08/26/2022 TPA Membership Meeting

Thanks to all the members who joined our last Membership Meeting on August 26, 2022. Special THANKS to our colleagues Julie Mochon and Laura Cipriana from ODP who provided great information on PA’s Statewide Transition Plan for HCBS, the recently released ISP Bulletin and the June 1, 2022 Amendments, the ID/A Renewals, and a discussion on the recently updated Technical Guidance for Claim and Service Documentation.

You can access the attachments and information from the meeting below:

During our discussion, we had some questions on expectations for compliance with the HCBS Rule in recognition of the workforce shortage. ODP provided a reference to that guidance, and it is below.  Providers should continue to follow the Operational Guide, waivers, and regulations regarding service delivery.  ODP will communicate if there are changes in expectations for service delivery.  Please let us know if your members are concerned about compliance with any specific requirements that are currently in place.

Expectation:  All states and settings will be fully compliant with the following regulatory settings criteria that are not impacted by the COVID-19 PHE, including its exacerbation of the workforce shortage, by the end of the transition period.

  • Privacy, dignity, respect, and freedom from coercion and restraint; and
  • Control of personal resources.

Expectation: All states and provider-owned and controlled residential settings will be fully compliant with the following regulatory settings criteria that are not impacted by the COVID-19 PHE, including its exacerbation of the workforce shortage, by the end of the transition period.

  • A lease or other legally enforceable agreement providing similar protections;
  • Privacy in their unit, including lockable doors, and freedom to furnish or decorate the unit;
  • Access to food at any time;
  • Access to visitors at any time;
  • Physical accessibility; and
  • Person-centered service plan documentation of modifications to relevant regulatory criteria.

For the settings criteria that fall outside of those described above, states and providers must implement these remaining criteria to the fullest extent possible in light of the circumstances caused by the PHE and develop a plan and timeline for full implementation, either as part of or separate from their STP.

When the ability to support individuals to fully integrate into the community as they desire is impacted by PHE disruptions, including staffing shortages, states and providers must still ensure that the operating policies of the setting are aligned with the regulatory criteria, in a manner that facilitates individual autonomy and community participation as key components of service delivery models to the fullest extent possible.

Share the Post:

Related Posts

News & Information

Slice of Pie – Volume 23, Issue 1, 2023

“A Slice of Pie” is an ongoing publication keeping our readers informed about important public policy issues. It is the mission of the Policy Information …

Read More →
TPA_ODP

2023 Lifesharing Conference – October 23 and 24 – Eden Resort Lancaster

Pennsylvania’s Lifesharing Coalition Presents The 11th Annual Lifesharing Conference October 23 and October 24, 2023 Eden Resort Lancaster Click here for more information or visit our …

Read More →
News & Information

CFHS Issues 2022 Impact Report

The Center for Healthcare Solutions (CFHS) is pleased to issue its 2022 Impact Report, a sweeping review of the essential programs for members, and a …

Read More →