CMS 506 opioid medication value set includes Schedule V medications despite labeling as Schedule II–IV in both 2025 and 2026 eCQM specifications.

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    • Type: Hosp Inpt eCQMs - Hospital Inpatient eCQMs
    • Resolution: Answered
    • Priority: Moderate
    • Component/s: None
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      Thank you for your question regarding CMS506v7, Safe Use of Opioids - Concurrent Prescribing. The intent of the "Schedule II, III and IV Opioid Medications" value set (OID2.16.840.1.113762.1.4.1046.241) is intended to capture Schedule II, III and IV Opioids not schedule I or V opioids. The measure developer will look to remove schedule V opioids from the Schedule II, III and IV Opioid Medications value set in the 2027 reporting period.
      Show
      Thank you for your question regarding CMS506v7, Safe Use of Opioids - Concurrent Prescribing. The intent of the "Schedule II, III and IV Opioid Medications" value set (OID2.16.840.1.113762.1.4.1046.241) is intended to capture Schedule II, III and IV Opioids not schedule I or V opioids. The measure developer will look to remove schedule V opioids from the Schedule II, III and IV Opioid Medications value set in the 2027 reporting period.
    • CMS0506v8
    • CMS0506v7
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      The referenced opioid medication value set for CMS 506 includes Schedule V medications, despite the value set name indicating inclusion of Schedule II, III, and IV medications only. This creates potential confusion for implementers and clinical stakeholders interpreting measure results and may lead to questions about measure intent and clinical alignment. The issue affects multiple reporting years (2025 and 2026) and may have downstream implications for reporting consistency, validation, and stakeholder trust in the measure logic.
      Show
      The referenced opioid medication value set for CMS 506 includes Schedule V medications, despite the value set name indicating inclusion of Schedule II, III, and IV medications only. This creates potential confusion for implementers and clinical stakeholders interpreting measure results and may lead to questions about measure intent and clinical alignment. The issue affects multiple reporting years (2025 and 2026) and may have downstream implications for reporting consistency, validation, and stakeholder trust in the measure logic.

      The CMS 506 (Safe Use of Opioids – Concurrent Prescribing) eCQM specifications for both the 2025 and 2026 reporting periods reference an opioid medication value set whose name indicates inclusion of Schedule II, III, and IV medications only; however, the referenced value set expansions include Schedule V medications.

      Additionally, the CMS 506 measure specifications describe the measure in the context of Schedule II, III, and IV opioid medications, with no explicit reference to inclusion of Schedule V medications.

      Specifically:

      • Both the 2025 and 2026 CMS 506 specifications reference the value set “Schedule II, III and IV Opioid Medications” (OID 2.16.840.1.113762.1.4.1046.241).
      • The 2025 specification references the eCQM Update 2024-05-02 expansion (definition version 20240215).
      • The 2026 specification references the eCQM Update 2025-05-08 expansion.
      • Review of both expansions in VSAC confirms inclusion of codeine-containing products (e.g., RxNorm 995868 and 991486), which are classified as Schedule V medications.

      This creates a potential inconsistency between the measure specification language, the value set name, and the contents of the referenced value set expansions. Screenshots illustrating the inclusion of Schedule V medications within the referenced value set expansions for both the 2025 and 2026 CMS 506 specifications are attached for reference.

      This issue is submitted to request review and clarification of whether inclusion of Schedule V medications is intentional for CMS 506, and if not, whether future specifications or value set revisions are planned to better align the value set name and contents with the stated scope of the measure. If inclusion is intentional, any additional guidance or context that would help stakeholders interpret measure results would be appreciated.

            Assignee:
            Mathematica EH eCQM Team
            Reporter:
            Zobeida Torres
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