Published Mar 24, 2013
salvadordolly
206 Posts
Our agency is due to be surveyed this year. Out last was in 2010. They came up with the new survey process in 2011. My administrator is one who just makes everything okay on paper without making sure it's actually implemented correctly in the field. I've heard that they interview employees and do more home visits now? Any experience with this anyone?
youngheartoldhead
50 Posts
Yes we had ours a couple weeks ago. They made sure all field staff stayed in the FIELD. and when they did come to the office they were told to do what they had to do and go away.......and stay away from state surveyor
paradiseboundRN
358 Posts
It depends on the size of the agency. I worked for a hospital agency with a census of about 250. In late 2012, the surveyor wanted to see 5 nursing visits which included wound care visits. Of course, she also went out with the other disciplines.
tktjRN
65 Posts
The surveyors, in Wisconsin, do not go with clinicians anymore to watch visits . A surveyor sees a patient,with one of the managers, for a one on one interview. They make sure the home folder is in order and medications are accurate. They honed in on OTC medications.
this may help some.
http://www.selectdata.com/the-new-survey-protocols-are-you-ready-or-how-did-you-do/
also you can google: home health care guidelines for surveyors
a few things i can remember are they zero in on medications...(has always been that way)..when they do home visits, the patients meds have to match what is on file at the agency and what is on the patients home care folder. (unless the change occurred since last visit). make sure patient has all info on the meds, side effects, directions and they are taking them correctly.
patient should know who to contact at the agency if they have major problems, how to contact a nurse after hours, the 1-800 number to report abuse. they just need to know these numbers are located in their home folder.
they have to have a basic idea of their privacy rights/ patient rights and that we are billing their insurance for payment....
coordination of care is a big deal . the nurse needs to communicate with all other services the patient is receiving ...physical , occupational therapy, social worker, etc. make entries in the record that you discussed the patient with each other and a basic run down of what u discussed. usually its just getting an update on patient. or discussing any problems.
also if the patient has waiver services from another agency such as a home care attendant, then the agency needs to communicate with them and know what their plan of care is: what they are doing for patient, how often they visit patient..etc....in turn the agency informs them of what aspects of patient care we will be doing (just basic need to know info, such as when we will be changing catheter, who is responsible for calling in regular refills, etc). this is important because both agencies may incorrectly assume that the other taking care of a particular need for the patient and it ends up not being done at all.
turningred15
54 Posts
We (in Wisconsin) had surveyors come a couple of weeks ago. Making sure med lists were accurate and up to date, infection control and care coordination were the focus. We were cited several times. (I was not cited though!) We have implemented a corrections plan and are awaiting resurvey. I think it really depends on what person does the survey. Some are much more thorough than others.
LaRN
272 Posts
this is a guidance for surveyors , which is just the regulations with some pointers to them on how to determine if home health agencies are following them.
http://www.cms.gov/Regulations-and-Guidance/Guidance/Manuals/downloads/som107ap_b_hha.pdf
the entire thing is about 95 pages. there may be a more recent version of this document since the regulations were updated in 2011:
http://www.cms.gov/Regulations-and-Guidance/Guidance/Manuals/downloads/bp102c07.pdf
State Operations Manual
Appendix B - Guidance to Surveyors: Home Health
Agencies
(Rev. 11, 08-12-05)
Part I – Investigative Procedures
Subpart A - General Provisions
484.1 Basis and Scope
484.2 Definitions
484.4 Personnel Qualifications
Subpart B - Administration
484.10 Condition of Participation: Patient Rights
484.10(a) Standard: Notice of Rights
484.10(b) Standard: Exercise of Rights and Respect for Property and Person
484.10© Standard: Right to be Informed and to Participate in Planning Care and
Treatment
484.10(d) Standard: Confidentiality of Medical Records
484.10(e) Standard: Patient Liability for Payment
484.10(f) Standard: Home Health Hotline
484.11 Condition of Participation: Release of Patient Identifiable OASIS Information
484.12 Condition of Participation: Compliance With Federal, State and Local Laws,
Disclosure and Ownership Information, and Accepted Professional Standards and
Principles
484.12(a) Standard: Compliance With Federal, State, and Local Laws and Regulations
484.12(b) Standard: Disclosure of Ownership and Management Information
484.12© Standard: Compliance With Accepted Professional Standards and Principles
484.14 Condition of Participation: Organization, Services, and Administration
484.14(a) Standard: Services Furnished
484.14(b) Standard: Governing Body
484.14© Standard: Administrator
484.14(d) Standard: Supervising Physician or Registered Nurse
484.14(e) Standard: Personnel Policies 484.14(f) Standard: Personnel Under Hourly or Per Visit Contracts
484.14(g) Standard: Coordination of Patient Services
484.14(h) Standard: Services Under Arrangement
484.14(i) Standard: Institutional Planning
484.14(i)(1) Standard: Annual Operating Budget
484.14(i)(2) Standard: Capital Expenditure Plan
484.14(i)(3) Standard: Preparation of Plan and Budget
484.14(i)(4) Standard: Annual Review of Plan and Budget
484.14(j) Standard: Laboratory Services
484.16 Condition of Participation: Group of Professional Personnel
484.16(a) Standard: Advisory and Evaluation Function
484.18 Condition of Participation: Acceptance of Patients, Plan of Care, and Medical
Supervision
484.18(a) Standard: Plan of Care
484.18(b) Standard: Periodic Review of Plan of Care
484.18© Standard: Conformance With Physician Orders
484.20 Condition of Participation: Reporting OASIS Information
484.20(a) Standard: Encoding OASIS Data
484.20(b) Standard: Accuracy of Encoded OASIS Data
484.20© Standard: Transmittal of OASIS Data
484.20(d) Standard: Data Format
Subpart C - Furnishing of Services
484.30 Condition of Participation: Skilled Nursing Services
484.30(a) Standard: Duties of the Registered Nurse
484.30(b) Standard: Duties of the Licensed Practical Nurse
484.32 Condition of Participation: Therapy Services
484.32(a) Standard: Supervision of Physical Therapy Assistant and Occupational
Therapy Assistant
484.32(b) Standard: Supervision of Speech Therapy Services
484.34 Condition of Participation: Medical Social Services
484.36 Condition of Participation: Home Health Aide Services
484.36(a) Standard: Home Health Aide Training
484.36(a)(1) Standard: Content and Duration of Training 484.36(a)(2) Standard: Conduct of Training
484.36(a)(3) Standard: Documentation of Training
484.36(b) Standard: Competency Evaluation In-Service Training
484.36(b)(1) Standard: Applicability
484.36(b)(2) Content and Frequency of Evaluations and Amount of In-Service Training
484.36(b)(3) Standard: Conduct of Evaluation and Training
484.36(b)(4) Standard: Competency Determination
484.36(b)(5) Standard: Documentation of Competency Evaluation
484.36(b)(6) Standard: Effective Date
484.36© Standard: Assignment and Duties of the Home Health Aide
484.36©(1) Standard: Assignment
484.36©(2) Standard: Duties
484.36(d) Standard: Supervision
484.36(d)(1)
484.36(d)(2)
484.36(d)(3)
484.36(d)(4)
484.36(d)(4)(i)
484.36(d)(4)(ii)
484.36(d)(4)(iii)
484.36(e) Personal Care Attendant (PCA): Evaluation Requirements
484.38 Condition of Participation: Qualifying to Furnish Outpatient Physical Therapy or
Speech Pathology Services
484.48 Condition of Participation: Clinical Records
484.48(a) Standard: Retention of Records
484.48(b) Standard: Protection of Records
484.52 Condition of Participation: Evaluation of the Agency’s Program
484.52(a) Standard: Policy and Administrative review.
484.52(b) Standard: Clinical Record Review
484.55 Condition of Participation: Comprehensive Assessment of Patients
484.55(a) Standard: Initial Assessment Visit
484.55(a)(1)
484.55(a)(2) 484.55(b) Standard: Completion of the comprehensive assessment.
484.55© Standard: Drug Regimen Review
484.55(d) Standard: Update of the comprehensive assessment.
484.55(e) Standard: Incorporation of OASIS Data Items
The Interpretive Guidelines serve to interpret and clarify the Conditions of Participation
for home health agencies (HHAs). The Interpretive Guidelines merely define or explain
the relevant statute and regulations and do not impose any requirements that are not
otherwise set forth in statute or regulation.
Conduct the HHA survey in accordance with the appropriate protocols and look to the
substantive requirements in the statute and regulations to determine whether a citation of
non-compliance is appropriate. Base any deficiency on a violation of the statute or
regulations, which, in turn, is to be based on observations of the HHA’s performance or
practices. (See 2712.)
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