The Departments of Labor, Health and Human Services (HHS), and the Treasury (collectively, the Departments) have issued their FAQ 52 clarifying certain requirements regarding the obligation of health plans and health insurance issuers (Plans) to cover at-home COVID-19 tests. Under legislation passed in 2020, Plans are required to cover such tests without cost-sharing, prior authorization, or medical management requirements.
In their FAQ 51, the Departments clarified that the obligation to cover such tests applies to over-the-counter (OTC) tests available to consumers without a prescription or individualized clinical assessment.ย FAQ 51 established two safe harbors for the implementation of this requirement.
FAQ 52 was issued to clarify various questions that had arisen about the safe harbors in FAQ 51.
Plans can meet the requirement to provide โdirect coverageโ of COVID-19 tests if they offer at least one direct-to-consumer shipping mechanism and one in-person mechanism.ย Examples given in the FAQ include:
The in-person program can limit reimbursement to specified outlets or tests but should ensure that an adequate number of locations and tests are available.ย Program adequacy will be determined under a โfact-and-circumstancesโ standard.ย The Department will consider matters such as the locality of Plan participants; current utilization of the Planโs pharmacy network by its participants, when making such coverage available through a pharmacy network; and how the Plan notifies participants of the retail locations, distribution sites, or other mechanisms for distributing tests, as well as which tests are available under the direct coverage program.
Plans should ensure that participants have all the information they need to secure the tests.
Plans will not be considered out-of-compliance solely because they are unable to meet demand for the test due to supply shortages.
Although Plans cannot limit access to the test through medical management processes, they can take steps to prevent, detect, and address fraud and abuse.ย For example, a Plan could:
However, the FAQ also reminds Plans that they cannot require participants to submit multiple documents or jump through numerous hoops that unduly delay access to or reimbursement for the tests.
The FAQ cautions that the rules regarding coverage of OTC tests are limited to those tests that can be used by and provide results to the consumer without the involvement of a laboratory or health care provider.
Finally, the FAQ explains that participants cannot be reimbursed by an FSA, HRA, or HSA for tests to the extent they are paid for or reimbursed by the Plan.