April 15,
2019
By: Seema Verma, Administrator, Centers for Medicare & Medicaid Services
Ensuring Safety and Quality in America’s Nursing Homes
CMS is charged with
developing and enforcing quality and safety standards across the nation’s health
care system, a responsibility we consider a sacred trust. While we support
and promote the private sector’s critical role in our health care system,
CMS’ duty to monitor the safety of the nation’s hospitals, nursing homes, and
other providers, is a unique governmental task which lies at the core of
government’s role in health care. This duty is especially important when it
comes to the care provided for some of the most vulnerable in our society,
Americans residing in nursing homes.
Every nursing home resident
deserves to retain their basic human dignity and to be treated with respect
at all times. Abuse and neglect are never acceptable. CMS’ approach to
oversight of nursing homes is constantly evolving. Just as we’re unleashing
innovative strategies and technologies in other areas of CMS, we’re
continuously looking for ways to improve our approach to nursing home safety
and quality. We must never be complacent – we should always push ahead to
continuously improve our efforts.
CMS is not waiting, and
not settling for the status quo: I have directed my team at CMS to undertake
a comprehensive review of our regulations, guidelines, internal structure,
and processes related to safety and quality in nursing homes. America
deserves nursing homes that ensure residents are treated with dignity and
kept safe from abuse and neglect; that are rewarded for value and quality;
whose patient outcomes are transparent to consumers; all without unnecessary
paperwork that keeps providers from focusing on patients. We have demonstrated
our commitment to this path by developing a five-part plan to ensure the care
provided in America’s nursing homes is of the highest possible quality. While
we pursue these efforts, we welcome interest and input from all stakeholders,
Congress, and our other federal partners. But we have already started
executing our plan, and we’ve got our eyes on the future.
Strengthen
Oversight
CMS works in partnership
with State Survey Agencies (SSAs) to oversee nursing homes, since these
agencies are generally also responsible for state licensure. The SSAs visit
and survey every Medicare and Medicaid participating nursing home in the
nation at least annually to ensure they are meeting CMS’ health and safety
requirements as well as state licensure requirements. To be effective, SSAs
must be fair and consistent in applying CMS rules.
In recent years, we have
found wide variation across SSAs. Some states frequently identify serious
issues in nursing homes, while others don’t identify concerns with the same
seriousness or severity – including application of penalties. Residents
deserve consistent nursing home quality, regardless of location, so CMS is
revising our oversight of SSA performance. We’re examining the way surveyors
identify issues such as abuse, facility staffing levels, and dementia care,
and we are clarifying expectations regarding when abuse must be reported to
the State and law enforcement. This means setting clear timelines for SSAs to
review allegations of abuse and neglect. We will also be updating Nursing
Home Compare to make it easier for consumers to identify specific instances
of non-compliance related to abuse or inappropriate antipsychotic medication
use.
We’re also rethinking the
guidance we provide to SSAs. When surveyors determine that a nursing home is
providing care poor enough to seriously harm residents or is likely to cause
serious harm– a situation called “Immediate Jeopardy”– that finding should be
based on consistent application of standards nationwide. Patients must be
protected from dangerously poor quality, no matter where they live. We
recently revised and streamlined the guidelines for determining Immediate
Jeopardy used by surveyors. Going forward, SSAs will be armed with clearer
procedures so, as they conduct their review of each nursing home, dangerous
issues will be discovered and promptly reported to CMS so residents are kept
safe through appropriate enforcement actions intended to bring about rapid
and sustainable compliance. Information about these kinds of findings and associated
enforcement actions are available on Nursing Home Compare.
Finally, we’re working on
new ways to identify abuse and stop it in its tracks. We’re looking at our
organizational structure to enhance collaboration across our regional staff,
who work on the front lines with providers particularly when serious quality
issues like abuse are identified. We’re exploring the possible use of
Medicare claims data and associated adverse outcomes or indicators, including
the use of artificial intelligence and text mining, to inform our nursing
home survey and oversight process, especially for individuals transferred
from a nursing home to a hospital. Additionally, to help prevent abuse, we
think it is critical to more effectively identify workers with a history of
abuse. While reviewing the feasibility of these steps, we are strengthening
our oversight to ensure that survey findings reflect the quality of
facilities, regardless of their location. We will continuously strive to
ensure all entities that survey nursing homes are doing so appropriately and
consistently.
Enhance
Enforcement
CMS enforces the
compliance of basic health and safety standards for nursing homes to ensure
patient safety and quality care. Here, too, we’re working to improve. We’re
strengthening our enforcement policies to hold nursing homes accountable for
the care they provide. As part of this effort, we’re developing new ways to
root out bad actors and repeat offenders.
CMS has long identified
staffing as one of the vital components of a nursing home’s ability to
provide quality care. CMS collects staffing data from nursing facilities
through the PBJ system based on payroll and other verifiable and auditable
data, as required by law. Since November 2018, CMS has shared this data with
SSAs so they know which nursing homes may have potential staffing problems
and can target their reviews. SSAs are conducting a portion of their
unannounced after-hours and weekend inspections to focus on staffing problems
during those times. SSAs will take appropriate enforcement actions against
those facilities that fail to provide the required nurse staffing.
We’re also improving
quality of life for nursing home residents. Too often, residents with
dementia-related psychosis have been deemed to be unruly or difficult, and
have been given antipsychotic sedative drugs in contravention of FDA guidelines.
CMS has worked through our National Partnership to Improve Dementia Care in
Nursing Homes to curb the inappropriate use of these drugs in nursing homes.
On March 1st, we announced enhanced oversight and enforcement of
nursing homes that have not improved their antipsychotic medication
utilization rates for long-stay nursing home residents since 2011, or “late
adopters.” We’ve begun imposing stricter sanctions like denying payment for
new admissions and per-day Civil Money Penalties on late adopters that have a
history of noncompliance with our rules related to chemical restraints,
dementia care, and psychotropic drugs, and have been determined in a current
survey to be out of substantial compliance with those requirements. CMS and
SSAs will be closely monitoring these facilities to ensure that they achieve
and continue to maintain substantial compliance in these areas.
We’re also committed to
working with Congress to strengthen nursing home enforcement. In President
Trump’s Fiscal Year 2020 budget, we’ve asked Congress to provide us the
authority to adjust the frequency of mandatory nursing home surveys so we can
focus more of our time and resources on nursing homes that are poor
performers while continuing efforts to respond to complaints. The FY 2020 Budget
also requests $442 million for Survey and Certification, a $45 million
increase from the previous year. The increased funding would enable CMS to
continue to meet the statutory survey requirements while dealing with the
increase in volume and severity of complaints, and rising survey costs.
Increase
Transparency
CMS is empowering
consumers, their families, and their caregivers by giving them the resources
they need to make informed decisions, and key to our effort is our Nursing
Home Compare website. Nursing Home Compare offers a wide variety of data
related to nursing home quality. We’re constantly working to make sure the
information on Nursing Home Compare is as accurate and informative as
possible. In April 2018, for example, we incorporated data on nursing home
staffing based from a new payroll-based journal (PBJ) system into Nursing
Home Compare and the Nursing Home Five-Star Quality Rating System. The new
PBJ data allows CMS to more accurately track staffing levels in nursing
homes. Adding this data to Nursing Home Compare provided an entirely new and
key source of quality information to nursing home residents, their families,
and caregivers. We are continuing to explore other ways to improve Nursing
Home Compare, including highlighting specific quality issues like abuse or
the inappropriate use of antipsychotic medication.
In addition to the
transparency resources found on Nursing Home Compare, we’ve developed further
ways to publish more important quality information. We’ve increased public
awareness of nursing homes failing to meet our minimum health and safety
standards. Now, instead of publishing notices in local newspapers, we’re
publicizing instances in which CMS terminates our agreements with nursing
homes due to poor quality on our website. Additionally, the public should
know how we inspect nursing homes, so we’ve made our Long Term Care surveyor
training available online.
Finally, when a survey
finds a nursing home deficient in any way, the public has a right to know.
Surveys of nursing homes generate official health and safety deficiency
reports, which convey important quality of care findings. Because these
reports can be difficult for the public to understand, we’re working on ways
to make them more accessible. We want them to be clear so the public has full
knowledge of the scope and severity of any problems identified during our
nursing home inspections.
We’re doing everything we
can to give the public more and better information so they can make the
choice that’s best for them. We’re committed to transparency, and we will
never stop working to give patients and residents the clearest and most
accurate information possible.
Improve
Quality
While CMS is holding
nursing homes accountable through oversight and enforcement measures, we’re
also actively keeping patients safe by helping nursing homes improve. We’re
doing that by developing quality measures that score providers based on
patient outcomes, not adherence to processes. We’re also investing in
programs that focus on key areas of nursing home care to help achieve higher
quality.
CMS fines nursing homes
that don’t comply with our requirements, and we recently launched an
initiative to invest these Civil Money Penalty (CMP) dollars in efforts to
reduce adverse events, improve staffing quality and improve quality of care
for residents with dementia. We’ve also begun to incorporate value into how
we pay for skilled nursing care. In our Skilled Nursing Facility (SNF)
Value-Based Purchasing Program, a portion of a SNF’s payments is based on
performance. We’re also focusing a significant portion of our clinical
quality improvement work on nursing homes. We developed precise, quantifiable
goals to measure our success in decreasing infections and adverse drug
events, both of which are significant sources of patient harm in nursing
homes. We are focusing on measures that focus on improving patient outcomes
while minimizing burden and through CMS’ Meaningful Measures Initiative
prioritizing those measures through all areas of our work to improve quality.
We’re also investing in programs that take best practices from
high-performers and share them with lower quality facilities.
We’ve already reaped
rewards from our quality improvement work. Between 2011 and the third quarter
of 2018, for example, our work with the National Partnership to
Improve Dementia Care in Nursing Homes helped decrease the national
prevalence of antipsychotic medication use among long-stay nursing home
residents by 38.9 percent to a national prevalence of 14.6 percent. This
simple step has helped improve quality of life for nursing home residents
nationwide.
We’re not done. We’re
unleashing our expertise in quality measurement to address serious quality
issues like healthcare-associated infections, and we’re looking at how we can
better spend CMP dollars on the most critical quality issues.
Put
Patients Over Paperwork
Ensuring access to quality
nursing home care is our priority, and it’s a delicate balance. As we have
seen time and again, more regulation is not necessarily better regulation,
nor does it always translate into better care or outcomes. When
administrative burden increases with little or no benefit, patients suffer
because mountains of unnecessary paperwork keep providers from patients.
Additionally, high administrative costs can make it difficult for facilities
to operate. In rural America, a shuttered nursing home can present serious
access to care problems. We are developing our regulatory strategy in a way
that puts patient quality and safety first while removing unnecessary burdens
on providers that create staffing challenges and increase cost without
increasing quality. We want to make sure providers spend time caring for
residents instead of completing unnecessary paperwork.
Every time we implement a
new rule or requirement, we think about minimizing burden while keeping
patients safe. In 2016, CMS issued a final rule that revised the federal
health and safety requirements for nursing homes for the first time in over
25 years. These changes reflect substantial advances that have been made over
the past several years in resident care and quality assessment practices. As
we continue to implement this rule, we are keenly focused on minimizing
administrative burden for providers.
Additionally, we helped
nursing homes meet an important new requirement related to infection control.
We worked with CDC to develop online training about infection prevention and
control, and offered it to nursing homes at no cost. Going forward, we will
continue to think about how we can streamline processes and eliminate
obsolete, unnecessary, or duplicative provisions and we are interested in
hearing from all stakeholders on ways to improve our programs.
Finally, if you have
knowledge of abuse or neglect in a nursing home, please alert a supervisor,
social worker, administrator, or doctor. You can also follow the facility’s
required grievance procedures. If you need outside help, you can use our
website to find the contact information for your state’s SSA and Long-Term Care Ombudsman.
We at CMS are personally
committed to making sure Americans have access to the highest-quality nursing
home care. This work should never stop. This is not business as usual – we
are pushing beyond the status quo. We are focused on ensuring America’s nursing
homes are keeping residents safe by rewarding quality and value, making
outcomes transparent, and reducing unnecessary paperwork that detracts from
patient care, and we will not hesitate to use every tool at our disposal to
complete our mission.
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Administrator @SeemaCMS, @CMSgov, and @CMSgovPress.
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Monday, April 15, 2019
Ensuring Safety and Quality in America’s Nursing Homes
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