Introducing Assisted Living Licensure - Minnesota · , resident rights protected and the process...
Transcript of Introducing Assisted Living Licensure - Minnesota · , resident rights protected and the process...
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Introducing Assisted Living LicensureOdyssey Conference
July 31, 20198:30 – 11:00 am
P R O T E C T I N G , M A I N T A I N I N G A N D I M P R O V I N G T H E H E A L T H O F A L L M I N N E S O T A N S
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Welcome and Introductions
• Bob Dehler, MDH• Marie Dotseth, MDH• Cheryl Hennen, OOLTC• Lindsey Krueger, MDH
• Anne Peterson, MDH• Dan Pollock, DHS• Rachel Shands, DHS• Nicole Stockert, MDH
DHS = Minnesota Department of Human ServicesOOLTC = Office of Ombudsman for Long-Term CareMDH = Minnesota Department of Health
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Overview of today’s presentation
• Six Sections1. Current State of Assisted Living
2. Setting the Stage for Assisted Living Licensure
3. Improved Consumer Advocacy
4. A Walk Through Minn. Stat. §144I
5. Impact of Assisted Living Licensure on Home & Community-Based Participants
6. What’s Next
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Discussion reminders
• While we provide some definitions and key terms, today is a high-level overview with opportunities for discussion
• Always refer to statute for specific definitions and guidance• We are here to help! We encourage questions and
participation• Contact info is available at the end of the presentation
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Key Terms and Abbreviations
• Assisted living facility (ALF) - As defined in HF90, an ALF is a licensed facility that provides sleeping accommodations and assisted living services to one or more adults. An ALF may also provide dementia care.
• Home care (HC) provider – An individual, organization, association, corporation, unit of government or other entity that is regularly engaged in the delivery of at least one care service directly in a client’s home for a fee and has a valid, current license.
• Registry – A list with no regulatory authority
• Vulnerable adult – any person age 18 or over who receives licensed services
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Learning Objectives
Participants will be able to:• Discuss key components that separate current assisted living regulations
from future assisted living licensing (ALL) regulations• Describe how stakeholders did, and will continue to, shape assisted living
licensure and what was most important to them• Identify fundamental elements of assisted living licensure that will impact
them or their organization• Review the implementation plan for assisted living licensure with their
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Current State of Assisted Living
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Numbers Tell a Story
Licensed Nursing HomesPeaked in 1980s• 468 NFs • 48,307 bedsToday• 377 NFs (19% reduction)• 28,968 (40% reduction)
Assisted Living Establishments1980• 0 AL EstablishmentsToday• 1,857 HWS• 78,358 estimated capacity• 1,226 AL designation (55,192)• 1,194 special care
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3 Main Statutes
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Comparison
144D and 144G• Annual registration • No inspection• No mandatory incident
reporting• No complaint investigation• No physical plant requirements• Protected by landlord tenant
law
144A• Annual license• Temp license inspection & every 3 years• Required incident reports• Complaint investigation authority• Client care and business related
requirements• Protected by 144A, VAA and child
maltreatment
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Housing with Services and Home Care Relationship
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144D Housing with Services Establishment
• Provides sleeping accommodations• One or more adults• At least 80% are 55+
• For a fee, offers or provides• One or more regularly scheduled health-related services or• Two or more regularly scheduled supportive services
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144G Assisted Living Services
Assisted living is a service or package of services described using term “assisted living” or the abbreviation “AL”• Protected title• Housing with Services (HWS) entity• Follows 144G
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144G Assisted Living Services, cont.
At a minimum:• Health-related services under home care license
• Assist with self-admin meds, med management, med administration• Assist with at least 3 types activities of daily living (ADLs) (excludes
mobility)• Assessment by RN of physical and cognitive needs• System to delegate health care tasks to unlicensed personnel by RN
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144G Assisted Living Services, cont.
Minimum requirements• Staff access to Registered Nurse 24/7• System to check on each client daily• Method for clients to request assistance for health and safety 24/7• Staff person available 24/7 to respond to requests for assistance who is:
• Awake and in same building, attached building or contiguous campus• Able to:
• communicate with clients• recognize need for assistance• provide or get assistance• follow directions
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Challenges
• Who’s responsible?• No authority over registration• Memory care does not fit “home care” model • Involuntary discharge and eviction• Lack of transparency for fees/rates
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Setting the Stage for Assisted Living LicensureHow We Got to Where We Are Today
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Where We’ve Been - 2017
• Increasing:• Number of self and consumer reports
• Backlogs
• Media attention
• Commissioner resigns
• Consumer Coalition Report to Governor Dayton
• Most reports and all media attention directed at AL
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Where We’ve Been - 2018
• Intense legislative session but final bill not signed• Office of Legislative Auditor Report• Commissioner convenes informal work groups
• Licensing approaches for AL• AL report card• Certification for dementia care• Consumer rights• Electronic monitoring in NFs and Als• Prevention strategies to improve quality and safety
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Informal Work Groups Key to ALL Success
Fall 2018 Informal Working Groups – Built understanding and trustSample conclusions from the working groups: • Assisted living service and housing regulation should be one license
• Consumers should retain the ability to grow and age in place where possible, including the ability to bring additional services into their place of residence
• Don’t require people who have dementia to live in dementia care settings but do require additional certification or licensure for special dementia care settings
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Informal Work Groups Key to ALL Success, cont.
Sample conclusions from the working groups:
• Electronic monitoring devices should be permitted, resident rights protected and the process for placing devices clarified
• We should better educate consumers about their rights, better enforce those rights, and strengthen rights in key areas
• A report card is needed and should be pursued as part of a multi-pronged effort to encourage and reward quality
• Quality and patient safety information is transparent and easy to understand for residents, families, and providers and is fair/just and promotes accountability across all settings
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Informal Work Groups Key to ALL Success, cont. 2
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Questions for DHS or MDH Assistant Commissioners
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Improved Consumer Advocacy
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New Legislation Improves Consumer Advocacy
Office of Ombudsman for Long-Term Care (OOLTC)• 17 Additional Staff for the OOLTC
• Improve the ratio of regional staff per active “beds”
• Add 1 Deputy Ombudsman and 9 regional ombudsman
• 1 FTE for Electronic Monitoring
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Increased staffing for the OOLTC
Out of the new FTEs, 6 staff to be hired by January 1, 2021including:
• Regional staff• Intake specialist• Policy support• Date analysis• Volunteer coordination
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New Provisions Involve the OOLTC: Protections
Interim Protections• Electronic monitoring
effective January 1, 2020• Retaliation prohibited
August 1, 2019
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New Provisions Involve the OOLTC: Notifications
Notifications to the Office of Ombudsmen for Long-Term Care• 27 required notices to the OOLTC• 5 required notices to the OOLTC in current law
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New Provisions Involve the OOLTC: Terminations
Terminations• Prior to issuing a housing or service termination, must hold a meeting• Resident/resident representative must be involved in discharge
planning and can involve Ombudsman• Resident right to file appeal with Office of Administrative Hearings
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Questions for Ombudsman
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Stretch Break!
Stretch break
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A Walk Through Minn. Stat. §144I
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Key Highlights of Assisted Living Licensure Law
• Single license and assisted living contract• Physical plant requirements & fire safety • Enhanced bill of rights• Licensing of Assisted Living Directors• Facility responsibilities and requirements• Surveys, investigations, and enforcement• Consumer protections
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The Future: A Single, Integrated Assisted Living License
Today:Assisted living facility (ALF):• Comprehensive home care
license+
• Housing with services registration
August 1, 2021:Assisted living facility (ALF):• Single, integrated license
incorporating housing and assisted living services
• Single assisted living contract governing resident’s housing and assisted living services
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Housing and Assisted Living Services
Housing:• A resident is a tenant• Contract terms governed by
Chapter 504B and Chapter 144I
Assisted Living Services:• Basic and comprehensive
services (Chapter 144A) & • Supportive services
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Two Categories of Licensure: Assisted Living Facility License
I. Assisted Living Facility License• Provides housing and AL services to residents• May provide AL services to residents with dementia
• Must meet resident’s assessed needs• Diagnosis does not dictate setting
• Prohibited from having a secured dementia care unit
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Two Categories of Licensure: Assisted Living Facility with Dementia Care License
II. Assisted Living Facility with Dementia Care License• Can advertise, market, or promote as providing specialized care for
residents with dementia• Must meet requirements of the ALF license and additional
requirements:• License• Training• Programming
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Two Categories of Licensure: Assisted Living Facility with Dementia Care License
II. Assisted Living Facility with Dementia Care LicenseLicensee:
• Demonstrate capacity to provide services to residents with dementia.
Training:
• Additional dementia-related training required.
Programming:
• Spontaneous activities for enjoyment or diffusing a behavior;
• One-to-one activities that encourage positive relationships between residents and staff.
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Assisted Living Facility with Dementia Care License: Secured Dementia Care Unit
A facility that has a secured dementia care unit must have an assisted living facility with dementia care license. Requirements:• Staffing: an awake person must be physically present in the unit at all
times• Fire prevention and Life Safety Code: More stringent requirements for
fire safety• Hazard vulnerability assessment• Automatic sprinkler system throughout facility by 2029
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Minimum Physical Environment Requirements
Starting August 1, 2021:• A physical environment survey every 2 years
• Plan reviews and final construction inspections for a new license or new construction by MDH engineering
• Smoke detectors in each occupied room or automatic sprinkler system
• Portable fire extinguishers
• Fire drills
• Physical environment in good repair
• Existing buildings must always be maintained in a manner that does not ‘constitute a distinct hazard to life’
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New License or Construction
New construction or remodel/additions to existing AL facilities:
• Comply with Assisted Living requirements of the Facility Guidelines Institute (FGI) “Guidelines for Design and Construction of Residential Health, Care and Support Facilities”
• Comply with the Residential Board and Care Occupancy chapter of the National Fire Protection Association (NFPA), Standard 101, Life Safety Code
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Dementia Care Fire Protection Requirements
Assisted Living Facilities with Dementia Care (additional requirements): • Comply with the Health Care Occupancy chapter (limited care) of the
National Fire Protection Association (NFPA), Standard 101, Life Safety Code
• Conduct hazard vulnerability analysis to identify risk and mitigation strategies
• Fully sprinklered by August 1, 2029
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Future Fire Protection and Construction Questions
• For specific statute questions contact: Bob Dehler, 651-201-3710 or [email protected]
• Email specific questions on how the statute will be enforced to:• [email protected]
• MDH Engineering website where we will post all questions and answers that we receive (for consistency and clarity)• MDH Engineering
https://www.health.state.mn.us/facilities/regulation/engineering/index.html
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What are an Assisted Living Facility’s Responsibilities?
Facility is directly responsible for all housing and service-related matters
Facility must provide to resident:• Uniform checklist disclosure of services• Written checklist of all services permitted under license• Identifies all services provided and not provided
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Minimum Requirements – Highlights
Staffing• Biannual evaluation of staffing levels• Must meet the scheduled and reasonably foreseeable unscheduled needs
of each resident at all timesFood• Offer to provide or make available:
• 3 nutritious daily meals, seven days a week, according to USDA guidelines
• Food prepared and served according to Minnesota Food Code
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Enhanced Bill of Rights – Highlights
Includes right to:
• Continuity of care from properly trained and competent people in sufficient numbers to provide services
• Have legal and designated representatives participate in care and service planning
• Resident/family councils
• Access to technology
• Immediate access to counsel and advocacy services
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Assisted Living Director
Assisted Living Director Licensure• Board of Executives of Long Term Services and Supports (BELTSS)
• Approves director’s qualifications and training
Qualifications for Assisted Living Director• Licensed as a nursing home administrator or validated as a health
services executive and pass exam• July 1, 2021:
• Higher-education degree; or • On-the-job experience working in assisted-living facilities
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Surveys and Enforcement
Surveys• ALFs surveyed every two years• Provisional licenses surveyed within one year
Enforcement• Increased fines for violations and new fines for maltreatment• Follow-up surveys required for Level 3/Level 4 violations• Enhanced regulatory enforcement• Due process protections in place
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Consumer Protections:Assisted Living Contract
Assisted Living Contract:Facility may not offer/provide housing or AL services to a resident unless an AL contract has been executed• Single contract that includes resident’s housing, AL services, and the
resident’s service plan• Temporary service plan available
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Consumer Protections: Assisted Living Contract, cont.
Required Contents• Disclosure of category of license• Description of all terms, including costs, fees, grounds for
eviction/termination of services• Additional fees for added AL services• Right to designate a representative for certain purposes• Facility’s complaint resolution process• Disclosure of facility’s ability to provide specialized diets
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Consumer Protections: #1 Assisted Living Contract Terminations
Termination: A facility-initiated termination of housing and/or assisted living services under the assisted living contract
An Assisted Living Facility May Terminate For:1. Nonpayment of housing or assisted living services
2. Resident violations of lawful provision in assisted living contract
3. Expedited termination
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Consumer Protections: #2 Assisted Living Contract Terminations
Expedited TerminationHousing or Services:
• Substantially interferes with the rights, health or safety of other residents or staff
• Unlawful activity under landlord/tenant lawServices:
• Substantially interferes with resident’s health or safety• Assessed needs exceed scope of services agreed to and are not included in
facility’s uniform checklist• Extraordinary circumstances exist
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Consumer Protections: #3 Assisted Living Contract Terminations
Before Issuing a Notice of Termination• Facility must schedule and participate in meeting with resident and representatives
• Explain reason for termination, identify/offer reasonable accommodation to avoid termination
• Facility is not required to offer accommodations that fundamentally alter the nature of their operation
Written Notice of Termination• 30 days for nonpayment or violating assisted living contract
• 15 days for expedited termination
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Consumer Protections: #4 Assisted Living Contract Terminations
Right to Return• If a resident is absent from a facility for any reason, facility shall not refuse the
resident to return
Right to Use Provider of Resident’s Choosing• Facility may not terminate contract if resident obtains necessary services from
another provider
Emergency Relocation• A facility may remove a resident from the facility due to an emergency, but this
is not a termination
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Consumer Protections: Appeal of Assisted Living Contract Terminations
Resident May Appeal a Facility-Initiated Termination for:• Nonpayment of rent/assisted living services• Violating a provision of the assisted living contract• Expedited termination reasonsGrounds for Appeal:• Factual dispute over the basis of the termination• Termination results in potential for/or great harm to resident• Resident cured/demonstrate ability to cure reason for termination• Facility violated federal or state law in terminating the contract
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Consumer Protections: Nonrenewal of Housing
Nonrenewal of Housing (i.e. decline to renew the lease)• If a facility decides to not renew lease:
• Must give 60 calendar days’ notice of nonrenewal and assist with relocation planning or
• Follow assisted living contract termination procedure
Contents of Nonrenewal Notice
• Must include the reason for the nonrenewal and contact information of the Ombudsman for Long-Term Care
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Consumer Protections: Nonrenewal of Housing, cont.
Facility Responsibilities
• Provide notice to the Ombudsman for Long-term Care and case manager
• Ensure a coordinated move to a safe location/appropriate service provider
• Consult and cooperate with resident, representatives, health professionals, and others
• Prepare a written plan to prepare for the move
• A resident may decline to move to location/accept services
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Consumer Protections: Coordinated Moves
Coordinated moves apply:
• Nonrenewal of housing• Termination of an assisted living contract• Reduction of assisted living services
requiring resident to move• Facility undergoes planned closure
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Consumer Protections: Coordinated Move, cont.
Facility responsibilities
• Ensure a coordinate move to a safe location that is appropriate• Consult and cooperate with resident and representatives• 60-day written notice of reduction of services prior to
reduction/elimination• Facility must develop relocation plan to prepare for the move to new
location
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Questions for Health Regulation Division
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Impact of Assisted Living Licensure on HCBS Participants
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Customized Living (CL) Services
Customized living (CL) services available under:• Elderly Waiver (EW)• Community Access for Disability Inclusion (CADI) waiver• Brain Injury (BI) waiver
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Current Customized Living Provider Standard
Must be delivered:• By a licensed comprehensive home care provider• In a registered housing with services (HWS) establishment
• Today, the majority of HWS settings where CL services are delivered also have an AL designation
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Customized Living with Assisted Living Licensure
On August 1, 2021 CL providers must have AL license to receive payment for CL services delivered to people on
home and community-based (HCBS) waivers
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Exception to Assisted Living Licensure
Exceptions
• Certain HUD-funded public housing settings are exempt from AL licensure
• These settings meet a critical need for affordable housing• There is true separation between the housing and service provider• Licensed comprehensive home care providers can continue to deliver
CL services to waiver participants in those settings without an AL license
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Next Steps
• DHS will update:
Waiverplans
Forms Manuals
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HCBS Settings Requirements in ALL 144I.10
All assisted living facilities will:• Utilize person-centered planning and service delivery process• Allow residents to furnish and decorate units• Permit residents to access food at any time• Allow residents to choose visitors and times of visits• Provide residents with the right to chose a roommate if sharing a unit• Provide residents with the right to have and use a lockable door
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HCBS Settings Requirements in ALL 144I.10, cont.
• Includes a rights restriction process for some rights if necessary for health and safety reasons
• Residents must be notified of rights (Bill of Rights, 144I.101)
• Staff must be trained on their responsibilities related to ensuring the exercise and protection of resident rights (144I.20, Subd. 2)
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Features Related to HCBS Waivers
• AL providers must include their policies regarding MA waivers and the housing support program in their contracts with residents (144I.25, Subd. 2)
• If a contract is terminated AL providers must notify at specific points in the process:
• Case managers of waiver participants • Residents and• Resident representatives• 144I.26
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Questions for Aging and Adult Services
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Implementation overview
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Key activities for FY20
• Rulemaking for Assisted Living Licensure• Communications and engagement work• Hiring, hiring and hiring• Continuous improvement• Planning for new IT systems• Data and analytics
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Bob Dehler:[email protected]
Marie Dotseth: [email protected]
Cheryl Hennen:[email protected]
Lindsey Krueger:[email protected]
Anne Peterson: [email protected]
Daniel Pollock:[email protected]
Rachel Shands:[email protected]
Nicole Stockert: [email protected]
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