Skip to main content

Breadcrumb

  1. Home
  2. PRMR Measures

Inappropriately Broad Empiric Antibiotic Selection for Adult Hospitalized Patients with Uncomplicated Community-Acquired Pneumonia

MUC ID
MUC2025-019
Steward Organization Group
University of Utah
Committee
PRMR Hospital Committee
Considered CMS Programs
Hospital Inpatient Quality Reporting Program
Medicare Promoting Interoperability Program
Description

Percentage of adult non-ICU hospitalized patients with uncomplicated pneumonia who: a) did not have risk factors for methicillin-resistant Staphylococcus aureus (MRSA) or Pseudomonas aeruginosa, and b) received empiric (within first 48 hours of emergency department arrival) antibiotics targeting MRSA or Pseudomonas aeruginosa. Percentage reported annually at the hospital level.   

    Overview
      Rationale (Excerpt from Submission)

      The overall objective of this electronic clinical quality measure is to quantify inappropriately broad empiric antibiotic use in hospitalized adults with uncomplicated community-acquired pneumonia (CAP). Here, we defined “inappropriately broad” as any antibiotic therapy targeting methicillin-resistant Staphylococcus aureus (MRSA) or Pseudomonas aeruginosa in patients without risk factors for one of those organisms.

      CMS Provided Program Rationale

      Determining the appropriate antibiotics to treat uncomplicated community-acquired pneumonia (CAP) is important to ensure patient safety and avoid overuse of broad empiric antibiotics best utilized to target CAP-specific organisms. A standard process to evaluate overprescription of broad empiric antibiotics for CAP can mitigate inappropriate or overuse of these antibiotics, which is vital because such inappropriate/overuse can lead to potential negative patient outcomes, including kidney injury or secondary infections.

      Measure Background

      New measure never reviewed by MAP Workgroup, or PRMR or used in a Medicare program 

      Measure Type
      Process
      Measure is a composite
      No
      Measure is digital and/or an eCQM
      Digital
      Measure has multiple scores
      No
      Measure is a paired or group measure
      No pairing or grouping
      CBE Endorsement Status
      Endorsed
      CBE Endorsement History

      Endorsed with conditions in 2025. Conditions of endorsement are that when the measure returns for maintenance (3 years), the measure developer should have:

      • Continued to explore the exclusion list to determine if changes are needed (e.g., empirical analyses with broader testing across entities) and to further clarify the conditions and justify them based on burden; and
      • Conducted additional validity testing (data element in additional EHR).
      Is measure currently used in CMS programs?
      No
      Substantive Changes from Prior Version

      Not Applicable

      Numerator

      From the denominator population (all payer cohort of adult non-ICU hospitalized patients with uncomplicated pneumonia without risk factors for methicillin-resistant Staphylococcus aureus (MRSA) or Pseudomonas aeruginosa), identify patients who received empiric (within first 48 hours of emergency department arrival) antibiotics targeting MRSA or Pseudomonas aeruginosa.   

      Numerator Exclusions

      For this measure, only IV vancomycin is considered anti-MRSA therapy: therefore, oral and/or intramuscular routes for vancomycin are excluded. (Our measure coding reflects this).

      Numerator Exceptions

      Not applicable

      Denominator

      Identify all adult patients with an inpatient (or observation) non-intensive care unit (ICU) hospitalization in which the discharge diagnosis includes pneumonia or sepsis plus respiratory failure, who: a) received a respiratory antibiotic within 48 hours of hospitalization, b) had chest imaging within +/- 3 days of the hospital encounter, c) were not transferred from another hospital, and d) did not have a concurrent infection. Restrict to patients with uncomplicated pneumonia and without risk factors for MRSA or Pseudomonas aeruginosa. 

      Denominator Exceptions

      None

      Denominator Exclusions

      To identify uncomplicated community-acquired pneumonia (CAP) patients: Exclude if any of the following are documented in association with the admission:

      • On mechanical ventilation in first 48 hours
      • Absolute neutrophil count < 500 cells/uL
      • Cystic fibrosis
      • Bronchiectasis
      • Human immunodeficiency virus (HIV)
      • Tracheostomy
      • Transplant in prior year
      • Hematologic malignancy
      • Pulmonary complication (empyema, lung abscess, necrotizing pneumonia

      Exclude patients with risk factors for Methicillin-resistant Staphylococcus aureus

      • (MRSA)/ Pseudomonas aeruginosa:
      • Pseudomonas aeruginosa in respiratory culture in prior year
      • MRSA in respiratory culture in prior year
      • Severe pneumonia* + prior hospitalization with IV antibiotics in past 3 months
      • *defined by >= 2 of the following on a single day in the first 48 hours of encounter:
        • Respiratory rate > 30 breaths/min
        • >= 5L oxygen or SpO2< 90
        • White blood cell count (WBC) <4000 cell/uL
        • Blood urea nitrogen (BUN) > 20 mg/dL
        • Platelets < 100 K/uL
        • Temperature < 36 C
        • Systolic blood pressure (SBP) < 80 mmHg 
      Level of Analysis
      Facility
      Types of Data Sources
      Electronic Health Records
      Data Source Details

      Digital-Electronic Health Record (EHR) Data

      Care Setting
      Hospital: Inpatient
      Risk Adjustment
      No risk adjustment or stratification
        Type of Evidence
        Clinical Guidelines or USPSTF (U.S. Preventive Services Task Force) Guidelines
        Empirical data
        Peer-Reviewed Original Research
        Importance Evaluation

        Broad empiric antibiotic overuse is a national public health concern believed to cause 1.27 million deaths globally and to indirectly contribute to 4.95 million deaths each year. The developer notes that this measure will improve quality of care by creating a standardized process to assess overprescription of broad empiric antibiotics for CAP, which is the most common reason for inpatient antibiotic use. Literature provided by the developer notes that inappropriate use of broad empiric antibiotics for CAP is currently common and can lead to negative patient outcomes including increased adjusted risk of death, kidney injury, and secondary infections. Thus, in addition to addressing the public health risk of antibiotic overuse, this measure will lead to better outcomes for patients hospitalized with CAP. 
        The evidence supporting the importance of this measure was found to be sufficient during CBE endorsement review in 2025.

        Importance Rating
        Met
        Conformance Evaluation

        The goal of this measure is to quantify inappropriately broad empiric antibiotic use in hospitalized adults with uncomplicated CAP. “Inappropriately broad” is defined as any antibiotic therapy targeting MRSA or Pseudomonas aeruginosa in patients without risk factors for one of those organisms. The denominator includes all adult patients with a non-ICU inpatient stay with uncomplicated pneumonia and without risk factors for MRSA or Pseudomonas aeruginosa. The numerator includes all patients from the denominator who received empiric antibiotics targeting MRSA or Pseudomonas aeruginosa. This measure aligns with the Hospital Inpatient Quality Reporting Program objective to improve the quality of care that hospitals provide and to distribute clearly defined and objective data about hospital performance as well as the Promoting Interoperability Program’s goal commitment to promoting and prioritizing interoperability and exchange of health care data.  

        Conformance Rating
        Met
        eCQM Feasibility Testing or Analysis Conducted

        Yes

        Feasibility Evaluation

        This measure is an eCQM. All data elements are in structured fields in electronic sources and align with the United States Core Data for Interoperability (USCDI)/USCDI+ Quality standard definitions.

        This eCQM was tested in three EHRs and demonstrated a high level of feasibility. 

        The feasibility scorecard addresses the following domains:

        • Data availability: Data element exists in a structured format in this EHR.
        • Data accuracy: Information is from authoritative source and/or is highly likely to be correct.
        • Data standards: Data element is coded in a nationally accepted terminology standard or can be mapped to that terminology standard.
        • Workflow: The data element is routinely collected during clinical care and requires no, or limited, additional data entry from a clinician or other provider, and no EHR interface changes.

        Feasibility testing identified four data elements that required additional review within an EPIC testing site. For the three lab tests that were not coded or mapped to terminology standards, the feasibility plan indicates that a list of eligible tests corresponding to individual codes may be used to pull information from these searchable fields. The feasibility plan indicates that “Procedure, Performed: Transfer from other hospital” is searchable and will be assessed for potential improvements to streamline this process in future testing.

        The feasibility of this measure was found sufficiently demonstrated during CBE endorsement review in 2025.

        Considerations for the committee: The committee may wish to consider the impact of conducting feasibility testing within the US Department of Veterans Affairs (VA) system. Based on clinical and professional experience, is it reasonable to expect similar levels of feasibility for non-VA hospitals?

        Feasibility Rating
        Met
        Validity Testing Method(s)

        Face Validity, Data Element Validity, Empiric Validity [MERIT Submission Form]

        Testing level(s)

        Facility

        Was this measure tested in the same target population as the CMS program?

        Yes

        Validity Evaluation

        The technical expert panel (TEP) was used to establish face validity. A majority of TEP members (71.4% [5/7]) agreed or strongly agreed that the measure as specified can be used to distinguish between better- and worse-performing hospitals, suggesting high face validity; 28.6% (2/7) were neutral. Data element validity was established through chart abstraction. To assess empirical validity, the measure developer examined the relationship between a similar measure (excess antibiotic duration for CAP) and this measure. The two measures were correlated at the hospital level (R=0.3, p=0.0014), suggesting the measure is empirically valid.

        Testing in populations representative of the CMS program population supports the external validity of the measure.

        The validity of this measure was found sufficiently demonstrated during CBE endorsement review in 2025.  

        Threats to validity

        The measure developer did not address threats to validity in their application. The measure is not risk adjusted or stratified because it is a process measure.

        Considerations for the committee: The committee may wish to consider the impact of conducting empiric validity testing within the VA system. Based on clinical and professional experience, is it reasonable to expect similar levels of validity for non-VA hospitals?

        Validity Rating
        Met
        Reliability testing method(s)

        Signal-to-Noise (e.g., Beta-Binomial, Mixed Logistic Regression)

        Testing level

        Entity level

        Reliability Evaluation

        The developer assessed hospital-level reliability using two models: a signal-to-noise analysis via mixed-effects logistic regression and a beta-binomial regression approach, both applied to data from 109 VA hospitals. These analyses determined the minimum number of annual case abstractions needed to achieve reliability thresholds (e.g., 56 cases for 0.7 reliability, 96 for 0.8 reliability), showing that most VA hospitals already meet or exceed these benchmarks. While the VA system may underestimate variability compared to a national sample, the findings suggest that achieving high reliability is feasible across similarly structured health care systems.

        The reliability of this measure was found sufficiently demonstrated during CBE endorsement review in 2025.

        Additional reliability analyses

        Battelle staff performed additional assessment of reliability testing data to provide committee members a standardized format to assess reliability by decile across measures. The developer calculated signal-to-noise reliability using a dataset of 47,034 persons across 109 facilities. The reliability of the first decile is 62.5%, indicating that at least 90% of the entities have a reliability greater than the threshold of 0.6. 

        Considerations for the committee: The committee may wish to consider the impact of testing reliability within the VA system. Based on clinical and professional experience, is it reasonable to expect similar levels of reliability for non-VA hospitals?

        Mean Reliability

        The developer provided information by decile for performance scores and calculated reliability for the 109 entities described in the testing submission. Tables 1 and 2 show deciles by performance score and reliability. Battelle created Table 1. For this measure, a lower score indicates better quality of care. The measure developer provided Table 2. These tables provide reviewers with a standardized format to assess reliability.

        Table 1. MUC2025-019 Performance Score Deciles

        -OverallMinDecile 1Decile 2Decile 3Decile 4Decile 5Decile 6Decile 7Decile 8Decile 9Decile 10Max
        Mean Score30.47.713.519.823.726.728.430.232.535.237.642.449.0
        Entities1091111111111011111111111
        Reliability Rating
        Met
        Performance Score Deciles

        Table 2. MUC2025-019 Mean Reliability (by Reliability Decile)

        -OverallMinDecile 1Decile 2Decile 3Decile 4Decile 5Decile 6Decile 7Decile 8Decile 9Decile 10Max
        Reliability99.9%29.1%62.5%81.7%86.6%88.3%90.8%91.5%92.5%94.2%95.1%96.3%49.0
        Number of Entities1091111111111011111111111
        Number of Persons/
        Encounters/Episodes
        47,03485911,7772,6103,1273,3154,2985,0446,3538,16111,7581,564
        Usability considered in application:

        Yes, the submission materials briefly discuss the measure’s usability within relevant programs. 

        Usability Evaluation

        The measure developer provides empirical evidence that hospitals can reduce inappropriate broad spectrum antibiotic use for CAP. Using the chart-based form of this measure, they reported a 42% relative decrease in inappropriate empiric anti-MRSA/anti-Pseudomonal therapy across 69 Michigan hospitals from Quarter 2 of 2020 (22%) to Quarter 2 of 2024 (13%, P<0.0001).

        The use/usability of this measure was found sufficiently demonstrated during CBE endorsement review in 2025. 

        Usability Rating
        Met
          Similar or Related Measures in Selected CMS Programs

          Excess Days in Acute Care after Hospitalization for Pneumonia is a related measure within the Hospital Inpatient Quality Reporting (IQR) Program.  

          Evaluation of measure balance, burden and value across target populations and measured entities

          Measure balance, burden, and value across target populations/measured entities: The developer notes that pneumonia is a well-established target of clinical quality and safety monitoring and provides an extensive list of existing and prior measures for pneumonia as well as existing measures for antibiotic use that may be influenced by measures of treatment of pneumonia in their submission materials. However, no directly competing measures are currently active in either the Hospital IQR or Promoting Interoperability programs. This is because appropriate use of antibiotics is part of antibiotic stewardship, which is a priority for national organizations and professional societies.

          Regarding balance of this measure’s performance, burden, and benefit across populations, the developer’s literature review and analysis do not indicate a potential for differential benefit or harm to specific subgroups of participating entities or their patient populations. 

          Considerations for the committee: Based on clinical and professional experience, the committee should consider the distribution of benefit and risks/burdens of the measure within the proposed program population.

            Plan for near & long term impacts after implementation

            None specified

            Evaluation of potential measure implementation impacts over time

            The measure developer does not specifically discuss the near- and long-term impacts of implementing this measure on measured entities or patients. However, they shared data from an empirical study with 69 Michigan hospitals that showed a reduction in inappropriate empiric antibiotic use over a 4-year period after implementing a chart-based form of this measure.  

            Considerations for the committee: 

            • What are the potential near- and long-term impacts of this measure on measured entities, the Hospital Inpatient Quality Reporting Program, the Medicare Promoting Interoperability Program, and patient populations?
            • Will benefits and burdens associated with this measure be realized within an appropriate implementation time frame?
            • How will this measure mature through revisions in the future if added to the Hospital Inpatient Quality Reporting Program and Medicare Promoting Interoperability Program measure sets?

            Submitted by Anonymous (not verified) on Mon, 01/05/2026 - 10:40

            Permalink

            We request clarification regarding the feasibility, reliability, and standardization of the proposed denominator criteria for the Excess Antibiotic Duration and Inappropriately Broad Empiric Antibiotic eCQMs for Community-Acquired Pneumonia.

            Specifically, clarification is needed regarding the identification of patients who received a respiratory antibiotic within 48 hours of hospitalization, including whether the timing window is intended to begin at emergency department (ED) arrival, inpatient admission, or another defined encounter start. Variability in how hospitals operationalize ED-to-inpatient transitions within EHR systems may result in inconsistent denominator identification and reduced measure comparability across sites.

             

            Additionally, the proposed denominator criteria include identification of patients with chest imaging performed up to three days prior to the hospital encounter. The availability, structure, and interoperability of chest imaging data from days preceding admission may vary substantially across EHR systems, particularly when imaging is performed in outpatient, urgent care, or external facilities. This variability raises concerns regarding the completeness and reliability of electronically captured imaging data and may lead to unintentional exclusion of otherwise eligible patients.

             

            Without clearer technical specifications and standardized logic for these denominator elements, there is concern that hospitals may experience inconsistent patient identification, increasing implementation burden and potentially undermining the validity and comparability of measure results.

             

            We encourage CMS to provide additional clarification and technical guidance on denominator definitions and data element timing to support consistent, reliable implementation of these eCQMs across diverse hospital settings.

            Organization
            Beth Israel Lahey Health (representing 11 hospitals in MA and NH)

            To answer your first question, for the 48 hour respiratory antibiotic inclusion, we define this as within 48 hours of arrival to ED or admission to hospital if the patient is directly admitted. Most patients receive antibiotics early in that period. 48 hours defines "community-acquired." Antibiotic received after that time period would imply "hospital-acquired" pneumonia.

             

            The chest imaging requirement was suggested for face validity by our expert panel. This requirement impacted only 0.4% of the population in our testing (because most patients had chest imaging in the ED on day 0/1 of hospitalization). Thus errors in classification due to inter-operability should be quite minimal.

            Organization
            Measure Developer

            Submitted by Anonymous (not verified) on Mon, 01/05/2026 - 11:43

            Permalink

            Support with modification: Recommend CMS provide clear technical specifications, allow clinical exceptions for high-acuity populations, and avoid unintended disincentives for appropriate empiric therapy.
            This measure brings awareness to ensuring appropriate care and reducing antibiotic overuse, ultimately to ensure providers and providing quality care.  With this being a measure of quality for the provider, it could impact health plans indirectly.  If the provider has a lower quality rating, the reimbursement to them is lower, and that the MIPS performance could create a financial shift as it relates to the cost and quality of care delivered within the health plan. This is a good initiative to support reduction of antibiotic resistance from overuse or overprescribing for viral infections (inappropriate usage).

            The American Thoracic Society recommends clinicians only treat empirically for MRSA or P. aeruginosa in adults with CAP if locally validated risk factors for either pathogen are present.  If clinicians are currently covering empirically for MRSA or P. aeruginosa in adults with CAP on the basis of published risk factors but do not have local etiological data, we recommend continuing empiric coverage while obtaining culture data to establish if these pathogens are present to justify continued treatment for these pathogens after the first few days of empiric treatment. This measure description does not currently list what medications would be considered “empiric therapy.” The exclusionary criteria for MRSA and/or Pseudomonas are not inclusive of all strong risk-factors (i.e., Gram-positive cocci in clusters on good-quality sputum Gram stain or Gram-negative bacilli seen on good-quality sputum on Gram stain). Additionally, the 2025 American Thoracic Society Guidelines suggest use of empiric antibiotics for adult inpatients with clinical and imaging evidence of non-severe CAP who have a positive test result for a respiratory virus. Coinfection with respiratory virus is not accounted for in the measure as presented. We would expect to see empiric therapy options included in the technical specs to help address these concerns.  With regards to  exclusionary criteria, “there is sufficient evidence that prior identification of MRSA or P. aeruginosa in the respiratory tract within the prior year predicts a very high risk of these pathogens being identified in patients presenting with CAP, and therefore these were sufficient indications to recommend blood and sputum cultures and empiric therapy for these pathogens in patients with CAP in addition to coverage for standard CAP pathogens, with deescalation at 48 hours if cultures are negative.

            Organization
            BCBSA

            A list of the agents considered anti-MRSA or anti-pseudomonal can be found on the measure data dictionary (Inappropriately Broad Empiric Antibiotic Selection for Adult Hospitalized Patients with Uncomplicated Community-Acquired Pneumonia | Partnership for Quality Measurement) tabs for BroadSpectrumAntibioticsMDRO plus intravenous vancomycin.

             

            In our feasibility testing, gram stains were infrequently obtained in uncomplicated CAP in part because they are not recommended for patients without risk factors for MDROs (who are excluded from the denominator of this measure).

             

            While the new ATS guidelines recommend antibiotics for patients with CAP who have a pathogen identified, they do not recommend MDRO coverage when a viral pathogen is detected without risk factors for MDRO. 

             

            We agree that patients with "prior identification of MRSA or P. aeruginosa in the respiratory tract within the prior year" are at high risk for MDRO. They are excluded from the denominator of this measure.

            Organization
            Measure Developer

            Submitted by Anonymous (not verified) on Mon, 01/05/2026 - 14:52

            Permalink

            Premier supports this measure as it is clinically relevant to hospitals and public health. Premier recommends providing hospitals with sufficient time to build out and test this eCQM measure properly. Premier has concerns about smaller or rural hospitals, as they may lack the appropriate IT resources to build this eCQM.

            Organization
            Premier Inc.

            Submitted by Anonymous (not verified) on Tue, 01/06/2026 - 09:27

            Permalink

            The Infectious Diseases Society of American (IDSA) is strongly supportive of measure MUC2025-019 addressing agent selection for uncomplicated community acquired pneumonia. Over the past decade, the United States has made major advances in efforts to improve antibiotic use in hospitals as part of efforts to combat the public health crisis of antimicrobial resistance. Nearly all hospitals now have dedicated programs to improve antibiotic use (antibiotic stewardship programs), as required by the Centers for Medicare and Medicaid Services (CMS). The vast majority also now have access to risk adjusted benchmarks for the quantity of their antibiotic use through CDC’s National Healthcare Safety Network Antibiotic Use Option. Such reporting is also now required by CMS.


            However, efforts to improve hospital antibiotic use remain challenged by an inability to quickly and easily assess the quality of antibiotic prescribing. Improving the quality of antibiotic use is the ultimate goal of antibiotic stewardship and we need measures that will help us target this goal directly. Studies have consistently shown that assessing the guideline concordance of antibiotic prescribing for common infections consistently leads to better use. 


            This measure represents a critical first step into a new era for improving hospital antibiotic use as it targets the single most common reason that antibiotics are prescribed in hospitals. In many hospitals, 50% or more of all antibiotic prescribing is for pneumonia. And because they are electronic, they will allow antibiotic stewardship programs to assess the quality of prescribing without having to conduct labor intensive chart reviews. Data from the endorsement application indicates that use of the manual versions of these measures led to significant improvements in prescribing.

            Organization
            Infectious Diseases Society of America

            Submitted by Anonymous (not verified) on Tue, 01/06/2026 - 10:01

            Permalink

            American Thoracic Society (ATS)

            Church Street Station

            P.O. Box 3421

            New York, NY 10008-3421

             

            January 5, 2026

             

             

            Dear Centers for Medicare & Medicaid Measures Under Consideration (MUC) Staff:

             

            The American Thoracic Society (ATS) formally submits comments below in response to the call for public comments for 2025 MUC Measure #019 Inappropriately Broad Empiric Antibiotic Selection for Adult Hospitalized Patients with Uncomplicated Community-Acquired Pneumonia.  Comments were sourced from ATS members who are clinical practice guideline authors and quality experts in pneumonia:

             

             

            Overall impression: Strong face validity but major concerns with measure specifications

             

             

            Rationale:

             

            1. Exclusion list does not match clinical practice guidelines.  The MRSA and Pseudomonas risk factors are broader than the guideline definition and include illness severity, which could mislead the clinical field into thinking that any patients with severe pneumonia are  appropriate. None of the studies evaluating risk for MRSA or Pseudomonas have found illness severity to be a risk factor for MDR pathogens. This could have the unintended reverse effect of actually increasing inappropriate use of broad-spectrum antibiotics in patients with severe pneumonia. 

             

            1. Exclusion Patients who have had IV or broad spectrum antibiotics in the last 90 days should be excluded in general, and not just those who had IV antibiotics + severe pneumonia in the last 90 days.

             

            1. Diagnosis is not verified by a positive chest image. While the measure includes ordering of a chest image, there will still be 10% of patients that lack pneumonia on chest imaging in this group.

               

            2. Consider excluding patients with a positive rapid molecular diagnostic test in addition to positive culture data from lower respiratory secretion samples for MRSA and Pseudomonas.

             

            1. Many patients meeting sepsis criteria will receive their first dose of broad-spectrum antibiotics before the diagnosis of pneumonia is established. Would suggest refining the numerator time window to not include the first dose, but subsequent receipt of broad-spectrum antibiotics after the first does and within 24 or 48 hours.

             

            1. Patients may have a history of MRSA or Pseudomonas in their chart notes based on data from other facilities because presumably the EHR data query will only include microbiology data in the same facility  – it seems like this measure would miss those patients, as well as other risk factors like injection drug use that are not listed in the exclusion criteria.

             

            1. The definition of anti-Pseudomonal and anti-MRSA treatment should be explicit.

             

            1. The focus on MRSA and Pseudomonas ignores the problem of ESBL-producing gram negative bacilli.    

             

            1. Exclusion criteria of immunocompromised patients should also include active chemotherapy.

            Sincerely, Katie A. Artis, Committee Chair, Quality Improvement and Implementation, ATS

            Organization
            American Thoracic Society

            Submitted by Anonymous (not verified) on Tue, 01/06/2026 - 10:25

            Permalink

            Vizient supports the agency’s efforts to identify measures to help improve sepsis care. However, the MUC2025-019: Inappropriately Broad Empiric Antibiotic Selection for Adult Hospitalized Patients with Uncomplicated Community-Acquired Pneumonia measure under consideration, which includes patients with a sepsis diagnosis, may be unnecessary. For example, several of the contemplated measures introduce new requirements which appear to overlap with existing measures that hospitals report, such as the Severe Sepsis and Septic Shock: Management Bundle (SEP‑1). Vizient is concerned that introducing multiple new sepsis‑related measures, especially if existing measures are retained, risks increasing burden without clear evidence regarding which measurement approach, if any, will be most beneficial in the context of patient care.

             

            We are also concerned that this and other sepsis-related measures currently under consideration suggest that CMS is seeking to add several measures to different quality programs, which runs counter to the agency’s aims to reduce the overall number of measures, decrease burden and streamline program requirements. Given the overlap with SEP-1 and the significant burden associated with SEP‑1, we suggest retiring SEP‑1 and replacing it with significantly fewer measures. 

             

            Vizient also notes that the considered sepsis measures would benefit from undergoing additional review, as these measures have not been used in CMS programs or thoroughly vetted or tested by hospitals. Vizient cautions against advancing measures that have not been rigorously evaluated by experts and tested, as such measures may not achieve their desired outcome, create unintended consequences or prove unworkable in real‑world settings. Vizient believes additional analysis and testing would help to better understand the impacts of these measures, including whether similar benefits can be achieved with fewer measures. 

             

            Finally, several of these measures rely on complex algorithms, require precise clinical documentation or depend on data elements that may not be consistently captured across hospitals. For example, MUC2025-019 is an electronic clinical quality measure (eCQMs), which tend to be less burdensome to report than chart-abstracted measures but can still pose challenges for providers. Vizient suggests that additional information be provided related to potential challenges associated with reporting these eCQMs.

            Organization
            Vizient, Inc.

            Submitted by Anonymous (not verified) on Tue, 01/06/2026 - 15:57

            Permalink

            SHM asks the measure developers to expand the exclusion criteria for this measure. It should be updated to exclude patients who are considered immunocompromised either due to underlying chronic disease or medication effect, including biologic therapies.

             

            SHM has concern about the interplay between use of broad spectrum antibiotics in the ED setting, where it may be appropriate, and use in the hospitalization setting, where more testing, pathogen identification and narrow antibiotic selection is more commonly possible. SHM recommends considering an exclusion for antibiotics administered in the ED or other emergency setting.

            Organization
            Society of Hospital Medicine (SHM)

            Bon Secours Mercy Health is supportive of the measure to support appropriate use of antibiotic for Community Acquired Pneumonia but would suggest an additional measure exclusion for Infectious Disease consult and management.  Access to pre hospital antibiotics and imaging information can be limited and difficult to capture,  clarification would improve the reliability of the measure.

            Organization
            Bon Secours Mercy Health

            Submitted by Anonymous (not verified) on Tue, 01/06/2026 - 17:31

            Permalink

            I'm glad to see a simple and useful metric is being proposed to lessen inappropriate (and potentially worse) antibiotics for community acquired pneumonia (CAP). CAP is one of the most common diagnoses and patients often get suboptimal treatment targeting MRSA or Pseudomonas, although standard options like ceftriaxone/azithromycin better covers organisms causing CAP. 

            I think this metric will make sense to clinicians and will actually be found to be wrong in many patients in some hospitals, where the sepsis oriented "vancopime" predominates. 

             

            Organization
            University of Maryland School of Medicine

            While this is, inarguably, important to consider, It is unclear if this measure has been tested in rural health settings.  It only referenced hospitals in Michigan with something similar and VA hospitals.  Please evaluate the feasibility in rural settings before considering implementation. Thank you. 

            Organization
            LifePoint Health

            Submitted by Anonymous (not verified) on Tue, 01/06/2026 - 18:42

            Permalink

            Given the critical role of antibiotic stewardship programs in patient safety and public health, all healthcare institutions across the continuum of care must treat them as a fiduciary responsibility. Furthermore, the CMS Hospital Conditions of Participation regulations require hospitals to maintain policies and procedures for an active, hospital-wide antibiotic stewardship program, demonstrate evidence of its implementation, and ensure improved internal coordination of antibiotic use to limit the development of antibiotic resistance. SHEA supports the development and adoption of antibiotic stewardship measures for CMS Quality Payment Programs and public health reporting to support regulatory compliance requirements and advance patient safety and public health improvement goals. 

             

            After careful review of the proposed MUC2025-019 measure, SHEA has concerns regarding the time and resources required for hospitals to develop the necessary infrastructure to operationalize and implement this measure. Given the exclusion criteria outlined in the measure description, it is unclear how automation could be achieved, which raises the risk of a substantial increase in administrative burden. Specifically, using risk factors for MRSA or Pseudomonas as determinants of appropriateness extends beyond what can be abstracted from EHRs in an automated manner and would necessitate substantial investment of time and resources by hospitals. This outcome would run counter to the overarching goal of reducing administrative complexity through the adoption of modernized measures that are intended to become digital over time.

             

            To support successful implementation, SHEA recommends that CMS engage in close communication and collaboration with EHR vendors to ensure system readiness and the reliability of data validation capabilities necessary for compliance before this measure is adopted. Building this capacity will require adequate time, and hospitals must be afforded sufficient implementation periods to establish new data collection systems effectively.

            Organization
            Society for Healthcare Epidemiology of America

            Submitted by Anonymous (not verified) on Tue, 01/06/2026 - 19:14

            Permalink

            PQM CBE 4545e: Inappropriately Broad Empiric Antibiotic Selection for Adult Hospitalized Patients with Uncomplicated Community-Acquired Pneumonia 

            Impact to Patient Outcomes 

            • Pneumonia is a leading cause of inpatient antibiotic use and infectious mortality in the US, resulting in significant emergency department visits, hospitalizations, deaths, and costs each year. 
            • The measure aims to reduce the use of inappropriately broad empiric antibiotic treatments, which have been associated with higher readmissions, increased ICU transfers, increased antibiotic-associated adverse events, and longer hospital stays. 
            • This measure can help hospitals understand their antibiotic prescribing practices and ensure that CAP patients receive guideline-concordant therapy, thereby reducing the risk of adverse events from antibiotics and the development of antibiotic resistance. 
            • Initiatives that support guideline concordant antibiotic utilization not only improve outcomes but also can help reduce healthcare costs. 

            Alignment with other measures 

            • The measure complements other quality efforts, such as sepsis-related measures, by focusing on the correct empiric therapy for CAP. 
            • The measure aligns with and reinforces the recommendations from national organizations like the Centers for Disease Prevention and Control (CDC), The Joint Commission, and Centers for Medicare and Medicaid Services, which emphasize the importance of antibiotic stewardship programs.  

            Supporting this quality measure is a step towards enhancing the overall quality of care for patients with CAP, promoting responsible antibiotic use, improving patient outcomes and reducing healthcare costs. 

             Organization

            Advocate Health

            Organization
            Advocate Health

            Submitted by Anonymous (not verified) on Tue, 01/06/2026 - 22:18

            Permalink

            Relevant concern for overuse of empiric antibiotic therapy in that higher rates of resistance are occurring.  Providers are held accountable starting antibiotics before sensitivity tests are completed.  It does become challenging with other quality measures like treatment of sepsis exist pushing faster timelines like time to treat within bundles including antibiotic use. 

            Organization
            Geisinger

            Submitted by Anonymous (not verified) on Tue, 01/06/2026 - 23:24

            Permalink

            This measure appears reasonable and aligns with ongoing efforts in Kansas to reduce HAI/AR to improve care quality and patient safety.

            Organization
            Kansas Hospital Association