CMS-10565,
OMB
0938-1296
Crosswalk
Document Attachment
A –
Model
of
Care
Matrix
Document
Change
2022 (Current version) |
2025 (new version) |
Type of |
Reason for Change |
Burden Change |
ATTACHMENT B Revised Model of Care Matrix Upload Document |
Deleted |
Del |
CMS eliminated MOC Matrix B as all MOC requirements for an initial, renewal and off-cycle submissions are now included in Attachment A, Model of Care Matrix Document. |
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ATTACHMENT B Dual Eligible Special Needs Plan Model of Care Questionnaire |
Deleted |
Del |
In response to public comments, CMS eliminated the proposed Dual Eligible Special Needs Plan Model of Care Questionnaire |
Budget Neutral |
Element A: Description of the Overall SNP Population The identification and comprehensive description of the SNP-specific population is an integral component of the MOC because all of the other elements depend on the firm foundation of a comprehensive population description. The organization must provide information about its local target population in the service areas covered under the contract. Information about national population statistics is insufficient. It must provide an overview that fully addresses the full continuum of care of current and potential SNP beneficiaries, including end- of-life needs and considerations, if relevant to the target population served by the SNP. |
MOC Element 1: Description of the Overall SNP Population A comprehensive description of the SNP population is an integral component of the MOC and provides the foundation for care coordination, the provider network and quality performance and improvement. The organization must provide information about its local target population in the service areas covered under the contract, and address the full continuum of care, including end of life needs and considerations for current and potential SNP enrollees. |
Rev |
These revisions were made to streamline the language of this element. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
Change
2022 (Current version) |
2025 (new version) |
Type of |
Reason for Change |
Burden Change |
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MOC Element 1A: Description of the Overall SNP Population and Most Vulnerable Enrollees |
New |
This is a new subheading of a MOC element. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
Element 1A: Description of the Overall SNP Population Clear documentation of how the health plan staff determines or will determine, verify, and track eligibility of SNP enrollees. |
Deleted |
Del |
This element content was removed to streamline the requirements. We do note that this requirement is an existing operational requirement for SNPs, however, it will no longer be captured as part of the MOC submission. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
New language |
MOC Element 1A: Description of the Overall SNP Population and Most Vulnerable Enrollees
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New |
This is new language and requirements that have been added to Element 1A to clarify the requirements. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
Change
2022 (Current version) |
2025 (new version) |
Type of |
Reason for Change |
Burden Change |
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Element 1A: Description of the Overall SNP Population
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MOC Element 1A: Description of the Overall SNP Population and Most Vulnerable Enrollees
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Rev |
These are revisions for clarity and/or moved/reordered from a previous location; and to align with Executive Order 14168 |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
Change
2022 (Current version) |
2025 (new version) |
Type of |
Reason for Change |
Burden Change |
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specific information about actual and/or potential health disparities (e.g., language barriers, deficits in health literacy, poor socioeconomic status, housing, food, transportation insecurities, cultural beliefs/barriers, caregiver considerations, etc.), and the associated challenges these characteristics pose.
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New language |
MOC Element 1A: Description of the Overall SNP Population and Most Vulnerable Enrollees
Note: SNPs must differentiate between the general SNP population from the most vulnerable enrollees. |
New |
This is new language that has been added to Element 1A to clarify the requirements. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
Change
2022 (Current version) |
2025 (new version) |
Type of |
Reason for Change |
Burden Change |
Element B: Sub-Population: Most Vulnerable Enrollees As a SNP, you must include a complete description of the specially-tailored services for beneficiaries considered especially vulnerable using specific terms and details (e.g., members with multiple hospital admissions within three months, “medication spending above $4,000”). The description must differentiate between the general SNP population and that of the most vulnerable members, as well as detail additional benefits above and beyond those available to general SNP members. |
Deleted |
Del |
This element content was removed to streamline the requirements. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
Element B: Sub-Population: Most Vulnerable Enrollees
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MOC Element 1B: Services for the Most Vulnerable Enrollees
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Rev |
These are revisions in order to streamline, clarify, and eliminate redundancies. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
Change
2022 (Current version) |
2025 (new version) |
Type of |
Reason for Change |
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with community organizations that either provide, facilitate, or assist in identifying resources for the most vulnerable enrollees and/or their caregivers, including the processes to support and/or maintain these partnerships and facilitate access to community services. |
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Element B: Sub-Population: Most Vulnerable Enrollees A description of the relationship between the demographic characteristics of the most vulnerable enrollees and their unique clinical requirements. Explain in detail how the average age, gender, ethnicity, language barriers, deficits in health literacy, poor socioeconomic status, and other factor(s) affect the health outcomes of the most vulnerable enrollees. |
Deleted |
Del |
This content was removed to streamline and eliminate redundancies from the requirements. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
New language |
MOC Element 1B: Services for the Most Vulnerable Enrollees Include a list of the partnerships and available services specific to the service area. Explain any challenges associated with the establishment of partnerships with community organizations that impact the ability to connect enrollees to specific community services. |
New |
This is new language that has been added to Element 1B to clarify the requirements. Adding new factor based on comments to the 60-day package. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
Change
2022 (Current version) |
2025 (new version) |
Type of |
Reason for Change |
Burden Change |
New language |
MOC Element 1B: Services for the Most Vulnerable Enrollees Note: SNPs renewing their contract(s) after year two of operations must provide their own historical data instead of other local, national, or proxy data. |
New |
This is new language that has been added to Element 1B to clarify the requirements. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
2. Care Coordination Care coordination helps ensure that SNP enrollees’ healthcare needs, preferences for health services, and information sharing across healthcare staff and facilities are met over time. Care coordination maximizes the use of effective, efficient, safe, and high-quality patient services that ultimately lead to improved healthcare outcomes, including services furnished outside the SNP’s provider network as well as the care coordination roles and responsibilities overseen by the enrollees’ caregiver(s). The following MOC sub-elements are essential components to consider in the development of a comprehensive care coordination program; no sub-element must be interpreted as being of greater importance than any other. All five sub-elements below, taken together, must comprehensively address the SNP’s care coordination activities. |
MOC Element 2: Care Coordination Care coordination involves deliberate organization and communication of health care activities with stakeholders, including providers both inside and outside of the SNP’s network, to help ensure that enrollees health care needs, preferences for services, and information sharing across health care settings are met. Effective care coordination ultimately leads to improved enrollee outcomes. The description of care coordination must include but not be limited to the following: |
Rev |
These are revisions in order to streamline, clarify, and eliminate redundancies. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
Change
2022 (Current version) |
2025 (new version) |
Type of |
Reason for Change |
Burden Change |
Element A: SNP Staff Structure
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MOC Element 2A: SNP Staff Structure
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Rev |
These are revisions in order to streamline, clarify, and eliminate redundancies. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
Change
2022 (Current version) |
2025 (new version) |
Type of |
Reason for Change |
Burden Change |
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Element A: SNP Staff Structure Employed and/or contracted staff who perform administrative functions, such as: enrollment and eligibility verification, claims verification and processing, etc. |
Deleted |
Del |
This element content was removed to streamline the requirements. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
Element B: Health Risk Assessment Tool (HRAT) The quality and content of the HRAT should identify the medical, functional, cognitive, psychosocial, and mental health needs of each SNP enrollee. The content of, and methods used to conduct the HRAT have a direct effect on the development of the Individualized Care Plan (ICP) and ongoing coordination of Interdisciplinary Care Team (ICT) activities; therefore, it is imperative that the MOC include the following: |
Deleted |
Del |
This element content was removed to streamline the requirements. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
Change
2022 (Current version) |
2025 (new version) |
Type of |
Reason for Change |
Burden Change |
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Element B: Health Risk Assessment Tool (HRAT)
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MOC Element 2B: Health Risk Assessment (HRA)
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Rev |
These are revisions in order to streamline, clarify, and eliminate redundancies. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
Change
2022 (Current version) |
2025 (new version) |
Type of |
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Burden Change |
information to the ICT, provider network, enrollees and/or their caregiver(s), as well as other SNP personnel that may be involved with overseeing the SNP enrollee’s ICP. If stratified results are used, include a detailed description of how the SNP uses the stratified results to improve the care coordination process. |
their caregiver(s) or designated representative, as well as other SNP personnel that may be involved with overseeing the SNP enrollee’s ICP. |
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New language |
MOC Element 2B: Health Risk Assessment (HRA)
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New |
This is new language that has been added to Element 2B to clarify the requirements. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
Element C: Face-to-Face Encounter
A face-to face encounter must be conducted between the SNP and each consenting enrollee no less than on an annual basis. Face-to-face encounters can be conducted in-person or through remote technology, such as telehealth, and must occur within the first 12 months of enrollment. The face-to face encounter is part of |
Deleted |
Rev |
Deleted introductory paragraph to improve readability and to shorten document. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently |
Change
2022 (Current version) |
2025 (new version) |
Type of |
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Burden Change |
the overall care management strategy, and as a result, the MOC must include the following: |
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approved by OMB. |
Element C: Face-to-Face Encounter
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MOC Element 2C: Face-to-Face Encounter
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Rev |
These are revisions in order to streamline, clarify, and eliminate redundancies. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
Change
2022 (Current version) |
2025 (new version) |
Type of |
Reason for Change |
Burden Change |
New language |
MOC Element 2C: Face-to-Face Encounter
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New |
This is new language that has been added to Element 2C to clarify the requirements. Adding new text in response to comments to the 60-day package. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
Element D: Individualized Care Plan (ICP)
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MOC Element 2D: Individualized Care Plan (ICP)
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Rev |
These are revisions in order to streamline, clarify, and eliminate redundancies. Adding new text in response to comments to the 60-day package. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
Change
2022 (Current version) |
2025 (new version) |
Type of |
Reason for Change |
Burden Change |
development of the ICP, how the enrollee and/or his/her caregiver(s) or representative(s) are involved in its development, and how often the ICP is reviewed and modified as the enrollee’s healthcare needs change. If a stratification model is used for determining SNP enrollees’ healthcare needs, then each SNP must provide a detailed explanation of how the stratification results are incorporated into each enrollee’s ICP.
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specifically tailored to the enrollee’s needs; and role of the caregiver(s).
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New language |
MOC Element 2D: Individualized Care Plan (ICP)
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New |
This is new language that has been added to Element 2D to clarify the requirements. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
Change
2022 (Current version) |
2025 (new version) |
Type of |
Reason for Change |
Burden Change |
Element E: Interdisciplinary Care Team (ICT)
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MOC Element 2E: Interdisciplinary Care Team (ICT)
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Rev |
These are revisions in order to streamline, clarify, and eliminate redundancies. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
Change
2022 (Current version) |
2025 (new version) |
Type of |
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interdisciplinary care process is being conducted.
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effective and ongoing communication between SNP personnel, the ICT, enrollees, caregiver(s), community organizations, and other stakeholders.
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New language |
MOC Element 2E: Interdisciplinary Care Team (ICT)
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New |
This is new language that has been added to Element 2E to clarify the requirements. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
Change
2022 (Current version) |
2025 (new version) |
Type of |
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Burden Change |
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that the plan does not cover, if applicable. |
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New language |
MOC Element 2E: Interdisciplinary Care Team (ICT) D-SNPs: Explain how the ICT coordinates with Medicaid providers when there are needed Medicaid-covered medical or social services that the plan does not cover, if applicable. |
New |
This is a new requirement that has been added to Element 2E and applies only to D-SNPs. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
Element F: Care Transitions Protocols
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MOC Element 2F: Care Transitions Protocols
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Rev |
These are revisions in order to streamline, clarify, and eliminate redundancies. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
Change
2022 (Current version) |
2025 (new version) |
Type of |
Reason for Change |
Burden Change |
2A.
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2025 (new version) |
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Element F: Care Transitions Protocols Describe how the beneficiary and/or caregiver(s) are informed about who their point of contact is throughout the transition process. |
Deleted |
Del |
This element content was removed to streamline the requirements. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
New language |
MOC Element 2F: Care Transitions Protocols
D-SNP: Explain how the plan coordinates with providers of any Medicaid covered services during a care transition, where applicable. |
New |
This is new language that has been added to Element 2F to clarify the requirements. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
New language |
MOC Element 2F: Care Transitions Protocols
D-SNPs: Explain how the plan coordinates with providers of any Medicaid covered services during a care transition, where applicable. |
New |
This is a new requirement that has been added to Element 2E and applies only to D-SNPs. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by |
Change
2022 (Current version) |
2025 (new version) |
Type of |
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OMB. |
3. SNP Provider Network The SNP Provider Network is a network of healthcare providers who are contracted to provide health care services to SNP beneficiaries. The SNP is responsible for a network description that must include relevant facilities and practitioners necessary to address the unique or specialized health care needs of the target population as identified in MOC 1, and provide oversight information for all of its network types. Each SNP is responsible for ensuring their MOC identifies, fully describes, and implements the following for its SNP Provider Network: |
MOC Element 3: SNP Provider Network The SNP Provider Network is a network of health care providers who are contracted to provide health care services to SNP enrollees. The SNP is responsible for maintaining a network that includes relevant facilities and practitioners necessary to address the unique or specialized health care needs of the target population. The description of the SNP provider network must include but not be limited to the following: |
Rev |
These are revisions in order to streamline, clarify, and eliminate redundancies. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
Element A: Specialized Expertise
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MOC Element 3A: Specialized Expertise Provide a detailed description of the specialized expertise available to enrollees in the SNP’s provider network.
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Rev |
These are revisions in order to streamline, clarify, and eliminate redundancies. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
Change
2022 (Current version) |
2025 (new version) |
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providers with demonstrated experience and training in the applicable specialty, or area of expertise, in treating individuals that are similar to the target population.
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licensure in treating individuals that are similar to the target population.
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Change
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2025 (new version) |
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New language |
MOC Element 3A: Specialized Expertise Describe how the SNP maintains current information on providers, including the process and frequency used to make updates to ensure an accurate provider network directory. |
New |
This is new language that has been added to Element 3A to clarify the requirements. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
Element B: Use of Clinical Practice Guidelines & Care Transitions Protocols
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MOC Element 3B: Use of Clinical Practice Guidelines & Care Transitions Protocols
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Rev |
These are revisions in order to streamline, clarify, and eliminate redundancies. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
Change
2022 (Current version) |
2025 (new version) |
Type of |
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Burden Change |
maintain continuity of care for the SNP beneficiary as outlined in MOC Element 2E. |
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Element C: MOC Training for the Provider Network
audio/video-conferencing, and availability of instructional materials via the SNP plans’ website.
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MOC Element 3C: MOC Training for Provider Network Staff
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Rev |
These revisions are for clarity and streamlining. Also, the MOC training requirements in this section now target provider staff rather than direct care provider staff. This is aimed at decreasing provider burden. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
Change
2022 (Current version) |
2025 (new version) |
Type of |
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required MOC training has not been completed or is found to be deficient in some way. |
and out-of-network provider staff and provide strategies the SNP will implement to facilitate compliance (e.g., how the SNP will work with providers to connect with the appropriate staff and facilitate completion of the trainings) . |
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New language |
MOC Element 3C: MOC Training for Provider Network Staff
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New |
This is new language that has been added to Element 3C to clarify the requirements. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
4. MOC Quality Measurement & Performance Improvement
The goals of performance improvement and quality measurement are to improve the SNP’s ability to deliver healthcare services and benefits to its SNP beneficiaries in a high-quality manner. Achievement of those goals may result from increased organizational effectiveness and efficiency by incorporating quality measurement and performance improvement concepts used |
MOC Element 4: MOC Quality Measurement & Performance Improvement The goals of performance improvement and quality measurement are to improve the SNP’s ability to deliver high quality health care services and benefits to SNP enrollees in a timely manner. The SNPs’ leadership team and governing body must have a comprehensive quality improvement program in place to measure its current level of performance and a methodology for assessing improvement and distributing performance results. |
Rev |
These are revisions in order to streamline, clarify, and eliminate redundancies. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
Change
2022 (Current version) |
2025 (new version) |
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to drive organizational change. The leadership, managers and governing body of a SNP organization must have a comprehensive quality improvement program in place to measure its current level of performance and determine if organizational systems and processes must be modified based on performance results. |
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New language |
MOC Element 4: MOC Quality Measurement & Performance Improvement SNPs are required to establish measurable goals related to the 1) overall MOC performance, and 2) enrollee health outcomes for the SNP population. MOC Element 4A establishes the SNP’s overall quality performance improvement plan. MOC Element 4B establishes goals for achieving the desired overall MOC performance outcomes (e.g., improving access, affordability, care coordination, etc.), as well as goals for enrollee health outcomes (e.g., improving rates for preventive services and screenings, medication adherence, etc.). The description of the MOC quality measurement and performance improvement plan must include but not be limited to the following: |
New |
This is new language that has been added to Element 4 to clarify the requirements. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
Change
2022 (Current version) |
2025 (new version) |
Type of |
Reason for Change |
Burden Change |
Element A: MOC Quality Performance Improvement Plan
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MOC Element 4A: MOC Quality Performance Improvement Plan
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Rev |
These are revisions in order to streamline, clarify, and eliminate redundancies. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
Element A: MOC Quality Performance Improvement Plan
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MOC Element 4A: MOC Quality Performance Improvement Plan
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Rev |
These are revisions in order to streamline, clarify, and eliminate redundancies. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
Change
2022 (Current version) |
2025 (new version) |
Type of |
Reason for Change |
Burden Change |
performance improvement plan (MOC Element 4B).
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Element B: Measurable Goals & Health Outcomes for the MOC
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MOC Element 4A: MOC Quality Performance Improvement Plan
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Rev |
These are revisions in order to streamline, clarify, and eliminate redundancies. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
New language |
MOC Element 4B: Measurable Goals
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New |
This is new language that has been added to Element 4A to clarify the requirements. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
Change
2022 (Current version) |
2025 (new version) |
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a plan of action if not met.
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Element B: Measurable Goals & Health Outcomes for the MOC
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Overall MOC Performance Goals
Enrollee Health Outcomes Goals
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Rev |
These revisions are to clarify requirements and distinguish between the overall MOC performance goals and enrollee health outcome goals. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
Change
2022 (Current version) |
2025 (new version) |
Type of |
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source(s) that will be used.
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Element C: Measuring Patient Experience of Care (SNP Enrollee Satisfaction)
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MOC Element 4C: Measuring Patient Experience of Care (SNP Member Satisfaction)
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Rev |
These are revisions in order to streamline, clarify, and eliminate redundancies. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
Change
2022 (Current version) |
2025 (new version) |
Type of |
Reason for Change |
Burden Change |
New language |
MOC Element 4C: Measuring Patient Experience of Care (SNP Member Satisfaction)
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New |
This is new language that has been added to Element 4C to clarify the requirements. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
Element D: Ongoing Performance Improvement Evaluation of the MOC
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Deleted |
Del |
Element D was deleted as the requirements were subsumed into MOC element 4B and the former MOC Element 4E, now renamed as 4D. In other words, these requirements were moved to new locations, not completely eliminated. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
Change
2022 (Current version) |
2025 (new version) |
Type of |
Reason for Change |
Burden Change |
Element E: Dissemination of SNP Quality Performance related to the MOC
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MOC Element 4D: Dissemination of MOC Quality Performance Results
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Rev |
These are revisions in order to streamline, clarify, and eliminate redundancies. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently approved by OMB. |
Element D: Ongoing Performance Improvement Evaluation of the MOC
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MOC Element 4D: Dissemination of MOC Quality Performance Results
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Rev |
These are revisions in order to streamline, clarify, and eliminate redundancies. |
Budget Neutral This requirement is consistent with currently approved information tracking practices & does not impose any new or revised burden beyond what is currently |
Change
2022 (Current version) |
2025 (new version) |
Type of |
Reason for Change |
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approved by OMB. |
File Type | application/vnd.openxmlformats-officedocument.wordprocessingml.document |
File Title | CMS 10565, OMB 0938-1296 |
Author | Mitch Bryman |
File Modified | 0000-00-00 |
File Created | 2025-07-01 |