Speaking Engagements
Georgetown Law 2025 Advanced eDiscovery Institute
November 21, 2025 | 8:30 AM – 9:30 AM ET
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Strategies helps businesses and individuals solve the complexities of dealing with the government at every level. Our team of specialists concentrate exclusively on government affairs, representing clients nationwide who need assistance with public policy, advocacy, and government relations strategies.
This unique program provides innovative and affordable opportunities to startups and early-stage emerging companies with a solid technology or scientific foundation. We help companies that have a quality management team in place and do not have other significant legal representation.
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Articles + Publications May 3, 2024
Locke Lord LLP
In late April, the Centers for Medicare & Medicaid Services (CMS) issued the final Managed Care Rule, which codifies revisions intended to “improve access to care, accountability and transparency for the approximately 80 million Medicaid and CHIP beneficiaries who are enrolled in a managed care plan. The Managed Care Rule therefore: (1) “addresses standards for timely access to care and States’ monitoring and enforcement efforts”; (2) “reduces State burdens for implementing some State directed provider payments (SDPs) and certain quality reporting requirements”; (3) “adds new standards that will apply when States use in lieu of services and settings (ILOSs) to promote effective utilization and that specify the scope and nature of ILOSs”; (4) imposes more rigor around medical loss ratio (MLR) requirements; and (5) “establishes a quality rating system for Medicaid and CHIP managed care plans.”
This QuickStudy focuses on the Managed Care Rule’s “significant regulatory revisions” to MLR requirements for Medicaid and CHIP managed care organizations (MCOs)—requirements largely aligning their MLR determination and reporting requirements with those applicable to commercial health insurers and Medicare Advantage plans.
Overview of the Managed Care Rule’s Changes to MLR
The Managed Care Rule makes five key revisions to MLR requirements for Medicaid and CHIP MCOs:
Detail on MLR Changes Applying This Summer
Below we provide additional detail on the MLR changes with which MCOs must comply as of the effective date of the Managed Care Rule (July 9, 2024).
MLR Changes With Applicability Dates
|
Description |
Medicaid Citation |
CHIP Citation |
Applicability Date |
|
Standards for provider incentives |
42 C.F.R. § 438.8(e)(2)(iii)(A) |
42 C.F.R. § 457.1203(c) |
July 9, 2024 |
|
Reporting of SDPs in incurred claims for the MLR numerator |
42 C.F.R. § 438.8(e)(2)(iii)(C) |
N/A (provision applies only to Medicaid) |
July 9, 2024 |
|
Prohibited costs in quality improvement activities |
42 C.F.R. § 438.8(e)(3)(i) |
42 C.F.R. § 457.1203(c) |
July 9, 2024 |
|
Reporting of SDPs in premium revenue for the MLR denominator |
42 C.F.R. § 438.8(f)(2)(vii) |
N/A (provision applies only to Medicaid) |
July 9, 2024 |
|
Additional requirements for expense allocation methodology |
42 C.F.R. § 438.8(k)(1)(vii) |
42 C.F.R. § 457.1203(f) |
July 9, 2024 |
Provider Incentives. Previously, MCOs have been able to characterize provider incentive payments as part of “incurred claims” that are included in the numerator of the MLR calculation. As of July 9, 2024, Medicaid and CHIP MCOs may only include as “incurred claims”: “The amount of incentive and bonus payments made, or expected to be made, to network providers that are tied to clearly-defined, objectively measurable, and well-documented clinical or quality improvement standards that apply to providers.” This change is designed to ensure responsible fiscal decisions and prevent inappropriate gamesmanship of the MLR calculation.
SDPs in the MLR Numerator. The Managed Care Rule requires, for Medicaid MCOs only, that SDPs to providers be included as “incurred claims” counted in the numerator of the MLR calculation. This change is designed to make Medicaid managed care requirements align with fee-for-service supplemental payment requirements, and CMS considers it “critical for fiscal integrity in Medicaid.”
QIA Expenditures. Previously, MCOs could include in the MLR numerator expenses associated with QIA activities that met certain conditions. As of July 9, 2024, both Medicaid and CHIP MCOs must ensure that included QIA expenses “directly relate[] to activities that improve health care quality.” This change is designed to align Medicaid and CHIP MLR QIA requirements with Marketplace requirements and to improve clarity on the types of QIA expenditures that should be included in the MLR numerator.
SDPs in the MLR Denominator. Previously, MCOs had to include in their MLR denominator “adjusted premium revenue,” which, generally, is the MCO’s “premium revenue” minus federal, state, and local taxes and licensing and regulatory fees. As of July 9, 2024, Medicaid MCOs only must include as part of their “premium revenue” amounts received from states for expenditures under SDPs. This change also is designed to make Medicaid managed care requirements align with fee-for-service supplemental payment requirements, and CMS considers it “critical for fiscal integrity in Medicaid.”
Allocation Methodologies. The Managed Care Rule requires both Medicaid and CHIP MCOs to implement and disclose more detailed methodologies for allocation of expenditures related to the MLR calculation. Specifically, as of July 9, 2024, methodology(ies) for allocation of expenditures “must include a detailed description of the methods used to allocate expenses, including incurred claims, quality improvement expenses, Federal and State taxes and licensing or regulatory fees, and other nonclaims costs,” as further described in MLR disclosure and reporting regulations. This change is designed to make Medicaid managed care requirements align more closely with fee-for-service supplemental payment requirements.
Given the MLR changes summarized above, Medicaid and CHIP MCOs will need to quickly reevaluate their provider incentive programs, QIA determinations, and MLR reporting practices, processes, and recordkeeping to ready themselves for the July 9, 2024 applicability date. Furthermore, MCOs may need to model whether the impact of such changes will impair their ability to satisfy state MLR requirements and to determine what, if any, strategies could be developed and executed to avert potential problems.
If you have further questions about the Managed Care Rule, please contact your Locke Lord attorney.
Speaking Engagements
Georgetown Law 2025 Advanced eDiscovery Institute
November 21, 2025 | 8:30 AM – 9:30 AM ET
Firm Events
2025 Mid-Atlantic Health Care IT Forum
November 19, 2025 | 3:30 PM – 7:00 PM ET
Troutman Pepper Locke Philadelphia Office – Philadelphia Conference Center
31st Floor, 3000 Two Logan Square, Philadelphia, PA 19103, Eighteenth and Arch Streets
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2025 ACG Deal Crawl
November 19 – 20, 2025
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600 S College Street, Charlotte, NC 28202
Speaking Engagements
Restructuring in the Age of Artificial Intelligence
November 17, 2025 | 1:30 PM – 2:30 PM ET
Offices of CohnReznick
New York, NY
Leading the energy evolution.
Learn more
From compliance to the courtroom, we have you covered.
Learn more
Helping you focus on what matters – improving human health.
Learn more
Trusted advisors to leading insurers for 100+ years.
Learn more
Unlocking value in the middle market and beyond.
Learn more
Full-service legal advice from coast to coast.
Learn more
Applying radical applications of common sense
Explore More
Our standard-setting client experience program.
Explore more
Delivering life-changing help to those most in need.
Explore More
Our firm’s greatest asset is our people.
Explore More
Market-leading eDiscovery and data management services.
Explore more
The Pepper Center for Public Services
Explore more
Strategies helps businesses and individuals solve the complexities of dealing with the government at every level. Our team of specialists concentrate exclusively on government affairs, representing clients nationwide who need assistance with public policy, advocacy, and government relations strategies.
This unique program provides innovative and affordable opportunities to startups and early-stage emerging companies with a solid technology or scientific foundation. We help companies that have a quality management team in place and do not have other significant legal representation.
eMerge’s lawyers and technologists work together to deliver strategic end-to-end eDiscovery and data management solutions for litigation, investigations, due diligence, and compliance matters. We help clients discover the information necessary to resolve disputes, respond to investigations, conduct due diligence, and comply with legal requirements.
Stay ahead of the curve and in touch with our latest thinking on the issues that are top of mind across our practices and industry sectors.
Change happens fast in today’s turbulent world. Stay on top of the latest with our industry-specific channels.
Take a closer look at how we partner with clients to help them realize their goals.