Affiliation:
1. Bloomberg School of Public Health Johns Hopkins University
2. Sol Price School of Public Policy University of Southern California
3. Schaeffer Center for Health Policy and Economics University of Southern California
Abstract
Policy Points
The adoption of Medicaid institutions for mental disease (IMD) exclusion waivers increases the likelihood of substance abuse treatment facilities offering mental health and substance abuse treatment for co‐occurring disorders, especially in residential facilities.
There are differential responses to IMD waivers based on facility ownership. For‐profit substance abuse treatment facilities are responsive to the adoption of IMD substance use disorder waivers, whereas private not‐for‐profit and public entities are not.
The response of for‐profit facilities suggests that integration of substance abuse and mental health treatment for individuals in residential facilities may be cost‐effective.
ContextAccess to integrated care for those with co‐occurring mental health (MH) and substance use disorders (SUDs) has been limited because of an exclusion in Medicaid on paying for SUD care for those in institutions for mental disease (IMDs). Starting in 2015, the federal government encouraged states to pursue waivers of this exclusion, and by the end of 2020, 28 states had done so. It is unclear what impact these waivers have had on the availability of care for co‐occurring disorders and the characteristics of any facilities that expanded care because of them.MethodsUsing data from the National Survey of Substance Abuse Treatment Services, we estimate a two‐stage residual inclusion model including time‐ and state‐fixed effects to examine the effect of state IMD SUD waivers on the percentage of facilities offering co‐occurring MH and SUD treatment, overall and for residential facilities specifically. Separate analyses are conducted by facility ownership type.FindingsResults show that the adoption of an IMD SUD waiver is associated with 1.068 greater odds of that state having facilities offering co‐occurring MH and substance abuse (SA) treatment a year or more later. The adoption of a waiver increases the odds of a state's residential treatment facility offering co‐occurring MH and SA treatment by 1.129 a year or more later. Additionally, the results suggest 1.163 higher odds of offering co‐occurring MH/SA treatment in private for‐profit SA facilities in states that adopt an IMD SUD waiver while suggesting no significant impact on offered services by private not‐for‐profit or public facilities.ConclusionsOur study findings suggest that Medicaid IMD waivers are at least somewhat effective at impacting the population targeted by the policy. Importantly, we find that there are differential responses to these IMD waivers based on facility ownership, providing new evidence for the literature on the role of ownership in the provision of health care.
Reference43 articles.
1. Substance Abuse and Mental Health Services Administration.Key Substance Use and Mental Health Indicators in the United States: Results from the 2021 National Survey on Drug Use and Health. Center for Behavioral Health Statistics and Quality Substance Abuse and Mental Health Services Administration;2022.
2. Lifestyle interventions in the management of substance use disorder
3. OwensPL HeslinKC FingarKR WeissAJ.Co‐Occurrence of Physical Health Conditions and Mental Health and Substance Use Conditions Among Adult Inpatient Stays 2010 Versus 2014. Agency for Healthcare Research and Quality;2018.
4. WachinoV.SMD # 15‐003 re: new service delivery opportunities for individuals with a substance use disorder. Centers for Medicare and Medicaid Services. July 27 2015. Accessed May 22 2024.https://www.medicaid.gov/federal‐policy‐guidance/downloads/SMD15003.pdf