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Letter to the Hon. Norris Cochran, Acting Secretary for Health and Human Services - Matsui Leads Effort to Protect 340B Drug Discount Program

Letter

By: Alex Mooney, Mike Gallagher, Tom Tiffany, Glenn Grothman, Ron Kind, Mark Pocan, Adam Smith, Kim Schrier, Derek Kilmer, Dan Newhouse, Jaime Herrera Beutler, Rick Larsen, Suzan DelBene, Peter Welch, Gerry Connolly, Jennifer Wexton, Don Beyer, Jr., Ben Cline, Bob Good, Donald McEachin, Elaine Luria, Rob Wittman, Chris Stewart, Filemon Vela, Jr., Colin Allred, John Carter, Eddie Johnson, Henry Cuellar, Joaquin Castro, Sheila Jackson Lee, Pete Sessions, Veronica Escobar, Vicente Gonzalez, Al Green, Lizzie Fletcher, Lance Gooden, Louie Gohmert, Steve Cohen, David Kustoff, John Rose, Jim Cooper, Chuck Fleischmann, Tim Burchett, Diana Harshbarger, Jim Langevin, David Cicilline, Mike Doyle, Jr., Conor Lamb, GT Thompson, Jr., Guy Reschenthaler, Fred Keller, Susan Wild, Mary Scanlon, Dwight Evans, Brian Fitzpatrick, Peter DeFazio, Earl Blumenauer, Steve Stivers, Tim Ryan, Marcia Kaptur, Joyce Beatty, Chris Jacobs, Brian Higgins, Joe Morelle, Tom Reed II, Elise Stefanik, Paul Tonko, Antonio Delgado, Sean Maloney, Jamaal Bowman, Adriano Espaillat, Carolyn Maloney, Nicole Malliotakis, Grace Meng, Andrew Garbarino, Steven Horsford, Susie Lee, Dina Titus, Yvette Herrell, Bonnie Watson Coleman, Don Payne, Jr., Albio Sires, Tom Malinowski, Andy Kim, Jeff Van Drew, Ann Kuster, Chris Pappas, Donald Bacon, Alma Adams, Kathy Manning, David Price, G.K. Butterfield, Jr., Steven Palazzo, Michael Guest, Bennie Thompson, Kilili Sablan, Sam Graves, Emanuel Cleaver II, Vicky Hartzler, Blaine Luetkemeyer, Ann Wagner, Peter Stauber, Ilhan Omar, Betty McCollum, Dean Phillips, Angie Craig, Jim Hagedorn, Brenda Lawrence, Debbie Dingell, Haley Stevens, Andy Levin, Fred Upton, Dan Kildee, John Moolenaar, Peter Meijer, Jack Bergman, Jared Golden, Chellie Pingree, Jamie Raskin, David Trone, John Sarbanes, Dutch Ruppersberger, Bill Keating, Stephen Lynch, Ayanna Pressley, Seth Moulton, Katherine Clark, Jake Auchincloss, Lori Trahan, Jim McGovern, Garret Graves, Clay Higgins, John Yarmuth, Sharice Davids, Tracey Mann, André Carson, Cheri Bustos, Lauren Underwood, Rodney Davis, Mike Bost, Bill Foster, Brad Schneider, Jan Schakowsky, Raja Krishnamoorthi, Danny Davis, Sean Casten, Mike Quigley, Jesus Garcia, Marie Newman, Robin Kelly, Bobby Rush, Mike Simpson, Russ Fulcher, Randy Feenstra, Michael San Nicolas, Austin Scott, Lucy McBath, Nikema Williams, Sanford Bishop, Jr., Frederica Wilson, Debbie Wasserman Schultz, Ted Deutch, Lois Frankel, Alcee Hastings, Sr., Scott Franklin, Kathy Castor, Val Demings, Darren Soto, Al Lawson, Jr., John Rutherford, Lisa Blunt Rochester, Eleanor Norton, Jahana Hayes, Jim Himes, Rosa DeLauro, John Larson, Ed Perlmutter, Jason Crow, Joe Neguse, Diana DeGette, Sara Jacobs, Juan Vargas, Mike Levin, Alan Lowenthal, Lou Correa, Katie Porter, Nanette Barragán, Mark Takano, Lucille Roybal-Allard, Linda Sánchez, Karen Bass, Raul Ruiz, Norma Torres, Jimmy Gomez, Ted Lieu, Tony Cárdenas, Adam Schiff, Judy Chu, Julia Brownley, Jimmy Panetta, Zoe Lofgren, Ro Khanna, Jim Costa, Jackie Speier, Barbara Lee, Mark DeSaulnier, Jerry McNerney, Ami Bera, Mike Thompson, John Garamendi, Jared Huffman, Greg Stanton, Ruben Gallego, Raul Grijalva, Tom O'Halleran, Terri Sewell, Donald Young, David McKinley, Abigail Spanberger, Dusty Johnson, John Katko, Cindy Axne, Doris Matsui
Date: March 2, 2021
Location: Washington, DC

Dear Acting Secretary Cochran,

We write today as leading congressional proponents of the 340B drug discount program to ask you to take immediate action to ensure that manufacturers are prohibited from imposing unilateral changes to the program in direct conflict with congressional intent and decades of written guidance.

We were pleased to see 28 attorneys general urge former HHS Secretary Azar to protect the 340B program. We believe that letter and the Department's Office of General Counsel's advisory opinion, released on December 30 and described below, represent some of the most compelling legal arguments for the actions we ask you to take.

As you know, Congress enacted the 340B Drug Pricing Program in 1992 following the creation of the Medicaid Drug Rebate Program. In order for their drugs to be covered by Medicaid, manufacturers are required to offer discounts to certain public and nonprofit health care organizations known as covered entities, including Federally Qualified Health Centers, Ryan White HIV/AIDS Clinics, Medicare/Medicaid Disproportionate Share hospitals, rural hospitals, and children's hospitals. According to the legislative history, Congress's intent in creating the discount program was to "stretch scarce federal resources to reach more eligible patients and provide more comprehensive services."

The 340B statute requires drug manufacturers to "offer each covered entity covered outpatient drugs for purchase at or below the applicable ceiling price." There are no provisions in the statute that allow manufacturers to set conditions or otherwise impede a provider's ability to access 340B discounts. The Health Resources and Services Administration (HRSA), which oversees the program, has indicated on multiple occasions, dating back to the early years of the program, that the 340B statute requires manufacturers to provide 340B discounts to covered entities when covered entities purchase drugs to be dispensed through contract pharmacies on a covered entity's behalf.

Beginning in the summer of 2020, several drug manufacturers began to announce a range of actions to avoid honoring 340B discounts for certain drugs, many with the highest prices, delivered to covered entities' contract pharmacies. Some manufacturers have announced they will no longer ship discounted drugs to contract pharmacies; others will ship to only one contract pharmacy per covered entity.

HHS has reviewed manufacturers' refusals to provide 340B discounts to covered entities' contract pharmacies and found them to be unlawful. In a December 30th 2020 advisory opinion, then-general counsel Robert Charrow wrote, ""[T]he core requirement of the 340B statute…is that manufacturers must "offer" covered outpatient drugs at or below the ceiling price for "purchase by" covered entities. This fundamental requirement is not qualified, restricted, or dependent on how the covered entity chooses to distribute the covered outpatient drugs."

Unfortunately, publishing the advisory opinion has not deterred manufacturers from continuing with unlawful price hikes. Many covered entities are struggling with severe financial losses as a result of the COVID-19 pandemic. They cannot afford to be unfairly targeted by large pharmaceutical corporations or be forced to pay higher up-front costs for the drugs their patients need.

Furthermore, an information technology company has allied with manufacturers to change the 340B program from one of upfront discounts to post-sale rebates, a change that would greatly increase costs for covered entities and give manufacturers tremendous leverage over covered entities. Such action is inconsistent with HRSA's long-standing guidance that the 340B program is an up-front discount program.

The December 14th letter from the attorneys general called on HHS to "address drug manufacturers' unlawful refusal to provide critical drug discounts to covered entities." Consistent with that letter, we urge you to:

Begin assessing civil monetary penalties on manufacturers that deny 340B pricing to covered entities in violation of their obligations under the 340B statute;
Require manufacturers to refund covered entities the discounts they have unlawfully withheld since 2020;
Halt, through guidance or other means, any attempt to unilaterally change 340B upfront discounts to post sale rebates; and
Immediately seat the Administrative Dispute Resolution Panel to begin processing disputes within the program.
As the attorneys general stated in their December 14th letter, "Each day that drug manufacturers violate their statutory obligations, vulnerable patients and their health care centers are deprived of the essential healthcare resources Congress intended to provide." Thank you very much for your prompt consideration of these important matters.


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