Patrick Conole
Senior Vice President Home Care Association of New York State
Senior and Financial Managers Retreat September 8-9, 2016 Mohonk - - PowerPoint PPT Presentation
Senior and Financial Managers Retreat September 8-9, 2016 Mohonk Mountain House New Paltz, NY Patrick Conole Senior Vice President Home Care Association of New York State 1 State Medicaid Issues Minimum Wage Update As part of this
Senior Vice President Home Care Association of New York State
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agreement of a phase-in $15 per hour minimum wage hike.
(beginning on December 31, 2016) and in Long Island and Westchester over six years.
and would be indexed to $15 per hour thereafter based on to be determined methodology developed by the Division of Budget.
been working with a coalition of other State Associations that includes HCP, LeadingAge NY and HANYS to estimate the cost impact of any Minimum Wage policy, as well as to discuss DOH’s rollout of any implementation guidelines given to the MLTCs or other Medicaid Managed Care plans. continued…
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We have also had regular conference calls with a subgroup of HCA’s LHCSAs members.
estimates of $13 million for 2016-17 across all sectors, starting with the January 1, 2017 implementation date of the wage hike to the end of the state fiscal year on March 31 (a three-month period). State officials are also proposing a state-share cash estimates of $88 million for the entire 2017-18 state fiscal year (with the vast majority of these monies dedicated to home care providers).
cost impacts and other considerations (compression factor) not included in the state's projections.
have updated Medicaid rates (for Plans and FFS providers) loaded by January 1, 2017 but many details need to be worked out, including the exact methodology of the additional funding and the status of federal-share amounts, which require approval from the U.S. Centers for Medicare and Medicaid Services.
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Also unknown is the prospect of any future funding under Medicare for wage costs, which Mr. Helgerson said would be the subject of discussions with federal officials.
sure any guidance from the Department will add increased funding for minimum wage compliance uniformly to the MLTC/MMC regional rate and this adjustment will be risk adjusted.
worker costs that should be given to contract providers is $1.33 an hour - in order to meet statutory wage requirements (minimum wage and wage parity.) HCA and our home care coalition have calculated a figure of $1.47 an hour that is needed and have shared those estimates with DOH.
through the entire amount that they receive from DOH to all of their contracted home care providers, that the plans cannot decrease their rates so that home care providers don’t receive the full amount, and home care providers/plans can go to DOH if there is a dispute
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to rebase the EPS, no less than every 3 years.
(new base year of 2013) which included updated information on the base price, the Medicaid EPS Grouper, Case-Mix score changes, new outlier thresholds, updated LUPA amounts, updated wage indices, etc.
savings of $30 million (gross) in the State Fiscal Plan however, the actual rebasing adjustment is producing savings anywhere from $70-100 million. The current EPS base price was lowered to $3,629 from the old base price of $5,633 – which represents a 35.6 percent reduction. continued…
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2016 (compared to the previous 12 month period) shows CHHA EPS reimbursement decreasing to $183.6 million from $248.7 million (represents a 26.2% decrease).
HCA developed a bill (S.5878/A.8171) that the Legislature unanimously passed which limits the level of CHHA EPS rebasing cuts to $30 million; however, the Governor vetoed the Legislation.
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Medicaid F2F requirements for Home Health Services. Can be reviewed at: https://s3.amazonaws.com/public-inspection.federalregister.gov/2016-01585.pdf
Medicaid beneficiary for the initial authorization of home health services provided by a Certified Home Health Agency (CHHA).
with this requirement will not begin until July 1, 2017.
summary in packet).
Director of Long Term Care to discuss this issue specifically regarding any flexibility DOH may have in making the requirement less burdensome. We had previously requested that DOH only make it applicable in Medicaid FFS situations, not in any Mainstream Medicaid Managed Care of MLTC type cases.
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DOH issued a May 4, 2016 DAL notifying CHHAs, LTHHCPs and LHCSAs that DOH has amended the home care regulations in Sections 763 and 766 with regards to obtaining signed physician orders.
providers will have up to a 1 year time period for receipt of the signed orders. However, upon receipt of those orders, providers have 30 days to bill for services.
issue
part of a Workgroup that has developed “draft” rate codes which have been shared with the plan associations. HCA is advocating strongly that implementation of these draft codes begins no later than January 1, 2017. continued…
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provider case selection report letters to many Medicare certified providers that includes a listing of all cases that need to be demand billed to Medicare for the first half of FFY 2016 only. Dates of service for this period include October 1, 2015 thru March 31, 2016.
2 percent ATB Medicaid payment reduction was eliminated for claims with service dates on or after April 1, 2015. However, the retroactive repayment of the reduction taken over the period April 1, 2014 through March 31, 2015 is still pending federal approval from CMS.
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CY 2017 Medicare Home Health PPS.
CMS’s proposed rule (in handouts) which can be accessed at: http://hca- nys.org/wp-content/uploads/2016/06/HCAMemoProposed2017HHPPS.pdf
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the CY 2014 HH PPS ($80.95 reduction to the base rate).
that would reduce the 60-day episodic payment by 0.97 percent first implemented in 2016 and continuing for CY 2017 and 2018, to account for a CMS-contended growth in “nominal” case-mix ($160 million decrease).
increase). CMS determined this percentage by subtracting a mandated 0.5 percent productivity adjustment from its calculation of a 2.8 percent market basket.
nationally (or $180 million) in CY 2017. Continued…
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intentions appear to maintain the current F2F requirements, along with the changes implemented in 2015, which eliminated the physician narrative requirement but still require physicians (or an approved non-physician practitioner) to certify that a F2F patient encounter occurred no more than 90 days prior to the home health start of care date or within 30 days after the start of home health care.
using a cost-per-unit approach rather than a cost-per-visit approach. CMS is also proposing to limit the amount of time per day (summed across the six disciplines of care) to 8 hours or 32 units per day when estimating the cost of an episode for outlier calculation purposes (consistent with the definition of “part- time” or “intermittent” which limits the amount of skilled nursing and home health aide minutes combined to less than 8 hours each day and 28 or fewer hours each week). CMS is also proposing to keep the same 80 percent outlier loss ratio but would increase the fixed dollar loss (FDL) ratio from 0.45 to 0.56. This proposal would reduce the number of episodes that would qualify for outlier payment. CMS indicates that such a change is needed to keep outlier spending within the 2.5% national spending limit
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most current cost and utilization data. CMS’s goal is to have an overall average case-mix score of 1.0 nationally.
project which is currently operating in nine randomly selected states. New York is still not one of the nine states (Massachusetts, Maryland, North Carolina, Florida, Washington, Arizona, Iowa, Nebraska, and Tennessee). CMS’s proposal would apply a payment reduction or increase to current Medicare CHHA payments, depending on quality performance, for all agencies delivering services within the nine pilot states. This is a major ongoing initiative that will require continued analysis, review, education and examination of the experience in the pilot states selected for this project.
revised OMB delineations adopted in CY 2015. There are now 15 CBSA wage index designations for HHAs in New York. In this proposal, 6 CBSAs are expected to see decreases while 9 CBSAs are expected to see increases. HCA is particularly disappointed that the Nassau-Suffolk designation is proposed to have a
CY 2017 (but have heard that the NYC wage index may improve when CMS’s releases its final rule in November).
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Information Set (OASIS) to avoid payment rate reductions. In the first year (CY 2017), CMS is imposing a 70 percent compliance standard for the number of OASIS submitted (using a “Quality Assessment Only” formula), which rises to 80 percent in the second year (CY 2018) and caps out at 90 percent in the third year (CY 2019).
episodes and visits furnished in a rural area ending before January 1, 2018.
cases where the sole purpose of a visit is to furnish negative pressure wound therapy (NPWT) using a disposable device. This separate service payment would be based on the Medicare Hospital Outpatient Prospective Payment System (OPPS) amount, which includes payment for both the device and furnishing the service.
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On August 24, HCA submitted comments to CMS on the proposed CY 2017 HH PPS. Comments are included in your packets. In our comments we objected to CMS’s continuation of their proposed rebasing methodology and discussed the following flaws:
costs assumptions from 2011 Cost Reports.
F2F requirement, PECOS enrollment mandate, CAHPS patient surveys, and ICD- 10.
its 2014 HHPPS rulemaking, CMS estimated that 43 percent of all HHAs would face negative Medicare margins. However, an HCA analysis earlier this year (in a February 2016 report called Risk Factors) found that over 70% of NY home care providers were operating at a loss across all payors in 2014, not just Medicare.
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Other issues addressed in our comments to CMS include:
Creep” adjustment to the CY 2017 episodic payment should be rescinded since it is not only unnecessary due to CMS recalibrating the case-mix weights but also appears to go beyond the statutory Congressional limits of home health rebasing that is in the ACA (CMS is not to go beyond a 3.5% reduction each year).
documentation issues which continue to plague providers with administrative costs, payment problems, and access-to-care burdens.
much more burdensome than the ACA ever intended and that physicians conducting the F2F encounter should be able to simply sign and date the beneficiary’s plan of care which would serve as an attestation that the F2F encounter has been met.
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perspective (as well as recently releasing a draft Medicare Alignment paper which would integrate Medicaid and Medicare VBP efforts), we were pleased that CMS continued to not include New York as one of the nine states to participate in its home health VBP program from the Medicare perspective mainly because we believe it is critical for HHAs to be able to invest in the infrastructure necessary to successfully participate in any proposed Home Health VBP program. New York providers have enough work activities ahead of them to prepare for the New York- initiated Value Based Payment project, without the added focus of a federal project. However, we recommended that CMS develop an application process so that interested HHAs can apply for the VBP program rather than require all agencies in the pilot states to participate. CMS could document the characteristics of these volunteer agencies and select a similar set of agencies for comparison in order to assess the success of the program.
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We also recommended that CMS expedite its VBP program so that it’s concluded in no more than 4 to 5 years, rather than the current demonstration which goes for seven years.
methodology, the home health wage index, the separate payment for negative pressure wound therapy using a disposable device and the lack of federal Health Information Technology (HIT) funding for home health providers. On July 13, HCA held a Federal Advocacy Day in Washington DC in conjunction with the Forum of Statewide Home Care Associations to advocate all of our concerns about CMS’s current and proposed regulations – with the focus being on asking for Congressional assistance in obtaining relief on the
the CY 2017 final rule.
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review and audit initiative under the Home Health Probe and Educate medical review strategy outlined in CMS final rule for Calendar Year 2015 HHPPS.
promote provider understanding and compliance with the Medicare home health eligibility requirements, including documentation of the F2F physician encounter.
health MAC in the country to select a sample of 5 claims for pre-payment review from every HHA within its jurisdiction.
provider specific educational outreach. CMS has instructed MACs to deny each non-compliant claim and to outline the reasons for denial in a letter to the HHA, which will be sent at the conclusion of the probe review. Continued…
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Probe and Educate audit were denied:
discharge summaries;
encounter;
necessity for home health services.
major concerns (2-5 denials out of 5), the MACs will repeat the Probe and Educate process for dates of services occurring after education has been provided as part of Round 2, which NGS expects to begin towards the end of this year or early 2017.
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Data at: http://hca-nys.org/hca-data
managed care members in their benchmarking efforts, understanding of system- wide trends and access to reimbursement and premium rates. HCA’s Data Webpage includes the following resources:
Cost Report Summaries, DOH links to FFS Rates and the latest home care and hospice Directories from DOH.
Medical Services such as home health and unit cost and utilization data. Continued…
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from NGS, as well as NYS Medicare Cost Report Data from CMS.
provides key information on Managed Care quality performance, access and utilization and beneficiary satisfaction.
2014 CHHA & LTHHCP Medicaid Cost Report data, the 4th quarter 2015 MLTC & PACE MMCOR data and the June through December 2015 Medicare utilization data from NGS.
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