Legal and Regulatory Developments in Home Health. Alliance Learning Collaborative July 17, 2014

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Legal and Regulatory Developments in Home Health Alliance Learning Collaborative July 17, 2014

About the Alliance 501(c)(3) non-profit research and education foundation Mission: To support research and education on the value home health care can offer to patients and the U.S. health care system. Working with researchers, key experts and thought leaders, and providers across the spectrum of care, we strive to foster solutions that will improve health care in America. www.ahhqi.org

Today s Speaker: Mary Carr Mary Carr, BSN, MPH Vice President for Regulatory Affairs, National Association for Home Care & Hospice Mary Carr is the Vice President for Regulatory Affairs at the National Association for Home Care & Hospice (NAHC). In her current position she represents home care providers before government agencies and other national organizations that impact home care. She provides regulatory and operational guidance to home care providers on a daily basis, writes for NAHC publications, and presents educational seminars. Mary has over 25 years of experience as a registered nurse in a variety of health care setting which include acute care, managed care and home health care. Her positions in home care include Director of Quality Improvement, Manager of Staff Development and Employee Health, and Field R.N. Mary holds a Bachelor in Science of Nursing and Master of Public Health.

Today s Speaker: Bill Dombi Bill Dombi, JD Vice President for Law, National Association for Home Care & Hospice Director, Center for Health Care Law Executive Director, Home Care and Hospice Financial Managers Association Executive Director, National Council on Medicaid Home Care Bill Dombi specializes in legal, legislative, and regulatory advocacy on behalf of patients and providers of home health and hospice care. With over 37 years of experience in health care law and policy, Bill Dombi has been involved in virtually all legislative and regulatory efforts affecting home care and hospice since 1975, including the expansion of the Medicare home health benefit in 1980, the formation of the hospice benefit in 1983, the institution on Medicare PPS for home health in 2000, and the national health care reform legislation in 2010. With litigation, Dombi was lead counsel in the landmark lawsuit that reformed the Medicare home health services benefit, challenges to HMO home care cutbacks for high-tech home care patients, lawsuits against Medicaid programs for inadequate payment rates, a nationwide class action against then-hcfa for its failure to enforce the federal HMO Act, litigation directed against the "Interim Payment System" for the Medicare home health benefit, and a lawsuit addressing the so-called Medicare case mix creep adjustments in 2008-2010. In addition to litigation, Bill offers extensive community and professional educational services through lectures, publications, teleconferences, and videos. He is the Editor and lead author of Home Care & Hospice Law: A Handbook for Executives, the only comprehensive legal treatise on the topic. His lectures include market trends in home care, compliance, risk management, patient rights, fraud and abuse, health care reimbursement, legislative and regulatory reforms, and legal issues in telehealth services. Bill Dombi is admitted to practice in Connecticut and Washington, DC. He is also admitted to numerous federal courts including, the US Supreme Court and several Court of Appeals. He serves on the Advisory Board for BNA s Health Law Report and Medicare Report. Bill also is a longstanding member of the American Health Lawyers Association and the American Bar Association.

Today s Webinar During the presentation submit questions to Teresa Lee at the Fuze Chat Box. Slides will be posted on the Webinars portion of the Alliance website. We are also recording the webinar for playback on the website.

HOME CARE LEGAL AND REGULATORY ROUNDUP Mary Carr, BSN,MPH Vice President for Regulatory Affairs William A. Dombi, Esq. Vice President for Law National Association for Home Care & Hospice

PROGRAM FOCUS: LEGAL AND REGULATORY UPDATE Private Pay Home Care Department of Labor FLSA Companionship Services rule ACA employer mandate Medicaid home care Expanded HCBS Managed LTSS Medicare Home Health Services

PRIVATE PAY HOME CARE: COMPANIONSHIP SERVICES FLSA EXEMPTION DoL rule effectively eliminates minimum wage and overtime exemption http://www.gpo.gov/fdsys/pkg/fr-2013-10-01/pdf/2013-22799.pdf Eliminates exemption for 3 rd party employment on companionship services and live-in domestic services Changes definition of companionship services Excludes 3 rd party employers from live-in exemption Medicaid and disability rights advocates opposition HCAOA, et al v Perez Case No. 1:14-cv-00967 (D.DC) filed 6-6-14 Challenges validity of rule Increased private litigation on W&H issues Validity of claimed FLSA exemption status hours worked Break time rights

IMPACT DoL sees limited impact Transfer of dollars from employer/payer at $232M annually Industry sees greater impact Increased staff recruiting Higher staff turnover Shift to part-time workers Limited Medicaid rate support NAMD requests DoL delay Gov. Brown (CA) limits MediCal worker hours Lower customer satisfaction

ACA EMPLOYER MANDATE: HOME CARE IMPACT On January 1, 2015, employers of 100 or more FTEs must offer a qualified health plan 50-99 FTEs delayed until 2016 Less than 50 FTE exempt Many, but not all Medicare HHA/hospices have or offer comprehensive health insurance $3000 per non-insured penalty a risk Most Medicaid home care providers do not have health insurance for employees $2000 per FTE penalty a risk Private pay home care companies rarely have employee health insurance $2000 per FTE penalty a virtual certainty

EMPLOYER MANDATE: ADVOCACY EFFORTS Delay the implementation date Eliminate the employer mandate Change the law E.g., Redefine full time to 40 hours per week (30 is current standard) Employer options Stay below 50 FTEs and/or 30 full time employees Limit the number of employees at 30 hours or more per week Offer bare bones, qualified health plan Seek higher Medicaid rates (good luck!) Raise charges to clients (tough sell)

MEDICAID HOME CARE Rebalancing of LTC spending continues Just less than 50% of Medicaid LTC spending now in home care States balance in spending wide ranging ACA incents home care Higher federal match to low balance states (BIP) New HCBS option benefit https://www.federalregister.gov/articles/2014/01/16/2014-00487/medicaid-program-stateplan-home-and-community-based-services-5-year-period-for-waivers-provider States increasing Medicaid home care audits and oversight Big focus on caregiver qualifications by OIG Documentation weaknesses on care plans ad authorizations Major movement to managed care Medicaid LTSS Duals

MEDICAID MANAGED CARE Nationwide shift to managed Medicaid Long Term Services and Supports (MLTSS) CMS supports move with some caution Dual-eligible demo programs are the big wave Managed care programs flying blind? Great opportunities for some, impossible challenges for others Expanded home care? Lower rates; restricted utilization; limited networks? Need comprehensive standards for both providers and beneficiaries

MEDICARE HOME HEALTH REGULATORY ISSUES HHPPS 2015 proposed rule Rate rebasing Face to Face Therapy assessments More. PECOS Medicare improvement standard New Medicare CoP sanctions (and potential new CoPs) Moratorium on new HHAs

2015 MEDICARE HOME HEALTH RATE PROPOSED RULE CMS Proposed Rule (July 2, 2014) http://www.ofr.gov/ofrupload/ofrdata/2014-15736_pi.pdf. Continued rebasing payment rates Full cut (3.5%) allowed under law (14 points total) Recalibrated case mix weights Focus on therapy episodes Budget neutrality adjustment Proposed weights confusing Outlier eligibility remains same despite low spending MBI: 2.6% New Productivity Adjustment (-0.4%) net MBI at 2.2% Remember 2% payment sequestration (February 1 and later payments) New wage index blend of CBSAs??? who gets the rural add-on

2014 MEDICARE HOME HEALTH RATE PROPOSAL: ASSESSMENT CMS continues 4 year phase-in from 2014 CMS chose unfavorable calculation method Used proxies for episode revenue and costs Formula guarantees aggregate payments less than average cost Better alternatives available Ignored cost increases and costs not on cost report

PROPOSED HHPPS RATES -2015 Case mix weights recalibrated unevenly Complete recalibration Therapy variable adjustments 0-5 therapy visits + increase weights 3.75% 14-15 therapy visits decrease weights by 2.5% 20+ therapy visits decrease weights by 5% HOWEVER recalibration on all variables actually increases payments on high therapy episodes Budget neutrality adjustment of 1.0237 Base rate in 2014 --$2869.27 Base rate in 2015 $2922.76 This is an aggregate decrease because of case mix weight recalibration 1.45% effective decrease in aggregate payments from 2014 level Add in 2.0% Sequestration

PRPOSED RULE: OTHER REGULATORY DEVELOPMENTS AFFECTING HOME HEALTH SERVICES Face-to-Face Physician Encounter rule modifications Significant change to the requirement for professional therapy reassessments A new standard for the submission of OASIS to avoid payment rate reductions Modifications of the standards for qualification of speech-language pathologists under the CoPs The introduction of possible new coverage standards on the administration of insulin injections The unveiling of a likely model for Value Based Purchasing Clarifications of the requirements for imposition of alternative Civil Money Penalty sanctions for CoP violations Changes to recertification requirements

FACE-TO- FACE PHYSICIAN ENCOUNTER PROPOSED CHANGES Eliminate physician narrative requirement Require certifying physician to have sufficient records to support certification Reject physician payment claims for certification/ recertification when home health claim denied for noncompliant certification/recertification

FACE-TO- FACE PHYSICIAN ENCOUNTER Lawsuit Filed NAHC v. Sebelius/Burwell 1:14-cv-00950 (filed 6-5-14) US District Court for the District of Columbia Alleges excess documentation required in relation to ACA requirements failure to provide adequate and clear guidance on acceptable documentation Failure to review whole record Lawsuit will continue to address past claims denials and continuing audits

MEDICAID F2F Proposed rule July 2011 Unified Agenda - October 2014 Some States have a F2F requirement CMS permits, but does not encourage

PROPOSED RULE CHANGE/CLARIFICATION Clarification of Start of Care certifications/oasis Readmission w/in episode where discharged with goals met Would require another F2F

NEW CMS IDEA! Value-based Purchasing Request for input CMS possible VBP model 5-8 selected states Mandatory application of VBP 5-8% of payment at risk Sliding scale of bonuses and penalties Based on performance and improvement in performance

NEW MEDICARE COVERAGE GUIDELINES Jimmo v Sebelius settlement http://www.medicareadvocacy.org/wp-content/uploads/2012/12/jimmo-settlement-agreement-00011764.pdf. Focused on illegal improvement standard CMS is clarifying existing guidelines; provider education will follow Permit coverage of skilled maintenance therapy Permit coverage of chronic care/terminal patients Existing guidelines recognize such coverage but MACs changed the rules CMS clarified guidelines with specific prohibition of an improvement standard (w/in 6 months) http://www.cms.gov/outreach-and-education/medicare-learning-network-mln/mlnmattersarticles/downloads/ MM8458.pdf On claim reopening, Plaintiff Jimmo denied again; new lawsuit filed

COMPLIANCE: FOCUS ON HOME CARE ZPICs and RACS looking at home care Homebound status Medical necessity Technical compliance incl. F2F High level fraud/false Claims Act investigations E.g., Phantom patients in Miami; $375M Dallas physician-directed fraud allegation OIG continues home care efforts New report alleges widespread fraud and abuse Report is weak on facts and methodology, strong on hyperbole Medicaid home care new on the agenda Personal care is the main focus Staff credentials including health screening a target

MORATORIUM ON NEW HHAS https://www.federalregister.gov/articles/ 2014/02/04/2014-02166/medicare-medicaid-andchildrens-health-insurance-programs-announcement-of-newand-extended-temporary. Miami - Dade counties in Florida Cook County (Chicago area) in Illinois Dallas, Houston, Detroit, Ft. Lauderdale New providers CHOWS allowed Relocation w/in area permitted New Branches included in moratoria Ends July 31---Will CMS extend and expand???

MORE ON THE MEDICARE PROPOSED RULE Mary Carr

THERAPY REASSESSMENT: PROPOSED RULE Proposes to replaces 13/19 visit and 30 day reassessment requirements Did not achieve goal Complex and burdensome Therapy reassessment every 14 days

OASIS SUBMISSION THRESHOLD Pay for reporting 2% reduction in payment if quality reporting requirements are not met CMS ultimate goal is 90% submission rate To be phased in over three years 70% 7/1/15-6/30/16 ---2017 80 % 7/1/16-6/30/17----2018 90% 7/1/17-6/30/18 ----2019

OASIS SUBMISSION THRESHOLD CMS defines a Quality assessment several ways SOC /ROC with a matching EOC (transfer, discharge or death) SOC/ROC in the last 60 days of reporting period EOC in the first 60 days of the reporting period SOC/ROC followed by one or more recertifications the last of which is in the last 60 days EOC episode that is precede by a one or more recertification episode last of which occurs in the first 60 days of the reporting period SOC/ROC one visit episode Non quality assessments : SOC/ROC, EOC that do not meet the above conditions Recertifications are neutral

OASIS SUBMISSION THRESHOLD Formula # Quality Assessments # Quality Assessments + Non-Quality Assessments * 100

INSULIN COVERAGE STANDARD Additional diagnosis to support patient s inability to self inject List of acceptable diagnoses Insulin pens Presumes a patient is able to self inject

SPEECH LANGUAGE PATHOLOGY Qualifications Master or doctorial degree State license

ALTERNATE SANCTIONS July 1, 2013 Directed plan of correction Directed in-service training Temporary management July 1, 2014 Civil money penalties Suspension of payment for new admissions Informal dispute resolution

ALTERNATE SANCTIONS- CMP Civil Monetary Penalties $500-$10,000 Per diem/per instance Not to exceed $10,000 per day

ALTERNATE SANCTIONS-CMP Upper Range $8,500 to $10,000 per day for immediate jeopardy. Middle Range $1,500 to $8,500 per day directly related to poor quality patient care outcomes. Lower Range $500 to $4,000 per day related predominately to structure or process-oriented conditions (such as OASIS submission requirements) rather than directly related to patient care outcomes

ALTERNATE SANCTIONS-CMP Determinants The size of the agency and its resources; Accurate and credible resources that provide information on the operations and the resources of the HHA; Medicare cost reports claims information Evidence that the HHA has a built-in, self-regulating quality assessment and performance improvement system (QAPI) program.

ALTERNATE SANCTIONS - CMP Written notice nature, basis and factors that were considered Effective date last day of the survey Amount Right to hearing, etc. 60 days to file an appeal No delay in imposition of sanction delays collection schedule Waive the right to a hearing CMP reduced by 35 % Accrual begins last day of survey until substantial compliance achieved Final Notice

ALTERNATE SANCTIONS Suspension of Medicare payment for new admissions Written notice 15 days before effective date. Nature of the non compliance right to appeal - ALJ Agency must notify any new admission of sanction May not charge the patient unless notified orally and in writing

ALTERNATE SANCTIONS -IDR Informal Dispute Resolution Condition level deficiencies Deficiency report to include IDR instructions 10 days to request a hearing Request in writing http://www.cms.gov/regulations-and-guidance/guidance/manuals/internet-only- Manuals-IOMs-Items/CMS1201984.html? DLPage=1&DLSort=0&DLSortDir=ascending

CONDITIONS OF PARTICIPATION Revised HHA Conditions of Participation In OMB and expected to be released late August Initially attempted to release in 2006

MEDICAL REVIEW Medical Review Medicare Administrative Contractors (MAC) Claims processing contractor Pre and post payment reviews Recovery Audit Contractors (RAC) New procurement phase Nationwide wide HHA contractor Zone Program Integrity Contractors (ZPIC) Fraud Supplemental Medical Review Contractor (SMRC) Strategic Health Solutions Topics reviewed under the request and direction of CMS SMRC Strategic Health Solutions review OIG and GAO reported issues Comprehensive Error Rate Testing (CERT) contractors error rate testing on the MACS

MEDICAL REVIEW CR 8690 http://www.cms.gov/regulations-and-guidance/ Guidance/Transmittals/Downloads/R527PI.pdf Require that the MAC and SMRC post issues under review on the web site. SMRC must post the associated OIG/GAO report that triggered the review

PECOS Effective 1/1/2014 edits to ensure ordering/referring physician has a valid enrollment record in Medicare Effective July 1, the attending physician who signed the patient's plan of care as well as the certifying physician must be listed on claims http://www.cms.gov/outreach-and-education/medicare-learning-network-mln/ MLNMattersArticles/Downloads/SE1413.pdf Physicians dropping off ordering /referring list Fail to revalidate http://www.cms.gov/medicare/provider-enrollment-and-certification/ MedicareProviderSupEnroll/Revalidations.html PECOS system maintainer issue Fix due this month

OASIS OASIS C1/1CD 9 version available OASIC C until 12/ 31/14 OASIS C1-1/1/2015 CMS education webinar planned for September Grouper update to coordinate with OASIS and ICD coding http://www.cms.gov/medicare/quality-initiatives-patient-assessment-instruments/ HomeHealthQualityInits/OASIS-C1.html

Discussion & Questions Submit questions to Teresa Lee at the Fuze Chat Box. Presentation slides will be available at: http://ahhqi.org/education/webinars

Speaker Contact Information If you have additional questions regarding today s webinar, please feel free to contact the speakers via email. Mary Carr mkc@nahc.org Bill Dombi wad@nahc.org

Thank You!