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Ryan White Part B Technical Assistance Webinar. National Monitoring Standards September 22, 2011. HIV/AIDS Bureau Division of Service Systems. Presenters. Harold J. Phillips Chief, Northeastern Central Services Branch Acting Chief, Western Services Branch LTJG Brittany Bovenizer
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Ryan White Part B Technical Assistance Webinar National Monitoring Standards September 22, 2011 HIV/AIDS Bureau Division of Service Systems
Presenters Harold J. Phillips Chief, Northeastern Central Services Branch Acting Chief, Western Services Branch LTJG Brittany Bovenizer Project Officer, Northeastern Central Services Branch • Robbie Bouplon • Florida Department of Health Department of Health and Human Services Health Resources and Services Administration HIV/AIDS Bureau
Presentation Agenda • The Purpose of the National Monitoring Standards • The Process of Implementation • Grantee Presentations on Implementation • Common Questions/Concerns • Questions from this Call • Resource Tools for Implementation
Purpose of the National Monitoring Standards Compliance & Oversight & Expectations • Ryan White Legislation • Code of Federal Regulations • HHS Grants Policy Manual • HRSA/HAB Policies • Parts A and B Program Guidance • Part A & Part B Manuals (clarification, best practice) • Program Terms and Conditions of Award • OIG/GAO Reports and Recommendations
What are the National Monitoring Standards? • Compilation of all major Ryan White Program documents used for COMPLIANCE, OVERSIGHT & EXPECTATIONS • Designed as a set of minimum expectations for use by all Part A & Part B (including ADAP) grantees and subgrantees on administration and program and fiscal monitoring
Purpose of the National Monitoring Standards • Clarify the oversight expectations of Ryan White Part A & Part B Programs • Design a specific set of minimum expectations for monitoring • Provide a single source for both program and fiscal monitoring • Specify the roles of HRSA and Grantees regarding the monitoring of subgrantees • Address concerns of HRSA, Congress and OIG regarding oversight issues
Purpose of National Monitoring Standards • OIG Recommendations to HRSA: • Specify and enforce standards and guidelines for how grantees should monitor grantees • Standardize a corrective action process and address grantee issues more formally • Increase the frequency and comprehensiveness of site visits
Purpose of the National Monitoring Standards: OIG Recommendations • Set standards for grantees monitoring of subgrantees that, at a minimum, require a contract or formal agreement, a program report, and a fiscal report and some consideration for regular site visits • Require grantees to report how they monitor their subgrantees in accordance with these standards as part of every application • Increase efforts to monitor grantees’ oversight of subgrantees, including using information grantees report to HRSA regarding subgrantee activities
The Purpose of the National Monitoring Standards • Developed by: • HRSA/HAB • Expert fiscal & program consultants • Contributions & involvement: • HHS legal council • Government Accountability Office • HRSA Office of Communications • Part A & B grantee workgroups • Dissemination: • Draft in July of 2010 • Published April 2011
The Purpose of the National Monitoring Standards • Designed to aid grantees in meeting minimal expectations for: • Fiscal and Program Management • Monitoring providers/subgrantees • Reporting • Designed to streamline, standardize and improve program efficiency and responsiveness.
The Process of Implementation • Implementation impacts contract monitoring & systems for oversight • Fiscal Monitoring – a system to assess the appropriate use of funds including the control, disbursement, use and reporting of allowable costs • Program Monitoring – a system to assess whether allowable services are provided to eligible clients according to service limits • Quality Management – a system to assess the degree to which a service meets or exceeds established professional standards and user expectations
The Process of Implementing The National Monitoring Standards • May require re-thinking, revising long-used practices with regard to monitoring: • Changes in tools, process, systems, procedures, staffing patterns, fiscal and program management and reporting
The Process of Implementing The National Monitoring Standards • National Monitoring Standards Packet for Ryan White Part A contains: • Universal Monitoring Standards • Fiscal Monitoring Standards** • Program Monitoring Standards** • Frequently Asked Questions • Each individual monitoring standard • Connected to a source which is cited • Has a grantee and/or sub grantee responsibility • Performance measure/method • Clearly stated performance measure and method
Process of Implementation • Grantees are expected to: • comply with all of the standards • comply in FY 2011 • Grantees can develop their own ways to measure compliance • There is flexibility regarding how to implement the monitoring standards • Implementation is a process
Implementation of The National Monitoring Standards • Grantees Should: • Review the Standards • Share the standards and supporting materials with program and fiscal staff who have monitoring responsibilities • Share the standards with providers as appropriate • Review current monitoring systems, procedures, and tools for potential revision
Implementation of The National Monitoring Standards • Grantees should (cont.) • Meet with legal, contracts, procurement, finance and other local government entities to familiarize them with the National Monitoring Standards • Review RFPs and contract language to assure that they specify services to be provided, data collected and reported in accordance with the National Monitoring Standards
Implementation of The National Monitoring Standards • Grantees must (cont.) • Implement grantee and subgrantee responsibilities (make sure alternate approaches meet standards) • Begin integrating the National Monitoring Standards into contracting and monitoring efforts – monitoring tools, site visit schedules and scopes as needed • Hold meetings with providers/subgrantees to introduce the Standards and clarify compliance issues • Make standards easily accessible to providers/subgrantees • Fully implement any needed changes in your subgrantee monitoring (policies, procedures, tools, management and reporting) • Contact Project Officer if there are additional questions or concerns
Implementation of the National Monitoring Standards • Implementation & the FY 2012 FOA Questions: • Grantees should describe steps taken towards implementation • Summarize, bullet points, outline • Describe your implementation process and where you are and where you are going • OIG recommendation that grantees report how they monitor subgrantees in accordance with these standards as part of every application.
Grantee Presentations On Implementation • Robbie Bouplon| Florida DOH
Common Questions/ConcernsImplementation • Annual Site Visits (required) • Comprehensive on-site monitoring visits testing compliance with fiscal, programmatic and universal standards • Desk reviews and other types of visits have proven ineffective (OIG Reports) • Desk audits are not a substitute for comprehensive site visits (OIG) • Grantees need to review the practice of desk audits in order to enhance site visit monitoring
Common Questions/ConcernsImplementation • Sample size for review of client charts (addressed in FAQ) • Sample size should be based on size of the client population. • 100% is the norm for a population of fifty clients. Review all client files • 50% – 25% for a population of 51-100. • 10% for a population of 101 - 999 • 3% - 5% for a population of 1,000 +
Common Questions/ConcernsImplementation • Rent is an administrative cost • Categorization of rent and utility costs as overhead administrative costs codified in 2006 & 2009 Ryan White Legislation • Supersedes previous grant management and technical assistance guidance, OMB circulars • Subgrantee administrative costs = 10% of total contracted service amount • Grantees must review subgrantee budgets to ensure compliance with this requirement in order to avoid unallowable costs
Common Questions/ConcernsImplementation • Determination of Costs • Reasonable & Necessary – includes local factors: availability of resources, client characteristics, geography, local economy • Flexibility for the grantees to determine what factors are used to justify costs and determine what is necessary • Unit costs calculations should include a method for determining what fees are included in the unit figure. • If administrative fees included, still subject to the administrative cost caps
Common Questions/ConcernsImplementation • Medicaid Certification of Providers • RW providers of Medicaid reimbursable services must be • participating in Medicaid and • certified to receive Medicaid payments • or able to document efforts to obtain certification “timeframe” • If a RW service is Medicaid reimbursable, Grantees can only contract with those providers who are certified or documenting efforts to obtain certification • Helps ensure and enforce payer of last resort and collaboration with Medicaid • Exemption for primary care providers licensed and certified as free clinics
Common Questions/ConcernsImplementation • Sliding Fee Scale & Program Income & Caps on Charges Complicated issues related to: • Eligibility, enrollment, sliding fee scale policies, billing and collections systems, caps on charges, program income • Separate National TA call to address this issue in November • Specific urgent issues, please contact your project officer
Common Questions and Concerns • The FAQ’s present answers regarding • National Monitoring Standards Basics • Structure of the Standards • Implementation of the National Monitoring Standards • Each of the Three Sets: Universal, Program and Fiscal
Additional Questions • If time allows, additional questions during this call……..
Summarize • Consider the National Monitoring Standards like a map with a set of directions • Implementation is like the road • DSS needs to know where you are on the journey • Compliance is the destination • Together we will get there
Technical Assistance • Work with your project officer • Individualized conference calls • National conference calls • Review and collection of monitoring tools and systems (began this summer) • Posting tools to Target Center (this fall) • All Grantee’s Meeting
Contact Information • Harold J. Phillips • Chief, Northeastern Central Services Branch • Acting Chief, Western Services Branch • o: 301.443.8109 e:hphillips@hrsa.gov • LTJG Brittany Bovenizer • Project Officer, Northeastern Central Services Branch • o: 301.443.0510 e: bbovenizer@hrsa.gov