February 18, 2008
Department of Health & Human Services
Centers for Medicare & Medicaid Services
Attention: CMS-2229-P
P.O. Box 8016
Baltimore, MD 21244-8016
RE: CMS-2229-P Medicaid Program; Self-Directed Personal Assistance Services
Program State Plan Option (Cash and Counseling)
The Association for Home & Hospice Care of North Carolina is the largest and one of
the oldest state associations in the nation representing the nurses, social workers,
therapists and aides that serve more than 200,000 Medicare/Medicaid beneficiaries
across the state. Thank you for the opportunity to review the Consumer Directed
Personal Assistance Services (PAS) Proposed Rule. Please accept the following
comments and recommendations.
General Comments ~
We recognize the value of preferences and choice, as they are foundations of person-
centered care. A Self-Directed Personal Assistance Services (PAS) Medicaid option
may be a viable alternative for some Medicaid recipients, such as a young disabled
individual (i.e., spinal cord injury individual who is medically stable, with good
cognition, and financially savvy). We also recognize the value of appropriate regulated
oversight that offers support and protection to agencies and the consumers they serve.
Literature contends that an individual self-directing his/her preferences and needs
leads to increased satisfaction, but may not lead to lower overall costs. Specifically,
creating a new or adding to the existing oversight infrastructure will add additional costs
to the programs.
Thoughtful and balanced consideration is warranted on this issue. Specifically
addressing the following:
? Federal Comparability ~ It is critical that the proposed Medicaid option does
not create obstacles and barriers to care. Specifically, individuals who chose the
agency model for their personal care should not be put at a disadvantage by having
stricter criteria or more burdensome requirements than those offered to consumers
directing his/her own care. The Federal comparability requirements should not be
waived between agency PCS and family/private arranged PCS.
? Viability of the Home Care Infrastructure ~ The majority of the Medicaid
recipients would not be appropriate for consumer directed care; and the migration of
those for whom the self-directed option is appropriate, would further stress the viability
of the home care infrastructure. The challenge is the creation of a model that sustains
a viable traditional provider base for those who could not self-direct as well as for those
who are appropriate for self-direction and choose it. The sustaining of traditional
models is especially important in rural areas or difficult to serve areas. If these
agencies cannot remain viable, then the option for traditional use consumers would no
longer exist.
? Critical Mass ~ The majority of agencies currently providing personal care
services (PCS) under the Medicaid option provide it at or above their margin, i.e., at a
loss. And many struggle to maintain a sufficient critical mass to break even on the
program. Decreasing the number of eligibles in the program will have a direct
correlation to increased agency costs and the need for States to increase the in-home
aide rates in the traditional models. Providers may not be able to accept patients
where they are operating at a loss. This would limit access, especially in rural
communities, and force patients into a more expensive option, such as a skilled nursing
facility (SNF) or would delay hospital discharges.
? Migration to Private Pay ~ We have seen a migration of agencies to serving
predominately or only private pay clients due to the low Medicaid reimbursement rates
and the cuts in service hours. As an agency?s critical mass drops, the agency?s costs
increase forcing the agency to make business decisions that create access issues for
Medicaid recipients and prematurely force beneficiaries into more costly alternatives.
Specific comments to the proposed regulations are attached. Thank you for the
opportunity to comment on this proposed rule. We appreciate CMS? continued open
dialogue through the teleconferences and Open Door forums. As related to the
Consumer Directed Care proposed rule, careful consideration is warranted due to the
seriousness and extent of the changes. Providers may not be able to accept patients
where they are operating at a loss. This would limit access, especially in rural
communities, and force patients into a more expensive option, such as a skilled nursing
facility (SNF) or would delay hospital discharges.
Should you require clarifications on any of our comments please contact Tracy
Colvard, Director of Government Relations & Public Policy via phone at 919-848-3450,
or via email at tracycolvard@homeandhospicecare.org.
Sincerely,
Timothy R. Rogers
Chief Executive Officer
Board Member, National Association for Home Care & Hospice
ATCH - AHHC's Formal Comments
NC
This is comment on Proposed Rule
Medicaid Program; Self-Directed Personal Assistance Services Program State Plan Option (Cash and Counseling)
View Comment
Attachments:
NC
Title:
NC
Related Comments
View AllPublic Submission Posted: 05/09/2008 ID: CMS-2008-0011-0002
Feb 19,2008 11:59 PM ET
Public Submission Posted: 05/09/2008 ID: CMS-2008-0011-0005
Feb 19,2008 11:59 PM ET
Public Submission Posted: 05/09/2008 ID: CMS-2008-0011-0006
Feb 19,2008 11:59 PM ET
Public Submission Posted: 05/09/2008 ID: CMS-2008-0011-0007
Feb 19,2008 11:59 PM ET
Public Submission Posted: 05/09/2008 ID: CMS-2008-0011-0008
Feb 19,2008 11:59 PM ET