Comments
Renal Project Fall 2022 Cycle Final Comments
Name or Organization
Kidney Care Partners (KCP)
Measure 3719
3719 Prevalent Standardized Waitlist Ratio (PSWR) (Centers for Medicare & Medicaid Services )
The American Medication Association (AMA) agrees with the Standing Committee’s concerns around the validity of the measure as specified. We support the current recommendation to not endorse this measure.
Name or Organization
American Medical Association
Kidney Care Partners (KCP) is a non-profit coalition of more than thirty organizations comprising the full spectrum of stakeholders related to dialysis care—patients and advocates, dialysis professionals, physicians, nurses, researchers, therapeutic innovators, transplant coordinators, and manufacturers. KCP is committed to advancing policies that improve the quality of care and life for individuals at every stage along the chronic kidney and end stage renal disease care continuum, from prevention to dialysis, transplant, and post-transplant care. We commend Battelle and the Partnership for Quality Measurement for undertaking this important work and offer comment on the three new measures under review within the Renal Fall 2022 Project:
HOME DIALYSIS RATE (MEASURE 3722, Kidney Care Quality Alliance [KCQA])
HOME DIALYSIS RETENTION (MEASURE 3725, KCQA)
KCP fully supports endorsement of KCQA’s Home Dialysis Measure Set and thus strongly disagrees with the Renal Standing Committee’s decision against these important measures. The Committee’s recommendation on these measures is deeply problematic and fundamentally undercuts NQF’s methodological and scientifically rigorous endorsement process.
As illustrated by the developer, peritoneal dialysis (PD) yields similar short- and long-term survival to in-center hemodialysis (HD) for individuals with ESKD,[1] PD has been found to enhance patient autonomy and quality of life, is associated with preservation of residual kidney function, and is significantly less expensive to deliver than in-center dialysis.[2],[3] Likewise, frequent home hemodialysis (HHD) is associated with improved blood pressure control and regression of left ventricular hypertrophy, shorter recovery time from dialysis treatments, normalization of phosphate levels, improved pregnancy outcomes, and better health-related quality of life.[4] Moreover, with more frequent therapies, both PD and HHD eliminate the prolonged two-day interdialytic gap that can adversely affect outcomes.[5] Yet despite the favorable impact on clinical, patient-reported, and fiscal outcomes, home modalities are still used at substantially lower rates in the U.S. than in other developed nations,[6] hovering at only around 15%.[7]
Accordingly, increasing home dialysis is a major objective of the new ESRD Treatment Choices (ETC) Payment Model and, as such, the Centers for Medicare and Medicaid Services (CMS) has identified home dialysis utilization as one of the performance metrics to be used within this program.[8] Yet, in an unprecedented departure from protocol for measures used in penalty-based programs, because of the absence of valid, reliable, CBE-endorsed home dialysis measures, the Agency is currently relying on an unvetted, untested metric for which stakeholders in the renal community were not provided an opportunity for review or public comment.
The KCQA Home Dialysis Measures were developed specifically to provide CMS the rigorously vetted and empirically tested measures it needs for the program. Testing encompassed 543,115 patients; 4,937,405 patient-months; 5,792 dialysis facilities; and 295 Hospital Referral Regions across the United States. They were developed by an eight-member Technical Expert Home Dialysis Workgroup and a broad-based fifteen-member Steering Committee, both consisting of nephrologists, nurses, patients/advocates, epidemiologists, dialysis facility administrators, and researchers. Both measures enjoy the strong support of the renal community, with near-unanimous endorsement from KCQA’s thirty Member Organizations and overwhelming approval from an unaffiliated 35-member Face Validity Panel—of which nearly half, notably, were ESRD patients (in-center and home dialysis and post-transplant). Within NQF, the Scientific Methods Panel had unanimously approved both measures as scientifically sound (reliable and valid) and feasible, and preliminary Renal Standing Committee and NQF staff reviews were overwhelmingly supportive of both measures.
We are thus confused and dismayed that despite all of the above, as well as the NQF Renal Standing Committee’s acknowledgement of the at least equivalent clinical outcomes and the superior patient-reported and fiscal outcomes with home modalities, one Committee member was successful in persuading his colleagues that the lack of randomized controlled trials (RCTs), in particular, that definitively establish clinical superiority of home over in-center dialysis was a sufficient rationale to recommend against endorsement. We note that NQF’s own Evidence Algorithm does not require RCTs for a measure to pass the Evidence Criterion; the application of such academic, controlled studies is often simply not feasible—or ethical—in real-world clinical settings. And, appropriately, both measures did overwhelmingly pass the Standing Committee’s preliminary Evidence review, in which it agreed with “high certainty” that the submitted evidence indicates that the potential benefits of the measures clearly outweigh potential risks. We thus assert that in reversing its initial position, the Committee did not adhere to the Algorithm in its final review of the measures, succumbing to the unfeasible, extraordinary, and inappropriate RCT standard demanded by one outspoken Committee member.
Of note, the aforementioned Committee member’s primary concern was that endorsement of the KCQA measures would implicitly denote NQF’s support of home over in-center dialysis and would thus promote uptake of home modalities—which, again, he deemed inappropriate without RCT-based evidence of its clinical superiority. However, home dialysis utilization measurement is already underway, making this a moot issue. The ETC model, which provides significant financial incentives—and penalties—to improve home dialysis utilization, is currently using an untested, unvetted metric because of the absence of a CBE-endorsed measure. KCQA convened specifically to address this measurement gap and has successfully developed meaningful home dialysis measures that fully meet NQF’s established endorsement criteria. Holding the measures to standards that exceed those criteria does nothing to address the Committee member’s concern of promoting home uptake; it merely deprives the renal community of the tools it desperately needs in this regard—CBE-endorsed measures that have been rigorously tested and demonstrated as reliable, valid, and meaningful, and that enjoy broad and strong community support.
For all of the above reasons, KCP strongly supports the KCQA Home Dialysis Measure set and urges the Renal Standing Committee to revise its improper recommendation against the measures.
MEASURE 3719: PREVALENT STANDARDIZED WAITLIST RATIO (CMS)
KCP concurs with the Renal Standing Committee’s recommendation against Measure 3719. KCP recognizes the tremendous importance of improving transplantation rates for patients with ESRD, but does not support the attribution of successful or unsuccessful waitlisting to individual practitioners or group practices and thus cannot support this measure. KCP believes that while referral to a transplant center and initiation or even completion of the waitlist evaluation process might be appropriate measures for these levels of analysis that could be used in CMS’s quality programs, the newly proposed clinician/group level Prevalent Standardized Waitlist Ratio (PSWR) measure is not. Waitlisting per se is a decision made by the transplant center and is beyond the locus of control of the providers targeted in this measure. In reviewing the details of the measure, we offer the following comments:
KCP again thanks you for the opportunity to comment on this these measures.
[1] Mehrotra R, Devuyst O, Davies SJ, Johnson DW. The current state of peritoneal dialysis. J Am Soc Nephrol. 2016;27:3238-3252.
[2] Saran R, Robinson B, Abbott KC, et al. US Renal Data System 2017 Annual Data Report: Epidemiology of kidney disease in the United States. Am J Kidney Dis. 2018;71(3)(suppl 1):A7-A8.
[3] Ishani A, Slinin Y, Greer N, et al. VA evidence-based synthesis program reports. In: Comparative Effectiveness of Home-Based Kidney Dialysis Versus In-Center or Other Outpatient Kidney Dialysis Locations - A Systematic Review. Washington, DC: Department of Veterans Affairs (US); 2015.
[4] Tennankore K, Nadeau-Fredette AC, Chan CT. Intensified home hemodialysis: Clinical benefits, risks and target populations. Nephrol Dial Transplant. 2014;29(7):1342-1349.
[5] Foley RN, Gilbertson DT, Murray T, Collins AJ. Long interdialytic interval and mortality among patients receiving hemodialysis. N Engl J Med. 2011;365(12):1099-1107.
[6] Chan CT, Wallace E, Golper TA, Rosner MH, et al. Exploring barriers and potential solutions in home dialysis: An NKF-KDOQI Conference Outcomes Report. Am J Kidney Dis. 2018 Dec 10. pii: S0272-6386(18)31060-6.
[7] United States Renal Data System. 2021 USRDS Annual Data Report: Epidemiology of Kidney Disease in the United States. National Institutes of Health, National Institute of Diabetes and Digestive and Kidney Diseases, Bethesda, MD, 2021. (See Figure 2.1a.)
[8] CMS Innovation Center (CMMI). ESRD Treatment Choices (ETC) Model. Last updated 09/14/2022.
[9] NQF. Attribution: Principles and Approaches Final Report. December 2016. http://www.qualityforum.org/ProjectDescription.aspx?projectID=80808..
[10] Landis J, Koch G. The measurement of observer agreement for categorical data. Biometrics. 1977;33:159-174.