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The Holistic Healing
Home » Food for thought: Expanding opportunities for nutrition as medicine
Nutrition

Food for thought: Expanding opportunities for nutrition as medicine

theholisticadminBy theholisticadminJune 27, 2024No Comments8 Mins Read
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overview


A study recently published in JAMA estimated that more than 6 million people in the United States suffer from dietary and activity restrictions and could benefit from medically tailored meals, or medically assisted food and nutrition (MSF&N) services. The estimate also suggests that providing such meals to these people could avert 1.6 million hospitalizations and save $13.6 billion annually. In recent years, growing evidence of the positive effects of nutrition assistance on health outcomes and costs has prompted policy changes at both the federal and state levels, resulting in new opportunities for medical and nutrition service organizations to collaborate to improve health through MSF&N services. This discussion will highlight some of these opportunities.


What are MSF&N Services?


MSF&N services represent a continuum of services that recognizes and responds to the critical link between nutrition and health. These include medically tailored meals and groceries, medically supported meals and groceries, produce prescriptions, and food pharmacies. The Food is Medicine Coalition, a national group of nonprofit MSF&N providers, represents these services as a continuum of services that respond to the severity of an individual’s needs (see Figure 1).


Figure 1. Range of food and nutrition interventions to improve health


Insert alt text.png

Source: Food Is Medicine Coalition: Our Model


MSF&N services are, by definition, integrated into a patient-centered model of care for the prevention, management, and treatment of chronic diseases and health conditions and are distinct from the broader hunger safety net (e.g., the Supplemental Nutrition Assistance Program or the National School Lunch Program).


Recent health policy changes supporting MSF&N services


As evidence accumulates supporting the value of MSF&N services on health outcomes and costs, new avenues of authority, funding, and integration in health care delivery systems are emerging.


Medicaid and Children’s Health Insurance Program (CHIP): Historically, certain MSF&N services were typically provided only as part of Medicaid home and community-based services (HCBS) programs for individuals receiving long-term support services. In the 2010s, California, Massachusetts, and North Carolina became the first states to use Medicaid Section 1115 demonstration waivers to pay for MSF&N for individuals with certain complex chronic illnesses and other health conditions. Since then, several other states have funded MSF&N services in their Medicaid programs using 1115 waivers or under Medicaid managed care “in lieu of service” (ILOS) authority.1


In 2022, the Centers for Medicare & Medicaid Services (CMS) began formalizing its policy on MSF&N, alongside its policy on housing, with a November 2023 “Information Bulletin” and accompanying framework listing the following approvable services related to food and nutrition:


  • Nutrition/food access case management services.
  • Nutritional counseling and guidance
  • Delivering meals or stocking food pantries2
  • Nutritional formulas (e.g. fruit and vegetable formulas, protein boxes)
  • Provision of food items.


Beyond the Section 1115 waiver, CMS guidance outlines other options for Medicaid coverage of MSF&N, including options to cover such services through managed care plans (under ILOS authority), for people who need long-term services and supports (through HCBS waivers), as part of the regular package of Medicaid benefits (through state plan amendments), and for children (through the CHIP Health Services Initiative).


Medicare: In 2020, CMS issued guidance to further define and expand the Special Supplemental Benefits for the Chronically Ill (SSBCI) that Medicare Advantage Plans, including Dual Eligible Special Needs Plans (D-SNPs), can offer to improve the health outcomes of enrollees with chronic conditions. Medicare Advantage Plans can use SSBCI to provide meals, food, produce, and transportation for grocery shopping. According to Milliman’s analysis, food, produce, and meal assistance were among the most common SSBCI benefits offered by Medicare Advantage Plans in 2023. Home-delivered meals and other MSF&N services are not reimbursed at this time under Medicare Part A (traditional fee-for-service Medicare).


Commercial and Marketplace Programs: The Biden Administration has sought to prioritize the integration of nutrition into health care delivery across all payers. Commercial or Marketplace plans offer medically tailored meals and grocery delivery nationwide for enrollees with certain diet-related health conditions. For example, Geisinger Health’s Fresh Food Pharmacy provides fresh, healthy food to enrollees and their families weekly if the enrollee’s A1C score is above 8.0 and food is in short supply. Since its inception in 2016, enrollees participating in the Fresh Food Pharmacy program have been found to have an average of two points lower HbA1c scores, lower weight, blood pressure, triglycerides, and cholesterol, and reduced health care costs by $16,000 to $24,000 per participating enrollee.


Expanding opportunities for MSF&N services


stateCMS’s recent guidance provides a roadmap for states seeking to authorize, design, and launch MSF&N programs in their Medicaid systems. In several states that have implemented MSF&N services, the Medicaid program is already one of the largest funders of these services. States play a key role in defining which MSF&N services will be covered, who is eligible to receive them, what standards providers must meet, and what data must be collected to evaluate outcomes. As more states implement MSF&N services through Medicaid and document results and lessons learned, other states will likely follow suit.


Health Insurance (Medicaid Managed Care Plans, Medicare Advantage, Private Insurance Companies): Expanded reimbursement for MSF&N services allows plans to invest in popular, cost-effective interventions that improve outcomes, reduce utilization, and enhance enrollee experience. As more states add MSF&N coverage to their Medicaid programs, many are incorporating the cost of service into plan fees and delegating management of the services to plans, including identifying and engaging eligible individuals, contracting with and overseeing MSF&N provider organizations, and tracking enrollee utilization and health outcomes. Although adoption in the commercial market is still in its early stages, a robust and thoughtful MSF&N program could give commercial plans a competitive advantage and help reduce costs.


Healthcare Providers: As MSF&N coverage expands, many providers are partnering with local food and nutrition organizations to screen, identify, and refer patients who have diet-related chronic conditions, are food insecure, and could benefit from MSF&N services. As value-based payment systems become increasingly prevalent, providers who bear financial risk on behalf of their patients may see the integration of cost-effective interventions such as MSF&N services as an attractive service that supports patients and reduces costs and utilization.


MSF&N Organisation: As MSF&N services become more integrated into health care delivery, new opportunities arise for nutrition organizations to sustain and expand their activities. For example, the Food is Medicine Coalition has developed a voluntary national certification program for MSF&N providers. Grants and technical assistance (available through state Medicaid programs, health plans, and/or charitable organizations) can help organizations build new systems and enhancements, such as contracting, management, data, and billing capabilities, needed to support the delivery of MSF&N services. Larger, more experienced MSF&N organizations can have new opportunities under such programs to train other organizations and be compensated for their role. Organizations can also form so-called “community care hubs,” which share administrative capabilities and operational infrastructure and band together to serve more diverse populations. States vary in the extent to which they encourage the formation of such hubs.


Issues we are tracking


  • Status of state Medicaid programs:

    • Do you approve funding for MSF&N services (e.g., through Section 1115 waivers, ILOS, HCBS waivers)?
    • Do you financially incentivize Medicaid plan and/or provider investment in MSF&N services (e.g., reinvestment requirements, quality measures, incentive contracts)?
    • Will the cost of MSF&N services be rolled into Medicaid managed care fees?

  • How do federal and state policymakers encourage Medicare Advantage Plans and D-SNPs to provide MSF&N services through SSBCIs?
  • What support do health systems and providers need to effectively integrate MSF&N services into health care delivery?
  • What infrastructure and capacity challenges are MSF&N providers facing as they begin billing and data exchange, and how are states, plans, and providers working to address these challenges?
  • What provider qualification standards and oversight processes have states and plans adopted for MSF&N services?
  • How do states and other payers evaluate the effectiveness of MSF&N services?


Conclusion


MSF&N’s services help improve the lives and health of millions of Americans with diet-related health issues. MSF&N’s expanding scope of services and growing recognition that food and nutrition are upstream drivers of health status reflect an encouraging focus on “whole person” care.



1 As of April 2024, state Medicaid programs with payment authority for MSF&N services for certain populations include Oregon, Washington, New Jersey, North Carolina, Massachusetts, New York, and California.


2 Of note, the CMS framework provides that section 1115-authorized nutrition support programs that provide enrollees with three meals per day are limited to six months and may be extended for an additional six months if enrollees continue to meet the eligibility criteria. This limit does not apply to programs that provide fewer than three meals per day.




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