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Market Access Strategic Execution Consultant

ICER’s Influence Is Expanding. Now What?

When it comes to US market access, it is common to solicit input from a variety of payer types in order to benchmark an asset’s clinical evidence against payer demands and determine optimal product positioning. However, the Institute for Clinical and Economic Review (ICER) has been making frequent headlines over the past couple of years, raising the question of its degree of influence on market access.

Founded in 2006, ICER calls itself “the nation’s independent watchdog on drug pricing.” The description itself does not settle well with critics of ICER. Craig Garthwaite, a well-published thought leader on the relationship between drug prices and innovation, was interviewed last month by The Incidental Economist. In the interview, Garthwaite noted that “lowering drug spending” is the wrong goal as it can be detrimental to innovation of new medicine. Instead, “The goal of high-value spending is a good goal. With all health care spending, the idea is not that we want to lower spending, the idea is that we want value for money. Even the idea that 18% is ‘too much of GDP to spend on health care’ is a misnomer. The idea is that we want to get the best value we can.” He went on to express, “I don’t believe ICER is as independently beneficial as other people might. I think it has a particular point of view. And I have concerns about an organization that was started with the idea of decreasing costs that says it’s going to come up with an independent view of the value of a product.”

A key function of ICER is to publish reports evaluating whether a drug’s price aligns with the value it offers to patients. Through clinical and economic evidence assessment, ICER researchers arrive at a “value-based price benchmark” for each drug (i.e. a target price range that would achieve incremental cost-effectiveness ratios between $100,000 and $150,000 per QALY gained). Prior to finalization of these reports, ICER solicits feedback and additional evidence from manufacturers, payers, providers, and patients to guide any final revisions. According to Advisory Board, only a third of ICER’s reports have found drugs to be cost effective and fairly priced.

Considering ICER’s bias against drug prices, it makes one concerned of the extent of influence of ICER’s recommendations on payers and reimbursement policies.

ICER’s growing influence has been confirmed by small surveys of payers conducted by independent organizations. A recent survey conducted by ICON in July 2019 and published in November 2019 captured responses from total of 31 respondents from PBMs, MCOs, and IDNs (mostly pharmacy and medical directors). According to the publication, 23% of respondents were extremely familiar with ICER reports, processes, and assessments (up from 18% in the 2018 survey). Forty-two percent had referred to ICER assessments to inform the design of an outcomes-based contract (a sharp increase from 18% just the year before). Other more common utilizations of ICER reports were to provide references for a literature review as part of the drug information/review process (61%), to inform choice of a preferred product(s) within a therapeutic class (58%), to inform prior authorization/step edit criteria (58%), and to use as a negotiation point for rebate/pricing discussions (55%). The publication noted that “While most payers find ICER’s cost-effectiveness useful, they noted that they have not made a ‘hard line’ to set a threshold where coverage will be cut off. Payers leverage ICER reports in the initial assessment phase, and if the drug falls within the cost-effectiveness threshold, payers usually will not take additional steps or add other conditions in determining coverage.”

With the growing influence of ICER, manufacturers have been taking ICER assessments seriously and even participating in the review processes in various ways.

On the conforming end of the spectrum, some manufacturers have provided relevant unpublished data to ICER for analysis and accepted ICER’s value-based benchmark price at launch, as did Sanofi-Regeneron in 2017 with dupilumab.

At the opposite end of the spectrum, manufacturers have generated the required clinical evidence in order to flip ICER’s decision in their favor. In a rare move, ICER reversed its decision on the value of 2 new migraine drugs in February 2020. According to ICER’s Chief Medical Officer, David Rind, “Following the publication of the previous iteration of our report, we worked closely with Allergan to identify high-quality evidence demonstrating additional clinical benefits for ubrogepant beyond the 2-hour time point required by the FDA for the clinical trials. This additional benefit, which likely also applies to rimegepant, supports a near doubling of ICER’s health-benefit price benchmark for these two treatments.”

With conformity on one end and conversion on the other, there are many other ways in between to engage with ICER. Evidera offers suggestions that sound much like the way manufacturers traditionally engage with payers. For example, manufacturers can offer relevant primary and secondary literature which feeds key assumptions for ICER’s economic models. They can also anticipate ICER’s decision and plan for ways of engagement by developing early cost-effectiveness models in-house. Finally, the insights gathered from payers, clinical experts, and patient focus groups can be used to develop approaches to better align product value stories and prepare for pricing negotiations.

Manufacturers should not feel like ICER is cornering them into unfairly reducing prices of their assets. An organization still in its adolescence, ICER is receptive to cross-industry feedback and criticism. It is willing to evolve, as is evidenced by the 2020 Value Assessment Framework which incorporates real-world evidence, creates processes for re-evaluating evidence, and develops a new methodology to evaluate transformative (likely high-cost), curative therapies.

Far from perfect, one of the many flaws that remain to be fixed is that its value-based price benchmarks are determined for patient populations at-large rather than specific subpopulations. The Alliance for Aging Research argues that such an approach discriminates against older adults, people with disabilities, and veterans as they would be deemed ‘too expensive’ to receive care.

As ICER’s role in reimbursement policy is expected to expand, the organization should be viewed as a partner rather than a contender which is both molding and being molded by manufacturers.

It’s time to make big strides and turn heads; let’s go.

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