CHIP and the ACA Maintenance of Effort
(MOE) Requirement: In Brief
Alison Mitchell
Analyst in Health Care Financing
Evelyne P. Baumrucker
Analyst in Health Care Financing
February 11, 2015
Congressional Research Service
7-5700
www.crs.gov
R43909
CHIP and the ACA Maintenance of Effort (MOE) Requirement: In Brief
Summary
State Children’ (MOE) Requirement: In Brief
April 23, 2015
(R43909)
Summary
State Children's Health Insurance Program (CHIP) is a means-tested program that provides health
coverage to targeted low-income children and pregnant women in families that have annual
income above Medicaid eligibility levels but do not have health insurance. CHIP is jointly
financed by the federal government and the states and administered by the states. The federal
government sets basic requirements for CHIP, but states have the flexibility to design their own
version of CHIP within the federal government
’'s basic framework. States may design their CHIP
programs in three ways: a CHIP Medicaid expansion, a separate CHIP program, or a combination
approach in which the state operates a CHIP Medicaid expansion and one or more separate CHIP
programs concurrently. As a result, there is significant variation across CHIP programs. In
FY2013, CHIP enrollment totaled 8.4 million and federal and state CHIP expenditures totaled
$13.2 billion.
Under the CHIP statute,
FY2015FY2017 is the last year federal CHIP funding is provided, even though
the Patient Protection and Affordable Care Act (ACA; P.L. 111-148, as amended) child
maintenance of effort (MOE) requirement is in place through FY2019. The MOE provision
requires states to maintain income eligibility levels for CHIP children through September 30,
2019, as a condition for receiving federal Medicaid payments (notwithstanding the lack of
corresponding federal CHIP appropriations for
FY2016-FY2018 and FY2019). The MOE requirement impacts
CHIP Medicaid expansion programs and separate CHIP programs differently.
•
For CHIP Medicaid expansion programs, when federal CHIP funding is
exhausted, the CHIP-eligible children in these programs will continue to be
enrolled in Medicaid but financing will switch from CHIP to Medicaid.
•
For separate CHIP programs, states are provided a couple of exceptions to the
MOE requirement: (1) states may impose waiting lists or enrollment caps to limit
CHIP expenditures, and (2) after September 1, 2015, states may enroll
CHIPeligibleCHIP-eligible children in qualified health plans in the health insurance exchanges. In
addition, in the event that a state
’'s CHIP allotment is insufficient to fund CHIP
coverage for all eligible children, a state must establish procedures to screen
children for Medicaid eligibility and enroll those who are Medicaid eligible. For
children not eligible for Medicaid, the state must establish procedures to enroll
CHIP children in qualified health plans in the health insurance exchanges that
have been certified by the Secretary of Health and Human Services to be
“"at least
comparable” comparable" to CHIP in terms of benefits and cost sharing.
This report discusses the ACA MOE requirement for children if federal CHIP funding expires. It
begins with a brief background about CHIP, including information regarding program design and
financing. The report then describes the ACA child MOE requirements for CHIP Medicaid
expansion programs and for separate CHIP programs and discusses potential coverage
implications.
Congressional Research Service
CHIP and the ACA Maintenance of Effort (MOE) Requirement: In Brief
Contents
Introduction...................................................................................................................................... 1
CHIP Background ............................................................................................................................ 1
Program Design ......................................................................................................................... 2
CHIP Financing ......................................................................................................................... 3
MOE Requirement ........................................................................................................................... 4
CHIP Medicaid Expansion Programs ........................................................................................ 4
Separate CHIP Programs ........................................................................................................... 5
Conclusion ....................................................................................................................................... 6
Contacts
Author Contact Information............................................................................................................. 6
Congressional Research Service
CHIP and the ACA Maintenance of Effort (MOE) Requirement: In Brief
Introduction
CHIP and the ACA Maintenance of Effort (MOE) Requirement: In Brief
Introduction
Under the State Children
’'s Health Insurance Program (CHIP) statute,
FY2015FY2017 is the last year
federal CHIP funding is provided, even though the Patient Protection and Affordable Care Act
(ACA; P.L. 111-148, as amended) child maintenance of effort (MOE) requirement is in place
through FY2019. The ACA MOE provision requires states to maintain income eligibility levels
for CHIP children through September 30, 2019, as a condition for receiving federal Medicaid
payments (notwithstanding the lack of corresponding federal CHIP appropriations for
FY2016FY2019).
FY2018 and FY2019).
This report discusses the ACA MOE requirement for children if federal CHIP funding expires. It
begins with a brief background of CHIP, including information regarding program design and
financing. The report then describes the ACA child MOE requirements for CHIP Medicaid
expansion programs and for separate CHIP programs and discusses potential coverage
implications.
CHIP Background
CHIP Background
CHIP is a federal-state program that provides health coverage to certain uninsured, low-income
children and pregnant women in families that have annual income above Medicaid eligibility
levels but do not have health insurance.
11 CHIP is jointly financed by the federal government and
the states and is administered by the states. Participation in CHIP is voluntary, and all states and
the District of Columbia participate. The federal government sets basic requirements
for CHIP,
but states have the flexibility to design their own version of CHIP within the federal government
’s
's basic framework. As a result, there is significant variation across CHIP programs. In FY2013,
CHIP enrollment totaled 8.4 million and federal and state CHIP expenditures totaled $13.2
billion.
2
2
CHIP was established as part of the Balanced Budget Act of 1997 (P.L. 105-33) under a new Title
XXI of the Social Security Act. Since that time, other federal laws have provided additional
funding and made significant changes to CHIP. Most notably, the Children
’'s Health Insurance
Program Reauthorization Act of 2009 (P.L. 111-3) increased appropriation levels for CHIP,
changed the formula for distributing CHIP funding among states, and altered the eligibility and
benefit requirements.
33 The ACA largely maintains the current CHIP structure through FY2019
and requires states to maintain their Medicaid and CHIP child eligibility levels through FY2019
as a condition for receiving federal Medicaid matching funds. However, the ACA does not
provide federal appropriations for CHIP beyond FY2015.4
1
For more information about the State Children’s Health Insurance Program (CHIP), see CRS Report R43627, State
Children’s Health Insurance Program: An Overview, by Evelyne P. Baumrucker and Alison Mitchell.
2
Medicaid and CHIP Payment and Access Commission, Report to Congress on Medicaid and CHIP, March 2014.
3
For more information on the changes enacted under the Children’s Health Insurance Program Reauthorization Act of
2009, see CRS Report R40226, P.L. 111-3: The Children’s Health Insurance Program Reauthorization Act of 2009, by
Evelyne P. Baumrucker, Elicia J. Herz, and Jane G. Gravelle.
4
For more information about the changes enacted under the Patient Protection and Affordable Care Act (ACA; P.L.
111-148, as amended), see CRS Report R41210, Medicaid and the State Children’s Health Insurance Program (CHIP)
(continued...)
Congressional Research Service
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CHIP and the ACA Maintenance of Effort (MOE) Requirement: In Brief
Program Design
as a condition for receiving federal Medicaid matching funds. The ACA provided federal CHIP funding for FY2014 and FY2015, then the Medicare Access and CHIP Reauthorization Act of 2015 (MACRA; P.L. 114-10) extended federal CHIP funding for another two years (i.e., through FY2017).4
Program Design
States may design their CHIP programs in three ways: a CHIP Medicaid expansion, a separate
CHIP program, or a combination approach in which the state operates a CHIP Medicaid
expansion and one or more separate CHIP programs concurrently.
CHIP benefit coverage and cost-sharing rules depend on program design. CHIP Medicaid
expansions must follow the federal Medicaid rules for benefits and cost sharing, which entitle
CHIP enrollees to Early and Periodic Screening, Diagnostic, and Treatment (EPSDT) coverage
(effectively eliminating any state-defined limits on the amount, duration, and scope of any benefit
listed in Medicaid statute) and exempt the majority of children from any cost sharing. For
separate CHIP programs, states can design benefits that look more like private health insurance
and may impose cost sharing, such as premiums or co-payments, with a maximum allowable
amount that is tied to annual family income. Aggregate cost sharing under CHIP may not exceed
5% of annual family income.
Regardless of the choice of program design, all states must cover emergency services; well-baby
and well-child care, including age-appropriate immunizations; and dental services. If offered,
mental health services must meet federal mental health parity requirements. States that want to
make changes to their programs beyond what Medicaid or CHIP laws allow may seek approval
from the Centers for Medicare & Medicaid Services (CMS) through the use of the Section 1115
waiver authority.
5
5
Eight states, the District of Columbia, and the territories had CHIP Medicaid expansions as of
July 1, 2014, whereas 13 states had separate CHIP
programs6programs6 and 29 states used a combination
approach.7 The bulk of CHIP enrollees received coverage through separate CHIP programs
(approximately 70%) in FY2013. The remainder received coverage through a CHIP Medicaid
expansion.8
(...continued)
Provisions in ACA: Summary and Timeline, by Evelyne P. Baumrucker et al.
5
Under §1115 of the Social Security Act, the Secretary of Health and Human Services (HHS) may waive CHIP
program requirements so states can test new program design options that further the goals of the CHIP program. CHIP
§1115 waivers are time limited (up to five years) and must be allotment neutral to the federal government. In other
words, they cannot cost the federal government more than what is available under the state’s annual allotment(s) (i.e.,
federal funds allocated to each state for the federal share of its CHIP expenditures) applicable to the fiscal years for
which the demonstration is operational.
6
As of July 1, 2014, 2 states (Washington and Connecticut) had separate CHIP programs with no Medicaid expansions.
The remaining 11 states (Alabama, Arizona, Georgia, Kansas, Oregon, Mississippi, Pennsylvania, Texas, Utah, West
Virginia, and Wyoming) are considered to have separate CHIP programs, but technically these programs are part of
combination CHIP programs due to the ACA requirement to transition CHIP children aged 6 through 18 in families
with annual income less than 133% of the federal poverty level (based on modified adjusted gross income, or MAGI) to
Medicaid, beginning January 1, 2014.
7
Centers for Medicare & Medicaid Services (CMS), Children’s Health Insurance Program Plan Activity, as of July 1,
2014.
8
Medicaid and CHIP Payment and Access Commission, Report to the Congress on Medicaid and CHIP, March 2014.
Congressional Research Service
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CHIP and the ACA Maintenance of Effort (MOE) Requirement: In Brief
CHIP Financing
approach.7 According to preliminary CHIP enrollment data for FY2014, about half of CHIP enrollees are in CHIP Medicaid expansion programs and about half are in separate CHIP programs.8
CHIP Financing
CHIP is jointly financed by the federal government and the states,
9 with the federal government
paying about 70% of total CHIP expenditures.
910 The federal government reimburses states for a
portion of every dollar they spend on CHIP (including both CHIP Medicaid expansions and
separate CHIP programs) up to state-specific annual limits called allotments. The federal
government’ government's share of CHIP expenditures (including both services and administration) is
determined by the enhanced federal medical assistance percentage (E-FMAP) rate. The E-FMAP
rate is calculated by reducing the state share under the federal medical assistance percentage
(FMAP) rate (i.e., the federal matching rate for most Medicaid expenditures) by 30%, which
increases the federal share of expenditures.
1011 The E-FMAP rate varies by state. In FY2015, the
EFMAPE-FMAP rate ranges from 65% (in 13 states) to 82% (in Mississippi).
Although FY2015 Starting in FY2016, the E-FMAP rate is to increase by 23 percentage points for most CHIP expenditures. This increase is to be in effect through FY2019.
Although FY2017 is the last year states are to receive CHIP allotments, federal CHIP outlays are
expected in
FY2016FY2018 because states will have access to unspent funds from their
FY2015
FY2017 allotments and unspent
FY2014 allotments redistributed to shortfall states (if any).11 However,
federal CHIP funding is not expected to be sufficient to cover the federal share of states’ CHIP
programs for the entire year, especially with the 23 percentage point increase in the E-FMAP that
is set to begin in FY2016.12 With this 23 percentage point increase, the federal share of CHIP will
be significantly higher, which means states are expected to spend their limited federal CHIP
funding (i.e., state CHIP allotments) faster when this percentage increase takes effect.
FY2016 allotments redistributed to shortfall states (if any).12
In a few situations, federal CHIP funding is used to finance Medicaid expenditures. For instance,
certain states significantly expanded Medicaid eligibility for children prior to the enactment of
CHIP in 1997.
1313 These states are allowed to use their CHIP allotment funds to finance the
difference between the Medicaid and CHIP matching rates (i.e., the FMAP and E-FMAP rates,
respectively) to cover the cost of children in Medicaid above 133% of the federal poverty level
(FPL).
14
14
In addition, states may use CHIP allotment funds and receive the
more generous E-FMAP rates
higher CHIP matching rate (i.e., E-FMAP rate) for two ACA provisions that went into effect on January 1, 2014:
1515 (1) expenditures for children
aged 6 to 18 in families with annual income up to 133%
of FPL who had been enrolled in separate CHIP programs and were transitioned to Medicaid,16 and (2) children who moved from CHIP to Medicaid due to the application of the 5% income disregard.17
MOE Requirement
The ACA extended and expanded the MOE provisions in the American Recovery and FPL who had been enrolled in separate
9
U.S. Department of Health and Human Services, CMS, Form CMS-64 data.
For more information about the federal medical assistance percentage (FMAP) rate and how it is calculated, see CRS
Report R43847, Medicaid’s Federal Medical Assistance Percentage (FMAP), FY2016, by Alison Mitchell.
11
If a state’s CHIP allotment for the current year, in addition to any allotment funds carried over from the prior year, is
insufficient to cover the projected CHIP expenditures for the current year, a few different shortfall funding sources are
available. These include Child Enrollment Contingency Funds, redistribution funds, and Medicaid funds.
12
The ACA included a provision to increase the enhanced federal medical assistance percentage (E-FMAP) rate by 23
percentage points (not to exceed 100%) for most CHIP expenditures from FY2016 through FY2019.
13
The following 11 states meet this definition: Connecticut, Hawaii, Maryland, Minnesota, New Hampshire, New
Mexico, Rhode Island, Tennessee, Vermont, Washington, and Wisconsin.
14
§2015(g) of the Social Security Act.
15
CMS, “Medicaid and CHIP FAQs: Funding for New Adult Group, Coverage of Former Foster Care Children and
CHIP Financing,” December 2013.
10
Congressional Research Service
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CHIP and the ACA Maintenance of Effort (MOE) Requirement: In Brief
CHIP programs and were transitioned to Medicaid,16 and (2) children who moved from CHIP to
Medicaid due to the application of the 5% income disregard.17
MOE Requirement
The ACA extended and expanded the MOE provisions in the American Recovery and
Reinvestment Act of 2009 (ARRA; P.L. 111-5
).18).18 The ACA MOE provisions contain separate
requirements for Medicaid and CHIP and were designed to ensure that individuals eligible for
these programs did not lose coverage between the date of enactment of the ACA (March 23,
2010) and the implementation of the health insurance exchanges (for adults) and September 30,
2019 (for children).
Under the ACA MOE provisions, states are required to maintain their Medicaid programs with
the same eligibility standards, methodologies, and procedures in place on the date of enactment of
the ACA until January 1, 2014, for adults and through September 30, 2019, for children up to the
age of 19. The ACA also requires states to maintain income eligibility levels for CHIP children
through September 30, 2019, as a condition for receiving payments under Medicaid.
1919 The
penalty to states for not complying with either the Medicaid or the CHIP MOE requirements
would be the loss of all federal Medicaid matching funds.
20
20
Together, these MOE requirements for Medicaid and CHIP impact CHIP Medicaid expansion
programs and separate CHIP programs differently.
21
21
CHIP Medicaid Expansion Programs
For CHIP Medicaid expansion programs, the Medicaid and CHIP MOE provisions apply
concurrently.
2222 For states to continue to receive federal Medicaid funds, the ACA child MOE
provisions require that CHIP-eligible children in CHIP Medicaid expansion programs must
continue to be eligible for Medicaid through September 30, 2019.
2323 When a state
’'s federal CHIP
funding is exhausted, the state
’s financing for these children switches from CHIP to Medicaid.
16
The E-FMAP rate is not available for children aged 6 to 18 who have access to private health insurance.
Beginning January 1, 2014, the ACA required the federal government and states to rely on MAGI rules when
determining eligibility for CHIP, Medicaid (for most nonelderly populations), and subsidized exchange coverage.
Under MAGI rules, a state looks at each individual’s MAGI, deducts 5% (which the law provides as a standard
disregard), and compares that income with the new income standards set by each state.
18
The American Recovery and Reinvestment Act of 2009 (ARRA; P.L. 111-5; extended in P.L. 111-226) included a
temporary increase in the FMAP. To receive the FMAP increase under ARRA, states were required to maintain the
same Medicaid eligibility standards, methodologies, and procedures in effect on July 1, 2008, through June 30, 2011.
19
§2105(d)(3) of the Social Security Act.
20
§1902(gg)(2) of the Social Security Act.
21
The Secretary of HHS has not issued guidance regarding the impact of the maintenance of effort (MOE)
requirements if federal CHIP funding expires.
22
Both the CHIP child MOE requirement and the Medicaid child MOE requirement concurrently apply to the CHIP
Medicaid expansion programs.
23
CHIP children covered under CHIP Medicaid expansion programs are an optional eligibility group under Medicaid.
However, because the Medicaid MOE for children extends through FY2019, states are not permitted to roll back
Medicaid eligibility for these children without the loss of all Medicaid federal matching funds.
17
Congressional Research Service
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CHIP and the ACA Maintenance of Effort (MOE) Requirement: In Brief
's financing for these children switches from CHIP to Medicaid. This switch would cause the state share of covering these children to increase because the federal
matching rate for Medicaid is less than the E-FMAP rate.
As discussed above, states may have some Medicaid expenditures financed with federal CHIP
funds. In any of these situations, when federal CHIP funding is exhausted, states would be
responsible for continuing to provide Medicaid coverage to these children through September 30,
2019. However, as is the case with the CHIP Medicaid expansion programs, the financing would
switch from CHIP to Medicaid, resulting in an increase in the state share of these expenditures
because the federal matching rate would be lowered from the E-FMAP rate to the FMAP rate.
Separate CHIP Programs
For separate CHIP programs, only the CHIP-specific provisions of the ACA MOE requirements
are applicable. These provisions contain a couple of exceptions:
1. states may impose waiting lists or enrollment caps to limit CHIP expenditures, or
2. after September 1, 2015, states may enroll CHIP-eligible children in qualified
health plans in the health insurance exchanges that have been certified by the
Secretary of Health and Human Services (HHS) to be
“"at least comparable
”" to
CHIP in terms of benefits and cost sharing.
In addition, in the event that a state
’'s CHIP allotment is insufficient to fund CHIP coverage for all
eligible children, a state must establish procedures to screen CHIP-eligible children for Medicaid
eligibility24 eligibility24 and to enroll those who are eligible in Medicaid.
For children not eligible for Medicaid, the state must establish procedures to enroll CHIP-eligible
children in qualified health plans offered in the health insurance exchanges that have been
certified by the Secretary of HHS to be
“"at least comparable
”" to CHIP in terms of benefits and
cost sharing. Under these ACA MOE requirements, states are required only to establish
procedures to enroll children in qualified health plans certified by the Secretary. If there are no
certified plans, the MOE requirement does not obligate states to provide coverage to these
children. Even when there are certified plans, not all CHIP children may be eligible for subsidized
exchange coverage due to the family glitch
,25 among other reasons.
24
States must conduct eligibility redeterminations for Medicaid and CHIP at least annually. Due to fluctuations in
income among the CHIP target population, it is possible that a formerly CHIP-eligible child may meet the state’s
Medicaid eligibility standard due to a change in annual income that may not have been taken into consideration until
the enrollee’s next regularly scheduled eligibility redetermination.
25
Subsidized coverage in the health insurance exchanges is not available to individuals with access to affordable health
insurance. The family glitch results from the definition of affordable coverage. Under the ACA, employer-sponsored
insurance is considered affordable if an employee’s premium contributions for self-only coverage (not family coverage)
comprise less than 9.5% of household income. However, there is no affordability limit on the employee’s share of the
premium for family coverage. Due to the family glitch, some current CHIP enrollees would not be eligible for
subsidized coverage in the health insurance exchanges based on a parent’s access to affordable employer-sponsored
insurance. For more information about subsidized coverage in the health insurance exchanges, see CRS Report
R41137, Health Insurance Premium Credits in the Patient Protection and Affordable Care Act (ACA), by Bernadette
Fernandez.
Congressional Research Service
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CHIP and the ACA Maintenance of Effort (MOE) Requirement: In Brief
Conclusion
FY2015 is the last year federal CHIP funding is provided in the CHIP statute. If no additional
federal funding is provided for the program, once federal CHIP funding is exhausted, CHIP
children in CHIP Medicaid expansion programs would continue to receive coverage under
Medicaid through at least FY2019, due to the ACA MOE requirement. However, coverage of
CHIP children in separate CHIP programs who are not eligible for Medicaid depends on the
availability of qualified health plans that are certified by the Secretary of HHS to be “at least
comparable” to CHIP in terms of benefits and cost sharing unless states decide to provide statefunded CHIP coverage.
Author Contact Information
Alison Mitchell
Analyst in Health Care Financing
amitchell@crs.loc.gov, 7-0152
Congressional Research Service
Evelyne P. Baumrucker
Analyst in Health Care Financing
ebaumrucker@crs.loc.gov, 7-8913
6
,25 among other reasons.
Conclusion
FY2017 is the last year federal CHIP funding is provided in the CHIP statute. If no additional federal funding is provided for the program, once federal CHIP funding is exhausted, CHIP children in CHIP Medicaid expansion programs would continue to receive coverage under Medicaid through at least FY2019, due to the ACA MOE requirement. However, coverage of CHIP children in separate CHIP programs who are not eligible for Medicaid depends on the availability of qualified health plans that are certified by the Secretary of HHS to be "at least comparable" to CHIP in terms of benefits and cost sharing unless states decide to provide state-funded CHIP coverage.
Footnotes
1.
|
For more information about the State Children's Health Insurance Program (CHIP), see CRS Report R43627, State Children's Health Insurance Program: An Overview, by [author name scrubbed] and [author name scrubbed].
|
2.
|
Medicaid and CHIP Payment and Access Commission, Report to Congress on Medicaid and CHIP, March 2014.
|
3.
|
For more information on the changes enacted under the Children's Health Insurance Program Reauthorization Act of 2009, see CRS Report R40226, P.L. 111-3: The Children's Health Insurance Program Reauthorization Act of 2009, by [author name scrubbed], [author name scrubbed], and [author name scrubbed].
|
4.
|
For more information about the changes enacted under the Medicare Access and CHIP Reauthorization Act of 2015 (MACRA; P.L. 114-10), see CRS Report R43962, H.R. 2: The Medicare Access and CHIP Reauthorization Act of 2015, coordinated by [author name scrubbed] and Kirstin B. Blom.
|
5.
|
Under §1115 of the Social Security Act, the Secretary of Health and Human Services (HHS) may waive CHIP program requirements so states can test new program design options that further the goals of the CHIP program. CHIP §1115 waivers are time limited (up to five years) and must be allotment neutral to the federal government. In other words, they cannot cost the federal government more than what is available under the state's annual allotment(s) (i.e., federal funds allocated to each state for the federal share of its CHIP expenditures) applicable to the fiscal years for which the demonstration is operational.
|
6.
|
As of July 1, 2014, 2 states (Washington and Connecticut) had separate CHIP programs with no Medicaid expansions. The remaining 11 states (Alabama, Arizona, Georgia, Kansas, Oregon, Mississippi, Pennsylvania, Texas, Utah, West Virginia, and Wyoming) are considered to have separate CHIP programs, but technically these programs are part of combination CHIP programs due to the ACA requirement to transition CHIP children aged 6 through 18 in families with annual income less than 133% of the federal poverty level (based on modified adjusted gross income, or MAGI) to Medicaid, beginning January 1, 2014.
|
7.
|
Centers for Medicare & Medicaid Services (CMS), Children's Health Insurance Program Plan Activity, as of July 1, 2014.
|
8.
|
Medicaid and CHIP Payment and Access Commission, Report to the Congress on Medicaid and CHIP, March 2015.
|
9.
|
For more information about federal CHIP financing, see CRS Report R43949, Federal Financing for the State Children's Health Insurance Program (CHIP), by [author name scrubbed].
|
10.
|
U.S. Department of Health and Human Services, CMS, Form CMS-64 data.
|
11.
|
For more information about the federal medical assistance percentage (FMAP) rate and how it is calculated, see CRS Report R43847, Medicaid's Federal Medical Assistance Percentage (FMAP), FY2016, by [author name scrubbed].
|
12.
|
If a state's CHIP allotment for the current year, in addition to any allotment funds carried over from the prior year, is insufficient to cover the projected CHIP expenditures for the current year, a few different shortfall funding sources are available. These include Child Enrollment Contingency Funds, redistribution funds, and Medicaid funds.
|
13.
|
The following 11 states meet this definition: Connecticut, Hawaii, Maryland, Minnesota, New Hampshire, New Mexico, Rhode Island, Tennessee, Vermont, Washington, and Wisconsin.
|
14.
|
§2015(g) of the Social Security Act.
|
15.
|
CMS, "Medicaid and CHIP FAQs: Funding for New Adult Group, Coverage of Former Foster Care Children and CHIP Financing," December 2013.
|
16.
|
The E-FMAP rate is not available for children aged 6 to 18 who have access to private health insurance.
|
17.
|
Beginning January 1, 2014, the ACA required the federal government and states to rely on MAGI rules when determining eligibility for CHIP, Medicaid (for most nonelderly populations), and subsidized exchange coverage. Under MAGI rules, a state looks at each individual's MAGI, deducts 5% (which the law provides as a standard disregard), and compares that income with the new income standards set by each state.
|
18.
|
The American Recovery and Reinvestment Act of 2009 (ARRA; P.L. 111-5; extended in P.L. 111-226) included a temporary increase in the FMAP. To receive the FMAP increase under ARRA, states were required to maintain the same Medicaid eligibility standards, methodologies, and procedures in effect on July 1, 2008, through June 30, 2011.
|
19.
|
§2105(d)(3) of the Social Security Act.
|
20.
|
§1902(gg)(2) of the Social Security Act.
|
21.
|
The Secretary of HHS has not issued guidance regarding the impact of the maintenance of effort (MOE) requirements if federal CHIP funding expires.
|
22.
|
Both the CHIP child MOE requirement and the Medicaid child MOE requirement concurrently apply to the CHIP Medicaid expansion programs.
|
23.
|
CHIP children covered under CHIP Medicaid expansion programs are an optional eligibility group under Medicaid. However, because the Medicaid MOE for children extends through FY2019, states are not permitted to roll back Medicaid eligibility for these children without the loss of all Medicaid federal matching funds.
|
24.
|
States must conduct eligibility redeterminations for Medicaid and CHIP at least annually. Due to fluctuations in income among the CHIP target population, it is possible that a formerly CHIP-eligible child may meet the state's Medicaid eligibility standard due to a change in annual income that may not have been taken into consideration until the enrollee's next regularly scheduled eligibility redetermination.
|
25.
|
Subsidized coverage in the health insurance exchanges is not available to individuals with access to affordable health insurance. The family glitch results from the definition of affordable coverage. Under the ACA, employer-sponsored insurance is considered affordable if an employee's premium contributions for self-only coverage (not family coverage) comprise less than 9.5% of household income. However, there is no affordability limit on the employee's share of the premium for family coverage. Due to the family glitch, some current CHIP enrollees would not be eligible for subsidized coverage in the health insurance exchanges based on a parent's access to affordable employer-sponsored insurance. For more information about subsidized coverage in the health insurance exchanges, see CRS Report R41137, Health Insurance Premium Credits in the Patient Protection and Affordable Care Act (ACA) in 2014, by [author name scrubbed].