FL OIR Informational Memorandum OIR-20-01M
Insurance Coverage for Coronavirus (COVID-19)
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INFORMATIONAL MEMORANDUM
OIR-20-01M
ISSUED
March 6, 2020
Florida Office of Insurance Regulation
David Altmaier, Commissioner
TO ALL HEALTH INSURERS AND HEALTH MAINTENANCE ORGANIZATIONS
AUTHORIZED TO DO BUSINESS IN FLORIDA
~ INSURANCE COVERAGE FOR CORONAVIRUS (COVID-19) ~
In response to the Executive Order #2020-51 issued by Governor Ron DeSantis establishing
COVID-19 response protocols and directing a public health emergency in Florida, the Florida
Office of Insurance Regulation (OIR) is issuing this Informational Memorandum to all health
insurers authorized to do business in Florida to help facilitate the state’s ongoing efforts to
protect Floridians.
Heightened Communication and Customer Service
As the Centers for Disease Control and Prevention (CDC) and the Florida Department of Health
(DOH) have repeatedly noted, the best way to prevent illness is to take preventative actions to
impede the spread of respiratory diseases. Insurers are directed to use every channel available to
them to communicate with their policyholders, agents, providers, and employees to share official
CDC and DOH information regarding the prevention and treatment of COVID-19, including
directing the public to the official DOH website, www.FloridaHealth.gov/COVID-19.
Insurers are directed to devote resources to inform consumers of available benefits, quickly
respond to consumer inquiries, avoid and dispel misinformation, and review their processes to
streamline consumer services.
As part of the state’s coordinated response to COVID-19, insurers are directed to work with
public health officials and do everything possible from the prevention level. When called upon,
insurers should be available to help with all available resources.
Testing and Coverage for COVID-19
Consumers may seek a variety of forms of health care in connection with COVID-19, including,
but not limited to, physician office visits, laboratory testing, urgent care services, and emergency
services
alth officials and do everything possible from the prevention level. When called upon,
insurers should be available to help with all available resources.
Testing and Coverage for COVID-19
Consumers may seek a variety of forms of health care in connection with COVID-19, including,
but not limited to, physician office visits, laboratory testing, urgent care services, and emergency
services.
It is important to remove actual or perceived barriers to testing for COVID-19. Consumers could
be reluctant to seek testing or treatment due to other anticipated costs. Insurers are directed to
consider all practicable options to reduce the barriers of cost-sharing for testing and treatment of
COVID-19 during the public health emergency.
In accordance with sections 627.64194, 627.662, and 641.513, Florida Statutes, and section
2719A of the Public Health Service Act, insurers are reminded that emergency services for an
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emergency medical condition must be covered at the in-network level regardless of which
provider performs the services. Additionally, when consumers receive emergency services from
a health care provider that does not participate in the issuer’s provider network, providers are
directed to ensure that consumers incur no greater out-of-pocket costs for the emergency services
as they would have incurred with a participating provider.
Plan and Prepare
Insurers are directed to review their preparedness plans now. As a reminder, the CDC has issued
interim guidance for businesses and employers to plan and respond to COVID-19. Insurers are
encouraged to review this guidance here.
OIR stands ready to assist with any issues or questions to best serve Floridians and will continue
its communication with insurers regarding COVID-19. If you have any questions regarding this
memorandum, please contact John Reilly at John.Reilly@floir.com or (850) 413-5145.