2017-04-10
Added
Registered medical aid funds must discontinue providing gym rebates and wellness programs that do not constitute health care treatment by a registered person. The directive explicitly prohibits benefits such as boot camp fitness training, quit smoking programs, cooking workshops, walking clubs, and corporate wellness screenings. Funds are required to amend their rules to align with the Medical Aid Funds Act and must comply with this directive by 31 December 2018.
NAMFISA NAMIBIA FINANCIAL INSTITUTIONS SUPERVISORY AUTHORITY
10 April 2017
TO: Principal Officers of all registered Medical Aid Funds
CC: The Board of Trustees of all registered Medical Aid Funds Namibian Association of Medical Aid Funds (NAMAF) Administrators of all registered Medical Aid Funds
DIRECTIVE : PI/MAF/DIR/01/2017
EFFECTIVE DATE : 10 April 2017
SUBJECT : Gym Rebates and other Wellness Benefits provided by Medical Aid Funds
1.2. The purpose of this Directive is to rectify an identified malpractice in the medical aid fund industry in terms of which Funds offer gym rebates and other wellness programs as benefits to medical aid fund members.
Page 1 of 4 Tel: +264 61 290 5000, Fax: +264 61 290 5157, PO Box 21250, Windhoek, Namibia, 154 Independence Ave, Sanlam Centre, www.namfisa.com.na
The current practice The rules of several registered Funds provide for gym rebates and other wellness programs as benefits to members of medical aid funds. The provision of these wellness programs by Funds to members do not necessarily involve the provision of health care treatment by a registered person in terms of any law as contemplated in the MAF Act.
The law In terms of section 1 of the MAF Act, only a health care treatment provided by a person registered in terms of any law, qualifies as a “medical service”.
Conclusion 4.1. The provision of a gym rebate by Funds that does not have as its object the defraying of expenditure incurred in connection with the rendering of a medical service by a person registered in terms of any law does not meet the definition of “fund” and “medical service” as set out in section 1 of the MAF Act. As such, the provision of gym rebates by Funds in the aforesaid circumstance is not permissible under the MAF Act.
4.2. The payment by a Fund of a rebate to a member in connection with his/her gym subscription, in the absence of a prescription by a person registered in terms of any law, cannot be tantamount to “the defraying of expenditure incurred by that person in connection with the rendering of any medical service” as contemplated in the definition of “fund” in section 1 of the MAF Act.
4.3. Similarly, the provision of a wellness benefit by a Fund that does not constitute health care treatment by a person registered in terms of any law does not meet the definition of “fund” and “medical service” in section 1 of the MAF Act and is accordingly not permissible under the MAF Act.
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5.2. All registered Funds are similarly directed to discontinue the practice of providing the following wellness programs which do not constitute health care treatment by any person registered in terms of any law as benefits to members:
5.2.1 Boot camp fitness training;
5.2.2 Quit smoking programs;
5.2.3 Cooking workshops;
5.2.4 Walking clubs;
5.2.5 Corporate Wellness programs that offer information, education and health screenings to the employees of companies who belong to medical aid funds (e.g. blood samples taken for cholesterol tests, fasting blood glucose test for diabetes, blood pressure readings, body mass index calculations etc.); and
5.2.6 Any other type of wellness program that does not involve the provision of health care treatment by a person registered in terms of any law as contemplated in the MAF Act.
5.3. Funds are directed to amend their rules accordingly in order to reconcile same with the provisions of the MAF Act.
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5.4. Funds are further required to comply with this Directive by 31 December 2018.
The Registrar therefore requires full cooperation and support in this process by all medical aid funds and stakeholders at large.
Should you require more clarity on this Directive, kindly contact the Manager of the Medical Aid Funds and Friendly Societies Department at telephone number 061-290 5167 or via e-mail at: ltjiueza@namfisa.com.na.
Kenneth S. Matomola Registrar of Medical Aid Funds
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