Title: The CMS Quality Review Process
1The CMS Quality Review Process
- Suzette Seng, CMS Region VI
- Jessica Hickey, CMS Region VI
2CMS - HCBS
- CMS - Centers for Medicare and Medicaid Services
- Federal Agency
- Jointly funds Medicaid programs with the states
- State and Federal governments have joint
responsibility for overseeing the quality of
Medicaid programs - HCBS - Home and Community-Based Service
- Medicaid HCBS funded through waivers
- 1915c waivers
- Allow states to provide waiver services/supports
to persons at risk of institutionalization
3Waiver Program Facts and Figures
- Approximately 300 programs
- Nearly 1 Million Individual Participants
- HCBS Spending - 2006 (www.hcbs.org)
- - 299 B - 9 of Medicaid Spending
- - 99 B -26 of Medicaid LTC Spending
4Rapid GrowthWaiver Expenditures
- 1993 2.8 Billion
- 1995 4.6
- 1997 8.2
- 1999 11.2
- 2001 14.8
- 2003 18.9
- 2005 22.7
- 2006 25.6
5Quality in the Waivers
- GAO Investigation and 2003 Report
- Lack of services, weak care plans and inadequate
case management - States not required to provide much information
on QM to CMS - Lack of CMS oversight
- CMS not providing guidance on QM to States
- State QIS and CMS oversight must improve
6CMS Prior Approach
- Minimal information about quality in waiver
application - Minimal annual reporting on quality (372)
- On-site reviews once every 5 years
- Findings based on non-representative samples
- Findings - snap-shot in time
7Principles CMS Waiver Quality Initiative
- States have primary responsibility for first line
monitoring to assure access, service delivery,
provider qualifications, health and welfare,
administrative authority, and financial
accountability - States will provide evidence to CMS that they
have met the waiver assurances - CMS will ensure states are meeting the assurances
through the review of evidence that States
provide.
8CMS Action Plan, September 2003
- Provided states with more detailed guidance
regarding HCBS quality management - Required states to submit more specific
information about their quality management system
prior to waiver approval - Requested that states provide timely and adequate
information to CMS in annual waiver report - Improve CMS oversight.
9Quality as a Priority
- 2004 CMS Interim Procedural Guidance
- Established evidentiary approach
- Clarified the review process
- State Medicaid Agencies have the first line
responsibility for quality assurance - Focus on design implementation of QMS
- CMS role Assess State processes for ensuring
monitoring of the quality assurances - Emphasis on continuous quality improvement not a
point it time/look-behind)
10HCBS Waiver Quality Life Cycle
CMS
State Ongoing Communication
State Submits to CMS
Initial Application with QM Strategy
Renewal Application with QM Strategy
CMS Assess- ment Report
11CMS - States Collaborated on the Revised Waiver
ApplicationVersion 3.1, April 2005
- State Association representatives involved
throughout the process - NASUA State Units on Aging - 3
- NASDDDS Developmental Disability Directors - 3
- NASMD Medicaid Directors - 3
- NASHIA Head Injury Administrators - 3
- Cash and Counseling Projects - 1
- CMS Central and Regional Staff involved
12CMSs HCBS Quality Initiative
- NEW WAIVER APPLICATION
- Design of your quality management system
- How will you know about address problems it in
a timely way? - What will be done to monitor the system on an
ongoing basis? - Who will do it?
- EVIDENCEYearly reporting on waiver quality to
CMS. - New 373Q (Implementation Date TBD)
- Reports on whether waiver is operating as
intended - Reports on what state did to fix problems it
discovered - ONGOING DIALOGUE between CMS and States
- Review of evidence
- Conference calls, emails, On-site visits
13Steps in the Quality Review Process
- CMS Sends A Request for Evidence
- State Submits Evidence to CMS
- CMS Reviews Evidence
- CMS Regional Office Conducts Site Visit at least
once per waiver cycle - CMS Issues Draft Report to State
- State Responds to CMS Draft Report
- CMS issues Final Report Incorporating State
comments.
14IPG Timeline
15Submitting Evidence
- States are instructed to submit evidence
demonstrating monitoring of the following
assurances (42 CFR 441.301 441.302)
- Level of Care
- Plan of Care
- Qualified Providers
- Health and Welfare
- Administrative Accountability
- Financial Accountability
- States should avoid submitting items that focus
solely on processes such as state operating
manuals, policies and procedure guides, etc.
16Evidence
- Evidence is
- Qualitative and quantitative data collected by
the state (or other operating agencies) as a
result of monitoring processes - Aggregated, trended and applied to the overall
waiver population - Evidence is not
- State policies and procedures
- Individualized information of any type
- If QA/QI strategy is under development
- State should submit a plan with relevant
timelines for implementation
17Quality Life Cycle
- Design Build in mechanisms to
- - prevent problems from happening
- - identify bad things asap
- - address problems quickly
- Discover Execute your plan to uncover problems as
they happen - Remediate Execute your plan to address problems
in a timely fashion - Improve Learn from what didnt work and develop
strategies for re-designing the system, if
necessary.
18Quality Life Cycle
19QIS - Everyones Job
- Each level
- Collects information
- Aggregates information
- Analyzes for patterns/trends
- Reviews analyzes previous levels trend
identification, remediation, follow-up - Conducts further investigation as appropriate
20Statutory Assurances42 CFR 442.302
- A 1915(c) waiver shall not be granted unless the
State provides the following assurances - Level of Care
- Plan of Care/Freedom of Choice
- Qualified Providers
- Health and Welfare
- Administrative Authority
- Financial Accountability
21Level of Care
- An evaluation of Level of Care (LOC) is provided
to all participants for whom there is reasonable
indication that services may be needed in the
future - LOC determinations are conducted in a timely
fashion and are reevaluated at least annually or
as specified in the approved waiver - The process and instruments described in the
approved waiver are applied to determine LOC - The State monitors level of care decisions and
takes action to address inappropriate LOC
determinations
Appendix B-6 Evaluation/Reevaluation of Level of
Care
22Evidentiary Examples
- Summary reports that include any one or
combination of the following and are based on a
significant sample - Record reviews (on and off-site)
- Interviews
- Analysis of surveys, focus groups or interviews
- Performance monitoring of agencies involved in
LOC determination - Mortality reviews
- Meeting minutes
- Summary of corrective actions
23Plan of Care
- Plan of Care (POC) addresses all participants
assessed needs and personal goals, either by
waiver services, Medicaid State Plan or through
other means - The State monitors POC development in accordance
with its policies and procedures and takes
appropriate action when it identifies
inadequacies in the development of POCs - POCs are updated/revised when warranted by
changes in the waiver participants needs - Services are delivered in accordance with the POC
Appendix D-1 Service Plan Development
Appendix D-1 Service Plan Development
24Evidentiary Examples
- Summary reports that include any one or
combination of the following and are based on a
significant sample - Record reviews (on and off-site)
- Interviews
- Analysis of surveys, focus groups or interviews
- Reports of monitoring service refusals and
analysis - Performance monitoring of agencies involved in
POC - Mortality reviews
- Reports from state monitoring that compare the
participants needs, POCs and case notes and
whether needed revisions are made - Meeting minutes
- Summary of corrective actions
25Plan of CareFreedom of Choice
- Two types of freedom of choice
- Between waiver services and institutional care
- Between/among waiver services and providers
Appendix B-7/Appendix F-1
Appendix B-7 Freedom of Choice Appendix
C-2-f Open Enrollment of Providers
26Evidentiary Examples
- Results of focus groups or interviews with
participants/family - Analysis of complaints and/or incident reports
- Minutes of committee meetings showing evaluation
of findings and recommendations including
strategies for improvement developed - Summary of file/case reviews (on and off-site)
- Summary of corrective actions
27Qualified Providers
- The state verifies on a periodic basis, that
providers meet required licensing and/or
certification standards and adhere to other state
standards - The state monitors non-licensed/non-certified
providers to assure adherence to waiver
requirements - The state identifies and rectifies situations
where providers do not meet requirements - The state implements its policies and procedures
for verifying that training is provided in
accordance with the state requirements and the
approved waiver
Appendix C Waiver Service Specifications,
Provider Qualifications
28Evidentiary Examples
- Summary reports that include any one or
combination of the following and are based on a
significant sample - Reports from state monitoring (licensing
agencies) - Training verification records
- Provider performance monitoring
- Mortality reviews
- Critical events and incidents
- Medication administration data reports
- Reports of onsite monitoring and observation
- Meeting minutes
- Summary of corrective actions
29Health and Welfare
- The State must assure that the necessary
safeguards have been taken to protect the health
and welfare of recipients of the services. - State must identify, addresses, and seeks to
prevent instances of abuse, neglect, and
exploitation.
30Health and Welfare
- In the event of identified abuse, an analysis
must be conducted of abuse, neglect and
exploitation trends and strategies implemented
for prevention. - This can be done in part by way of
- Complaint system in place
- Critical Incident Management System
- Routinely monitoring participants health and
safety - Conducting a trend analysis and
- Developing and implementing revised policies and
procedures as a result of lessons learned.
31Evidentiary Examples
- Ongoing monitoring reports
- Reports and analysis of complaints, abuse,
neglect and exploitation - Results of investigations and actions taken
- Reports and action taken on plan of care
discrepancies - Participant Experience Survey
- Minutes of committee meetings that show review of
monitoring, recommended actions and follow-up
reports. - i.e, Mortality Review Committee implementation
of QA/QI Strategies.
32Evidentiary Example
- Description of the state quality management
program with evidence of activities such as
monitoring and developing review reports - Focus groups
- Targeted Reviews
- Quality Improvement projects
- Committee minutes
- Record of actions taken
- Record of service denials and appeal requests
- Annual appraisals of the Quality Improvement
Program.
33Administrative Authority
- There must be one Single State Agency designated
per 1902(a)(5) to administer the Medicaid
program. - Per 42 CFR 431.10, all policies must be
developed or approved by the SMA and be in
writing - The 1915(c) waiver is an agreement between the
SMA and CMS.
Appendix A Waiver Administration and Operation
34Administrative Authority
- The State must submit evidence of its monitoring
of all delegated functions, and implementation of
policies and procedures related to its
administrative authority over the waiver program,
including - memoranda of agreements,
- description of roles and responsibilities
relative to program operations, monitoring, and
remediation or system improvements instituted
when problems are identified in the operation of
the waiver program.
35Evidentiary Example
- Administratively delegated functions must be
clearly written in an MOU between the SMA and the
delegated entity, and monitored by the SMA. - i.e., The SMA must establish a uniform, statewide
rate methodology. - (exception waiver of statewideness)
Appendix A Waiver Administration and Operation
36Financial Accountability
- The SMA must assure financial accountability for
funds expended for HCBS provide for an
independent audit of its waiver program and will
maintain or make it avaialble to HHS. - State financial oversight must exists to assure
that claims are coded and paid in accordance with
the reimbursement methodology specified in the
approved waiver.
Appendix I-2 Rates, Billing and Claims
37Financial Accountability
- The State must submit results of its financial
monitoring process for verifying maintenance of
appropriate financial records as specified in
approved waiver. - The State must demonstrate that State staff and
providers are interviewed periodically to
identify and address potential financial
irregularities. - State demonstrates that site visits are conducted
with providers to verify that they maintain
financial records in accordance with provider
agreements/contracts.
38Evidentiary Examples
- Audit Reports
- Monitoring Reports
- Management meeting minutes that reflect analysis,
recommendations and actions taken.
39Thomson Reuters- National Quality Contractor
- Contract with CMS since 2001
- - Sub Contractor HSRI (MR/DD)
- TA over 100 Waiver Programs in 40 states
- - QIS Waiver Application
- - Evidence Requests
- - PES
- - Self Direction
- - Quality Products
40(No Transcript)