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Transition to Surveys with New ESRD Regulations

This article discusses the background and rationale for changes to the current ESRD regulations, implementation challenges for surveyors and facilities, and major changes from the current to the new regulations.

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Transition to Surveys with New ESRD Regulations

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  1. Transition to Surveyswith New ESRD Regulations What Does the Future Hold?

  2. Objectives Demonstrate understanding of the background & rationale for changes to the current ESRD regulations Describe the implementation challenges for surveyors & facilities Discuss major changes from the current to the new regulations 2

  3. The Long Journey 3

  4. The ESRD Regulation Timeline • 1976: First ESRD regulations published • 70’s-90’s: Technical updates • 1994: Community Forum Meeting to begin complete rewrite of ESRD regulations • 2008: New ESRD regulations published 4

  5. 1994 Community Forum: Outcome 5

  6. 1994: Change in the Survey Process 6

  7. 1994: Change in the Survey Process 7

  8. Common Themes on the Long Journey • CMS & Kidney Community partnership • Survey process is driven by outcomes & data, not structure & paper • Striving for consistency & common understandings 8

  9. Rationale Behind the Changes 9

  10. Rationale for ESRD Regulation Changes Increasing realization of the need for regulatory support for an outcomes focus across provider types Needed to drive improvements in care Critical if CMS moves to value-based pricing (aka, Pay for Performance) Necessary if CMS moves to bundled reimbursement for ESRD care 10

  11. Reasons for Change Changes in technology Water treatment: more complex Changes in dialysis equipment Differences in care delivery 1970’s: few technicians; regulations are silent 2008: technicians provide most direct care; public is demanding regulation 11

  12. Reasons for Changes Evidence Based Practice: ESRD community coming to consensus on minimum standards of care RPA’s Adequacy of Dialysis Report K/DOQI Guidelines Fistula First Breakthrough Initiative QAPI: accepted process of quality assessment across provider types Electronic data submission required to keep pace with growing ESRD population & need for current data 12

  13. Final ESRD Regulations Finally Published! April 3, 2008 POSTED 13

  14. Posted for Viewing http://www.cms.hhs.gov/CFCs AndCoPs/downloads/ESRD displayfinalrule.pdf (In Word = 625 pages) Targeted “Publish” Date: April 15

  15. The Implementation Begins 14

  16. What are the Effective Dates for these Rules? 15

  17. New Rules Require New Data Infrastructures • The Survey & Certification data system, ASPEN, must be updated • The automated ESRD data software, STAR, must be updated 16

  18. New Rules Require New Interpretive Guidance • Interpretive Guidance (IG) is CMS’ interpretation of the Rule ; provides clarification to surveyors & providers • Community input was sought for this guidance: • Draft document posted on the web & emailed to 10,000 CMS listserv subscribers • Community Forum in December 2007 for patients, professionals (all disciplines), providers, suppliers, organizations 17

  19. Interpretive Guidelines Thanks for Your Help! 18

  20. Implementation Challenges: Surveyors & Facilities Effective Date? 10-14-2008 Lots of time? NOT Federal Register April 15, 2008 19

  21. New Rules Require New & Updated Products • New Survey Protocol • New training courses & training materials • Updated Frequently Asked Questions • Updated STAR (automated ESRD survey process) • Updated communications websites 20

  22. Implementation for Facilities Read the whole document (preamble & rule) Review current practice (& policies) to be sure they meet rules Identify staffing, practice, equipment, & training needs Develop documentation tools to match the new rules (logs, audit tools, chart forms) 21

  23. What are some of the major changes? 22

  24. Infection Control From one tag to a Whole Condition Adopts CDC’s 2001 Recommendations for Prevention of Infections in Hemodialysis CDC’s 2002 Guidelines for the Prevention of Catheter-Related Infections 23

  25. Infection Control Hepatitis All new facilities must have a separate room Must report issues to Medical Director & QAPI 24

  26. Water & Dialysate Adopts AAMI RD52:2004 as regulation Written for the user Specifics & required monitoring detailed for all water treatment components Separate requirements for water treatment for home hemo under Care at Home Condition 25

  27. Dialysate For the first time, specific regulations for dialysate AAMI RD52:2004 addresses acid & bicarbonate concentrate: Labeling Mixing Distribution Use 26

  28. Water & Dialysate From ~8 tags to about 175 tags! Very detailed & thorough Most questions will now have a regulatory answer Use RD52:2004 to update facility policy & practice for water treatment & dialysate preparation & distribution 27

  29. Reuse • Adopts AAMI RD:47:2002/2003 • Requires reuse be suspended if a cluster of adverse patient reactions is associated with reuse 28

  30. Physical Environment Life Safety Code (LSC) Requirements: • Must meet provisions of NFPA 2000 • Grandfather clause for current facilities in non-sprinklered buildings if built prior to 1/1/2008 • State fire safety codes may be used in lieu of LSC • Specific provisions of LSC may be waived in some cases 29

  31. Physical Environment • Every facility must have an AED or a defibrillator (& ACLS qualified staff) • All equipment maintained & operated according to manufacturer’s directions • Emergency preparedness for staff & patients, including disaster prep—get to know your local Emergency Ops Center 30

  32. Patients’ Rights To be treated with respect & dignity and to: • Receive information on all modalities, including those not provided at the current facility • Receive alternative scheduling options [from other facilities] for working patients • Receive necessary services listed in the Plan of Care 31

  33. Patients’ Rights • Be informed of the right to have an advance directive • Be informed about transfer & discharge policies 32

  34. Patient Assessment • Comprehensive • Interdisciplinary team • Initial completed within the latter of 30 days or 13 HD treatments • Components required include anemia, adequacy, access, bone disease, nutrition, psychosocial status, home dialysis, transplant status, functional status, rehab • FYI: ANNA/NKF have developed a tool 33

  35. Patient Assessment • Comprehensive reassessment within 3 months of completion of the initial assessment for all patients • Adequacy assessed • monthly for HD; • every 3 months for PD • Stable patients require annual review 34

  36. Patient Assessment Assessments and plan of care done monthly for “unstable patients,” examples include: • Extended or frequent hospitalizations; • Marked deterioration in health status; • Significant change in psychosocial needs; or • Concurrent poor nutritional status, unmanaged anemia and inadequate dialysis. 35

  37. Plan of Care No “cookie-cutter” approach allowed Must address identified needs = individualized! Initial: within 30 days or 13 outpatient hemodialysis treatments of admission Update: within 15 days of each re-assessment 36

  38. Major Change: No LTP No expectation for a long term program or “signature” of transplant surgeon Requirements for patients to be informed of all modalities (transplant & therapies not offered at their current clinic) are addressed under: Patients’ Rights Patient Assessment Plan of Care 37

  39. Care at Home Separate Condition for home therapies Care at home must be equal in quality to care provided in-center Training required for patient described in detail Water treatment / dialysate separately addressed, including newer technologies 38

  40. Home Dialysis in Residential Institutions • Interim: home dialysis in residential institutions will be addressed in Survey & Certification Letter • Long-Term: future rules will address this area 39

  41. QAPI Condition level Interdisciplinary team Process continuous & on-going Outcome focused: use community accepted standards as targets Include patient satisfaction, infection control, medical injuries & medication errors Plan/Do/Check/Act: Close the loop! 40

  42. Special Purpose Renal Dialysis Facilities • For • Vacation camps • Facilities providing services in emergencies • Approved for a maximum of 8 months 41

  43. Laboratory Services • Dialysis facility must provide or make available appropriate lab services • Lab services must meet CLIA regulations 42

  44. Personnel • Defines individual qualifications: • Medical Director • Nurses: nurse manager, home training nurse, charge nurse, staff nurse • Dietitian • Social Worker • Defines group qualifications: • Patient care technicians • Water treatment system technicians 43

  45. Personnel Patient Care Technician • High school diploma or equivalency • Complete a (defined) training course, approved by Medical Director & Governing Body; under direction of RN • Be certified by a State or national program • New employees: within 18 months of hire date (starts after 10/4/08) • Current employees: within 24 months of 4/4/08 44

  46. Medical Director Accountable to the Governing Body Responsible for patient care and outcomes Responsible for effective QAPI and Infection Control programs 45

  47. Medical Director Responsible to assure all staff, physicians & non-physician providers “adhere” to all policies Must be engaged in any involuntary patient transfer or discharge 45

  48. Medical Records • Traditional rules on completeness & protection of medical records • Transfer requested records to the receiving facility within one day 46

  49. Governance: RN Presence “An RN, who is responsible for the nursing care provided, is present in the facility at all times that in-center dialysis patients are being treated.” 47

  50. Governance: Patient Involuntary Discharge Specific requirements Reassess the patient Involve the Medical Director Contact another facility and attempt to place 30 days notice unless threat to safety Notify the Network and the State Agency FYI: Network “DPC” program contains tools to help prevent involuntary discharges 48

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