© Scott & Company, Inc. 2008 Explaining Retail Clinics, Market Acceptance, Players, Regulators, and the Future of Retail Clinics Legal slides only From.

Slides:



Advertisements
Similar presentations
2012 PROPOSED VACCINE POLICY TISWG December 8, 2011.
Advertisements

NATIONAL HEALTH SERVICE CORPS 1. AGENDA 2 Overview of the National Health Service Corps Loan repayment program Scholarship program NHSC-approved sites.
Federal Tort Claims Act (FTCA) Free Clinics Program Technical Assistance Call Department of Health and Human Services Health Resources and Services Administration.
GRANTMAKERS PRESENTATION OCTOBER 2012 MEGAN HAASE, FNP CHIEF EXECUTIVE OFFICER.
Who Pays for VR Services? Comparable Services and Benefits, Financial Needs Tests, & Cost of Services 1 Developed By: David T. Hutt, Ph.D., Senior Staff.
Health Insurance Exchanges under the Affordable Care Act Deborah Chollet, Ph.D. Senior Fellow.
HIPAA Compliance: from an Employer’s Perspective Presented by VGM Mark J. Higley Vice President, Development.
Rebecca M. Johnson, MNPL Mark Meye, CPA
CAH and FQHC: Friend or Foe Elizabeth Morgan Burrows, JD Chief Executive Officer Vermillion Parke Community Health Center June 7, 2011.
New York State’s Federally Qualified Health Centers and Health Care Reform Presentation to the State Hospital Review and Planning Council By Elizabeth.
Community Health Center Benefits Grant Funded Health Centers & Look-Alikes.
National Association of Community Health Centers, Inc. 1.
Congressional Black Caucus Community Health Centers Forum Lisa Cox, Assistant Director, Federal Affairs September 27, 2007 School-Health Financing: What.
America’s Voice for Community Health Care The NACHC Mission To promote the provision of high quality, comprehensive and affordable health care that is.
AAMC Contacts: Ivy Baer, J.D., M.P.H. Sr. Director and Regulatory Counsel Evan Collins, M.H.A. Specialist, Clinical Operations and Policy.
September 10,  The ACA expands access to health insurance through improvements in Medicaid, the establishment of Affordable Insurance Exchanges,
Copyright © 2014 Community Health Center Insurance Brokers, LLC. See final slide for contact information and disclaimers. Robert W. Miller, AAI, CIC
Primary Practices in Underserved Areas: FQHCs and RHCs
Tribal Readiness Jennifer DuPuis, M.B.A.
Overview of Eligibility & Enrollment II Final Rule – Medicaid and CHIP Jennifer Ryan Center for Medicaid & CHIP Services July 17, 2013.
1 Medicaid Expansion Estimates Demographics and Cost April 24, 2013.
1 HOBBS STRAUS DEAN & WALKER, LLP WASHINGTON, DC | PORTLAND, OR | OKLAHOMA CITY, OK | SACRAMENTO, CA To Insure or Not to Insure Opportunities for Tribes.
What do I Need to Know about the Affordable Care Act & The Health Insurance Marketplace?
Jacqueline C. Leifer, Esq.
Kansas Immunization Program Immunization Program Guidelines for Vaccine Use by LHD’s October 2010.
Health Center Revenue and Reimbursement Management
Identification & Distinction of Clinical Trial Participant Charges Bethany Martell Office of Clinical Research Associate Director- Financial Operations.
Major Health Issues The Affordable Healthcare Act.
Presented by the Illinois Department of Insurance Andrew Boron, Director December 2014.
Copyright ©2004 Pearson Education, Inc. All rights reserved. Chapter 11 Health and Disability Insurance.
SUNY Board of Trustees Audit Committee Presentation October 28, 2011 Stony Brook University Hospital, Stony Brook University REPORT ON RESULTS OF 2010.
By Laura Harrod. VFC vaccines supplied by VFC can be given only to: Children aged 18 years and younger (prior to the 19 th birthday) who: Are on Medicaid,
March Sliding Fee Scales, Patients Cap on Charges Eli Camhi, MSSW – Tom Hickey -
Program Income Imposition of Charges and Application of Sliding Fee Scale CDR Matthew Newland Mae Rupert Department of Health and Human Services Health.
Indiana Community Health Centers from the State Perspective A Presentation to Indiana Council of Community Mental Health Centers.
The Basics Understanding Health Insurance Terms Jennifer Flory, HIA, CPIW, CGBA.
Triton Group, LLC.Lebow, Malecki & Tasch, LLC.1 BUILDING A BETTER ORGANIZATION BY COLLABORATING WITH OTHER BUSINESS PARTNERS: RISKS AND BENEFITS Martin.
Health Care Reform and its Impact on Michigan Janet Olszewski, Director Michigan Department of Community Health Senate Health Policy Committee May 5, 2010.
PIN : Sliding Fee Discount and Related Billing and Collection Program Requirements, 9/22/14 Bob Russell, DDS, MPH Iowa Department of Public Health.
Congress on the Un and Under Insured/National Congress on Health Reform September 22-24, 2008 Washington, DC Considering the Alternative of Forming a Federally.
Pathways to Becoming an FQHC American Muslim Health Conference May 9, 2015 Pamela Xichel Cairns, MHA President.
Medicare, Medicaid, and Health Care Reform Todd Gilmer, PhD Professor of Health Policy and Economics Department of Family and Preventive Medicine 1.
Copyright ©2004 Pearson Education, Inc. All rights reserved. Chapter 11 Health and Disability Insurance.
MARY SOWERS 1 Medicaid Basics: Long Term Services and Supports Center for Medicaid and State Operations Disabled and Elderly Health Programs Group.
Child and Adult Care Food Program (CACFP) & Summer Food Service Program (SFSP) Overview.
ACCOUNTING FOR HEALTHCARE Pertemuan 8-12 Matakuliah: A1042/Accounting Software Package for Services Tahun: 2010.
Introduction To Federally Qualified Health Centers (FQHCs)
1 Health Exchange Proposal Delaware Health Care Commission May 5, 2011.
SBIR Budgeting Leanne Robey Chief, Special Reviews Branch, NIH.
HRSA PIN (Policy Information Notice)
Occupancy Capabilities and Limitations of Federally Qualified Health Centers in Emergency Situations Jessica Yanow, MPH Director of Women’s Health Programs.
Look-Alike Overview and Initial Designation Application Process U.S. Department of Health and Human Services Health Resources and Services Administration.
Understanding Federally Qualified Health Centers and Federally Qualified Health Center Look-Alikes Tonya Bowers, MHS Department of Health and Human Services.
FleetBoston Financial HIPAA Privacy Compliance Agnes Bundy Scanlan Managing Director and Chief Privacy Officer FleetBoston Financial.
Health Reform 101 National Tribal Health Reform Implementation Summit April 19, 2011 Jennifer Cooper Legislative Director, National Indian Health Board.
Health Reform 2010: R OLE OF H EALTH I NSURANCE E XCHANGES December 9, 2010 Jennifer Cooper Legislative Director, National Indian Health Board
"Immigrants & the Safety Net: Challenges from Health Care Reform” California Program on Access to Care Presented by: Monica Blanco-Etheridge Latino Coalition.
Health Reform: An Overview Unit 4 Seminar. The Decision The opinions spanned 193 pages, upholding the individual insurance mandate while reflecting a.
Copyright © Feldesman Tucker Leifer Fidell LLP Health Center - Hospital Affiliations Presented by Jacqueline C. Leifer, Esq. Senior Partner.
City of Frederick Board of Aldermen Meeting October 27, 2010 FCAA/City of Frederick FQHC Planning Project.
THE UNITED STATES HEALTH CARE SYSTEM Combining Business, Health, and Delivery CHAPTER Copyright ©2012 by Pearson Education, Inc. All rights reserved. The.
Public Health Safety Net for Commercially Insured Adolescents Seeking Confidential Reproductive Health Services Dawn Middleton, BS Region II Infertility.
AFFORDABLE CARE ACT: OVERVIEW, STUDY OF THE GENERAL EFFECTS ON RADIOLOGY, HOW FAR HAVE WE COME AND THE FUTURE Bhavya Rehani, MD, Lindsay P. Busby, MD,
Vaccine For Children Kansas Program Overview
2012 Ryan White Grantee Meeting
Ryan White 2012 Grantee Meeting
UW Family Medicine Residency Program (FMRP)
1115 Demonstration Waiver Extension Summary
FEDERALLY QUALIFIED HEALTH CENTERS (FQHC’s)
LEVERAGING PURCHASED/REFERRED CARE (PRC) RATES
Presentation transcript:

© Scott & Company, Inc Explaining Retail Clinics, Market Acceptance, Players, Regulators, and the Future of Retail Clinics Legal slides only From Feldesman Tucker Leifer Fidell LLP

© 2009 Reconciling Section 330 Requirements and Retail Clinic Principles NOTE: FQHCs are advised to consult with knowledgeable local counsel when evaluating and implementing a retail clinic model 1.Patients access to the FQHCs full scope of services All patients served at the FQHCs retail clinic site must have reasonable access to the full scope of services offered by the FQHC as a whole 2.Schedule of charges and discounts Charges: –Consistent with locally prevailing rates and designed to cover the reasonable costs of operation Discounts –Adjusted based on ability to pay for uninsured and underinsured persons with annual incomes at and below 200% of the federal poverty level (full discounts/nominal fee for uninsured and underinsured persons with annual incomes at or below 100% of poverty); no discounts to third party payors Must not deny any individual services based on ability to pay

© 2009 Reconciling Section 330 Requirements and Retail Clinic Principles 3. Hours of operation Must be appropriate for the community and facilitate access to services 4. Composition of the Board If new demographic group represents a significant portion of the FQHCs patient base, then the FQHC must ensure that the new population is sufficiently represented on its Board 5. Board authorities Directors should be involved in the process of evaluating and selecting a retail clinic model Must approve the retail clinic services, hours or operation, and any change in key policies and procedures

© 2009 Scope of Project An FQHC that wishes to establish a retail clinic outside of its existing site(s) must request and obtain prior approval from HRSA to add the new site to its scope of project

© 2009 Change of Scope of Project Request The change of scope request must –Document that no additional Section 330 funds are needed to support the provision of services at the new site(s) –Not shift resources away from providing services to the current target population, or otherwise result in the diminution of the FQHCs total level or quality of health services currently provided to the target population –Further the FQHCs mission by increasing or maintaining access and improving or maintaining quality of care for the target population –Be fully consistent with Section 330 and Health Center Program Expectations, including appropriate governing board representation for changes in service sites and populations served –Provide for appropriate credentialing/privileging of providers

© 2009 Change of Scope Request: Special Retail Clinic Considerations 2007 HRSA Letter: FQHCs seeking to submit a request to add a retail clinic site (located within a retail institution) to its scope of project should be prepared to answer the following: –What is the FQHCs plan for providing retail clinic patients with access to primary care services not offered at the retail clinic site? How will the FQHC staff ensure appropriate follow-up and coordination of care? –How will the FQHC ensure that the retail clinic addresses the needs of special populations (e.g., elderly, chronically ill)? –What is the FQHCs plan for instituting its sliding fee scale at the retail clinic sites? –What role will the retail establishment play in the operation of the retail clinics? Will it pay for the clinics overhead costs? Will they have any control of the fee scale, clinical protocols, hours, or the supervision of staff? –What is the business relationship between the FQHC and the retail establishment?

© 2009 Securing FQHC Benefits If retail clinic model arrangement is operated within FQHCs scope of project, the FQHC may enjoy certain Section 330 related benefits – Cost-related reimbursement – Federal Tort Claims Act (FTCA) coverage – Drug pricing under Section 340B – Anti-kickback statute safe harbor – Access to VFC Vaccines

© 2009 Securing FQHC Benefits: Cost-Related Reimbursement Access to cost-related reimbursement –Access to reimbursement under the Prospective Payment System (PPS) or other state-approved alternative payment methodology (which is predicated on a cost-based reimbursement methodology) for Medicaid and CHIP services and cost-based reimbursement for services provided under Medicare Wraparounds for difference between Medicaid and CHIP managed care capitation and PPS; wraparound on Medicare managed care payments effective FY 2006 and on CHIP payments effective FY 2010

© 2009 Securing FQHC Benefits: Federal Tort Claims Act for Section 330 Grantees Access to Federal Tort Claims Act ("FTCA") coverage, in lieu of purchasing malpractice insurance, may significantly reduce the costs of operating a retail clinic –FTCA is only available for: the deemed FQHC (as well as its directors and officers); FQHC employees that provide services on a full-time or part-time basis; individually contracted providers who furnish services in the fields of general internal medicine, family practice, general pediatrics and obstetrics and gynecology, regardless of the number of hours worked; and individually contracted providers who furnish services in other fields of practice, so long as they provide such services to FQHC patients for an annual average of 32 ½ hours a week (i.e., on a full time basis). –With certain exceptions, FTCA only covers services provided within the FQHCs approved scope of project and within the providers scope of employment/contract If a provider at a retail clinic site is not covered under FTCA, the FQHC must ensure that he/she secures and maintains policies of professional liability (malpractice, errors and omissions) insurance and/or self-insurance

© 2009 Securing FQHC Benefits: Section 340B Drug Pricing Access to favorable drug pricing under Section 340B of the Public Health Service Act –FQHC cannot supply 340B drugs to individuals who are not registered FQHC patients –Individual will not be considered a patient for 340B purposes if the only health care service received from the FQHC is the dispensing of a drug or drugs for subsequent self-administration or administration in the home FQHC that locates a site in or near to a retail store that operates a pharmacy will need to consider the implications of such arrangement for its current pharmacy operations (whether FQHC-owned or contracted)

© 2009 Securing FQHC Benefits: Anti-Kickback Safe Harbor for Section 330 Grantees Access to the FQHC Health Center Safe Harbor under Federal Anti-Kickback statute: final OIG rule issued October 4, 2007 (42 C.F.R (w)) –Purpose: protect from prosecution under the federal anti-kickback law –Certain arrangements between FQHC Section 330 grantees and providers/suppliers of goods, items, services, donations and loans That contribute to the FQHCs ability to maintain or increase the availability, or enhance the quality, of services provided To the FQHCs medically underserved patients If structured properly, may allow for reduced rent, free medical equipment and/or funding to support the establishment of the FQHCs retail clinic NOTE: See OIG Advisory 01-9 (favorable opinion re: a hospitals award of community benefit grant to an FQHC that acquired the hospitals ambulatory care site)

© 2009 Securing FQHC Benefits: Vaccines for Children Program Access to the Federal Vaccine For Children program –VFC vaccines may only be administered to VFC-eligible children Any child 18 years of age or younger that meets at least one of the following criteria: –Medicaid enrolled (includes children in an expansion CHIP) –Uninsured (does not include children enrolled in a separate CHIP) –American Indian or Alaskan Native (as defined by the Indian Health Services Act) –Underinsured (a child whose health insurance benefit plan does not include VFC vaccinations) »NOTE: Underinsured children are only eligible to receive VFC vaccines through a FQHC or RHC