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Trends, Challenges, and Best Practices for an Effective Home Health Compliance Program Asha Scielzo, Special Counsel Pillsbury Winthrop Shaw Pittman Tina Rao, Chief Counsel of Healthcare Maxim Healthcare Services Thomas Rawlings, Senior Director of Compliance Maxim Healthcare Services Pillsbury Winthrop Shaw Pittman LLP Agenda Recent Legal/Regulatory Developments in Home Health Compliance Home Health Compliance Challenges and Importance of Effective Compliance Programs Best Practices for Designing, Implementing, and Maintaining an Effective Compliance Program Processes and Training for Compliance Physician Signatures Training/Education Patient Safety and Quality of Care Monitoring for Compliance Utilization Review Audits Repayment 1 RECENT DEVELOPMENTS 2 1

Headlines, Headlines, Headlines 2/17/15. Owner of Miami-based Longcare Home Health pled guilty to conspiring to commit health care fraud by billing Medicare for services not medically necessary or not provided, and paying kickbacks and bribes. 2/10/15. ResCare Iowa paid $5.63 million to settle False Claims Act allegations related to its failure to document compliance with physician certification and face-to-face requirements between 2009 and 2014. 2/9/15. Kansas personal care attendant sentenced to 18 months prison and restitution of over $250,000 for submitting fraudulent bills to Medicaid. 1/30/15. Federal judge in Miami sentenced four people to prison terms of 2 to 10 years related to $6.2 million home health fraud scheme that ran from Dec. 2008 to Feb. 2014. Defendants were patient recruiters and/or management for Professional Medical Home Health, which billed Medicare for services that weren't medically necessary or weren't provided. 11/5/14. California home health agency s provider agreement terminated when CMS determined facility was not compliant with conditions of Medicare participation during three CMS surveys. 3 Recent Legal Developments in Home Health Compliance Regulatory Developments Changes to Medicare payment requirements effective Jan. 1, 2015 Elimination of face-to-face narrative requirement Elimination of 13 th and 19 th visit therapy reassessment requirements Increase in compliance threshold for OASIS assessments Proposed rule on home health Conditions of Participation (issued Oct. 6, 2014) Focus on patient-centered, data driven, outcome-oriented process and on eliminating unnecessary procedural burdens Would expand the current patient right CoP and create CoPs for care planning, coordination of services, and quality of care, quality assessment and performance improvement, and infection prevention and control 4 Recent Legal Developments in Home Health Compliance Agency Activity Beginning April 1, 2015, Medicare will compare HIPPS code on home health claims with HIPPS code on corresponding OASIS assessment Clarification of confined to home definition in Chapter 15 of the Medicare Benefit Policy Manual (Aug. 1, 2014) (mirrors 2013 changes to Chapter 7 of Medicare Benefit Policy Manual) Details on standardized assessments for post-acute providers revealed during Open Door Forum on Feb. 25, 2015 CMS authority to impose civil monetary penalties for non-compliance with CoPs (effective July 1, 2014) Second wave of temporary moratoria on enrollment in certain regions announced in Jan. 2014 (Fort Lauderdale, Detroit, Dallas, and Houston) 5 2

Recent Legal Developments in Home Health Compliance Enforcement Focus CMS developing pilot program, to begin in South Florida, to determine how many Medicare fraud cases are taking place in home health agencies OIG has prioritized improved controls on improper Medicare billings by HHAs (March 2014) One of first OIG exclusions based on breach of a CIA since 2007 was of a home health provider (Kai Heart) Major target of False Claims Act activity in 2014 and generated some of the largest settlements Amedisys - $150 million Visiting Nurse Network - $34.9 million CareAll Management - $25 million 6 COMPLIANCE CHALLENGES 7 Compliance Challenges and Importance of Effective Compliance Programs Evolving, complex federal regulatory and payment regimes Medicaid is a major payor for home health must contend with various state regimes, as well as Medicare regulations Many states operate waiver programs covering home health services, adding to the regulatory complexity Necessitates consistent processes, training, and monitoring to ensure compliance More difficult to supervise services and ensure quality of care where workforce is mobile and care is provided in patients homes Must have processes in place to prioritize and protect patient safety and quality of care Challenges in appropriately screening and training employees, particularly in high turnover environment Raises stakes on developing excellent processes for training and for monitoring safety and quality of care 8 3

Compliance Challenges and Importance of Effective Compliance Programs Essential to design and implement an effective compliance program to address these challenges Implement and regularly update processes to ensure compliance with all applicable regulatory regimes e.g., physician signature and documentation requirements Appropriately train staff to provide up-to-date information and promote culture of compliance Prioritize patient safety and quality of care by developing mechanisms for monitoring and responding to any issues Develop effective monitoring systems, including utilization review and audit functions Implement effective process for determining and making repayments when required 9 BEST PRACTICES FOR COMPLIANCE PROGRAMS 10 The Maxim Example Over 25 years of experience in home health care Operates more than 360 offices nationwide Entered into a DPA and CIA with the federal government and certain states in 2011 Extensive internal reforms and restructuring since 2009 to ensure robust compliance 11 4

PROCESSES AND TRAINING FOR COMPLIANCE WITH KEY REGULATORY REQUIREMENTS 12 Physician Signatures Physician signature must be obtained on order (CMS 485, plan of care) Certain states require physician signature to be obtained within a time period and before billing Time limits range between 30 and 60 days Maxim requires all physician orders to be scanned to a corporate database All are reviewed for timeliness of signatures based on state regulations prior to being dropped to bill payer 13 Training/Education Dedicated training required under CIA Training includes the following: Fraud and Abuse HIPAA/Privacy Sexual Harassment Professional Boundaries Billing Policy training Training provides clear examples Provided through online portal through Cornerstone software to caregivers Maxim received nationwide recognition 2014 Best Practice Award from Health Ethics Trust for their compliance and ethics education and training program. 14 5

ENSURING PATIENT SAFETY AND QUALITY OF CARE 15 Patient Safety and Quality of Care Best Practice: Rapid Response Investigations Rapid Response Privileged Investigation led by attorney Identified pervasive process breakdown that may involve patient injury or death Swat team approach to ensuring patient safety Operation team leads are in the office within 48 hours and accounting for operational and clinical processes High degree of a patient safety risk VP Compliance, Regional Compliance Officer involved Plan of Correction reporting and Root Cause Analysis Frequent meetings until issue is resolved 16 Patient Safety and Quality of Care Quality Committee est. 2013 Quarterly meetings Discuss any sentinel events Review incident reports Falls Broken bones/injury Patient deaths Medication errors Sleeping nurses Competency 17 6

MONITORING COMPLIANCE 18 Auditing/Monitoring Activity Planning Understanding the scope and purpose of the audit request On notice of pending investigation State survey issue (e.g. Standard, Conditional, Immediate Jeopardy) Repayment request Pending acquisition Incident follow up Scheduled 19 Understanding the Risks Risks that should be considered: Patient Safety Billing/Coding Licensure Documentation Education and training available Employee honesty Theft Reputation 20 7

Availability of Resources Priority established Length and breadth of engagement Personnel available and skillset Opportunity costs Leadership support Cross departmental collaboration Subcontracting resources 21 Development of Audit Format Items to consider when constructing an audit format Nature of the issue What created the audit need (e.g., patient complaint, outside inquiry, hotline call, investigation interview)? Are there patient safety issues? Identifying potential payers involved What policy, rule, law, regulation may have been violated? Define a timeframe goal for the completion of the audit 22 Audit Performance Auditing/monitoring objective Where to start? When to start? How did the issue arise? Personnel involved Is there a deadline? Availability of audit grid/tool or ad hoc Technology available Audit team skill set 23 8

Audit Process Define audit lead Clarify information flow prior to beginning the engagement Provide clear direction and instruction to team assigned Discuss anticipated scenarios, if at all possible Provide direction on levels of concern that may be discovered Schedule routine communications based on nature of engagement 24 Audit Process Maintain an open mindset to ensure all known risks are addressed Report development Identify reporting requirements Identify process for high risk situations that require immediate attention Communicate need for plan of correction Establish expectation for root cause analysis 25 Audit Process Address all issues so that engagement can be closed Patient Safety Billing Clinical Administrative Re-Education Human Resources Reporting Legal Licensure Accreditation 26 9

Audit Teams and Approach On site review Opportunity to review original documentation Home Visits Administrative process HR Files Interviews of Leadership Escalation process 27 Audit Teams and Approach Claims Testing Documentation Shift Level, Authorizations/Orders Documentation Physician Orders Clinical Quality Claims Submission Financial Review 28 Audit Teams and Approach Flexibility Knowledge of Payer/Program Requirements Audit Tools Specific to a Program Homecare Certified locations Behavioral - state / program specific State waiver programs 29 10

Utilization Review Processes Utilization Review Committee Created in July 2013 4 clinicians including compliance and legal members CMO VP of Clinical VP of Compliance Regional Compliance Officer (rotating) Senior Director of Compliance Chief Counsel, Healthcare Legal Assistant 30 Utilization Review Processes Utilization Review Committee Meetings based on volume; every other month Peer Review Committee Medical necessity Homebound status Clinical documentation issue Repayments have been made 31 Utilization Review Processes In order to determine whether a repayment may be warranted, review the following documentation: Diagnosis Physician orders Home visits Assessments/Reassessments Payer s definition of medical necessity Nursing or Aide notes Repeated refusal of services Goals met Patient is independent 32 11

HANDLING REPAYMENTS 33 Repayment Process Best Practices Process Flow Conduct internal compliance investigation Gather facts Conduct interviews Scope of non-compliant issue Determine credibility of witness to substantiate claims Review non-compliant issue for a repayment Legal Billing Analysis Team Review regulations to determine conditions of payment or conditions of participation Conduct risk analysis 34 Repayment Process Best Practices Process Flow If repayment is warranted, dates of services are calculated for repayment by finance/accounting team Repayment database logged (tracking system) Accounts for days (30 days, 60 days in the system) All repayments are tracked to be paid back within 30 days of identification per Maxim s CIA (stricter than federal law) Closed out when check is cashed or when electronic refund is processed Chief Compliance Officer is notified as to the number of days a repayment is open through share point system 35 12

Repayment Process Best Practices Process Flow Discuss self-disclosure with Medicaid Fraud Control Unit, if applicable Top 15 Repayments/Audits are discussed on a monthly call with the Chief Financial Officer, Chief Compliance Officer, General Counsel, Finance and Accounts Payable Need to determine probability of repayment if in appeal or litigation Finance will need to accrue for large repayments 36 Questions? THANK YOU! 37 Contact Information Asha Scielzo, Special Counsel Pillsbury Winthrop Shaw Pittman asha.scielzo@pillsburylaw.com 202-663-8256 Tina Rao, Chief Counsel of Healthcare Maxim Healthcare Services tirao@maxhealth.com 410-910-1470 Thomas Rawlings, Senior Director of Compliance Maxim Healthcare Services trawling@maxhealth.com 410-910-1580 38 13