While I appreciate the intent behind the proposed rule changes to improve patient
care and safety, I find that many of the proposals will have unintended
consequences that will actually hinder the effectiveness of RHCs in the long run.
My comments:
1. The proposed requirements per Section 491.10(a)(3)(v), requiring that
all entries in the health record be dated and timed and authenticated, are in many
ways impractical. We are a clinic still utilizing paper charts (cost is the barrier to
implementation of an electronic medical record). We already strive to maintain
complete, legible and signed entries in the charts; it is unclear how requiring
dating and timing of every entry will improve patient safety and care. The wording
of the proposal is also unclear as to who needs to authenticate each entry. Two
examples:
· After a physician gives a nurse an order for an injection, and the nurse
fully documents the injection (including date and time, as that is pertinent should
there be an adverse reaction), does the physician then need to “authenticate” the
nurse’s chart entry, as the ordering health care provider? This multiple handling of
the chart would be a remarkable exercise in inefficiency, adding to the physician’s
already staggering piles of uncompensated paperwork, without adding anything to
improve the quality or safety of the care provided to the patient.
· Nurses often handle patient inquiries by telephone, or report lab results
to the patient by telephone, per the physician’s request. Would the physician
then need to “authenticate” the nurse’s already thorough documentation of the
discussion in the patient chart? If each of these charts has to pass through the
hands of the nurse AND the physician, again, the inefficiency and sheer volume of
uncompensated work on the part of the physician will drive many away from
practicing medicine.
Our physicians already feel overwhelmed and discouraged by the mountains of
(uncompensated) paperwork required of them. By requiring them to arbitrarily date
and time every entry in the chart (they already initial every piece of paper they
review), we will be adding to the hours they spend without any evidence that dating
and timing every entry adds to the quality or safety of patient care. This
requirement needs to be limited to those documents on which date and time
actually matter in terms of patient care. It seems a simple step to add to all
entries, but in every day clinic operations it is not feasible nor practical nor
substantively valuable.
2. Regarding the proposed changes to the payment methodology: The proposed
rule will reduce the reimbursement to clinics already struggling to make ends
meet. CMS approves and establishes a per-diem rate for RHCs, yet the current
payment methodology ensures that we receive less than this cost-per-visit. The
proposed rule cuts into this payment even further. Every dollar received is critical
to keeping our doors open, and cutting payments further will jeopardize our very
existence. Closure would devastate our community and would be a virtual death
sentence for our local hospital (the next nearest hospital is more than an hour
away). I advocate for change in the exact opposite direction from the proposed
rule: Medicare payments should complement the patient payment to equal the per
diem rate.
3. Regarding the QAPI requirement: As a provider-based RHC, we are already
accountable for continuous quality/performance improvement programs per the
hospital’s policies and JCAHO accreditation requirements. We are already doing
this work. Having to call it something else and report our results to yet another
entity will pull valuable resources away from actually implementing the
improvement programs. I see this proposal as increasing our costs without adding
value to our ongoing quality assurance efforts.
4. Similarly, as a provider-based RHC, we are already following the hospital’s and
JCAHO’s policies and requirements for infection control. Additional burdensome
reporting requirements, per this proposed rule, would pull limited resources away
from activities that would actually enhance quality of care and patient safety.
5. My understanding is that the location requirement proposed rule has been
pulled from the table as of yesterday. I am glad, as I had many comments to
share regarding its confusing, difficult-to-manage nature.
Thank you for considering my comments.
Heather Paulsen--CA
This is comment on Proposed Rule
Medicare Program; Changes in Conditions of Participation Requirements and Payment Provisions for Rural Health Clinics and Federally Qualified Health Centers (CMS-1910-P2)
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