- A
Historical Perspective on Federal Support for Medical Research
- The
Future of Pharmaceutical Funding
-
The Future of Philanthropic Support for Medical/Health Research
- The
Political Environment
- Federal
Financing for Medical Research Through Trust Funds and Entitlements
- The
Future of Academic Medical Centers Under Increased Market Pressures:
Private Payer Policy Considerations for the Next Millennium
- Funding
Medical Research Through Medicare
- The
Applicability of Tax Credits to Medical Research and Development
A
Historical Perspective on Federal Support for Medical Research
Kei
Koizumi
American Association for the Advancement of Science
Trends in federal funding of nondefense research and development
(R&D) over the past four decades reveal the changing priority of
various national missions. In the 1960s, funding for space research
and development increased dramatically as the United States sought
to be the first nation to land a man on the moon. Energy R&D increased
in the mid-to-late 1970s, closely tracking national concerns over
dependence on foreign oil. Federal support for health-related R&D,
however, has grown steadily and virtually uninterrupted over the
past four decades.
The primary
supporter of health-related R&D is the Department of Health and
Human Services (HHS) with nearly 95 percent of its R&D funds going
to the National Institutes of Health (NIH). In the late 1950s and
early 1960s, NIH represented a relatively small part of the federal
government’s R&D portfolio, but during the past fifteen years, the
NIH budget has doubled in inflation-adjusted terms, with real increases
nearly every year. In FY 1999, NIH funding reached $15 billion.
It is important
to note that agencies such as DOE, NSF, and NASA also support life
sciences research conducted in support of their missions, but with
potential medical applications. And not all NIH funding is categorized
as life sciences; it also supports research in engineering, social
sciences, psychology and physical sciences. According to NSF statistics,
life sciences research totaled $13 billion in FY 1998, of which
71 percent came from NIH. The trend in life sciences research is
remarkable when contrasted with other disciplines such as engineering
and physical sciences. Of the total federal research portfolio of
$33 billion (excluding development and R&D facilities) in FY 1999,
nearly 44 percent went to life sciences research, compared with
less than 30 percent in FY 1970.
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The
Future of Pharmaceutical Funding
Bert Spilker
PhRMA
R&D investments
by research-based pharmaceutical companies have grown tremendously
over the last two decades, from $2.0 billion in 1980 to an estimated
$21.1 billion in 1998. Approximately 36 percent of the world’s private-sector
pharmaceutical R&D is carried out in the United States, and U.S.
firms hold approximately 33 percent of the worldwide commercial
market.
Pharmaceutical
companies spend a much larger percentage of their sales on R&D than
most other firms. The industry average for pharmaceuticals is 20.8
percent, as compared with 4.1 percent in the automotive industry,
5.1 percent in telecommunications, and 3.7 percent in aerospace
and defense. Of the total amount that the pharmaceutical industry
invests in R&D, approximately 80 percent is devoted to research
and development for the advancement of scientific knowledge and
the creation of new products, versus 20 percent for applied research
and development to improve and/or modify existing products.
In the past,
most pharmaceutical R&D support of clinical trials has been carried
out in academic medical centers. Recent trends suggest that the
share of clinical research conducted in non-academic organizations
has been growing at the expense of academic medical centers, in
part due to delays caused by institutional review boards and legal
barriers. From a public policy perspective, the key issues impacting
the pharmaceutical industry are tax credits, mergers, patent reform,
and price controls.
(Text of presentation unavailable. For further information concerning
this topic please go to PhRMA's web site at: http://www.phrma.org)
The
Future of Philanthropic Support for Medical/Health Research
Enriqueta
C. Bond, Martha G. Peck, and Melanie Scott
The Burroughs-Wellcome Fund
Foundations
are non-profit, non-governmental organizations that are classified
into one of four general types—independent, operating, community,
and corporate. Overall, there are 41,588 grant-making foundations
in the United States. Their support of medical research is quite
modest, only about 22% of total health grants. These dollars, however,
are nonetheless important because they provide critical “venture
capital.”
As of 1995,
the top twenty-five independent foundations provided a total of
$1.2 billion in grants to the broad category of health (e.g., hospitals,
medical care, reproductive health, public health, health policy,
and management). The share of medical research was 22 percent. The
future outlook for increased giving from foundations already in
existence is very good, and with a booming U.S. stock market, this
should result in continued double-digit growth.
The role of
philanthropic funding in strengthening health research is vital
in that it carries the unique capacity to invest in innovative and
creative risk-taking projects. With increasing federal commitment,
foundations can substantially leverage a growing national effort
and quickly move to fill gaps within the system. Gaps and opportunities
that currently exist that could be filled by foundations include:
training physicians and Ph.D. researchers to adapt to changing needs;
support for emerging fields and interdisciplinary research; support
for risky or politically unpopular research; speeding research from
bench to bedside; behavioral research; public understanding of science;
and new partnerships.
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The
Political Environment
Norman J. Ornstein
American Enterprise Institute
President Clinton’s
January 1999 State of the Union Address stands in stark contrast
to last year with respect to medical research. In 1998, the President
called for a plan to double the NIH budget, contingent upon tobacco
legislation. In 1999, only a passing reference to medical breakthroughs
and Parkinson’s disease could be found in the transcript of the
President’s remarks. Even more significantly, the President’s budget
request called for an increase of only 2.1 percent for NIH, barely
above the rate of inflation. While funding has increased significantly
in the past few years, it has not come close to matching congressional
rhetoric on this subject.
One reason,
of course, is budgetary. It turns out that the politics of surpluses
is not that different from the politics of deficits. The Balanced
Budget Act of 1997 still must apply the pay-as-you-go (PAYGO) rules,
reinforcing the fact that discretionary budgets are tight and continue
to operate in a zero-sum environment. Compounding this zero-sum
game are the demands of Social Security and Medicare that squeeze
discretionary budget items.
Within R&D,
other zero-sum games can be found, adding layers to this complicated
formula. Due to its stable and increasing funding levels, medical
research “competes” with other nondefense and defense R&D programs,
as a political priority. Competition exists between NIH and other
units of the Department of Health and Human Services, reinforcing
a “politics of resentment.” Compounding this is the “disease-of-the-month”
phenomenon, under which various advocacy groups vie for the attention
of legislators and shares of the health research budget.
Congress must
change the debate over Social Security and Medicare in the next
year, before it can deal with the task of research funding. Even
if more funding is forthcoming, the continued squeeze on discretionary
spending, along with other political dynamics, means that funding
will likely come with more, rather than fewer strings. Getting medical
research on the agenda means separating it enough from other budget
categories so that it can be considered on its own merits. Create
the focus and the climate for more research funding will be enhanced.
But it remains a daunting task.
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Federal
Financing for Medical Research Through Trust Funds and Entitlements
Roy T. Meyers
University of Maryland, Baltimore County
Most federal
funding for medical research is provided through the annual appropriations
process, commonly known as the discretionary portion of the budget.
Converting medical research from discretionary to mandatory funding
would be a very difficult task. Most members of the appropriations
committees would be reluctant to cede their authority over the budget
and those within the budget committees would be concerned that mandatory
status for medical research would decrease their flexibility to
manage the aggregate budget.
However, fear
about the future of medical research is very reasonable given the
recent changes in the health sectors. For example, the widespread
adoption of managed care has reduced important cross-subsidies for
teaching and research—will this continue? Discretionary appropriations
for medical research are threatened by uncertainty at both the micro-budgetary
and macro-budgetary levels. At the micro-budgetary level, the dysfunctionalities
of the appropriations process are widely known. At the macro-budgetary
level, discretionary spending caps loom and could force even those
who have pledged to increase medical research funding to do the
opposite. The assumption that the caps will remain in force is a
major contributor to the large surpluses that are now projected.
However, in my view, the budgetary outlook held by most Washington
policymakers is too optimistic and projected future surpluses are
not a sure thing.
This general
budgetary environment may provide the rationale for alternative
mechanisms. There is no technical guidebook or overarching law on
mandatory funding in general, and on trust funds and entitlements
in particular. The details of a given program are governed by the
specific law that creates it. The essence of both trust funds and
entitlements is that, by law, either the receipt of funds by a program
or the obligation of those funds becomes automatic.
It is very important
to note that automatic obligation of funds is not necessarily guaranteed,
however, and some trust funds and entitlement programs are still
subject to annual appropriations. If the goal of a trust fund is
to provide stable growth in financing, this might be prevented by
unpredictable variation in dedicated revenues, and by the possibility
that politicians will substitute dedicated revenues for discretionary
appropriations. In addition, the revenue gains of dedicating financing
for medical research should be compared to the impacts of doing
this. Some recent proposals for dedicating funds, if adopted, would
likely have been regressive and would have reduced access to medical
care.
In either case,
the question remains as to the type of revenue stream that will
flow into a non-discretionary account. Some feasible sources of
revenues could come in the form of taxes on insurance premiums,
and taxes and/or royalties on sales from medical tools and products.
A tax on insurance premiums would be similar to a mechanism that
is currently being discussed for financing medical education. In
this case, a policy decision would be required to determine what
rate(s) to impose, in order to solve the problem of having to set
funding levels for each outyear. A tax or royalty on medical products
has been proposed by some manufacturers of proprietary pharmaceuticals.
If granted up to ten years of additional market exclusivity for
certain drugs and antibiotics, the companies would make royalty
payments (as a percentage of sales) to the government for medical
research.
Even with these
mechanisms, questions remain as to how much additional revenue should
flow to a non-discretionary program, who should pay for it, and
how should it be allocated. There is a perception that mandatory
funding gives program advocates absolute independence from the “squalid
political process.” However, those who pay into a fund generally
believe they should hold greater political say in how it is spent.
And the creation of new mandatory spending must still conform to
the “PAYGO” rules that require offsets. This creates a new political
constituent base and an additional layer of complication to the
discretionary appropriations process.
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The
Future of Academic Medical Centers Under Increased Market Pressures:
Private Payer Policy Considerations for the Next Millennium
Allen Dobson
The Lewin Group
An increasingly
competitive health care delivery system calls for reconsideration
of Academic Medical Center (AMC) payment policies. Competitive markets
make payers more sensitive to the higher costs of AMCs. And a shift
in the location of care under managed care to community settings
challenges AMCs to redirect their clinical training and research
efforts to outpatient settings.
Public and
private payers do not fully understand the social missions and related
public purposes of AMCs. Payers feel a need to separate the financial
support of public goods from the purchase of clinical care. Unfortunately,
it is difficult for payers to understand that they are paying for
joint products from AMCs in the form of clinical care, teaching,
and research, all of which are conducted in a multi-institutional
environment involving teaching hospitals, medical schools, and universities.
Therefore, to what extent should payers distinguish care provision
for their patients from costs associated with broader public good
components?
The research
function within AMCs is by far the least understood. The payer community
wants to know how research impacts the cost of clinical care for
private pay patients. Managed care organizations increasingly question
the extent to which they need to participate in clinical trials
to meet enrollees’ and community expectations. Mechanisms for measuring
research productivity and accountability for what is purchased are
uncertain, especially the flow of funding. Hence, the benefits of
research, whether in the form of improved patient care or return
on investment to the local economy, are not clearly communicated.
(Text of presentation unavailable. For further information concerning
this topic please go to The Lewin Group's web site at: http://www.lewin.com)
Funding
Medical Research Through Medicare
Joseph P. Newhouse
Harvard University
The search
for alternative funding mechanisms for medical research will naturally
lead to the Medicare trust fund. It is only natural to expect some
funding from a source which stands to save costs through the innovation
of medical research. The author believes that Medicare funding of
medical research is not feasible except perhaps in the case of funding
clinical trials through Medicare.
It should be
acknowledged that Medicare already provides funds outside its basic
mission of providing health care services. Medicare also pays for
a share of salaries for hospital residents in order to defray costs
for graduate medical education. In fact, these funds could already
be paying indirectly for some clinical research. In addition, Medicare
pays additional funds to hospitals in order to provide health care
access to low-income populations.
There are three
reasons for recommending against the use of Medicare funds for medical
research. First, whether a portion of medical research warrants
an important enough mandate to be placed outside the discretionary
portion of the budget is arguable. There very likely would be tremendous
dissension from other competing interests such as the advocates
of paying down the national debt. Second, Medicare is simply running
out of money. The Part A Trust Fund, presumably the source from
which a medical research fund would come, is projected to be depleted
by 2001. Third, the source of Medicare’s revenue is from payroll
taxes that are split between employers and employees. Generally,
the employer’s costs are offset by lower wages and it is the employees
who bear the burden of the tax. Therefore, a Medicare fund for medical
research would entail payment by employees only. This would reallocate
costs differently than if medical research funding remained in the
appropriations process.
It is also argued
that Medicare should pay for clinical trials involving beneficiaries
of Medicare. The reasoning is that Medicare would pay for the care
of those patients if they did not participate in the trial. The
clinical trial could provide valuable insights as well as cost-saving
remedies for those patients.
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The
Applicability of Tax Credits to Medical Research and Development
Kenneth Whang
National Science Foundation
The research
and experimentation (R&E) tax credit is intended to encourage companies
to increase investments in research by lowering their marginal costs.
As it was structured in the 1980s, the research credit stimulated
as much as two dollars of additional R&D investment for every dollar
of tax expenditure. As the credit stands today, it has become difficult
for many firms to reap any incentive value for increases in R&D.
In particular, its value as a stimulus for academic-industry partnerships
is minimal.
Companies can
claim credit for their research expenses using a regular credit
or an alternative credit. The 20 percent regular credit is based
on a firm’s increment in research investments over a fixed historic
base. The alternative credit is based on a three-tiered rate schedule
(1.65 to 2.75 percent) and is independent of the firm’s previous
history of research investment.
Two other credit
provisions are of special interest for medical research. A provision
of the R&E credit known as the basic research credit is an incremental
credit for research contracts with academic institutions. The orphan
drug credit is a flat credit for clinical testing of drugs for rare
diseases.
In recent years,
the R&E tax credit has been renewed on a year-to-year basis. A major
criticism of the credit is its lack of permanence, which limits
its value for long-term investments. Other aspects of the credit
further reduce its effectiveness. The basic research credit does
not apply to academic-industry R&D with a “specific commercial objective.”
Unfavorable phase-in rules for the regular credit reduce its value
for small start-up firms. And the fixed base creates a problem of
winners and losers who are arbitrarily included or excluded from
the regular credit.
There are several
proposals from legislators that seek to make up for some of these
shortcomings. Some specifically target certain deficiencies by creating
a 20 percent flat credit for firms’ contributions to public benefit
research consortia or creating tax credits for clinical research
partnerships.
The two most
comprehensive bills for revamping the credit would make it permanent
and would modify the commercial objective clause to accommodate
university-industry partnerships and expand the types of qualifying
partnerships. These bills would also address the problems associated
with the fixed base. One bill would do so by improving the alternative
credit, so that all credit users could have access to a 20 percent
marginal rate, plus a 3 percent rate for maintained research intensity.
R&D would be defined according to the Financial Accounting Standards
definition, and the basic research credit and credit for research
consortia would be restructured with flat rates.
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©
1999 American Association for the Advancement of Science
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