Medicaid Promoting Interoperability Program Document Templates

Medicaid Promoting Interoperability Program Document Templates (CMS-10292)

CMS-10292 State Medicaid HIT Plan Template (2020 version 2)

Medicaid Promoting Interoperability Program Document Templates

OMB: 0938-1088

Document [pdf]
Download: pdf | pdf
CMS-10292 (OMB 0938-1088; Expires: TBD)

State Medicaid HIT Plan (SMHP) Overview
PURPOSE:
The SMHP provides State Medicaid Agencies (SMAs) and CMS with a
common understanding of the activities the SMA will be engaged in over
the next 5 years relative to implementing Section 4201 Medicaid provisions
of the American Recovery and Reinvestment Act (ARRA).

SCOPE:
Section 4201 of the ARRA provides 90% FFP HIT Administrative match for three
activities to be done under the direction of the SMA:
1. Administer the incentive payments to eligible professionalsand hospitals;
2. Conduct adequate oversight of the program, including tracking meaningful use
by providers; and
3. Pursue initiatives to encourage the adoption of certified EHR technology to
promote health care quality and the exchange of health careinformation.
We are particularly interested in how the States plan to go about making the provider
incentive payments (100% FFP), how they will monitor them, and how the SMAs’
plans will dovetail with other State-wide HIE planning initiatives and Regional
Extension Centers supported by the Office of the National Coordinator for HIT
(ONC) and other programs.
Please be sure to indicate in the SMHP what activities the SMA expects will be
included in a HITECH Implementation-APD or a MMIS APD so that CMS can
crosswalk the SMHPs to their corresponding funding request documents.
If a State has already begun work on their SMHP, they should consider how it lines
up with the content in this draft template before submitting it to CMS for review.

TIME FRAME:
The SMHP time horizon is five years, although States may discuss their plans beyond that, if appropriate. We understand States have a better understanding of
their current, near-term needs and objectives, and that plans will change over time. For this reason, we will expect to receive annual updates, as well as as-needed
updates, to keep CMS informed of the SMHP as it evolves, and States’ ability to meet their targets over the next five years. We expect that States will want to
revise their SMHPs over time, particularly for initiatives to encourage the adoption of certified EHR technology.
REQUIRED VS. OPTIONAL CONTENT:
We recognize that not every element of the SMHP is of equal weight and priority-level in order to implement the EHR Incentive Program at the barebones
minimum. We have flagged the questions which a State may choose to defer for a later iteration. For example, some States may not be ready to take on activities in
2011 to promote EHR adoption and HIE among Medicaid providers but are fully planning to be able to make EHR incentive payments to the right providers, under
the correct circumstances in the first year of the program.

1

PRA Disclosure Statement As described in 42 CFR part 495, subpart D, States must submit to CMS a State Medicaid Health IT Plan (SMHP) outlining various aspects of
how they will operate their Medicaid Promoting Interoperability Program. Further, for States to receive the FFP described above for the incentive payments as well as
expenditures relating to their Medicaid Promoting Interoperability Program, they are required to submit for approval Advance Planning Documents that include specific
information to support the state’s funding request. Under the Privacy Act of 1974 any personally identifying information obtained will be kept private to the extent of the
law.
According to the Paperwork Reduction Act of 1995, no persons are required to respond to a collection of information unless it displays a valid OMB control number. The
valid OMB control number for this information collection is 0938-1088. The time required to complete this information collection is estimated to average 16 hours per
response, including the time to review instructions, search existing data resources, gather the data needed, and complete and review the information collection. If you have
comments concerning the accuracy of the time estimate(s) or suggestions for improving this form, please write to: CMS, 7500 Security Boulevard, Attn: PRA Reports
Clearance Officer, Mail Stop C4-26-05, Baltimore, Maryland 21244-1850.

CMS-10292 (OMB 0938-1088; Expires: TBD)

SECTION A: The State’s “As-Is” HIT Landscape
The State’s
“As-Is” HIT
Landscape:
This
information
should be a
result of the
environmental
scan and
assessment
conducted with
the CMS HIT
P-APD funding;
or was available
to the SMA
through other
means (e.g. was
part of the ONC
HIE cooperative
agreement
planning and
assessment
activities or
other HIT/E
assessments.)

1.

2.
3.
4.
5.
6.
7.
8.
9.

10.
11.
12.
13.
14.
15.

What is the current extent of EHR adoption by practitioners and by hospitals? How recent is this data? Does it provide specificity about the types of EHRs
in use by the State’s providers? Is it specific to just Medicaid or an assessment of overall statewide use of EHRs? Does the SMA have data or estimates on
eligible providers broken out by types of provider? Does the SMA have data on EHR adoption by types of provider (e.g. children’s hospitals, acute care
hospitals, pediatricians, nurse practitioners, etc.)?
To what extent does broadband internet access pose a challenge to HIT/E in the State’s rural areas? Did the State receive any broadband grants?
Does the State have Federally-Qualified Health Center networks that have received or are receiving HIT/EHR funding from the Health Resources Services
Administration (HRSA)? Please describe.
Does the State have Veterans Administration or Indian Health Service clinical facilities that are operating EHRs? Please describe.
What stakeholders are engaged in any existing HIT/E activities and how would the extent of their involvement be characterized?
* Does the SMA have HIT/E relationships with other entities? If so, what is the nature (governance, fiscal, geographic scope, etc) of these activities?
Specifically, if there are health information exchange organizations in the State, what is their governance structure and is the SMA involved? ** How
extensive is their geographic reach and scope ofparticipation?
Please describe the role of the MMIS in the SMA’s current HIT/E environment. Has the State coordinated their HIT Plan with their MITA transition plans
and if so, briefly describe how.
What State activities are currently underway or in the planning phase to facilitate HIE and EHR adoption? What role does the SMA play? Who else is
currently involved? For example, how are the regional extension centers (RECs) assisting Medicaid eligible providers to implement EHR systems and
achieve meaningful use?
Explain the SMA’s relationship to the State HIT Coordinator and how the activities planned under the ONC-funded HIE cooperative agreement and the
Regional Extension Centers (and Local Extension Centers, if applicable) would help support the administration of the EHR Incentive Program.
What other activities does the SMA currently have underway that will likely influence the direction of the EHR Incentive Program over the next five years?
Have there been any recent changes (of a significant degree) to State laws or regulations that might affect the implementation of the EHR Incentive
Program? Please describe.
Are there any HIT/E activities that cross State borders? Is there significant crossing of State lines for accessing health care services by Medicaid
beneficiaries? Please describe.
What is the current interoperability status of the State Immunization registry and Public Health Surveillance reporting database(s)?
If the State was awarded an HIT-related grant, such as a Transformation Grant or a CHIPRA HIT grant, please include a brief description.

* May be deferred.
** The first part of this question may be deferred but States do need to include a description of their HIE(s)’ geographic reach and current level of participation.

2

CMS-10292 (OMB 0938-1088; Expires: TBD)

SECTION B: The State’s “To-Be” Landscape
The State’s
“To-Be”
HIT
Landscape

1.

Looking forward to the next five years, what specific HIT/E goals and objectives does the SMA expect to achieve? Be as specific as possible; e.g., the
percentage of eligible providers adopting and meaningfully using certified EHR technology, the extent of access to HIE, etc.
2. *What will the SMA’s IT system architecture (potentially including the MMIS) look like in five years to support achieving the SMA’s long term goals and
objectives? Internet portals? Enterprise Service Bus? Master Patient Index? Record Locater Service?
3. How will Medicaid providers interface with the SMA IT system as it relates to the EHR Incentive Program (registration, reporting of MU data, etc.)?
4. Given what is known about HIE governance structures currently in place, what should be in place by 5 years from now in order to achieve the SMA’s HIT/E
goals and objectives? While we do not expect the SMA to know the specific organizations will be involved, etc., we would appreciate a discussion of this in
the context of what is missing today that would need to be in place five years from now to ensure EHR adoption and meaningful use of EHR technologies.
5. What specific steps is the SMA planning to take in the next 12 months to encourage provider adoption of certified EHR technology?
6. ** If the State has FQHCs with HRSA HIT/EHR funding, how will those resources and experiences be leveraged by the SMA to encourage EHR adoption?
7. ** How will the SMA assess and/or provide technical assistance to Medicaid providers around adoption and meaningful use of certified EHR technology?
8. ** How will the SMA assure that populations with unique needs, such as children, are appropriately addressed by the EHR Incentive Program?
9. If the State included in a description of a HIT-related grant award (or awards) in Section A, to the extent known, how will that grant, or grants, be leveraged
for implementing the EHR Incentive Program, e.g. actual grant products, knowledge/lessons learned, stakeholder relationships, governance structures,
legal/consent policies and agreements, etc.?
10. Does the SMA anticipate the need for new or State legislation or changes to existing State laws in order to implement the EHR Incentive Program and/or
facilitate a successful EHR Incentive Program (e.g. State laws that may restrict the exchange of certain kinds of health information)? Please describe.
Please include other issues that the SMA believes need to be addressed, institutions that will need to be present and interoperability arrangements that will need
to exist in the next five years to achieve its goals.
* This question may be deferred if the timing of the submission of the SMHP does not accord with when the long-term vision for the Medicaid IT system is
decided. It would be helpful though to note if plans are known to include any of the listed functionalities/business processes.
** May be deferred.

3

CMS-10292 (OMB 0938-1088; Expires: TBD)

SECTION C: Activities Necessary to Administer and Oversee the EHR Incentive Payment Program
The State’s
Implementat
ion Plan:
Provide a
description of
the processes
the SMA will
employ to
ensure that
eligible
professional
and eligible
hospital have
met Federal
and State
statutory and
regulatory
requirements
for the EHR
Incentive
Payments.

1.
2.
3.
4.
5.
6.
7.
8.
9.
10.
11.
12.
13.
14.
15.
16.
17.
18.
19.
20.
21.
22.
23.
24.
25.
26.

27.
28.
29.
30.
4

How will the SMA verify that providers are not sanctioned, are properly licensed/qualified providers?
How will the SMA verify whether EPs are hospital-based or not?
How will the SMA verify the overall content of providerattestations?
How will the SMA communicate to its providers regarding their eligibility, payments, etc?
What methodology will the SMA use to calculate patient volume?
What data sources will the SMA use to verify patient volume for EPs and acute care hospitals?
How will the SMA verify that EPs at FQHC/RHCs meet the practices predominately requirement?
How will the SMA verify adopt, implement or upgrade of certified electronic health record technology by providers?
How will the SMA verify meaningful use of certified electronic health record technology for providers’ second participation years?
Will the SMA be proposing any changes to the MU definition as permissible per rule-making? If so, please provide details on the expected benefit to the
Medicaid population as well as how the SMA assessed the issue of additional provider reporting and financial burden.
How will the SMA verify providers’ use of certified electronic health record technology?
How will the SMA collect providers’ meaningful use data, including the reporting of clinical quality measures? Does the State envision different approaches
for the short-term and a different approach for thelonger-term?
* How will this data collection and analysis process align with the collection of other clinical quality measures data, such as CHIPRA?
What IT, fiscal and communication systems will be used to implement the EHR Incentive Program?
What IT systems changes are needed by the SMA to implement the EHR Incentive Program?
What is the SMA’s IT timeframe for systems modifications?
When does the SMA anticipate being ready to test an interface with the CMS National Level Repository (NLR)?
What is the SMA’s plan for accepting the registration data for its Medicaid providers from the CMS NLR (e.g. mainframe to mainframe interface or another
means)?
What kind of website will the SMA host for Medicaid providers for enrollment, program information, etc?
Does the SMA anticipate modifications to the MMIS and if so, when does the SMA anticipate submitting an MMIS I-APD?
What kinds of call centers/help desks and other means will be established to address EP and hospital questions regarding the incentive program?
What will the SMA establish as a provider appeal process relative to: a) the incentive payments, b) provider eligibility determinations, and c) demonstration
of efforts to adopt, implement or upgrade and meaningful use certified EHR technology?
What will be the process to assure that all Federal funding, both for the 100 percent incentive payments, as well as the 90 percent HIT Administrative match,
are accounted for separately for the HITECH provisions and not reported in a commingled manner with the enhanced MMIS FFP?
What is the SMA’s anticipated frequency for making the EHR Incentive payments (e.g. monthly, semi-monthly, etc.)?
What will be the process to assure that Medicaid provider payments are paid directly to the provider (or an employer or facility to which the provider has
assigned payments) without any deduction or rebate?
What will be the process to assure that Medicaid payments go to an entity promoting the adoption of certified EHR technology, as designated by the state and
approved by the US DHHS Secretary, are made only if participation in such a payment arrangement is voluntary by the EP and that no more than 5 percent of
such payments is retained for costs unrelated to EHR technologyadoption?
What will be the process to assure that there are fiscal arrangements with providers to disburse incentive payments through Medicaid managed care plans
does not exceed 105 percent of the capitation rate per 42 CFR Part 438.6, as well as a methodology for verifying such information?
What will be the process to assure that all hospital calculations and EP payment incentives (including tracking EPs’ 15% of the net average allowable costs of
certified EHR technology) are made consistent with the Statute and regulation?
What will be the role of existing SMA contractors in implementing the EHR Incentive Program – such as MMIS, PBM, fiscal agent, managed care
contractors, etc.?
States should explicitly describe what their assumptions are, and where the path and timing of their plans have dependencies based upon:
• The role of CMS (e.g. the development and support of the National Level Repository; provider outreach/help desk support)

CMS-10292 (OMB 0938-1088; Expires: TBD)

SECTION C: Activities Necessary to Administer and Oversee the EHR Incentive Payment Program
•
•
•
•

The status/availability of certified EHR technology
The role, approved plans and status of the Regional ExtensionCenters
The role, approved plans and status of the HIE cooperativeagreements
State-specific readiness factors

*May be deferred

5

CMS-10292 (OMB 0938-1088; Expires: TBD)

Section D: The State’s Audit Strategy
The State’s
Audit
Strategy:
Provide a
description
of the audit,
controls
and
oversight
strategy for
the State’s
EHR
Incentive
Payment
Program.

6

What will be the SMA’s methods to be used to avoid making improper payments? (Timing, selection of which audit elements to examine pre or post-payment, use
of proxy data, sampling, how the SMA will decide to focus audit efforts etc):
1.
2.
3.
4.
5.
6.
7.

Describe the methods the SMA will employ to identify suspected fraud and abuse, including noting if contractors will be used. Please identify what audit
elements will be addressed through pre-payment controls or other methods and which audit elements will be addressed post-payment.
How will the SMA track the total dollar amount of overpayments identified by the State as a result of oversight activities conducted during the FFY?
Describe the actions the SMA will take when fraud and abuse isdetected.
Is the SMA planning to leverage existing data sources to verify meaningful use (e.g. HIEs, pharmacy hubs, immunization registries, public health surveillance
databases, etc.)? Please describe.
Will the state be using sampling as part of audit strategy? If yes, what sampling methodology will be performed?* (i.e. probe sampling; random sampling)
**What methods will the SMA use to reduce provider burden and maintain integrity and efficacy of oversight process (e.g. above examples about leveraging
existing data sources, piggy-backing on existing audit mechanisms/activities, etc)?
Where are program integrity operations located within the State Medicaid Agency, and how will responsibility for EHR incentive payment oversight be
allocated?

* The sampling methodology part of this question may be deferred until the State has formulated a methodology based upon the size of their EHR incentive
payment recipient universe.

** May be deferred


CMS-10292 (OMB 0938-1088; Expires: TBD)

Section E: The State’s HIT Roadmap
The State’s
HIT
Roadmap:
Annual
Measurable
Targets
Tied to
Goals

1.
2.
3.
4.

*Provide CMS with a graphical as well as narrative pathway that clearly shows where the SMA is starting from (As-Is) today, where it expects to be five years
from now (To-Be), and how it plans to get there.
What are the SMA’s expectations re provider EHR technology adoption over time? Annual benchmarks by provider type?
Describe the annual benchmarks for each of the SMA’s goals that will serve as clearly measurable indicators of progress along this scenario.
Discuss annual benchmarks for audit and oversight activities.

CMS is looking for a strategic plan and the tactical steps that SMAs will be taking or will take successfully implement the EHR Incentive Program and its related
HIT/E goals and objectives. We are specifically interested in those activities SMAs will be taking to make the incentive payments to its providers, and the steps
they will use to monitor provider eligibility including meaningful use. We also are interested in the steps SMAs plan to take to support provider adoption of
certified EHR technologies. We would like to see the SMA’s plan for how to leverage existing infrastructure and/or build new infrastructure to foster HIE between
Medicaid’s trading partners within the State, with other States in the area where Medicaid clients also receive care, and with any Federal providers and/or partners.
* Where the State is deferring some of its longer-term planning and benchmark development for HIT/E in order to focus on the immediate implementation needs
around the EHR Incentive Program, please clearly note which areas are still under development in the SMA’s HIT Roadmap and will be deferred.

7


File Typeapplication/pdf
File TitleSTATE MEDICAID HIT PLAN (SMHP)
AuthorCMS
File Modified2021-02-09
File Created2017-06-08

© 2024 OMB.report | Privacy Policy