Hemophilia Alliance Newsletters

MCR Update, April 2026

Member and Community Relations Update

Opportunity to Contract for Home Health Nursing Services with BrightStar
by Elizabeth (Issie) Karan and Jennifer Borrillo

The Hemophilia Alliance has begun collaborating with BrightStar, which is a network of hundreds of independently owned and operated agencies that could be a potential source for home health nursing services for Hemophilia Treatment Centers (HTCs). HTCs needing nursing services should reach out to their primary contact at the Hemophilia Alliance who can provide the terms, rates, and the process for intake under the national arrangement. If HTCs wish to pursue nursing services directly with their local BrightStar agency or any other entity or outlet, that remains an option.

The Alliance and the national BrightStar organization have agreed to a set of terms and rates for the provision of skilled nursing and other professional services to patients of HTCs with which local agencies will comply. However, prior to completing intake with BrightStar, HTCs should independently evaluate these terms and rates and undertake their typical processes for contracting with a new vendor, including complying with any institutional requirements. Additionally, we recommend that HTCs enter into a separate contract for these services.

HTCs with existing agreements with local BrightStar agencies can continue to utilize services through those arrangements and mechanisms for requesting services. If HTCs intend to use their existing arrangements with local BrightStar agencies, they should not use the HA intake form or processes and should, instead, continue to follow established procedures.

The Hemophilia Alliance is ready to help connect HTCs with BrightStar and ensure the collaboration aligns with national standards. If you are interested in more details, please reach out to the Hemophilia Alliance.

When Formularies Fail: The Policy Breakdown Driving Hemophilia Drug Denials and How Patients and HTCs Can Fight Back
by Jennifer Borrillo and Miriam Goldstein

“How does a hemophilia patient obtain their lifesaving medication when their health plan no longer includes their drug on the plan’s specialty drug formulary?”

With the start of a new health plan year, some commercially insured HTC patients – and the HTCs who serve them – are once again discovering that patients’ medications have been dropped from their health plan formularies. The Hemophilia Alliance is aware of formularies that, for example, list only a single clotting factor, or (alternatively) include only a single non-factor product for prevention of bleeding. These narrow formularies create challenging issues for HTCs and patients alike. A medication used to treat hemophilia A does not work for a patient with factor IX deficiency; an agent indicated solely for prophylaxis will do nothing to halt breakthrough bleeding; and an IV-administered product may be an unacceptable option for an infant who is stable on an injected therapy – to note just a few examples.

Narrow formulary designs, unfortunately, are technically allowable under existing law. However, the Hemophilia Alliance in tandem with national partners is advocating for more robust standards, to provide a foundation for balanced formularies that meet the needs of the full patient community. As this advocacy continues, HTCs have tools and a key role to play in ensuring that patients can access the medications they need in order to live healthy lives.  

Strengthening formulary adequacy standards: Current federal regulations governing formulary adequacy say that formularies must cover at least one drug per USP (US Pharmacopeia) category and class. There are two problems with this benchmark. First, the rule cites a USP classification system that comprises only drugs covered under Medicare Part D – but of course most bleeding disorders products are covered under Medicare Part B, so they don’t appear on that USP listing. Second, a separate USP list that does include Part B drugs also has major flaws, insofar as it groups all bleeding disorders medications in one single category and class, without regard to disease treated, prophylactic vs. acute indication, route of administration, etc. Due to these limitations, even the narrowest formularies can claim to be compliant with existing USP-based standards for formulary adequacy.​

The Hemophilia Alliance and national bleeding disorders patient groups have undertaken a sustained, multi-pronged campaign to address the issue of formulary inadequacy. We are engaging with USP via letters and meetings, urging that body to revise its drug classification system to appropriately differentiate among bleeding disorders products based on condition and population treated, mechanism of action, and route of administration.​ We also continue to advocate with federal health and insurance regulators for better enforcement of existing standards; this includes urging regulators to give full weight to qualitative standards in existing law and protect patients against discriminatory plan benefit designs, including inadequate formularies.

Accessing medication TODAY: Meanwhile, patients still need access to their medication. Here are steps that patients and HTCs can take now when they encounter formulary exclusions and denials.

First and foremost, do not take “no” as a final answer! The patient has legal rights to appeal and/or to file a request for an exception. You (the HTC) play a critical role in that process. 

  1. File an Urgent Formulary Exception Request: The HTC should immediately submit a “Formulary Exception Request” or “Prior Authorization” request, making the case that the patient’s medication is medically necessary. Provide documentation including (1) the patient’s treatment records and clinical history, and (2) journal articles or treatment guidelines supporting the use of prescribed medication.
  2. Highlight Clinical Distinctions: There are important clinical differences between and among bleeding disorder medications based on: condition treated; prophylactic vs. acute indication; mechanism of action (factor replacement vs. non-factor); half-life; mode of administration; etc. Describe how this specific prescription is carefully tailored to the patient’s health needs.
  3. Use the “Step Therapy” Rule Against Them: If the plan demands that the patient try a different, specified product first (“step therapy” or “fail first”), explain why that course of action could be clinically dangerous. Include information on any other treatment regimens previously tried by the patient that proved to be ineffective or harmful.
  4. Request a Peer-to-Peer Review: Ask for the opportunity for your hematologist to speak directly with the health plan’s medical director to explain the clinical necessity of the patient’s prescribed medicine.
  5. File an Internal and External Appeal: If the exceptions request is denied, file for an internal appeal and, if necessary, an external review (by an independent third party). Make sure to file these appeals within the timeframes specified by the health plan.
  6. Contact Patient Assistance Programs: If your patient is in immediate need, reach out to the manufacturer’s patient assistance programs for bridging medication while appealing. 

 

Please contact your MCR primary contact if you have questions or need assistance navigating these steps.

Have a story you want to share or a topic you would like us to cover?

Also In This Issue…
Advocacy and Legal Update
  • Washington Update
  • Protecting Medicaid Patients
Administration and Operations Update
  • Unlocking Insights: Hemophilia Alliance Data Portal
  • 28th Annual Linda Gammage Social Work Conference – A Success!!
  • Spring Member Meeting Highlights: What Members Are Talking About
  • 2027 Alliance Meeting Calendar is Here!

Team Alliance Contact Information

We work for you! Please don’t hesitate to contact any of us with any questions or concerns:

Name Email Phone
Jeff Blake jeff@hemoalliance.org 317-657-5913
Jennifer Borrillo, MSW, LCSW, MBA borrillo@hemoalliance.org 504-376-5282
Heidi Lane, PT, DPT, PCS heidi@hemoalliance.org 435-659-1230
Angela Blue, MBA angela@hemoalliance.org 651-308-3902
Karen Bowe-Hause karen@hemoalliance.org 717-571-0266
Jazzmine Brown, MBA, MSW, LCSW jazzmine@hemoalliance.org 770-570-2649
Ashley Castello, MEd ashley@hemoalliance.org 225-266-5062
Zack Duffy zack@hemoalliance.org 503-804-2581
Michael B. Glomb MGlomb@ftlf.com 202-466-8960
Miriam Goldstein mgoldstein@artemispolicygroup.com 703-304-8111
Johanna Gray, MPA jgray@artemispolicygroup.com 703-304-8111
Kiet Huynh kiet@hemoalliance.org 917-362-1382
Elizabeth Karan elizabeth@karanlegalgroup.com 612-202-3240
Kollet Koulianos, MBA kollet@hemoalliance.org 309-397-8431
Roland P. Lamy, Jr. roland@hemoalliance.org 603-491-0853
Dr. George L. Oestreich, Pharm.D., MPA george@gloetal.com 573-230-7075
Nyla Page nyla@hemoalliance.org 603-986-0733
Theresa Parker theresa@hemoalliance.org 727-688-2568
Mike Popa popa@hemoalliance.org 614-563-7606
Jennifer Anders Rose rose@hemoalliance.org 954-218-8509
Kelly Waters, MSW, LCSW kelly@hemoalliance.org 804-317-4998