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Home » Blog » How CMS Could Better Support Health In Medicare Advantage – The Health Care Blog
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How CMS Could Better Support Health In Medicare Advantage – The Health Care Blog

Jessica Lee
Jessica Lee
Published May 13, 2025
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By Emmanuel Animashaun

The Star Relations System of the Centers for Medicare and Medicaid Services (CMS) repeats an cornerstone of the quality evaluation in Medicare Advantage (MA), designed to train consumers with transparent information while rewarding plans that provide superior attention. However, recent developments, particularly the seismic degradation of human qualifications, reveal an unintended consequence: a system created to measure and encourage quality can now be actively undermining.

The human case: symptom of a broader problem

In 2025, Medicare Advantage Star classifications collapsed, with only 25% of the members who traced in four -star plans or more, below 94%. This was not due to the decrease in clinical performance, but resulted from the statistical adjustment of “Tukey Outlier” of CMS implemented with a minimum industry consultation. The change increased the yield thresholds, which caused human to lose billions in quality bonus payments and $ 4 billion in market value. The human challenge of human was denied, arguing that CMS violated the administrative procedure law through non -transparent processes. Other insurers, including UnitedHealthcare and Pennene, also share concerns about methodological stiffness and that the qualification system can have diverge from their purpose of improving patient care.

Perhaps more surprising are cases of elevation and scanning, which illustrate even more how rigid metrics can distort the evaluations of the quality of real care. In March 2023, both insurers were penalized after supposedly missing a single phone call of “secret buyer” of CMS, a call that, they claim, was never received. The reduction cost them dozens of millions in quality bonus payments and triggered legal challenges. As the CEO of Scan wrote, the sanction occurred despite the strong clinical performance and the patient’s results. Later, a federal judge failed in favor of the scan in June 2024, which led CMS to recalculate the grades of the stars in all Medicare Advantage plans. This episode underlines a key concern: when the measurement depends on not verifiable administrative moments, it can end up punishing instead of the quality of the promotion.

How quality measurement can undermine real quality

The Star qualifications system is added to 40 metrics in preventive care, adherence to medicines, member experience and customer service. However, disproportionately rewards compliance with the process and documentation on health results. The plans can excel optimizing coding, maximizing documentation or increasing the participation of the survey without providing better attention. This misalignment diverts resources from genuine health innovations. The investigation of a NBER working document even found that the best qualified plans are not statistically better to keep patients alive than the lowest, which raises fundamental questions about whether the system measures what really matters to the patient’s health.

Equally more worrying is that MA hires with greater proportions of members of several eligible, disabled or racial of several levels, not for lower, not because they are lower attention, but because the punctuation system is inappropriate for social risk. A study by Jama Health Forum highlighted how the plans that serve more black beneficiaries had lower stars ratings even when they controlled other factors. This effective structural bias penalizes the plans that do the challenging work to serve populations with complex needs, creating a perverse disincentive to focus on health equity.

The uncertainty of frequent changes in the calculation of stars rating could also propose serious implications for strategic planning for companies. When a company like human loses billions due to technical recalibration, it sends a worrying message: long -term investments in quality improvement may not generate yields if measurement methodologies change unpredictably. This volatility hinders strategic planning and discourages sustained investment in quality initiatives.

The impact of the real world on patients

These methodological deficiencies not only affect the results of health plans; They have tangible consequences for Medicare beneficiaries. When plans lose quality bonus payments (QBP), they should often reduce valuable complementary benefits such as transport assistance, dental coverage or support services at home, or increase the planning premiums, as Supply Health suggests. McKinsey estimates that CMS rating changes could cost more than $ 800 million in bonds, reducing the resources available for such benefits.

In addition, rating fluctuations can trigger the change of unnecessary plan as members, confused on whether the lowest stars indicate a poorer quality and change the plans unnecessarily. These transitions to interrupt the established programs of supplier relationships and care management, damaging clinical results. The investigation shows that the interruptions in the relations of the suppliers lead to a reduction in the use of primary care, an increase in visits to the emergency department and the highest hospitalization rates, in part for popular vulnerable popular conditions.

In addition, plans can doubt in the novel pilot approaches to manage high -cost populations and high risk if demographic realities mean that they could still face rating sanctions despite clinical success. This chilling effect on innovation finally harms the beneficiaries who could benefit from creative care models, which reinforces a system that rewards standardization in significant improvements in the provision of attention for popular complexes.

A framework for significant reform

To restore the alignment of the Star grades system with the improvement of quality care for Medicare beneficiaries, four essential reforms are needed:

1. Stabilize methodology and improve transparency: CMS must introduce methodological changes only after a robust public notice, a significant commitment of interested parties and appropriate implementation deadlines. Transparency in the development of measures, weighting and adjustment is essential to maintain system confidence and allow plans to align their quality strategies accordingly.

2. Implement comprehensive social risk adjustment: The current categorical adjustment index has shown a modest impact. A fairer evaluation system must thoroughly take into account income disparities, the state of disability, race, language barriers and other social factors that influence the provision of attention and results. This adjustment recognizes the additional resources necessary to achieve equivalent results for populations with complex social needs.

3. Reorient towards significant results: The emphasis should change towards measurable health improvements, such as reduced hospitalizations and better management of chronic diseases, instead of focusing largely on process measures or survey results that may not be correlated with real health benefits.

4. Reward the efforts of innovation and health capital: CMS must recognize plans that make significant investments in addressing health disparities and the creation of innovative care models for unattended communities.

The human case, together with the worrying incident of scanning and elevation telephone calls, repeats a critical inflection point for the quality measurement of Medicare Advantage. When a single loss call can trigger devastating financial sanctions despite strong clinical performance, and when plans that serve millions of beneficiaries can lose billions of value during the night due to quite lost methodological changes.

When implementing the proposal reforms, CMS can transform the grades of the stars of a compliance exercise into a genuine catalyst for better patient care. The last measure of success should not be statistical perfection or adhesion to rigid administrative protocols, but if the system helps the elderly vulnerable to living healthier and longer lives while reducing disparities in the quality of care. Only then will the grades of the stars will fulfill their planned role: guide the beneficiaries to truly higher plans while rewarding insurers to stand out to improve health, not just compliance.

Emmanuel is a Nigerian doctor and a second -year MPH/MBA candidate at the Johns Hopkins Bloomberg and Carey Business School. His work focuses on health finances, delivery reform and strategic approaches for the transformation of health systems.

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