which are not applied to the hospital-
    specific rate.
    
     Table II.--Impact Analysis of Changes for FY 1996 Operating Prospective
                                 Payment System                             
                               [Payments per Case]                          
                                                                            
                                              Average    Average            
                                    No. of    FY 1995    FY 1996      All   
                                  hospitals   payment    payment    changes 
                                              per case   per case           
                                        (1)     (2)\1\     (3)\1\        (4)
                                                                            
    ------------------------------------------------------------------------
      (By Geographic Location)                                              
                                                                            
    All Hospitals...............      5,154      6,255      6,405        2.4
    Urban Hospitals.............      2,895      6,749      6,906        2.3
    Large Urban Areas...........      1,622      7,252      7,401        2.1
    Other Urban Areas...........      1,273      6,061      6,228        2.8
                                                                            
    Rural Areas.................      2,259      4,259      4,382        2.9
                                                                            
          Bed Size (Urban)                                                  
      0-99 Beds.................        716      4,613      4,734        2.6
    100-199 Beds................        918      5,708      5,863        2.7
    200-299 Beds................        601      6,267      6,421        2.5
    300-499 Beds................        480      7,138      7,297        2.2
    500 or More Beds............        180      8,779      8,952        2.0
                                                                            
          Bed Size (Rural)                                                  
                                                                            
      0-49 Beds.................      1,171      3,516      3,630        2.9
     50-99 Beds.................        664      3,961      4,084        3.1
    100-149 Beds................        230      4,439      4,568        2.9
    150-199 Beds................        108      4,545      4,665        2.6
    200 or More Beds............         86      5,213      5,356        2.7
                                                                            
        Urban by Census Div.                                                
                                                                            
    New England.................        163      7,172      7,318        2.0
    Middle Atlantic.............        440      7,429      7,555        1.7
    South Atlantic..............        431      6,423      6,576        2.4
    East North Central..........        481      6,493      6,657        2.5
    East South Central..........        164      5,917      6,065        2.5
    West North Central..........        196      6,421      6,538        1.8
    West South Central..........        371      6,225      6,425        3.2
    [[Page 29364]]
                                                                            
    Mountain....................        119      6,543      6,677        2.0
    Pacific.....................        483      7,771      7,982        2.7
    Puerto Rico.................         47      2,472      2,583        4.5
                                                                            
        Rural by Census Div.                                                
                                                                            
    New England.................         53      5,135      5,318        3.6
    Middle Atlantic.............         84      4,714      4,827        2.4
    South Atlantic..............        297      4,395      4,518        2.8
    East North Central..........        305      4,245      4,388        3.4
    East South Central..........        275      3,819      3,942        3.2
    West North Central..........        527      4,021      4,126        2.6
    West South Central..........        352      3,846      3,955        2.9
    Mountain....................        218      4,775      4,864        1.9
    Pacific.....................        143      5,309      5,487        3.3
    Puerto Rico.................          5      1,964      1,882       -4.2
                                                                            
       (By Payment Categories)                                              
                                                                            
    Urban Hospitals.............      3,106      6,659      6,815        2.3
    Large Urban Areas...........      1,815      7,093      7,247        2.2
    Other Urban Areas...........      1,291      5,962      6,123        2.7
    Rural Areas.................      2,048      4,218      4,340        2.9
                                                                            
           Teaching Status                                                  
                                                                            
    Non-Teaching................      4,104      5,160      5,301        2.7
    Fewer Than 100 Residents....        826      6,708      6,862        2.3
    100 or More Residents.......        224     10,342     10,527        1.8
                                                                            
       Disproportionate Share                                               
           Hospitals (DSH)                                                  
                                                                            
    Non-DHS.....................      3,223      5,506      5,649        2.6
              Urban DSH                                                     
    100 Beds or More............      1,302      7,389      7,548        2.2
    Fewer Than 100 Beds.........        112      4,818      4,968        3.1
                                                                            
         Reclass. Rural DSH                                                 
                                                                            
    Large Urban and DSH.........         54      6,345      6,562        3.4
    DSH Only....................         53      4,354      4,472        2.7
                                                                            
              Rural DSH                                                     
                                                                            
    Sole Community (SCH)........        137      4,638      4,719        1.8
    Referral Centers (RRC)......                                            
                                         40      5,193      5,347        3.0
        Other Rural DSH Hosp.                                               
                                                                            
    100 Beds or More............         83      4,019      4,149        3.2
    Fewer Than 100 Beds.........                                            
                                        150      3,257      3,363        3.3
       Urban Teaching and DSH                                               
                                                                            
    Both Teaching and DSH.......        653      8,333      8,498        2.0
    Teaching and No DSH.........        350      6,914      7,075        2.3
    No Teaching and DSH.........        868      5,852      6,007        2.6
    No Teaching and No DSH......      1,235      5,278      5,421        2.7
                                                                            
        Rural Hospital Types                                                
                                                                            
    Nonspecial Status Hospitals.      1,279      3,595      3,718        3.4
    RRC.........................        111      4,801      4,963        3.4
    SCH/EACH....................        612      4,704      4,794        1.9
    SCH/EACH and RRC............         46      5,590      5,695        1.9
                                                                            
          Type of Ownership                                                 
                                                                            
    Voluntary...................      3,095      6,422      6,573        2.3
    Proprietary.................        725      5,686      5,831        2.6
    Government..................      1,334      5,812      5,966        2.7
                                                                            
      Medicare Utilization as a                                             
      Percent of Inpatient Days                                             
                                                                            
     0-25.......................        268      8,390      8,578        2.2
    25-50.......................      1,357      7,523      7,690        2.2
    50-65.......................      2,227      5,734      5,880        2.5
    Over 65.....................      1,234      4,936      5,066        2.6
    Unknown.....................         68      8,184      8,266        1.0
                                                                            
    [[Page 29365]]
                                                                            
      Hospitals Reclassified by                                             
       the Medicare Geographic                                              
            Review Board                                                    
                                                                            
       Reclassification Status                                              
        During FY95 and FY96                                                
                                                                            
    Reclassified During Both                                                
     FY95 and FY96..............        465      5,739      5,894        2.7
        Urban...................        175      6,581      6,748        2.5
        Rural...................        290      4,759      4,899        2.9
    Reclassified During FY96                                                
     Only.......................        153      5,203      5,572        7.1
        Urban...................         34      6,561      7,049        7.4
        Rural...................        119      4,416      4,716        6.8
    Reclassified During FY95                                                
     Only.......................        220      5,726      5,658       -1.2
        Urban...................         58      7,051      6,939       -1.6
        Rural...................        162      4,242      4,225       -0.4
                                                                            
       FY 96 Reclassifications                                              
                                                                            
    All Reclassified Hosp.......        618      5,630      5,828        3.5
        Stand. Amt. Only........        213      5,060      5,203        2.8
        Wage Index Only.........        260      5,769      6,018        4.3
        Both....................        145      6,054      6,248        3.2
        Nonreclass..............      4,509      6,359      6,502        2.3
    All Urban Reclass...........        209      6,578      6,793        3.3
        Stand. Amt. Only........         69      5,834      6,013        3.1
        Wage Index Only.........         37      8,402      8,730        3.9
    Both........................        103      6,338      6,531        3.0
    Nonreclass..................      2,686      6,764      6,916        2.2
    All Rural Reclass...........        409      4,670      4,852        3.9
        Stand. Amt. Only........        144      4,235      4,339        2.5
        Wage Index Only.........        223      4,831      5,051        4.6
        Both....................         42      5,016      5,214        4.0
        Nonreclass..............      1,823      4,045      4,138        2.3
    Other Reclassified Hospitals                                            
     (Section 1886(d)(8)(B))....         27      4,391      4,513        2.8
    \1\These payment amounts per case do not reflect any estimates of annual
      case mix increase.                                                    
    
      Table II presents the projected average payments per case under the 
    changes for FY 1996 for urban and rural hospitals and for the different 
    categories of hospitals shown in Table I. It compares the projected 
    payments per case for FY 1996 with the average estimated per case 
    payments for FY 1995. Thus, this table presents, in terms of the 
    average dollar amounts paid per discharge, the combined effects of the 
    changes presented in Table I. The percentage changes shown in the last 
    column of Table I equal the percentage changes in average payments from 
    column 6 of Table I.
    
    VII. Impact of Proposed Changes in the Capital Prospective Payment 
    System
    
    A. General Considerations
    
        We now have data that were unavailable in previous impact analyses 
    for the capital prospective payment system. Specifically, we have cost 
    report data for the second year of the capital prospective payment 
    system (cost reports beginning in FY 1993) available through the 
    December 1994 update of the Hospital Cost Report Information System 
    (HCRIS). We also have information on the projected aggregate amount of 
    obligated capital approved by the fiscal intermediaries. However, our 
    impact analysis of payment changes for capital-related costs is still 
    limited by the lack of hospital-specific data on several items. These 
    are the hospital's projected new capital costs for each year, its 
    projected old capital costs for each year, and the actual amounts of 
    obligated capital that will be put in use for patient care and 
    recognized as Medicare old capital costs in each year. The lack of such 
    information affects our impact analysis in the following ways:
         Major investment in hospital capital assets (for example 
    in building and major fixed equipment) occurs at irregular intervals. 
    As a result, there can be significant variation in the growth rates of 
    Medicare capital-related costs per case among hospitals. We do not have 
    the necessary hospital-specific budget data to project the hospital 
    capital growth rate for an individual hospital.
         Moreover, our policy of recognizing certain obligated 
    capital as old capital makes it difficult to project future capital-
    related costs for individual hospitals. Under Sec. 412.302(c), a 
    hospital is required to notify its intermediary that it has obligated 
    capital by the later of October 1, 1992, or 90 days after the beginning 
    of the hospital's first cost reporting period under the capital 
    prospective payment system. The intermediary must then notify the 
    hospital of its determination whether the criteria for recognition of 
    obligated capital have been met by the later of the end of the 
    hospital's first cost reporting period subject to the capital 
    prospective payment system or 9 months after the receipt of the 
    hospital's notification. The amount that is recognized as old capital 
    is limited to the lesser of the actual allowable costs when the asset 
    is put in use for patient care or the estimated costs of the capital 
    expenditure at the time it was obligated. We have substantial 
    information regarding intermediary determinations of projected 
    aggregate obligated capital amounts. However, we still do not know when 
    these projects will actually be put into use for patient care, the 
    amount [[Page 29366]] that will be recognized as obligated capital when 
    the project is put into use, or the Medicare share of the recognized 
    costs. Therefore, we do not know actual obligated capital commitments 
    to be used in the FY 1996 capital cost projections. We discuss in 
    Appendix B the assumptions and computations we employ to generate the 
    amount of obligated capital commitments for use in the FY 1996 capital 
    cost projections.
        In Table III of this appendix, we present the redistributive 
    effects that are expected to occur between ``hold-harmless'' hospitals 
    and ``fully prospective'' hospitals in FY 1996. In addition, we have 
    integrated sufficient hospital-specific information into our actuarial 
    model to project the impact of the proposed FY 1996 capital payment 
    policies by the standard prospective payment system hospital groupings. 
    We caution that while we now have actual information on the effects of 
    the transition payment methodology and interim payments under the 
    capital prospective payment system and cost report data for most 
    hospitals, we need to randomly generate numbers for the change in old 
    capital costs, new capital costs for each year, and obligated amounts 
    that will be put in use for patient care services and recognized as old 
    capital each year. This means that we continue to be unable to predict 
    accurately an individual hospital's FY 1996 capital costs; however, 
    with the more recent data on the experience to date under the capital 
    prospective payment system, there is adequate information to estimate 
    the aggregate impact on most hospital groupings.
        We present the transition payment methodology by hospital grouping 
    in Table IV. In Table V we present the results of the cross-sectional 
    analysis using the results of our actuarial model. This table presents 
    the aggregate impact of the FY 1996 payment policies.
    
    B. Projected Impact Based on the Proposed FY 1996 Actuarial Model
    
    1. Assumptions
        In this impact analysis, we model dynamically the impact of the 
    capital prospective payment system from FY 1995 to FY 1996 using a 
    capital acquisition model. The FY 1996 model, described in Appendix B 
    of this proposed rule, integrates actual data from individual hospitals 
    with randomly generated capital cost amounts. We have capital cost data 
    from cost reports beginning in FY 1989 through FY 1993 received through 
    the December 1994 update of the Hospital Cost Reporting Information 
    System (HCRIS), interim payment data for hospitals already receiving 
    capital prospective payments through PRICER, and data reported by the 
    intermediaries that include the hospital-specific rate determinations 
    that have been made through January 1, 1995 in the Provider-Specific 
    file. We used this data to determine the proposed FY 1996 capital 
    rates. However, we do not have individual hospital data on old capital 
    changes, new capital formation, and actual obligated capital costs. We 
    have data on costs for capital in use in FY 1993, and we age that 
    capital by a formula described in Appendix B. We therefore need to 
    randomly generate only new capital acquisitions for any year after FY 
    1993. All Federal rate payment parameters are assigned to the 
    applicable hospital.
        For purposes of this impact analysis, the FY 1996 actuarial model 
    includes the following assumptions:
         Medicare inpatient capital costs per discharge will 
    increase at the following rates during these periods:
    
                     Average Percentage Increase in Capital                 
    ------------------------------------------------------------------------
                                                                   Costs per
                             Fiscal year                           discharge
    ------------------------------------------------------------------------
    1995.........................................................       4.61
    1996.........................................................       4.93
    ------------------------------------------------------------------------
    
         The Medicare case-mix index will increase by 0.8 percent 
    in FY 1995 and FY 1996.
         The Federal capital rate as well as the hospital-specific 
    rate will be updated by an analytical framework that considers changes 
    in the prices associated with capital-related costs, and adjustments to 
    account for forecast error, changes in the case-mix index, allowable 
    changes in intensity, and other factors. The proposed FY 1996 update 
    for inflation is 1.50 percent (see Addendum, Part III).
    2. Results
        We have used the actuarial model to estimate the change in payment 
    for capital-related costs from FY 1995 to FY 1996. Table III shows the 
    effect of the capital prospective payment system on low capital cost 
    hospitals and high capital cost hospitals. We consider a hospital to be 
    a low capital cost hospital if, based on a comparison of its initial 
    hospital-specific rate and the applicable Federal rate, it will be paid 
    under the fully prospective payment methodology. A high capital cost 
    hospital is a hospital that, based on its initial hospital-specific 
    rate, will be paid under the hold-harmless payment methodology. Based 
    on our actuarial model, the breakdown of hospitals is as follows:
    
                                         Capital Transition Payment Methodology                                     
    ----------------------------------------------------------------------------------------------------------------
                                                                                              FY 1996      FY 1996  
                                                                   Percent of    FY 1996     percent of   percent of
                          Type of hospital                         hospitals    percent of    capital      capital  
                                                                                discharges     costs       payments 
    ----------------------------------------------------------------------------------------------------------------
    Low cost hospital...........................................           66           62           51           55
    High cost hospital..........................................           34           38           49           45
    ----------------------------------------------------------------------------------------------------------------
    
        A low capital cost hospital may request to have its hospital-
    specific rate redetermined based on old capital costs in the current 
    year, through the later of the hospital's cost reporting period 
    beginning in FY 1994 or the first cost reporting period beginning after 
    obligated capital comes into use (within the limits established in 
    Sec. 412.302(e) for putting obligated capital in use for patient care). 
    If the redetermined hospital-specific rate is greater than the adjusted 
    Federal rate, these hospitals will be paid under the hold-harmless 
    payment methodology. Regardless of whether the hospital became a hold-
    harmless payment hospital as a result of a redetermination, we have 
    continued to show these hospitals as low capital cost hospitals in 
    Table III.
        Assuming no behavioral changes in capital expenditures, Table III 
    displays the percentage change in payments from FY 1995 to FY 1996 
    using the above described actuarial model.
    
                                                                                                                    
    [[Page 29367]]
                                          Table III.--Impact of Proposed Changes for FY 1996 on Payments per Discharge                                      
    --------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                           Adjusted     Average    Hospital      Hold-                                      
                                                    No. of    Discharges    federal     federal    specific    harmless   Exceptions     Total      Percent 
                                                   hospitals                payment     percent     payment     payment     payment     payment     change  
    --------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                 FY 1995 payments per discharge                                                             
                                                                                                                                                            
    --------------------------------------------------------------------------------------------------------------------------------------------------------
    Low Cost Hospitals..........................       3,393   6,548,545     $260.45       43.42     $191.07      $47.69      $15.33     $514.53  ..........
        Fully Prospective.......................       1,621   3,140,867      237.50       40.00      228.18  ..........        4.62      470.30  ..........
        Rebase--Fully Prospective...............       1,408   2,487,365      238.66       40.00      214.90  ..........       33.06      486.61  ..........
        Rebase--100% Federal Rate...............         179     483,766      642.82      100.00  ..........  ..........        2.50      645.31  ..........
        Rebase--Hold Harmless...................         185     436,547      125.96       20.48  ..........      715.40        5.56      846.93  ..........
    High Cost Hospitals.........................       1,758   4,081,014      360.03       57.60  ..........      377.33        4.14      741.50  ..........
        100% Federal Rate.......................         689   1,744,966      647.48      100.00  ..........  ..........        0.00      647.48  ..........
        Hold Harmless...........................       1,069   2,336,048      145.31       23.89  ..........      659.19        7.23      811.73  ..........
            Total Hospitals.....................       5,151  10,629,560      298.68       49.00      117.71      174.25       11.03      601.67  ..........
                                                                                                                                                            
    --------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                 FY 1996 payments per discharge                                                             
                                                                                                                                                            
    --------------------------------------------------------------------------------------------------------------------------------------------------------
    Low Cost Hospitals..........................       3,393   6,548,545     $392.98       53.57     $194.75      $39.42      $12.98     $642.41       24.85
        Fully Prospective.......................       1,621   3,140,867      363.00       50.00      232.57  ..........        3.97      601.56       27.91
        Rebase--Fully Prospective...............       1,408   2,487,365      364.77       50.00      219.04  ..........       26.50      611.94       25.75
        Rebase--100% Federal Rate...............         226     602,562      780.03      100.00  ..........  ..........        8.25      795.17       23.22
        Rebase--Hold Harmless...................         138     317,751      176.09       23.46  ..........      812.48        5.20      995.06       17.49
    High Cost Hospitals.........................       1,758   4,081,014      562.98       73.70  ..........      279.77        3.65      856.74       15.54
        100% Federal Rate.......................         991   2,528,050      779.48      100.00  ..........  ..........        0.00      792.32       22.37
        Hold Harmless...........................         767   1,552,965      210.53       28.51  ..........      735.20        9.59      961.60       18.46
                                                 -----------------------------------------------------------------------------------------------------------
            Total Hospitals.....................       5,151  10,629,560      458.25       61.49      119.98      131.70        9.40      724.70       20.45
    --------------------------------------------------------------------------------------------------------------------------------------------------------
    
      Under section 1886(g)(1)(A) of the Act, estimated aggregate 
    payments under the capital prospective payment system for FY 1992 
    through 1995 respectively, are to equal 90 percent of estimated 
    payments that would have been payable on a reasonable cost basis in 
    each year. With the expiration of the capital budget neutrality 
    provision, we estimate that there will be an aggregate 20.45 percent 
    increase in FY 1996 Medicare capital payments over the FY 1995 
    payments.
        We project that low capital cost hospitals paid under the fully 
    prospective payment methodology will experience an average increase in 
    payments per case of 24.85 percent, and high capital cost hospitals 
    will experience an average increase of 15.54 percent.
        For hospitals paid under the fully prospective payment methodology, 
    the Federal rate payment percentage will increase from 40 percent to 50 
    percent and the hospital-specific rate payment percentage will decrease 
    from 60 to 50 percent in FY 1996.
        The Federal rate payment percentage for a hospital paid under the 
    hold-harmless payment methodology is based on the hospital's ratio of 
    new capital costs to total capital costs. The average Federal rate 
    payment percentage for hospitals receiving a hold-harmless payment for 
    old capital will increase from 23.89 percent to 28.51 percent. We 
    estimate the percentage of hold-harmless hospitals paid based on 100 
    percent of the Federal rate will increase from 41 percent to 57 
    percent.
        Despite the reduction in the hospital-specific rate blend 
    percentage from 60 percent in FY 1995 to 50 percent in FY 1996, we 
    expect that the average hospital-specific rate payment per discharge 
    will increase from $117.71 in FY 1995 to $119.98 in FY 1996. This is 
    due to the large increase (21.34 percent) in the FY 1996 hospital-
    specific rate compared to FY 1995.
        We are proposing no changes in our exceptions policies for FY 1996. 
    As a result, the minimum payment levels would be:
         90 percent for sole community hospitals;
         80 percent for urban hospitals with 100 or more beds and a 
    disproportionate share patient percentage of 20.2 percent or more; or
         70 percent for all other hospitals.
        We estimate that exceptions payments will decrease from 1.83 
    percent of total capital payments in FY 1995 to 1.30 percent of 
    payments in FY 1996. This is due to the large increase in the rates--as 
    rate-based payments increase, exceptions payments decrease. The 
    projected distribution of the payments is shown in the table below:
    
                                                                                                                                                            
    [[Page 29368]]
                      Estimated FY 1996 Exceptions Payments                 
    ------------------------------------------------------------------------
                                                                  Percent of
                     Type of hospital                    No. of   exceptions
                                                       hospitals   payments 
    ------------------------------------------------------------------------
    Low capital cost.................................        209         85 
    High capital cost................................        124         15 
                                                      ----------------------
          Total......................................        333        100 
    ------------------------------------------------------------------------
    
    C. Cross-Sectional Comparison of Capital Prospective Payment 
    Methodologies
    
        Table IV presents a cross-sectional summary of hospital groupings 
    by capital prospective payment methodology. This distribution is 
    generated by our actuarial model.
    
      Table IV.--Distribution by Method of Payment (Hold-harmless/Fully Prospective) of Hospitals Receiving Capital 
                                                        Payments                                                    
    ----------------------------------------------------------------------------------------------------------------
                                                                             (2) Hold-harmless                      
                                                                     -------------------------------- (3) Percentage
                                                       (1) Total No.    Percentage      Percentage      paid fully  
                                                       of hospitals     paid hold-      paid fully      prospective 
                                                                       harmless (A)     federal (B)        rate     
    ----------------------------------------------------------------------------------------------------------------
    By Geographic Location:                                                                                         
        All hospitals...............................           5,151            17.6            23.6            58.8
        Large urban areas (populations over 1                                                                       
         million)...................................           1,620            20.1            31.5            48.5
        Other urban areas (populations of 1 million                                                                 
         of fewer)..................................           1,273            22.5            27.4            50.1
        Rural areas.................................           2,258            13.0            15.9            71.1
        Urban hospitals.............................           2,893            21.1            29.7            49.2
            0-99 beds...............................             715            21.8            24.1            54.1
            100-199 beds............................             917            25.0            31.5            43.5
            200-299 beds............................             601            21.1            31.6            47.3
            300-499 beds............................             480            16.5            31.0            52.5
            500 or more beds........................             180            11.1            32.8            56.1
        Rural hospitals.............................           2,258            13.0            15.9            71.1
            0-49 beds...............................           1,170            10.2            10.7            79.1
            50-99 beds..............................             664            14.5            19.0            66.6
            100-149 beds............................             230            20.0            27.0            53.0
            150-199 beds............................             108            18.5            19.4            62.0
            200 or more beds........................              86            15.1            27.9            57.0
    By Region:                                                                                                      
        Urban by Region.............................           2,893            21.1            29.7            49.2
            New England.............................             163             7.4            25.2            67.5
            Middle Atlantic.........................             440            11.6            30.5            58.0
            South Atlantic..........................             431            25.8            34.6            39.7
            East North Central......................             481            15.4            25.8            58.8
            East South Central......................             164            31.7            27.4            40.9
            West North Central......................             195            23.6            24.6            51.8
            West South Central......................             371            37.5            36.9            25.6
            Mountain................................             119            21.0            37.8            41.2
            Pacific.................................             482            18.9            27.0            54.1
            Puerto Rico.............................              47            21.3            12.8            66.0
        Rural by Region.............................           2,258            13.0            15.9            71.1
            New England.............................              53             7.5            15.1            77.4
            Middle Atlantic.........................              84             9.5            15.5            75.0
            South Atlantic..........................             297            14.5            22.9            62.6
            East North Central......................             305            11.8             9.8            78.4
            East South Central......................             275            14.9            26.2            58.9
            West North Central......................             527            10.2            10.8            78.9
            West South Central......................             351            13.4            19.9            66.7
            Mountain................................             218            15.1            11.9            72.9
            Pacific.................................             143            19.6             9.1            71.3
    By Payment Classification:                                                                                      
        All hospitals...............................           5,151            17.6            23.6            58.8
        Large urban areas (populations over 1                                                                       
         million)...................................           1,813            19.5            31.2            49.3
        Other urban areas (populations of 1 million                                                                 
         or fewer)..................................           1,291            22.7            27.0            50.3
        Rural areas.................................           2,047            12.5            14.8            72.6
        Teaching Status:                                                                                            
            Non-teaching............................           4,101            18.0            22.7            59.3
            Fewer than 100 Residents................             826            17.3            27.2            55.4
            100 or more Residents...................             224             9.8            28.1            62.1
        Disproportionate share hospitals (DSH):                                                                     
            Non-DSH.................................           3,220            17.4            20.2            62.5
            Urban DSH:                                                                                              
              100 or more beds......................           1,387            19.1            32.7            48.2
              Less than 100 beds....................             134            21.6            25.4            53.0
    [[Page 29369]]
                                                                                                                    
            Rural DSH:                                                                                              
              Sole community (SCH/EACH).............             137            14.6            10.2            75.2
              Referral Center (RRC/EACH)............              40            12.5            20.0            67.5
              Other Rural:                                                                                          
                  100 or more beds..................              83            19.3            30.1            50.6
                  Less than 100 beds................             150             6.7            22.0            71.3
        Urban teaching and DSH:                                                                                     
            Both teaching and DSH...................             653            13.5            30.3            56.2
            Teaching and no DSH.....................             350            18.3            24.6            57.1
            No teaching and DSH.....................             868            23.7            33.4            42.9
            No teaching and no DSH..................           1,233            23.4            27.6            49.0
        Rural Hospital Types:                                                                                       
            Non special status hospitals............           1,278             9.4            15.9            74.7
            RRC/EACH................................             111            17.1            22.5            60.4
            SCH/EACH................................             612            18.0            10.9            71.1
            SCH, RRC and EACH.......................              46            19.6            17.4            63.0
        Type of Ownership:                                                                                          
            Voluntary...............................           3,092            16.8            24.1            59.1
            Proprietary.............................             725            31.6            38.6            29.8
            Government..............................           1,334            11.8            14.4            73.8
        Medicare Utilization as a Percent of                                                                        
         Inpatient Days:                                                                                            
            0-25....................................             268            26.1            19.4            54.5
            25-50...................................           1,357            19.7            28.5            51.7
            50-65...................................           2,227            17.1            23.7            59.2
            Over 65.................................           1,234            14.6            18.6            66.8
    ----------------------------------------------------------------------------------------------------------------
    
      As we explain in Appendix B, we were not able to determine a 
    hospital-specific rate for 3 of the 5,154 hospitals in our data base. 
    Consequently, the payment methodology distribution is based on 5,151 
    hospitals. This data should be fully representative of the payment 
    methodologies that will be applicable to hospitals.
        The cross-sectional distribution of hospital by payment methodology 
    is presented by: (1) geographic location, (2) region, and (3) payment 
    classification. This provides an indication of the percentage of 
    hospitals within a particular hospital grouping that will be paid under 
    the fully prospective payment methodology and under the hold-harmless 
    methodology.
        The percentage of hospitals paid fully Federal (100 percent of 
    Federal rate) is expected to increase to 23.6 percent in FY 1996. The 
    expiration of the budget neutrality provision resulted in a large rate 
    increase in the capital Federal rate. This large increase means more 
    hold-harmless hospitals will fare better under the fully Federal 
    payment method.
        Table IV indicates that 58.8 percent of hospitals are paid under 
    the fully prospective payment methodology. (This figure, unlike the 
    figure of 66 percent for low cost capital hospitals in the previous 
    section, takes account of the effects of redeterminations. In other 
    words, this figure does not include low cost hospitals that, following 
    a hospital-specific rate redetermination, are now paid under the hold-
    harmless methodology.) As expected, a relatively higher percentage of 
    rural and governmental hospitals (72.6 percent and 73.8 percent, 
    respectively by payment classification) are being paid under the fully 
    prospective methodology. This is a reflection of their lower than 
    average capital costs per case. In contrast, only 29.8 percent of 
    proprietary hospitals are being paid under the fully prospective 
    methodology. This is a reflection of their higher than average capital 
    costs per case. (We found at the time of the August 30, 1991 final rule 
    (56 FR 43430) that 62.7 percent of proprietary hospitals had a capital 
    cost per case above the national average cost per case.)
    
    D. Cross-Sectional Analysis of Changes in Aggregate Payments
    
        We used our FY 1996 actuarial model to estimate the potential 
    impact of our proposed changes for FY 1996 on total capital payments 
    per case, using a universe of 5,151 hospitals. The individual hospital 
    payment parameters are taken from the best available data, including: 
    the January 1, 1995 update to the Provider-Specific file, cost report 
    data, and audit information supplied by intermediaries. Table V 
    presents estimates of payments per case for FY 1995 and FY 1996 
    (columns 2 and 3). Column 4 shows the total percentage change in 
    payments from FY 1995 to FY 1996. Column 5 presents the percentage 
    change in payments that can be attributed to Federal rate changes 
    alone.
        Federal rate changes represented in Column 5 include the 21.30 
    percent increase in the Federal rate, a 0.85 percent increase in case 
    mix, changes in the adjustments to the Federal rate (for example, the 
    effect of the new hospital wage index on the geographic adjustment 
    factor), and reclassifications by the Medicare Geographic 
    Classification Review Board. We note that the 21.3 percent increase in 
    the Federal rate incorporates the 1.14 percent decrease in the base 
    rate to remove FY 1992 tax costs. Therefore, any effect of that 
    decrease to the rate is represented in column 5. Column 4 includes the 
    effects of the Federal rate changes represented in column 3. Column 4 
    also includes the effects of all other changes. Those other changes 
    [[Page 29370]] include: the change from 40 percent to 50 percent in the 
    portion of the Federal rate for fully prospective hospitals, the 
    hospital-specific rate update, changes in the proportion of new to 
    total capital for hold-harmless hospitals, changes in old capital (for 
    example, obligated capital put in use), hospital-specific rate 
    redeterminations, exceptions, and the special payments to certain 
    hospitals for capital-related taxes. The comparisons are provided by: 
    (1) geographic location and (2) payment classification and payment 
    region.
        The simulation results show that, on average, capital payments per 
    case can be expected to increase 20.4 percent in FY 1996. The results 
    show that the effect of the Federal rate changes alone is to increase 
    payments by 11.0 percent. In addition to the increase attributable to 
    the Federal rate changes, a 9.4 percent increase is attributable to the 
    effects of all other changes.
        Our comparison by geographic location shows that urban and rural 
    hospitals experience similar rates of increase (20.3 percent and 21.2 
    percent, respectively). Urban hospitals will gain at the same rate as 
    rural hospitals (11.0 percent) from the Federal rate changes. Urban 
    hospitals will gain slightly less than rural hospitals (9.3 percent 
    compared to 10.2 percent) from the effects of all other changes.
        By region, there is relatively little variation compared to some 
    previous years. All regions are estimated to receive large increases in 
    total capital payments per case, due to the expiration of the budget 
    neutrality provision. Increases by region vary from a low of 16 percent 
    (rural Mountain and urban East South Central regions) to a high of 25 
    percent (rural hospitals of the New England and Middle Atlantic 
    regions).
        By type of ownership, proprietary hospitals are projected to have 
    the highest rate of increase (21.9 percent, of which 11.0 percent is 
    due to Federal rate changes and 10.9 percent to the effects of all 
    other changes). Payments to voluntary hospitals will increase 20.2 
    percent (10.9 percent due to the Federal rate changes and 9.3 percent 
    due to the effects of all other changes) and payments to government 
    hospitals will increase 20.7 percent (11.8 percent due to Federal rate 
    changes and 8.9 percent due to the effects of all other changes). We 
    believe that one factor contributing to the higher rate of increase for 
    proprietary hospitals is the proposed change in the treatment of tax 
    costs. Proportionately more proprietary hospitals are subject to 
    capital-related taxes than other categories.
        Section 1886(d)(10) of the Act established the Medicare Geographic 
    Classification Review Board (MGCRB). Hospitals may apply for 
    reclassification for purposes of the wage index, standardized payment 
    amount, or both. Although the Federal capital rate is not affected, a 
    hospital's geographic classification for purposes of the operating 
    standardized amount does affect a hospital's capital payments as a 
    result of the large urban adjustment factor and the disproportionate 
    share adjustment for urban hospitals with 100 or more beds. 
    Reclassification for wage index purposes affects the geographic 
    adjustment factor since that factor is constructed from the hospital 
    wage index.
        To present the effects of the hospitals being reclassified for FY 
    1996 compared to the effects of reclassification for FY 1995, we show 
    the average payment percentage increase for hospitals reclassified in 
    each fiscal year and in total. For FY 1996 reclassifications, we 
    indicate those hospitals reclassified for standardized amount purposes 
    only, for wage index purposes only, and for both purposes. The 
    reclassified groups are compared to all other nonreclassified 
    hospitals. These categories are further identified by urban and rural 
    designation.
        Hospitals reclassified during FY 1996 as a whole are projected to 
    experience a 22.0 percent increase in payments (11.7 percent 
    attributable to Federal rate changes and 10.3 percent attributable to 
    the effects of all other changes). Nonreclassified hospitals will gain 
    slightly less (20.2 percent) than reclassified hospitals (22.0 percent) 
    overall. Nonreclassified hospitals will gain slightly less than 
    reclassified hospitals from the Federal rate changes (10.9 percent 
    compared to 11.7 percent); they will also gain slightly less from the 
    effects of all other changes (9.3 percent compared to 10.3 percent).
        Since we are proposing a capital-related tax adjustment effective 
    in FY 1996, we have added two new categories of hospitals to our 
    analysis in Table V. For hospitals that we expect to receive special 
    payments for taxes, average payments per case are estimated to increase 
    from $667 in FY 1995 to $806 in FY 1996 (an increase of 20.9 percent). 
    In contrast, payments to other hospitals are expected to increase at a 
    slightly lower rate (20.2 percent). We believe that the proposed change 
    in the treatment of taxes is a major factor in the difference in the 
    payment increase between these two groups of hospitals.
    
                                     Table V--Comparison of Total Payments Per Case                                 
                                     [FY 1995 payments compared to FY 1996 payments]                                
    ----------------------------------------------------------------------------------------------------------------
                                                                                                          Portion   
                                          No. of        Average FY      Average FY                     attributable 
                                         hospitals    1995 payments/  1996 payments/    All changes     to Federal  
                                                           case            case                         rate change 
    ----------------------------------------------------------------------------------------------------------------
    By Geographic Location:                                                                                         
        All hospitals...............           5,151             602             725            20.4            11.0
        Large urban areas                                                                                           
         (populations over 1                                                                                        
         million)...................           1,620             688             833            21.1            11.4
        Other urban areas                                                                                           
         (populations of 1 million                                                                                  
         or fewer)..................           1,273             602             718            19.2            10.5
        Rural areas.................           2,258             396             480            21.2            11.0
        Urban hospitals.............           2,893             652             785            20.3            11.0
            0-99 beds...............             715             497             597            20.1            10.6
            100-199 beds............             917             595             712            19.7            10.4
            200-299 beds............             601             616             740            20.2            11.1
            300-499 beds............             480             666             804            20.6            11.4
            500 or more beds........             180             801             968            20.8            11.2
        Rural hospitals.............           2,258             396             480            21.2            11.0
            0-49 beds...............           1,170             297             370            24.9            11.5
            50-99 beds..............             664             361             439            21.4            11.2
            100-149 beds............             230             429             518            20.7            11.7
            150-199 beds............             108             430             518            20.4             9.5
            200 or more beds........              86             507             606            19.5            10.9
    [[Page 29371]]
                                                                                                                    
    By Region:                                                                                                      
        Urban by Region.............           2,893             652             785            20.3            11.0
            New England.............             163             632             768            21.5            12.0
            Middle Atlantic.........             440             681             834            22.5            11.4
            South Atlantic..........             431             660             783            18.6            10.6
            East North Central......             481             600             727            21.1            11.0
            East South Central......             164             614             713            16.1             8.9
            West North Central......             195             651             771            18.5             9.6
            West South Central......             371             680             798            17.4            11.1
            Mountain................             119             647             775            19.8            13.0
            Pacific.................             482             719             885            22.9            11.7
            Puerto Rico.............              47             249             294            18.0            10.2
        Rural by Region.............           2,258             396             480            21.2            11.0
            New England.............              53             533             666            24.9             8.8
            Middle Atlantic.........              84             397             496            25.0            12.6
            South Atlantic..........             297             410             498            21.4            12.1
            East North Central......             305             390             467            19.8            10.1
            East South Central......             275             368             444            20.4            11.7
            West North Central......             527             371             451            21.8            11.2
            West South Central......             351             378             459            21.3            10.4
            Mountain................             218             447             519            16.1             8.5
            Pacific.................             143             450             554            23.2            10.8
    By Payment Classification:                                                                                      
        All hospitals...............           5,151             602             725            20.4            11.0
        Large urban areas                                                                                           
         (populations over 1                                                                                        
         million)...................           1,813             675             818            21.2            11.4
        Other urban areas                                                                                           
         (populations of 1 million                                                                                  
         or fewer)..................           1,291             596             708            18.8            10.4
        Rural areas.................           2,047             383             464            21.3            10.9
        Teaching Status:                                                                                            
            Nonteaching.............           4,101             525             629            19.7            10.9
            Fewer than 100 Residents             826             632             764            20.9            11.1
            100 or more Residents...             224             889           1,082            21.7            11.3
    DIsproportionate share hospitals                                                                                
     (DSH):                                                                                                         
        Non-DSH.....................           3,220             553             668            20.8            10.7
        Urban DSH:                                                                                                  
            100 or more beds........           1,387             680             817            20.1            11.3
            Less than 100 beds......             134             460             554            20.5            11.4
        Rural DSH:                                                                                                  
            Sole Community (SCH/                                                                                    
             EACH)..................             137             367             433            18.0             9.8
            Referral Center (RRC/                                                                                   
             EACH)..................              40             441             529            20.0            10.3
            Other Rural:............                                                                                
                100 or more beds....              83             392             474            20.9            11.4
                Less than 100 beds..             150             290             361            24.8            13.8
    Urban teaching and DSH:                                                                                         
        Both teaching and DSH.......             653             741             896            20.9            11.4
        Teaching and no DSH.........             350             661             806            22.0            10.8
        No teaching and DSH.........             868             591             703            18.8            11.2
        No teaching and no DSH......           1,233             570             682            19.7            10.6
    Rural Hospital Types:                                                                                           
        Nonspecial status hospitals.           1,278             333             412            23.7            12.4
        RRC/EACH....................             111             463             559            20.8            10.6
        SCH/EACH....................             612             392             465            18.6             9.2
        SCH, RRC and EACH...........              46             491             576            17.3             8.9
    Hospitals Reclassified by the                                                                                   
     Medicare Geographic                                                                                            
     Classification Review Board:                                                                                   
        Reclassification Status                                                                                     
         During FY95 and FY96:                                                                                      
            Reclassified During Both                                                                                
             FY95 and FY96..........             465             557             675            21.2            11.4
            Reclassified During FY96                                                                                
             Only...................             153             491             616            25.5            13.1
            Reclassified During FY95                                                                                
             Only...................             220             598             680            13.7             6.7
        FY96 Reclassifications:                                                                                     
            All Reclassified                                                                                        
             Hospitals..............             618             543             663            22.0            11.7
            All Nonreclassified                                                                                     
             Hospitals..............           4,506             611             735            20.2            10.9
            All Urban Reclassified                                                                                  
             Hospitals..............             209             622             760            22.1            11.7
            Urban Nonreclassified                                                                                   
             Hospitals..............           2,684             655             787            20.2            11.0
            All Reclassified Rural                                                                                  
             Hospitals..............             409             463             564            21.8            11.7
            Rural Nonclassified                                                                                     
             Hospitals..............           1,822             361             436            20.8            10.5
    [[Page 29372]]
                                                                                                                    
        Other Reclassified Hospitals                                                                                
         (Section 1886(D)(8)(B))....              27             434             527            21.5            13.4
    Real Estate Tax Status:                                                                                         
        No Payments for Taxes.......           3,906             574             691            20.2            11.3
        Special Payments for Taxes..           1,245             667             806            20.9            10.5
    Type of Ownership:                                                                                              
        Voluntary...................           3,092             614             738            20.2            10.9
        Proprietary.................             725             631             769            21.9            11.0
        Government..................           1,334             507             612            20.7            11.8
    Medicare Utilization as a                                                                                       
     Percent of Inpatient Days:                                                                                     
        0-25........................             268             667             818            22.6            10.5
        25-50.......................           1,357             715             864            20.8            11.1
        50-65.......................           2,227             560             671            19.9            10.9
        Over 65.....................           1,234             501             604            20.5            11.3
    ----------------------------------------------------------------------------------------------------------------
    
    Appendix B: Technical Appendix on the Capital Acquisition Model and 
    Required Adjustments
    
        Section 1886(g)(1)(A) of the Act requires that for FY 1992 through 
    FY 1995 aggregate prospective payments for operating costs under 
    section 1886(d) of the Act and prospective payments for capital costs 
    under section 1886(g) of the Act be reduced each year in a manner that 
    results in a 10 percent reduction of the amount that would have been 
    payable on a reasonable cost basis for capital-related costs in that 
    year. To implement this requirement, we developed the capital 
    acquisition model to determine the budget neutrality adjustment factor. 
    Even though the budget neutrality requirement expires effective with FY 
    1996, we must continue to determine the recalibration and geographic 
    reclassification budget neutrality adjustment factor, and the reduction 
    in the Federal and hospital-specific rates for exceptions payments. We 
    continue to use the capital acquisition model to determine these 
    factors.
        The following data are used in the capital acquisition model: the 
    December 1994 update of the PPS-9 (cost reporting periods beginning in 
    FY 1992) and PPS-10 (cost reporting periods beginning in FY 1993) cost 
    reports, the January 1, 1995 update of the provider specific file, and 
    the March 1994 update of the intermediary audit file.
        The available data still lack certain items that were required for 
    the determination of budget neutrality, including a hospital's 
    projected new capital costs for each year, its projected old capital 
    costs for each year, and the projected obligated capital amounts that 
    will be put in use for patient care services and recognized as old 
    capital each year.
        Since hospitals under alternative payment system waivers (that is, 
    hospitals in Maryland) are currently excluded from the capital 
    prospective payment system, we excluded these hospitals from our model.
        We then developed FY 1992, FY 1993, FY 1994, and FY 1995 hospital-
    specific rates using the provider-specific file, the intermediary audit 
    file, and when available, cost reports. (We used the cumulative 
    provider-specific file, which includes all updates to each hospital's 
    records, and chose the latest record for each fiscal year.) We checked 
    the consistency between the provider-specific file and the intermediary 
    audit file. We also ensured that the FY 1993 increase in the hospital-
    specific rate was at least 0.62 percent (the net FY 1993 update), that 
    the FY 1994 hospital-specific rate was at least as large as the FY 1993 
    hospital-specific rate decreased by 2.16 percent (the net FY 1994 
    update), and that the FY 1995 increase in the hospital-specific rate 
    was at least 0.05 percent (the net FY 1995 update). We were able to 
    match hospitals to the files as shown in the following table.
    
    ------------------------------------------------------------------------
                                                                   Number of
                                Source                             hospitals
    ------------------------------------------------------------------------
    Provider-Specific File Only..................................         54
    Provider-Specific and Audit File.............................       5100
                                                                  ----------
          Total..................................................       5154
    ------------------------------------------------------------------------
    
        Thirty-nine of these hospitals had unusable or missing data. We 
    were able to back-fill a hospital-specific rate for 36 of these 
    hospitals from the cost reports as shown in the following table.
    
    ------------------------------------------------------------------------
                                                                   Number of
                                Source                             hospitals
    ------------------------------------------------------------------------
    PPS-5 Cost Reports...........................................          2
    PPS-7 Cost Reports...........................................          2
    PPS-8 Cost Reports...........................................          2
    PPS-9 Cost Reports...........................................         10
    PPS-10 Cost Reports..........................................         18
    PPS-11 Cost Reports..........................................          2
                                                                  ----------
          Total..................................................         36
    ------------------------------------------------------------------------
    
        We did not have data for 3 hospitals, and had to eliminate them 
    from the capital analysis. These hospitals likely are new hospitals or 
    hospitals with very few Medicare admissions. This leaves us with 5151 
    hospitals and should not affect the precision of the required 
    adjustment factors.
        Next, we determined old and new capital amounts for FY 1992 using 
    the PPS-9 cost reports as the first source of data. For FY 1993 we used 
    PPS-9 and PPS-10 cost reports as the first source of data weighting 
    each cost report by the number of days in FY 1993. We were able to 
    match 5,097 PPS-9 cost reports and 4,824 PPS-10 cost reports. In cases 
    where cost reports could not be matched, we used the provider-specific 
    file for old capital information. Even in cases where a cost report was 
    available, the breakout of old and new capital was not always 
    available. In these cases, we used the old capital amounts and new 
    capital ratios from the provider-specific file. If these were missing, 
    we derived the old capital amount from the hospital-specific rate.
        Finally, we used the intermediary audit file to develop obligated 
    capital [[Page 29373]] amounts. Since the obligated amounts are 
    aggregate projected amounts, we computed a Medicare capital cost per 
    admission associated with these amounts. We adjusted the aggregate 
    amounts by the following factors:
        (1) Medicare inpatient share of capital. This was derived from cost 
    reports and was limited to the Medicare share of total inpatient days. 
    It was necessary to limit the Medicare share because of data integrity 
    problems. Medicare share of inpatient days is a reasonably good proxy 
    for allocating capital. However, it may be understated if Medicare 
    utilization is high, and may be overstated because it does not reflect 
    the outpatient share of capital.
        (2) Capitalization factor. This factor allocates the aggregate 
    amount of obligated capital to depreciation and interest amounts. 
    Consistent with the assumptions in the capital input price index, we 
    used a 25-year life for fixed capital and a 10-year life for movable 
    capital, and an average projected interest rate of 6.7 percent. We also 
    assumed that fixed capital acquisitions are about one-half of total 
    capital. In conjunction with the useful life and interest rate 
    assumptions, the resulting capitalized fixed capital is about one-half 
    of total capitalization. This is consistent with the allocations 
    between fixed and movable capital found on the cost reports. The ratio 
    we developed is 0.137, which produces the first year capitalization 
    based on the aggregate amount.
        (3) A divisor of Medicare admissions to derive the capital per 
    discharge amount. Since we must project capital amounts for each 
    hospital, we continued to use a Monte Carlo simulation to develop these 
    amounts. (This model is described in detail in the August 30, 1991 
    final rule (56 FR 43517).) The Monte Carlo simulation is now used only 
    to project capital costs per discharge amounts for each hospital. We 
    analyzed the distributions of capital increases, and noted a slightly 
    negative correlation between the dollar level of capital cost per 
    admission, and the rate of increase in capital. To determine the rate 
    of increase in capital cost per admission, we multiplied the lesser of 
    $3,000 or the capital cost per admission by .00006 and subtracted this 
    result from 1.2. (Increases for capital levels over $3,000 were not 
    influenced by the level of capital, so this part of the calculation was 
    capped at $3,000.) We selected a random number from the normal 
    distribution, multiplied it by 0.17 (the standard deviation) and added 
    it to -0.04 (the mean) and then added 1 to create a multiplier. This 
    random result was multiplied by the previous result to assign a rate of 
    increase factor which was multiplied by the prior year's capital per 
    discharge amount to develop a capital per discharge amount for the 
    projected year.
        To model a projected year, we used the old and new capital for the 
    prior year multiplied by 0.96 (aging factor). The 0.96 aging factor is 
    the average of changes in capital over its life. The aged new and old 
    capital is subtracted from the projected capital described in the 
    previous paragraph. The difference represents newly acquired capital. 
    We assume that the hospital would accrue only a half year of costs for 
    newly acquired capital in the year in which the capital comes on line. 
    This is because, on average, new capital will come on line in the 
    middle of the year. We make the same assumption for obligated capital. 
    If the hospital has obligated capital, the lesser of one half of the 
    adjusted costs (as described in the succeeding paragraph) for newly 
    acquired capital or one half of the costs (for FY 1993, all of the 
    costs) for obligated capital are deemed to apply to the current year. 
    The full year's costs for new or obligated capital are assumed to apply 
    for the following year. For FY 1994, one half of the costs for any 
    outstanding obligated capital were deemed to apply to FY 1994; a full 
    year's costs were deemed to apply to FY 1995. With the exception of 
    certain hospitals about whom we have information to the contrary, we 
    assume that hospitals would meet the expiration dates provided under 
    the obligated capital provision. The on-line obligated amounts are 
    added to old capital and subtracted from the newly acquired capital to 
    yield residual newly acquired capital, which is then added to new 
    capital. The residual newly acquired capital is never permitted to be 
    less than zero.
        Next, we computed the average total capital cost per discharge from 
    the capital costs that were generated by the model and compared the 
    results to total capital costs per discharge that we had projected 
    independently of the model. We adjusted the newly acquired capital 
    amounts proportionately, so that the total capital costs per discharge 
    generated by the model match the independently projected capital costs 
    per discharge.
        Once each hospital's capital-related costs are generated, the model 
    projects capital payments. We use the actual payment parameters (for 
    example, the case-mix index and the geographic adjustment factor) that 
    are applicable to the specific hospital.
        To project capital payments, the model first assigns the applicable 
    payment methodology (fully prospective or hold-harmless) to the 
    hospital. If available, the model uses the payment methodology 
    indicated in the PPS-9 cost reports or the provider-specific file. 
    Otherwise, the model determines the methodology by comparing the 
    hospital's FY 1992 hospital-specific rate to the adjusted Federal rate 
    applicable to the hospital. The model simulates Federal rate payments 
    using the assigned payment parameters and hospital-specific estimated 
    outlier payments. The case-mix index for a hospital is derived from the 
    1994 MedPAR file using the proposed FY 1996 DRG relative weights 
    published in this rule. The case-mix index is increased each year after 
    FY 1994 consistent with the continuing trend in case-mix increase.
        We analyzed the case-mix increases for the recent past and found 
    that case-mix increases have decelerated to about 1.53 percent in FY 
    1992, 0.78 percent in FY 1993, and 0.75 percent in FY 1994. It is too 
    early to reliably determine a case-mix increase for FY 1995 from the 
    discharge data. Since case-mix increases appear to be decelerating, we 
    have reduced our projected long-term increase of 2 percent to .8 
    percent for both FY 1995 and FY 1996. We will continue to monitor case-
    mix increases and make appropriate adjustments to our projections. 
    (Since we are using FY 1994 cases for our analysis, the FY 1994 
    increase in case mix has no effect on projected capital payments.)
        Changes in geographic classification and revisions to the hospital 
    wage data used to establish the hospital wage index affect the 
    geographic adjustment factor. Changes in the DRG classification system 
    and the relative weights affect the case-mix index.
        Section 1886(g)(1)(A) of the Act requires that, for discharges 
    occurring after September 30, 1993, the unadjusted standard Federal 
    rate be reduced by 7.4 percent. Consequently, the model reduces the 
    unadjusted standard Federal rate by 7.4 percent effective in FY 1994. 
    Since budget neutrality expires effective with FY 1996, this adjustment 
    affects the Federal rate starting in FY 1996.
        Since we are proposing separate payments for real estate taxes, we 
    are adjusting the Federal rate so that aggregate payments from the 
    Federal rate and tax payments are budget neutral. Using data from the 
    tax verification survey, and the information from the PPS-9 cost 
    reports, we compared Medicare's share of taxes, with Medicare's share 
    of capital. Medicare's share of taxes is computed by multiplying total 
    taxes by the ratio of [[Page 29374]] Medicare's share of capital to 
    total capital. In computing Medicare's share of capital, we applied 
    adjustments to account for the estimated effects of future audits and 
    reopenings. For unaudited cost reports, Medicare's share of capital was 
    multiplied by .9299 to reflect the anticipated effects of auditing. For 
    audited cost reports, Medicare's share of capital was multiplied by 
    1.0034 to reflect the anticipated effects of reopening cost reports. We 
    used all short-stay hospitals, including hospitals in waiver States and 
    hospitals with no taxes, but excluded cancer hospitals. We used the 
    group of all short-stay acute care hospitals because the waivers for 
    certain areas could be terminated at some future date. We believe that, 
    in determining permanent changes to the rates, we should include 
    hospitals that may be incorporated into the prospective payment system 
    at a later date. We used tax information from all hospitals, including 
    those that did not respond to the tax verification survey. Since we are 
    providing a final opportunity to verify tax information, we decided to 
    use information from all hospitals in this analysis. However, we 
    propose to use only verified tax information in the final rule. The 
    ratio of taxes to capital costs is 0.0114. The adjustment to the 
    Federal rate for taxes is 1-0.0114= 0.9886. For modeling payments we 
    divided Medicare's share of taxes by Medicare discharges to determine 
    taxes per discharge, which were then updated by 1.1475 (the cumulative 
    Federal rate increase for FY 1993 through FY 1996). This amount is then 
    multiplied by the Federal rate percentage and added to the payments for 
    capital.
        The proposed change in the method of paying transfer cases affects 
    total capital payments. We are making the effect of this change budget 
    neutral. To determine the budget neutrality adjustment factor for 
    transfers, we followed the methodology described in section VI.D of 
    Appendix A to this proposed rule. We computed the transfer-adjusted 
    number of discharges and case-mix under the current transfer policy, 
    and the proposed transfer policy for each hospital. We multiplied the 
    corresponding number of discharges and case-mix numbers for each 
    hospital and added all hospitals together. The number computed under 
    the current transfer policy divided by the number computed under the 
    proposed transfer policy yielded the transfer adjustment factor of 
    0.9972. This adjustment factor is applied to both the hospital specific 
    rate and the Federal rate.
        Section 412.308(c)(4)(ii) requires that the estimated aggregate 
    payments for the fiscal year, based on the Federal rate after any 
    changes resulting from DRG reclassifications and recalibration and the 
    geographic adjustment factor, equal the estimated aggregate payments 
    based on the Federal rate that would have been made without such 
    changes. For FY 1995, the budget neutrality adjustment factor was 
    1.0031. To determine the factor for FY 1996, we first determined the 
    portion of the Federal rate that would be paid for each hospital in FY 
    1996 based on its applicable payment methodology. We then compared 
    estimated aggregate Federal rate payments based on the FY 1995 DRG 
    relative weights and FY 1995 geographic adjustment factor to estimated 
    aggregate Federal rate payments based on the FY 1996 relative weights 
    and the FY 1996 geographic adjustment factor. In making the comparison, 
    we held the FY 1996 Federal rate portion constant and set the other 
    budget neutrality adjustment factor and exceptions reduction factor to 
    1.00. We determined that to achieve budget neutrality for the changes 
    in the geographic adjustment factor and DRG classifications and 
    relative weights, an incremental budget neutrality adjustment of 0.9993 
    for FY 1996 should be applied to the previous cumulative FY 1995 
    adjustment of 1.0031 (the product of the FY 1993 incremental adjustment 
    of 0.9980, the FY 1994 incremental adjustment of 1.0053, and the FY 
    1995 incremental adjustment of 0.9998), yielding a cumulative 
    adjustment of 1.0024 through FY 1996.
        The methodology used to determine the recalibration and geographic 
    (DRG/GAF) budget neutrality adjustment factor is similar to that used 
    in establishing budget neutrality adjustments under the prospective 
    payment system for operating costs. One difference is that under the 
    operating prospective payment system, the budget neutrality adjustments 
    for the effect of geographic reclassifications are determined 
    separately from the effects of other changes in the hospital wage index 
    and the DRG weights. Under the capital prospective payment system, 
    there is a single DRG/GAF budget neutrality adjustment factor for 
    changes in the geographic adjustment factor (including geographic 
    reclassification) and the DRG relative weights. In addition, there is 
    no adjustment for the effects that geographic reclassification has on 
    the other payment parameters, such as the payments for serving low 
    income patients or the large urban add-on.
        In addition to computing the DRG/GAF budget neutrality adjustment 
    factor, we used the model to simulate total payments under the 
    prospective payment system.
        Additional payments under the exceptions process are accounted for 
    through a reduction in the Federal and hospital-specific rates. 
    Therefore, we used the model to calculate estimated exceptions payments 
    and the exceptions reduction factor. This exceptions reduction factor 
    ensures that estimated aggregate payments under the capital prospective 
    payment system, including exceptions payments, equal estimated 
    aggregate payments under the capital prospective payment system without 
    an exceptions process. Since changes in the level of the payment rates 
    change the level of payments under the exceptions process, the 
    exceptions reduction factor must be determined through iteration. Even 
    though the additional payments for taxes are used to determine whether 
    exceptions would be paid and the amount of the exceptions, the 
    adjustment factor is not applied to the tax amounts.
        In the August 30, 1991 final rule (56 FR 43517), we indicated that 
    we would publish each year the estimated payment factors generated by 
    the model to determine payments for the next 5 years. The table below 
    provides the actual factors for FY 1992, FY 1993, FY 1994, and FY 1995, 
    the proposed factors for FY 1996, and the estimated factors that would 
    be applicable through FY 2000. We caution that, except with respect to 
    FY 1992, FY 1993, FY 1994, FY 1995 and the proposed FY 1996, these are 
    estimates only, and are subject to revisions resulting from continued 
    methodological refinements, more recent data, and any payment policy 
    changes that may occur. In this regard, we note that in making these 
    projections we have assumed that the cumulative DRG/GAF adjustment 
    factor will remain at 1.0024 for FY 1996 and later because we do not 
    have sufficient information to estimate the change that will occur in 
    the factor for years after FY 1996.
        The projections are as follows:
    
                                                                            
    [[Page 29375]]
    ------------------------------------------------------------------------
                                                                   Federal  
                             Update     Exceptions     Budget    rate (after
         Fiscal year         factor     reduction    neutrality    outlier  
                                          factor       factor     reduction)
    ------------------------------------------------------------------------
    1992................          N/A       0.9813       0.9602       415.59
    1993................         6.07        .9756        .9162    \1\417.29
    1994................         3.04        .9485        .8947    \2\378.34
    1995................         3.44        .9734        .8432    \3\376.83
    1996................         1.50        .9840          N/A    \4\457.11
    1997................         1.80        .9804          N/A       463.63
    1998................         1.90        .9723          N/A       468.54
    1999................         2.00        .9572          N/A       470.49
    2000................         2.00        .9375          N/A      470.02 
    ------------------------------------------------------------------------
    \1\Note: Includes the DRG/GAF adjustment factor of 0.9980 and the change
      in the outlier adjustment from 0.9497 in FY 1992 to 0.9496 in FY 1993.
                                                                            
    \2\Note: Includes the 7.4 percent reduction in the unadjusted standard  
      Federal rate. Also includes the DRG/GAF adjustment factor of 1.0033   
      and the change in the outlier adjustment from 0.9496 in FY 1993 to    
      0.9454 in FY 1994.                                                    
    \3\Note: Includes the DRG/GAF adjustment factor of 1.0031 and the change
      in the outlier adjustment from 0.9454 in FY 1994 to 0.9414 in FY 1995.
                                                                            
    \4\Note: Includes the adjustment of .9886 for taxes, and the transfer   
      adjustment of .9972. Also includes the DRG/GAF adjustment factor of   
      1.0024 and the change in the outlier adjustment from .9414 in FY 1995 
      to .9526 in FY 1996. Future adjustments are, for purposes of this     
      projection, assumed to remain at the same level.                      
    
    
    BILLING CODE 4120-01-P
    
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    Appendix C
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    Appendix D: Recommendation of Update Factors for Operating Cost Rates 
    of Payment for Inpatient Hospital Services
    
    I. Background
    
        Several provisions of the Social Security Act (the Act) address the 
    setting of update factors for services furnished in FY 1996 by 
    hospitals subject to the prospective payment system and those excluded 
    from the prospective payment system. Section 1886(b)(3)(B)(i)(XI) of 
    the Act sets the FY 1996 percentage increase in the operating cost 
    standardized amounts equal to the rate of increase in the hospital 
    market basket minus 2.0 percentage points for prospective payment 
    hospitals in all areas. Section 1886(b)(3)(B)(iv) of the Act sets the 
    FY 1996 percentage increase to the hospital-specific rate applicable to 
    sole community hospitals equal to the rate set forth in section 
    1886(b)(3)(B)(i) of the Act, that is, the same update factor as all 
    other hospitals subject to the prospective payment system, or the rate 
    of increase in the market basket minus 2.0 percentage points. Section 
    1886(b)(3)(B)(ii) of the Act sets the FY 1996 percentage increase in 
    the rate of increase limits for hospitals excluded from the prospective 
    payment system equal to the rate of increase in the excluded hospital 
    market basket minus the applicable reduction or, in the case of a 
    hospital in a fiscal year for which the hospital's update adjustment 
    percentage is at least 10 percent, the excluded hospital market basket 
    percentage increase. Under section 1886(b)(3)(B)(v) of the Act, a 
    hospital's update percentage increase for FY 1996 is the percentage 
    increase by which the hospital's allowable operating costs of inpatient 
    hospital services recognized under this title for the cost reporting 
    period beginning in FY 1990 exceed the hospital's target amount for 
    such cost reporting period, increased for each fiscal year (beginning 
    with FY 1994) by the sum of any of the hospital's applicable reductions 
    for previous years. The applicable reduction with respect to a hospital 
    for FY 1996 is the lesser of 1 percentage point or the percentage point 
    difference between 10 percent and the hospital's update adjustment 
    percentage for FY 1996.
        In accordance with section 1886(d)(3)(A) of the Act, we are 
    proposing to update the standardized amounts, the hospital-specific 
    rates, and the rate-of-increase limits for hospitals excluded for the 
    prospective payment system as provided in section 1886(b)(3)(B) of the 
    Act. Based on the first quarter 1995 forecasted market basket increase 
    of 3.5 percent for hospitals subject to the prospective payment system, 
    the proposed updates in the standardized amounts are 1.5 percent for 
    hospitals in both large urban and other areas. The proposed update in 
    the hospital-specific rate applicable to sole community hospitals is 
    1.5 percent (that is, the market basket rate of increase of 3.5 percent 
    minus 2.0 percentage points). The proposed update for hospitals 
    excluded from the prospective payment system is based on the percentage 
    increase in the excluded hospital market basket (currently estimated at 
    3.6 percent) minus the applicable reduction factor. The applicable 
    reduction factor is the lesser of 1 percentage point or the percentage 
    point difference between 10 percent and the hospital's update 
    adjustment percentage. Therefore, for excluded hospitals, the hospital-
    specific update can vary between 2.6 and 3.6 percent.
        Sections 1886(e)(2)(A) and (3)(A) of the Act require that the 
    Prospective Payment Assessment Commission (ProPAC) recommend to the 
    Congress by March 1, 1995 an update factor that takes into account 
    changes in the market basket rate of increase index, hospital 
    productivity, technological and scientific advances, the quality of 
    health care provided in hospitals, and long-term cost effectiveness in 
    the provision of inpatient hospital services.
        In its March 1, 1995 report, ProPAC recommended update factors to 
    the standardized amounts equal to the percentage increase in the market 
    basket minus 1.8 percentage points for hospitals in both large urban 
    and other areas. Based on its market basket rate of increase estimate 
    of 3.9 percent, ProPAC's recommended update to the standardized amounts 
    equal 2.1 percent for hospitals in both large urban and other areas. 
    ProPAC recommended that the update for the hospital-specific rates 
    applicable to sole community hospitals be the same factor as the rate 
    for all other prospective payment hospitals. This recommendation would 
    result in a 2.1 percent update to the hospital-specific rates. The 
    components of ProPAC's update factor recommendations are described in 
    detail in the ProPAC report, which is published as Appendix E to this 
    document. We discuss ProPAC's recommendations concerning the update 
    factors and our responses to these recommendations below.
        Section 1886(e)(4) of the Act requires that the Secretary, taking 
    into consideration the recommendations of ProPAC, recommend update 
    factors for each fiscal year that take into account the amounts 
    necessary for the efficient and effective delivery of medically 
    appropriate and necessary care of high quality. Under section 
    1886(e)(5) of the Act, we are required to publish the update factors 
    recommended under section 1886(e)(4) of the Act. Accordingly, this 
    appendix provides the recommendations of appropriate update factors, 
    the analysis underlying our recommendations, and our responses to the 
    ProPAC recommendations concerning the update factors.
    
    II. Secretary's Recommendations
    
        Under section 1886(e)(4) of the Act, we are recommending that the 
    standardized amounts be increased by an amount equal to the market 
    basket rate of increase minus 2.0 percentage points for hospitals 
    located in large urban and other areas. We are also recommending an 
    update of the market basket rate of increase minus 2.0 percentage 
    points to the hospital-specific rate for sole community hospitals. 
    These figures are consistent with the President's budget 
    recommendation, given the current market basket forecast of 3.5 
    percent.
        We recommend that hospitals excluded from the prospective payment 
    system receive an update equal to the percentage increase in the market 
    basket that measures input price increases for services furnished by 
    excluded hospitals minus 1.0 percentage point. That market basket rate 
    of increase is currently forecast at 3.6 percent. Subtracting 1.0 
    percentage point would result in an update for hospitals excluded from 
    the prospective payment system of 2.6 percent.
        As required by section 1886(e)(4) of the Act, we have taken into 
    consideration the recommendations of ProPAC in setting these 
    recommended update factors. Our responses to the ProPAC recommendations 
    concerning the update factors are discussed below.
    
    III. ProPAC Recommendation for Updating the Prospective Payment System 
    Standardized Amounts
    
        For FY 1996, ProPAC recommends that the standardized amounts be 
    updated by the following factors:
         The projected increase in the HCFA market basket index, 
    estimated at 3.9 percent, based upon the fourth quarter 1994 forecast;
         An adjustment of 0.4 percentage points to reflect the 
    difference between the ProPAC and HCFA market baskets;
         A negative adjustment of 1.8 percentage points to correct 
    for substantial error in the FY 1994 market basket forecast;
         A positive adjustment of 0.3 percentage points to reflect 
    the cost- [[Page 29381]] increasing effects of scientific and 
    technological advances;
         A negative adjustment of 0.3 percentage points to 
    encourage hospital productivity improvements; and
         A net adjustment of zero percentage points for case-mix 
    change in FY 1995.
        Overall, the net increase employing the above factors is the 
    percentage increase in the hospital market basket minus 1.8 percentage 
    points. Based on the market basket estimate of 3.9 percent, ProPAC 
    recommends that hospitals in large urban and other areas receive a 2.1 
    percent update.
        Response: We are recommending an update that is consistent with the 
    Administration's budget proposal and the requirements of section 
    1886(b)(3)(B)(i) of the Act, as amended by section 13501(a) of Public 
    Law 103-66. Our recommendation is that the update for prospective 
    payment system hospitals located in large urban and other areas for FY 
    1996 be equal to the market basket rate of increase forecast minus 2.0 
    percentage points. Based on HCFA's current forecast of the market 
    basket rate of increase (3.5 percent), we recommend an update for FY 
    1996 for large urban and other hospitals equal to 1.5 percent. Our 
    recommendation is supported by the following analyses that measure 
    changes in hospital productivity, scientific and technological 
    advances, practice pattern changes, and changes in case mix:
         Productivity: Service level productivity is defined as the 
    ratio of total service output to full-time equivalent employees (FTEs). 
    While we recognize that productivity is a function of many variables 
    (for example, labor, nonlabor material, and capital inputs), we use a 
    labor productivity measure in our framework, since the current update 
    framework applies to operating payment. To recognize that we are 
    apportioning the short run output changes to the labor input, we weigh 
    our productivity measure for operating costs by the appropriate share 
    of labor input relative to total operating input to determine the 
    expected effect on cost per case.
        Our recommendation for the service productivity component is based 
    on historical trends in productivity and total output for both the 
    hospital industry and the general economy, and projected levels of 
    future hospital service output. ProPAC has also estimated cumulative 
    service productivity growth to be 4.9 percent from 1985-1989, or 1.2 
    percent annually. At the same time, they estimate total output growth 
    at 3.4 percent annually, implying a ratio of service productivity 
    growth to output growth of 0.35. Our MedPAR analysis indicates total 
    Medicare service output (charges per admission, adjusted for CPI 
    change) increased 16.5 percent from 1985-1994, or an approximate 
    average annual increase of 1.7 percent. Since it is not possible at 
    this time to develop a productivity measure specific to Medicare 
    patients, we examined productivity (output per hour) and output (gross 
    domestic product) for the economy. Depending on the exact time period, 
    annual changes in productivity range from .3 to .35 of the change in 
    output (that is, a 1.0 percent increase in output would be correlated 
    with an 0.3 to 0.35 percent change in output per hour).
        Under our framework, the recommended update is based in part on 
    expected productivity--that is, projected service output during the 
    year multiplied by the historical ratio of service productivity to 
    total service output, multiplied by the share of labor in total 
    operating inputs, as calculated in the hospital market basket rate of 
    increase. This method estimates an expected labor productivity 
    improvement in the same proportion to expected total service growth 
    that has occurred in the past and assumes that, at a minimum, growth in 
    FTEs changes proportionally to the growth in total service output. 
    Thus, the recommendation allows for unit productivity to be smaller 
    than the historical averages in years that output growth is relatively 
    low and higher in years that output growth is larger than the 
    historical trend. Based on the above estimates from both the hospital 
    industry and the economy, we have chosen to employ the range of ratios 
    of productivity change to output change of 0.30 to 0.35.
        The expected change in total hospital service output is the product 
    of projected growth in total admissions (adjusted for outpatient 
    usage), projected real case-mix growth, and expected quality enhancing 
    intensity growth, net of expected decline in intensity due to reduction 
    of cost ineffective practice. Case-mix growth and intensity numbers for 
    Medicare are used as proxies for those of the total hospital, since 
    case-mix increases (used in the intensity measure as well) are 
    unavailable for non-Medicare patients. Thus, expected output growth is 
    simply the sum of the expected change in intensity (0.0 percent), 
    projected admissions change (3.0 percent for FY 1996), and projected 
    real case-mix growth (.8 percent), or 3.8 percent. The share of direct 
    labor services in the market basket rate of increase (consisting of 
    wages, salaries, and employee benefits) is 61.7 percent. Multiplying 
    the expected change in total hospital service output (3.8 percent) by 
    the ratio of historical service productivity change to total service 
    growth of 0.30 to 0.35 and by the direct labor share percentage (0.617) 
    provides our productivity standard of 0.7 to 0.8 percent.
        ProPAC also believes hospitals should be given an incentive for 
    additional productivity improvement. ProPAC measures productivity as 
    the ratio of hospital admissions (adjusted for case mix and outpatient 
    services) per FTE employee (adjusted for changes in skill mix). ProPAC 
    includes in its productivity measurement the effect of changes in 
    practice patterns. We treat practice pattern changes as a portion of 
    our intensity adjustment, described below. This year, ProPAC assumes a 
    productivity gain of at least 0.6 percent and recommends a -0.3 
    percentage point adjustment on the basis that any productivity gains 
    should be shared equally by Medicare and hospitals.
         Intensity: We base our intensity standard on the combined 
    effect of three separate factors: changes in the use of quality 
    enhancing services, changes in the use of services due to shifts in 
    within-DRG severity, and changes in the use of services due to 
    reductions of cost-ineffective practices. For FY 1996, we recommend an 
    adjustment of 0.0 percent. The basis of this recommendation is 
    discussed below.
        We have no empirical evidence that accurately gauges the level of 
    quality-enhancing technology changes. Typically, a specific new 
    technology increases cost in some uses and decreases cost in other 
    uses. Concurrently, health status is improved in some situations while 
    in other situations it may be unaffected or even worsened using the 
    same technology. It is difficult to separate out the relative 
    significance of each of the cost increasing effects for individual 
    technologies and new technologies.
        The quality enhancing technology component is intended to recognize 
    the use of services which increase cost but whose value in terms of 
    enhanced health-status is commensurate with these costs. Such services 
    may result from technological change, or in some cases, increased use 
    of existing technologies. The latter recognizes that as cost and 
    medical effectiveness studies become available, some increased use of 
    existing, as well as new, services may be warranted.
        The component for reduction of cost-ineffective practice recognizes 
    that some improvements in practice patterns could be made so that the 
    intensity of services [[Page 29382]] provided is more consistent with 
    the efficient use of limited resources. That is, improvements could be 
    made so that the number of services provided during an inpatient stay, 
    and their complexity, produce an improvement in health status that is 
    consistent with the cost of care. This component of our update 
    recommendation is intended to encourage both hospitals and physicians 
    to more carefully consider the cost-effectiveness of medical care. This 
    component of the framework also accounts for real within-DRG change, 
    since that should be directly reflected in the CMI-adjusted growth in 
    real charges per case.
        Following methods developed by HCFA's Office of the Actuary for 
    deriving hospital output estimates from total hospital charges, we have 
    developed Medicare-specific intensity measures based on a 5-year 
    average using FY 1990-1994 MedPAR billing data. Case-mix constant 
    intensity is calculated as the change in total Medicare charges per 
    discharge adjusted for changes in the average charge per unit of 
    service as measured by the Medical CPI hospital component and changes 
    in real case-mix. For FY 1990 through FY 1992, we estimate that 1.0 to 
    1.4 percent of observed case-mix increase was real. This estimate is 
    supported by past studies of case-mix change by the RAND Corporation. 
    The most recent study was ``Has DRG Creep Crept Up? Decomposing the 
    Case Mix Index Change Between 1987 and 1988'' by G.M. Carter, J.P. 
    Newhouse, and D.A. Relles, R-4098-HCFA/ProPAC (1991). The study 
    suggests that real case-mix change was not dependent on total change, 
    but was rather a fairly steady 1.0 to 1.5 percent per year. We use 1.4 
    percent as the upper bound because the RAND study did not take into 
    account that hospitals may have induced doctors to document medical 
    records more completely in order to improve payment. For FY 1993 and FY 
    1994, we assumed that all of the observed case-mix increases of 0.9 and 
    0.8 percent, respectively, were real. If we assume that real case-mix 
    increase was 1.0 percent for FY 1990-1992, 0.9 percent for FY 1993, and 
    0.8 percent for FY 1994, we estimate case-mix constant intensity 
    declined by an average 1.2 percent during FY 1990 through 1994, for a 
    cumulative decrease of 6.1 percent. If we assume that real case-mix 
    increase was 1.4 percent for FY 1990-1992, 0.9 percent for FY 1993, and 
    0.8 percent for FY 1994, we estimate case-mix constant intensity 
    declined by an average of 1.5 percent during FY 1990 through 1994, for 
    a cumulative decrease of 7.2 percent. Since we estimate that intensity 
    has declined during FY 1990-1994 period, we are recommending a 0.0 
    percent intensity adjustment for FY 1996.
         Quality Enhancing New Science and Technology: For FY 1996, 
    ProPAC used a qualitative approach to develop its estimate by examining 
    technologies considered in last year's estimate and reviewing the 
    literature for potential new advances. ProPAC decided that 0.3 percent 
    was the appropriate level for the FY 1996 adjustment. This is the same 
    estimate ProPAC used in FY 1995. ProPAC stated that there is no reason 
    to believe that the rate of increase in scientific and technological 
    advances had risen or fallen from last year's estimate.
        We still believe that there may be several shortcomings with 
    ProPAC's recommendations with regard to technology. First, the estimate 
    does not account for offsetting changes in DRG assignment. Second, it 
    is not clear that all of the new technologies listed in ProPAC's study 
    significantly enhance health status. To the extent the new technologies 
    are not quality enhancing, an adjustment is inappropriate. Finally, 
    some of the technologies have considerable potential for cost savings 
    relative to the technologies they are replacing.
         Change in Case Mix: Our analysis takes into account 
    projected changes in case-mix, adjusted for changes attributable to 
    improved coding practices. For our FY 1996 update recommendation, we 
    are projecting a 0.8 percent increase in the case-mix index. We define 
    real case-mix increase as actual changes in the mix (and resource 
    requirements) of Medicare patients as opposed to changes in coding 
    behavior that result in assignment of cases to higher-weighted DRGs but 
    do not reflect greater resource requirements. For FY 1996, we believe 
    that real case-mix increase is equal to our projected change in case 
    mix. We do not see any changes in coding behavior in our projected 
    case-mix change. Our net adjustment to case-mix change for FY 1996 is 
    0.0 percentage points.
        The -1.0 percent figure used in the ProPAC framework represents 
    ProPAC's projection for observed case-mix change. ProPAC projects a 0.8 
    percentage points increase in real case-mix change across DRG's and a 
    0.2 percentage points increase in within-DRG case-complexity change. 
    ProPAC's net adjustment for case mix is 0.0 percentage points.
         Effect of FY 1994 DRG Reclassification and Recalibration: 
    We estimate that DRG reclassification and recalibration for FY 1994 
    resulted in a 0.3 percent increase in the case-mix index when compared 
    with the case-mix index that would have resulted if we had not made the 
    reclassification and recalibration changes to the GROUPER. ProPAC does 
    not make an adjustment for DRG reclassification and recalibration in 
    its update recommendation. (We note that Congress asks the Secretary 
    for an estimate of these effects in our update recommendation.)
         Correction for Market Basket Forecast Error: The FY 1994 
    estimated market basket percentage increase used to update the payment 
    rates was 4.3 percent. Our most recent data indicate the actual FY 1994 
    increase was 2.5 percent, reflecting that the actual increase in wages 
    was lower than projected. The resulting forecast error in the projected 
    FY 1994 market basket rate of increase is 1.8 percentage points. Our 
    policy has been to make a forecast error correction if our estimate is 
    off by 0.25 percentage points or more. Therefore, we are recommending 
    an adjustment of -1.8 percentage points to reflect this overestimation 
    of the FY 1994 market basket rate of increase. The following is a 
    summary of the update ranges supported by our analyses compared to 
    ProPAC's framework.
    
                                                                            
    [[Page 29383]]
             Table 1.--Comparison of FY 1996 Update Recommendations         
    ------------------------------------------------------------------------
                                                       HHS           ProPAC 
    ------------------------------------------------------------------------
    Market Basket............................                  MB         MB
    Difference Between HCFA & ProPAC Market                                 
     Baskets.................................  ..................       +0.4
                                              ------------------------------
        Subtotal.............................                  MB     MB+0.4
                                              ==============================
    Policy Adjustment Factors:                                              
        Productivity.........................        -0.7 to -0.8       -0.3
    Intensity:                                                0.0  .........
        Science and Technology...............  ..................       +0.3
        Practice Patterns....................  ..................      (\1\)
        Real Within DRG Change...............  ..................      (\2\)
                                              ------------------------------
          Subtotal...........................        -0.7 to -0.8       +0.0
                                              ==============================
    Case Mix Adjustment Factors:                                            
        Projected Case Mix Change............                -0.8       -1.0
        Real Across DRG Change...............                 0.8       +0.8
        Real Within DRG Change...............               (\3\)       +0.2
                                              ------------------------------
          Subtotal...........................                 0.0        0.0
                                              ==============================
    Effect of 1993 Reclassification and                                     
     Recalibration...........................                -0.3  .........
    Forecast Error Correction................                -1.8       -1.8
                                              ------------------------------
        Total Recommended Update.............    MB-2.8 to MB-2.9    MB-1.4 
    ------------------------------------------------------------------------
    \1\Included in ProPAC's Productivity Measure.                           
    \2\Included in ProPAC's Case Mix Adjustment.                            
    \3\Included in HHS's Intensity Factor.                                  
    
      While the above analysis would support a recommendation that the 
    update be no more than market basket minus 2.8 percentage points, we 
    are recommending an update of market basket minus 2.0 percentage 
    points, consistent with current law. Any further reduction in the 
    update factor would be most appropriate within the context of health 
    care reform. We also recommend that the hospital-specific rates 
    applicable to sole community hospitals be increased by the same update, 
    market basket minus 2.0 percentage points.
    
    IV. ProPAC Recommendation for the Elimination of a Separate Update for 
    Sole Community Hospitals
    
        ProPAC recommends an update factor for hospitals paid the hospital-
    specific rate equal to the factor used for all other prospective 
    payment hospitals. As discussed earlier, the statute sets the update 
    equal to the market basket minus 2.0 percentage points. In addition, 
    ProPAC suggests that it is no longer necessary to calculate a separate 
    update for these hospitals since section 1886(b)(3)(B)(iv) of the Act 
    dictates that the update for sole community hospitals be the same as 
    for other prospective payment hospitals in the future.
        Response: We agree with the ProPAC recommendation that the update 
    factor for hospitals paid the hospital-specific rate be the same as the 
    update applicable to other prospective payment hospitals. That update 
    factor is equal to the market basket percentage increase minus 2.0 
    percentage points, or 1.5 percent. We concur with the ProPAC suggestion 
    to eliminate a separate update for the hospital-specific rate for the 
    time being. We will continue to monitor the financial condition of sole 
    community hospitals for signs of potential stress and provide a 
    separate recommendation when and if conditions warrant it.
    
    V. ProPAC Recommendation for Updating the Rate-of-Increase Limits for 
    Excluded Hospitals
    
        ProPAC recommends an update factor equal to the market basket rate 
    of increase minus 1.6 percentage points for excluded hospitals and 
    units. The 1.6 percentage points reduction represents a reduction of 
    1.6 percentage points to account for the forecast error in the FY 1994 
    market basket rate of increase for excluded units, no increase to 
    reflect the different compensation price proxies used by ProPAC, and no 
    allowance for new technology. ProPAC no longer recommends an additional 
    allowance based on the year the hospital or unit was excluded from the 
    prospective payment system, pending our report to Congress on payment 
    reform for excluded hospitals and units as mandated by Public Law 101-
    508.
        Response: We recommend that hospitals excluded for the prospective 
    payment system receive an update equal to the percentage increase in 
    the market basket that measures input price increases for services 
    furnished by excluded hospitals minus 1.0 percentage point. The 
    reduction is consistent with the updates provided under the current law 
    and in the President's budget. The market basket rate of increase for 
    excluded hospitals is currently forecast at 3.6 percent. Subtracting 
    1.0 percentage point would result in an update of 2.6 percent for 
    excluded hospitals and units.
    
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    [FR Doc. 95-13183 Filed 6-1-95; 8:45 am]
    BILLING CODE 4120-01-C
    
    

Document Information

Published:
06/02/1995
Department:
Health Care Finance Administration
Entry Type:
Proposed Rule
Action:
Proposed rule.
Document Number:
95-13183
Pages:
29202-29434 (233 pages)
Docket Numbers:
BPD-825-P
RINs:
0938-AG95: Medicare Program: Changes to the Inpatient Hospital Prospective Payment Systems and Fiscal Year 1996 Rates (BPD-825-FC)
RIN Links:
https://www.federalregister.gov/regulations/0938-AG95/medicare-program-changes-to-the-inpatient-hospital-prospective-payment-systems-and-fiscal-year-1996-
PDF File:
95-13183.pdf
CFR: (43)
42 CFR 412.23(b)(2)
42 CFR 410.69(b)
42 CFR 412.308(c)(1)
42 CFR 412.308(c)(4)(ii)
42 CFR 412.4(d)
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