How price transparency could affect US healthcare markets

| Artigo

It has been more than a year and a half and three years, respectively, since federal price transparency rules went into effect for payers and hospitals. Together, the two rules require public disclosure of all commercial payer–provider negotiated rates, and they include other provisions aimed at improving price transparency.1

After a slow start,2 payers and hospitals have made progress toward publishing negotiated rates.3 In the meantime, regulators are continuing to take actions to further advance price transparency. For example, the Centers for Medicare & Medicaid Services (CMS) has shortened the time hospitals have to respond to notices of noncompliance and has imposed automatic fines for noncompliance.4 The US House of Representatives recently advanced legislation that would impose more price transparency requirements on additional types of care delivery organizations.5 Moreover, state and local governments in Massachusetts, Minnesota, New York City, and Virginia have enacted their own price transparency requirements.6

This article puts price transparency rules in context and explores their implications, including:

  • the existence of price dispersion in US healthcare that is not explained by differences in quality of care
  • how price transparency rules address some market inefficiencies driving this price dispersion but leave others unresolved
  • that patients—if given proper incentives and information—would be interested in shopping for care that amounts to 20 to 25 percent of US healthcare claims spend, potentially unlocking gains in affordability for consumers
  • the potential for price transparency rules, together with other innovations, such as advances in technology and analytics, to empower patients to shop for care more than ever, helping offset growth in healthcare costs
  • implications for healthcare industry stakeholders, potential shifts in industry profit pools, and first-mover advantages for organizations that capitalize on this opportunity to improve healthcare for US consumers

Price transparency rules, and complementary industry innovations, could better align US healthcare cost and quality

Price transparency can help address two factors that limit the relationship between price and quality in US healthcare. First, price transparency helps resolve asymmetry in rate information by requiring payers and hospitals to publish rates and requiring payers to provide portals that patients can access to estimate out-of-pocket expenses.

Second, patients today have limited incentives to shop for healthcare because they bear only a partial share of cost-of-care differentials; the average patient enrolled in an employer-sponsored plan pays 16 to 19 percent of the total cost of care via copays, coinsurance, and deductibles, with the rest being paid by the employer and payer.7 Additionally, because the designs of health insurance benefits are complex, patients do not always share in the financial benefits when they make high-value, low-cost choices (for example, receiving eligible care in an alternative care setting, such as at home, rather than in traditional facility-based settings).

Although much of the discussion about federal price transparency rules has focused on disclosure of contracted rates between payers and care delivery organizations, several clauses specifically promote transparency for consumers. Examples include the following:

However, price transparency fails to address other factors, including the following:

Achieving greater efficiency in US healthcare markets would require addressing these persistent factors in addition to striving for greater price transparency.

Price transparency could have a sizable impact on financials of individual payers and care delivery organizations

US healthcare prices vary widely; on average, prices for the same healthcare services differ by 40 to 50 percent within a given US metropolitan statistical area (Exhibit 1). This means substantial economic value is at stake in commercial rate negotiations between care delivery organizations and payers. Given that annual spending for commercial healthcare claims is roughly $1.1 trillion, every increase or decrease of 1 percent in commercial reimbursement rates leads to an increase or decrease of about $11 billion in national healthcare claims spend.10

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Although price transparency may not be sufficient to transform the US healthcare market overall, individual care delivery organizations and payers could use the information in rate negotiations to bring rates more in line with each other’s respective value.

Currently available price transparency data is incomplete and imperfect, but organizations could use it in several practical ways. For example, care delivery organizations that are charging premium rates for undifferentiated services may need to reevaluate or redefine their value propositions or prepare for margin compression. At the same time, high-performing care delivery organizations whose rates do not reflect their value and quality will be better equipped to engage payers with identifiable data substantiating that current rates are not competitive, helping to align rates with their true value. While price transparency data is incomplete and should not be used in isolation, the nature of price transparency data—published by payers themselves and published on a payer–provider identifiable basis—makes price transparency data a unique and valuable complement to traditional claims-based benchmarking methods.

Employers can also use this newly available data to benefit their employees. For example, a Pennsylvania employer used price transparency data to find cases in which its negotiated rates were higher than those offered to other patients and used this information to reduce certain healthcare costs by as much as 43 percent.11

In addition to using price transparency data to optimize current contracts, organizations can also use it to increase the accuracy of performance assumptions, market analysis, and strategic value in evaluating potential organic and inorganic growth opportunities.

Price transparency rules are one of several innovations that could encourage consumer shopping in healthcare

Sixty-four percent of US patients have never shopped around for healthcare services by comparing prices,12 but that may change. In 2022, out-of-pocket expenditures increased by more than 6 percent relative to 2021, averaging $1,425 per patient.13 Inflation, clinical labor shortages, and other challenging macroeconomic conditions could propel further increases in healthcare costs over the next few years,14The gathering storm in US healthcare: How leaders can respond and thrive,” McKinsey, September 8, 2022. which could lead to higher out-of-pocket costs and premiums for patients.

In the meantime, technological advancements in recent years now make it possible for payers to offer members easy-to-use, personalized healthcare-shopping support similar to what they commonly experience with e-commerce, financial services, and airline travel. Our May 2023 survey of consumers revealed that patients trust cost estimates published by payers more than those published by other healthcare organizations, including care delivery organizations. Additionally, affordability is a top concern, with 89 percent expressing interest in shopping for at least one category of care if given the option and 33 to 52 percent of consumers willing to switch providers (for example, choosing a different physician or health system) in return for cash rebates of $25 to $100.15 These results (as displayed in Exhibits 2, 3, and 4) indicate that members may respond well to payer-led efforts to increase access to this information.

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Specifically, this consumer research implies that new price transparency rules, which encourage payers to offer information and cash rebates to members, could push patient-driven healthcare shopping over the tipping point. For example, payers could do the following to encourage shopping for at least some categories of care:

  • launch digital shopping platforms that allow members to seamlessly compare costs, access, and quality of in-network physicians and other categories of providers
  • make personalized provider recommendations that are tailored to a member’s clinical history, geography, language, plan design, and other preferences
  • offer personalized incentives for high-impact care choices (for example, choosing a high-performing primary care physician or scheduling surgery at a center of excellence)

The timing of payers’ offers of these recommendations and incentives is particularly important. As research on cascades of care has shown, making the right care decision at the beginning of a patient’s care journey can help improve affordability of an overall care pathway or episode of care.16 Critically, consumer survey results indicate that consumers are particularly willing to shop for care at the beginning of care journeys, such as when selecting a primary care physician or specialist. Because these decisions can have a substantial effect on downstream costs and quality of care, providing consumers with the incentives and information to shop for care at even a few key inflection points could generate meaningful benefits for patients.

Personalization of incentives and care recommendations will also likely be important. For example, our May 2023 consumer survey found that provider quality was the most important provider selection factor (15 percent of respondents). Other critical factors included the provider’s location (10 percent) and days or times available for appointments (tied for importance with estimated out-of-pocket costs at 9 percent). As a result, incentives that address these types of consumer preferences may be more likely to encourage shopping behavior. Because federal price transparency rules do not specify the form incentives must take, payers could experiment with a variety of incentives to determine how best to promote consumer empowerment and satisfaction.

In total, we estimate roughly 73 percent of commercial claims spend occurs for care that is shoppable to some degree.

An increase in patient-driven healthcare with support from these types of personalized shopping experiences could substantially influence US healthcare profit pools. In total, we estimate roughly 73 percent of commercial claims spend occurs for care that is shoppable to some degree (Exhibit 5).17

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If roughly one in three commercial insurance members begin to shop for this care—something our surveys indicate is possible with the right information and incentives—then patients could reasonably shop for care for about 20 to 25 percent of all commercial claims spend. Because commercial claims account for the majority of care delivery organization profit pools in the United States, this level of shopping would have substantial implications for organizations across the care continuum.

Achieving this potential will not be easy. A new age of healthcare shopping would represent a paradigm shift for payers, care delivery organizations, pharmaceutical companies, and consumers. Uptake may be faster in certain care categories (such as physician appointments) than others (such as scheduled surgeries). And payers would need to make meaningful investments in consumer-facing analytics and digital experience to empower widespread adoption of shopping platforms.

However, our research makes two things clear: substantial consumer demand for healthcare shopping exists, and the reward for organizations that meet that demand could be dramatic. If price transparency rules help catalyze a new wave of innovation to meet this consumer demand, the impact of these rules could be profound—even if they are not a panacea for all the market inefficiencies in US healthcare.

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