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Revised Conditions of Participation



Do you remember when you were new to home health and you really wished someone would tell you what the CoP’s were and why they mattered?  Let’s spend a minute with our newer colleagues so they won’t feel lost as our industry turns its attention to the revised Conditions of Participation in the next few months.

The Conditions of Participation are a set of Medicare guidelines that every home health agency must follow if they bill and get paid by Medicare.  These guidelines apply to every patient in an agency regardless of who is paying for care.  Therefore, certain elements common to our practice such as assessing homebound status are not present in the CoPs because a private payor source may elect to pay for care without regard homebound status.  But all patients have rights and all clinical records must include certain elements, etc.  Failure to meet one or more CoP’s usually results in a survey deficiency but continued non-compliance is grounds for civil monetary penalties or revocation of a provider number.  When the term ‘compliance’ is used, it includes compliance to the CoP’s.

Got it?  Let’s move on.  If you are still confused, email us for more boring details.

The 2017 update, effective in July of this year, to the Medicare Home Health Conditions of Participation are extensive.  As I read them, I made my own ‘cheat sheet’ adding questions and courses of action that might be followed to comply with the new CoP’s.  It Is important to note that I am sharing them as I interpreted them.  I have also posted the CoP’s with all the public comments as well as the pared down version.

Click Here for the full version with comments

Click Here for just the CoP’s without the discussion.

The Conditions of Participation are being revised in part because:

Ensuring quality through the enforcement of prescriptive health and safety standards, rather than improving the quality of care for all patients, has resulted in our expending much of our resources on dealing with marginal providers, rather than on stimulating broad-based improvements in the quality of care delivered to all patients.

A new condition – QAPI – is designed to ensure that agencies look at data and design activities to improve outcomes agency-wide.  Other conditions have been changed to expand the focus to all patients and improve outcomes.

It is rare that I heartily agree with Medicare rule makers but I am on board.  I hope you jump on board as well.

484.45 Reporting and transmission of OASIS data

No significant changes were made to this condition except the requirement that agencies have a dedicated phone line for OASIS transmission was removed since agencies are already transferring electronically over the internet.

§484.50 Condition of participation: Patient rights.

New rights.

Retained Rights

You should recognize these.

The

Transfer and Discharge Rights

Seven conditions allow for a patient transfer or discharge:

Investigation of Complaints

Very specific requirements are written into the CoP’s regarding patient complaints.  Agencies must:

Investigate complaints by patient or patient representatives, caregivers or family regarding care received (or not received), care furnished inconsistently or inappropriate care.

Mistreatment, neglect or verbal, mental, sexual and physical abuse including injuries of unknown source and or misappropriation of patient property by anyone caring for the patient on behalf of the agency.  Additionally, if an employee (or contracted employee) sees signs of the mistreatment described above, they must report it immediately to the agency and to other appropriate authorities in accordance with state law.

Complaints must be documented and the agency must take measures to prevent recurrence.

Actions to get ready now:

Not every agency must complete every action to comply.  Many agencies are already doing the majority of the work required to meet the Revised Conditions of Participation.  These are ideas that came to me as I was making notes and I am certain that my list of proposed actions is far from complete.  If you have other suggestions, please post in comments below or email me.  With six months left, there is a chance we could actually do this right.

 

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