Title: Legal Issues in Long Term Care
1Legal Issues in Long Term Care
PMDA 15th AnnualEducational SymposiumOctober
26, 2007
2Paula G. Sanders, Esquire Post Schell, P.C. 17
North 2nd Street, 12th Floor Harrisburg, Pa
17101 717-612-6027 PSanders_at_postschell.com
3Trends in Survey Issues
- Increased emphasis on individualized and
comprehensive care plans and outcomes - Increased emphasis on citing PROCESS
deficiencies (CMS SC 05-20)(March 2005) - Heightened liability concerns, particularly
regarding documentation
4Trigger Points and Themes
- Greater emphasis on physician and facility
collaboration - Policies for significant change in condition and
consult with physician - Predictable staff supervision schedules
- Failure to immediately and thoroughly investigate
allegations of abuse and neglect
5Government Initiatives
- Quality of care and fraud and abuse are
intertwined from the governments perspective - New laws and interpretations are expanding
enforcement actions in new and unexpected ways
6OIG Work Plan 2008Quality of Care
- Quality of care and corporate compliance programs
in homes with corporate integrity agreements - Care plans addressing MDS and RAPs through
provided services (new) - Quality of care, patient abuse neglect
investigations jointly with MFCUs - Use DRA to train agents partners for claims
for care not provided to nursing home residents
7Amendment Of A Medical Record
- Documentation must be contemporaneous or as soon
as practicable - Information may be corrected or clarified on the
chart only if the correction is clearly
identified as a subsequent entry by date and
time. - Information may be added when it is not available
at the time the record was first created only if - Such additions are clearly dated as subsequent
entries. - The information is added within a reasonable
time. - 40 P.S. 1303.511
8Effect of Improper Alteration or Destruction of
Medical Record from Litigation Perspective
- Significant blow to credibility as a fact witness
at trial - Could allow the judge to instruct the jury that
it can come to an adverse inference about the
medical records.
9Effect of Improper Alteration or Destruction of
Medical Record from Licensing Perspective
- Licensure Sanction
- Alteration or destruction of records to eliminate
evidence that might lead to a professional
liability action will constitute a ground for
suspension. - Providers must report any suspected alteration or
destruction of medical records to the appropriate
licensure boards.
10Focus on Care Documentation
- Subpoenas
- Search warrants
- Undercover agents
- Cameras
11Undercover Agents
- Qui Tam relators (whistleblowers)
- Tucker House -- undercover CNAs
- Ruidoso Care Center (New Mexico) -- undercover
ex-cop posing as resident - Hidden cameras
- Wired for sound
12Illustrative Cases
- Ronald Reagan Atrium I Nursing and Rehabilitation
Center (Pennsylvania) (cover up of death) - Oakland Grove Nursing Center (Rhode Island)
(failure to report death) - Melville Borne, Jr. (Louisiana) (federal criminal
failure of care)
13Falsification (U.S. v. Tabis)
- LPN at ManorCare Bethlehem 2
- Falsified order for coumadin reduction
- Forged co-worker signatures
- Federal Punishment
- 10 months plus 3 yrs supervised release
- 1,000 fine/15 year exclusion
- Physician group CIA
14Smile, Youre On Candid Camera
- Past Surveys
- Repeat deficiencies - same resident?
- Actual harm?
- What is the level of care and where is care being
rendered?
15Authorization for Filming
- Consent from resident, if possible
- Consent from responsible party
- Court approval
16State Prosecutions The Camera Cases
- Jennifer Matthew - Rochester
- Hidden Camera reveals widespread neglect and
falsification of records - 20 of staff falsified records
- Criminal cases v. 15 nurses and aides
- Civil prosecution of home
17Health Care Fraud and Falsification of
Records
- State of Delaware criminal cases
- Multiple nurses charged and pled guilty
- State of Florida v. Bowen and Fralick
- Falsification of MARs when no medication was
given
18Busy Year For CMS
- Changes to Special Focus Facility program (5
SNFs in PA/18 months or youre out) - Increased federal survey activity
- More consistent sanctions
- Survey user/re-visit fees
- New Survey Certification letters
19Busy Year for DOH
- ERS Alerts
- Act 169 Advance Directives/Health Care
Decision-Making - Health Care Associated Infections (HAI)
Prevention and Control Act - Recognition of CRNP expanded scope of practice
20DOH 2006 Statistics 3,181 Visits
- 731 facilities/621 revisits
- 48.7 had 1 10 had 2 or more
- 212 G levels
- 11 IJs
- 2,247 complaints 1,982 surveys (82)
- 673 substantiated
- 9.1 G or above
- Source DOH Message Board, 9/19/2007
212006 Incident Reports 32,485
- Most frequently reported events
- Abuse 6,206
- Falls 4,789
- Transfer to Hospital 11,416
- Source DOH Message Board, 9/19/2007
22(No Transcript)
23DOH ERS Alerts
- On April 20, 2007, you were notified via the
Division of Nursing Care Facilities Message Board
of a program to alert each facility when the
submitted incident reports of Abuse, Falls or
Resident Transfer to Hospitals have reached a
level which requires facility intervention. - This letter is to advise you that the numbers
for events in the category of FILL IN THE BLANK
WITH ONE OF THE THREE CATEGORIES ABOVE have
reached a critical level. As outlined in Chapter
51, 28 Pa. Code, 51.3(e),(f) Notification, the
response to this e-mail should outline the steps
your facility will take to rectify this
situation. - Your written response should be sent to . .
24Revisit User Fee Program
- Offsite revisit survey 168
- Onsite revisit survey 2,072
- Payment due within 30 days of bill
- Nonpayment may result in termination
- Reconsideration requests due w/i 14 days (ltd
challenges ie., clerical error, already paid, no
revisit) - Payment non-allowable cost
25 26What Does Act 169 Accomplish?
- Defines new terms and redefines old terms
- New format for the Living Will.
- Establishes Health Care POA option.
- Establishes Health Care Representative option.
- Establishes Default Health Care Representative.
27End-Stage Medical Condition Defined
- An incurable and irreversible medical condition
in an advanced state caused by injury, disease or
physical illness that will, in the opinion of the
attending physician to a reasonable degree of
medical certainty, result in death despite the
introduction or continuation of medical
treatment, except as specifically set forth in an
advance health care directive.
28End-Stage Medical Condition
- Note
- No maximum life-expectancy in the definition of
End-Stage Medical Condition. - 6-month life-expectancyassociated with the term
Terminal Illness. - Hospice coverage unaffected by Act 169.
- Only 1 physician must certify.
29Health Care Agent
- Individuals identified in Health Care POA.
- Individuals authorized to make medical treatment
decisions for a resident. - Health Care Agents direct health care whether or
not the resident has an end-stage medical
condition or is permanently unconscious.
30Health Care Representative
- Individuals who are self-declared.
- Individuals who are appointed by a resident.
- Individuals who are appointed by default under
the law. - Health Care Representatives direct health care
decisions necessary to preserve life ONLY when
the resident has an end-stage medical condition
or is permanently unconscious.
31Incompetent
- Unable to understand, make, and communicate
health care decisions, even when provided
appropriate information and aids. - A resident may be competent to make some simple
health care decisions, but incompetent to make
complex decisions.
32Option for Health Care Agent (Health Care POA
Document)
- Health Care Agent has very broad power to make
health care decisions. - Health Care Agent can make medical treatment
decisions before or after the resident is
diagnosed with an end stage medical condition or
permanent unconsciousness.
33Option for Health Care Representative
- A resident of sound mind may appoint a Health
Care Representative(s). - The process is less formal.
- May be in writing or by verbal consent
- Health Care Representative may make decisions
regarding life sustaining treatment only if the
resident has an end stage medical condition or is
permanently unconscious.
34Option for DefaultHealth Care Representative
- An incompetent resident will have a Default
Health Care Representative(s) automatically
assigned to make medical treatment decisions. - Health Care Representative may make life
sustaining treatment decisions only if the
principal has an end stage medical condition or
is permanently unconscious.
35Health Care Agent vs.Health Care Representative
- Health Care Agent has broad power to make medical
treatment decisions in all situations. - Health Care Representative(s) may refuse life
saving care only when principal has an end stage
medical condition or is permanently unconscious.
36What Decision-Making Process Must Be Followed By
A Health Care Agent Or A Health Care
Representative?
- Collection of information concerning prognosis
and medical alternatives regarding diagnosis,
treatments, and supportive care.
37Health Care Representative Or Agent
Decision-Making Process
- The following considerations must be made in
order of priority - 1. Clearly expressed resident wishes
- 2. Resident preferences and values3. Best
interest of the resident.
38The Default Health Care Representative Priority
Class
- Spouse and adult child (children) from prior
marriage - Adult child (children)
- Parent(s)
- Adult sibling(s)
- Adult grandchild (grandchildren)
- Close friend(s)
39How Are Health Care Representatives Assigned?
- Resident may assign or disqualify one or more
Health Care Representatives to make treatment
decisions. - Resident may adjust or alter the order of
priority. - Someone from the priority list may step forward
and state their intention to be the Health Care
Representative.
40What Factors Affect Who Serves As A Health Care
Representative?
- Divorce or filing for divorce.
- Any member of a default class petitions the court
to disqualify one or more otherwise eligible
individuals for serving. - Court disqualify a higher priority individual in
favor of a lower priority individual.
41What Factors Affect Who Serves As A Health Care
Representative?
- Unless related by blood, marriage, or adoption,
neither the residents physician nor an owner,
operator, or employee of a health care provider
in which the resident is receiving care may serve
as Health Care Agent or Representative for the
resident.
42Dispute Resolution Among Health Care
Representatives
- Follow decisions of highest priority
decision-maker. - Decision-makers of equal priority must agree on
the course of action. - Majority decision determines course of action.
43Dispute Resolution Among Health Care
Representatives
- If priority class is evenly split
- 1. No one else votes to break the tie.
- 2. Ethics Committee involvement.
- 3. Court hearing for appointment of
Guardian of Person.
44Dispute Resolution Among Health Care
Representatives
- Medical treatment according to acceptable
standards of practice must be started or
maintained until a dispute is resolved.
45Countermanding Medical Treatment Decisions
- A resident who is of sound mind may countermand a
medical treatment decision made by a Health Care
Agent or Health Care Representative by stating
their wishes verbally or in writing to the
Attending Physician or other health care worker.
46Countermanding Medical Treatment Decisions
- A resident who is deemed incompetent to make
medical treatment decisions may countermand the
decision of a Health Care Agent or Health Care
Representative to withhold or withdraw a life
sustaining treatment.
47Countermanding Medical Treatment Decisions
- A resident who is deemed incompetent to make
medical treatment decision may NOT countermand
the decision of a surrogate decision-maker to
institute a life-sustaining treatment.
48Legal Guardians vs. Health Care Agents
- Health Care Agent appointed by a resident
retains authority to make health care decisions - Guardian of Person is granted authority to revoke
or amend appointment of a Health Care Agent
49Act 169 Key Points
- Four entities to direct health care
decision-making - 1. The resident
- 2. The Advanced Directive
- 3. The Health Care Agent
- 4. The Health Care Representative.
50Act 169 Policy Considerations
- Encourage capable residents to make their own
decisions pertinent to end-of-life care, - Encourage capable residents to complete an
Advanced Directive for Health Care, and - Encourage capable residents to appoint a Health
Care Agent in a POA document.
51Act 169 Policy Considerations
- If unsuccessful, encourage capable residents to
appoint a Health Care Representative. - For incompetent residents, encourage someone to
step forward to function as a Health Care
Representative.
52Duty To Inform The Resident
- Attending physicians and health care providers
have the duty to communicate health care
decisions to the resident. - Attending physicians and health care providers
have the duty to communicate resident
countermands to the surrogate.
53Implications For Facilities
- A key provision of the law requires facilities to
adopt policies and procedures to reflect the
intent of the statute. DOH will enforce this
through licensure surveys.
54Health Care Associated Infections (HAI) Act --
Deadlines
- 12/17/07 Develop and implement Internal Infection
Control Plan - 12/31/07 Submit Plan to Department of Health
- 12/31/07 Notify all health care workers, physical
plan personnel and medical staff of Plan
55HAI Act Deadlines
- 7/1/08 Department assessment of surcharge on
nursing home license Total 1,000,000 - 1/1/09 Payment of quality improvement payments
to qualified facilities by DPW - 1/1/10 Facility measurements against benchmarks
developed by Department
56Minimum Elements of Infection Control Plan
- Multidisciplinary committee
- Effective measures for the detection, control and
prevention of health care- associated infections - Culture surveillance process and policies
- System to identify and designate residents known
to be colonized or infected with MRSA or other
MDRO
57Minimum Elements of Infection Control Plan
- Procedures/protocols for staff potentially
exposed to resident with MRSA and MDRO, including
cultures and screenings, prophylaxis and
follow-up care - Outreach process for notifying a receiving
facility or ASF of any resident known to be
colonized prior to transfer within or between
facilities - Required infection-control intervention protocol
- Procedures to ensure that PSA advisories are
distributed to and easily accessible by all staff
and medical personnel
58Who Must Be On Your Multidisciplinary Committee?
- Medical staff Medical Director
- Administration representatives CEO, CFO, or NHA
- Laboratory personnel
- Nursing staff DON or Supervisor
- Pharmacy staff, pharmacy consultant
- Physical plant personnel
59Who Must Be On Your Multidisciplinary Committee?
- A Patient Safety Officer
- Members from the infection control team, which
could include an epidemiologist - The community, except that these representatives
may not be an agent, employee or contractor of
the health care facility
60What is the Required Infection-Control
Intervention Protocol?
- Infection control precautions, based on
nationally recognized standards, for general
surveillance of infected or colonized residents - Intervention protocols based on evidence-based
standards - Isolation procedures
- Physical plant operations related to infection
control - Appropriate use of microbial agents
- Mandatory educational programs
- Fiscal and human resource requirements
61CRNP Expanded Scope of Practice (Act 48)
- Order home health and hospice care
- Order durable medical equipment
- Issue oral orders to the extent permitted by the
facilitys by-law, rules, regulations or
administrative policies and guidelines - Make PT and dietitian referrals
- Make respiratory and OT referrals
62CRNP Expanded Scope of Practice (Act 48)
- Perform disability assessments for the TANF
program - Issue home-bound schooling certifications
- Perform and sign the initial assessment of
methadone treatment evaluations, provided that
any order for methadone treatment shall be made
only by a physician
63Additional Licensure Requirements for CRNPs
- Must still act within scope of written
collaborative agreement with a physician - Must act within scope of CRNP specialty
certification - Collaborative agreement more detailed if CRNP can
prescribe drugs - Physician may only supervise 4 CRNPs who
prescribe/dispense drugs - CRNP must maintain minimum PL coverage but cannot
participate in MCARE Fund
64DOH CRNP/Facility Requirements
- Policies must indicate manner in which PA/CRNPs
will be used and responsibility of supervising
physician - Each nursing station must have a list posted with
the supervising physicians and the names and
titles of CRNP/PAs they supervise.
65DOH CRNP/Facility Requirements
- Maintain copy of supervising physicians
registration and PA/CRNP certificate in the
facility - Post notice plainly visible to residents in
prominent areas explaining the meaning of the
terms physician assistant and certified
registered nurse practitioner - Be alert to Medicare/MA billing nuances.
66DOH CRNP/Documentation Requirements
- All documentation on residents record must be
countersigned by supervising physician within 7
days with an original signature and date by the
physician - Progress notes
- Physical examination reports
- Treatments
- Medications and any other notations made by
PA/CRNP
67DOH CRNP/Documentation Requirements
- Physicians must countersign and date verbal
orders to PA/CRNPs within 7 days.
68CMS FY 2007 F Tag Changes
- 07-39 F332 F333 Med Pass
- Clarification (9/28/07)
- 07-30 F373 (New) Paid Feed Assistants
- (8/10/07)
- 07-25 F323 Accidents Supervision
- (7/6/07)
69CMS FY 2007 Survey Cert. Letters
- 07-38 PASRR and the Nursing Home
- Survey (9/28/07)
- 07-36 Canopy and Overhang Sprinkler
Requirements and the Use of the - Fire Safety Evaluation System
- (7/13/07)
- 07-26 Communication Between State Survey
- Agencies and State Long Term Care
- Ombudsman (7/6/07)
70CMS FY 2007 Survey Cert. Letters
- 07-26 Communication between State Survey
- Agencies and State Long-Term Care
- Ombudsman (7/6/07)
- 07-22 Clarification of a Physical Restraints as
- Applied to the Requirements for LTC
- Facilities (6/22/07)
- 07-18 Permitted Gaps in Corridor Doors
Doors in Smoke Barriers - (4/20/07)
71CMS FY 2007 Survey Cert. Letters
- 07-10 Medical Gas Storage Usage
- Considerations (1/12/07)
- 07-07 Nursing Home Culture Change
- Regulatory Compliance Questions
Answers (12/21/06)
72CMS FY 2007 Survey Cert. Letters
- 07-05 Life Safety Code Exit Discharge
- Requirements and the Fire Safety
- Evaluation System (12/7/06)
- 07-01 New Fire Safety Requirements for
- the Use of (ABHRs) and Installation
- of Battery Powered Smoke Alarms
- (11/1/06)
73New F373 Paid Feeding Assistants (PFAs)
- PFAs must
- Complete 8 hour state-approved training program
- Be supervised by RN/LPN
- Identify clear chain of command
- Make sure PFA training records are maintained
74New F373 Paid Feeding Assistants (PFAs)
- Assess residents for eligibility to use PFAs
- Document and care plan
- Residents who can benefit
- At risk for unplanned weight loss and dehydration
- No complicated problems associated with eating or
drinking - Cannot or do not eat independently due to
physical or cognitive disabilities - Need cueing or encouragement to eat
75New F373 Paid Feeding Assistants (PFAs)
- Noncompliance for F-Tag where
- PFA has not completed a state-approved training
program - PFA isnt properly supervised
- Facility has not selected an appropriate resident
to receive paid feed assistance - Facility has not maintained records indicating
all paid feeding assistant have completed a
training class
76New F323 Accidents and Supervision
- The facility must ensure that
- The resident environment remains as free of
accident hazards as is possible and - Each resident receives adequate supervision and
assistance devices to prevent accidents. - 42 CF.R. 483.25(h)(1) and (2)
77Expectations of Facility (F323)
- Identify hazards and risks
- Evaluate and analyze hazards and risks
- Implement interventions to reduce hazards and
risks and - Monitor for effectiveness and modify
interventions as indicated.
78New Definition of Accident
- Unexpected or unintentional incident
- May result in injury or illness
- Not an adverse outcome directly related to
treatment or care
79Identify Hazards and Risks
- Quality assurance activities
- Environmental rounds
- MDS/RAPS data
- Medical history and physical exam
- Individual observation
80Risk Areas Lack of Adequate Supervision
- Failure to accurately assess a resident and/or
the resident environment to determine whether
supervision to avoid an accident or injury was
necessary and/or - Determine supervision of the resident or resident
environment is necessary, but fail to provide it.
- Liberty Commons Nursing Rehab (2006) IJ upheld
for failure to implement plan to prevent exposure
to latex
81Other Specified Risk Areas (F323)
- Resident smoking
- Resident-to-Resident altercations
- Falls
- Unintentionally coming to rest on the ground,
floor, or other lower level, but not as a result
of an overwhelming external force. - If a resident loses his/his balance and would
have fallen, if not for staff intervention, still
a fall. - A fall without injury is still a fall.
82Other Specified Risk Areas (F323)
- Wandering
- Physical plant hazards
- Assistive devices for mobility
- Assistive devices for transfer
- Devices associated with entrapment risks
83Surveyor Interviews Under F323Resident/Family
- Was resident aware of his/her risk of an
accident - Was resident aware of hazards for other
residents - Did resident report a hazard to staff and
- How and when staff responded to a hazard once it
was identified.
84Surveyor Interviews Under F323Staff
- Are they aware of planned interventions to reduce
a residents risk - Did they report potential resident risks
- Did they take action to correct an immediate
hazard and - Did they receive training regarding facility
procedures to remove or reduce hazards.
85Resource List
- CMS Survey Cert Letters http//www.cms.hhs.gov/
SurveyCertificationGenInfo/PMSR/ - CMS User Revisit Fees http//www.cms.hhs.gov/Sur
veyCertificationGenInfo/06_RevisitUserFeeProgram.a
spTopOfPage - DOH Nursing Care Facility Message Board
- http//app2.health.state.pa.us/commonpoc/content/
FacilityWeb/FacMsgBoard.asp?DistributionFSelecti
onNCF - DOH Nursing Care Facility Provider Bulletins
- http//www.dsf.health.state.pa.us/health/CWP/view
.asp?A188QUESTION_ID243799 - OIG 2008 Work Plan
- http//oig.hhs.gov/08/Work_Plan_FY_2008.pdf
- OIG/AHLA Guidances for Health Care Boards of
Directors - (9/17/07) http//oig.hhs.gov/fraud/docs/complianc
eguidance/CorporateResponsibilityFinal209-4-07.pd
f - (7/1/04) http//oig.hhs.gov/fraud/docs/complianc
eguidance/Tab204E20Appendx-Final.pdf - (4/2/03) http//oig.hhs.gov/fraud/docs/compliance
guidance/040203CorpRespRsceGuide.pdf