PRACTICE RESOURCE EMTALA

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Journal of Health Law Summer Volume 38, No. 3 Articles PRACTICE RESOURCE EMTALA Compliance Andrea M. Kahn-Kothmann Paige Kesman

PRACTICE RESOURCE EMTALA Compliance Andrea M. Kahn-Kothmann Paige Kesman* A. Entrances and Signage 1. Identify and review all entrances to the Emergency Department that can be utilized by persons presenting for treatment. 2. Are signs posted that give information about the person s right to a Medical Screening Examination ( MSE ) regardless of ability to pay? 3. Are signs posted in the entrances, waiting areas, registration, triage and treatment areas? 4. Are signs clearly visible from a distance of 20 feet or the expected vantage point of the patron? 529 5. Are signs in the languages of the population(s) most frequently served by the facility? 6. Is the waiting area visible to triage staff so that patients can be monitored? B. Triage 1. Where is triage performed and how are patients directed there? 2. When is triage performed? [Best practice is prior to registration] * This material was presented at the American Health Lawyers Association s Fraud and Compliance Forum, held in Baltimore, Maryland, September 26-27, 2005, as part of the authors Key Considerations for EMTALA Compliance Plans presentation. Andrea M. Kahn-Kothman is a Partner in the Health Care Group at Reed Smith, LLP, in Philadelphia, and J. Paige Kesman is with the Regulatory Group of the Law Department at Tenet Health System in Dallas Texas. Journal of Health Law Summer 2005

3.What happens if someone leaves before or after triage? 4. Are patients informed to notify staff if condition worsens or if they choose to leave (so that Informed Refusal of Care can be documented)? 5. Confirm that Informed Refusal of Care forms are located in close proximity to waiting area? C.Registration 1. What information is obtained? 2. Where is it documented? 3. When is the central log initiated? 530 4. Confirm that MSE and treatment not being delayed for registration; however, if patient triaged non-emergent, reasonable registration process can begin. 5. Do registration staff have scripts to address patients who insist on discussing insurance coverage prior to MSE? 6. Confirm that preauthorization of services with insurers is not occurring until after MSE. D. Medical Screening Examination 1. Do physicians or Qualified Medical Personnel (QMPs) document when MSE has been completed? 2. Are ancillary services used as needed to evaluate the presenting complaint and determine if an Emergency Medical Condition (EMC) exists? E. Stabilizing Treatment 1. Is it performed within the capability of the facility an staff? 2. Confirm that all physicians are presenting to the facility when called and in compliance with timeframe set forth in facility policy. Journal of Health Law Volume 38, No. 3

3. Is there a communication process between the clinical staff and registration staff so that any required prior authorization can be sought once stabilization has been initiated? F. Transfers Out 1. Audit transfer paperwork to confirm that all transfers of individuals with unstabilized EMCs are initiated either by (a) a written request for transfer or (b) a physician certification regarding the medical necessity for the transfer. [Documentation for the foregoing must be included in the medical record and a copy sent to the receiving hospital.] a. If the transfer is requested, do forms allow clear documentation of the request and that the risks and benefits of transfer were discussed with the patient? [Form used to document requested transfers should include a brief statement of the hospital s obligations under EMTALA. Reason for request by patient must be documented as well.] 531 b. How does the physician certify that the benefits of transfer outweigh the risks? [Focus should be on the patient s complaints, symptoms and diagnosis.] 2. Do facility policies and procedures define documentation standards and the facility person(s) responsible for: a. Identifying a receiving physician at the receiving hospital; b. Obtaining acceptance of the patient by the receiving hospital; and c. Sending pertinent medical records with the patient. Journal of Health Law Summer 2005

3. Do available forms provide a place for the physician to write an order for the transfer and describe transportation staffing and equipment requirements? 4. If a transfer occurs due to an on-call physician s failure to appear, are the name and address of the physician included in the records sent to the receiving hospital? G. Transfers In Has the facility established a transfer request log to capture the following information regarding requested transfers into the facility: (a) date and time of request; (b) facility requesting transfer; (c) services requested/reason for transfer; (d) service availability at receiving hospital; (e) whether transfer accepted or denied; and (f) if applicable, reason for denial? 532 H. Documentation Review 1. Audit central log for disposition and compliance with additional state law requirements (e.g., documentation of chief complaint, time of arrival and time of disposition). 2. Review Bylaws (or Rules and Regulations) to confirm indication of who may perform an MSE. If a non-physician is authorized to perform an MSE, confirm that the required credentials, competencies and practices standards/protocols identified. 3. Review physician on-call list to verify that it reflects coverage of services available to inpatients. Physicians must be listed by name rather than practice group. 4. Review triage and reassessment policy. 5. Confirm that EMTALA policy has been updated to reflect 2003 regulatory changes and 2004 interpretive guidance changes, for example: a. Definition of comes to the emergency department; b. Definition of dedicated emergency department: (DED) Journal of Health Law Volume 38, No. 3

c. Concept of prudent layperson observer; d. Changes in obligations for non-ded off-campus departments; e. Cessation of EMTALA obligations upon inpatient admission; and f. Requirement that back-up arrangements for on-call coverage be documented in policies 533 Journal of Health Law Summer 2005