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David G. Schoolcraft Ogden Murphy Wallace, PLLC

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Presentation on theme: "David G. Schoolcraft Ogden Murphy Wallace, PLLC"— Presentation transcript:

1 David G. Schoolcraft Ogden Murphy Wallace, PLLC dschoolcraft@omwlaw.com

2  Part I – Federal Incentive Payments for Health IT ◦ Up to $36.5Billion in federal stimulus funding ◦ Unprecedented opportunity to advance “Health IT” ◦ Complex payment methodologies and some open issues  Part II – Significant Changes to HIPAA ◦ Data Breach Notification Rules ◦ Business Associate Agreements ◦ Penalties & Enforcement ◦ Accounting of Disclosures  Part III – Action Plan for 2009

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4  Eligible Hospitals ◦ Medicare  PPS factors: discharges, “Medicare Share”  CAH factors: costs w/o depreciation, “Medicare Share” ◦ Medicaid  10% of hospital’s “patient volume” (to be defined)  No difference in payment methodology for PPS and CAH  Eligible Physicians (Medicare or Medicaid)  HIE Planning and Development Grants  EHR Adoption Loan Program

5  Washington Grace Hospital = 25 beds, Critical Access Hospital ◦ 2 Employed Physicians – Medicare ($44,000) The Whole Picture Estimates based on certain factual assumptions. Subject to revision under final HHS regulations.

6  Washington Grace Hospital = 80 beds ◦ 4 Employed Physicians – Medicare ($44,000) The Whole Picture Estimates based on certain factual assumptions. Subject to revision under final HHS regulations.

7 Incentives for Adoption and “Meaningful Use” of “Certified EHR Technology”

8 ▶ Demonstrate to the “satisfaction of the Secretary” use of certified EHR in a meaningful manner ▶ Certified EHR technology must be connected to provide for the electronic exchange of health information to improve the quality of care ▶ Hospitals to submit information on clinical quality and other measures as selected by the Secretary ▶ More stringent measures over time

9  “Certified EHR technology” is a qualified electronic health record meeting standards to be defined  Office of the National Coordinator for Health Information Technology (“ONC”) to develop certification program  Certification Commission for Healthcare Information Technology (“CCHIT”) may be involved along with the National Institute of Standards and Technology (“NIST”)  December 31, 2009 deadline for initial standards, implementation specs and certification criteria

10  Fiscal year 2011-2015 (Oct. 2010) ◦ Phased Transition Schedule After 2013  HHS will determine how hospitals shall demonstrate meaningful use (attestation, survey, etc.)  Amount ($2 MM + $200 (Discharges 1,150 th - 23,000 th )) * Medicare Share * Transition Factor ◦ Medicare Share = Medicare portion of inpatient days adjusted upward for charity care. ◦ Transition Factor - Reduction by 25% per year for 4 years

11  Medicare incentives are paid on a transition schedule.  After FY 2015, if a hospital is not a meaningful EHR user then penalties begin

12  Washington Grace Hospital – 80 beds Total Discharges 4,500 Medicare Patients 2,500 Medicare Inpatient Days 11,000 Total Inpatient Days 17,000 Total Hospital Charges $ 190,000,000 Total Charity Care $ 2,000,000 Medicare Share 65% Estimate of Medicare Incentive Payments* 2011201220132014 $1,811,551 $1,358,663 $905,776 $452,888 Total $4,075,990 *Estimate based upon existing statute in advance of HHS rule making.

13  If a meaningful EHR user by 2015, CAH may expense certain EHR costs in one year for cost reporting purposes (non- depreciated basis) and certain costs from prior periods  Calculation uses Medicare Share amount + 20%  Equation: 101% * Reasonable Cost of EHR System * (Medicare Share + 20%)  If CAH is not a meaningful user by 2015 or thereafter, percentage reimbursement will be reduced to 100.66% in 2015, 100.33% in 2016 and 100% in 2017

14  Washington Grace CAH – 25 beds Medicare Incentive Payments Critical Access Hospitals Total Discharges 170 Medicare Patients110 Medicare Inpatient Days260 Total Inpatient Days350 Total Hospital Charges $ 8,500,000 Total Charity Care$120,000 Annual Cost of EHR System$350,000 Medicare Share 75% + 20% = 95% (20% increase for CAH) Total $1,348,242 Estimate of Incentive Payments * 2011201220132014 $337,060 Assumes costs remain the same over all four years *Estimate based upon existing statute in advance of HHS rule making.

15  CAH’s who have not implemented EHR’s by 2015 may be subject to reductions

16  10% of “Patient Volume” on Medical Assistance ◦ To be defined by Secretary of HHS ◦ Inpatient vs. outpatient volumes  States allocate the money  Year 1 – Demonstrate efforts to adopt, implement or upgrade EHR system  Years 2-6 – Demonstrate “meaningful use”

17  Washington Grace CAH – 25 beds Total Discharges170 Medicaid Patients 30 Medicaid Patient Volume 17% Avg Rate of Growth6.73% Medicaid Inpatient Days35 Total Inpatient Days 350 Total Hospital Charges $ 8,500,000 Total Charity Care $ 120,000 Medicaid Share 10% Incentive Payments 2011201220132014 $183,004$137,427$91,742$45,937 Total $458,109

18  Physician incentive payments are 75% of Medicare allowed charges ◦ Penalties – reduction in physician fee schedule  10% increase in incentives if physician practices in a designated health professional shortage area

19  Hospitals may be able to collect incentive payments for certain employed physicians, but note that “hospital-based” physicians are excluded Excluded Physicians Pathologists Anesthesiologists Emergency Physicians

20 New Compliance Obligations and More Regulations to Come

21 Feb. 2009 Increased penalties Enforcement by States Attorney General Sept. 2009 Data Breach Notification Requirements Feb. 2010 Application to Business Associates Marketing Restrictions Jan. 2011 Accounting of disclosures for adopters of EHR after 1/1/2009 Jan. 2014 Accounting of disclosures for EHR adopters before 1/1/2009

22  Requires that covered entities notify patients of any unauthorized acquisition, access, use, or disclosure of “unsecured” PHI  Date of discovery – first day breach was known or should have been known  Notice within 60 days of discovery  If+500, then notice to media and HHS

23  Recent HHS Guidance  Reference to NIST Publication 800-100  Internal review and risk analysis  Data encryption technologies

24  Currently – Business Associates not directly regulated by HIPAA  Application of HIPAA Security Requirements ◦ Administrative Safeguards ◦ Physician Safeguards ◦ Technical Safeguards ◦ Documentation Requirements  Requirement to notify Hospital if there is a breach  Open question regarding mandatory revisions to Business Associate Agreements

25  Expansion of criminal and civil penalties  Tiered penalties tied to violator’s level of intent  Periodic audits by HHS  Victims may receive percentage of civil penalties  State Attorney General may bring an action provided an action by HHS is not pending

26  Eliminates existing exception limiting accounting for disclosures other than treatment, payment and health care operations  Will require significant operational changes, but may be aided by improved IT systems  Staggered effective dates: EHR AcquiredEffective Date Before 1/1/20091/1/2014 After 1/1/20091/1/2011

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28  Prepare estimate of health IT incentive funds available for your facility  Analyze Medicare and Medicaid incentive payments for hospitals (PPS/CAH) and eligible physicians  Monitor HHS, ONC, CCHIT, NIST for development of standards for “certified EHRs” and “meaningful use”

29  Develop data breach prevention and response plan  Assess data security in light of new federal standards  Implement additional data security measures deemed necessary and appropriate following risk analysis  Develop reporting and communications plan in conjunction with IT service providers: ◦ Internal reporting and incident review ◦ Required external communications (patients, media, government) ◦ Methods to address follow up inquiries from patients and/or media

30  Careful review of information technology transactions– from due diligence during system selection through contracting  Ensure that all information technology transactions are HITECH-Ready ◦ Vendor/service provider commitments regarding data security and accounting of disclosure requirements ◦ Updated Business Associate Agreement ◦ Functionality necessary to obtain or maintain “certified EHR” status and to facilitate “meaningful use”

31 David G. Schoolcraft dschoolcraft@omwlaw.com 206.447.7211


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