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CMS Emphasizes CMPs and Immediate Jeopardies in New S&C Letter

The Centers for Medicare & Medicaid Services (CMS) issued an S&C letter, “Advance Copy: Update of State Operations Manual (SOM) Chapter 7 and Survey Process Timeframe Reminder” on March 28th. The memo emphasizes changes to Civil Monetary Penalties that are related to provisions of the Affordable Care Act (ACA).

Last August, CMS issued an S&C letter, “Escrow and Independent Informal Dispute Resolution (Independent IDR) Process for Nursing Homes – Applicable to All Civil Monetary Penalties” that provided updates to the imposition of CMPs on standard and complaint surveys. That letter outlined the implementation and noted that guidance and instructions would be made in an upcoming Chapter 7 SOM revision. The entire updated SOM Chapter 7 can be viewed with the memo. The advance copy issued on March 28th provides information on:

CMS also issues some strong reminders to surveyors in this S&C letter, specifically around immediate jeopardy situations and the timeframes for enforcement actions. CMS Compliance Group put together a 4-part, comprehensive article on nursing home immediate jeopardy situations that includes this information, which can be viewed on our blog. The S&C letter issues the following reminders:

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