The DOL has released examples of Warning Signs that a plan’s or policy’s non-quantitative treatment limitations may require additional analysis to determine Mental Health Parity compliance.
Document Excerpt
Stakeholders have asked for examples of plan provisions they might see on the MH/SUD side which should trigger careful analysis of the coverage on the med/surg side in order to ensure MHPAEA NQTL compliance.
Link
https://www.dol.gov/ebsa/pdf/warning-signs-plan-or-policy-nqtls-that-require-additional-analysis-to-determine-mhpaea-compliance.pdf