81OAG081
81OAG081
Cite as 81 Md. Op. Att'y Gen. 81
81
HEALTH OCCUPATIONS ) INSURANCE ) REIMBURSEMENT OF
ACUPUNCTURISTS
September 3, 1996
The Honorable Paula C. Hollinger
Maryland Senate
You have requested our opinion whether acupuncturists are
entitled to reimbursement from insurers for their services based upon
their status as licensees under the Maryland Acupuncture Act of
1994, Title 1A of the Health Occupations (“HO”) Article, Maryland
Code. In other words, do licensed acupuncturists now have the same
right to reimbursement as physicians who perform acupuncture? In
addition, you asked whether licensed acupuncturists are entitled to
reimbursement under the Comprehensive Standard Health Benefit
Plan established pursuant to Subtitle 55 of Article 48A, the
Insurance Code.
Our opinion is as follows: Under the Maryland Acupuncture
Act, a part of the Health Occupations Article, acupuncturists are now
fully and independently licensed health care providers. Accordingly,
they are entitled to reimbursement by insurance companies for any
medically necessary service rendered within the lawful scope of their
licensed practice. Insurers may not deny reimbursement to
acupuncturists based simply on their status and may not enforce
policy provisions that purport to limit reimbursement to physicians
only. However, the General Assembly has not identified
acupuncture as a mandated benefit; therefore, health insurance
policies are not required to cover acupuncture services.
As to the Comprehensive Standard Health Benefit Plan,
acupuncture is a covered service. Therefore, if acupuncture services
are provided pursuant to a small group policy, the insurer may not
deny reimbursement to licensed acupuncturists.
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I
Entitlement to Reimbursement
In Chapter 578 of the Laws of Maryland 1979, the General
Assembly provided that whenever an insurance policy provided “for
reimbursement for any service which is within the lawful scope of
practice of a duly licensed health care provider, the insured ... shall
be entitled to reimbursement for such service.” In Chapter 522 of
the Laws of Maryland 1984, this basic provision was extended to
cover all types of health insurance policies, including group and
individual policies and policies issued by nonprofit health service
plans. The law, as it now stands, provides that:
[W]henever
such
policy,
contract,
or
certificate provides for reimbursement for any
service which is within the lawful scope of
practice of a health care provider duly licensed
under the Health Occupations Article, the
insured, or any other person covered by, or
entitled to reimbursement under, the policy,
contract, or certificate, shall be entitled to
reimbursement for such service.
Article 48A, §470U(a). See also Article 48A, §§354Z and 490A-1.
Thus, under the Insurance Code, all medical providers who are
licensed under the Health Occupations Article and provide a service
within the lawful scope of their practice are entitled to be reimbursed
by insurers for that service. A health insurance company may not
reserve payment only for chosen categories of providers. To take
but one example, licensed clinical social workers provide
psychotherapy for mental disorders. HO §19-101(f). Because their
scope of practice extends to this service, these social workers are
entitled to reimbursement for providing psychotherapy. Under the
Insurance Code, reimbursement may not be denied by a health
insurer solely because the treatment was performed by a social
worker instead of a psychiatrist.
In short, if the General Assembly has determined that a
licensed health care provider is able to perform a given service, an
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1 Other licensees who perform acupuncture ) physicians, dentists,
and veterinarians ) are exempt from obtaining a license from the
(continued...)
insurer may not deny reimbursement for that service based on the
licensing status of the provider.
II
The Maryland Acupuncture Act
Acupuncture is a “form of health care, based on a theory of
energetic physiology, that describes the interrelationship of the body
organs or functions with an associated point or combination of
points.” HO §1A-101(b). The practice of acupuncture includes
stimulation of points of the body by the insertion of needles, the
application of moxibustion (a form of heat therapy), and “[m]anual,
mechanical, thermal, or electrical therapies only when performed in
accordance with the principles of oriental acupuncture medical
theories.” HO §1A-101(e)(2).
In 1994, the Legislature adopted the Maryland Acupuncture
Act, HO Title 1A. This Act created the State Acupuncture Board
(“Board”) in the Department of Health and Mental Hygiene to
oversee the practice of acupuncture.
Prior to 1994, acupuncturists were registered, not licensed. See
former HO §14-506. Acupuncturists were not considered to be
independent health care providers but could perform acupuncture
“only under the general supervision of a licensed physician.” Id.
They were regulated in conjunction with physicians by the Board of
Physician Quality Assurance. Because acupuncturists were not fully
licensed health care providers, insurers were entitled to, and
apparently did, routinely deny reimbursement for services rendered
by nonphysician acupuncturists.
In 1994, two companion bills, House Bill 967 and Senate Bill
78, were introduced in the General Assembly to address the
licensing status of acupuncturists. House Bill 967 eventually passed
and became HO Title 1A, the Maryland Acupuncture Act. This Act
specifically required individuals who perform acupuncture to be
licensed by the State Acupuncture Board. HO §1A-301.1 As a
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1 (...continued)
Acupuncture Board. See HO §1A-102.
result, acupuncturists now meet the precise terms of the pertinent
sections of the Insurance Code, which require reimbursement to a
“health care provider duly licensed under the Health Occupations
Article.” See, Article 48A, §§354Z, 470U and 490A-1. Based on
this language alone, we would conclude that acupuncturists meet the
reimbursement standards of the Insurance Code.
The legislative history of the Act confirms this conclusion and
discloses an unmistakable intent to grant acupuncturists full,
independent licensing status. The Senate Economic and
Environmental Affairs Committee explained the concept of the bill
as follows:
The practice of acupuncture has evolved since
1982 when it was assigned to the medical
board for oversight. Patients now better
understand
what
acupuncture
is
and
physicians are evidencing greater acceptance
of acupuncture as an effective treatment
modality. Experience has shown that
continued general supervision of acupuncture
treatments by a physician is unnecessary.
Senate Bill 78 of 1994, Bill Analysis. The House Environmental
Matters Committee had a similar view of the general purpose of the
bill:
Bill Rationale: Acupuncture has come to be
accepted by physicians and patients alike as an
effective treatment method. This discipline
does not require physician oversight, and will
be better served by individuals who have
expertise in acupuncture.
House Bill 967 of 1994, Bill Summary.
The clear purpose and effect of the Acupuncture Act was to
recognize licensed acupuncturists as fully capable of performing
acupuncture without physician oversight. Accordingly, the Act
created an independent board of experts in the field to regulate the
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2 The Board also has disciplinary authority over licensed
acupuncturists. See HO §1A-309.
activities of licensed acupuncturists and to determine which
practitioners meet the statutory licensing standards.2 The creation of
this licensing board under the Health Occupations Article and the
removal of acupuncturists from the supervision of physicians clearly
demonstrate that it is now unlawful under the Insurance Code for an
insurer to deny reimbursement to an acupuncturist based on that
individual’s licensure status.
In sum, HO §1A-201 establishes the State Acupuncture Board
to issue licenses to practice acupuncture. HO §1A-305 defines the
scope of the license that authorizes the licensee to practice
acupuncture. As a result, the Maryland Insurance Code requires
reimbursement to licensed acupuncturists for medically necessary
services rendered within the scope of their license. Article 48A,
§§354Z, 470U, and 490A-1. Reimbursement may not be limited to
physician acupuncturists because of the insurer’s preference for
practitioners with a medical degree. Insurance policy terms to the
contrary are unenforceable.
III
Scope of Mandated Benefit Provisions
The sections of the Insurance Code that require reimbursement
for services rendered by a licensed acupuncturist apply only if the
insurance policy itself “provides for reimbursement” for the service.
See Article 48A, §§354Z, 470U, 490A-1. For the reasons set forth
in Parts I and II above, if a policy “provides for reimbursement” for
acupuncture, then the Insurance Code would prohibit an insurer from
limiting reimbursement to physician acupuncturists. However, in
creating the State Acupuncture Board, the General Assembly did not
make acupuncture a separate mandated benefit.
Article 48A, §490M defines mandated benefit as a “statute that
requires a particular health care service, benefit, coverage, or
reimbursement for covered health care services to be provided or
offered in a health insurance policy or contract issued or delivered
in the State by a non-profit health service plan or by a commercial
insurer.” Throughout the Insurance Code, the Legislature has
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required health insurers to cover many different types of mandated
benefits. See, e.g., Article 48A, §§470E (treatment of mental
illness), 470M (services of a nurse midwife), 470Q (hospice care
services), 470T (services of a nurse anesthetist), and 354Q (benefits
for prosthetic devices). Acupuncture services are not included in the
Insurance Code as a mandated benefit. Therefore, insurance policies
are not required to specifically cover acupuncture service.
Unless acupuncture is specifically excluded, however,
reimbursement nevertheless would be required where acupuncture
is performed to treat a condition for which recognized treatments are
generally covered by the policy. Acupuncture is considered to be a
legitimate medical treatment for a number of different conditions.
If acupuncture is performed as a medically necessary treatment for
one of these conditions, reimbursement could not be denied simply
because the service was not performed by a physician.
IV
Comprehensive Standard Benefit Plan
Article 48A, §700 directs the Maryland Health Care Access
and Cost Commission to adopt regulations specifying the benefits
that must be included in the comprehensive standard benefit plan for
the small group market. These regulations have been adopted at
COMAR 09.31.05.03. Under these regulations, the term “covered
services” includes many different benefits ) for example,
chiropractic services, hospice care services, durable medical
equipment, and numerous other benefits. Acupuncture is not
specifically listed either as a covered benefit or as an excluded
benefit. See COMAR 09.31.05.03 and 09.31.05.06.
In determining the meaning of these regulations, we apply the
same analysis that is applicable to statutory construction. In Re
Victor B., 336 Md. 85, 94, 646 A.2d 1012 (1994). Where the
statute, or in this case the regulation, does not readily supply the
answer, we examine the context in which the regulation was adopted
and the history of the regulation. Dickerson v. State, 324 Md. 163,
172, 596 A.2d 648 (1991); Kaczorowski v. City of Baltimore, 309
Md. 505, 515, 525 A.2d 628 (1987).
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The regulatory history in this case indicates that when the
Comprehensive Standard Benefit Plan was originally proposed,
acupuncture was not listed as a covered service. The Commission
solicited comments on the proposed Comprehensive Standard
Benefit Plan and did receive comments objecting to the perceived
intention to exclude acupuncture from the Plan. The Commission’s
staff reported:
Staff recommends no change in the
regulations. Although acupuncture services
are
not
specifically
addressed
in
the
regulations, the regulations cover care in
medical offices for treatment of illness or
injury as well as mental health and substance
abuse services through a managed care
system. Thus, to the extent that medically
necessary acupuncture was performed by a
licensed health care practitioner, it would be
covered.
Report to the Health Care Access and Cost Commission at 2. The
Commission then adopted the regulations without specifically
referring to acupuncture.
It is apparent that the Commission intended medically
necessary acupuncture to be a covered service under the general
provisions covering medical office visits. Accordingly, reading this
regulation to effectuate the Commission’s intent, we conclude that
medically necessary acupuncture is a covered service and is
therefore compensable under the Comprehensive Standard Benefit
Plan.
We would also note that acupuncture could be specifically
offered pursuant to COMAR 09.31.05.07, “Additional Benefits,” at
the discretion of the carrier through individual negotiations with the
employers. In any case, if acupuncture is offered as an additional
benefit or is performed under the general provisions of the
Comprehensive Standard Benefit Plan, then of course licensed
acupuncturists would be entitled to reimbursement under the
Insurance Code.
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V
Conclusion
In summary, it is our opinion that:
1.
By
virtue
of
the
Maryland
Acupuncture
Act,
acupuncturists are entitled to be reimbursed for acupuncture services
performed by them in accordance with their license.
2.
If an insurance policy covers acupuncture benefits,
insurers may not limit reimbursement to physician acupuncturists or
otherwise deny reimbursement to licensed acupuncturists based on
their licensure status.
3.
Under the Insurance Code, acupuncture is not a mandated
benefit for insurance policies generally. Insurers are therefore not
required to offer acupuncture benefits.
4.
Acupuncture
is
a
covered
service
under
the
Comprehensive Standard Health Benefit Plan for the small group
employer market, and acupuncture services performed by licensed
acupuncturists are reimbursable.
J. Joseph Curran, Jr.
Attorney General
Dennis W. Carroll
Assistant Attorney General
Jack Schwartz
Chief Counsel
Opinions and Advice