CMS-10530 ASCQR PRA Package Supporting Statement A clean

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(CMS-10530) Ambulatory Surgical Center Quality Reporting Program

OMB: 0938-1270

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Supporting Statement – Part A


Submission of Information for the Ambulatory Surgical Center Quality Reporting (ASCQR) Program


  1. Background


The Centers for Medicare & Medicaid Services’ (CMS’) quality reporting programs promote higher quality, more efficient health care for Medicare beneficiaries. CMS has implemented quality measure reporting programs for multiple settings, including for ambulatory surgical centers.


Section 109(b) of the Tax Relief and Health Care Act of 2006 (TRHCA) (Pub. L. 109-432) amended section 1833(i) of the Social Security Act (the Act) by re-designating clause (iv) as clause (v) and adding new clause (iv) to paragraph (2)(D) and by adding new paragraph (7). Section 1833(i)(2)(D)(iv) of the Act authorizes, but does not require, the Secretary to implement the revised ASC payment system ‘‘in a manner so as to provide for a reduction in any annual update for failure to report on quality measures in accordance with paragraph (7).’’


Section 1833(i)(7)(A) of the Act states that the Secretary may provide that any ASC that does not submit quality measures to the Secretary in accordance with paragraph (7) will incur a 2.0 percentage point reduction to any annual increase provided under the revised ASC payment system for such year. It also specifies that a reduction for one year cannot be taken into account in computing any annual increase factor for a subsequent year.


Section 1833(i)(7)(B) of the Act provides that, ‘‘[e]xcept as the Secretary may otherwise provide,’’ the hospital outpatient quality data provisions of subparagraphs (B) through (E) of section 1833(t)(17) of the Act shall apply to ASCs in a similar manner to the manner in which they apply under these paragraphs to hospitals under the Hospital OQR Program and any reference to a hospital, outpatient setting, or outpatient hospital services is deemed a reference to an ASC, the setting of an ASC, or services of an ASC, respectively. Section 1833(t)(17)(B) of the Act requires that hospitals submit quality data in a form and manner, and at a time, that the Secretary specifies.


Section 1833(t)(17)(C)(i) of the Act requires the Secretary to develop measures appropriate for the measurement of the quality of care (including medication errors) furnished by hospitals in outpatient settings, that these measures reflect consensus among affected parties and, to the extent feasible and practicable, that these measures include measures set forth by one or more national consensus building entities. Section 1833(t)(17)(C)(ii) of the Act allows the Secretary to select measures that are the same as (or a subset of) the measures for which data are required to be submitted under the Hospital IQR Program.


Section 1833(t)(17)(D) of the Act gives the Secretary the authority to replace measures or indicators as appropriate, such as where all hospitals are effectively in compliance or the measures or indicators have been subsequently shown not to represent the best clinical practice. Section 1833(t)(17)(E) of the Act requires the Secretary to establish procedures for making data submitted under the Hospital OQR Program available to the public. Such procedures include providing hospitals with the opportunity to review their data before these data are released to the public.


The CMS program established under these amendments is referred to as the Ambulatory Surgical Center Quality Reporting (ASCQR) Program.


Section 3014 of the Affordable Care Act of 2010 (ACA) modified section 1890(b) of the Social Security Act to require CMS to develop quality and efficiency measures through a “consensus-based entity”. To fulfill this requirement, the Measure Applications Partnership (MAP) was formed to review measures consistent with these requirements. MAP is convened by the National Quality Forum (NQF), a national consensus organization, with current organizational members including the American Association of Retired Persons (AARP), America’s Health Insurance Plans, the American Federation of Labor-Congress of Industrial Organizations (AFL-CIO), the American Hospital Association, the American Medical Association, the American Nurses Association, the Federation of American Hospitals, and the Pacific Business Group on Health. Nationally recognized subject matter experts are also voting members of the MAP. CMS consulted with the MAP and received its formal recommendations before identifying ASCQR measures to be included in the CY 2015 OPPS/ASC proposed rule. This proposed rule also includes proposed measures for the CY 2017 and subsequent years’ payment determinations as well as a listing of previous adopted measures.


In implementing this and other quality reporting programs, CMS’ overarching goal is to support the National Quality Strategy’s goals of better health for individuals, better health for populations, and lower costs for health care. The National Strategy for Quality Improvement in Health Care (National Quality Strategy) was released by the U.S. Department of Health and Human Services. The strategy was required under the Affordable Care Act and is an effort to create national aims and priorities to guide local, State, and national efforts to improve the quality of health care in the United States.


The ASCQR Program supports these goals by making collected clinical quality of care information publicly available and by fostering quality improvement. Taking into account the need to balance breadth with minimizing burden, program measures address as fully as possible, the six domains of measurement that arise from the National Quality Strategy: clinical care, person and caregiver centered experience and outcomes, safety, efficiency and cost reduction, care coordination, and community/population health.



B. ASCQR Quality Measures and Forms


1. Introduction


ASCQR Program payment determinations are made based on ASCQR quality measure data reported and supporting forms submitted by ASCs as specified through rulemaking. To reduce burden, a variety of different data collection mechanisms are employed, with every consideration taken to employ existing data and data collection systems. The complete list of measures and data collection forms are organized by type of data collected and data collection mechanism.


The Medicare program has a responsibility to ensure that Medicare beneficiaries receive the health care services of appropriately high quality that are comparable to that received by those under other payers. The ASCQR Program seeks to encourage care that is both efficient and of high quality in the ambulatory outpatient setting through collaboration with the ASC community to develop and implement quality measures that are fully and specifically reflective of the quality of ambulatory outpatient services.


2. CY 2014 through CY 2019 Payment Determinations


The CY 2012 OPPS/ASC final rule with comment period (76 FR 74492 through 74517), the CY 2014 OPPS/ASC final rule with comment period (78 FR 75124 through 75130), the CY 2015 OPPS/ASC final rule with comment period (79 FR 66984 through 66985), and the CY 2016 OPPS/ASC final rule with comment period (80 FR 70526 through 70537), CMS finalized quality measures, administrative processes and data submission requirements for the CYs 2014 through 2018 payment determinations.


CMS is not proposing any changes to the ASCQR Program measures for the CY 2019 payment determination in the CY 2017 OPPS/ASC proposed rule. Therefore, we do not estimate any additional burden to facilities.


ASCQR PROGRAM MEASURES FOR THE CY 2014 THROUGH CY 2019 PAYMENT DETERMINATIONS

NQF No.

Measure Name

Data Collection Mode

0263

ASC-1: Patient Burn

Quality Data Codes via Claims

0266

ASC-2: Patient Fall

Quality Data Codes via Claims

0267

ASC-3: Wrong Site, Wrong Side, Wrong Patient, Wrong Procedure, Wrong Implant

Quality Data Codes via Claims

0265

ASC-4: Hospital Transfer/Admission

Quality Data Codes via Claims

0264

ASC-5: Prophylactic Intravenous (IV) Antibiotic Timing

Quality Data Codes via Claims

N/A

ASC-6: Safe Surgery Checklist Use

Web-based

(CMS)

N/A

ASC-7: ASC Facility Volume Data on Selected ASC Surgical Procedures

Web-based

(CMS)

0431

ASC-8: Influenza Vaccination Coverage among Healthcare Personnel

Web-based

(NHSN)

0658

ASC-9: Endoscopy/Polyp Surveillance: Appropriate Follow-Up Interval for Normal Colonoscopy in Average Risk Patients

Web-based

(CMS)

0659

ASC-10: Endoscopy/Polyp Surveillance: Colonoscopy Interval for Patients with a History of Adenomatous Polyps-Avoidance of Inappropriate Use

Web-based

(CMS)

1536

ASC-11: Cataracts: Improvement in Patient’s Visual Function within 90 Days Following Cataract Surgery

Web-based (CMS; Voluntary)

2539

ASC-12: The Ability for Providers with HIT to Receive Laboratory Data Electronically Directly into their ONC-Certified EHR System as Discrete Searchable Data

Claims

We note that NQF endorsement for this measure was removed.


Quality Data Codes are collected via Part B Medicare claims and require nominal, additional effort for ASC facilities.


Web-based measures labeled as “CMS” require ASCs to submit non-patient level data directly to CMS via a web-based tool located on a CMS website. The web-based measure labeled as “NHSN” is submitted through the CDC’s National Healthcare Safety Network (NHSN); CDC then supplies this information to CMS.


One measure, ASC-11, is reported voluntarily; reporting or not reporting data for this measure does not affect an ASC’s payment determination under the program.


Measures labeled as having an information collection mode of “Claims” have information derived through analysis of administrative Medicare claims data and do not require additional effort or burden from ASCs.


3. CY 2020 Payment Determination


In the CY 2017 OPPS/ASC proposed rule, CMS is proposing to add two additional measures collected and reported via a CMS online data submission tool and five measures collected via the Outpatient and Ambulatory Surgery Consumer Assessment of Healthcare Providers and Systems (OAS CAHPS) Survey.


Therefore, the entire measure set proposed for the CY 2020 payment determination is outlined in the below table:


ASCQR PROGRAM MEASURES FOR THE CY 2020
PAYMENT DETERMINATION

NQF No.

Measure Name

Data Collection Mode

0263

ASC-1: Patient Burn

Quality Data Codes via Claims

0266

ASC-2: Patient Fall

Quality Data Codes via Claims

0267

ASC-3: Wrong Site, Wrong Side, Wrong Patient, Wrong Procedure, Wrong Implant

Quality Data Codes via Claims

0265

ASC-4: Hospital Transfer/Admission

Quality Data Codes via Claims

0264

ASC-5: Prophylactic Intravenous (IV) Antibiotic Timing

Quality Data Codes via Claims

N/A

ASC-6: Safe Surgery Checklist Use

Web-based

(CMS)

N/A

ASC-7: ASC Facility Volume Data on Selected ASC Surgical Procedures

Web-based

(CMS)

0431

ASC-8: Influenza Vaccination Coverage among Healthcare Personnel

Web-based

(NHSN)

0658

ASC-9: Endoscopy/Polyp Surveillance: Appropriate Follow-Up Interval for Normal Colonoscopy in Average Risk Patients

Web-based

(CMS)

0659

ASC-10: Endoscopy/Polyp Surveillance: Colonoscopy Interval for Patients with a History of Adenomatous Polyps-Avoidance of Inappropriate Use

Web-based

(CMS)

1536

ASC-11: Cataracts: Improvement in Patient’s Visual Function within 90 Days Following Cataract Surgery

Web-based (CMS; Voluntary)

2539

ASC-12: The Ability for Providers with HIT to Receive Laboratory Data Electronically Directly into their ONC-Certified EHR System as Discrete Searchable Data

Claims

N/A

ASC-13: Normothermia Outcome

Web-based

(CMS)

N/A

ASC-14: Unplanned Anterior Vitrectomy

Web-based

(CMS)

N/A

ASC-15a: OAS CAHPS – About Facilities and Staff

Survey-based

N/A

ASC-15b: OAS CAHPS – Communication About Procedure

Survey-based

N/A

ASC-15c: OAS CAHPS – Preparation for Discharge and Recovery

Survey-based

N/A

ASC-15d: OAS CAHPS – Overall Rating of Facility

Survey-based

N/A

ASC-15e: OAS CAHPS – Recommendation of Facility

Survey-based

We note that NQF endorsement for this measure was removed.


Quality Data Codes are collected via Part B Medicare claims and require nominal, additional effort for ASC facilities.


Web-based measures labeled as “CMS” require ASCs to submit non-patient level data directly to CMS via a web-based tool located on a CMS website. The web-based measure labeled as “NHSN” is submitted through the CDC’s National Healthcare Safety Network (NHSN); CDC then supplies this information to CMS.


One measure, ASC-11, is proposed to be reported voluntarily; reporting or not reporting data for this measure does not affect an ASC’s payment determination under the program


Measures labeled as having an information collection mode of “Claims” have information derived through analysis of administrative Medicare claims data and do not require additional effort or burden from ASCs.


Measures labeled as having an information collection more of “Survey-based” have information derived through analysis of data submitted via the OAS CAHPS Survey and do not require additional effort or burden from ASCs beyond administering the survey and submitting survey data to CMS. These survey administration burdens are captured under a previously finalized PRA Package, OMB Control Number 0938-1240.


4. Forms Used in ASCQR Program Procedures


Two administrative forms are utilized by the ASCQR Program: the Extraordinary Circumstance Extension or Exemptions form and Reconsideration Request form. Neither of these forms is completed on an annual basis; all are completed on a need-to-use, exception basis and most ASCs will not need to complete any of these forms in a given year.


In the event of extraordinary circumstances not within the control of an ASC, such as a natural disaster, an ASC can request a waiver or extension for meeting program requirements. For the ASC to receive consideration for an extension or waiver, an Extraordinary Circumstances Extensions or Exemption Request must be submitted. CMS provides this form to ASCs on-line and facilities may submit the form electronically, by mail, or fax. We note that the burden associated with completing and submitting an Extraordinary Circumstance Extension/Exemption Request is already accounted for in a separate PRA package, OMB Control Number 0938-1022. Therefore, the burden associated with completing and submitting and Extraordinary Circumstance Extension/Exemption Request is not addressed in this PRA Package.


When an ASC is determined by CMS to not have met program requirements and has had a 2 percentage point reduction in their APU, the ASC may submit a request for reconsideration to CMS. This request must be submitted by the first business day in February in the year the payment reduction has occurred. CMS provides this form to ASCs on-line and facilities may submit the form by mail or by fax. While there is burden associated with filing a reconsideration request, 5 CFR 1320.4 of the Paperwork Reduction Act of 1995 regulations exclude collection activities during the conduct of administrative actions such as redeterminations, reconsiderations, or appeals or all of these actions. Therefore, the burden associated with submitting a reconsideration request is not accounted for in this PRA package.



C. Justification


1. Need and Legal Basis


Section 109(b) of the Tax Relief and Health Care Act of 2006 (TRHCA) (Pub. L. 109-432) amended section 1833(i) of the Act by re-designating clause (iv) as clause (v) and adding new clause (iv) to paragraph (2)(D) and by adding new paragraph (7). Section 1833(i)(2)(D)(iv) of the Act authorizes, but does not require, the Secretary to implement the revised ASC payment system ‘‘in a manner so as to provide for a reduction in any annual update for failure to report on quality measures in accordance with paragraph (7).’’ Section 1833(i)(7)(A) of the Act states that the Secretary may provide that any ASC that does not submit quality measures to the Secretary in accordance with paragraph (7) will incur a 2.0 percentage point reduction to any annual increase provided under the revised ASC payment system for such year. Sections 1833(t)(17)(C)(i) and (ii) of the Act require the Secretary to develop measures appropriate for the measurement of the quality of care furnished in outpatient settings.


Continued expansion of the quality measure set is consistent with the letter and spirit of the authorizing legislation, TRCHA, to collect and make publicly available ASC-reported information on the quality of care delivered in the ASC outpatient setting and to utilize a formal, consensus process as defined under the ACA. Efforts are made to reduce burden by limiting the adoption of measures requiring the submission of patient-level information that must be acquired through chart abstraction and to employ existing data and data collection systems, such as the NHSN network and Medicare claims.


2. Information Users


This information is used by CMS to direct its contractors, including Quality Improvement Organizations (QIOs), to focus on particular areas of improvement, and to develop quality improvement initiatives. The information is made available to ASCs for their use in internal quality improvement initiatives. Most importantly, this information is available to Medicare beneficiaries, as well as to the general public, to provide information to assist them in making decisions about their health care.


3. Improved Information Technology


To assist ASCs in this initiative, CMS provides a secure data warehouse and use of the My QualityNet website for storage and transmittal of data prior to the release of data to the CMS website. ASCs also have the option of using other vendors to transmit the data. CMS has engaged a national support contractor to provide technical assistance with the data collection tool, other program requirements, and to provide education.


One of the measures, ASC-8, is submitted through the CDC’s National Healthcare Safety Network.


For the claims-based measures, this section is not applicable as claims-based measures are calculated from administrative claims data that result from claims submitted by ASCs to Medicare for reimbursement. Therefore, no additional information technology will be required for ASCs for these measures.


4. Duplication of Similar Information


The information to be collected is not duplicative of similar information collected by the CMS or other efforts to collect quality of care data for outpatient ASC care. As required by statute, CMS required ASCs to submit quality measure data for services provided.


Once an ASC submits quality measure data to the ASCQR Program, they are considered to be participating in the program. In order to withdraw from the program after submitting quality measure data, an ASC must complete and submit an online withdrawal form requesting withdrawal from the program.


5. Small Business


There are 5,260 ASCs eligible to participate in the program; these facilities have an average of twenty-eight employees. All of the program information collection requirements are designed to allow maximum flexibility to facilities possible to encourage participation in the program. We have designed the collection of quality of care data to be the minimum necessary for the calculation of summary figures that are reliable estimates of ASCs performance. We have also incorporated measures that use data collected on Medicare claims whenever possible to ease burden. This program will assist all ASCs, especially those of smaller size in gathering information for their own quality improvement efforts.


6. Less Frequent Collection


We have designed the collection of quality of care data to be the minimum necessary for data validation and calculation of summary figures to be reliable estimates of ASCs performance. Under the ASCQR Program, participating ASCs are required to submit data for web-based measures to CMS on an annual basis. In addition, for submission of claims-based measures, participating ASCs are required to submit paid Medicare Fee-for-Service claims from the 12-month data collection period. CMS collects the data submitted by participating ASCs for the chart-abstracted measures, web-based measures, and claims-based measures to determine the Annual Payment Updates (APUs) to ASCs, which are determined on a yearly basis. To collect the information less frequently would compromise the timeliness of any calculated estimates.


7. Special Circumstances


All ASCs reimbursed under the ASC Payment System must meet ASCQR Program Requirements, including administrative and data submission requirements, to receive the full annual increase provided under the revised ASC payment system for a given calendar year. Failure to meet all requirements may result is a 2.0 percentage point reduction in the APU.


8. Federal Register Notice/Outside Consultation

The 60-day Federal Register notice for this data collection is scheduled to be published on July 1, 2016. The CY 2017 Outpatient Prospective Payment System and Ambulatory Surgical Center proposed rule with comment period will be available on the Federal Register and CMS Web sites. Comments will be accepted for 60 days from the date of this proposed rule’s publication, and CMS will respond to those comments accordingly following the end of the comment period.


CMS is supported in this program’s efforts by the Joint Commission, NQF, MAP, and CDC. These organizations collaborate with CMS on an ongoing basis, providing technical assistance in developing and identifying quality measures, and assisting in making collected information accessible, understandable, and relevant.


9. Payment/Gift to Respondent


ASCs are required to submit these data in order to receive the full annual increase provided under the revised ASC payment system for a given calendar year. No other payments or gifts will be given to respondents for participation.


10. Confidentiality


All information collected under the ASCQR Program will be maintained in strict accordance with statutes and regulations governing confidentiality requirements for CMS data, including the Privacy Act of 1974 (5 U.S.C. 552a), the Health Insurance Portability and Accountability Act, and the Quality Improvement Organizations confidentiality requirements, which can be found at 42 CFR Part 480. CMS maintains this information in the CMS data warehouse, which contains all information collected under this and other quality data reporting programs. In addition, the tools used for transmission and storage of data are considered confidential forms of communication and are HIPAA compliant.


11. Sensitive Questions


This program does not collect information on “sexual behavior and attitudes, religious beliefs, etc,” but it does collect health information, which could be considered “matters that we commonly considered private.” This includes clinical data elements that will be collected and are necessary to calculate statistical measures. These statistical measures are the basis of subsequent improvement activities for ASC facilities and cannot be calculated without the case specific data. Case specific data will not be released to the public and is not releasable by requests under the Freedom of Information Act. Only ASC-specific data will be made publicly available as mandated by statute. In addition, the tools used for transmission of data are considered confidential forms of communication and are HIPAA compliant.


12. Burden Estimate (Total Hours & Wages)


Section 109(b) of the Tax Relief and Health Care Act of 2006 (TRCHA) (Pub. L. 109-432) gives the Secretary the authority to establish requirements that affect the payment rate update applicable to ASC Payment System payments for services furnished by ACSs. Section 1833(i)(7) of the Act, which applies to ASCs, states that ASCs that fail to report data required for quality measures selected by the Secretary in the form and manner required by the Secretary under section 1833(i)(7) of the Act may incur a reduction in their annual payment update factor to the ASC fee schedule by 2.0 percentage points. Section 1833(i)(7)(B) incorporates language from Sections 1833(t)(17)(C)(i) and (ii) of the Act that authorizes the Secretary to develop measures appropriate for the measurement of the quality of care furnished by ASCs. The program established under these amendments is referred to as the Ambulatory Surgical Center Quality Reporting (ASCQR) Program.


For the ASCQR Program, the burden associated with meeting program requirements includes the time and effort associated with completing administrative requirements and collecting and submitting data on the required measures. As noted previously, the ASCQR Program utilizes two forms in its administrative activities: Extraordinary Circumstances Extensions/Exemptions Requests and Reconsideration Requests. Neither of these forms is completed on an annual basis; both are on a need to use, exception basis and most ASCs will not need to complete either of these forms in any given year. The burden associated with submitting an Extraordinary Circumstances Extension/Exemption Request is accounted for in OMB Control Number 0938-1022, and is therefore excluded from this burden estimate. Consistent with 5 CFR 1320.4 (44 USC 3518(c)(1)(b)), the burden associated with filing a reconsideration request is excluded from this package because this collection occurs during the conduct of an administrative action.


The burden estimates for data collection and submission related to the measures for the ASCQR Program are calculated for participating ASCs based on the following data:


  • We estimate that there are approximately 5,260 facilities participating in the ASCQR Program.

  • We estimate that it takes an ASC approximately 15 minutes (0.25 hours) for chart abstraction of a measure for collection based on new reporting requirements.

  • We estimate an hourly labor cost (wage plus fringe and overhead) of $32.84/hour.


We estimate that it takes approximately 15 minutes for chart abstraction of a measure for collection. We reached this number based on an analysis of historical data from the Hospital Inpatient Quality Reporting Program’s data validation contractor. Based on this contractor’s validation activities, we believe that the average time required to chart-abstract data for each measure is approximately 15 minutes.


We estimate an hourly wage of $16.42/hour for data collection and submission for the ASCQR Program, which is based on the Bureau of Labor Statistics (BLS) Wage for a Medical Records and Health Information Technician (29-2071); however, obtaining data on overhead costs is challenging. Overhead costs vary greatly across industries and facility sizes. In addition, the precise cost elements assigned as “indirect” or “overhead” costs, as opposed to direct costs or employee wages, are subject to some interpretation at the facility level. Therefore, we have chosen to calculate the cost of overhead at 100 percent of the mean hourly wage. This is necessarily a rough adjustment, both because fringe benefits and overhead costs vary significantly from employer to employer, and because methods of estimating these costs vary from study-to-study. Nonetheless, there is no practical alternative and we believe that doubling the hourly wage to estimate total cost is a reasonably accurate estimation method. In calculating the labor cost, we estimate an hourly labor cost of $32.84/hour ($16.84 base salary + $16.42 fringe and overhead).


a. CY 2020 Payment Determination and Subsequent Years: Previously Finalized Measures


For the CY 2018 payment determination and subsequent years, we had adopted 12 measures. CMS is not proposing any changes to these measures or the associated burden estimates for the CY 2019 payment determination and subsequent years. The following section outlines the previously estimated and finalized burdens associated with these measures.


Estimated Burden for Claims-Based Measures Using Quality Data Codes (QDCs)


For the five claims-based measures included in the CY 2020 payment determination that require ASCs to use quality data codes (QDCs) on Medicare claims (ASC-1, ASC-2, ASC-3, ASC-4, and ASC-5), we believe that the reporting burden will be nominal. Based on our data for CY 2014 payment determinations for the ASC-1, ASC-2, ASC-3, and ASC-4 claims-based measures, extrapolating to 100 percent of ASCs reporting, there would be an average of 11.8 events per year. Therefore, we estimated the burden to report QDCs on this number of claims per year to be nominal due to the small number of cases (approximately one case per month per ASC) for the CY 2020 payment determination and subsequent years. Similarly, we estimate the burden associated with submitting QDCs for ASC-5 to be nominal as well for the CY 2020 payment determination and subsequent years.


Estimated Burden for Claims-Based Measures Not Using QDCs


For the ASC-12 measure, which is calculated by CMS based on Medicare claims and does not require ASCs to use QDCs, we estimated that any burden would be nominal for the CY 2020 payment determination and subsequent years.


Estimated Burden for Measures Submitted Via an Online Data Submission Tool


ASCs will incur a financial burden associated with the web-based ASC-6 and ASC-7 measures. We estimated that each participating ASC will spend 10 minutes per year (0.167 hours) to collect and submit the required data for each of these measures, making the estimated annual burden associated with each measure 0.167 hours and $5.48 per facility. Accordingly, we estimated the total annual burden to be 878 hours (5,260 ASCs × 1 measures × 0.167 hours per ASC) and $28,847 annually (878 hours x $32.84 per hour) each for ASC-6 and ASC-7.


Measure

Respondents

Hours per Case

Sample

Cases (Responses)

Hours

Hourly Rate

Burden

ASC-6

5,260

0.167

1

5,260

878

$32.84

$28.847

ASC-7

5,260

0.167

1

5,260

878

$32.84

$28,847


ASCs will also incur a burden to collect and submit the information on the NHSN HAI measure, ASC-8. The burden associated with successful reporting of ASC-8 data includes registering with the NHSN system, collecting influenza vaccination status data from healthcare personnel (HCP) working at a facility, and submitting the summary influenza data to NHSN using a standardized form. We estimated that each participating ASC will spend approximately five minutes (0.083 hours) on NHSN registration. We further estimated that it takes approximately 15 minutes (0.167 hours) per HCP to collect vaccination status data, and that ASCs maintain an average of 20 HCP per facility.1 As a result, we estimated facility-level burden for ASC-8 to be 3.423 hours (0.063 hours registration + (0.167 hours x 20 HCP responses)) and $112.41 (3.423 hours x $32.84/hour). We further estimated that the total annual burden associated with this measure for ASCs, including NHSN registration and data submission would be 18,005 hours (5,260 ASCs x (437 hours NHSN registration [5,260 ASCs x 0.083 hours HCP responses] + 17,568 hours NHSN data submission [5,260 ASCs x 20 HCPs per ASC x 0.167 hours])) and $591,284 (18,005 hours x $32.84 per hour) across all ASCs.


Measure

Respondents

Hours per Case2

Sample

Cases (Responses)

Hours

Hourly Rate

Burden

ASC-8

5,260

3.4230

1

5,260

18,005

$32.84

$591,284


ASCs will incur a financial burden associated with the chart-abstracted web-based measures, ASC-9 and ASC-10. For the chart-abstracted measures, we estimated that each participating ASC would spend 15 minutes per case to collect and submit the data and a historic average sample of 63 cases per ASC to estimate the reporting burden. We therefore estimated the reporting burden for an ASC with 63 cases would be 16 hours (0.25 hours x 63 cases) and $517.23 (16 hours x $32.84/hour). We further estimated a total burden of 82,845 hours (5,260 ASCs x 0.25 hours per case x 63 cases) and $2,720,630 (82,845 x $32.84/hour) each for ASC-9 and ASC-10.


Measure

Respondents

Hours per Case

Sample

Cases (Responses)

Hours

Hourly Rate

Burden

ASC-9

5,260

0.25

63

331,380

82,845

$32.84

$2,720,630

ASC-10

5,260

0.25

63

331,380

82,845

$32.84

$2,720,630


Some ASCs will incur a financial burden associated with reporting the chart-abstracted web-based ASC-11 measure, which is a voluntary measure, which would not impact any ASC’s payment determination. We estimated that each participating ASC would spend 15 minutes per case to collect and submit the data for this measure. We expect that ASCs will vary greatly as to the number of cases per ASC due to ASC specialization. We estimated that approximately 20 percent of ASCs will elect to report this measure on a voluntary basis, and so we estimate the total estimated burden for a single ASC with an average of 63 cases to be 16 hours (0.25 hours x 63 cases) and $517.23 (16 hours x $32.84/hour). We further estimated a total burden of 16,569 hours (1,052 ASCs x 0.25 hours per case x 63 cases) and $544,126 (16,569 hours x $32.84/hour) across all ASCs.


Measure

Respondents

Hours per Case

Sample

Cases (Responses)

Hours

Hourly Rate

Burden

ASC-11

1,052

0.25

63

66,276

16,569

$32.84

$544,126


The following table summarizes the previously finalized burden for ASC-6, ASC-7, ASC-8, ASC-9, ASC-10, and ASC-11 (note that the burden for all other measures is estimated to be nominal):


Measure

Hour Burden

ASC-6

878

$ 28,847

ASC-7

878

$ 28,847

ASC-8

18,005

$ 591,284

ASC-9

82,845

$ 2,720,630

ASC-10

82,845

$ 2,720,630

ASC-11

16,569

$ 544,126

Total

202,021

$ 6,634,364


CY 2020 Payment Determination and Subsequent Years: New Proposed Measures

Beginning with the CY 2020 payment determination, CMS is proposing to add seven additional measures to the ASCQR Program. These measures are:


  • ASC-13: Normothermia Outcome

  • ASC-14: Unplanned Anterior Vitrectomy

  • ASC-15a: OAS CAHPS – About Facilities and Staff

  • ASC-15b: OAS CAHPS – Communication About Procedure

  • ASC-15c: OAS CAHPS – Preparation for Discharge and Recovery

  • ASC-15d: OAS CAHPS – Overall Rating of Facility

  • ASC-15e: OAS CAHPS – Recommendation of Facility


Five of these proposed measures, ASC-15a – ASC-15e, are calculated using data collected from the OAS CAHPS Survey. The information collection requirements associated with proposed measures ASC-15a – ASC-15e are currently approved under OMB Control Number 0938-1240; for this reason, we are not providing an independent estimate of the burden associated with the OAS CAHPS Survey administration for the ASCQR Program.


We believe ASCs will incur a financial burden associated with abstracting numerators, denominators, and exclusions for the two proposed measures collected and reported via a CMS online data submission tool, ASC-13 and ASC-14. For the chart-abstracted measures, we estimated that each participating ASC would spend 15 minutes per case to collect and submit the data, and a historic average sample of 63 cases per ASC to estimate the reporting burden. We therefore estimate that the reporting burden for an ASC with 63 cases would be 16 hours (0.25 hours x 63 cases) and $517.23 (16 hours x $32.84/hour). We therefore estimate a total burden of 82,845 hours (5,260 ASCs x 0.25 hours per case x 63 cases) and $2,720,630 (82,845 x $32.84/hour) each for ASC-13 and ASC-14 for the CY 2020 payment determination and subsequent payment determinations.



Measure

Respondents

Hours per Case

Sample

Cases (Responses)

Hours

Hourly Rate

Burden

ASC-13

5,260

0.25

63

331,380

82,845

$32.84

$2,720,630

ASC-14

5,260

0.25

63

331,380

82,845

$32.84

$2,720,630


The following table summarizes the additional burden for measure data collection and submission for the ASCQR Program for the CY 2020 payment determination and subsequent years:


Measure

Burden

ASC-13

$ 2,720,630

ASC-14

$ 2,720,630

Total

$ 5,441,260


The following table summarizes the total burden for measure data collection and submission for the ASCQR Program for the CY 2020 payment determination and subsequent years (note that the burden for all other measures is estimated to be nominal or captured in a separate PRA Package):


Measure

Hour Burden

ASC-6

878

$ 28,847

ASC-7

878

$ 28,847

ASC-8

18,005

$ 591,284

ASC-9

82,845

$ 2,720,630

ASC-10

82,845

$ 2,720,630

ASC-11

16,569

$ 544,126

ASC-13

82,845

$ 2,720,630

ASC-14

82,845

$ 2,720,630

Total

367,711

$ 12,075,623


13. Capital Costs (Maintenance of Capital Costs)


There are no capital costs being placed on the ASCs. In fact, successful submission will result in an ASC receiving the full payment update, while having to expend no capital costs for participation. CMS is providing a data collection tool and method for submission of data to the participants. There are no additional data submission requirements placing additional cost burdens on ASCs.


14. Cost to Federal Government


The cost to the Federal Government is approximately $9,500,000 on an annual basis. CMS must maintain and update existing information technology infrastructure on My QualityNet. CMS must also provide ongoing technical assistance to ASCs and data vendors to participate in the program. CMS also will calculate one additional claims-based measure for ASCs, and provides ASCs with feedback reports about all of the measures.


ASCs will be reporting outpatient quality data directly to CMS through My QualityNet. An abstraction tool is under development that is based upon the current tool for collecting ASC data. The tools will be revised as needed and updates will be incorporated.


15. Program or Burden Changes


Beginning with the CY 2020 payment determination, participating ASCs will need to submit data on 183 measures. ASCs are already submitting 11 of the 18 measures to CMS, and five of the proposed new measures (ASC-15a – ASC-15e) are calculated using data collected and submitted in the OAS CAHPS Survey.4 Therefore, the additional burden resulting from the CY 2017 OPPS/ASC proposed rule is the burden of abstracting numerators, denominators, and exclusions for ASC-13 and ASC-14.


For the proposed measures ASC-13 and ASC-14, we estimated that each participating ASC would spend 15 minutes per case to collect and submit the data, making the total estimated burden for ASCs with a single case per ASC of 1,315 hours (5,260 ASCs × 0.25 hours per case per ASC), and 82,845 hours for each measure across all ASCs based on an historic average sample of 63 cases per ASC. We estimate that the reporting burden for all ASCs with a single case per ASC for ASC-13 and ASC-14 would be 1,315 hours and $43,184 (1,315 x $32.84 per hour), and 82,845 hours (1,315 hours x 63 cases per ASC) and $2,720,630 (82,845 hours x $32.84/hour) for each measure across all ASCs based on an average sample of 63 cases for the CY 2020 payment determination and subsequent payment determinations.


Measure

Respondents

Hours per Case

Sample

Cases (Responses)

Hours

Hourly Rate

Burden

ASC-13

5,260

0.25

63

331,380

82,845

$32.84

$2,720,630

ASC-14

5,260

0.25

63

331,380

82,845

$32.84

$2,720,630


Therefore, we estimate a total increase in burden of 165,690 hours across all ASCs, resulting in a total increase in financial burden of $5,441,260 across all ASCs.


16. Publication/Tabulation Dates


The goal of the data collection is to tabulate and publish ASC-specific data. We will continue to display information on the quality of care provided in the ASC setting for public viewing as by the Tax Relief and Health Care Act (TRHCA). Data from this initiative is currently used to populate the Hospital Compare Web site, www.hospitalcompare.hhs.gov.


17. Expiration Date


We request a 10/31/2019 expiration date as ASCQR Program requirements and activities outlined are included to this date in this request.


18. Certification Statement


There are no exceptions to the certification statement.


19. Collections of Information Employing Statistical Methods


This information collection does not employ the use of statistical methods.





1 This estimate is based upon burden estimates from the CDC (OMB No. 0920–0666) and reported numbers for the average number of workers per ASC.

2 For the ASC-8 measure, the ASCQR Program considers the successful reporting to NHSN of summary influenza vaccination status data as the “sample” for a facility. Therefore, the burden estimate provided uses a “Sample” of 1 submission and accounts for all estimated hours of work at the facility level to submit this single form.

3 We note that one measure, ASC-11, is voluntarily reported.

4 The burden associated with administering the OAS CAHPS Survey and submitting collected data is captured under a previously finalized PRA Package, OMB Control Number 0938-1240. Therefore, the burden associated with administering the OAS CAHPS Survey and submitting survey data to CMS is not accounted for separately under this PRA Package.

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File Typeapplication/vnd.openxmlformats-officedocument.wordprocessingml.document
File TitleSupporting Statement for Hospital Reporting Initiative—Hospital Quality Measures and Supporting Regulations in Section 5001(a)
AuthorSDPS
File Modified0000-00-00
File Created2021-01-23

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