CMS-10282 Final Supporing Statement 8-11-17 clean

CMS-10282 Final Supporing Statement 8-11-17 clean.docx

(CMS-10282) Comprehensive Outpatient Rehabilitation Facilites (CORFs) Conditions of Participation (CoP) and Supporting Regulations

OMB: 0938-1091

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Supporting Statement

Medicare and Medicaid Programs: Conditions of Participation for Comprehensive Outpatient Rehabilitation Facilities (CORFs) and Supporting regulations (CMS-10282)


  1. BACKGROUND


The purpose of this package is to request Office of Management and Budget (OMB) approval of the collection of information requirements for the conditions of participation (CoPs) that comprehensive outpatient rehabilitation facilities (CORFS) must meet to participate in the Medicare Program. This document represents the inclusion of all current CORF CoPs currently effective and applicable eligibility.


The CoPs are written in regulation based on criteria described in the law and are standards designed to ensure that each CORF has a properly trained staff to provide the appropriate type and level of care for that environment of patients. CMS needs the CoPs to certify health care facilities wishing to participate in the Medicare and/or Medicaid programs.


To determine compliance with the CoPs, the Secretary has authorized States, through contracts, to conduct surveys of health care providers. For Medicare purposes, certification is based on the State survey agency’s recording of a provider or supplier’s compliance or noncompliance with the health and safety requirements published in regulations.


  1. JUSTIFICATION


  1. Need and Legal Basis


The regulations containing these information collection requirements are located at

42 CFR 485. These regulatory requirements implement section 1861(cc) of the Social Security Act (the Act). CORFs receiving payment under Medicaid must meet the Medicare CoPs. Section 1861(cc) of the Act authorizes promulgation of regulations in the interest of the health and safety of individuals who are furnished services by a CORF. The secretary may impose additional requirements if they are necessary for the health and safety of individuals who are furnished services by CORFs.


All 235 CORFs must meet the CoPs in order to receive program payment for services provided to Medicare or Medicaid patients. Currently, 235 are in compliance. We believe many of the requirements applied to these CORFs will impose no burden since a prudent rehabilitation facility would self-impose them in the normal course of doing business.


Regardless, we have attempted to estimate the associated burden for a CORF to engage in these standard industry practices.


  1. Information Users


The information users are the CORF administrators and State surveyors. CORFs use the written utilization review plan to assess the necessity of services and promote the most efficient use of services provided by the CORF. The types of information collected and analyzed by the CORFs include admission data, plan of treatment, clinical records, quality of services, etc. The State surveyors do not collect any information, however, they review the CORFs utilization review plan when performing a survey, as part of the CMS regulations that CORFs must complete to ensure they are meeting the CMS requirements for Medicare certification.



  1. Improved Information Technology


CORFs may use various information technologies to store and manage patient clinical records as long as they are consistent with existing confidentiality in record-keeping regulations at 485.60. Facilities are free to take advantage of any technological advances that they find appropriate for their needs.


  1. Duplication of Similar Information


These requirements are specified in a way that does not require a CORF to duplicate its efforts. If a facility already maintains these general records, regardless of format, they are in compliance with this requirement. The general nature of these requirements makes variations in the substance and format of these records from one facility to another acceptable.


  1. Small Business


These requirements do affect small businesses. However, the general nature of the requirements allows the flexibility for facilities to meet the requirements in a way consistent with their existing operations.


  1. Less Frequent Collection


CMS does not collect this information, or require its collection, on a routine basis. CORF records are reviewed at the time of a survey for initial or continued participation in the Medicare program. Less frequent information collection would impede efforts to establish compliance with the Medicare CoPs. CORFs are surveyed once every five to seven years by the State survey agencies.


  1. Special Circumstances


There are no special circumstances.


  1. Federal Register Notice/Outside Consultation


The 60-day Federal Register notice was published on December 16, 2016 (81 FR 91175). There were no public comments received.


The 30-day Federal Register notice published on February 23, 2017 (82 FR 11470). There were no public comments received.


  1. Payment/Gift to Respondent


There are no payments or gifts associated with this collection.


  1. Confidentiality


Data collected will be kept confidential to the extent provided by law. Documents related to the collection, use, or disclosure of individually identifiable or protected health information pursuant to implementing these conditions of participation are subject to the protections and standards of the Privacy Act of 1974 and the Health Insurance Portability and Accountability Act (HIPAA) Privacy Rule.


  1. Sensitive Questions


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


  1. Burden Estimates


This package reflects the paperwork burden for a total of 235 facilities as of October 1, 2016.


Salary data is based on the U.S. Department of Labor Bureau of Labor Statistics (BLS) National Employment and Wage Data from the Occupational Employment Statistics Survey, by Occupation, found at www.bls.gov. The salary estimates contained in this package are based on the most recent data for the following healthcare personnel:


“Administrator” refers to the BLS 2016 national average salary for health services managers as $106,070 per year with a median hourly salary of $51.00. We have factored in a benefits and overhead package equal to 100% of the annual salary, bringing the median hourly salary wage to $102.00.


“Clerical person” refers to the BLS 2016 national average salary for medical secretaries as $34,730 per year with a median hourly salary of $17.00. We have factored in a benefits and overhead package equal to 100% of the annual salary, bringing the median hourly salary wage to $34.00.


“Physical therapist” refers to the BLS 2016 national average salary for physical therapists as $85,790 per year with a median hourly salary of $42.00. We have factored in a benefits and overhead package equal to 100% of the annual salary, bringing the median hourly salary wage to $84.00.


“Social worker” refers to the BLS 2016 national average salary for social workers as $54,020 per year with a median hourly salary of $26.00. We have factored in a benefits and overhead package equal to 100% of the annual salary, bringing the median hourly salary wage to $52.00.


“Accountant” refers to the BLS 2016 national average salary for accountants and auditors as $75,280 per year with a median hourly salary of $36.00. We have factored in a benefits and overhead package equal to 100% of the annual salary, bringing the median hourly salary wage to $72.00.




485.66 (b)(1), (2), and (3) (i), (ii) – Standard: Utilization review plan

A CORF that participates in the Medicare and Medicaid programs must have in effect a written utilization review plan that is implemented at least each quarter, to assess the necessity of services and promote the most efficient use of services provided by the facility.


      1. Standard: Utilization review plan. The utilization review plan must contain written procedures for evaluating--

        1. Admissions, continued care, and discharges using, at a minimum, the criteria established in the patient care policies;

        2. The applicability of the plan of treatment to established goals; and

        3. The adequacy of clinical records with regard to--

          1. Assessing the quality of services provided; and

          2. Determining whether the facility's policies and clinical practices are compatible and promote appropriate and efficient utilization of services.


We believe one administrator, one physical therapist, and one social or psychological services provider will comprise the utilization review committee. It will take this committee two hours to develop the utilization review plan and two hours to review and implement the utilization review plan annually. One clerical person will take one hour to put the developed documents in final typed format.


Table of Annual Burden Hours and Annual Cost Estimates


Hours/Est. Salary/# of CORFs (274)

Annual Burden Hours

Annual Cost Estimate

1 Administrator @ $102/hr. x 2 hrs. x 1 a yr. x 235 CORFs for plan development

470

$47,940

1 PT @ $84/hr. x 2 hrs. x 1 a yr. x 235 CORFs for plan development

470

$39,480

1 Social or psychological services professional @ $52 x 2 hrs. x 1 a yr. x 235 CORFs for plan development

470

$24,440

1 Clerical person @ $34/hr. x 1 hr. x 1 a yr. x 235 CORFs for plan final document.

235

$7,990

1 Administrator @ $102/hr. x 2 hrs.(4 qtrs @ 30 min) x 1 a yr. x 235 CORFs for plan review and implementation

470

$47,940

1 PT @ $84/hr. x 2 hr.(4 qtrs

@30 min) x 1 a yr x 235 CORFs for plan review and revision

470

$39,480

1 Social or psychological services professional @ $52 x 2 hr.(4 qtrs

@30 min) x 1 a yr. x 235 CORFs for plan review and revision.

470

$24,440

Total

3055

$231,710


Total Burden Estimate: $231,710


  1. Capital Costs


There are no capital costs.


  1. Cost to Federal Government


There are minimal costs associated with these requirements for CORF facilities that are accrued at the Federal level due to the ability for surveyors to view and complete documentation electronically.


  1. Changes to Burden


Currently, there are 235 CORFs included in this burden collection. The 2013 burden collection included 274 CORFs. Although the number of Medicare certified CORFs have decreased at this time, changes to the burden reflect the changes in current average hourly rate for medical professionals and the addition of the benefits and overhead package figured at 100% in the calculations. In addition, the Emergency Preparedness (EP) final rule, which published on September 16, 2016 (81 FR 63859), replaced the former disaster preparedness requirements that were previously included in this collection. The EP information collection is approved under OMB control number 0938-1325 and it accounted for this emergency preparedness burden for CORFs, thus the duplicative burden was removed from this collection.



  1. Publication/Tabulation Dates


We do not plan to publish any of the information collected.


  1. Expiration Date


CMS will publish a notice in the Federal Register to inform the public of both the approval and the expiration date. In addition, the public will be able to access the expiration date on OMB’s website by performing a search using the OMB control number.

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File Typeapplication/vnd.openxmlformats-officedocument.wordprocessingml.document
File TitleSupporting Statement – Part B for the Information Collection Requirements in
AuthorCMS
File Modified0000-00-00
File Created2021-01-22

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