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CMS released the attached addendum to the Medicare Marketing Guidelines.
The part that raises concerns is this:
Section 70.6 Telephonic Contact
Section 70.6 of the MMG outlines permissible and prohibited telephonic activities of both agents/brokers and Plans/Part D Sponsors. We are clarifying that “plan business” means the member’s current plan. Agents may not contact members, via the telephone, to discuss other plan options. This is considered an unsolicited contact.
From what I understand this to read is agents cannot call non-clients who are in the same plan they are offering. In the original MMG it says agents can call clients as long as they are not baiting and switching topics.
Any other thoughts on this?
The part that raises concerns is this:
Section 70.6 Telephonic Contact
Section 70.6 of the MMG outlines permissible and prohibited telephonic activities of both agents/brokers and Plans/Part D Sponsors. We are clarifying that “plan business” means the member’s current plan. Agents may not contact members, via the telephone, to discuss other plan options. This is considered an unsolicited contact.
From what I understand this to read is agents cannot call non-clients who are in the same plan they are offering. In the original MMG it says agents can call clients as long as they are not baiting and switching topics.
Any other thoughts on this?