EMTALA Anti-Dumping The National Congress on the Un and Under Insured December 10, 2007 Washington, D.C. Charlotte S. Yeh, MD, FACEP Regional Administrator.

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Presentation transcript:

EMTALA Anti-Dumping The National Congress on the Un and Under Insured December 10, 2007 Washington, D.C. Charlotte S. Yeh, MD, FACEP Regional Administrator Centers for Medicare & Medicaid Services

2

3 History of EMTALA In the early 1980s, reports of widespread patient dumping began to appear in the press and the medical literature. Schiff et al. (1) estimated that 250,000 inappropriate transfers of medically unstable patients occurred in 1986, resulting in increased patient morbidity and mortality. 1. Schiff RL, Ansell DA, Schlosser JE, et al: Transfers to a public hospital, a prospective study of 467 patients. New England Journal of Medicine 314: , 1986

4 History of EMTALA From Cleland v. Bronson Health Care Group, Inc., 917 F.2d 266, 271 (6th Cir. 1990): –It is undisputed that the impetus to this legislation came from highly publicized incidents where hospital emergency rooms allegedly, based only on a patient's financial inadequacy, failed to provide a medical screening that would have been provided a paying patient, or transferred or discharged a patient without taking steps that would have been taken for a paying patient. –Apparently dissatisfied with the effect of laws that had been limited to hospitals that received funds from the government under the Hill-Burton Act, 42 U.S.C. §§ 291 to 291 o -1, Congress chose to attempt to meet the perceived evil by enacting the quoted language. See 1986 U.S.Code Cong. & Admin.News 42, 579, 605; Note, Preventing Patient Dumping, 61 N.Y.U.L.Rev. 1186, and nn (1986).

5 History of EMTALA In response to this patient dumping, Congress enacted EMTALA as part of the Consolidated Omnibus Budget Reconciliation Act in 1985 (COBRA). EMTALA was created within the Medicare section of this large federal budget legislation. EMTALA outlines the legal responsibilities of all hospitals that receive Medicare reimbursement to adequately evaluate, stabilize, and appropriately transfer patients regardless of ability to pay.

6 The Basics

7 Consolidated Omnibus Budget Reconciliation Act 1985

8 Major Provisions of EMTALA 1. Medical Screening Examination 2. Stabilization 3. Transfer Requirements

9 Medical Screening Examination If: 1. Individual 2. Comes to ED 3. Request made for examination or treatment of medical condition Then: 1. MSE is required to determine whether or not EMC exists. 2. If no EMC, hospital duty under EMTALA ends.

10 Definition: Emergency Medical Condition Medical condition with acute symptoms of sufficient severity (including severe pain), that without immediate medical attention could result in: 1. Placing patients health in serious jeopardy 2. Serious impairment to bodily functions 3. Serious dysfunction of any bodily organ or part

11 Stabilization If EMC exists, hospital is required to stabilize: no material deterioration of the EMC is likely, within reasonable medical probability, to result from or occur during the transfer of the individual from a facility, or... woman has delivered (including the placenta) *Note: Transfer includes discharge from hospital.

12 Stabilization If EMC is stabilized, hospital duty under EMTALA ends. If hospital is unable to stabilize within available staff and facilities, may transfer according to specified requirements.

13 Transfer Requirements 1. Physician has signed certification –that benefits outweigh risks –(or patient request) 2. Transfer is appropriate

14 Definition: Appropriate Transfer 1. Transferring facility has provided stabilizing Rx or minimized risk 2. Receiving facility has space, personnel & agreed to accept patient 3. Transferring facility has provided appropriate medical records 4. Transfer is effected through qualified personnel and equipment

15 Omnibus Budget Reconciliation Act 1989

16 Key OBRA 1989 Changes Medical Screening Examination: –May not be delayed in order to inquire about payment method or insurance status On Call: –Extended liabilities and penalties to on-call physicians, including name and address of on call physician who referred or failed to appear within a reasonable time. The hospital is required to maintain on-call list. Non-discrimination: –Hospitals with specialized capabilities cannot refuse to accept transfer if hospital has capacity Whistleblower protection

17 Action Under EMTALA Framed By Statute Regulation Interpretive guidelines CMS/OIG advisories Case law (State law)

18 Enforcement Regulatory: DPH CMS OIG QIO OCR Legal System: Federal Court

19 Enforcement Complaints trigger an investigation. No complaints = no investigation.

20 1. Fines up to $50, Exclusion from Medicare Enforcement Process Penalties

21 1. Private right to civil suit 2. Receiving hospitals right to sue to recover costs Enforcement Process Penalties

22 So Where are We Today?

23 CMS EMTALA Enforcement Data National Data FY 04FY 05FY 06 # Complaints # Surveys % with Violations 30%38%40%

24 Distribution of FY 06 EMTALA Allegations & Violations AllegationsViolations (N=1349)(N=473) Overall 11.0%14.8% On-call 6.2% 6.3% Screening26.2%30.4% Delay 5.5% 3.0% Stabilization20.0%13.3% Transfer/dis.17.9%16.1% Recipient Hospital 8.2% 8.7% Signage 0.9% 1.1% Log 2.3% 3.6%

25 CMS Enforcement Data Since inception of EMTALA 13 hospitals have been terminated from Medicare.

26 OIG Enforcement From 1995 through 2000, the OIG imposed fines totaling over $5.6 million on 194 hospitals and 19 physicians. The majority of hospitals fines were $25,000 or less. By 2001, the total number of physicians fined by the OIG for EMTALA violations was 28. In the years , OIG pursued 110 cases, recovering over $3.1 million.

Chart 1.15: Number and Percent Uninsured (1) Source: US Census Bureau, Income, Poverty, and Health Insurance Coverage in the United States: 2004 (1) data use population estimates based on Census 2000 Number of Uninsured (Millions) Percent of Total Population Number Percent

28 Emergency Department Visits Sources: Health Forum, AHA Annual Survey of Hospitals total emergency visits includes estimated data

29 Number of Community Hospitals 1985 vs Sources: Health Forum, AHA Annual Survey of Hospitals total emergency visits includes estimated data

30 Hospitals Reporting Emergency Visits Sources: Health Forum, AHA Annual Survey of Hospitals total emergency visits includes estimated data

31 Number of Beds in 1985 vs Sources: Health Forum, AHA Annual Survey of Hospitals total emergency visits includes estimated data

32 September 10, 2001

33

34 Most EDs are at or over capacity… Percent of Hospitals Reporting ED Capacity Issues by Type of Hospital 2006 Source: AHA 2006 Survey of Hospital Leaders 68% 31% 75% 45% 50%

35

36 Key Problems Overcrowding: 40 percent of hospitals report ED overcrowding on a daily basis Boarding: patients waiting 48 hours or more for an inpatient bed Ambulance Diversion: Half a million ambulance diversions in 2003 Uncompensated Care: results in financial losses and closures for EDs and trauma centers

37 This is a symptom of an entire health care system under extreme stress – Dr. Howard Koh, Former Massachusetts Commissioner of Public Health

38 Recent EMTALA Case Headline: Los Angeles woman dies on emergency room floor June 14, 2007 LOS ANGELES In the 40 minutes before a woman's death last month at Martin Luther King Jr.-Harbor Hospital, two separate callers pleaded with 911 dispatchers to send help because the hospital staff was ignoring her as she writhed on the floor, according to audio recordings of the calls. "My wife is dying and the nurses don't want to help her out," Jose Prado, the woman's boyfriend, told the 911 dispatcher through an interpreter. He was calling from a pay phone outside the hospital, his tone increasingly desperate as he described how his 43-year-old girlfriend was spitting up blood.

39 Recent Press Coverage Headline: Kaiser Permanente is accused of leaving a homeless woman to wander on skid row. November 16, 2006 The Los Angeles city attorney's office filed false- imprisonment and dependent-care-endangerment charges against hospital giant Kaiser Permanente on Wednesday, the first criminal prosecution of a medical center accused of "dumping" patients on skid row.

Medicare Modernization Act (MMA) Provisions Section 944: Payment for EMTALA Screening & Stabilization Services Section 945: EMTALA Technical Advisory Group Sections 414 & 415: Payment for Rural & Urban Ambulances Section 1001: Medicaid DSH Payments Section 1011: Undocumented Alien Funding

41 MMA Section 1011: Federal Reimbursement of Emergency Health Services Furnished to Undocumented Aliens HHS must pay for otherwise unreimbursed costs on EMTALA services to: –Hospitals –Physicians –Ambulance providers –Indian Health and Tribal organizations Authorized $250 million each for FYs –2/3 ($167m) to all 50 states plus DC –1/3 ($83m) to 6 states with highest number of undocumented alien apprehensions (AZ, CA, FL, NM, NY, TX) Expenditures to date (allocated by state): –FY 2005: $58 million –FY 2006: $192 million

42

43 EMTALA Continues to Evolve EMTALA enacted (42 U.S.C. §1395 dd) Statutory enhancements More statutory enhancements Interim final Regulations Interpretive Guidelines Special Advisory Bulletin OPPS Regulations OPPS Q&A CMS Guidance Letters, Proposed Regulations Final Regulations S/C Guidance Letter Medicare Modernization Act Revised Interpretive Guidelines 2005 – EMTALA TAG

44

QUESTIONS? ? ? ? ? ? ? ? ? ? ? ? ?