Post on 25-Dec-2015
Minnesota ASC AssociationMinnesota ASC Association 2011 2011
Dawn Q. McLane RN, MSA, CASC, CNORRVP, Health Inventures
Complying with Medicare’s Complying with Medicare’s Conditions for Coverage: Conditions for Coverage:
Preparing for a SurveyPreparing for a Survey
2DQMK
Are You Becoming Are You Becoming a Boiled Frog?a Boiled Frog?
Overview of ChangesOverview of Changes
Conditions for Coverage (CfC) = the requirements that ASCs have to meet to participate in Medicare (CFR sec. 416)
Must meet requirements for all patients not just Medicare patients
Effective date: May 18, 2009 Currently 10 Conditions with 16 Standards New: 13 Conditions with 35 Standards Interpretive guidelines http://ascassociation.org/guidelines.pdf - CfC
interpretive guidelines – December 2009
Summary of ChangesSummary of ChangesConditions Standard
Change?
State Law No Change
Governing Body and Management Contract Services Hospitalization Disaster Preparedness Plan
Revised
Surgical Services Anesthetic Risk and Evaluation Administration of Anesthetic State Exemption
Revised
Quality Assessment and Improvement Program Scope Program Data Program Activities Performance Improvement Projects Governing Body Requirements
Revised
Summary of Changes Summary of Changes Continued…Continued…
Environment Physical Environment Safety from Fire Emergency Equipment Emergency Personnel
No Change
Medical Staff Membership and Clinical Reappraisals Other practitioners
No Change
Nursing Services Organization and Staff
No Change
Medical Records Organization Form and Content
No Change
Pharmaceutical Services Administration of Drugs
No Change
Summary of Changes Summary of Changes Continued…Continued…
Laboratory and Radiologic Services Laboratory Services Radiologic Services
Revised
Patient Rights Notice of Rights Advance Directives Submission and Investigation of Grievences Exercise of Rights and Respect for Property and Person Privacy and Safety Confidentially of Clinical Records
Change
Infection Control Sanitary Environment Infection Control Program
Change
Patient Admission, Assessment and Discharge Admission and Pre-Surgical Assessment Post- Surgical Discharge Discharge
Change
Change in Definition of an Change in Definition of an ASCASC
a distinct entity that operates exclusively for the purpose of providing surgical services to patients not requiring hospitalization
the expected duration of services would not exceed 24 hours following admission
must have agreement with CMS and meet the CfC
Governing Body and Governing Body and ManagementManagement
responsible for policies governing operations
Oversight and accountability for QAPI program
Develops and maintains disaster preparedness plan
ASC has transfer agreement with CMS hospital or physicians performing surgery have admitting privileges at hospital (that meets CMS requirements)
Governing Body and Governing Body and ManagementManagement
Disaster preparedness plan written plan provides for emergency care of patients,
staff and others in the facility in the event of fire, natural disaster, functional failure of equipment or other unexpected events that would threaten the health and safety of those in the ASC
coordinates the plan with state and local authorities, as appropriate
conducts drills at least annually & completes written evaluation of drill, promptly implementing corrections
Quality ImprovementQuality Improvement Develop, implement, and maintain an ongoing, data-driven QAPI program Standard - Scope:
demonstrates measurable improvement in patient outcomes
improves patient safety – use of quality indicators, performance measures or reduced medical errors
measure, analyze and track quality indicators, adverse patient events, infection control and other aspects of care
Standard - Data: must incorporate data to:
monitor the effectiveness of services and quality of care
identify areas for improvement and changes in patient care
Quality ImprovementQuality ImprovementStandard - Program Activities: Set
priorities for PI activities focus on high risk, high volume, and problem-
prone areas consider incidence, prevalence and severity of
problems affect health outcomes, patient safety and quality
of care track adverse patient events, examine cause,
implement improvement and ensure improvement is sustained implement preventative strategies targeting
adverse patient events and assure staff is familiar
Quality ImprovementQuality Improvement Standard – PI projects
number and scope of projects reflects scope and complexity of the organization document projects being conducted – including
(minimum) reason for implementing the project and a description of
the project’s results Standard – GB responsibilities – ensure that the QAPI program:
defined, implemented, and maintained addresses the ASC’s priorities and all improvements are
evaluated for effectiveness clearly establishes expectations for safety adequately allocated sufficient staff time, information
systems and training to implement the program
Patient RightsPatient Rights
ASC must inform the patient of patient’s rights and must protect and promote the exercise of such rights Notice of rights
provide patient verbal and written notice of patient’s rights
in advance of the date of the procedure in a language and manner that the
patient understands
Patient RightsPatient Rights
Post the written notice of rights in place(s) where it will be noticed by patients waiting for treatment, including: name, address, phone of State agency where
patient can report complaint website for Office of the Medicare Beneficiary
Ombudsman
Disclose physician financial interests or ownership in the ASC in writingIn advance of the date of the procedure
Patient RightsPatient Rights Advanced Directives
Provided the patient in advance of the date of the procedure:information concerning policies on advanced
directivesdescription of applicable state health and safety
laws if requested, official state advanced directives
form Inform patient of right to make informed
decisions regarding their care Document in MR whether or not the patient
has executed an advanced directive
Patient RightsPatient Rights Submission and investigation of
grievances grievance policy documenting existence,
submission, investigation and disposition of a patient’s written or verbal grievance to ASC
related to mistreatment, neglect, verbal, mental sexual or physical abuse document grievance reported immediately to person in authority if substantiated, reported to state and/or local
authority specify timeframe for review and response
Patient RightsPatient Rightsinvestigate all grievances about care provided document how grievance was addressed and
written notice of decision to patient including o name of contact person at ASC o steps taken to investigateo results of grievance processo date grievance process completed
Respect for property and person no discrimination or reprisal voice grievances regarding treatment be fully informed about treatment / procedure
and expected outcomes prior to procedure if incompetent, rights of patient exercised by
person appointed to act on behalf of patient
Patient RightsPatient Rights
Privacy and safety receive care in a safe setting free from all forms of abuse or harassment
Confidentiality of clinical records comply with HIPAA related to privacy and
security of PHI and ePHI
Patient Rights NotificationPatient Rights Notification Urgent Cases Urgent Cases
May notify the patient on the day of surgery only if the case is considered urgent – must be documented by the physician the patient would be harmed (reduced
likelihood of good outcome if the procedure is not performed same day or the patient would suffer increased pain)
the ASC is an appropriate site of service for this procedure
rights notification is performed prior to consenting the patient
Infection ControlInfection Control ASC maintains ongoing program to
prevent, control, and investigate infections and communicable diseases: include documentation that ASC is
following nationally recognized infection control guidelines
Program is: under direction of designated and qualified
professional with specialized training in infection control
integral part of QAPI program responsible for providing plan of action for
preventing, identifying and managing infections and communicable diseases and immediately implementing corrective and preventative measures resulting in improvement
Pt admission, assessment and Pt admission, assessment and dischargedischarge
ASC ensures patient has appropriate pre-surgical and post-surgical assessments
all elements of discharge requirements are met
Pre-surgical H&P not more than 30 days before date of
surgery (may be performed same day) comprehensive medical H&P completed
by a physician or other qualified practitioner (state defined)
Pt admission, assessment and Pt admission, assessment and dischargedischarge
Upon admission pre-surgical assessment completed by a physician
or other qualified practitioner includes:
updated medical record entry documenting an exam for any changes in the patient’s condition since the H&P
patient allergies to drugs and biologicals placed in MR prior to surgical procedure
Post surgical assessment condition must be assessed and documented in
the MR by a physician or other qualified practitioner or RN with post –op experience
post surgical needs must be assessed and included in the discharge notes
Pt admission, assessment and Pt admission, assessment and dischargedischarge Discharge – ASC must:
provide patient with written discharge instructions and overnight supplies
make FY appointment with physician when appropriate
either prior to procedure or before discharge, provide
prescriptions post-op instructions Physician contact information for follow-up care
ensure patient has discharge order signed by the physician who performed the procedure
ensure patients are discharged in the company of a responsible adult, except patients exempted by the attending physician
Hot Topics - Session ObjectivesHot Topics - Session Objectives
Review & Discuss Specific CMS Regulations for the ASC
- Identify “Hot Buttons” YTD- Assess Compliance Approach w/Attendees- Implementation Strategies
CMS “Hot Buttons” for CMS “Hot Buttons” for 2011 2011 ASC - 416.41(a) Contract Services: “When services are provided through a contract with an outside resource, the ASC must assure that these services are provided in a safe and effective manner”.
Implementation Implementation Strategies:Strategies:
Housekeeping:- Review proposed cleaning schedule, products,
supplies & compare w/facility P&P; do OIG query.- Contract should contain HIPAA language and/or
have on-site staff sign confidentiality/security statements.
- Request immunization status for TB (suggest Hep.B)
- Evaluation process w/their supervisor should be established.
- Direct observation, provide feedback.- This service must be reviewed by GB on annual
basis.
Implementation Strategies:Implementation Strategies:
Lab/Pathology:Obtain copy of license from physician lab Director, perform verification; perform OIG query.Obtain copy of malpractice insurance.Obtain copy of the lab’s CLIA & CAP certification.Ensure HIPAA language is included in contract. Assess services performed (ie, timing of PAT results, critical lab values, path reports).This service must be reviewed by GB on annual basis.
Implementation Strategies:Implementation Strategies:Radiology: (also 482.26c)Radiologist (MD/DO) must be credentialed effective 12/30/09 for at least consulting privileges.Radiology techs must be credentialed as AHP (AAAHC only), otherwise obtain copy of license, do verification; OIG query; obtain malpractice insurance.Assess timeliness of follow-up radiology reports when applicable.Obtain input from Radiology Director for educational purposes (ie., Radiation Safety, QC checks, etc.).This service must be reviewed by GB on annual basis
CMS “Hot Buttons” for 2011CMS “Hot Buttons” for 2011ASC - 416.52(a) Admission and Pre-surgical Assessment:Each patient must be examined by a physician (or other qualified practitioner in accordance w/state law) on the DOS, prior to the start of the surgery/procedure in order to assess changes in their medical condition since the most recent H&P was done. The physician may decide the extent of the update assessment needed.
(This regulation should not be confused w/416.42(a) which states that a physician must examine the patient immediately before surgery to evaluate the risk of anesthesia & of the procedure to be performed).
CMS “Hot Buttons” for 2011CMS “Hot Buttons” for 2011
Same Day Procedures: Patients may be admitted for procedures the same day as the procedure if: the procedure is urgent and peforming the procedure same day will
Result in an improved outcome Waiting will cause the patient increased
pain and suffering
CMS “Hot Buttons” for 2011CMS “Hot Buttons” for 2011
The surgeon must document the following:
reason for performing the procedure the same day as notification of patient rights (see previous slide)
the ASC is the appropriate site of service
the patient received Patient Rights Notification prior to consent for the procedure
Implementation Strategies:Implementation Strategies:
• If the physician finds no changes in the patient’s condition since the most recent H&P was performed, the following documentation in the medical record is suggested per CMS IG:
• H&P reviewed, patient examined, no changes noted in patient’s condition since H&P performed. (check-box?)
• Likewise, any changes in patient condition must be documented by the physician in the update note prior to start of surgery/procedure.
• The H&P and this pre-surgical assessment (DOS) must be placed in the medical record before the surgery/procedure is performed.
CMS “Hot Buttons” for 2011 CMS “Hot Buttons” for 2011
ASC - 416.42(a) Anesthetic Risk and Evaluation:Before discharge from the ASC, each patient must be evaluated by a physician (or by an anesthetist in accordance with applicable State health and safety laws*, standards of practice, ASC policy) for proper anesthesia recovery.*(ie, Opt-out states such as IA, KS, MN, NE)
Implementation Strategies:Implementation Strategies: Although the regulations do not specify the criteria that
must be used for this post-op evaluation, the IG suggest that “recognized guidelines” be followed (ie, ASA as in the article below).
Based on Practice Guidelines for Post-anesthetic Care, Anesthesiology, Vol 96, No 3, March ‘02, the assessment should include: Respiratory function (RR, airway patency, O2 sat) CV function (BP, P) Temp Pain Nausea/Vomiting Post-op Hydration Mental Status Other (depending on type of surgery/procedure)
Implementation Strategies: Implementation Strategies: (continued)(continued)
Example Discharge Assessment (a check box could be used for applicable items or Y, N, NA):
Alert / Oriented Ambulating Voided Tolerated PO nourishment Op site satisfactory Peripheral circ. satisfactory Reviewed instructions Written instructions Prescriptions Pain Minimal <5 on Pain Scale (0-10) Pt. assessed; medical condition and all vital signs (BP/P/R/O2sat/temperature)
are stable, may discharge per routine. MD Signature: Time: In the above example, nursing staff could complete the 1st section, a physician
must complete the bottom section after reviewing the information in section 1. Ultimately, the time documented above for the physician evaluation must
reflect a time prior to the patient’s actual discharge from the facility (HI Recommends eval done within 45-1 hr prior to pt. D/C)
CMS “Hot Buttons” for CMS “Hot Buttons” for 2011 2011
ASC - 416.42(b) Administration of AnesthesiaAnesthetics must be administered only by:
- A qualified anesthesiologist.- A physician qualified to administer
anesthesia, a CRNA or an AA. - Unless state exempted for non-physicians, the CRNA must be under the supervision of the operating physician; AA’s must be under the supervision of an anesthesiologist.
Implementation Strategies:Implementation Strategies:
Local, topical anesthesia, IV moderate sedation must be included on DOP form for applicable physician in credentialing file.
CRNA’s should have a sponsoring/supervising physician listed on DOP.
CRNA supervision must be listed on DOP of corresponding physician or have a separate DOP for this purpose.
Anesthesia contract/agreement and facility P&P’s should address supervision of CRNA’s.
CMS “Hot Buttons” for CMS “Hot Buttons” for 2011 2011
ASC - 416.52(c)(2) Discharge:The ASC must ensure that each patient has a discharge order, signed by the physician who performed the surgery or procedure.
ASC - 416.52(c)(3) Discharge:The ASC must ensure all pts are D/C’d in the company of a responsible adult, except those pts exempted by the attending physician (exemptions must be specific to individual pts).
Implementation Strategies:Implementation Strategies: IG states, “no patient may be discharged
from the ASC unless the physician who performed the surgery or procedure signs a discharge order”.
IG also says, “it is expected that a patient will actually leave the facility within 15-30 minutes after the discharge order is signed. (???)
Verify on pre-op phone call if pt will have a responsible adult accompany them (get name and number); provide rationale, facility policy. If no-show upon D/C, decisions will have to be made for signing out AMA vs. calling cab, etc.
CMS “Hot Buttons” for CMS “Hot Buttons” for 20112011
ASC - 416.48(a) Administration of Drugs Drugs must be prepared and administered according to established policies and acceptable standards of practice*.*(In accordance w/state, federal laws and nationally recognized expertise).
Implementation Strategies:Implementation Strategies: Any drawn syringes must be labeled with: Time of draw, initials of person drawing,
medication name, strength, expiration date or time.
Drawn syringes must be used on 1 patient and discarded after the initial use.
Medications should not be prepared too far in advance of their use (ie, do not draw up day before or early morning for use throughout the day)
This should only be administered by the person who drew it up.
CMS “Hot Buttons” for CMS “Hot Buttons” for 20112011
ASC – 416.48(a) Administration of DrugsOrders given orally for drugs and biologicals must be followed by a written order & signed by the prescribing physician.
Implementation Implementation Strategies:Strategies: Must have P&P’s pertaining to a verification
process for verbal orders rec’d by a licensed professional (ie, VORB).
ASC - The prescribing physician must sign, date and time the written order in the patient’s medical record as soon as possible after the verbal order is issued (and in accordance w/state law).
Take Aways….Take Aways….
• Ongoing, periodic re-assessment of educational needs for employees and medical staff regarding “CMS Hot Buttons”.
• Each CMS CfC is “pass or fail” from a regulatory compliance perspective.
• Review your facility P&P Manuals; ensure that corresponding documentation has been updated to reflect CMS/AAAHC/TJC/state-specific regs as applicable.
• All policies/procedures must be reflective of active practice; assess if new process needed in a certain area(s).
Thank You !Thank You !
QuestionsQuestions??