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CMS Updating Requirements for Nursing Home Infection Surveillance & Reporting

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The Centers for Medicare & Medicaid Services (CMS) issued a QSO Memo on Sunday, April 19, 2020, “Upcoming Requirements for Notification of Confirmed COVID-19 (or COVID-19 Persons Under Investigation) Among Residents and Staff in Nursing Homes.” The QSO Memo outlines reporting requirements for nursing homes to provide data directly to the Centers for Disease Control (CDC) as well as for facility notification of residents/representatives on conditions inside the facility. In a press release issued alongside the guidance, CMS Administrator Seema Verma emphasized the importance of nursing home reporting to the CDC to assist with enhancing a nation-wide COVID-19 Surveillance System that can help reopen the country. 

COVID-19 Reporting to CDC

Although existing regulatory requirements are in place that require nursing homes to have a surveillance and reporting system in place to ensure that State and/or Local health departments are notified about outbreaks, including residents or employees with confirmed or suspected COVID-19, residents with severe respiratory infections that resulted in hospitalization or death, and 3 or more residents or staff with new-onset respiratory symptoms within 72 hours of each other, the data is not being collected on a national scale by federal agencies. This means that CMS, CDC and FEMA do not have access to this information, so CMS and CDC have collaborated to provide guidance and a standard reporting format to facilities that can be used for surveillance of COVID-19 on a larger scale with more data. Here’s what to know:

Requirements for Resident and Resident Representative Reporting

CMS plans to additional rulemaking in the near future that will require nursing homes to notify its residents/representatives regarding conditions inside the facility. The requirements will include:

The QSO Memo states that failure to provide timely reporting of resident/staff incidence of communicable disease or infection, including confirmed COVID-19 cases or cases of Persons Under Investigation (PUI) for COVID-19, to residents/representatives may result in enforcement action against the facility.

Last week, CMSCG President Linda Elizaitis wrote on our blog about how nursing homes need to be prepared for enhanced scrutiny of Infection Prevention & Control practices by the regulators in the future. This, she notes, is partially attributed to inconsistency in surveillance, tracking and trending practices by providers. Read her blog post, “Infection Prevention & Control – Beyond COVID-19,” here.

We continue to update our list of COVID-19 resources for healthcare

View the full 4/19/2020 QSO Memo (Ref: QSO-20-26-NH) here.

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