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1
Family Preservation Services - Florida
Medicaid Mental Health Targeted Case Management Technical
Assistance Review
Presented by Kerri Pawlak and Cheryl Buss (LCSW)
October 11, 2011
2
Agency Certification Requirements
Every enrolled Medicaid Mental Health Targeted Case Management (MH-TCM) location must be Certified by the local Area Medicaid office before Medicaid reimbursable services can be delivered from the service location.
Certification is awarded after the provider location has been successful (100% compliance) in passing the Certification Review.
July 2006 MH-TCM Coverage and Limitations Handbook, pages1-5 and 1-6
3
Results of the Certification of the Naples Location
Certification Tool is broken down into two domains:◦Administrative Targeted Case
Management (TCM) Review (54.54%) Compliance
◦Programmatic Targeted Case Management (TCM) Review (40%) Compliance
4
Findings from a Review of the MH-TCM Program in Naples
Programmatic Findings from the Review:It was unclear whether the TCM met educational
requirements because she had a foreign diploma.Four of 10 clients did not appear to meet minimum
standards to receive MH-TCM services.Caseloads were always maintained within Medicaid
policy parameters. Services were always rendered by agency certified
case managers, but were not always rendered in accordance with Medicaid policy.
Case Management Assessments were inadequate and did not address all components required.
5
Findings from a Review of the MH-TCM Program at Naples
Programmatic Findings from the review (cont’d)Two of 10 Assessments did not document a
home visit with the client.The Assessment was dated by the recipient,
case manager and treatment team members on different dates, with the supervisor being the first to sign, as opposed to the case manager.
Service Plans did not contain measurable goals and objectives or include the amount, frequency and duration of services.
6
Findings from a Review of the MH-TCM Program at Naples
Programmatic Findings from the review (cont’d)One Service Plan was inadequately documented. Progress notes did not meet documentation
requirements, adequately justify the length of time spent, nor did they consistently link services to the Service Plan or Review.
MH-TCM services rendered in conjunction with other Medicaid reimbursable service, when rendered to provide/communicate critical information that assists the recipient often exceeded the two units per event limit.
Documentation was not entered in the record timely.
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Medical NecessityAll Medicaid services must be medically
necessary. Clear and comprehensive documentation of all
assessments, home visits, recipient interactions, and contacts with collateral sources should adequately show the strengths/needs of the recipient /natural support system.
Documentation is the key to justifying/supporting the medical necessity of the service being provided.
If the information is not documented, an auditor cannot allow reimbursement of the service.
8
What is MH-TCMSupportive services which assist
individuals to obtain needed medical, financial, insurance benefits, employment, social, educational and/or other services to appropriately address their needs
It is not the provision of direct therapeutic medical or clinical services
July 2006 MH-TCM Coverage and Limitations Handbook, pages 2-7 and
2-8
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Accomplishing the Goal of MH-TCM
Identify the person’s problem(s) by assessing the person to determine that person’s needs.
Create a Service Plan to outline the strategy for assisting the client in achieving his/her goals.
Advocate for your client by linking the client to the services outlined in their service plan.
Organize and monitor service delivery to evaluate the recipient’s progress.
July 2006 MH-TCM Coverage and Limitations Handbook, page 2-17
10
Recipient CertificationChildren’s and Adult Recipient MH-TCM
CertificationsThe recipient certification form should document
initial eligibility for MH-TCM services.
Appendix I-K:Recipients are certified by the Case Manager and the
Case Management SupervisorCertifications must be completed within 30 days
of initial date of service. It is possible that a referred client may not meet
eligibility criteria, even if the referral source wants the individual to receive MH-TCM.
July 2006 MH-TCM Coverage and Limitations Handbook, pages 2-3 through 2-5
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On-going Eligibility
The Service Plan Review is a process conducted to ensure that services, goals and objectives remain appropriate to the recipient’s needs and to (re)assess recipient progress and continued need for MH-TCM.
The activities, discussion and review process must be clearly documented.
Minimally, the Review is signed by the recipient, the MH-TCM and the MH-TCM supervisor.July 2006 MH-TCM Coverage and Limitations
Handbook, page 2-16
12
Covered Services*Conducting the MH-TCM Assessment and Service Plan
in accordance with the handbook.Service Plan implementation with the client/family.Assessing service plan effectiveness.Linking, facilitating, coordinating and monitoring
services delivered as defined in the Service Plan.Advocate for delivery of medically necessary
services, as identified from the Service Plan.Documenting the delivery of MH-TCM.Providing access to resources during moments of
crisis.Staffing(s) with the recipient treatment team or one-
on-one with the psychiatrist, psychiatric ARNP, physician, therapist, teacher, attorney, GAL or other collateral.
July 2006 MH-TCM Coverage and Limitations Handbook, page 2-17
13
Covered ServicesTCM billed in conjunction with another Medicaid
service when communicating critical client info.◦This cannot exceed two units per event.
Coordination of aftercare upon discharge from a residential/inpatient facility when the facility is not paid a discharge planning per diem.
Participating in the client’s individualized Treatment Plan Development/Review process.◦Time billed must be clearly justified as time
dedicated to the recipient.Providing MH-TCM services during the last
90 days of a child’s BHOS stay.
July 2006 MH-TCM Coverage and Limitations Handbook, page 2-17
14
Service RestrictionsProvision of direct care services
◦Offering clinical services, transportation, etc.Performing Administrative Functions:
◦Copying, mailing, faxing, checking recipient eligibility
Discharge planning when covered by a residential facility’s per diem rate.◦Medicaid reimburses d/c planning 60-days
prior to discharge from a state mental health facility.
Ineligible Medicaid recipientsFACT recipientsJuly 2006 MH-TCM Coverage and Limitations
Handbook, pages 2-8, 2-9 and 2-11
15
Service RestrictionsHome & Community Based Waiver
ClientsInstitutionalized Recipients
◦ Jails, Prisons, Detention Centers, ICF-DDs, etc.Institution for Mental Diseases
◦ Hospital/other institution with 17 or more beds, engaged in providing diagnosis, treatment and care to individuals with behavioral diseases (i.e.-some CSU’s)
Supervision is not a billable MH-TCM activity. Incomplete Certification Form, Assessment,
Service Plan.July 2006 MH-TCM Coverage and Limitations
Handbook, pages 2-9 and 2-11
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Service RestrictionsNo Recipient Contact (direct contact is required)
◦Messages on machines, notes on the client’s door and e-mail messages are not reimbursable.
Non-Duplication of Services◦No reimbursement for simply being present
during a face-to-face therapeutic activity.◦Services provided which duplicate what is already
being provided, regardless of the funding source (i.e.-services coordinated by family/CBC worker, etc.).
Transportation◦Medicaid does not reimburse case managers for
transporting recipients.
July 2006 MH-TCM Coverage and Limitations Handbook, page 2-11 and 2-12
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Service RestrictionsStatewide Inpatient Psychiatric Pgm (SIPP)TCM can be rendered the last 180 days of SIPP.Clinical information must be provided by
the TCM to the SIPP at time of admission.MH-TCM must attend monthly treatment
team meetings and remain in contact with the therapist, relevant collaterals, family & the child.◦ Staff can attend by phone when clients are
placed outside the district◦ This must be justified in the clinical record
July 2006 MH-TCM Coverage and Limitations Handbook, page 2-10
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Service RestrictionsSIPP Restrictions Continued…The MH-TCM follows up with the
recipient for two months after discharge to collect SIPP outcome data.
Services are limited to 8 hours/mo. during the SIPP stay; this is increased to 12 hours/mo. in the last month of care.
July 2006 MH-TCM Coverage and Limitations Handbook, page 2-10
19
Documentation ComponentsRequired documentation for each Case Management Record:Certification FormMH-TCM AssessmentService Plan and ReviewsService documentation with required elements
July 2006 MH-TCM Coverage and Limitations Handbook, pages 2-2, 2-4, 2-12, 2-15, 2-16, 2-
20
20
Documentation ComponentsRequirements for Case Management Notes:Recipient’s name; Date of service w/beginning & end times;Detail of the services provided;Setting where service was rendered (home, office,
etc.);Updates when there is a significant change in:
◦ Residence, inpatient/state mental hospital placement, mental status, person’s life/support system, custody or educational/ employment placement
Inclusion of MH-TCM’s name, original (handwritten or electronic) signature, title and date. ◦ Photocopied signatures are not allowed.
July 2006 MH-TCM Coverage and Limitations Handbook, page 2-20
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Documentation ComponentsDetailed Case Notes Must:
◦Clearly link the case management activity with one or more identified, reimbursable Service Plan activities;
◦Refer to Service Plan Objectives;◦Describe the recipient’s progress
related to the Service Plan;◦ Justify the time spent providing MH-
TCM services.◦Document MH-TCM substitution, when
rendered.July 2006 MH-TCM Coverage and Limitations Handbook, page 2-20
22
Purpose of DocumentationThere is connection between the
assessment, service planning, TCM activities and treatment services provided. Everything is coordinated through the MH-TCM Service Plan and MH-TCM documentation allows an auditor to understand the service planning and implementation process.
Linkage Advocacy
Serv
ices/T
x.
Client Needs
Colla
tera
l In
put.
Assessment & Service Planning
Continuous Review & Adjustment of
Services
CaseManager
Assessment and Service Planning
24
MH-TCM AssessmentsAssessment must be completed
within 30-days of client referral.A home visit must occur prior
to completion of the initial assessment.
July 2006 MH-TCM Coverage and Limitations Handbook, page 2-12
25
MH-TCM Assessment Elements*Presenting problem(s) including history, self assessment; Psychosocial history;Psychiatric and medical history;Recipient current and potential strengths;Strengths/resources available through natural support
system;Educational placement, adjustment and progress;Relationship with family and significant others; Identification and effectiveness of received services; Identification of services to assist client in reaching his
goals;Assessment of service needs in the following areas:
◦ Mental Health; Alcohol/drug abuse; Family support and education; Education, Vocational/Job training; Housing, Food, Clothing or Transportation; Medical and Dental; Legal assistance; Development of environmental supports; Assistance with Financial Resources.
July 2006 MH-TCM Coverage and Limitations Handbook, pg. 2-13
26
MH-TCM Assessments*Assessment documentation must reflect
that the following information sources were used:◦Recipient’s own perception of his/her situation◦The referral source; Recipient’s family/friends;◦Other care providers serving the recipient;◦ Information from previous treating providers,
after a release of information is obtained.If collateral/other provider information is
not obtained, documentation must justify this in the record.
July 2006 MH-TCM Coverage and Limitations Handbook,
pg. 2-13
27
Assessment DocumentationAn identifiable and dated document in the record; Contains information from initial screening and
other sources: copies of evaluations, discharge summaries and other gathered data;
Documentation of the home visit done prior to the completion of the assessment; ◦ Justification for lack of a home visit is required with
sign-off by the case management supervisor.◦ A face-to-face evaluation with the client still must
occur.The assessment must be reviewed, signed and
dated by the MH-TCM and their supervisor prior to completion of the Service Plan.
July 2006 MH-TCM Coverage and Limitations Handbook,
pg. 2-14
28
MH-TCM Assessment UpdatesMH-TCM Assessments must be updated
annually.It is not recommended that Assessment
Updates cite “No Change” or “Status Unchanged” as this does not document assessment of the recipient’s status, progress, needs or present functional level.
July 2006 MH-TCM Coverage and Limitations Handbook, page 2-12
29
Service Plan ElementsSingle identifiable document (not also the
tx plan).It is individualized to the recipient.It requires measurable goals/objectives
consistent with the MH-TCM assessment.
It must be developed and finalized by the supervisor within 30 days after intake.
Developed in partnership with and signed by the recipient, (guardian, if applicable), TCM and supervisor.
July 2006 MH-TCM Coverage and Limitations Handbook, page 2-15
30
Service Plan ElementsThe Service Plan describes needed
services and indicates how needs will be met.
The plan identifies timeframes for goal achievement.
It includes short and long-term goals.It identifies who will be responsible for
providing specific assistance/services, and should be consistent with the treatment plan.
July 2006 MH-TCM Coverage and Limitations Handbook, page 2-15
31
Service Planning The Service Plan should:
Be a working, functional tool used to plan services that address client needs.
Reflect assessment findings and case monitoring activities (i.e.-home visits, communication with treatment providers/ collateral sources, and ongoing face-to-face interactions with the client).
Through these activities the client and case manager can evaluate needs/goals, and make adjustments to the Service Plan.
32
Service Plan ReviewsService Plan must be reviewed at least every
six months and documented in the record;Revisions are done as significant events occur. Reviews must include a re-evaluation of the
recipient’s eligibility for ongoing TCM.◦Documentation must indicate client still meets
criteria to receive TCM services.◦The activities, discussion and review process must
be clearly documented.◦The recipient, TCM, supervisor (and legal guardian, if
applicable) must sign and date the Review.
July 2006 MH-TCM Coverage and Limitations Handbook, page 2-15
33
Examples of non-reimbursable MH-TCM Services
The following are from past and present MH-TCM FPS documentation:Children’s Case Management notes documented
provision of services which were directed to the child’s parent(s) instead of being directed toward the child-Services should be rendered to the recipient, and should meet their individualized needs as identified from the MH-TCM Assessment and Service Plan/Reviews.
Services were managed by the child’s foster parents, and there was not documented need for MH-TCM.-Duplication of services is not allowable.
34
Examples of non-reimbursable MH-TCM Services
Case manager did not document regression of child and evidence of TCM eligibility was not clearly indicated; however, other documentation showed that the child was referred for a QE and required SIPP admission -documentation did not justify on-going TCM eligibility although services were needed.
Documentation contained discussion between the TCM and supervisor regarding what the TCM would be doing in the future. No active service provision was documented-MH-TCM did not provide a billable service and documented receipt of supervision.
35
Examples of non-reimbursable MH-TCM Services
Some documentation in a clinical file referred to how the “boys” were doing (client was in foster care with his brother).-Documentation should be reflective of services and needs specific to the client.
Client was identified to have developmental disabilities (DD), though it was not determined whether the individual was in the DD waiver-Recipients cannot receive TCM and Waiver services at the same time.
36
QUESTIONS????
37
Helpful Links/ResourcesMedicaid Summary of Services Link:http://ahca.myflorida.com/Medicaid/flmedi
caid.shtml
Medicaid Fiscal Agent Website:http://mymedicaid-florida.comGet handbooks and enrollment forms here
Magellan Medicaid Administration (MMA):
https://florida.fhsc.com/Get monitoring guidelines and MMA Power
Point presentations here
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Helpful Links/ResourcesAgency for Healthcare Administrationwww.fdhc.state.fl.us
◦Sign up for Medicaid Health Care Alerts◦See Agency announcements, publications,
notices◦Make a public record request◦Report fraud
Department of Children and Familieswww.dcf.state.fl.us
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Contact InformationKerri PawlakArea Eight Medicaid Behavioral Health
Specialist239-335-1272E-mail: [email protected]
Cheryl L. Buss, LCSWArea Eight Medicaid Utilization
Management Specialist239-335-1259E-mail: [email protected]