GenIC #59 - Generic Supporting Statement (2022 v7 final 5-19-22)

GenIC #59 - Generic Supporting Statement (2022 v7 final 5-19-22).docx

[Medicaid] Generic Clearance for Medicaid and CHIP State Plan, Waiver, and Program Submissions (CMS-10398)

GenIC #59 - Generic Supporting Statement (2022 v7 final 5-19-22)

OMB: 0938-1148

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Generic Supporting Statement

Generic Clearance for Medicaid and CHIP State Plan, Waiver, and Program Submissions (CMS-10398, OMB 0938-1148)


Generic Information Collection # 59 (Revision)

Medicaid Section 1115 Severe Mental Illness and Children with Serious Emotional Disturbance Demonstrations
































Center for Medicaid and CHIP Services (CMCS) Centers for Medicare & Medicaid Services (CMS)

  1. Background


The Centers for Medicare & Medicaid Services (CMS) works in partnership with States to implement the Medicaid and the Children’s Health Insurance Program (CHIP). Together these programs provide health coverage to millions of Americans. Medicaid and CHIP are based in Federal statute, associated regulations and policy guidance, and the approved State plan documents that serve as a contract between CMS and States about how Medicaid and CHIP will be operated in that State. CMS works collaboratively with States in the ongoing management of programs and policies, and CMS continues to develop implementing guidance and templates for States to use to elect new options available because of the Affordable Care Act or to comply with new statutory provisions. CMS also continues to work with States through other methods to further the goals of health reform, including program waivers and demonstrations, and other technical assistance initiatives.

Under section 1115(a) of the Social Security Act (the Act), the Secretary of Health and Human Services (“Secretary”) may authorize a state to conduct experimental, pilot, or demonstration projects that, in the judgment of the Secretary, promote the objectives of title XIX of the Act. The Secretary may: (1) under section 1115(a)(1), waive provisions in section 1902 of the Act; and/or

  1. under section 1115(a)(2)(A), authorize federal matching funds for state expenditures that would not otherwise be matchable (i.e., expenditure authority) under section 1903 of the Act. Section 1902 of the Act lists what elements the Medicaid state plan must include, such as provisions relating to eligibility, beneficiary protections, benefits and services and cost sharing. Section 1903, “Payments to States,” describes expenditures that may be “matched” with federal title XIX dollars, allowable sources of non-federal share, and managed care requirements.

On November 13, 2018, CMS released State Medicaid Directors (SMD) letter #18-011 announcing opportunities to design innovative service delivery systems for providing community- based services for adults with a serious mental illness (SMI) or children with a serious emotional disturbance (SED) who are receiving medical assistance, as mandated by section 12003 of the 21st Century Cures Act (Cures Act). That Section also mandated that CMS include opportunities for demonstration projects under section 1115(a) of the Act to improve care for adults with SMI and/or children with SED.


Medicaid Section 1115 demonstration monitoring and evaluation Special Terms and Conditions (STC) and the SMD letter make clear that CMS remains committed to ensuring state accountability for the health and well-being of Medicaid enrollees and that monitoring and evaluation are important for understanding the outcomes and impacts of approaches to Medicaid SMI demonstrations. For this purpose, CMS is undertaking efforts to help states monitor the elements of these demonstrations, while giving them the flexibility to adapt to changing conditions in their states. States with approved SMI demonstrations are required to develop implementation and monitoring plans, including monitoring metrics, monitoring protocol, regular monitoring reports describing their implementation progress, and availability assessments.


In addition, the STC for these 1115 demonstrations specify that states are required to submit in their regular monitoring reports, information on milestones and performance measures that they elected to represent key indicators of progress toward meeting the goals for the demonstrations.

Furthermore, to improve the quality and efficiency of the reporting requirements for SMI/SED demonstrations, CMS in conjunction with state advisory groups developed a set of standardized monitoring tools for states to use for their regular reporting. In this April 2022 iteration, States continue to use our currently approved reporting tools (without change), including:


    • The Medicaid Section 1115 SMI/SED Demonstration Implementation Plan (this is one- time submission);

    • The Medicaid Section 1115 SMI/SED Demonstration monitoring protocol template (this is one-time submission);

    • The Medicaid section 1115 SMI/SED demonstration monitoring protocol workbook (this is a one-time submission)

    • The Medicaid Section 1115 SMI/SED Demonstration monitoring report template;

    • The Medicaid Section 1115 SMI/SED Demonstration monitoring report workbook;

    • The Medicaid Section 1115 SMI/SED Initial Availability Assessment.


CMS awarded the Federal Meta-Analysis Support contract to RTI International in September 2018. The goal of the Meta-Analysis Support contract is to understand the overall effectiveness of the groups of demonstrations with similar features and how variations in state demonstration features and the context in which they are implemented contribute to differences in effectiveness. Under this contract, RTI will work with CMS to conduct a meta-analysis of Medicaid section 1115 SMI demonstrations.


The meta-analyses of the SMI demonstrations will compare experiences of these demonstrations across states and will document and explore variation in state baseline conditions and demonstration design, approach, and implementation to explain differences in outcomes observed across demonstrations. The meta-analyses of the demonstrations will provide CMS and states with a deeper understanding of what levers affect successful outcomes—both implementation and impacts—as well as whether, under what conditions, and how these initiatives would best be replicated in other states.


Meta-analysis incorporates synthesis of data. To support the meta-analyses, RTI is compiling a cross-state database for each group of demonstrations that includes states’ applications, implementation and evaluation plans, monitoring reports, and evaluation plans. We will conduct qualitative analysis of primary and secondary data from demonstration states to document demonstration implementation and contextual features that will be used in analyses (see Supporting Statement Part B). Qualitative data will also be used for targeted case studies that take a deep dive into demonstration design and implementation topics that will be identified in consultation with CMS.


As part of the meta-analysis, this April 2022 iteration proposes to add virtual interviews with leaders in the state Medicaid Agency and/or the single state agency for behavioral health in the states that have approved section 1115 SMI demonstrations.


  1. Description of Information Collection


Implementation Plan (No Changes)


The state will submit the Medicaid Section 1115 SMI/SED demonstration Implementation Plan to provide information about implementation of the state’s demonstration requirements and to respond to each prompt listed in the tables1.


The information in the implementation plan flows down from the state’s SMI Special Terms and Conditions (STC). It creates an implementation framework that crosswalks to the all requirement segments of the Medicaid section 1115 SMI/SED demonstration Monitoring Protocol Template.


Monitoring Protocol Template (No Changes)


The state will use the Medicaid section 1115 SMI/SED demonstration Monitoring Protocol Template to develop its monitoring protocol for its SMI/SED demonstration. This protocol describes the details of the state’s monitoring plans for the SMI/SED demonstration as described in the Special Terms and Conditions (STC). It is comprised of two components qualitative and quantitative (metrics) reporting plans. The metrics component of the Monitoring Protocol is described below under Monitoring Protocol Workbook.


The Medicaid Section 1115 SMI/SED demonstration Monitoring Protocol Template helps the state specify the methods of data collection and timeframes for reporting on the state’s progress on required measures and milestones. In addition, the Medicaid section 1115 SMI/SED demonstration Monitoring Protocol Template helps states identify the demonstration baseline and performance targets to be achieved by the end of the demonstration.


Monitoring Report Template (No Changes)


The Monitoring Report Template mirrors the Monitoring Protocol Template, and like the Protocol, it is comprised of qualitative and quantitative (metrics) performance information that the state reports to CMS on a quarterly and annual basis. Performance values on the metrics in the approved monitoring protocol are reported in the Monitoring Report Workbook described below.


Monitoring Protocol Workbook (No Changes)


The Monitoring Protocol Workbook is an Excel file which contains a set of SMI/SED metrics, which align with the milestones in SMDL #18-011. The state will review the metrics listed in Monitoring Protocol Workbook and the accompanying metrics technical specifications, and use the template to identify the metrics it plans to report, including any additional state-identified metrics. The state also identifies annual goals and targets, as well as any deviations from CMS technical specifications.


Monitoring Report Workbook (No Changes)


The Monitoring Report Workbook is an Excel file that contains a set of metrics for the state’s SMI/SED demonstration. For the monitoring report, states will report performance on the CMS-


1 To complete the Implementation Plan, the state will need to reference HIT Plan Instructions (SMI_SED_HIT_Plan_Instructions.pdf).

approved metrics on a quarterly or annual basis. The Monitoring Report Workbook also includes the template for the Annual Availability Assessment that the state must submit on an annual basis.


Initial Availability Assessment (No Changes)


The purpose of the Medicaid section 1115 SMI/SED demonstration Initial Availability Assessment template is intended to help states meet the requirements outlined in the SMDL #18- 011 to provide annual assessments of the availability of mental health services throughout the state. In addition, the purpose of the assessment of the availability of mental health services is to help CMS understand and gather data on the state’s SMI/SED population and the services available to them. The assessment will allow CMS and the state to monitor how the state’s available mental health services evolve over the duration of the demonstration.

The availability assessment is completed with the implementation plan and is updated every year in the Monitoring Report Workbook and submitted to CMS with the annual monitoring reports.


State Interviews (New)


Qualitative data collection will include virtual interviews with leaders in the state Medicaid Agency and/or the single state agency for behavioral health in the states that have approved section 1115 SMI demonstrations.


The first round of interviews will include discussions on demonstration characteristics and implementation (Sections B.1). We will conduct the interview with the state Medicaid director or their designated staff and the director of the single state agency for behavioral health, or their designated staff. A protocol was created for the interview.


Information from the interviews will be incorporated in Rapid Cycle Reports (RCRs) on the SMI demonstrations that RTI will prepare for CMS. These reports are targeted case studies of selected demonstration design and implementation topics. Qualitative case comparison was used to explore potential causal pathways between demonstration features and demonstration implementation effectiveness and outcomes. The Summative Evaluation Report for

the SMI demonstrations will incorporate data collected from the two sets of interviews in addition to other data analyses. This report will summarize the demonstrations’ accomplishments, challenges, lessons learned, findings and conclusions, and recommendations where applicable.


  1. C. Deviations from Generic Request


No deviations from the generic PRA request.

  1. D. Burden Hour Deduction


Wage Estimates


To derive average costs, we are using data from the U.S. Bureau of Labor Statistics’ May 2021 National Occupational Employment and Wage Estimates for all salary estimates (http://www.bls.gov/oes/current/oes_nat.htm). In this regard, the following table presents the

BLS’ mean hourly wage, our estimated cost of fringe benefits and overhead (calculated at 100 percent of salary), and our adjusted hourly wage.


Occupation Title

Occupation Code

Mean Hourly Wage ($/hr)

Fringe Benefits and Overhead ($/hr)

Adjusted Hourly Wage ($/hr)

Computer Programmer

15-1251

46.46

46.46

92.92

Health Services Manager

11-9111

57.61

57.61

115.22

Social and Community Managers

11-9151

36.92

36.92

73.84


As indicated, we are adjusting our employee hourly wage estimates by a factor of 100 percent. 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 widely from study to study. Nonetheless, we believe that doubling the hourly wage to estimate total cost is a reasonably accurate estimation method.


Collection of Information Requirements and Associated Burden Estimates


Currently, there are 7 (seven) states with an approved Medicaid Section SMI demonstration for reporting, however, we anticipate this number to expand somewhat, so for the purpose of calculating burden we are estimating ten (10) states.


    1. The Medicaid Section 1115 SMI/SED Implementation Plan (No Changes)


The Implementation Plan consists of a one-time submission for year-one of the demonstration.


The Implementation Plan would be developed by a health services manager and a computer programmer. We estimate it would take a total of 20 hours (per state) to complete one response. This would consist of 8 hours at $92.92/hr for a computer programmer to review technical specifications and 12 hours at $115.22/hr for a health services manager to: complete the metrics workbook (4 hr), the narrative portion by reviewing the monitoring report template and budget neutrality materials for attestations (4 hr), QA the monitoring protocol (4 hr). and submit the implementation plan to PMDA.


In aggregate, we estimate a burden of 200 hours (10 states x 20 hr) at a cost of $21,260 ([8 hr x

$92.92/hr x 10 states] + [12 hr x $115.22/hr x 10 states]).


    1. The Medicaid Section 1115 SMI/SED Monitoring Protocol Template (No Changes)


Monitoring protocol consists of a one-time submission for year-one of the demonstration. The protocol would be developed by a health services manager and a computer programmer:


We estimate it would take a total of 14 hours (per state) at $115.22/hr for a health services manager to: complete the implementation plan template (8 hr) and compile relevant documents (4 hr), QA the implementation plan (2 hr) and submit the implementation plan to PMDA.

In aggregate, we estimate a burden of 190 hours (10 states x 19 hr) at a cost of $21,892 (190 hr x

$115.22/hr).


    1. The Medicaid Section 1115 SMI/SED Demonstration Monitoring Report Template (No Changes)


We aimed to streamline reporting by allowing states to check a box if it has no updates/changes to report. We assumed that for approximately 1/4 of the reports, the average state would elect not to report updates.


For the annual report, we estimate it would take 12 hours at $115.22/hr for a health services manager to prepare and submit the report per state per demonstration year. In aggregate, we estimate an annual report burden of 100 hours (1 report x 10 hr x 10 states) at a cost of $11,522 (100 hr x $115.22/hr). This also includes time to submit the template to PMDA.


For each quarterly report, we estimate it would take 8 hours at $115.22/hr for a health services manager to prepare and submit each report per state per demonstration year. In aggregate, we estimate a quarterly report burden of 210 hours (3 reports x 7 hr x 10 states) at a cost of $24,196 (210 hr x $115.22/hr).


Consequently, we estimate a total burden of 360 hours (120 hr + 240 hr) at a cost of $41,479 ($13,826 + $27,653).


    1. The Medicaid Section 1115 SMI/SED Monitoring Workbook/Planned Metrics (No Changes)


Outside of the 4 hours burden estimated above for the monitoring protocol portion of the metrics workbook, we assume a computer programmer will calculate the metrics and populate the metrics template. Groups of metrics will be calculated simultaneously, rather than sequentially. Initial calculations require an upfront investment, but recalculations for subsequent reports will require significantly less time.

      • Low LOE metrics (for 17 metrics total: 10 annual metrics, 4 quarterly metrics, and 3 health IT metrics):

        • 24 hours for initial report per state for the 1st year of the demonstration only (assume it’s annual and includes all metrics)

        • 8 hours for each subsequent annual report per state

        • 4 hours for each subsequent quarterly report per state

      • Medium LOE metrics (14 metrics total: 8 annual metrics, 6 quarterly metrics):

        • 48 hours for initial report per state for the 1st year of the demonstration only (assume it’s annual and includes all metrics)

        • 20 hours for each subsequent annual report per state

        • 8 hours for each subsequent quarterly report

      • High LOE metrics (4 annual metrics):

        • 56 hours for initial report per state 1st year of the demonstration only (assume it’s annual and includes all metrics)

        • 4 hours for each subsequent annual report per state

        • 0 hours for each subsequent quarterly report per state.


Demonstration Year 1


Initial Report Quarterly Reports

24 hr (low) 4 hr (low)

48 hr (medium) 8 hr (medium)

56 hr (high) 0 hr (high)

128 hr 12 hr


For Year 1 we estimate a total burden of 1,640 hours (164 hr x 10 states) at a cost of $152,389 (1,640 hr x $92.92/hr for a computer programmer). This also includes time to submit to PMDA.


Subsequent Years


Annual Report Quarterly Reports 8 hr (low) 4 hr (low)

20 hr (medium) 8 hr (medium) 4 hr (high) 0 hr (high)

32 hr 12 hr


For Subsequent Years we estimate a total burden of 680 hours (68 hr x 10 states) at a cost of

$63,186 (680 hr x $92.92/hr for a computer programmer).


The Metrics Template becomes the Metric Workbook after states enter respective data and submit it to CMS. Therefore, we don’t expect any additional burden association with the Workbook.


    1. The Medicaid Section 1115 SMI/SED Current Availability Assessment (No Changes)


This assessment is submitted once a year along with the annual reports. Year 1

We estimate it would take 20 hours (per state) at $115.22/hr for a health services manager to complete the availability assessment and submit to PMDA. In aggregate, we estimate a burden of 200 hours (10 states x 20 hr) at a cost of $23,044 (200 hr x $115.22/hr).


Subsequent Years


We estimate it would take 8 hours per state, in view that states will know where to collect all the necessary data for the assessment. In aggregate, we estimate a burden of 80 hours (10 states x 8 hr) at a cost of $9,218 (80 hr x $115.22/hr).


    1. PMDA and Instruction Videos (No Changes)

We expect states to submit via PMDA their respective Medicaid Section 1115 SMI implementation plan, monitoring protocol, quarterly and annual reports (here forward referred to as ’monitoring documents’ and the current availability assessment reports. The 4th quarter report may be included in the annual report. We expect to maintain the same number of reports.


No statistical methods are employed in information collection and in addition, the quarterly and annual reporting data fields are not duplicating any other collections.


We expect the time for each state to complete the submission of the Medicaid Section 1115 SMI monitoring documents via PMDA to be the same or similar to the time it takes today for states to submit other deliverables and each state may approximately spend 3 to 5 minutes per submission.


Each state/territory with an approved Medicaid Section 1115 SMI/SED demonstration will be required to complete and submit via PMDA the monitoring documents established by CMS, aimed to support more efficient, timely and accurate review of states’ Medicaid Section 1115 SMI/SED demonstrations monitoring document s submissions. The burden is associated with submitting the Medicaid Section 1115 SMI monitoring report protocol/templates/and metrics provided to states/territories by CMS to assist in this effort, as well as the burden related to states viewing as necessary any instructions.


As mentioned above, each demonstration is estimated to need approximately 3 to 5 minutes per submission quarterly/annually at $115.22/hr for a Health Services Manager to submit via PMDA the necessary Medicaid Section 1115 SMI implementation plan and monitoring documents. The burden is subsumed within the preceding estimates for the Medicaid Section 1115 SMI/SED Monitoring Protocol Template, the Medicaid Section 1115 SMI/SED Demonstration Monitoring Report Template, the Medicaid Section 1115 SMI/SED Monitoring Workbook/Planned Metrics, the Medicaid Section 1115 SMI/SED Current Availability Assessment along with the time (20 min) to review the “instructions” and watch the respective videos.


    1. SMI/SED Demonstration Implementation Interview (New)


RTI intends to interview up to 12 Medicaid directors, or their state staff. CMS will send an introductory email, prepared by RTI, to the Medicaid director in the SMI demonstration states requesting the state’s participation in the interview (Attachment 11.a.). While participation in the interview is voluntary, states that receive a section 1115 demonstration are expected to cooperate with CMS’s federal independent evaluator, as noted in each state’s special terms and conditions of the section 1115 demonstration award. Recognizing that states are facing a COVID-19 health crisis, RTI will provide ample notice and flexibility for states to respond to requests for interviews. After CMS emails the participating states, RTI will send a follow-up email to request for a 60-minute virtual interview. (Attachment 11.b).


Once RTI and the state agree upon an interview time, RTI will send an interview confirmation email to the respondents (Attachment 11.c.) and a Microsoft Outlook meeting invitation (Attachment 11.d). The email and invitation will include: 1) the agreed upon date and time, 2) Zoom meeting call-in information and instructions on how to join by telephone or computer, and

3) contact information for the project director and interviewer. RTI will also send a reminder email to the interviewee two days prior to the interview call (Attachment 11.e.). The interview will be conducted using the interview protocol developed by RTI (Attachment 11.f). Following the interview, RTI will send a thank you email to the participants (Attachment 11.g).


RTI plans to interview all states with an approved SMI/SED demonstration as of March 2022. As of March 2022, 7 states have an approved SMI/SED demonstration, and 5 states have a pending application. For the purposes of this burden estimate, we have assumed the states with pending applications will not have an approved demonstration as of early summer 2022 and have not included them in consideration for the interviews. These interviews will be conducted with state Medicaid directors and single state mental health agency directors, or their designees, and will be 60 minutes in duration. This is a one-time data collection activity for each approved state, and we anticipate the amount of time associated with this data collection activity to be 1.0 hours per person for up to 2 people per state. In aggregate we estimate a burden of 24 hours (1 hr/response x 7 states x 2 responses/state) at a cost of $1,033.76 (14 hr x $73.84/hr).


Summary of Collection of Information Requirements and Burden Estimates


Requirement

No.

Respondents

Total Responses

Time per Responses (hours)

Total Annual

Time (hours)

Labor Cost ($/hr)

Total Annual Cost ($)

SMI/SED

Implementation Plan

10

10

20

200

Varies

21,260

SMI/SED

Demonstration

Monitoring Protocol

10

10

19

190

115.22

21,892

SMI/SED

Demonstration Monitoring Report

Template (Annual)

10

10

10

100

115.22

11,522

SMI/SED

Demonstration Monitoring Report

Template (Quarterly)

10

30

7

210

115.22

24,196

SMI/SED

Demonstration Monitoring Metrics

Workbook (Year 1)

10

10

164

1,640

92.92

152,389

Requirement

No.

Respondents

Total Responses

Time per Responses (hours)

Total Annual

Time (hours)

Labor Cost ($/hr)

Total Annual Cost ($)

SMI/SED

Demonstration Monitoring Metrics Workbook

(Subsequent Years)

10

10

68

680

92.92

63,186

SMI/SED

Current Availability Assessment

(Annual -Year 1)

10

10

20

200

115.22

23,044

SMI/SED

Current Availability Assessment

(Subsequent Years)

10

10

8

80

115.22

9,218

SMI/SED

Demonstration Implementation Interview (NEW)

7

14

1

14

73.84

1033.76

TOTAL

Varies

114

Varies

3,314

Varies

327,740.76


Information Collection Instruments and Instruction/Guidance Documents


  1. - Video: Overview of the Standardized Monitoring Report Process (8:59 minutes) (see https://cvpcorp-1115pmda.adobeconnect.com/pqopfoy48idv/) (No changes)

  2. - Video: Populating and Submitting Monitoring Templates (8:24 minutes) (see https://cvpcorp- 1115pmda.adobeconnect.com/pklt7cdlhgjl/) (No changes)

  3. - Video: Downloading 1115 Monitoring Report Templates (2:59 minutes) (see https://cvpcorp- 1115pmda.adobeconnect.com/p4l83cvhhqda/) (No changes)

  4. - Implementation Plan Template (smi-impl-plan-template.pdf) (No Changes)

5a - Monitoring Report Template (SMI_MonReportTemp.v2.docx) (No Changes) 5b - Monitoring Report Workbook (SMI_MonReportWB.v2.xlsm)( No Changes) 5c - Monitoring Report Instructions (SMI_MonReportInstr.v2.pdf)( No Changes)

6 - Monitoring Metrics Technical Specifications (1115_SMI_TechSpecsManualV2.pdf) (No Changes)

7a - Monitoring Protocol Template (SMI_MonProtocolTemp.v2.docx) (No Changes) 7b - Monitoring Protocol Workbook (SMI_MonProtocolWB.v2.xlsx)( No Changes) 7c - Monitoring Protocol Instructions (SMI_MonProtocolInstr.v2.pdf) (No Changes)

8 - Initial Availability Assessment (SMI_InitialAvailAssessment_v2.xlsm) (No Changes) 9 - HIT Plan Instructions (SMI_SED_HIT_Plan_Instructions.pdf) (No Changes)

10 - State Medicaid Directors letter (SMDL) #18-011 (smd18011.pdf) (No Changes)

11. Documents associated with the SMI/SED Demonstration Implementation Interview


11a - SMI/SED Demonstration Implementation Interview Introductory Email from CMS to State Medicaid Director and Single State Mental Health Agency Director - CMS will send an email, prepared by RTI, to the Medicaid directors and directors of the single state agency for mental health to introduce RTI and request the state’s participation in this data collection (New).

11b - SMI/SED Demonstration Implementation Interview Email Invitation - RTI will send an interview invitation via email and schedule a 60-minute interview with respondents (New).

11c - SMI/SED Demonstration Implementation Interview Confirmation Email This email will be sent immediately upon scheduling a date and time for the interview, thanking the respondent for agreeing to be interviewed and providing instructions for connecting to the interview using telephone and/or Zoom videoconferencing technology. (New).

11d - SMI/SED Demonstration Implementation Interview Outlook Invitation RTI will send an interview invitation after receiving a date and time from the respondent. The invitation includes the agreed upon date and time of the interviews, instructions on how to join the call using a telephone or computer, and the Zoom conference call information (New).

11e - SMI/SED Demonstration Implementation Interview Reminder Email A reminder email will be sent to the interviewee prior to the interview call (New).

11f - SMI/SED Demonstration Implementation Interview Protocol with Instructions - The Interview protocol starts with an introduction that informs the interviewee that participation in the interview is voluntary and confidential and the participant can refuse to respond to questions they do not want to answer. It also requests permission to record the call. Interviewer’s instructions, prompts, and indications of important questions are indicated in this document (New).

11g - SMI/SED Demonstration Implementation Interview Thank You Email A thank you email will be sent to the interviewee following the interview call (New).

  1. E. Timeline


Our 14-day notice published in the Federal Register on May 5, 2022 (87 FR 26358). Comments must be received by May 18, 2022.


The Federal Meta-Analysis Support contract for section 1115 demonstrations was awarded by CMS to RTI on September 24, 2018, and consists of a base year and four options years, terminating on September 23, 2023. The planned schedule for data collection activities for which PRA clearance is requested in this package, those related to the SMI/SED Demonstration Implementation Interviews with State Administrators, is provided in the following chart.

Considering the current COVID-19 pandemic, interviews may be delayed based on states’ availability. Dates in the timeline are all shown relative to OMB clearance.

Timeline for SMI/SED Demonstration Implementation Interviews (New)

Data Collection Activity

Dates

SMI/SED Demonstration Implementation Interviews with State Administrators

Week following OMB Clearance and CMS Approval for Interviews

CMS to send introductory emails to state administrators

Week 2

RTI to send email invitations to states

Week 2

Reminder emails sent to state administrators

Weeks 2 - 5

SMI/SED Demonstration Implementation Interviews*

Weeks 3 - 10

RTI send draft RCR on programmatic changes and case study reports to CMS

Week 16

*Potential COVID-19 related delays, interviews are dependent on state staff availability

1


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