Supporting Statement – Part A
Data
Collection for Quality Measures Using the Consolidated Renal
Operations in a
Web-Enabled Network (CROWNWeb)
Background
Pursuant to section 1881(h) of the Social Security Act (the Act) as amended by section 153(h) of the Medicare Improvements for Patients and Providers Act (MIPPA the Centers for Medicare and Medicaid Services (CMS) established the End-Stage Renal Disease Quality Incentive Program (ESRD QIP) starting in 2011. The ESRD QIP is the first value-based purchasing program established by CMS, and it is aimed at promoting patient health by providing a financial incentive for renal dialysis facilities to deliver high-quality care.
In implementing the ESRD QIP, CMS believes that a successful quality incentive program will promote the delivery of high-quality health care services in the renal dialysis facility setting. Under section 1881(h)(2) of the Act, the Secretary is required to specify quality measures for evaluating the quality of care ESRD patients receive at renal dialysis facilities. While the Act outlines few mandatory measure topics, the Secretary is authorized to adopt measures on specified areas or medical topics determined appropriate by the Secretary (§ 1881(h)(2)). The ESRD QIP began in calendar year (CY) 2011 with an initial set of three quality measures and has dramatically increased its measure set over the intervening years through notice and comment rulemaking.
In order to score facility performance on quality measures, CMS must be able to collect data on these measures. CMS collects these data from multiple sources, including Medicare claims and other tools such as the In-Center Hemodialysis Consumer Assessment of Healthcare providers and Systems (ICH CAHPS) and the Centers for Disease Control and Prevention’s (CDC) National Healthcare Safety Network (NHSN) Dialysis Event Protocol. To further expand the measures used to evaluate the quality of care provided to ESRD patients in renal dialysis facilities, CMS also collects data using the Consolidated Renal Operations in a Web-Enabled Network (CROWNWeb) system. CROWNWeb went into production nationally on June 14, 2012 and brings together all of CMS’ information systems that collect, maintain, and report on data about ESRD patients and provides electronic reporting tools for use by renal dialysis facilities. Because of the complexity of the existing systems and because of the need to comply with the strong approved protections for private or confidential data, CROWNWeb was implemented in phases starting in February 2009.
The ESRD QIP is updating this PRA package to ensure that the PRA package remains up to date and specific to reporting and validating CROWNWeb data for the payment years addressed in the CY 2020 ESRD PPS final rule (i.e. Payment Year (PY) 2022 and PY 2023).
Data Collection for ESRD QIP Measures
In selecting measures for adoption into the ESRD QIP measure set, CMS strives to achieve several objectives. First, the measures should consider national priorities such as those established by the Department of Health and Human Services’ Meaningful Measures Initiative. Second the measures should be tailored to the needs of improved quality in the renal dialysis facility setting; thus, the measures selected are most relevant to renal dialysis facilities. Finally, the burden of measure compliance on renal dialysis facilities should be weighed against the potential for improvements in patient health and well-being resulting from the measure’s collection.
Many measures currently finalized for us in the ESRD QIP are extracted from Medicare claims and therefore require no additional effort on the part of dialysis facilities to report.1 However, some quality data relevant to the care received by ESRD patients cannot be derived from Medicare claims or other administrative forms. For these measures, dialysis facilities are required to submit data via a web-based tool such as CROWNWeb or the CDC’s NHSN system. The burden associated with submitting measure data to the NHSN Bloodstream Infection Modules2 and for the In-Center Hemodialysis Consumer Assessment of Healthcare Providers and Systems survey (ICH CAHPS) 3 are already captured under previously approved packages; for this reason, this package is specific to the burdens associated with ESRD QIP measure data submitted via CROWNWeb.
The CY 2020/PY 2022 ESRD QIP
The CY 2020 ESRD Prospective Payment System (PPS) final rule finalized updates to program requirements for the CY 2020/PY 2022 ESRD QIP. During CY 2020/PY 2022, we will continue collecting data for the follow measures using the CROWNWeb system:
Hemodialysis Vascular Access: Standardized Fistula Rate Clinical Measure (82 FR 50776 through 50777): Measures the use of an AV fistula as the sole means of vascular access as of the last hemodialysis treatment session of the month. Facilities report in CROWNWeb the vascular access type.
Hemodialysis Vascular Access: Long-Term Catheter Rate Clinical Measure (82 FR 50777 through 50778): Measures the use of a catheter continuously for 3 months or longer as of the last hemodialysis treatment session of the month. Facilities report in CROWNWeb the vascular access type.
Hypercalcemia Clinical Measure (76 FR 72203): Proportion of patient-months with 3-month rolling average of total uncorrected serum calcium greater than 10.2 mg/dL.
Kt/V Dialysis Adequacy Comprehensive Clinical Measure (80 FR 69053): Percentage of all patient months for patients whose delivered dose of dialysis (either hemodialysis or peritoneal dialysis) met the specified threshold during the reporting period
Clinical Depression Screening and Follow-Up Reporting Measure (79 FR 66203): Facility reports in CROWNWeb one of the six conditions listed for each qualifying patient once before February 1 of the year following the Performance Period.
Ultrafiltration Rate Reporting Measure (81 FR 77915): Facilities must report the following data to CROWNWeb for all hemodialysis sessions during the week of the monthly Kt/V draw submitted to CROWNWeb for that clinical month, for each qualifying patient: (1) HD Kt/V Date; (2) Post-Dialysis Weight; (3) Pre-Dialysis Weight; (4) Delivered Minutes of BUN Hemodialysis; (5) Number of sessions of dialysis delivered by the dialysis unit to the patient in the reporting month.
Table A. Measures Collected via CROWNWeb in CY 2020
NQS Goal |
NQF Endorsement Number |
Measure Title |
Data Collected |
Clinical Care |
NQF #2977 |
Hemodialysis Vascular Access: Standardized Fistula Rate Clinical Measure |
Vascular Access Type |
Clinical Care |
NQF #2978 |
Hemodialysis Vascular Access: Long-Term Catheter Rate Clinical Measure |
Vascular Access Type |
Clinical Care |
NQF #1454 |
Hypercalcemia |
Uncorrected serum calcium |
Clinical Care |
N/A |
Dialysis Adequacy Comprehensive |
Kt/V Value |
Clinical Care |
N/A |
Clinical Depression Screening and Follow-Up |
One of six clinical depression screening and follow up conditions |
Clinical Care |
Based upon NQF #2701 |
Ultrafiltration Rate Reporting Measure |
|
Safety |
NQF #2988 |
Medication Reconciliation for Patients Receiving Care at Dialysis Facilities Reporting Measure |
|
The CY 2021/PY 2023 ESRD QIP
We will continue to collect data for the other above-stated measures using CROWNWeb. We will also continue to collect these measures in subsequent years unless we deem their removal appropriate based on the measure removal criteria outlined in the CY 2013 ESRD PPS final rule (77 FR 67475)—further clarified in the CY 2015 ESRD PPS final rule (79 FR 66171 through 66173) and the CY 2019 ESRD PPS final rule (83 FR 56983 through 56985).
CROWNWeb Data Validation for the ESRD QIP
One of the critical elements of the ESRD QIP’s success is ensuring that the data submitted to calculate measure scores and facility Total Performance Scores (TPS) are accurate. We began a pilot validation study program for the ESRD QIP in CY 2013. That validation study has continued in subsequent years. In the CY 2019 ESRD PPS final rule, we finalized a policy to make the CROWNWeb validation study a permanent element of the Program rather than a continued pilot study (83 FR 57001 through 57003). Making the CROWNWeb validation study permanent does not alter the methodology that we employ to validate CROWNWeb data, and signals the importance that we place on accurate and complete quality data to participating ESRD facilities. Specifically, we will continue sampling the same number of records (approximately 10 per facility) from the same number of facilities (300 facilities). If a facility is randomly selected to participate in the validation study but does not provide us with the requisite medical records within 60 calendar days of receiving a request, then we will deduct 10 points from the facility’s TPS.
Justification
Need and Legal Basis
Section 1881(h)(2) of the Act requires that the Secretary specify measures for each year of the program and with each successive year of the ESRD QIP, CMS has increased the sophistication and scope of the Program’s measure set. While Medicare claims can be an appropriate data source for some measures, claims do not represent the entirety of the ESRD population and are also limited in the depth of information available. For these reasons, in furtherance of our obligations under section 1881(h)(2) of the Act, we have specified several measures utilizing data reported by renal dialysis facilities using the CROWNWeb system described below. These collections are authorized under section 494.180(h) of the Conditions for Coverage of End-Stage Renal Disease Facilities, which requires renal dialysis facilities to furnish data and information (both clinical and administrative) electronically to CMS at intervals specified by the Secretary. CMS proposes and finalizes data reporting requirements for the ESRD QIP through notice and comment rulemaking.
Trend summaries included below depict the progression of measure results over the past several years to determine the impact of the ESRD QIP on improved quality and outcomes in ESRD populations. However, those trends cannot be attributed directly to the ESRD QIP; several other national initiatives such as Fistula First, Catheter Last (a national vascular access improvement initiative), Dialysis Facility Compare (DFC), quality improvement activities by dialysis organizations, the changes to the PPS ESRD Payment Bundle, and technical support provided by the ESRD networks have all collectively contributed to improvements in ESRD care and services. The implementation of the Medicare ESRD PPS in 2011 and the ESA labeling change later that year are likely to have contributed to improvements in care for this population.
Rates of hypercalcemia have declined, meaning improved patient calcium rates over time, starting CY 2013 when the measure was first introduced in the ESRD QIP final rule. In 2012, the hypercalcemia rate was 2.8% (excluding the patient months with missing value of calcium) or 11.1% (including the patient months with missing value of calcium), and by 2016 it was down to 0.9% (excluding the patient months with missing value of calcium) or 3.7% (including the patient months with missing value of calcium).
The dialysis adequacy rate for adults for both hemodialysis and peritoneal dialysis show an improvement, with a marked increase among the adult peritoneal dialysis population. Specifically, the percent adequacy in Kt/V rose from 91.2% in 2010 to 96.1% in 2016 in adult hemodialysis patients and from 73.3% in 2010 to 89.1% in 2016 in adult peritoneal patients.
Mortality rates have steadily declined from 2010 to 2014.
The data show a substantial decrease in readmission rates from 30.3 in 2011 to 25.2 in 2016.
While the ESRD QIP was not solely intended as a cost saving program, below we show the Program’s estimated payment reductions in recent years.
PY 2023; $18,247,083.76 (84 FR 60797)
PY 2022; $18,247,083.76 (84 FR 60794)
PY 2021; $32,196,724 (83 FR 57061)
PY 2020; $31,581,441 (81 FR 77960)
PY 2019; $15,470,309 (80 FR 69074)
PY 2018; $11,576,214 (79 FR 66257)
PY 2017; $11,954,631 (79 FR 66255)
Information Users
Section 1881(h) of the Act requires the Secretary, generally, to adopt a set of quality measures and assess the quality of care provided by renal dialysis facilities using those measures. CMS and others use these data to monitor and assess the quality and type of care provided to ESRD patients. Specifically, CMS uses these data to calculate performance scores on certain measures included in the ESRD QIP measure set (described in detail below), and conducts a validation study each year to ensure that those data are accurate.
CMS will make available to renal dialysis facilities their scores on individual measures and their total performance score, for their use in internal quality improvement initiatives. CMS will also make available to facilities information on the performance of other facilities on individual measures and their total performance score. Most importantly, facility performance on individual measures and their TPS is available to beneficiaries, as well as to the public, to assist them in making decisions about their health care. Facilities, beneficiaries, and the public do not have access to validation results. CMS intends to use information on facility performance on measures and their TPS as well as validation study results to direct its contractors to focus on areas of improvement and to develop quality improvement initiatives This includes targeted training if underreporting or inaccurate reporting is identified and user error is suspected as the cause. CMS uses the validation study to independently sample and test the reliability and validity of the clinical data submitted electronically in CROWNWeb against providers’ source medical records, and to encourage facilities to accurately report data to CROWNWeb.
Use of Information Technology
As noted previously, CMS developed CROWNWeb to reduce the burden to renal dialysis facilities of submitting data to CMS. This system brings together all of CMS’ information systems that collect, maintain, and report on data about ESRD patients and provides electronic reporting tools for use by renal dialysis facilities. Renal dialysis facility users are required to open an account under their CMS Certification Number and are then able to complete the necessary data submission.
Duplication of Efforts/Similar Information
The information to be collected is not duplicative of similar information collected by the Centers for Medicare and Medicaid Services.
Small Businesses
Information collection requirements were designed to impose minimal burdens on small renal dialysis facilities subject to the ESRD QIP. Specifically, the CROWNWeb system was created to allow small renal dialysis facilities to enter data via a web-based application rather than using paper-based data submissions or employing a full electronic health record, which can be prohibitively expensive for these facilities. Thus, this effort facilitates small renal dialysis facilities’ collection and reporting of required data.
Less Frequent Collection
Measures developers employ clinical and statistical knowledge during the measure development process to determine the optimal schedule for collecting measure data. These data are then collected on the schedules provided in Table C to best evaluate the care provided to ESRD patients. Without this frequency of information collection, CMS would be unable to assess the correlations between the endpoints collected and the health and well-being of ESRD patients treated by the renal dialysis facilities participating in the ESRD QIP.
Table C. Measure Collection Schedule/Frequency
Measure Title |
Measure Collection Schedule/Frequency |
Hypercalcemia |
Monthly |
Dialysis Adequacy Comprehensive |
Monthly |
Clinical Depression Screening and Follow-Up |
Annually |
Ultrafiltration Rate Reporting Measure |
4 data elements are reported for every HD Kt/V session during the week of the monthly Kt/V draw, and Kt/V date is reported monthly |
Hemodialysis Vascular Access Type: Standardized Fistula Rate Clinical Measure |
Monthly |
Hemodialysis Vascular Access Type: Long-Term Catheter Rate Clinical Measure |
Monthly |
Medication Reconciliation for Patients Receiving Care at Dialysis Facilities (MedRec) Measure |
Monthly |
Special Circumstances
The new MedRec measure, finalized in the CY 2019 ESRD PPS final rule for use in the ESRD QIP beginning in PY 2022, will require renal dialysis facilities to report data more often than quarterly. This measure assesses whether a facility has appropriately evaluated a patient’s medications, an important safety concern given that the typical ESRD patient takes a large number of medications, sees multiple clinicians, and undergoes frequent medication regimen changes. Administration of the wrong medication can have grave consequences for an ESRD patient. We therefore believe monthly collection is most appropriate to properly incentivize renal dialysis facilities to actively monitor their patients’ health and well-being in these two areas of patient care.
Federal Register Notice/Outside Consultation
The CY 2020 ESRD PPS proposed rule’s publication, serving as the 60-day Federal Register notice, was published on August 6, 2019 (84 FR 38330). The final rule published on November 8, 2019 (84 FR 60648).
Payment or Gift to Respondent
Dialysis facilities are required to submit measure data to CMS as part of the Conditions for Coverage of End-Stage Renal Disease Facilities (see 42 CFR 494.180(h)). No additional payments or gifts will be given to respondents for compliance with the reporting requirements of the ESRD QIP measures submitted via CROWNWeb.
Confidentiality
CMS adheres to all confidentiality-related statutes, regulations, and agency policies. All information collected under ESRD QIP will conform to all applicable Federal laws and regulations and Federal, HHS, and CMS policies and standards as they relate to information security and data privacy. The laws and regulations that may apply include, but are not limited to: The Privacy Act of 1974; the Federal Information Security Management Act of 2002; the Computer Fraud and Abuse Act of 1986; the Health Insurance Portability and Accountability Act of 1996; the EGovernment Act of 2002, the Clinger Cohen Act of 1996; the Medicare Modernization Act of 2003, and the corresponding implementing regulations. OMB Circular A–130, Management of Federal Resources, Appendix III, Security of Federal Automated Information Resources also applies. Federal, HHS, and CMS policies and standards include but are not limited to: All pertinent National Institute of Standards and Technology publications; the HHS Information Systems Program Handbook and the CMS Information Security Handbook.
SORN #: 09-70-0520 – ESRD Program Management and Medical Information System (PMMIS) published 6/17/2002 (67 FR 41244) and updated 5/8/2007 (72 FR 26126).
Sensitive Questions
There are no questions of a sensitive nature being collected as part of this quality assessment.
Burden Estimates
This burden estimate includes measures which CMS is continuing to collect as part of the ESRD QIP and the ongoing CROWNWeb data validation study. As noted in section A.1. of this supporting statement, this estimate excludes burden associated the NHSN Bloodstream Infection clinical measure and the ICH-CAHPS measure because the burden associated with these measures is captured under OMB numbers 0920-0666 (The National Healthcare Safety Network) and 0938-0926 (ICH-CAHPS Survey), respectively. This burden estimate also excludes the burden associated with training facilities to use CROWNWeb, which will continue to be accounted for in OMB Control Number 0938-0386. The burden associated with the NHSN BSI Data Validation Study is captured under OMB Control Number 0938-1340.
The assumptions used to compute the estimated burdens associated with submitting ESRD QIP measure data via CROWNWeb and the ongoing CROWNWeb data validation study are described here.
We estimate the burden hours for reporting measure data using the CROWNWeb system for CY 2020/PY 2022 to be 4,993,288 hours; for CY 2021/PY 2023 this figure is also 4,993,288. We estimate that the total burden hours associated with the PY 2022 CROWNWeb validation study is 750. The total burden hours for these two activities over the 3-year OMB approval period is 9,987,326 (4,993,288 + 4,993,288 + 750) Accordingly, we estimate the annual burden for the 3-year OMB approval period to be 3,329,109 hours (9,987,326/ 3 years).
a. Data Collection for ESRD QIP Measures Using CROWNWeb
We have used the following equation to estimate the burden associated with these data collection and submission efforts.
Table D. CROWNWeb Data Collection Burden Estimate Elements
Burden Estimate Elements |
CY 2020/ PY 2022 |
CY 2021/ PY 2023 |
Number of facilities4 |
7,386 |
7,386 |
Number of ESRD patients, nationally5 |
523,314 |
523,314 |
The time spent for data entry and submission per element6 |
2.5 minutes |
2.5 minutes |
Annual Hour Burden Nationally |
4,993,288 hours |
4,993,288 hours |
Mean hourly wage of a Medical Records and Health Information Technician (Fringe benefit is calculated at 100%). |
$42.32 |
$42.32 |
We estimate the number of patients per facility by calculating the mean number of patients per ESRD PPS-eligible facility nationwide, based on CY 2017 data, even though we recognize that the number of patients per renal dialysis facility is also highly variable, and may vary from month to month within a given facility. The estimated time per element entry for the CROWNWeb measure is based on historical estimates in the ESRD PPS proposed and final rules regarding the amount of time required to enter one data element for one patient (i.e. we assumed that it takes 2.5 minutes to report a data element, even though the time required is highly variable.).
To derive wage estimates, we used data from the U.S. Bureau of Labor Statistics’ (BLS) May 2018 National Occupational Employment and Wage Estimates.7 We anticipate that the labor required to collect and submit these data will be completed by either Medical Records and Health Information Technicians or similar administrative staff. The mean hourly wage of a Medical Records and Health Information Technician is $21.16. Fringe benefits and overhead are calculated at 100% using current HHS department-wide guidance on estimating the cost of fringe benefits and overhead. These are necessarily rough adjustments both because fringe benefits and overhead costs vary significantly from employer to employer and because methods of estimating these costs vary widely from study to study. Nonetheless, there is no practical alternative and we believe that these are reasonable estimation methods.
Using the assumptions described above, we estimate that an hourly labor cost of $42.32 as the basis of the wage estimates for all collection of information calculations in the ESRD QIP. We also estimate the total annual burden for reporting measure data using the CROWNWeb system for CY 2020/PY 2022 to be $211,315,938 and the total annual burden for reporting measure data using the CROWNWeb system for CY 2021/PY 2023 is $211,315,938.
Table D1. CY 2020/PY 2022 CROWNWeb Data Collection Burden Per Measure
Note: Numbers may not add up due to rounding
MEASURE REPORTING Renal Dialysis Facilities CY 2018 Measure Set |
Number of Facilities |
Number of Patients Nationally |
Average number of patients per facility |
Number of Elements per Patient-Year |
Estimated Time for Data Entry per Element (hours) |
Estimated Wage plus Benefits per Hour for Data Entry |
Annual Hour Burden per Facility |
Annual Burden per Facility |
Hemodialysis Vascular Access: Standardized Fistula Rate Clinical Measure |
7,386 |
523,314 |
71 |
12 |
0.042 |
$42.32 |
35.4 |
$1,499.23 |
Hemodialysis Vascular Access: Long-Term Catheter Rate Clinical Measure |
7,386 |
523,314 |
71 |
12 |
0.042 |
$42.32 |
35.4 |
$1,499.23 |
Hypercalcemia |
7,386 |
523,314 |
71 |
12 |
0.042 |
$42.32 |
35.4 |
$1,499.23 |
Comprehensive Dialysis Adequacy |
7,386 |
523,314 |
71 |
12 |
0.042 |
$42.32 |
35.4 |
$1,499.23 |
Clinical Depression Screening and Follow-Up |
7,386 |
523,314 |
71 |
1 |
0.042 |
$42.32 |
3.0 |
$124.94 |
Ultrafiltration Rate Reporting Measure |
7,386 |
523,314 |
71 |
156 |
0.042 |
$42.32 |
460.5 |
$19,490.01 |
Medication Reconciliation for Patients Receiving Care at Dialysis Facilities Reporting Measure |
7,386 |
523,314 |
71 |
24 |
0.042 |
$42.32 |
70.9 |
$2,998.46 |
Table E2. CY 2020/PY 2022 CROWNWeb Total Data Collection Burden
Basis |
Number of Elements |
Annual Hour Burden |
Annual Burden |
Each Facility |
16,225 |
676 |
$28,610.34 |
National |
119,838,906 |
4,993,288 |
$211,315,938 |
Table D1. CY 2021/PY 2023 CROWNWeb Data Collection Burden Per Measure
Note: Numbers may not add up due to rounding
MEASURE REPORTING Renal Dialysis Facilities CY 2018 Measure Set |
Number of Facilities |
Number of Patients Nationally |
Average number of patients per facility |
Number of Elements per Patient-Year |
Estimated Time for Data Entry per Element (hours) |
Estimated Wage plus Benefits per Hour for Data Entry |
Annual Hour Burden per Facility |
Annual Burden per Facility |
Hemodialysis Vascular Access: Standardized Fistula Rate Clinical Measure |
7,386 |
523,314 |
71 |
12 |
0.042 |
$42.32 |
35.4 |
$1,499.23 |
Hemodialysis Vascular Access: Long-Term Catheter Rate Clinical Measure |
7,386 |
523,314 |
71 |
12 |
0.042 |
$42.32 |
35.4 |
$1,499.23 |
Hypercalcemia |
7,386 |
523,314 |
71 |
12 |
0.042 |
$42.32 |
35.4 |
$1,499.23 |
Comprehensive Dialysis Adequacy |
7,386 |
523,314 |
71 |
12 |
0.042 |
$42.32 |
35.4 |
$1,499.23 |
Clinical Depression Screening and Follow-Up |
7,386 |
523,314 |
71 |
1 |
0.042 |
$42.32 |
3.0 |
$124.94 |
Ultrafiltration Rate Reporting Measure |
7,386 |
523,314 |
71 |
156 |
0.042 |
$42.32 |
460.5 |
$19,490.01 |
Medication Reconciliation for Patients Receiving Care at Dialysis Facilities Reporting Measure |
7,386 |
523,314 |
71 |
24 |
0.042 |
$42.32 |
70.9 |
$2,998.46 |
Table E2. CY 2021/PY 2023 CROWNWeb Total Data Collection Burden
Note: Numbers may not add up due to rounding.
Basis |
Number of Elements |
Annual Hour Burden |
Annual Burden |
Each Facility |
16,225 |
676 |
$28,610.34 |
National |
119,838,906 |
4,993,288 |
$211,315,938 |
b. CROWNWeb Data Validation
We have used the following equation to estimate the burden associated with the ongoing CROWNWeb data validation study:
Table F. CROWNWeb Data Validation Burden Estimate Elements
Burden Estimate Element |
CY 2020 (PY 2022) |
Number of facilities participating in the CROWNWeb data validation study, annually |
300 |
Number of medical records per facility per year |
10 |
Time spent for record collection and submission per facility8 |
2.5 hours (approx. 0.25 hours per record) |
Hourly wage per hour engaged in data collection and submission9 |
$42.32 |
Under the CROWNWeb data validation study, we will randomly sample records from 300 facilities. Each sampled facility will be required to produce approximately 10 records. The burden associated with these validation requirements is the time and effort necessary to submit the requested records to a CMS contractor. We estimate that it will be take each facility approximately 2.5 hours in total, or 0.25 hours per medical record, to comply with this requirement. We therefore estimate that the total annual hourly burden for the ongoing CROWNWeb data validation study for CY 2020 to be 750 hours.
Just as noted above, we anticipate that the labor required to collect and submit these data will be completed by either Medical Records and Health Information Technicians or similar administrative staff. The mean hourly wage of a Medical Records and health information Technician is $21.16 per hour. Fringe benefits and overhead are calculated at 100 percent. Therefore, using these assumptions, we estimate an hourly labor cost of $42.32 as the basis of the wage estimates for all collection of information calculations in the ESRD QIP. These are necessarily rough adjustments, both because fringe benefits and overhead costs vary significantly from employer to employer and because methods of estimating these costs vary widely from study to study. Accordingly, we estimate the total annual burden for the ongoing CROWNWeb data validation study for CY 2020 to be $31,740.
Table G1. CY 2020/PY 2022 CROWNWeb Data Validation Burden
DATA VALIDATION Renal Dialysis Facilities CY 2016 |
Number of Facilities |
Number of Records per Year |
Estimated Time per Record |
Estimated Wage plus Benefits per Hour for Record Collection |
Annual Hour Burden per Facility |
Annual Burden per Facility |
CROWNWeb Data Validation |
300 |
10 |
0.25 |
$42.32 |
2.5 |
$105.80 |
Table H2. CY 2020/PY 2022 CROWNWeb Total Data Validation Burden
Basis |
Annual Hour Burden |
Annual Burden |
Each Facility |
2.5 |
$105.80 |
National |
750 |
$31,740 |
Capital Cost
There are no capital costs.
Cost to Federal Government
The cost to the Federal Government includes costs associated with the collection and validation of the data. The validation costs are an estimated $1,753,968 (FY) annually for the validation contract. The estimated cost to operate the collection of data through the CROWNWeb system includes two CMS staff at the GS-13 level (approximate annually salary is $100,000) and one at the GS-14 level (approximate annually salary is $118,000), for an additional cost of $318,000. This results in a total estimated cost of $2,071,968 annually.
Changes to Burden
As discussed above, the ESRD QIP has consistently expanded its measure set since the inception of the ESRD QIP in CY 2011. For CY 2020, we are adding one new measure to be collected using data entered in CROWNWeb: Medication Reconciliation for Patients Receiving Care at Dialysis Facilities Reporting Measure. Adding this measure to the ESRD QIP measure set increases burden by approximately $21 million in total burden in CY 2020/PY 2022 (or 510,000 burden hours). This burden increase is already reflected in the CY 2020/PY 2022 burden estimates included in this PRA package. In addition, the PY 2022 CROWNWeb reporting burden estimate in terms of dollars has slightly from the PRA package associated with the CY 2019 ESRD PPS final rule, from $202 million to $211 million. The following factors are driving this increase:
The current PRA package uses an updated wage estimate for Medical Records and Health Information Technicians. This estimate is higher than the one used in the previous PRA package.
The current PRA package uses an updated estimate of the total number of facilities. This estimate is higher than the one used in the previous PRA package.
The current PRA package uses an updated estimate of the total number of patients. This estimate is higher than the one used in the previous PRA package.
Despite an increase in estimated wages, facilities, and patients, PY 2022 CROWNWeb reporting burden in terms of hours has increased slightly from the previous PRA package, from approximately 4.90 million hours to approximately 4.99 million hours. The following factor is driving this slight increase:
We refined the methodology by no longer rounding the estimated hours needed to complete data entry for CROWNWeb reporting. As stated in the PY 2020 ESRD PPS final rule, we estimate the amount of time required to submit measure data to CROWNWeb to be 2.5 minutes per element; in prior years we converted this estimate from minutes to hours by using the equation “2.5 minutes/60 minutes” and then rounding to arrive at an estimate of 0.042 hours. In this PRA package, we omitted the rounding step when converting from minutes to hours the estimate of the time it takes to complete data entry for one element.
The CROWNWeb data validation study finalized for CY 2020 is a continuation of the study previously finalized for CYs 2015, 2016, 2017, 2018, and 2019. The burden to renal dialysis facilities for the CY 2020 CROWNWeb validation study will be similar to the burden associated with studies conducted in prior years.
The overall burden specified in this PRA package (for the CY 2020 ESRD PPS final rule) is higher than the overall burden specified in the previous PRA package (associated with the CY 2019 ESRD PPS final rule). The annual burden hours increased from 3,097,383 to 3,329,109. The following factors are driving this increase:
The PRA package associated with the CY 2019 ESRD PPS final rule specified the burden for PY 2021 and PY 2022; the current PRA package (associated with the CY 2020 ESRD PPS final rule) specifies burden for PY 2022 and PY 2023. As noted above, the CY 2019 ESRD PPS final rule finalized the addition of the MedRec reporting measure beginning with the PY 2022 ESRD QIP. The MedRec reporting measure increased burden beginning with the PY 2022 ESRD QIP; this burden was reflected in one of the two payment years covered in the previous PRA package. The current PRA package is first one that accounts for MedRec’s burden across two payment years, rather than one payment year.
The current PRA package uses an updated wage estimate for Medical Records and Health Information Technicians. This estimate is higher than the one used in the previous PRA package.
The current PRA package uses an updated estimate of the total number of facilities. This estimate is higher than the one used in the previous PRA package.
The current PRA package uses an updated estimate of the total number of patients. This estimate is higher than the one used in the previous PRA package.
Publication/Tabulation Date
The goal of the data collection is to evaluate facility performance on measures in the ESRD QIP measure set for the given year in order to assess the payment reductions required under section 1881(h)(1) of the Act. This data is also made publicly available pursuant to section 1881(h)(6) of the Act and is used in other programs within the Centers for Medicare and Medicaid Services, such as Dialysis Facility Compare.
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Expiration Date
CMS will display the expiration date on the collection instruments.
1 For example, in the CY 2015 ESRD PPS final rule with comment period, CMS finalized 10 measures using Medicare claims as the primary data source.
2 The NHSN Bloodstream Infection measure is accounted for under OMB Control Number 0920-0666.
3 ICH CAHPS is accounted for under OMB Control Number 0938-0926.
4 Total number of ESRD PPS facilities in the United States treating ESRD QIP-eligible patients.
5 Total number of patients treated at ESRD PPS facilities in the United States
6 As stated in the CY 2016 ESRD PPS final rule (80 FR 69070), we estimate the amount of time required to submit measure data to CROWNWeb to be 2.5 minutes.
8 As stated in the PY 2020 ESRD PPS proposed rule (84 FR 38403), we estimate the amount of time required to submit measure data to CROWNWeb to be 2.5 minutes.
9 http://www.bls.gov/oes/current/oes_nat.htm#29-0000 (Estimates are based on national mean hourly wage).
File Type | application/vnd.openxmlformats-officedocument.wordprocessingml.document |
Author | Lobel, Devra |
File Modified | 0000-00-00 |
File Created | 2021-01-14 |