CMS-116 Supporting Statement_2010 [dec 3_2010]

CMS-116 Supporting Statement_2010 [dec 3_2010].doc

Clinical Laboratory Improvement Amendments Application Form 42 CFR 493.1-.2001

OMB: 0938-0581

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2010 Supporting Statement for the Clinical Laboratory Improvement Amendments

(CLIA) Application Form (CMS -116) and Supporting Regulations Contained in

42 CFR 493.1-.2001



A. Background


The Clinical Laboratory Improvement Amendments of 1988 (CLIA), Public Law 100-578, was enacted on October 31, 1988. CLIA established a new section 353 of the Public Health Service Act. This section requires the Department of Health and Human Services (HHS) to establish certification requirements for any entity that performs testing on human beings for health assessment to meet certain requirements (i.e., quality control) based on test complexity in order to be certified by HHS. Regulations implementing CLIA are found at 42 CFR Part 493.


If a laboratory conducts relatively simple tests that are categorized as waived or as provider performed microscopy test procedures (PPM), it must obtain a certificate of waiver or certificate of PPM. If the laboratory conducts any tests outside of these two categories, it must apply for a certificate of compliance or certificate of accreditation and initially obtain a registration certificate. Upon payment of the appropriate fees (which is dependent on testing specialties and annual testing volume) laboratories are issued the applicable certificate. Certificates are valid for a period of up to two years.


Laboratories requesting a certificate of waiver or certificate of PPM are not subject to biennial surveys to determine compliance with CLIA requirements. Laboratories requesting a certificate of compliance or certificate of accreditation are initially issued a registration certificate. The registration certificate permits a facility to perform testing until compliance with CLIA requirements is determined through an inspection or proof of accreditation by an approved accreditation organization is received. The certificate of compliance or certificate of accreditation is issued (or reissued) subsequent to determination of compliance with the CLIA requirements or verification of accreditation by an approved accreditation organization and receipt of payment for the certificate.


The information that the laboratory submits to enroll in the CLIA program is the CMS Laboratory Application form, CMS-116. In this revision (2010), minor changes were made to the form and accompanying instructions to facilitate the completion and data entry of the form. Also, the CMS-116 form will continue to be available on the CMS Website and be ‘fillable’, enabling a laboratory to complete the form accurately and submit to State agencies timely.


B. Justification


1. Need and Legal Basis


Legislative authority for this activity is found in Section 353 of the Public Health service act. Section 353 (b) specifies that the laboratory must submit an application in such form and manner as the Secretary shall prescribe that describes the characteristics of the laboratory and examinations and procedures performed by the laboratory.


Information requested on these forms is essential for administering the CLIA program, including responding to inquiries regarding certification status and information regarding the size and scope of laboratory operations across the country. Obtaining certain information (e.g., location of multiple sites, hours of laboratory operation) on the application form also allows for the use of fewer resources and a more efficient method of preparing, scheduling and conducting surveys to assess compliance.


2. Information Users


The information collected is used by CMS to identify entities performing laboratory testing, to assess fees and to issue the appropriate certificate so that the entities comply with CLIA. This information is also forwarded to the database used by carriers, intermediaries and the Medicaid program to ensure appropriate Medicare/Medicaid reimbursement.


3. Improved Information Technology


This information collection does not lend itself to electronic transmission. However, the CMS-116 form is available on the Internet at www.cms.hhs.gov/cclia and is in a ‘fillable’ format so that the applicant can more easily download and complete the form.


4. Duplication of Similar Information


This form does not duplicate any information currently collected. It contains information essential to the operation of the CLIA program. It is the only standardized mechanism available to record data on entities applying for CLIA certification.


5. Small Businesses


This application form does impact small businesses that operate as laboratories regulated under CLIA. The forms have been designed to collect only that information considered essential to operate the CLIA program. In order to minimize the burden on the laboratory, particularly those in physician offices, we only require completion of the CMS-116 upon initial entry to the program and when significant changes occur in the laboratory operation (for example changing the type of certificate).


6. Less Frequent Collection


If this information is not collected there would be no mechanism for identifying what entities must comply with CLIA requirements or for determining the applicable fee(s) to be assessed.


7. Special Circumstances


There are no special circumstances associated with this information collection.


8. Federal Register Notice/Outside Consultation


For the 60-day Federal Register notice, the 2010 version of the CMS-116 is identical to the 2007 version of the form. In the 30-day Federal Register notice, however, the form and the accompanying completion instructions incorporate minor changes based on suggestions from State agency and CMS regional office users.


The 60-day Federal Register notice was published on 8/20/2010 (75 FR 51462).


9. Payment/Gift To Respondent


There are not payments or gifts associated with this collection.


10. Confidentiality


We make no pledges of confidentiality.


11. Sensitive Questions


There are no questions of a sensitive nature associated with this form.


12. Burden Estimate (Total Hours & Wages)


The information contained on the CMS-116 is basic information concerning the operation of the laboratory that is needed to assess the appropriate user fee, issue the appropriate certificate and if applicable conduct the survey. We anticipate it will take an average of 45 minutes (.75 hour) to complete the form, depending on the size of the laboratory and the type of certificate requested.


During each year, about 14,000 labs register in the CLIA program for the first time and there are currently a total of 219,000 labs registered in the CLIA program. Since CLIA (42 CFR 493.43) states that a lab must notify CMS when there are any changes to a lab’s CLIA certificate, the usual means of notification is the completion of a CMS-116. We estimate 8,020 labs submit status changes and lab director personnel changes (annually). There are 19,000 labs subject to biennial compliance surveys (9,500 annually).


14,000 new registrants + 8,020 labs reporting changes + 9,500 compliance surveys = 31,520 labs surveyed each year


Hourly Burden computation

.75 hrs (average time) x 31,520 labs = 23,640 hours (annual)


Wage Burden computation for laboratory

.75 hr (average time) x $14.50 (hourly wage of lab staff completing form) = $10.88


$10.88 x 31,520 labs = $342,938 (annual)


We projected the hourly wage of laboratory staff completing the CMS-116 form to be $14.50. Based on the type of information requested on the form, we assumed that a mid-level clerical/technical staffer would be completing the form with final sign-off and approval from the laboratory director. According to the U.S. Department of Labor – Wage and Hour Division (www.dol.gov/whd/minwage/america.htm), the minimum hourly wage for U.S. workers in 2010 is $7.25. We believe that the hourly wage of a laboratory staffer completing this form would be double this amount, assuming some technical knowledge of laboratory practices.


13. Capital Costs (Maintenance of Capital Costs)


There are no capital costs associated with this information collection.


  1. Cost to Federal Government


Congress provided the Secretary with the authority to establish a user fee system in order that the cost of administering the CLIA program be borne by the laboratories, thus making the CLIA Program self-supporting.


The following are estimated annual Federal costs for this information collection.

Printing and distribution $ 5,000

Review and data entry + $270,452*

$275, 452


*Based on .33 hr. x 31,520 labs x $26/hr = $270,452


We estimated that the Federal costs involved in collecting the CMS-116 information for administering the CLIA program would be based on an employee earning an average of $26.00 per hour. The tasks involved range from printing and distributing the form, and then reviewing and entering the data into the CLIA data system. We estimate that these tasks would be completed by a Federal employee at the GS-11 grade level. According to the 2010 GS Salary Table, as shown on opm.gov’s web site (www.opm.gov/oca/10tables/html), the salary for a GS-11 employee ranges from $24.10 through $32.90 and we selected the mid-range hourly wage of $26.00.


15. Program or Burden Changes


There are no program changes, however, the minor revisions to the form serve to shorten forms completion for the laboratory community and to enhance the data reporting of laboratory demographics and trends. The slight burden increase is due to new labs participating in the CLIA program.


16. Publication and Tabulation Dates


The information collected is used to produce summary reports on CLIA certification activity by certificate type (number of waived laboratories, number of PPM laboratories, etc.). These reports are presented at meetings and are also available via the Internet. Specific information for listings of laboratories by name address and facility type (hospital based, physician office, skilled nursing facility, etc.) may also be provided to the public (at cost) upon written request.


17. Expiration Date


We do not seek approval for non-display of the expiration date for the OMB approval of the information collection.


18. Certification Statement

There are no exceptions to the certification statement.


C. Collection of Information Employing Statistical Methods

There are no statistical methods employed in this information collection.



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File Modified2010-12-03
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