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WORKSHOP ON COMPLIANCE REVISED HOSPICE CONDITIONS OF PARTICIPATION

WORKSHOP ON COMPLIANCE REVISED HOSPICE CONDITIONS OF PARTICIPATION. Deborah Randall, Esq. law@deborahrandallconsulting.com. The Workshop Goals. Understand the compliance background to the new COPs: “the times we work in”

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WORKSHOP ON COMPLIANCE REVISED HOSPICE CONDITIONS OF PARTICIPATION

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  1. WORKSHOP ON COMPLIANCEREVISED HOSPICECONDITIONS OF PARTICIPATION Deborah Randall, Esq. law@deborahrandallconsulting.com

  2. The Workshop Goals • Understand the compliance background to the new COPs: “the times we work in” • Learn recent regulatory enforcement activities affecting Hospice =brief overview • Comprehend The Hospice COPs content, a “timeline” approach and a structural approach • Analyse a “case study”

  3. Compliance Reviewers • State Survey and Certification Agencies; CHAP; JCAHO • State Medicaid Fraud Control Units (MFUCUs) & Medicaid Inspector Generals (IG) • Federal Office of the Inspector General (OIG) & Fiscal Intermediaries/MACs • State Consumer Protection Agencies

  4. The Numbers Game • 18.7%= 1 yr. increase in Medicare costs • 28% = Residents in nursing homes receiving hospice care in 2005 • FY 2007, MFCUs recovered > $1.1 billion in penalties & obtained 1,205 convictions. More than 800 exclusions,based on referrals made to OIG by MFCUs.

  5. Medicare Program Integrity • Will use the Resubmission of the Form 885s; Every 3 years • No Certainty providers will stay in system • Resurveying possible

  6. Failures in COPs affect Billing • Government theory is that really poor care means a bill should not be sent • If you bill a claim when you know or should know the quality was inadequate, this could be a “False Claim”. Federal and State false claims act [FCA] cases growing • Billing a claim without documentation to prove care, level of care, or terminal status could also be a “False Claim”

  7. Failures in COPs affect Billing • Relationships with referral sources are inevitable in hospice (physicians, nursing homes, hospitals) must be free of fraudulent kickbacks or inducements. The new COPs require relationships and documentation… • Federal and State OIG say billing care that came from kickback = False Claim • OIG says billing “false” certifications = FCA COPs suggest > documentation at admission

  8. Hospice Fraud and Abuse Cases • Odyssey HealthCare paid the US $12.9 million to settle a qui tam false claims case. Records did not support terminality. • Home Hospice of No.Texas paid $½ million;misinformed MDs of patient data • Faith Hospice paid $½+ million =ineligible care.

  9. Under-serving Medicare Patients • Can be a compliance issue • Could be suggested by care plans not followed or differences in care between nursing home based patients and private home based patients • Can result in an action by OIG under the Civil Money Penalties Act, for money and to exclude you from the program

  10. THE LESSON OF DME INDUSTRY OF SMALL COMPANIES A DECENTRALIZED, HOME BASED SERVICE PHYSICIANS ORDERING SERVICE THEY DID NOT MONITOR CLOSELY MAJOR INCREASE in Medicare Spending (Power Wheelchairs; FL and TX) RESULT = Proposed Competitive Bidding

  11. Growth without Monitoring • US v.Palavyan–paying for referrals So.CA • People v.Gilles homecare worker sentenced to prison for false, undelivered “services” to disabled persons • Aging Care HomeHealth: kickbacks to MDs and patients ;contracting violations with physicians

  12. Brief Update on Hospice • Reimbursement under review at MedPAC • OIG WorkPlan continues examination of hospice care to nursing home patients • Quality of Care initiatives and concerns • Program Integrity initiatives: line item of claim for specific professional services • Hospice investigations • CMS’s PSC actions with hospices

  13. WHEW! WHAT NOW?? • Understand the new COPs as written • Put the new COPs in a timeline for actual care • See COPs as a structural improvement • Understand that it is a Team Approach ASK: CAN I DO IT?

  14. I CAN DO IT ! • Intake • Communication and Coordination • Assessment • Nursing Facility patients • Documentation Changes • Outcomes by QAPI • IDT/IDG Changes • Training

  15. 418.52 = PATIENT’S RIGHTS • Patient= Right to be informed Hospice= Protect and promote Notice: at assessment, before care Spoken and written; understood in language Advanced directives/State law; signed

  16. What are the Patient’s Rights? • Effective Pain management • Involvement in Care Plan Development • Information on coverage, scope, limitations • Refusing care or treatment • Choosing the attending • Confidential patient record, access/release HIPAA • Freedom from mistreatment, neglect, abuse, property misappropriation, injuries of unknown source

  17. 418.52 = PATIENT’S RIGHTS • Exercise; Property; Grievances about care or disrespect of property; Non-discrimination; Exercise by guardian or State-recognized patient representative • Hospice must immediately investigate and resolve: “anyone furnishing services on behalf of hospice”, with established procedures, report to authorities in 5 days

  18. Compliance Response • Who owns this COP and what do they do? • When is this COP applicable • Where do the documents demonstrating compliance reside in the Company • How do we assure this COP is compliant [Training, audits, patient discussions, grievance process, other ideas??] • Why? What external impact from failure?

  19. 418.54 Assessments of Patients • Patient-specific • Need for hospice care • Need for physical, psychosocial, emotional and spiritual care • All aspects of terminal illness-palliation and management • Initial w/in 48 hrs or less of Notice of Election-Patient’s right to request sooner!

  20. Assessments of Patients • Comprehensive:5 days of NOE; q.15 days Signed and dated Election Importance • Content: the clinical presenting picture; the functional status and patient participation in care; risk factors in care planning; imminence of death; Drug Profiling; bereavement needs; Referral Needs. May be an amalgam of documents;may collapse Initial and Comprehensive

  21. Assessment of Patients:Update • IDT and “collaboration of the attending” How do you document; how do you prove • Progress toward desired outcomes; response to care; did you ask patients? • Uniform data outcomes measures across all patients • Data systematic, retrievable for individual care planning and larger QAPI work

  22. Compliance Response • Who owns this COP and what do they do? • When is this COP applicable • Where do the documents demonstrating compliance reside in the Company • How do we assure this COP is compliant [Training, audits, patient discussions, grievance process, other ideas??] • Why? What external impact from failure?

  23. 418.56 Interdisciplinary Group:IDG • RN IDG member must coordinate care and ensure “continuous assessment” of patient and family needs • IDG must “work together”, “provide the care” and “meet the needs” & reassess every 15 days • Must have a “Super IDG” to set policies on day to day care, if >1 IDG in the hospice • IDG must documentpatient’s understanding, involvement and agreement w care planning

  24. 418.56 Care Plan [CP] Content • Assessment Needs & Goals in CP • Needs & GoalsInterventions;Services Patient/Caregiver Education& Training on their Role in CP • Interventions Updated Assessment; IDG review of CP; sharing with non-hospice care providers

  25. THEME: Coordination and Communication In 418.56(e)- System of Communication and Integration that: • IDG does its job • Care provided is based on all needs and assessments • Information is shared among hospice care providers and contractors • Information shared w non-hospice care providers

  26. Compliance Response • Who owns this COP and what do they do? • When is this COP applicable • Where do the documents demonstrating compliance reside in the Company • How do we assure this COP is compliant [Training, audits, patient discussions, grievance process, other ideas??] • Why? What external impact from failure?

  27. The Right Services from the Right People • Credentialing • Training and competencies • Supervision • Core Services from Hospice Employees or Contractors when permitted • Waivers of Required Services • Role of Personal Care Workers and NF employees as “Family-equivalents”

  28. Credentialing • 418.2 Definitions: Bereavement counselor, dietary counselor, physician, physician designee, licensed professional • 418.56: RN IDG coordinator; members of IDG team=Physician does not include NP • 418.62 Licensed Professional Services, persons must participate in QAPI and training • 418.114: Specifics in disciplines; MSW issue • 418.112(f):NF staff must be oriented to hospice

  29. Credentialing • Hospice Aide training and supervision requirements 418.76 • IDG pharmacy specialist 418.106(a) confers on all drug planning in care plan-How realistic?? • Hospice doing or referring laboratory tests: --if doing, must be licensed & meet CLIA --if referring, the laboratory must be certified in specialties and subspecialities 418.116

  30. Linking Credentials to Services • Licensed professionals: both direct other workers and are supervised. How? • If they are “under arrangements” how will performance and quality be accounted for? • Must do the “authorizing” of services: How is this authority established? • Must participate** “actively” under “current professional standards and practice”

  31. Training • Who and by whom • How do we document • What indicators • Who “owns” this process • How do we centralize training and the evidence of training

  32. Medical Social Services • COPs continue to require the service to be supervised by a physician • Changes in level of social worker who can work without supervision and who can be a supervisor 418.114 • Significant issue for staff availability • “Grandfathering” very limited

  33. Hospice Aide Supervision • In-person by an RN in the home every 14 days • In-person to observe the aide perform services with a patient, 1 time per year • No therapist and no LPN can satisfy the supervision requirement • What mechanisms to ensure compliance through what RN “observes” of patient?

  34. Background Checks • You are not “credentialed” if your behavior or background do not meet standards • 418.114(d) criminal background checks on all who do patient care or affect the patient record/billing. State law as guidance. • Affirmative obligation to come forward? • OIG and GAO exclusions list more than criminal activities; all claims unbillable • Uncredentialed = below quality = ?FCA

  35. Compliance Response • Who owns these COPs; what do they do? • When are these COP applicable • Where do the documents demonstrating compliance reside in the Company • How do we assure COPs are compliant [Training, audits, patient discussions, grievance process, other ideas??] • Why? What external impact from failure?

  36. What are Hospice Core Services • ??? • Who can provide a hospice core service? Answer: W-2 employee Physician under contract Specialized nursing or infrequently used specialty under contract Peak service demands: if rural, under contract if not “routine” • Can you go without core services? Others?

  37. The Role of the “Hospice Physician” in the COPs • Medical Director; “designee” by Hospice • IDG physician • Nurse practitioner • Physician consultant • Attending physician • Nursing facility physician counterpart for hospice patient residing in NF • Physician in hospice controlled in-patient unit

  38. Hospice Medical Director • If there is only one physician connected to the hospice,this physician is “expected to provide direct patient care to each patient”. • Medical Director [MDir] provides “overall medical leadership” in the hospice • Allowing numerous physicians to fulfill the MDir role “would likely result in inconsistent care and decreased accountability”.

  39. Physician • 418.2 definition (Medicare Act,) and 410.20; employee or contractor; 418.64(a) core service • on IDG-helps create care plan, IDG reassessments; responsible for management and palliation of condition; if attending unavailable, must meet medical needs of patient • supervised by the Medical Director; MDir is responsible for the overall medical care provided by the hospice • can be NP but not in IDG/care plan creation • must assess physical restraints; order drugs

  40. Attending Physician [AP] • Hospice cannot control this function YET • Hospice must “collaborate” with AP • Hospice must communicate and coordinate with AP • Hospice must obtain AP certification for Medicare entitlement and coverage • Hospice must provide information to AP about the condition of the patient

  41. Compliance Response • Who owns these COPs; what do they do? • When are these COP applicable • Where do the documents demonstrating compliance reside in the Company • How do we assure COPs are compliant [Training, audits, physician discussions, grievance process, other ideas??] • Why? What external impact from failure?

  42. Drugs,Biologicals,DME • 418.106 contains many revised standards for Hospice and the IDG

  43. Special Requirements: Patients Residing in Nursing Facilities[NF] • How is this different from Hospice Patients receiving in-patient level of care under Hospice Benefit: Compliance plan policy • How are SNFs different from NFs…or are they? Is Assisted Living = NF residency? • What is the role of the NF staff member? • How do we measure quality care in the NF setting where we don’t control everything?

  44. 418.112: Patients Residing in Nursing Facilities • Written arrangement now necessary • Designated liaison for both providers • Primacy of the hospice in care decisions—”full responsibility” • Mandated strong communication and coordination—in written terms 112(e)(3) • Absent revised SNF regulations, however, uncertain how to make this “work”

  45. Special Requirements: Patients Residing in Nursing Facilities • NF’s responsibility to continue to provide services as before /room&board&support • Core services remain = the hospice employee/physician contractor directly • Use of the NF personnel • Plan of Care planning, sharing, identification to each provider, consistency • Specific IDG member deals w NF coord’n

  46. Nursing Facility Contracts • Offer to provide bereavement services to facility staff goes in contract 418.112(c)

  47. Special Requirements: Patients Residing in Nursing Facilities • Who drafts and presents the contract? • Who “minds” the contract to ensure compliance with its terms? • How are conflicts resolved and accountability ensured? • Dialogue between Hospice MDir and NF MDir or other “attending-like” NF physician • One contract or individual patient-specific?

  48. Special Requirements: Hospice-Run In-Patient Unit [IPU] 418.110 • Staffing • Rooming • Pain management and pharmacist role • Restraints • Take care to distinguish the respite situation from the acute medical situation

  49. The Medical Record • What does it consist of: 418.104 • Where is it kept • Who can enter it or change/alter notes • How is it kept confidential and secure • Can patient/family review it • What about after death? • What signatures can be electronic

  50. Staffing between IPU and Respite • The 24 hour nursing rule is now changed • The nursing level depends upon the patient acuity level 418.108(b) • This could result in needs fluctuations within a single facility • Compliance capability must exist to track and maintain the right staffing level

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