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The Other Side of The Coin: Cryptocurrency Assets in Bankruptcy – JD Supra

On July 5, 2022, cryptocurrency brokerage Voyager Digital filed for chapter 11 in the Southern District of New York Bankruptcy Court, citing a short-term run on the bank due to the crypto winter in the cryptocurrency industry generally and the default of a significant loan made to a third party as the reasons for its filing. At Voyagers first day hearing on July 8, 2022, the Bankruptcy Court asked the critical question of whether the crypto assets on Voyagers platform were property of the estate or its customers. Voyager asserted the crypto assets were assets of the estate pursuant to the terms of its customer agreements, but the question of ownership was more problematic in the context of a liquidation. In that context, Voyagers plan of reorganization proposes to resolve any mystery of ownership by delivering the reorganized company to its customers.

On July 13, 2022, cryptocurrency lender Celsius Network filed for chapter 11 in the Southern District of New York Bankruptcy Court. Celsius had frozen customer withdrawals on June 12, 2022 and, at the time of its chapter 11 filing, indicated that it would not be requesting court authority to allow customer withdrawals. Celsius noted in a press release that customer claims would be addressed through the chapter 11 process.

Voyagers and Celsius chapter 11 bankruptcy filings highlight the question of whether crypto assets held by an exchange, or similar platform, may be considered property of a bankruptcy estate and, therefore, not recoverable by the customer, who would then likely be an unsecured claimholder of the debtor.

While some commentators have suggested that crypto assets might be considered property of the exchanges bankruptcy estate, existing common law, existing provisions of Uniform Commercial Code (UCC) Article 8, and proposed amendments to the UCC recognize that if the arrangement and relationship between the exchange and its customers is one that is characterized as custodial, the crypto assets held by the exchange should remain property of the customer and, hence, not subject to dilution by general unsecured claimholders.

Custodial Assets in the Bankruptcy of the Custodian

The common law. When assets are held by a custodian for the benefit of the customers of the custodian, the assets are owned by the customer and would not form part of the debtors bankruptcy estate. The United States Court of Appeals for the Seventh Circuit determined in In re Joliet-Will County Community Action Agency[1] that property held by the debtor as a custodian or other intermediary who then generally lacks beneficial ownership rights is not an asset of the bankruptcy estate.

The court then looked to see if the relationship between the debtor and those who transferred funds to the debtor was in fact custodial. The court concluded the answer depends on the terms under which the grants were made and the relationship between the holder of the funds and its customer. In Joliet-Will, the agreement provided for controls on the holders use of the funds and the holder was in effect an agent to carry out specified tasks rather than a borrower, or an entrepreneur using invested funds. The court concluded the relationship was custodial and, thus, the funds were not property of the bankruptcy estate.

In the context of a cryptocurrency exchange bankruptcy, the same analysis should apply where the terms of the relationship between an exchange and its customer are comparable and, thus, custodial. In that case, the customer would have a basis to assert that it should remain the beneficial owner of the assets, rather than become a general unsecured claimholder of the exchange.

The commingling of customer assets, or the contractual right of an exchange in possession or control of the customers assets to grant a security interest in that property do not, of themselves, prevent the assets from remaining the property of the customer.[2]

Conversely, if the entity in possession or control of the property has extensive rights to use the property for its own benefit, a court is more likely to conclude that the relationship is not custodial. In that case, the customer would have a contractual claim for the return of the money [it] had paid, but he would not have a property right in the money.[3]

However, even if a court was to determine the customer should remain the beneficial owner of assets held by a custodian in such capacity, notwithstanding any commingling and any right to pledge the cryptocurrency, any contractual rights of the custodian (for example, any rights under a staking arrangement) should become property of the estate. In such a case, while the customer remains the beneficial owner of its cryptocurrency, which would not be subject to distribution to general unsecured claimholders in the exchanges bankruptcy, it could be tied up under the automatic stay preventing parties from exercising control over the exchanges contractual rights (e.g., under a staking arrangement, the automatic stay might prevent a customer from recalling the cryptocurrency to its account).

Article 8 of the Uniform Commercial Code. Article 8 mirrors these rules for financial assets held by a securities intermediary. Under Article 8, a securities intermediary[4] includes a custodian of a financial asset[5] who otherwise meets the definition of a securities intermediary.[6] Critically, existing language in Section 8-503(a) of the UCC outlines the ownership interest of a customer whose cryptocurrency is held by an intermediary such as an exchange, if the exchange is a securities intermediary, has agreed with the customer to treat the cryptocurrency as a financial asset,[7] and has credited the financial asset to a securities account.[8] This is true under Article 8 even though the securities intermediary holds the financial assets in fungible form (i.e., they are commingled).[9] Article 8 in effect codifies the common law custodian rules for transactions within the scope of Article 8the customer of the custodian retains its property interest and has a pro rata interest in the commingled assets held by the custodian.

Proposed Amendments to the Uniform Commercial Code. Pending amendments to the UCC further implement the rule that custodially held crypto assets should not be property of the bankruptcy estate in a bankruptcy of a custodian-cryptocurrency exchange. The drafting of amendments to the UCC specifically to address certain cryptocurrencies and other digital assets is nearing completion and is expected to go to the States for consideration in the Fall of 2022. Under these amendments, cryptocurrencies would fit into a new category of collateral under the UCC, referred to as controllable electronic records (a form of general intangible) (CERs), which would generally include information stored in a nontangible medium that can be subjected to control. Under these amendments, CERs will have many characteristics of negotiability similar to negotiable instruments and securities; however, cryptocurrencies ordinarily will not be considered money for purposes of the UCC (that is, the amendment generally provides that cryptocurrencies generally are not considered money, but a cryptocurrency created and adopted by a government as an authorized medium of exchange could be money under the UCC).

Notably, the proposed amendments to the official comments to Article 8 of the UCC primarily serve to make clear that a securities intermediary and a customer of a securities intermediary can agree to treat a cryptocurrency as a financial asset and credit it to a securities account with the treatment described above.

The proposed amendments to the official comments in Section 8-501(d) note that assets such as CERs might also be controlled by a securities intermediary outside of a securities account for the benefit of a customersimilar to traditional securities, in which case the bankruptcy of the intermediary often times would not put in doubt the customers ownership of securities in in that circumstance held by the intermediary:

[A]ssets such as controllable electronic records, controllable accounts, and controllable payment intangibles also might be associated with an intermediary as well as with its customer under a similar direct holding arrangement. . . . As with conventional certificated securities, whether an intermediary has created a security entitlement in favor of an entitlement holder or is holding a financial asset directly for a customer depends on the nature of the relationship and the nature of the rights of the intermediary and the customer with respect to the financial asset.

In addition, revisions to Article 9 of the UCC will provide that a security interest in a CER can be perfected the old fashioned wayby filing a financing statementor by obtaining control of the CER. Under current distributed ledger technology structures such as blockchain, a secured party normally would normally obtain control of a cryptocurrency that is a CER if the secured party has the private key. A secured party can have control through a custodian that has control for the benefit of a secured party. Where a securities intermediary and a customer of a securities intermediary agree to treat a cryptocurrency as a financial asset[10] and credit it to a securities account, the customer would have security entitlement related to the cryptocurrency, and the secured party could obtain and perfect a security interest in such security entitlement under existing procedures under Articles 8 and 9 of the UCC.

A new Article 12 to the UCC is being proposed that includes provisions addressing transactions in cryptocurrencies falling under the category of a CER, such as sales of the cryptocurrency. In these transactions, a buyer of a CER can take free of the property claims of others if the buyer obtains control of the CER (e.g., holding the private key), gives value, and does not have notice of the property claims of others.

While the proposed amendments to the UCC have yet to be finalized and adopted by the States, many of the amendments to the UCC as they relate to the ownership interest of a cryptocurrency exchange customer in custodially held cryptocurrency are proposed as amendments to the official comments, without revision to the operative statutory provisions themselves because the existing statutory provisions already provide for the described results. Thus, a bankruptcy court could rely on the existing state UCC statute as a basis to determine that when cryptocurrency is held as a financial asset credited to customer accounts, the cryptocurrency is property of the customer, rather than bankruptcy estate. This is the same result outside of Article 8 as discussed above.

Conclusion

Crypto assets held custodially by an exchange or other entity for a customer should be treated as the property of the customer. The analysis of when a custodial relationship exists will depend on the agreements and other facts in a particular relationship.

_______________

[1] See In re Joliet-Will Cnty. Community Action Agency, 847 F.2d 430, 431 (7th Cir. 1988) (Posner, J) (Did they constitute JolietWill a trustee, custodian, or other intermediary, who lacks beneficial title and is merely an agent for the disbursal of funds belonging to another? If so, the funds (and the personal property bought with them, cf. In re Kaiser, 791 F.2d 73, 77 (7th Cir.1986)) were not assets of the bankrupt estate. (Emphasis added)).

[2] See also Restatement (Third) of Restitution and Unjust Enrichment 59 (property interest in asset continues in commingled assets when the interests can be traced). See also Illustration 26 (400 customers of smelter deliver silver to smelter, who keeps records of the amount of silver delivered by each customer, refines the silver for a fee, and agrees to return a corresponding amount of silver to each customer; when smelter fails, each customer has a pro rata property interest in the refined silver, which is not the property of smelter); UCC 9-207(c)(3).

[3] Joliet-Will, 847 F.2d at 432.

[4] Securities intermediary is defined in Section 8-102(a)(14) of the UCC.

[5] Financial asset is defined in Section 8-102(a)(9) of the UCC.

[6] UCC 8-102(a)(14) and Comment 14.

[7] See Section 8-102(a)(9)(iii) of the UCC.

[8] Section 8-503(a) provides that [t]o the extent necessary for a securities intermediary to satisfy all security entitlements with respect to a particular financial asset, all interests in that financial asset held by the securities intermediary are held by the securities intermediary for the entitlement holders, are not property of the securities intermediary, and are not subject to claims of creditors of the securities intermediary, except as otherwise provided in Section 8-511.

[9] This rule is the same as the smelting example described above from the Restatement (Third) of Restitution and Unjust Enrichment.

[10] A financial asset does not have to be a security (as defined in Article 8 of the UCC) to be a financial asset. As long as the relationship between the securities intermediary and the customer creates a securities account (UCC 8-501, Comment 1), the securities intermediary and its customer (referred to as an entitlement holder) can agree to have any asset treated as a financial asset. UCC 8-102(a)(9)(iii).

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The rise of cryptocurrency philanthropy – Stockhead

In this edition, host Oriel Morrison discusses the rise of cryptocurrency philanthropy as organisations innovate and adapt to changing trends, adopting crypto as an acceptable means for donations.

On the panel this week is Jon Behar, strategic advisor at The life you can save.

The Life You Can Save was founded by Melbourne-born Peter Singer, an influential contemporary philosopher advancing the ideas in his 2009 book The Life You Can Save. In 2013, Charlie Bresler approached Peter about expanding his organisation to become a registered charity and eventually establishing in Australia in 2019.

The objective of the organisation is to reduce poverty and suffering of people living in extreme poverty. It achieves this by generating and granting funds to a curated list of recommended charities.

The panel discuss a range of topics including; Jons journey from hedge funds to cryptocurrency philanthropy, what is The life you can save, benefits and risks of crypto altruism, how organisations are innovating with changing technology and more.

So click above to tune in!

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Crypto miners moved over $300 million of bitcoin in one day, and some are dropping out altogether – CNBC

New data from blockchain analytics firm CryptoQuant shows that miners are rapidly exiting their bitcoin positions.

14,000 bitcoin, worth more than $300 million at its current price, was transferred out of wallets belonging to miners in a single 24-hour period at the end of last week and in the last few weeks, miners have offloaded the largest amount of bitcoin since Jan. 2021. The phenomenon is called "miner capitulation," and it typically indicates that miners are preparing to sell their previously mined coins in order to cover ongoing mining expenses.

Bitcoin is currently trading around $21,600, up about 3% in the last 24 hours. Still, the wider crypto market has been in a slump for months, with bitcoin down nearly 70% from its all-time high of around $69,000 in Nov. 2021.

Meanwhile, inflation is on a tear, and the cost of energy is hitting record highs as the war between Russia and Ukraine rages on.

Lower bitcoin prices and higher energy costs are compressing profit margins for miners, which is part of why some are selling bitcoin at current prices to try to contain exposure to continued volatility in the sector and mitigate against further risk to their bottom line.

"Given rising electricity costs, and bitcoin's steep price decline, the cost of mining a bitcoin may be higher than its price for some miners," Citi analyst Joseph Ayoub wrote in a note on July 5.

"With high-profile reports of resignations from mining companies, as well as miners that have used their equipment as collateral to borrow money, the bitcoin mining industry could be under growing pressure," the note continued.

Core Scientific, which is one of the largest publicly traded crypto mining companies in the U.S., sold nearly all its bitcoin in June. CEO Mike Levitt tells CNBC that just like any other business, bitcoin miners need to pay their bills.

"We mine and earn or produce bitcoin, but our costs, expenses, and liabilities are in dollars," said Levitt.

It's still profitable to mine bitcoin, Levitt says, with around 50% margins across the industry. That's down from 80% margins at its peak.

Last month, Core sold 7,202 bitcoin at an average price of $23,000. Levitt tells CNBC they invested the proceeds of approximately $167 million primarily into growth-oriented activities, including new ASIC servers and additional data center capacity for their self-mining and colocation businesses.

But they also deployed some of that capital to repay debt and to help settle five years of employee stock grants.

Long-term, Levitt is optimistic because there's tremendous positive operating leverage in the business. Over certain levels, every dollar increase in the price of bitcoin is 100% operating income to bitcoin miners.

"We would all be cheering loudly if bitcoin were to get back to $35,000, $40,000. There is no doubt about that," he said.

But productivity per unit of electricity also matters, and when prices are low, large-scale miners like Core Scientific tend to face less competition from hobbyists and small operations.

"As prices fall, the global hashrate or the competition for the production of bitcoin decreases, as less efficient miners come off the network," explained Levitt.

The hashrate is a term used to describe the computing power of all miners in the bitcoin network, and it is down 15% in the last month. That is ultimately a good thing for the large-scale miners who can afford to weather the downturns.

As less efficient miners come off the network and global hashrate declines, machines that continue to mine bitcoin get more productive.

"And thus, the cost of energy, if you will, per bitcoin produced, goes down," said Levitt.

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Denmark is banning Chromebooks in schools here’s why I’m on board – Laptop Mag

Denmark is banning Chromebooks in schools after Helsingr municipality officials were ordered to undergo a data-risk assessment regarding how Google processes personal information.

Datatilsynet, Denmark's data protection agency, released a verdict last week that stated that Google's cloud-based Workspace don't meet the European Union's GDPR data-privacy regulations. Why? The investigation discovered that Google transfers data from Europe-based servers to US servers, which clashes with GDPR's security and privacy standards.

The ruling is currently specific to Helsingr; the municipality has until Aug. 3 to rid themselves, and their students, of Chromebooks and Google Workspace. However, due to the Datatilsynet report stating that there was a personal data breach in 2020, the protection agency noted that the ruling would most likely apply to other municipalities in the future.

The main cause for this situation is the now defunct EU-US Privacy Shield that controlled how data was shared between the US and the EU. With no regulation currently in place, this leaves EU users vulnerable to the less-stringent data regulations of the United States, which are less concerned with anonymizing personal data.

Interestingly enough, data transfers between the US and Europe have been considered illegal since a previous ruling, "the Schrems II case" in 2020, which nullified the existing US-EU Privacy Shield agreement due to it not meeting the standards of the GDPR. These announcements and rulings follow a trend of European nations, such as Italy, France, and Austria, determining that websites using Google Analytics violated European data-privacy protection rules.

A Google spokesperson recently told TechCrunch the following:

"Schools own their own data. We only process their data in accordance with our contracts with them. In Workspace for Education, students data is never used for advertising or other commercial purposes. Independent organizations have audited our services, and we keep our practices under constant review to maintain the highest possible standards of safety and compliance."

This is gobbledygook for "no harm, no foul" and doesn't address the issue.

Recently, Ireland's DPC (Data Protection Commission) looked into how Meta, Facebook's parent company, has been transferring data between Europe and the US, which is possibly impacting WhatsApp and Instagram users.

While nations within the EU fight for citizens' data protection, it leaves US residents to wonder how much of their personal information is being mined.

As a tech reviewer, Chromebooks have always been less attractive to me compared to PCs and Macs. When you add that many EU nations are putting their legal foot on Google's neck due to data security issues, what's the point of buying one?

Chrome OS devices are ideal for checking emails, watching YouTube, and diving into Google's productivity suite of apps (e.g., Docs, Sheets and Slides), however, you can't do any serious gaming, video editing nor photo editing. As such, Google's prevalent security and privacy issues further weakens the case for purchasing a Chromebook.

Sure, Chromebooks are more affordable, but so was my second-hand car, which turned out to be utterly useless and dangerous to drive. Lastly, one of the biggest faults with Chrome OS is the Google Play store, which is filled with malicious, malware-infested apps used for data mining, stealing personal information, and money.

Google must take a page from Apple and tighten up its security vulnerabilities before consumers jump ship and seek alternative operating systems. If you want to know what you can to protect yourself, I suggest looking into setting up a VPN, or maybe even a double VPN, which one of our contributors recently wrote about. Stay vigilant, my friends!

h/t TechCrunch

Today's best Apple 13.3" MacBook Pro M2 and deals

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Denmark is banning Chromebooks in schools here's why I'm on board - Laptop Mag

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Digital health investment is just cooling off after a scorching year – MedCity News

Last year was a record year for venture capital investment in digital health startups the sector raised $29.1 billion across 729 deals, with an average deal size of $39.9 million. This market boom has ended, but the digital health investment space has not come crashing down by any means, according to a recent report from Rock Health. Its just cooling off after a scorching year.

Digital health startups raised $10.3 billion across 329 deals during the first half of this year, with an average deal size of $31.2 million. This puts the sector on track to rake in $21 billion in 2022, about $8 billion less than the total amount raised last year.

Though the pace of investments has decreased in the first half of this year compared to 2021, venture capital funding for healthcare companies is still pacing ahead of where it was in 2020, David Blumberg, founder and managing partner of venture capital firm Blumberg Capital, pointed out in an interview. He said investment firms are definitely still consistently pouring money in the digital health space, and these startups are still developing technology that is attractive to health systems.

As health systems continue to generate a tremendous amount of data, funding is flowing towards startups that are deploying AI and machine learning solutions to harness this data for prevention, diagnosis and treatment, he said.

Health systems are also continuing to adopt technology from startups focusing on telehealth and remote patient monitoring. Blumberg noted that this trend was strengthened by the pandemic, which accelerated our societal migration toward a more virtualized mode of living and working.

When choosing which healthcare companies to invest in, Blumberg Capital only considers startups that can prove they leverage data to improve clinical outcomes and lower costs. Blumberg said the firm looks at six Ts when evaluating companies: theme, team, terrain, technology, traction and terms. All companies receiving Blumberg Capital funding must be able to explain these thoroughly.

Ferrum and Theator are examples of two companies that made it into Blumberg Capitals portfolio in the past two years. The former uses algorithms to automatically and inexpensively scan hospitals radiology diagnoses as a second opinion for quality assurance, error reduction and training purposes. The latter sells an AI-powered surgical tool that extracts and annotates key moments from real-world procedures to help train surgeons for future operations.

Blumberg Capital is an early-stage investment firm, so Blumberg said it will always be able to choose from a steady flow of healthcare startups promising to harness data in new ways to benefit patients and healthcare professionals. The investment space looks a bit different for later-stage startups. Later-stage digital health startups are using this market moment to reconsider valuations, reduce expenses and design their go-to-market strategies, according to the report.

Some of these companies may need to adjust their expectations following large Series A or B deals, which could mean selling shares at a lower price than they were sold for in a previous financing round. But this isnt true for all digital health startups that experienced rapid growth in their early years Rock Healths report noted that some of the companies within its own portfolio have exceeded pre-pandemic financial projections by significant margins.

One thing that is certain is that 2022 wont see as many startups enter public markets as last year. So far this year, no startups have gone public, compared to 23 exits in 2021.

Photo: aurielaki, Getty Images

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Neuromorphic Computing Market SWOT Analysis, Latest Innovations, Emerging Trends, Industry Size, Growth Outlook and Forecast 2029 – Digital Journal

The ReliableNeuromorphic Computing Marketreport provides actionable market insights from which companies can build long-lasting and profitable strategies.Needless to say, the report helps companies to make different strategies by analyzing general market conditions such as product price, profit, capacity, production, supply, demand and market growth rate.A SWOT analysis was performed while formulating this market document along with many other standard research, analysis, and data collection stages.Additionally, key players, key collaborations, mergers, acquisitions, innovation trends and business policies are also re-evaluated in the Neuromorphic Computing Market report.It makes it easier to understand brand awareness and knowledge about your brand and products among potential customers.

Market Analysis and Overview

The Neuromorphic Computing market is expected to witness market growth at a rate of 52.50% during the forecast period 2022-2029 and is expected to reach a value of $34.61 billion by 2029.Data Bridge Market Research Report on Neuromorphic Computing Market provides analysis and insights into the various factors that are expected to prevail during the forecast period, providing their impact on market growth.Growing demand for technology globally is accelerating the growth of the neuromorphic computing market.

Neuromorphic computing, also known as neuromorphic engineering, refers to the use of large, integrated systems made up of various analog circuits.These systems allow replication of the neurobiological behaviors present in the human nervous system.The Neuromorphic Computing Platform includes two critical systems based on custom hardware architectures.These systems are designed to program neural microcircuits by applying brain-like thought processes to cognitive computing.

The growing number of applications in automation worldwide is one of the major factors driving the growth of the neuromorphic computing market.

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Leading companies reviewed in the Neuromorphic Computing Market report are:

Key players operating in Neuromorphic Computing Market report are: Intel Corporation, IBM, BrainChip., Qualcomm Technologies, Inc., Hewlett Packard Enterprise Development LP, SAMSUNG, HRL Laboratories, LLC, General Vision Inc., Applied Brain Research, Vicarious ., Numenta, Aspinity analogML, BrainCo, Inc., Bitbrain Technologies, Halo Neuroscience, Linux Kernel Organization, Inc., Nextmind SRL, Cognixion, Inc., NeuroPace, Inc., MindMaze and Innatera Nanosystems BV et al.

In the full-scale Neuromorphic Computing Market report, industry trends are detailed at a macro level, which helps to explain the market landscape and possible future issues.This market research report makes a systematic analysis of the market and various relevant factors ranging from market drivers, market restraints, strategies, market segmentation, opportunities, challenges and market revenues to competitive analysis.This report analyzes and estimates the general drivers of the market in the form of consumer buying patterns and consequently consumer demand, government policies and demand related to the growth and development of the market.

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The countries covered in the Neuromorphic Computing market report are the rest of South America in the framework of North America, United States, Canada and Mexico, Peru, Brazil, Argentina and South America, Germany, Italy, United Kingdom, France, Spain.Netherlands, Belgium and Switzerland., Turkey, Russia, Hungary, Lithuania, Austria, Ireland, Norway, Poland, Rest of Europe, Japan, China, India, Korea, Australia, Singapore, Malaysia, Thailand, Indonesia, Philippines, Vietnam, Rest of Asia Pacific (APAC) Asia Pacific (APAC), South Africa, Saudi Arabia, United Arab Emirates, Kuwait, Israel, Egypt, Middle East and Rest of Africa (MEA) which is part of Middle East and Africa (MEA).

A few points from the table of contents

Part 01: Summary

Part 02: Report Scope

Part 03: Neuromorphic Computing Market Outlook

Part 04: Neuromorphic Computing Market Size

Part 05: Neuromorphic Computing Market Segmentation by Product

Part 06: Five Forces Analysis

Part 07: Customer Environment

Part 08: Geographical Landscape

Part 09: Decision-making framework

Part 10: Drivers and Challenges

Part 11: Market Trends

Part 12: Supplier Status

Part 13: Supplier Analysis

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Geisinger Health Plan addresses burdensome prior auth process with Cohere Health’s platform – MedCity News

Geisinger Health Plan and software company Cohere Health are teaming up to simplify the prior authorization process and reduce provider burden.

Through the deal, Danville, Pennsylvania-based Geisinger is licensing Coheres AI-driven utilization management technology and services platform, designed to support value-based care delivery. In the value-based care delivery model, providers are paid based on the health outcomes of their patients and the quality of their services.

In a statement, Cohere said that its technology is designed to streamline the prior authorization process and support value-based care delivery while also reducing administrative costs. Cohere also aims to transform Geisingers utilization management overall to provide quality improvement initiatives across all lines of the integrated health systems businesses.

The prior authorization process is used by health insurance companies to determine if they will cover a certain procedure or service. It is one of the most burdensome aspects of getting care approved for patients ahead of time and often leads to patients waiting for care.

Boston-based Coheres platform aims to make this process more efficient and less burdensome. One way it does so is by providing physicians with care paths based on the history of a Geisinger health plan member and his or her care needs.

The platform takes data from various sources including claims data, clinical data from electronic health records and CMS datasets to find populations with similar clinical characteristics. It then allows providers to compare different treatment plans based on these populations. These recommendations encourage providers to choose high-value options before they submit requests to the payer for a prior authorization.

Physicians can submit one bundled authorization for the patients entire care process including imaging and diagnostics, surgery, medication, physical therapy and rehabilitation rather than multiple, disjointed requests.

The hope is that for a majority of cases, patients dont have to wait for prior authorization approvals. Coheres platform has a median approval time of less than a minute, according to the company. This process aims to reduce peer-to-peer clinical reviews and denials, and require less administrative work for physicians and health plans.

Geisinger Health Plan, which covers more than half a million members throughout Pennsylvania, isnt Coheres only payer customer. Humana also uses Coheres technology since 2021 and its technology is being used in all 50 states. Humanas providers have been able to immediately schedule patients for services in 89% of cases, according to a news release. When asked what it charges for services, Cohere declined to state its pricing structure.

Cohere claims that its platform creates 15% incremental medical savings on average and reduces denial rates by 63%. More than 95% of provider customers use its platform for the electronic submission and approval of prior authorization requests, and the platform accelerates care to patients by 70%. Surgical complication rates have decreased by 18% from the platform, according to Cohere.

Were excited not only to significantly improve the prior authorization process, but also to drive better care experiences and outcomes for our providers and members, said John Bulger, chief medical officer for Geisinger Health Plan, said in the news release. Coheres collaborative platform enables us to further differentiate our value-based care offerings, as our network providers can use the platforms evidence-based, proactive care suggestions to make better health easier and ensure our patients receive optimal care specific to their medical history and condition.

Photo: Piotrekswat, Getty Images

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Analytics firm Object Technology Solutions India plans to float IPO in the next two years – Moneycontrol

Before the IPO, CEO Chandra Talluri said they will be making two acquisitions to bolster the services portfolio

July 18, 2022 / 01:27 PM IST

Hyderabad-based data analytics solutions provider Object Technology Solutions India (OTSI) is planning for an initial public offering (IPO) within the next two years,chief executive officer Chandra Talluri told Moneycontrol.

In the recent past, the company has been credited with developing Niti Aayogs National Data Analytics Platform (NDAP), setting up a business intelligence, data mining and analytics unit for the ministry of corporate affairs (MCA), and working with the defence forces for their requirements.

Chandra said that the company has been growing organically, and before the IPO, it also plans to make inorganic growth by acquiring two companies. "The company grew about 23% from 20-21 to 21-22. But for the Q1 of 21-22 to Q1 of 22-23, we grew by 42%," Talluri said.

With these proposed acquisitions, the firm is aiming to upscale and diversify its services. Currently, the services provider has offerings in digital transformation, quality assurance, automation, and emerging technologies such as blockchain.

Apart from that, Talluri said that the company plans to increase its employee count from 2,000 to 5,000 before the IPO.

However, he remains cautious. We dont rush our plans, he said, taking into cognisance how recent IPOs of internet companies have fared in the market.

Recently, nearly a year after astellar debut in the market, Zomatos shares slipped in the red after the board approved the acquisition of Blinkit. Similarly, in March, Paytms shares fellto an all-time low.

Aihik Sur covers tech policy, drones, space tech among other beats at Moneycontrol

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Analytics firm Object Technology Solutions India plans to float IPO in the next two years - Moneycontrol

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Tencent Music Entertainment launches new ‘Business Intelligence for Artists’ initiative to provide real-time music data for artists and labels -…

Tencent Music Entertainment launches new 'Business Intelligence for

First published: 13 July 2022

Last updated: 14 July 2022

Tencent Music Entertainment (TME) has announced a new initiative for artists and labels.

The new service, TME Business Intelligence for Artists (TME BI for Artists), allows music labels and artists to access real-time data on charts and sales performance, as well as observe broader music industry trends. With a catalogue of millions of tracks, TME BI for Artists updates data 150 times a day by data mining across multiple platforms. Through the analysis of data, labels and artists get to understand the listening habits and preferences of their fans.

TME BI for Artists also develops industry reviews and in-depth analysis reports on a regular basis. These fresh insights help industry players navigate the evolving music market, thus improving the efficiency of music creation, promotion, and distribution in the long run.

Earlier this week, the Chinese music company launched a new Producers Alliance which seeks to support artists in the field of music production.

TME BI for Artists is now available on both WeChat and its official website here.

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Lowering insulin prices isn’t the (only) answer to helping patients with diabetes – MedCity News

Every 23 seconds, another American is diagnosed with diabetes. This skyrocketing incidence became even more apparent amid the Covid-19 pandemic, as those with diabetes experienced high rates of severe illness and mortality, in ways scientists still dont fully understand. In 2021, diabetes-related deaths jumped by 15% compared to pre-pandemic levels.

The financial consequences are equally staggering. One estimate calculates the total economic effect of diabetes and prediabetes at $400B+ annually.

And yet, there is no coordinated strategy to address this growing crisis.

The current insulin pricing discussion is proof of our piecemeal approach. Those with type 1 diabetes (~5% of the total diabetes population) need it to survive, while many with type 2 rely on insulin to manage their blood sugar. Tragically, one in four Americans with diabetes report rationing this life-saving drug because they cannot afford it.

Politicians on both sides of the aisle are rightfully eager to make insulin more affordable. The House of Representatives passed bipartisan legislation that would cap out-of-pocket insulin costs at $35 per month and take other steps to ensure affordable access. Senators Shaheen and Collins have just introduced a bipartisan companion, and we hope that Congress will find an agreement to send to the President in the coming months.

That said, the system is critically ill, and making insulin more affordable is a bit like putting a band-aid over a bullet wound. Policymakers should simultaneously support diabetes reversal treatments that help patients normalize blood sugar levels while reducing or eliminating the need for insulin.

This might seem antithetical to standard metabolic disease care. Typically, diabetes is treated as a chronic, progressive illness that requires increasing levels of medications to stave off complications.

But the status quo is shifting. There are new, evidence-based treatments proven to reverse the progression of diabetes and prediabetes, empowering patients to achieve remission and ditch their insulin and other diabetes medications. Just last year, an international consensus report from medical and scientific experts defined diabetes remission criteria and acknowledged diabetes reversalthe process of restoring blood sugar to normal levels without medicationsfor the first time.

So, how can the American healthcare system support patients who wish to put their condition in remission? We recommend these steps:

Critically, improving population-level diabetes treatment and prevention offers an enormous opportunity to address the disproportionate burden of diabetes on underserved and minority populations. With health equity taking center stage, implementing a strategic plan to combat diabetes would create concrete measures for success.

In closing, capping patient insulin prices will not affect the unsustainable trajectory of the type 2 diabetes epidemic in America. Ironically, it may even result in a cost shift, where gross prices and premiums change to recover the lost revenue.

Until resources are dedicated to broadening access to treatments that help reverse diabetes, we will continue to fight a losing battle. It is time to shift the conversation, incentives, and policy solutions to help people improve their health and get off of medicationsnot just make them cheaper.

Photo: Maksim Luzgin, Getty Images

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Lowering insulin prices isn't the (only) answer to helping patients with diabetes - MedCity News

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