GenIC #66 Compliance Assessment and Plan for Federal Medicaid and

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

Compliance Template (2024 version 1)

OMB: 0938-1148

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Compliance Template:
Assessment and Plan for Compliance with All Federal Medicaid and CHIP Renewal Requirements
This template is intended to support state compliance with federal Medicaid and Children’s Health Insurance Program (CHIP) renewal
requirements described at 42 C.F.R. §435.916 and §457.343. Every state must submit a completed template to the Centers for Medicare &
Medicaid Services (CMS), which includes:
• Assessment and evidence of compliance status
•

Descriptions of all redetermination requirement deficiencies

•

Plan, including key activities and milestones/timelines, for resolving each deficiency

•

Date by which the state will achieve compliance with each renewal requirement, if not already compliant

•

Mitigations, including 1902(e)(14) waivers and other strategies that the state proposes maintaining or implementing until the state is in
compliance with each renewal requirement
DEADLINE: Completed template must be submitted by December 20, 2024.

Instructions: This template is organized by Medicaid and CHIP renewal requirement. In each section, states should assess compliance and
indicate any compliance deficiencies, as well as the state’s plan for coming into compliance with the requirement, as detailed below. States
should review all relevant regulations and available guidance before completing their compliance assessment to ensure understanding and
alignment with requirements. CMS will provide additional renewal guidance and clarifications related to renewal compliance throughout Fall of
2024. Compliance will be assessed based on regulations in effect when the template is submitted, unless otherwise noted. For current renewal
guidance, as well as more information on resources and strategies, please visit Medicaid.gov. In addition, states can contact their state lead for
technical assistance. CMS will review submissions and will work with states to provide approval of compliance plans, including mitigation strategies.
Please complete each section of the template according to the instructions listed below:
1. Assessment: After reviewing all CMS renewal guidance and assessing state systems, policies, and operations, please select whether
your state is compliant or noncompliant for each requirement listed.
2. Evidence of compliance: For areas in compliance, including areas with deficiencies that have been addressed, please list documentation or
other evidence submitted to demonstrate compliance with requirements. CMS will provide additional guidance on appropriate
documentation and other evidence of renewal compliance, which could include systems, policy, and operational documentation.
3. Description of policies and processes: Please describe the policies and processes, including system functionality, that support your
Assessment and Plan for Compliance with Federal Medicaid and CHIP Renewal Requirements

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assessment with each requirement in each section. Please explain how these policies and procedures are consistent with the
compliance assessment.
4. Description of compliance deficiencies: Please include a description of any deficiencies in compliance with the regulatory requirement.
5. Key activities and milestones for resolving each deficiency: Please list major milestones towards resolving each deficiency and
achieving compliance with the associated timelines. Milestones could include advance planning document (APD) submissions,
system releases, process changes, or other activities required for reaching compliance. If states require more than the formatted
number of rows available in each table, continue the table in a separate document and attach the document as an appendix to the
compliance plan.
o

Deficiency: Please describe the relevant deficiency noted in the assessment. If the deficiency will have multiple activities
listed in the table, this column of the subsequent table rows associated with the same deficiency can be left blank.

o

Key Activity: Please list the high-level activities or steps the state will undertake to resolve each deficiency. Each activity should
be listed on its own row in the table. For example, updating system functionality, revising notice language, and updating
worker processes would each be separate activities. As applicable, states are encouraged to consider required system changes,
vendor procurement, submission of APDs, systems testing, submission of state plans and requests for additional authorities,
updates to state policy and operations, adoption of new data sources, staff training, etc.

o

Targeted Timeline: Please list the timeline for completing the listed activity. Please include any key milestone dates.

o

APD (Date): If an APD will be submitted or has been submitted to support completion of an activity, please indicate that
here, along with the anticipated/completed submission date.

o

Status: Please describe the status of the activity (not started, in progress, completed), including any delays in
implementation or additional support needed from CMS and provide regular updates to CMS as activities are completed
and compliance is achieved for each requirement.

6. Date by which state will achieve compliance with the renewal requirement: Enter the date by which the state will achieve
compliance with the redetermination requirements in that section of the template. If the state has multiple deficiencies within a
section, enter the date by which all deficiencies will be resolved.
7. Mitigations state will maintain or implement until compliant with the renewal requirement: List any mitigations for the relevant
redetermination requirement that the state proposes maintaining or implementing until it achieves compliance. Please include any
section 1902(e)(14) flexibilities and the rationale.
8. Additional notes (optional): Add any details not captured elsewhere in the table as needed. This section is not required.

Assessment and Plan for Compliance with Federal Medicaid and CHIP Renewal Requirements

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State:
Medicaid Director:
State point of contact for compliance plan:
Date of compliance plan submission:
ASSESSMENT OF AND PLAN FOR COMPLIANCE WITH FEDERAL MEDICAID AND CHIP RENEWAL REQUIREMENTS
A. Ex Parte Renewals: States must first attempt to conduct a renewal for all beneficiaries based on available information, without requiring
information from the individual (an ex parte renewal) (42 C.F.R. §435.916(b)(1); 42 C.F.R. §457.343).
1. Assessment: Select current status of compliance with the requirements below.
Compliant

Noncompliant Requirement

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1. Ex parte renewals conducted for Modified Adjusted Gross Income (MAGI) populations at the individual level

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2. Ex parte renewals conducted for non-MAGI populations at the individual level

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3. Other (please specify)

2. Evidence of compliance: Please list documentation or other evidence submitted to demonstrate compliance with requirements specified above.

3. Description of policies and processes: Please describe how your state has implemented ex parte for MAGI and non-MAGI populations in your
systems and program operations, including policies and processes for use of data sources, automated processes, and ensuring accurate
determinations.

4. Description of compliance deficiencies: Please include a description of any deficiencies in compliance with the regulatory requirement.

Assessment and Plan for Compliance with Federal Medicaid and CHIP Renewal Requirements

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5. Key activities and milestones for resolving each deficiency described above:
Deficiency

Key Activity

Targeted Timeline

APD (Date)

Status (Not Started/In
Progress/Complete)

6. If not in compliance, date by which state will achieve compliance with ex parte renewal requirements:

7. List mitigations state will maintain or implement until compliant with requirement:

8. Additional notes (optional):

Assessment and Plan for Compliance with Federal Medicaid and CHIP Renewal Requirements

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B. Renewal Form: States must provide a renewal form and request only information needed to determine eligibility when eligibility cannot be
renewed on an ex parte basis. For MAGI beneficiaries, the renewal form must be prepopulated (42 C.F.R. §435.916(b)(2)(i)(A); 42 C.F.R.
§435.916(b)(2)(v); 42 C.F.R. §457.343). 1
1. Assessment: Select current status of compliance with the requirements below.
Compliant

Noncompliant

Requirement
1. Renewal form is provided to all MAGI and non-MAGI individuals for whom the state cannot renew on an ex parte
basis
2. Renewal form is prepopulated with available information needed to renew eligibility for MAGI-based individuals in
all modalities

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3. Renewal form only requests information needed to redetermine eligibility

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4. Other (please specify)

2. Evidence of compliance: Please list documentation or other evidence submitted to demonstrate compliance with requirements specified above.

3. Description of policies and processes: Please describe your policies and processes for generating and providing pre-populated renewal forms,
including system functionality, any automated or manual processes, what information is pre-populated, and how the form is available through all
modalities.

4. Description of compliance deficiencies: Please include a description of any deficiencies in compliance with the regulatory requirement.

CMS released the Streamlining the Medicaid, Children’s Health Insurance Program, and Basic Health Program Application, Eligibility Determination, Enrollment, and Renewal
Processes final rule on April 2, 2024, which modified renewal requirements. While the final rule went into effect June 4, 2024, states have until June 2027 to comply with new
requirements to provide to all MAGI and non-MAGI beneficiaries who cannot be renewed on an ex parte basis a prepopulated renewal form and a minimum of 30 days to return the
form. Until June 2027, CMS will rely on the requirements in effect prior to June 4, 2024, to assess states’ compliance with federal renewal requirements.
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Assessment and Plan for Compliance with Federal Medicaid and CHIP Renewal Requirements

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5. Key activities and milestones for resolving each deficiency described above:
Deficiency

Key Activity

Targeted Timeline

APD (Date)

Status (Not Started/In
Progress/Complete)

6. If not in compliance, date by which state will achieve compliance with renewal form requirements:

7. List mitigations state will maintain or implement until compliant with requirement:

8. Additional notes (optional):

Assessment and Plan for Compliance with Federal Medicaid and CHIP Renewal Requirements

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C. Timeline to Return Renewal Forms: States must provide MAGI beneficiaries with at least 30 days from the date of the pre-populated renewal form
to return the form and provide any additional information requested by the agency (42 C.F.R. §435.916(b)(2)(i)(B); 42 C.F.R. §457.343). Non-MAGI
beneficiaries must be given a reasonable amount of time to return forms and documentation (42 C.F.R. §435.916(b)(2)(i)(B) 2; 42 C.F.R. §435.952).
1. Assessment: Select current status of compliance with the requirements below.
Compliant

Noncompliant

Requirement
1. MAGI-based beneficiaries are provided a minimum of 30 days to return a form and requested
information/documentation

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2. Non-MAGI beneficiaries are provided a reasonable period of time to return a form/needed documentation

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3. Renewal form or related notice for MAGI-based beneficiaries clearly explains that the beneficiary has a minimum
of 30 days

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4. Other (please specify)

2. Evidence of compliance: Please list documentation or other evidence submitted to demonstrate compliance with requirements specified above.

3. Description of policies and processes: Please provide a description of policies and processes for providing and communicating that MAGI-based
beneficiaries have at least 30 days to return the renewal form and non-MAGI beneficiaries have a reasonable period of time (including number of
days provided).

4. Description of compliance deficiencies: Please include a description of any deficiencies in compliance with the regulatory requirement.

CMS released the Streamlining the Medicaid, Children’s Health Insurance Program, and Basic Health Program Application, Eligibility Determination, Enrollment, and Renewal
Processes final rule on April 2, 2024, which modified renewal requirements. While the final rule went into effect June 4, 2024, states have until June 2027 to comply with new
requirements to provide to all MAGI and non-MAGI beneficiaries who cannot be renewed on an ex parte basis a prepopulated renewal form and a minimum of 30 days to return the
form. Until June 2027, CMS will rely on the requirements in effect prior to June 4, 2024, to assess states’ compliance with federal renewal requirements.
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Assessment and Plan for Compliance with Federal Medicaid and CHIP Renewal Requirements

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5. Key activities and milestones for resolving each deficiency described above:
Deficiency

Key Activity

Targeted Timeline

APD (Date)

Status (Not Started/In
Progress/Complete)

6. If not in compliance, date by which state will achieve compliance with renewal form timeline requirements:

7. List mitigations state will maintain or implement until compliant with requirement:

8. Additional notes (optional):

Assessment and Plan for Compliance with Federal Medicaid and CHIP Renewal Requirements

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D. Submit Renewal Form Through All Modalities: All beneficiaries must be able to submit their renewal form through any of the modes of submission
available for submitting an application (i.e., via the internet Web site described in 42 CFR 435.1200(f), by phone, by mail, in person; and through other
commonly available electronic means) (42 C.F.R. §435.916(b)(2)(i)(B); 42 C.F.R. §457.343).
1. Assessment: Select current status of compliance with the requirements below.
MAGI
Non-MAGI
Compliant Noncompliant Compliant Noncompliant Requirement
1. Option for submission of renewal form via the internet website (a web form)
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1a. Accepts electronic signature

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☐

☐

☐

☐

☐

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3. Paper renewal form readily available for submission

☐

☐

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4. In-person submission of renewal form

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5. Other (please specify)

2. Option for phone submission of renewal form
2a. Accepts telephonic signatures

2. Evidence of compliance: Please list documentation or other evidence submitted to demonstrate compliance with requirements specified above.

3. Description of policies and processes: Please provide a description of how the state accommodates submission of renewal forms through each
modality, including how beneficiaries are notified of options, worker actions required, and supporting technology. Please also describe how
electronic and telephonic signatures are collected and stored.

4. Description of compliance deficiencies: Please include a description of any deficiencies in compliance with the regulatory requirement.

Assessment and Plan for Compliance with Federal Medicaid and CHIP Renewal Requirements

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5. Key activities and milestones for resolving each deficiency described above:
Deficiency

Key Activity

Targeted Timeline

APD (Date)

Status (Not Started/In
Progress/Complete)

6. If not in compliance, date by which state will achieve compliance with renewal form submission requirements:

7. List mitigations state will maintain or implement until compliant with requirement:

8. Additional notes (optional):

Assessment and Plan for Compliance with Federal Medicaid and CHIP Renewal Requirements

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E. Reconsideration Period at Renewal: For MAGI beneficiaries whose eligibility has been terminated for failure to return their renewal form or
requested information, if the renewal form and/or necessary information is returned within 90 days after the date of termination, or a longer period
elected by the state, the agency must reconsider the individual’s eligibility without requiring the individual to fill out a new application (42 C.F.R.
§435.916(b)(2)(iii) 3; 42 C.F.R. §457.343).
1. Assessment: Select current status of compliance with the requirements below.
Compliant

Noncompliant

Requirement

☐

☐

1. Reconsideration period available for individuals enrolled on a MAGI basis

☐

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2. Reconsideration period for MAGI-based beneficiaries is no less than 90 days

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3. Other (please specify)

2. Evidence of compliance: Please list documentation or other evidence submitted to demonstrate compliance with requirements specified above.

3. Description of policies and processes: Please provide a description of policies and processes for providing a reconsideration period of at least 90
days for MAGI beneficiaries, including how this is handled in the eligibility system and communicated to beneficiaries.

4. Description of compliance deficiencies: Please include a description of any deficiencies in compliance with the regulatory requirement.

The requirement for compliance with the regulation to provide a minimum 90-day reconsideration period at renewal for individuals disenrolled from a non-MAGI
group will be effective in June 2027 and will be evaluated separately.

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Assessment and Plan for Compliance with Federal Medicaid and CHIP Renewal Requirements

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5. Key activities and milestones for resolving each deficiency described above:
Deficiency

Key Activity

Targeted Timeline

APD (Date)

Status (Not Started/In
Progress/Complete)

6. If not in compliance, date by which state will achieve compliance with the reconsideration period renewal requirements:

7. List mitigations state will maintain or implement until compliant with requirement:

8. Additional notes (optional):

Assessment and Plan for Compliance with Federal Medicaid and CHIP Renewal Requirements

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F. Determine Eligibility on All Bases: States are required to consider eligibility on all bases prior to determining an individual is ineligible for Medicaid
(42 C.F.R. § 435.916(d)(1); 42 C.F.R. § 435.916(b)).
1. Assessment: Select current status of compliance with the requirements below.
Compliant

Noncompliant

Requirement

☐

☐

1. Individuals enrolled on a MAGI basis are screened for other MAGI eligibility groups and potential eligibility on a nonMAGI basis prior to determining an individual is ineligible, terminating coverage, and transferring the individual to
another insurance affordability program

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☐

2. Individuals enrolled on a basis other than MAGI are screened for other non-MAGI groups and potential MAGI
eligibility prior to determining an individual is ineligible, terminating coverage, and transferring the individual to
another insurance affordability program

☐

☐

3. State requests additional information from individuals to consider eligibility on another basis without requiring the
individual to submit a new application

☐

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4. Other (please specify)

2. Evidence of compliance: Please list documentation or other evidence submitted to demonstrate compliance with requirements specified above.

3. Description of policies and processes: Please provide a description of policies and processes for determining eligibility on all bases at renewal,
including how this is processed in the eligibility system and communicated to beneficiaries.

4. Description of compliance deficiencies: Please include a description of any deficiencies in compliance with the regulatory requirement.

Assessment and Plan for Compliance with Federal Medicaid and CHIP Renewal Requirements

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5. Key activities and milestones for resolving each deficiency described above:
Deficiency

Key Activity

Targeted Timeline

APD (Date)

Status (Not Started/In
Progress/Complete)

6. If not in compliance, date by which state will achieve compliance with the requirement to determine eligibility on all bases:

7. List mitigations state will maintain or implement until compliant with requirement:

8. Additional notes (optional):

Assessment and Plan for Compliance with Federal Medicaid and CHIP Renewal Requirements

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G. Determine Potential Eligibility for Other Programs & Transfer Account: For beneficiaries who are determined ineligible for Medicaid and CHIP, the
agency must determine potential eligibility for other insurance affordability programs and timely transfer the beneficiary’s electronic account to such
program (42 C.F.R. §§ 435.916(d)(2) and 435.1200(e); 42 C.F.R. §457.343 and 457.350(b)). 4
1. Assessment: Select current status of compliance with the requirements below.
Compliant

Noncompliant

Requirement

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☐

1. Individuals’ accounts are transferred to the Marketplace timely (MAGI)

☐

☐

2. Individuals’ accounts are transferred to the Marketplace timely (non-MAGI)

☐

☐

3. Other (please specify)

2. Evidence of compliance: Please list documentation or other evidence submitted to demonstrate compliance with requirements specified above.

3. Description of policies and processes: Please provide a description of policies and processes for determining potential eligibility for other
programs and transferring the account, including how this is handled in the eligibility system and communicated to beneficiaries.

4. Description of compliance deficiencies: Please include a description of any deficiencies in compliance with the regulatory requirement.

CMS will evaluate compliance with new requirements from the Streamlining the Medicaid, Children’s Health Insurance Program, and Basic Health Program
Application, Eligibility Determination, Enrollment, and Renewal Processes rule separately. This includes compliance with new requirements for transitioning accounts
for certain individuals no longer eligible for Medicaid to a separate CHIP and to the Marketplace (§§ 431.10, 435.1200(b),(e) and (h), 457.340(f), 457.348, 457.350(b)
and (e)).
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Assessment and Plan for Compliance with Federal Medicaid and CHIP Renewal Requirements

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5. Key activities and milestones for resolving each deficiency described above:
Deficiency

Key Activity

Targeted Timeline

APD (Date)

Status (Not Started/In
Progress/Complete)

6. If not in compliance, date by which state will achieve compliance with the requirement to determine potential eligibility for other programs and
transfer the account:

7. List mitigations state will maintain or implement until compliant with requirement:

8. Additional notes (optional):

Assessment and Plan for Compliance with Federal Medicaid and CHIP Renewal Requirements

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H. Renew Eligibility Once Every 12 Months: States are required to renew eligibility once every 12 months for beneficiaries determined on a MAGI
basis in Medicaid and CHIP and at least once every 12 months for beneficiaries determined eligible for Medicaid on a non-MAGI basis (42 C.F.R. §
435.916(a)(1) 5; 42 C.F.R. §457.343).
1. Assessment: Select current status of compliance with the requirements below.
Compliant

Noncompliant

Requirement

☐

☐

1. Eligibility redetermination conducted once every 12 months and not more than once every 12 months for MAGI
populations

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☐

2. Eligibility redetermination conducted at least once every 12 months for non-MAGI populations

☐

☐

3. Other (please specify)

2. Evidence of compliance: Please list documentation or other evidence submitted to demonstrate compliance with requirements specified above.

3. Description of policies and processes: Please provide a description of policies and processes for renewing eligibility once every 12 months for
MAGI beneficiaries and at least once every 12 months for non-MAGI beneficiaries, including how this is handled in the eligibility system and
communicated to beneficiaries.

4. Description of compliance deficiencies: Please include a description of any deficiencies in compliance with the regulatory requirement.

CMS released the Streamlining the Medicaid, Children’s Health Insurance Program, and Basic Health Program Application, Eligibility Determination, Enrollment, and
Renewal Processes final rule on April 2, 2024, which modified renewal requirements. While the final rule went into effect June 4, 2024, states have until June 2027 to
comply with new requirements to conduct renewals once and only once every 12 months for almost all beneficiaries, including those enrolled on a non-MAGI basis.
Until June 2027, CMS will rely on the requirements in effect prior to June 4, 2024, to assess states’ compliance with federal renewal requirements.

5

Assessment and Plan for Compliance with Federal Medicaid and CHIP Renewal Requirements

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5. Key activities and milestones for resolving each deficiency described above:
Deficiency

Key Activity

Targeted Timeline

APD (Date)

Status (Not Started/In
Progress/Complete)

6. If not in compliance, date by which state will achieve compliance with the requirement to renew eligibility once every 12 months:

7. List mitigations state will maintain or implement until compliant with requirement:

8. Additional notes (optional):

Assessment and Plan for Compliance with Federal Medicaid and CHIP Renewal Requirements

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I. Other: If CMS requests information on additional renewal requirements, that information can be included in this section. Please list specific
additional requirements below with the regulatory citation.
1. Assessment: Select current status of compliance with the requirements below.
Compliant

Noncompliant

Requirement

☐

☐

1. Requirement:

☐

☐

2. Requirement:

☐

☐

3. Requirement:

2. Evidence of compliance: Please list documentation or other evidence submitted to demonstrate compliance with requirements specified above.

3. Description of policies and processes: Please provide a description of policies and processes related to this requirement.

4. Description of compliance deficiencies: Please include a description of any deficiencies in compliance with the regulatory requirement.

Assessment and Plan for Compliance with Federal Medicaid and CHIP Renewal Requirements

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5. Key activities and milestones for resolving each deficiency described above:
Deficiency

Key Activity

Targeted Timeline

APD (Date)

Status (Not Started/In
Progress/Complete)

6. If not in compliance, date by which state will achieve compliance with renewal requirements:

7. List mitigations state will maintain or implement until compliant with requirement:

8. Additional notes (optional):

Assessment and Plan for Compliance with Federal Medicaid and CHIP Renewal Requirements

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PRA Disclosure Statement States have an obligation to conduct redeterminations of eligibility
for all individuals enrolled in Medicaid and CHIP in compliance with all existing federal
requirements at 42 CFR 435.916 and 457.343. It is critical that states ensure their compliance
with federal renewal requirements to help individuals eligible for Medicaid or CHIP successfully
renew their coverage. To confirm compliance with these regulations, CMS is providing a
template for states to indicate their current compliance status with renewal regulations, describe
policies and processes, and identify planned mitigations for any identified deficiencies.
Completion of the template is required for all states, with updates provided as states with
compliance deficiencies inform CMS of progress and come into compliance with requirements.
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 0938-1148 (CMS-10398
#66). The time required to complete this information collection is estimated to average 40
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.


File Typeapplication/pdf
File TitleCompliance Template
SubjectTemplate to support state assessment and plans for compliance with federal Medicaid and CHIP renewal requirements.
AuthorCenter for Medicaid and CHIP Services
File Modified2024-07-18
File Created2024-07-18

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