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Evolution of Federal Quality Assurance and Improvement Principles for HCBS Waivers: Movement to More Specific Expectations. Valerie J. Bradley, President Human Services Research Institute Missour i DD Stakeholders Meeting November 23, 2010. What Will We Cover?. Background
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Evolution of Federal Quality Assurance and Improvement Principles for HCBS Waivers: Movement to More Specific Expectations Valerie J. Bradley, PresidentHuman Services Research Institute Missouri DD Stakeholders MeetingNovember 23, 2010
What Will We Cover? • Background • GAO and wake up call for CMS • Quality Framework and the emergence a 3 dimensional performance structure • “Operationalizing” the 6 waiver assurances • Evidence and quality improvement • How to be prepared for what comes next
Why Should We Care About Quality? • We have created a movement and made promises to people with disabilities and their families • Ideology alone does not create a stable andreliable system of supports • The greater the investment the greater the expectations • Unless we build quality in at the beginning, it is very hard to retrofit a program later
Waivers – Dominant Funding Source • Waiver programs for people with DD account for about 75% of all waiver spending • In 2008, there were about 525,000waiver recipients with DD – a 740% increase from 1992 • Total cost in ‘08 was 22.3 billion – about $42,500 per recipient • Five times as many people receive waiver services than are served in ICFs/MR
GAO Report on Federal Oversight of HCBS Waivers -- 2003 • No detailed guidance to states on necessary components of a QA system • States provide limited information about quality approaches in annual reports • Quality issues have been identifiedin HCBS waivers • CMS reviews are not timely • (GAO Report: GAO-03-576 – 6/20/03 – www.gao.gov)
Major Change in Oversight • Shifted review process away from “snap shot in time” • Formalized ongoing dialogue between CMS and State • Based on state monitoring its own processes and procedures • Focused on state producing evidentiary based reports to demonstrate that assurances are met • CMS reviews reports based on assessment of how effectively state monitored its own performance and addressed issues identified
Assurances vs. Framework • Level of Care • Plan of Care • Qualified Providers • Health and Safety • Financial Accountability • Administrative Authority
Development of 3.5 • Performance measures required for all assurances and sub-assurance • Each performance measure needs a metric, have face validity and focus on the right unit of analysis • Remediation has to be described for each assurance • Appendix H is now where you put information about how you improve quality
Requirements for More Focused Evidence Reports • Should be continually reaching 100% compliance • Should be able to aggregate remediation so that you can determine how quickly issues are resolved • Should be able to describe methods of remediation • Should be able to describe relevant quality improvement initiatives (training, policy change, etc.) • Can use consumer surveys – but not as the sole source of evidence
Sample Evidence Format* *Beth Jackson, 2010
Technical Assistance • Continued funding of National Quality Enterprise • Development of NQE website • Sign up for TA • Identify resources • Download presentations • Bi-monthly public Quality calls
Increased Emphasis on Sampling • 95% confidence/5% margin of error • Has to be by waiver • Sample size can vary depending on the magnitude of non-compliance – the higher the compliance level, the lower the sample size • Sample calculators available on line: www.raosoft.com
Concentration on Health and Welfare • Focus on restraints and restrictive practices • Stress on incident management • Economic downturn gives even more impetus to monitoring • Concerns with medication management
Other Issues to Keep on Your Radar • Interest in uniform practices across sub-state entities (e.g., counties) • Focus on equitable allocation of waiver slots the state • Importance of unified and standardized contracting procedures • Performance measures for any delegated functions including fiscal intermediaries • Necessity of educating and collaborating with your state Medicaid agency
Changes on the Horizon • Refinements and enhancements of waiver application that should result in more clarity regarding expectations • Expanded use of web-based data submissions • Increased clarity regarding assurances and measures
What Do You Need to Do? • Make sure that you have performance measures for all assurances • Don’t reinvent what you’ve already got • Develop a good working relationship with your state Medicaid agency; re-inspect your MOU • Make sure you can track remediation • Introduce yourself to CPS, ADS – you will need their data • Don’t over promise • If you don’t have the evidence, develop an action plan
I Know It Won’t Be Easy – States are Already Having to do More with Less . . .
. . . But you need to find a way to incorporate these requirements into your own QA process and tailor them to your needs. This is not the be all and end all of quality measurement and improvement but for the foreseeable future, this is the price of admission
THE END What did she say?