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Critical Incident Reporting System (CIRS)

Critical Incident Reporting System (CIRS). Changes, Improvements & Expectations. Bill Brewer Health Outcomes & Quality Management Section Colorado Department of Health Care, Policy & Financing. Children’s HCBS Children with Autism Persons with Brain Injury Persons with Mental Illness

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Critical Incident Reporting System (CIRS)

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  1. Critical Incident Reporting System (CIRS) Changes, Improvements & Expectations Bill Brewer Health Outcomes & Quality Management Section Colorado Department of Health Care, Policy & Financing

  2. Children’s HCBS Children with Autism Persons with Brain Injury Persons with Mental Illness Persons Living with AIDS Elderly, Blind & Disabled Hospice Waiver CIRS Applicable Waiver Programs

  3. Any actual or alleged event or situation that creates a significant risk of substantial or serious harm to the health or welfare of a client Could have, or has had, a negative impact on the mental and/or physical well being of a consumer in the short or long term. What Is a Critical Incident?

  4. To assure that necessary safeguards have been taken to protect the health and welfare of the recipients of services To identify, address and seek to prevent the occurrence of abuse, neglect and exploitation on a continuous basis Why does the State need to track Critical Incidents?

  5. Monitoring Critical Incidents is a part of the Department’s Global Quality Improvement Strategyencompassing three functions: Discovery Remediation Continuous Improvement Critical Incidents and the Department’s Quality Improvement Strategy

  6. Waiver services are furnished at widely dispersed sites throughout the community Typically include: large and small private-sector provider organizations, case managers, individual personal assistants and attendants, clinicians, neighbors and other community members who support individuals The Challenge of Maintaining Quality In Waiver Services

  7. There was significant variation in the reporting patterns of SEP/CMAs over a 10 month period: 2 SEP/CMAs made ZERO reports 2 SEP/CMAs reported over 200 incidents each AVERAGE number of reports made was 60 12 SEP/CMAs recorded 89% of all Incidents What drove the changes and improvements to the existing CIRS?

  8. Some providers are very diligent about reporting critical incidents to SEP/CMAs Some agencies understand the CIR reporting process and expectations well and others do not Some agencies are over-reporting incidents, e.g. reporting unnecessary events Some SEP/CMA regions have a high frequency of critical incidents while others have a low frequency What do these findings suggest?

  9. Different Incident Types – reduced from 9 to 6 types Addition of reporting provider identification Limiting Entry to Only 1 Incident Type per entry Addition of more specific incident descriptors Limiting waiver program areas What has been Changed and Improved?

  10. What has been Changed and Improved? • Improvements have included: • Increased efficiency of recording process • Establishment of Follow-up Procedures • Refinement of data elements for more objective data

  11. Old Incident Types Suspected Abuse Suspected Neglect Suspected Exploitation Law Enforcement Involvement Environmental Hazard Death, expected or unexpected Emergency services involvement Medication error Suicide threats A Comparison of the Old/New CIRS

  12. New Incident Types Death Abuse/neglect/exploitation Illness/Injury to Client Damage to Client’s Property or Theft Medication Management Other High Risk Issues Old/New CIRS

  13. Additional descriptors have been added to clarify the nature and circumstances of each incident Emergency Service and Law Enforcement Involvement should be denoted as a follow-up action with each incident rather than as a distinct incident “type” Abuse, Neglect & Exploitation have been collapsed into one incident type with specific descriptors for each sub-type Old/New CIRS

  14. Death and Medication Management have been further clarified through the addition of descriptors, providing more detailed information 3 New Incident Types Illness/Injury to Client Damage to Client’s Property/Theft Other High Risk Issues Old/New CIRS

  15. All HCBS Waiver service providers are required to report critical incidents to their area SEP within 1 business day of learning of the incident SEPs are required to report all critical incidents they learn of from providers, directly or indirectly, to the Department within 1 business day of learning of an incident via the CIRS Review of Reporting Requirements

  16. Death Suspected Abuse, Neglect or Exploitation Injury to or Illness of Client Damage to Client’s Property/Theft Medication Management Other High Risk Issues What Types of Incidents Need to be Reported?

  17. Death Report any death of an accidental, intentional or suspicious nature or any death, including incidents involving law enforcement or a coroner. If there is any reason to believe the death may be accidental, of a suspicious nature, or NOTdue to natural causes, a critical incident should be recorded in the BUS. Detailed Incident Types

  18. Suspected Abuse, Neglect or Exploitation Abuse includes actions which result in bodily harm, pain or mental distress Neglect is a failure to provide care and service when an adult is unable to care for him or herself Exploitation is the deliberate misplacement, exploitation, or wrongful temporary or permanent use of a client’s belongings or money without the client’s consent Detailed Incident Types

  19. Injury to or Illness of Client Injury or illness requiring treatment beyond first aid includes: illness lacerations requiring stitches or staples, fractures, dislocations, loss of limb, serious burns, skin wounds illness or injury requiring immediate emergency medical treatment; or resulting in emergency admission to the hospital. Detailed Incident Types

  20. Damage to Client’s Property/Theft Deliberate damage, destruction, theft, misplacement or use of a client’s belongings or money without the client’s consent, including the deliberate diversion of medications Detailed Incident Types

  21. Medication ManagementIssues Problems with medication dosage, scheduling, timing, set-up, compliance, administration or monitoring which result in documented harm or an adverse effect which necessitates medical care Detailed Incident Types

  22. Other High Risk Issues Serious issues that do not yet rise to the level of a critical incident, but have the potential to do so in the future, including such events such as environmental hazards, suicide threats, self-injurious behaviors, arrest or detention, etc. Reports to County Human Services Departments regarding adult or child protection issues or other mandatory reporting. Detailed Incident Types

  23. If an incident does not fit the incident types of CIRS, yet is deemed to be important by the case manager, note the details of the incident in the log notes of the BUS Unnecessary or Inappropriate Reporting

  24. Lifeline Activation not related to a specific incident type Reports about non-HCBS persons Due to weakness in his legs, client fell in the dining room Client said she tripped over her dog and fell again Client complained of having severe neck pain Client was scratched on left forearm by dog paw Unnecessary or Inappropriate Reporting Examples

  25. When reporting a critical incident, be prepared to provide enough information so the SEP/CM knows: Who was involved in the incident What were the circumstances of the incident - details Where the incident happened When the incident took place, date & time Recording a Critical Incident Report

  26. Timely notification reminder: Providers must report a critical incident to the HCBS consumer’s Case Management Agency (CMA) within 1 business day of learning of a critical incident SEPs/CMAs must then report a critical incident to the Department via the BUS within 1 business day of receiving notification of the incident Recording a Critical Incident Report

  27. Reporting Critical Incidents does not relieve the provider, provider agency or SEP/CMA of other forms of mandated reporting, including reports to law enforcement, Child or Adult Protective Services, or Occurrence Reports to the Colorado Department of Public Health and Environment Mandatory Reporting Responsibilities

  28. HCPF Waiver Program Staff will review CIRS reports on daily basis checking for completeness of reports to determine if the report: Provides enough detail to understand the circumstances of the incident Documents the steps taken to respond to incident Identifies how client’s safety has been addressed and the follow-up measures taken and/or planned Documents whether mandatory reporting has occurred After a Critical Incident is Reported

  29. There will be instances when additional follow-up by the SEP/CMA or provider will be required: when reports lack sufficient information for the reviewer to understand the nature of the incident how a client or situation has been stabilized what safety measures have been taken to investigate and remedy the circumstances After a Critical Incident is Reported

  30. The Department does not require any specific method of communication between HCBS Providers and SEP/CMAs A form entitled “PROVIDER CRITICAL INCIDENT REPORTING FORM” has been provided as a means of capturing the detail necessary for reporting incidents; but, it is not a required by the Department. This form can be found on the HCPF website, under Provider Services/Forms/Critical Incident Reporting Forms HCBS Provider Reports to SEP/CMA

  31. QUESTIONS???

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