Archive for the ‘CMS Medicare Medicaid’ category

Federally Qualified Health Center (FQHC) Advanced Primary Care Practice Demonstration

November 13th, 2011

FQHC Advanced Primary Care Practice Demonstration Project

The demonstration will show how the patient-centered medical home model can improve quality of care, promote better health, and lower costs. This demonstration project, operated by the Centers for Medicare and Medicaid Services (CMS) in partnership with the Health Resources Services Administration (HRSA), will test the effectiveness of doctors and other health professionals working in teams to coordinate and improve care for up to 195,000 Medicare patients. List of participating FQHCs for the Advanced Primary Care Practice Demonstration Project

 

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Rural Critical Access Hospitals Get Funding Via RECs

September 11th, 2010

46 Regional Extension Centers to Assist Rural Critical Access Hospitals

On September 10, 2010 HHS provided 46 Regional Extension Centers with additional funding to assist rural critical access hospitals and rural hospitals (see Background on critical access hospitals) with less than 50 beds in selecting and implementing certified EHR systems. Some 1,655 critical access and rural hospitals in 41 states and the nationwide Indian Country, headquartered in the District of Columbia stand to benefit from this special assistance.

This funding is a new and aimed specifically at assisting critical access and rural hospitals with their particular needs and challenges. It will build upon the substantial base HHS has already built to provide assistance to health care providers throughout the country as they transition to EHRs. By converting to certified EHR technology, these facilities can qualify for substantial additional incentive payments from Medicare or Medicaid. It highlights HHS’s effort in supporting rural providers and small practices to achieve meaningful use.

RECs receiving the CAH/rural hospitals awards are:

Regional Extension Center (REC)REC State CoverageAward Amount
Alabama Regional Extension CenterAlabama$432,000
Alaska eHealth NetworkAlaska$168,000
Arizona Health-e Connection (AzHeC)Arizona$240,000
California Regional Extension Center (North) — CalHIPSO (North)California$336,000
California Regional Extension Center (South) — CalHIPSO (South)California$180,000
CentrEast Regional Extension CenterTexas$384,000
Colorado Regional Extension Center (CORHIO)Colorado$456,000
Hawaii Health Information ExchangeHawaii$144,000
Health Bridge Inc.*Ohio
Indiana
Kentucky
$288,000
Health InsightUtah
Nevada
$480,000
HealthInfoNetMaine$264,000
IFMC Health Information Technology Regional Extension Center (Iowa HITREC)Iowa$1,044,000
Illinois Health Information Technology Regional Extension Center (IL-HITREC)Illinois$720,000
IT ArkansasArkansas$420,000
Kansas Foundation for Medical Care, Inc. (KFMC)Kansas$1,140,000
LCF ResearchNew Mexico$204,000
Louisiana Health Care Quality ForumLouisiana$768,000
Massachusetts Technology CorporationMassachusetts$132,000
Michigan Center for Effective IT Adoption (M-CEITA)Michigan$432,000
Missouri HIT Assistance CenterMissouri$660,000
Mountain-Pacific Quality Health Foundation (MPQHF)Montana
Wyoming
$816,000
National Indian Health Board (NIHB)Serving the nationwide Indian Country, headquartered in the District of Columbia$312,000
New York eHealth Collaborative (NYeC)New York$120,000
North Texas RECTexas$108,000
O-HITECOregon$384,000
Ohio Health Information Partnership (OHIP)Ohio$516,000
Oklahoma Foundation for Medical Quality (OFMQ)Oklahoma$744,000
Purdue UniversityIndiana$396,000
QsourceTennessee$480,000
Quality Insights of Pennsylvania, Inc. (East)Pennsylvania$180,000
Quality Insights of Pennsylvania, Inc. (West)Pennsylvania$144,000
Regional Extension Assistance Center for Health Information Technology (REACH)Minnesota
North Dakota
$1,488,000
Regional Extension Center for Health Information Technology in MississippiMississippi$540,000
Rural and North Florida Regional Extension CenterFlorida$168,000
South Carolina Research FoundationSouth Carolina$156,000
South Dakota Regional Extension CenterSouth Dakota$576,000
South Florida Regional Extension Center CollaborativeFlorida$36,000
University of Kentucky Research FoundationKentucky$360,000
University of Texas Health Science Center at HoustonTexas$612,000
Vermont Information Technology LeadersVermont$108,000
VHQC (Virginia Health Quality Center)Virginia$84,000
West Texas Health Information Technology Regional Extension Center (WT-HITREC)Texas$912,000
West Virginia Health ImprovementWest Virginia$204,000
WI-REC**Washington
Idaho
$564,000
Wide River Technology Extension CenterNebraska$120,000
Wisconsin Health Information Technology Extension CenterWisconsin$828,000
TOTAL ALL AWARDS$19,848,000

*HealthBridge is the Regional Extension Center for select areas in Ohio, Indiana, and Kentucky. The CAH/rural hospital award to HealthBridge is for critical access and rural hospitals in these areas.

**WIREC is the Washington-Idaho Regional Extension Center which services providers in both Idaho and Washington. The CAH/rural hospital award to WIREC is for critical access and rural hospitals in Idaho and Washington.

Information & Resources

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CMS CHIPRA Dental State Health Official Letter

October 7th, 2009

CMS Issues State Letter for Dental Coverage in CHIP

DEPARTMENT OF HEALTH & HUMAN SERVICES
Centers for Medicare & Medicaid Services
7500 Security Boulevard, Mail Stop S2-26-12
Baltimore, Maryland 21244-1850
Center for Medicaid and State Operations
SHO #09-012
CHIPRA # 7
October 7, 2009

RE: Dental Coverage in CHIP

Dear State Health Official (full letter on the CMS site):
The Children’s Health Insurance Program Reauthorization Act of 2009 (CHIPRA), Public Law 111-3, reauthorizes the Children’s Health Insurance Program (CHIP) under title XXI of the Social Security Act (the Act). CHIPRA ensures that States are able to continue their existing CHIP programs and provides funding to expand health insurance coverage to additional low-income uninsured children including children already eligible for CHIP or Medicaid but not enrolled. The purpose of this letter is to provide general guidance on some of the provisions in section 501 of CHIPRA, including the dental benefit provisions and the State option to provide dental-only supplemental coverage, pending the issuance of regulations.

Required Dental Services

Section 2103(c)(5) of the Act, as added by section 501 of CHIPRA, requires that “child health assistance provided to a targeted low-income child shall include coverage of dental services necessary to prevent disease and promote oral health, restore oral structures to health and function, and treat emergency conditions.” This requirement applies to all child health assistance coverage described in section 2103 and is effective October 1, 2009.

Medicaid Expansions

States that provide title XXI coverage to children through a Medicaid expansion program are required to provide Early and Periodic Screening, Diagnostic and Treatment (EPSDT) services, as defined in section 1905(r) of the Act. The dental services provided under a Medicaid expansion program through EPSDT will be considered to meet the requirements of this provision.

Separate CHIP Programs

States that provide coverage in a separate CHIP program may choose between two methods of providing the dental services as required by section 2103(c)(5) of the Act. The State may define the services in the dental benefit package and demonstrate that the package includes all of the services required by the statute. In so doing, the State should specify the periodicity schedule with which preventative and restorative services, such as cleanings and fillings, would be provided, as well as whether these services are sufficient to prevent further disease, as required by section 2103(c)(5). This applies to State-defined benefit packages and dental benchmark packages as described below.
Alternatively, the State may provide a dental benefit package that is equivalent to one of the three dental benchmark packages described in the CHIPRA statute. Under the statute, there is no option in new section 2103(c)(5) of the Act for proving actuarial equivalence or modifying the benefit package. States may, however, cover benefits in addition to the dental benchmark plan consistent with the standards in section 2103(c)(5).

In order to fully describe a State dental benefit package under a separate CHIP program, and ensure that the benefits are sufficient to meet the statutory requirements, a State should describe both the types of covered benefits and the covered amount or duration of those benefits. The amount or duration should also be expressed through identification of the periodicity schedule that the State will use in its program. The periodicity schedule sets the frequency by which certain services should be provided and will be covered. We encourage States to rely on nationally recognized standards, including Medicaid dental periodicity guidelines used for children under EPSDT or the guidelines from the American Academy of Pediatric Dentistry (AAPD). The link to AAPD’s periodicity guidelines can be found at: http://www.aapd.org/media/Policies_Guidelines/G_Periodicity.pdf.

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