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CMS Leaning on Nursing Homes – and Surveyors – to Improve Infection Control Compliance (Pt. 1)

On June 1, 2020, The Centers for Medicare & Medicaid Services (CMS) released a media announcement, “Trump Administration Unveils Enhanced Enforcement Actions Based on Nursing Home COVID-19 Data and Inspection Results,” with an accompanying QSO Memo and overview of what early results of the new infection surveillance reporting requirement has shown.

What the Initial Data Shows

Alarmingly – but not surprisingly – early trends based on the recent nursing home reporting requirement to the Center for Disease Control’s National Health Safety Network (CDC NHSN) show that a significant number of nursing home residents have been impacted by the COVID-19 pandemic.

Facilities that have not reported data yet will have enforcement actions taken against them by CMS as outlined in the May 6, 2020 QSO Memo regarding the mandatory reporting requirements. In that memo, CMS announced the addition of two Federal regulatory tags, F884 COVID-19 Reporting to CDC and F885 COVID-19 Reporting to Residents, their Representatives and Families.

CMS Turning the Screws on State Agencies to Conduct More Surveys

In an April 30, 2020 announcement, CMS shared that approximately $81 million in CARES Act funding would be available to State Agencies for use through September 20, 2023. In the new QSO memo, CMS has added some caveats to how State Agencies can access that funding, including – you guessed it – getting more Focused Infection Control surveys completed. This is due to the “wide variation” that has been identified across the states in how these surveys are being completed, with some states having surveyed as low as 11% of nursing homes and others having surveyed 100% of their facilities. Further, CMS stated:

What About Other Surveys?

Not only do State Agencies need to complete Focused Infection Control Surveys of every nursing home in their states, the QSO memo directs States to conduct the following additional surveys:

View the CMS QSO Memo, “COVID-19 Survey Activities, CARES Act Funding, Enhanced Enforcement for Infection Control Deficiencies, and Quality Improvement Activities in Nursing Homes” (Ref-QSO-20-31-ALL) for more details.

In our next CMSCG Blog posts, we will look at what providers need to be thinking about and what to expect on survey going forward – including an increase in enforcement actions and lots of potential for Directed Plans of Correction.

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