The 1115 Waiver: Uncompensated Care Cost Report (UC Tool) and Reimbursement Update Presented by Discovery Healthcare Consulting Group, LLC.

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Presentation transcript:

The 1115 Waiver: Uncompensated Care Cost Report (UC Tool) and Reimbursement Update Presented by Discovery Healthcare Consulting Group, LLC

Discussion Points  State 1115 Waiver Background  Where we are Today!  Uncompensated Care Cost and ‘UC Tool’  UC Tool submission for FY 2012-Lesson Learned  Projections UC for DY 2-5 (  UC Tool Completion and Funding of IGT  State DSH Payments  Other Reimbursement Matters

Transformation Waiver Overview Texas Healthcare Transformation and Quality Improvement Program 1115 Waiver:  Managed care expansion  Allows statewide Medicaid managed care services.  Includes legislatively mandated pharmacy carve-in and dental managed care.  Hospital financing component  Preserves upper payment limit (UPL) hospital funding under a new methodology.  Creates Regional Healthcare Partnerships.

Transformation Waiver Purpose  Develop Regional Healthcare Partnerships (RHPs).  Expand range of reimbursement eligible uncompensated care services.  Develop delivery system improvements incentives.  Five Year Funding Approval

Waiver Pools  Under the waiver, trended historic UPL funds and additional new funds are distributed to hospitals through two pools:  Uncompensated Care (UC) Pool  Costs of care provided to individuals who have no third party coverage for the services provided by hospitals or other providers (beginning first year).  Delivery System Reform Incentive Payments (DSRIP)  Support coordinated care and quality improvements through RHPs to transform care delivery systems (beginning in later waiver years).

Funding Pools: Pool Allocations by Demonstration Year DY 1 ( ) DY 2 ( ) DY 3 ( ) DY 4 ( ) DY 5 ( ) Totals UC3,700,000,0003,900,000,0003,534,000,0003,348,000,0003,100,000,000$17,582,000,000 DSRIP500,000,0002,300,000,0002,666,000,0002,852,000,0003,100,000,000$11,418,000,000 Total/DY4,200,000,0006,200,000,000 $29,000,000,000 % UC88%63%57%54%50%60% % DSRIP12%37%43%46%50%40%

RHP Plan Expectations  CMS Expectations:  Uncompensated Care will be reduced over the life of the waiver;  DSRIP projects will provide Better Access to Patient Care  Better Quality of Care Delivery  Lower Cost  Uncompensated Care providers was expanded from hospitals and physician UPL program to include:  Hospital;  Physician Groups;  Dental Groups;  Public Ambulance Providers

Waiver Reporting Requirements  Uncompensated Care Cost payments  Healthcare Providers are required to submit a completed waiver application (‘UC Tool’) that documents UC cost for providing hospital and non-hospital services to Medicaid and uninsured patients.  State DSH Providers vs. Non-state DSH providers  FY 2012 UC Tool:  Providers had an option to submit a UC tool or maintaining existing transition payments under UPL;  HHSC made a 4th quarter transition payment based on the lesser of transition payment or DSH Hospital specific limit; this will be reconciled to the UC tool submission, if applicable;  This included a hair-cut of 72% for new providers, additional provider types and the inclusion of transition payment.

UC Payment Status  HHSC has received the majority of the UC Tools and is currently reviewing the data;  There have been some tools that were returned to the providers for clarification or additional data (primarily related to physician time study for schedule 1);  Determination of the final 2012 UC payment amounts should be completed during February 2013 along with applicable hair-cut;  Final payments should be completed during March 2013 and will require the transfer of the inter-governmental funds (IGT)

UC Tool submission for FY Lesson Learned  Texas Health and Human Services Commission  Originally the UC Tool was due August 31, 2012 for data year  Schedule 3 - The UC hospital specific limit (HSL) was to mirror the DSH HSL and non-DSH hospital would be required to fill out the DSH supplemental pages.  This reliance on DSH HSL and supplemental pages resulted in a delay of the due date to October 26,  The data was not available for non-DSH hospitals;  There were duplicate hospital files with different claims information that had to be merged together;  The DSH supplemental forms were not made available for DSH hospitals.

UC HSL vs DSH HSL  DSH HSL:  HHSC is currently re-working the DSH supplemental pages for 2013 based on data year 2011;  The new survey will mirror the current process for the DSH Audit request by Myers and Stauffer with expanded data request;  This will substantially expand the time requirements for completion, although it should improve the calculation and format. Plus allow for capturing cost for organ transplants and Graduate medical education.  UC HSL:  UC HSL should mirror the DSH survey tool, but this may require HHSC to seek CMS approval for changes;  The 2013 UC Tool will be delayed until the completion of the DSH survey and may be request to be completed along with the DSH supplemental pages.

UC Tool submission for FY Lesson Learned  Schedule 1 – Physician and Professional resulted in the next delay of the submission to November 9,  Schedule 1 resulted in the majority of the confusion for the UC tool;  Charge Allocation:  CMS required the cost to be allocated based on physician charges, while this is not captured in the hospital cost report and in most cases not by the hospital.  (Note hospitals may want to review there charge structure to include physician and professional charges in the event CMS mandates the physician charges as the allocation basis.  HHSC did allow hospitals the option to use hospital cost centers and charges for physician and professional cost; this did simplify for the hospitals and for the HHSC review.

UC Tool submission for FY Lesson Learned(Cont.)  Schedule 1 resulted in the majority of the confusion for the UC tool;  Physician time studies:  CMS required all hospitals to have physician cost to be determined based on the Medicare time study method;  Not all hospitals utilize time studies for the physician services for the hospital cost report and have reported as Part B cost and disallowed for hospital cost.  The confusion of Part B reporting was the hospital belief that these cost should not be required to be time studied since this is determined to be all professional cost.  CMS and HHSC has determined that without a time study none of the time is allowable;  HHSC did allow a hospital without time studies to provide either a certification the time was 100% patient care or a time study proxy.

Time Study Proxy  Time Study Proxy – were intended to mirror the requirements within the Medicare time study.  Each physician was required to sign their proxy with their estimated time split;  For physicians that were not available, an average of the applicable cost center could be used.  Questions:  Should the time study proxy be determined based on the data year (2010) or the program year (2012)?  HHSC first indicated the time studies should be based on the data year of 2010 but was uncertain on the determination for the audit year  HHSC then allow for the hospital to utilize physician time study proxies as if for 2012, if the cost and centers were similar.  If your hospital did time study proxies based on 2010, our recommendation would be to do a set of time study proxies for 2012 for use in the audit of the 2012 program year.  Will time study proxy be allowed for program year 2013 based on data year 2011?  HHSC has not provided information on program year (Note although time study proxies may be allowed for submission the actual 2013 audit will require Medicare time studies to be allowable.

Time Study Proxy Example:

Time Study Proxy  Time Study Proxies – will only be allowable for the determination of the 2012 UC tool and audit, while the proxy may be utilized for the initial submission of the 2013 UC tool, the Medicare time study will be required for the Audit of the actual 2013 cost submitted in  For cost reporting periods beginning on or after , the hospital is expected to obtain adequate and auditable time studies from each physician providing Medicare Part A services to the hospital for the proper application of the RCEs via the Medicare 2552 cost report.

Medicare Time Study Model  For any hospital that intends to claim physician or professional cost through the UC Tool after 2012, the hospital must complete physician time time studies that follow the Medicare model;  Time studies should be completed for a two (2) week period once per quarter during the fiscal year.  Ideally, the time study period will not be the same two weeks in any 2 given quarters.  Medicare Part A physician costs will not be allowed to be included in the UC tool for cost reporting periods beginning on or after

100% Patient Care  For physician cost that were determined to be 100% patient care, HHSC did allow the hospital to submit an attestation versus a time study proxy;  These cost would normally be associated with contracted physician services. (note: ensure future contracts specifically include language that the contracted services are for patient care).  Clarification:  Time Study Proxies and 100% Patient Care attestations were required to be submitted to HHSC;  Medicare time studies were not required to be submitted but must be available on request, and available during an audit.

UC Projections:

Medicare Matters - Reimbursement Update: House Bill 8 – Fiscal Cliff Legislation (Short- Term Solutions (??) Medicare Dependent Hospital – extended through FFY 2013 Low Volume Payment Adjustment – extended through FFY 2013 Ambulance Fee Schedule Payment Bump – extended through Calendar Year 2013 “Doc-Fix” – maintaining Fee Schedule rates through CY 2013

Medicare Matters - Reimbursement Update: Reimbursement Reductions not Averted Medicare Outpatient Hold Harmless Payment (TOPPS) Expired December 31 st for SCH and rural hospitals less than 100 beds. Medicare Cost Based Lab Reimbursement Based on Hospitals Fiscal Year Beginning date Medicare look back period on RAC audits – now 5 years.

Future Reimbursement Matters: Medicare DSH Payment Section 3133 – Affordable Care Act Beginning in FFY 2014, 25% of the estimated Medicare DSH payment will continue to be paid under current provisions The large majority, 75% share of the estimated Medicare DSH payments will be adjusted by two factors and distributed based on appropriated Pool of available funds Factor 1 – Reduce remaining 75% of estimate DSH payment as a result of the estimated decrease in uninsured. Factor 2- Target remaining of 75% of estimated Medicare DSH payments to individual hospitals based on their proportion of the amount of uncompensated care provided to DSH hospitals, nationally.

Medicare DSH How will CMS define ‘uninsured’? Five National Surveys  U.S. Census Bureau  Survey of Income Program and Participation  American Community Survey  Bureau of Labor Statistics  Annual Social and Economic Supplement  Agency for Healthcare Research and Quality  Medical Expenditure Panel Survey  National Center for Health Statistics  National Health Interview Survey

Medicare DSH How will CMS definition ‘uninsured’? Five National Surveys – Short-falls  Recall Period – How far back do surveys go  Timeliness – Time period of each survey  Continuity of Data – Survey Administration changes over time  Medicaid definitions – Accuracy of State data and differing measurements by state  Undocumented Immigrant – does the survey data include?

Medicare DSH Payment Defining Uncompensated Care Varying Federal Programs (Medicare, Indian Health Services, Health Information Technology) Varying States Definitions (Waiver State or non- Waiver State) Ultimately, this will most likely be defined through W/S S-10 of the Medicare Cost Report  Medicaid, SCHIP, Charity, and Bad Debt

Summary – Medicare DSH Section 3133 – ACA Change in Medicare DSH  Historic computation based on percentage of Medicaid utilization and  Percentage of supplemental security to total Dual Eligible patients 25% - based on historic computation 75% - based on hospitals apportionment of the change in decrease in uninsured and uncompensated care

Medicaid 2013 DSH Update  HHSC released a draft of the new DSH rule for 2013 on February 6, It was presented at the Hospital Payment Advisory Committee on February 7, 2013  Changes to be aware of: 1.Pools will mirror along Waiver RHP areas; except for State-owned hospital (Teaching, IMD, and chest); 2.DSH Pools:  Hospitals in an RHP Area with an urban public hospitals (8 RHPs)(Pool A);  Hospitals in all other RHP Areas (Pool B); 3.Pool funding / allocation dependent on funds remaining after State-owned Hospital allocation. Uncertain on split between pools (possibly 76% - 24%); 4.Urban public hospitals have days weighted within their pool; 5.The DSH allocation within the pools will be based on 50% Medicaid Days and 50% Low income Days; 6.Private IMD funding subject to IMD exclusion limit first, then applied to state-owned IMDs; 7.Rural public or rural public-financed hospitals may be eligible for DSH fund in addition to the projected annual payments (not to exceed DSH HSL).

Medicaid 2013 DSH Update (cont.)  Current estimate for Pool funding:  State-owned (Teaching, IMD and Chest): $319 M all funds  Pool A: $318 M in IGT- approximately $718 M all funds  Pool B: $100 M in state general revenue – approximately $246 M all funds  Total estimated DSH Allocation: $1,682 M (2012 as Proxy)  Estimated Available Allocation: $1,283 M  Remaining un allocated DSH: $ 399 M  Possibly available for Public Rural Hospitals as

Brent FullerChris Dockal th Street324 Sedro Trail Lubbock, Texas 79413Georgetown, Texas