THE BIG PICTURE. The Impact of Survey In THE SURVEY & ENFORCEMENT SESSION: WHAT HAS CHANGED? OHCA Annual Convention/April 29, 2015

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THE SURVEY & ENFORCEMENT SESSION: WHAT HAS CHANGED? OHCA Annual Convention/April 29, 2015 Carol Rolf Christopher M. Tost Rolf Goffman Martin Lang LLP THE BIG PICTURE The Impact of Survey In 2015 Reputation in Community/Influence on Potential Clientele Ohio HB 209: Restriction on Use of Surveys in Advertising Staff Morale Possibility of Enforcement Actions CMP; Loss of NA Training; Denial of Payment; Termination Potential Use in Litigation Context Frequently Genesis for Criminal; Civil Personal Injury; Worthless Services Claims F309, F314 & F323 Issues Lead to Approx. 75% of Personal Injury Cases Ohio HB 209: 1 year Statute of Limitations Link Between Attorneys General & Plaintiff s Attorneys in Some States Potential Impact on Reimbursement/Insurance Rates Facility Value in Potential Transaction (Survey History is Assigned) 1

The Importance of Survey 5 Star Program Changes Every Point Counts! 5 Star Changes Effective 2/20/2015 (S&C: 15 26 NH) No Change to Survey Calculation, But Approx. 30% of Ohio SNFs lost star(s) 3 New QMs: Rehospitalizations; Discharge to Community; Antipsychotics (Short Stay & Long Stay) o CMS Goal Regarding Antipsychotics: 30% Reduction Survey Calculation: o Includes 3 Years (36 Months) of Surveys o Level 1: 0 Points; Level 2: 4 16 Points; Level 3: 20 45 Points; Level 4: 50 175 Points (Significantly Reduced if Past Noncompliance) o Re Visit Non Compliance and SQC Scored Higher Utilized Heavily in Special Focus Facility Selection o Ohio Law Changes (Ohio R.C. 5165.771) Potential for Faster Termination of Medicaid Provider Agreement Survey Approach Be Proactive, Not Reactive. Avoid Non Compliance Period. Invest in: Establishing Standardized Care Protocols; Staff Training/Testing; Customer Service; QAPI; Technology (EMR, Quality Metrics) Complete, Prompt Internal Plan of Correction for any Potentially Citable Event and Document Your Monitoring Efforts Be Ready During & Throughout Survey to Communicate with Surveyors and Make Your IDR Arguments with Them Use Disclaimer/Positive Language on Plans of Correction Where Possible Carefully Evaluate CMS 2567L & Use Survey Appeal Process, Where Possible, to Reduce Points as Well as to Avoid Penalties Argue to Delete Tags, and/or to Reduce Scope/Severity IDR or I IDR Use of Administrative Appeal Process JEOPARDIES 2

IJ History IJs in 2014 Elopements 14 Abuse/Neglect 7 Necessary Care & Services (CPR) 6 Falls 4 Accident hazards/supervision 4 Fail to report abuse 4 Fail to develop P&P for Abuse 4 Pressure Ulcers 3 Unsupervised eating/choking 3 Necessary Care & Services Other 2 Restraints 2 Smoking/Fire 2 Medication Errors 1 Suicide 1 Infection Control 1 K tag 1 Immediate Jeopardy Issues Continuing Concerns about Timing of IJ Declaration by ODH Increase in Sexually Based IJs May Include ANY Sexual Contact Involving a Resident Often Cited in Abuse Category, Resulting in Multiple IJs New Topics: Infection Control & Nutrition Length of IJ Should Be Argued at Survey 3

PAST NON- COMPLIANCE The Renewed Importance of Past Non Compliance Significance: No Plan of Correction Required Potentially No Re Visit Required Stops Bleeding from CMP Perspective Compare: 50 175 Points for Ongoing IJ vs. 20 Points for Past Non Compliance IJ at Any Level ( J, K or L ) Substantial Compliance Differs from Immediate Jeopardy Abatement! Elements Other of Past Noncompliance Updates What is Required: Non Compliance at Time of Event Non Compliance Occurred Between Surveys Facility Corrected Non Compliance and Is In Substantial Compliance at Time of Survey Issues to Consider Time Elapsed Between Correction and Survey Issue of Continued/Ongoing Monitoring 4

ODH UPDATE & STATISTICS ODH Developments Richard Hodges New Director of ODH Dave Holston New Division Chief (Office of Health Assurance and Licensing) Lea Blair New Acting Head of Surveyors (Bureau of Long Term Care) Brian Dean Interim Bureau of Regulatory Enforcement Chief Russell Cunningham Life Safety Code Contact Number of Ohio Health Deficiencies (Last 5 Years) 5

INSERT Top 10 2014 Ohio Health Deficiencies Top 10 2014 Ohio LSC Deficiencies INSERT STATS Current State of Ohio s Plan of Correction Review Process Exclusive Use of EIDC Electronic System Ohio law still requires Root Cause Analysis/Discussion for Harm & IJ, But Level of Scrutiny Has Been Relaxed Use of Individual Disclaimers & Argumentative Language Specific Details of POC Measures Required (i.e., Who, What and When) Must attach new Policies if Referenced More Desk Reviews Occurring If you have been selected or are a candidate for desk review, offer physical evidence of substantial compliance Timing Issues 6

Initial Survey Issues New ODH Survey Readiness Form Expedited Survey Rule (OAC 3701 17 03.1 & 3701 17 57) Initial Licensure Survey Only $2,250 Fee (In Addition to Application Fee) Survey Completed Within 10 Business Days No Rule Formalized for Plan Review Potential Enrollment Hold Ups (Medicare 855A) SURVEY APPEALS IDR vs. I IDR: The Differences Generally, Must Select One Process or the Other From the Beginning Can Not Request I IDR if IDR is Pending (Pending Until Written Determination) IDR: Any Tag vs. I IDR: Only if CMP imposed. CMP Could Be Rescinded at Time of Imposition IDR: ODH (Bureau of Long Term Care) vs. I IDR: MPRO/ODH (Bureau of Regulatory Enforcement)/CMS IDR: Has 2 nd Level of Review for Fee vs. I IDR: Does Not Scope of Review? 7

IDR vs. I IDR: The Stats INSERT IDR LEVEL 1 RESULTS SLIDE IDR vs. I IDR: The Stats INSERT IDR LEVEL 1 RESULTS SLIDE IDR vs. I IDR: The Stats 8

NEW OHIO LAWS & RULES Ohio Sex Offender Law Sex Offender Law (Effective 9/15/14) & ODH Guidelines (Published 1/26/15) Prior to Admission, Search Attorney General s Sex Offender Registry (Surveyors Requesting Evidence of Compliance) If Admit: o Have Policies and Procedures to Protect Resident & Incorporate Into Resident s Plan of Care; o Notify Other Residents & Provide Copy of Policy (Do Not Publish Summary of Plan of Care as stated in law); and o Assist Resident in Updating Listed Address under R.C. 2950.05 Ohio Rule Changes OAC 3701 17 11 TB Testing Effective 12/8/14 Removal of Prescriptive Requirements, Instead Follow CDC Guidance Still Requires Testing at Admission (Skin or Blood Assay) unless Resident Has Prior TB History Reduces Annual Screening Requirements Requires Annual Assessment to Determine Facility Level of Risk (No Annual Testing if Low Risk) ODH Clarification Regarding Employee Testing 9

Ohio Rule Changes (cont.) OAC 3701 17 10 Advance Care Planning Means: Opportunity to Discuss Goals that May be Met Through Care Provided Effective 7/1/15 for Each Resident/Sponsor on Admission & Each Existing Resident As Soon As Practicable Quarterly Thereafter OAC 3701 17 22 Overhead Paging Effective 7/1/15 Overhead Paging only Allowed for Urgent Public Safety or Clinical Operations Issues OAC 3701 17 06 (Proposed): Participate in Quality Improvement Project Every 2 Years OAC 3701 17 21 (Proposed): Dining & Activity Space Clarification for Shared Space (w/ Adult Care/RCF) CMS RULES AND PROGRAM LETTERS LSC Update CMS Proposed Rule (5/9/14) To Adopt 2012 Edition of LSC How will potential new Code affect Existing Facilities? How will potential new Code affect Facilities In Construction? 2000 Edition still in place, but possibility of Categorical Waiver for some issues (S&C 13 58 LSC, 8/30/13; Power Strips: 14 46 LSC, 9/26/14) 10

Select CMS Program Letters SOM Appendix PP Changes 14 25 NH (5/16/14): F441 Infection Control (Single Use Devices) 14 34 NH (5/20/14): F371 Sanitary Conditions (Pasteurized Eggs) 14 37 NH (7/3/14) : Appendix PP updated to incorporate S&C Memos from October 2003 May 2014 F155 CPR Guidelines (14 01 NH), eff. 1/23/15 o When to Provide, and Training and Policy Requirements o Number of Required Personnel Discretionary Select CMS Program Letters (cont.) 14 26 Hospitals (5/9/14): New LTCH Moratorium 14 28 NH (5/9/14) & 14 30 NH (5/16/14): Use of CMPs 14 42 NH (8/22/14): Learning Tool Respect for LGBT Older Adults 15 06 NH (10/31/14) & 15 25 NH (2/13/15): Nationwide Expansion of MDS Focused Surveys Select List of SNFs Subject to Initially 15 13 ALL (12/12/14): Clarification of Terms Impacting Spousal Relationship Select CMS Program Letters (cont.) 15 16 NH (12/19/14): CMP Analytic Tool Factors for CMP include Survey History, Repeated Deficiencies, Number of Deficiencies CMS May Change at Time of Imposition 15 31 NH (3/27/15): Report on Focused Dementia Care Survey Emphasis on Antipsychotic Use? Training for Staff On the Horizon: New Abuse and Neglect S&C Memo New F525 SOM Guidance (SNF & Hospice Contracts) & New Hospice S&C Memo 11

QUESTIONS??? 12