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Meaningful Use Workgroup Improving Care Coordination – Subgroup 3 Charlene Underwood, Chair September 2012.

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Presentation on theme: "Meaningful Use Workgroup Improving Care Coordination – Subgroup 3 Charlene Underwood, Chair September 2012."— Presentation transcript:

1 Meaningful Use Workgroup Improving Care Coordination – Subgroup 3 Charlene Underwood, Chair September 2012

2 Guiding Principles Supports new model of care (e.g., team-based, outcomes-oriented, population management) Addresses national health priorities (e.g., NQS, Million Hearts) Broad applicability (since MU is a floor) − Provider specialties (e.g., primary care, specialty care) − Patient health needs − Areas of the country Promotes advancement -- Not "topped out" or not already driven by market forces Achievable -- mature standards widely adopted or could be widely adopted by 2016 Reasonableness/feasibility of products or organizational capacity Reasonableness/feasibility of products or organizational capacity − Prefer to have standards available if not widely adopted − Don’t want standards to be an excuse for not moving forward MU Workgroup Stage 2 Final Rule2

3 Key to reviewing items Red items are changes from Stage 1 to Stage 2 Blue items are changes from Stage 2 to Stage 3 recommendations MU Workgroup Stage 2 Final Rule3

4 Improve Care Coordination MU Workgroup Stage 2 Final Rule 4 IDStage 1 Final RuleStage 2 Final RuleStage 3 RecommendationsStage 4 Placeholder SGRP30 1 Perform at least one test of the capability to exchange key clinical information Change as of 2013: Objective is no longer required in stage 1 Removed for an actual use caseEliminate for Stage 3 in favor of use cases.N/A SGRP3 02 MENU: Perform medication reconciliation for >50% of transitions of care in which the patient is transitioned into the care of the EP, eligible hospital, or CAH EP/EH CORE Objective: The EP who receives a patient from another setting of care or provider of care or believes an encounter is relevant should perform medication reconciliation. EP/EH CORE Measure: The EP, eligible hospital or CAH performs medication reconciliation for more than 50% of transitions of care in which the patient is transitioned into the care of the EP or admitted to the eligible hospital’s or CAH’s inpatient or emergency department (POS 21 or 23) EP / EH / CAH Objective: The EP, eligible hospital or CAH who receives a patient from another setting of care or provider of care or believes an encounter is relevant should perform reconciliation for: - medications - medication allergies - problems EP / EH / CAH Measure: The EP, EH, or CAH performs reconciliation for medications for more than 50% of transitions of care, and it performs reconciliation for medication allergies, and problems for more than10% of transitions of care in which the patient is transitioned into the care of the EP or admitted to the eligible hospital’s or CAH’s inpatient or emergency department (POS 21 or 23). Reconciliation of contraindications (any medical reason for not performing a particular therapy; any condition, clinical symptom, or circumstance indicating that the use of an otherwise advisable intervention in some particular line of treatment is improper, undesirable, or inappropriate) Improve Care Coordination SGRP302 HITSC Questions: Are there value sets that exist related to the nature of reaction for allergies (i.e. severity)? We are considering including medication allergies for Stage 4. Clinical Operations WG/ Vocabulary Task Force response: Substantial work would have to be done to adapt and further develop existing standards for this purpose but we feel the development of standard value sets could be done within 2 years.

5 Improve Care Coordination MU Workgroup Stage 2 Final Rule5 ID Stage 1 Final Rule Stage 2 Final RuleStage 3 Recommendations SGRP 303 MENU: Provide a summary of care record for >50% of all transitions and referrals of care EP CORE Objective: The EP who transitions their patient to another setting of care or provider of care or refers their patient to another provider of care provides summary care record for each transition of care or referral. EH CORE Objective: The eligible hospital or CAH who transitions their patient to another setting of care or provider of care or refers their patient to another provider of care provides summary care record for each transition of care or referral. CORE Measure: 1. The EP, eligible hospital, or CAH that transitions or refers their patient to another setting of care or provider of care provides a summary of care record for more than 50 percent of transitions of care and referrals. 2. The EP, eligible hospital or CAH that transitions or refers their patient to another setting of care or provider of care provides a summary of care record for more than 10% of such transitions and referrals either a) electronically transmitted using CEHRT to a recipient (b) where the recipient receives the summary of care record via exchange facilitated by an organization that is a NwHIN Exchange participant or in a manner that is consistent with the governance mechanism ONC establishes for the nationwide health information network 3. An EP, eligible hospital or CAH must satisfy one of the following criteria: (1) one (or more) successful electronic exchanges of a summary of care document as part of "measure 2" (for EPs the measure at §495.6(j)(14)(ii)(B) and for eligible hospitals and CAHs the measure at §495.6(l)(11)(ii)(B)) with a recipient who has EHR technology developed by a different EHR developer than the sender’s EHR technology certified to 45 CFR 170.314(b)(2); or (2) conducts one or more successful tests with the CMS designated test EHR during the EHR reporting period. Include the following information if the provider knows it: ● Patient name. ● Referring or transitioning provider's name & office contact information (EP only). ● Procedures. ● Immunizations ● Laboratory test results. ● Vital signs (height, weight, blood pressure, BMI). ● Smoking status. ● Functional status, including activities of daily living, cognitive and disability status ● Demographic information (preferred language, sex, race, ethnicity, date of birth). ● Care plan field, including goals and instructions. ● Care team including the primary care provider of record and any additional known care team members beyond the referring or transitioning provider and the receiving provider. ● Discharge instructions (Hospital Only) ● Reason for referral (EP only) EP/ EH / CAH Objective: EP/EH/CAH who transitions their patient to another setting of care or refers their patient to another provider of care - Provide a summary of care record for each site transition or referral when transition or referral occurs with available information Measure: The EP, eligible hospital, or CAH that site transitions or refers their patient to another setting of care (including home) or provider of care provides a summary of care record for 65% of transitions of care and referrals (and at least 30% electronically). Certification Criteria: EHR is able to set aside a concise narrative section in the summary of care document that allows the provider to prioritize clinically relevant information such as reason for transition and/or referral. Must include the following four for transitions of site of care, and the first for referrals (with the others as clinically relevant): 1. Concise narrative in support of care transitions (free text that captures reason for referral or transition) 2. Setting-specific goals 3. Instructions for care during transition and for 48 hours afterwards 4. Care team members, including primary care provider and caregiver name, role and contact info (using DECAF) Improve Care Coordination 5

6 6 ID Stage 1 Final Rule Stage 2 Final Rule Stage 3 Recommendations Stage 4 Placeholder SGRP3 04 New EP/ EH / CAH Objective: EP/ EH/CAH who transitions their patient to another site of care or refers their patient to another provider of care For each transition of site of care, provide the care plan information, including the following elements as applicable: Medical diagnoses and stages Functional status, including ADLs Relevant social and financial information (free text) Relevant environmental factors impacting patient’s health (free text) Most likely course of illness or condition, in broad terms (free text) Cross-setting care team member list, including the primary contact from each active provider setting, including primary care, relevant specialists, and caregiver The patient’s long-term goal(s) for care, including time frame (not specific to setting) and initial steps toward meeting these goals Specific advance care plan (POLST) and the care setting in which it was executed For each referral, provide a care plan if one exists Measure: The EP, eligible hospital, or CAH that transitions or refers their patient to another site of care or provider of care provides the electronic care plan information for 10% of transitions of care to receiving provider and patient/caregiver. Improve Care Coordination MU Workgroup Stage 2 Final Rule HITSC Questions: What counts as a transition? Definition of a transition? We need a definitional statement about what the care plan refers to. What standards exist for structured data elements to include in summary of care? Clinical Quality response (primary): Typically care plan is free text-- there are places in a consolidated CDA that accommodate text but little is encoded data. There is no standard around defining goals and related interventions for the care plan, but many other elements can be pulled from the EHR. The care plan should be present regardless of transition but should certainly be transmitted at transfers of care. Transitions of greatest concern are separate encounters— hospital to other facility would probably be first step and therefore moving from one encounter to another is a possible definition, although this does not capture the full intent and might still be difficult to define for the denominator. Clinical Operations WG/ Vocabulary Task Force response (secondary): Consolidated CDA currently enables templates for problems, medications, allergies, notes, labs, and care plans. There are no standards to support the structured recording of a number of items listed in the suggested criterion. Much more specific policy requirements for the criterion must be documented quickly to have any hope of using sufficiently mature standards in time for MU3.

7 Improve Care Coordination 7 ID Stage 1 Final Rule Stage 2 Final RuleStage 3 RecommendationsStage 4 Placeholder SGRP30 5 New for Stage 3 EP / EH / CAH Objective (new): EP/EH/CAH to whom a patient is referred acknowledges receipt of external information and provides referral results to the requesting provider, thereby closing the loop on information exchange. Measure: For 10% of patients referred during an EHR reporting period, referral results generated from the EHR are returned to the requestor (e.g. via scan, printout, fax, electronic CDA Care Summary and Consult Report). SGRP12 7 Placeholder for Stage 4 Ability to maintain an up-to-date interdisciplinary problem list inclusive of versioning in support of collaborative care SGRP12 5 Placeholder for Stage 4 Medication reconciliation: create ability to accept data feed from PBM (Retrieve external medication fill history for medication adherence monitoring) MU Workgroup Stage 2 Final Rule Improve Care Coordination HITSC Questions: Are there mature standards available to “close the loop” for this process? What format/infrastructure would you recommend? Clinical Operations WG/ Vocabulary Task Force response :There are no mature standards available to close the loop for this process. Standards for provenance on CDA could be developed but work would have to be done. ONC update: A project our team is leading, 360x, is working to create implementation guidance for closed looped referrals.

8 Objectives not included 8 IDStage 1 Final RuleStage 2 Final RuleStage 3 RecommendationsStage 4 Placeholder SGRP3 06 N/AObjective not included Record health care team members (including at a minimum PCP, if available) for more than 10 percent of all patients seen during the reporting period; this information can be unstructured. We believe that this requirement is better incorporated with other objectives that require summary of care documents and is not necessary as a standalone objective. Included in summary of care document. Added into care summary SGRP3 07 N/AObjective not included Objective/Measure: Record care plan goals and patient instructions in the care plan for more than 10 percent of patients seen during the reporting period. We believe that this requirement is better incorporated with other objectives that require summary of care documents and is not necessary as a standalone objective. Added into care summary Objectives Not Included - Improve Care Coordination MU Workgroup Stage 2 Final Rule Okay to remove these?

9 IE workgroup MU Workgroup Stage 2 Final Rule9

10 Prior Authorization (EHR Certification Criteria) Proposed Use Cases: 1. Medication formulary compliance v.1: prescriber electronically prescribes, EMR reconciles against relevant formulary, if formulary-compliant, prescription transmitted to pharmacy 2. Medication formulary compliance v.2: prescriber electronically prescribes, EMR reconciles against relevant formulary, if NOT formulary-compliant, prescription rejected, prescriber alerted to non-compliance, opportunity given via structured data prior-auth form to document medical necessity for non-formulary med, prior auth electronically and automatically granted in real-time if required prior auth requirements are fulfilled; this entire transaction could be done with structured data 3. Procedure/Surgery/lab/radiology/test prior authorization v.A: for those procedures/surgeries/lab/radiology /test with clear and objective prior authorization requirements and a structured data prior authorization form is available, clinician fill out the prior authorization form using structured data fields and prior authorization can be granted electronically and in real-time by the payor. 4. Procedure/Surgery/lab/radiology /test prior authorization v.B: for those procedures/surgeries/lab/radiology/test, for which prior authorization is non-standardized and is highly individualized, a standardized form is created that collects from the clinician text fields answering an agreed upon set of medical necessity questions, standardized form is sent electronically to insurer for review, insurer responds with Approval/Denial (with rationale if denied) using a standardized format text document back to clinician with either approval and/or denial with rationale. A CCD (or comparable) could be appended to any of the above for added context if/when desired by either party. Request for Comment for Meaningful Use with these additional questions: Are there sufficiently mature standards in place to support this criterion? What implementation of these standards are in place and what has the experience been? Would the inclusion of this criterion provide sufficient incentive for payors to participate and develop the required infrastructure? What infrastructure would payors need to establish or update to support providers achievement of this criterion? 10 Add notification to 3 and 4?

11 Collaborative Care Communication (New, Menu) Corresponding certification criteria will also include the ability for all (EP and EH) certified EHRs to be able to receive these notifications. Request for Comment for Meaningful Use with these additional questions: Is the mere notification that the event has taken place sufficient, or is more detail needed at a minimum? For instance should the ED Triage note be the minimum ED Arrival Notification? Should the patient discharge instructions with disposition be the minimum Facility Discharge Notification? Is the cause of death required at a minimum for the Death Notification? Are there sufficiently mature standards to define the content and vocabulary for these notifications? Will the Consolidated CDA satisfy these needs? Timeliness of notification must be balanced against the practical ability to produce these notifications, for example, in a busy ED. Is 2 hours a reasonable balance, or should it be shorter or longer? Should notification of more members of the patient’s care team be required? Would a 50% threshold (instead of 10%) be too difficult to achieve? What exemptions from the measure or exclusion from the denominator should be considered? 11 EH OBJECTIVE: The EH/CAH will send electronic notification of a significant healthcare event in a timely manner to key members of the patient’s care team, such as the primary care provider, referring provider or care coordinator, with the patient’s consent if required. EH MEASURE: The eligible hospital or CAH will send electronic notification within 2 hours of a patient’s arrival at an Emergency Department (ED), admission to a hospital, discharge from an ED or hospital, or death, to at least one key member of the patient’s care team, such as the primary care provider, referring provider or care coordinator, with the patient’s consent if required, more than 10 % of the time.

12 Specifying transition content (EHR Certification Criteria) Support “Summary of Care Record” as defined in the MU WG’s MU3 Objective SGRP303, by providers optionally using 3 datasets (which include the Care Plan) being defined by S&I Longitudinal Coordination of Care WG and are expected to complete HL7 balloting for inclusion in the C-CDA by Summer 2013: 1) Consultation Request (Referral to a consultant or the ED) 2) Shared Care Encounter Summary (Consultation Summary, Return from the ED to the referring facility, Office Visit) 3) Transfer of Care (Permanent or long-term transfer to a different facility, different care team, or Home Health Agency) 12 Don’t want to be too prescriptive, too early, too much.


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